81_FR_89645 81 FR 89407 - Approval of California Air Plan; Owens Valley Serious Area Plan for the 1987 24-Hour PM10

81 FR 89407 - Approval of California Air Plan; Owens Valley Serious Area Plan for the 1987 24-Hour PM10

ENVIRONMENTAL PROTECTION AGENCY

Federal Register Volume 81, Issue 238 (December 12, 2016)

Page Range89407-89418
FR Document2016-29758

The Environmental Protection Agency (EPA) is proposing to approve a state implementation plan (SIP) revision submitted by the State of California and Great Basin Unified Air Pollution Control District (GBUAPCD or ``District'') to meet Clean Air Act (CAA or ``Act'') requirements applicable to the Owens Valley PM<INF>10</INF> nonattainment area (NA). The Owens Valley PM<INF>10</INF> NA is located in the southern portion of the Owens Valley in Inyo County, California. It is classified as a Serious nonattainment area for the national ambient air quality standards (NAAQS) for particulate matter of ten microns or less (PM<INF>10</INF>). The submitted SIP revision is the ``Great Basin Unified Air Pollution Control District 2016 Owens Valley Planning Area PM<INF>10</INF> State Implementation Plan'' (``2016 PM<INF>10</INF> Plan'' or ``Plan''). The GBUAPCD's obligation to submit the 2016 PM<INF>10</INF> Plan was triggered by the EPA's 2007 finding that the Owens Valley PM<INF>10</INF> NA had failed to meet its December 31, 2006, deadline to attain the PM<INF>10</INF> NAAQS. The CAA requires a Serious PM<INF>10</INF> nonattainment area that fails to meet its attainment deadline to submit a plan providing for attainment of the PM<INF>10</INF> NAAQS and for an annual emission reduction in PM<INF>10</INF> of not less than five percent until attainment of the PM<INF>10</INF> NAAQS. The EPA is proposing to approve the 2016 PM<INF>10</INF> Plan as meeting all relevant statutory and regulatory requirements.

Federal Register, Volume 81 Issue 238 (Monday, December 12, 2016)
[Federal Register Volume 81, Number 238 (Monday, December 12, 2016)]
[Proposed Rules]
[Pages 89407-89418]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-29758]


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ENVIRONMENTAL PROTECTION AGENCY

40 CFR Part 52

[EPA-R09-OAR-2016-0660; FRL-9956-27-Region 9]


Approval of California Air Plan; Owens Valley Serious Area Plan 
for the 1987 24-Hour PM10 Standard

AGENCY: Environmental Protection Agency (EPA).

ACTION: Proposed rule.

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SUMMARY: The Environmental Protection Agency (EPA) is proposing to 
approve a state implementation plan (SIP) revision submitted by the 
State of California and Great Basin Unified Air Pollution Control 
District (GBUAPCD or ``District'') to meet Clean Air Act (CAA or 
``Act'') requirements applicable to the Owens Valley PM10 
nonattainment area (NA). The Owens Valley PM10 NA is located 
in the southern portion of the Owens Valley in Inyo County, California. 
It is classified as a Serious nonattainment area for the national 
ambient air quality standards (NAAQS) for particulate matter of ten 
microns or less (PM10). The submitted SIP revision is the 
``Great Basin Unified Air Pollution Control District 2016 Owens Valley 
Planning Area PM10 State Implementation Plan'' (``2016 
PM10 Plan'' or ``Plan''). The GBUAPCD's obligation to submit 
the 2016 PM10 Plan was triggered by the EPA's 2007 finding 
that the Owens Valley PM10 NA had failed to meet its 
December 31, 2006, deadline to attain the PM10 NAAQS. The 
CAA requires a Serious PM10 nonattainment area that fails to 
meet its attainment deadline to submit a plan providing for attainment 
of the PM10 NAAQS and for an annual emission reduction in 
PM10 of not less than five percent until attainment of the 
PM10 NAAQS. The EPA is proposing to approve the 2016 
PM10 Plan as meeting all relevant statutory and regulatory 
requirements.

DATES: Any comments on this proposal must arrive by January 11, 2017.

ADDRESSES: Submit comments, identified by docket number EPA-R09-OAR-
2016-0660, at http://www.regualtions.gov, or via email to 
[email protected]. For comments submitted at Regulations.gov, 
follow the online instructions for submitting comments. Once submitted, 
comments cannot be edited or removed from Regulations.gov. For either 
manner of submission, the EPA may publish any comment received to its 
public docket. Do not submit electronically any information you 
consider to be Confidential Business Information (CBI) or other 
information whose disclosure is restricted by statute. Multimedia

[[Page 89408]]

submissions (audio, video, etc.) must be accompanied by a written 
comment. The written comment is considered the official comment and 
should include discussion of all points you wish to make. The EPA will 
generally not consider comments or comment contents located outside of 
the primary submission (i.e., on the Web, cloud, or other file sharing 
system). For additional submission methods, please contact the person 
identified in the FOR FURTHER INFORMATION CONTACT section. For the 
EPA's full public comment policy, information about CBI or multimedia 
submissions, and general guidance on making effective comments, please 
visit http://www2.epa.gov/dockets/commenting-epa-dockets.

FOR FURTHER INFORMATION CONTACT: Ginger Vagenas, EPA Region IX, 415-
972-3964, [email protected].

SUPPLEMENTARY INFORMATION: Throughout this document, the terms ``we,'' 
``us,'' and ``our'' mean EPA.

Table of Contents

I. Background: PM10 Air Quality Planning in the Owens 
Valley PM10 Nonattainment Area
    A. Planning History
    B. Description of the Owens Valley PM10 Nonattainment 
Area
    C. Public Notice, Public Hearing, and Completeness Requirements 
for SIP Submittals
    D. CAA Requirements for PM10 Serious Area Plans
II. Evaluation of the Owens Valley PM10 Plan's Compliance 
With CAA Requirements
    A. Review of the Owens Valley PM10 Nonattainment Area 
Emissions Inventories
    B. Demonstration of Attainment
    C. Five Percent Requirement
    D. BACM/BACT and Adopted Control Strategy
    E. Reasonable Further Progress/Quantitative Milestones
    F. Contingency Measures
    G. Transportation Conformity
III. Summary of the EPA's Proposed Action
IV. Statutory and Executive Order Reviews

I. Background: PM10 Air Quality Planning in the Owens Valley 
PM10 Nonattainment Area

A. Planning History

    The NAAQS are standards for certain ambient air pollutants set by 
the EPA to protect public health and welfare. PM10 is among 
the ambient air pollutants for which the EPA has established health-
based standards. By penetrating deep in the lungs, PM10 
causes adverse health effects including lung damage, increased 
respiratory disease, and premature death. Children, the elderly, and 
people with asthma and heart conditions are the most vulnerable.
    On July 1, 1987, the EPA revised the health-based national ambient 
air quality standards, replacing the standards for total suspended 
particulates with new standards applying only to PM10.\1\ At 
that time, the EPA established two PM10 standards, annual 
and 24-hour. Effective December 18, 2006, the EPA revoked the annual 
PM10 standard but retained the 24-hour PM10 
standard.\2\ The 24-hour PM10 standard of 150 micrograms per 
cubic meter ([mu]g/m\3\) is attained when the expected number of days 
with a 24-hour average concentration above 150 [mu]g/m\3\ per calendar 
year averaged over a three-year period, as determined in accordance 
with appendix K to 40 CFR part 50, is equal to or less than one.\3\
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    \1\ 52 FR 24672.
    \2\ 71 FR 61144 (October 17, 2006).
    \3\ 40 CFR 50.6 and 40 CFR part 50, appendix K.
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    On the date of enactment of the 1990 CAA Amendments, the Owens 
Valley (along with many other areas meeting the qualifications of 
section 107(d)(4)(B) of the amended Act) was designated nonattainment 
by operation of law.\4\ The Owens Valley PM10 NA is located 
in Inyo County in east-central California. The EPA codified the 
boundaries of the Owens Valley PM10 NA at 40 CFR 81.305.
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    \4\ 56 FR 11101 (March 15, 1991).
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    Once an area is designated nonattainment for PM10, 
section 188 of the CAA outlines the process for classifying the area as 
Moderate or Serious and establishes the area's attainment deadline. In 
accordance with section 188(a), at the time of designation, all 
PM10 nonattainment areas, including the Owens Valley 
PM10 NA, were initially classified as Moderate. A Moderate 
PM10 nonattainment area can subsequently be reclassified as 
Serious either before the applicable attainment date if the EPA 
determines the area cannot practicably attain the PM10 NAAQS 
by this attainment date, or after the passage of the applicable 
Moderate area PM10 attainment date if the EPA determines 
that the area has failed to attain the standard. In accordance with 
section 188(b)(1) of the CAA, on February 8, 1993, the EPA determined 
the Owens Valley PM10 NA could not practicably attain the 
PM10 NAAQS by December 31, 1994 and reclassified the area as 
Serious.\5\
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    \5\ 58 FR 3334 (January 8, 1993).
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    As a Serious area, the Owens Valley PM10 NA acquired a 
new attainment deadline of no later than December 31, 2001. CAA section 
188(c)(2). However, CAA section 188(e) authorizes the EPA to grant up 
to a 5-year extension of that attainment deadline if certain conditions 
are met by the state. In order to obtain the extension, the state must 
make a SIP submission showing that: (1) Attainment by the applicable 
attainment date would be impracticable; (2) the state complied with all 
requirements and commitments pertaining to the area in the 
implementation plan for the area; and (3) the plan for the area 
includes the most stringent measures (MSM) that are included in the 
implementation plan of any state or are achieved in practice in any 
state and can feasibly be implemented in the specific area.
    In its 1998 Owens Valley PM10 Plan (submitted to the EPA 
on September 10, 1998), California requested an attainment date 
extension under CAA section 188(e) for the Owens Valley PM10 
NA from December 31, 2001 to December 31, 2006. On September 3, 1999, 
the EPA approved the Serious area 1998 PM10 Plan for the 
Owens Valley PM10 NA as meeting the requirements for such 
areas in CAA sections 189(b) and (c), including the requirements for 
implementation of best available control measures (BACM) in section 
189(b)(1)(B) and MSM in section 188(e). In the same action, the EPA 
approved the submission with respect to the requirements of section 
188(e) and granted California's request to extend the attainment date 
for the area to December 31, 2006. This final action and the proposal 
preceding it provide a more detailed discussion of the history of 
PM10 planning in the Owens Valley PM10 NA.\6\
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    \6\ See 64 FR 34173 (June 25, 1999) and 64 FR 48305 (September 
3, 1999).
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    On June 6, 2007, the EPA found that the Owens Valley 
PM10 NA failed to attain the 24-hour PM10 NAAQS 
by the applicable attainment date of December 31, 2006.\7\ Accordingly, 
the State was required to submit a new plan meeting the requirements of 
section 189(d) by December 31, 2007.
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    \7\ 72 FR 31183.
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    The Governing Board of the GBUAPCD adopted the ``2008 Owens Valley 
PM10 Planning Area Demonstration of Attainment State 
Implementation Plan'' (``2008 Plan'') on February 1, 2008. The 2008 
Plan, which included a request for an attainment date extension, was 
submitted by the State to the EPA on June 11, 2009. The 2008 Plan was 
subsequently updated and superseded by the submittal of the 2016 
PM10 Plan, which reiterates the request for an attainment 
date extension and incorporates agreements reached between the GBUAPCD 
and the City of

[[Page 89409]]

Los Angeles, and is the subject of this action.\8\
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    \8\ See Chapter 8 of the 2016 PM10 Plan and letter 
from Phillip L. Kiddoo, Air Pollution Control Officer, GBUAPCD to 
Elizabeth Adams, Acting Air Division Director, U.S. EPA, Region 9, 
dated October 26, 2016.
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B. Description of the Owens Valley PM10 Nonattainment Area

    Owens Lake is located in Inyo County in east central California in 
the southern portion of the Owens Valley. It is part of a chain of 
lakes formed over 140,000 thousand years ago.\9\ In 1913, the Los 
Angeles Department of Water and Power (LADWP) completed an aqueduct 
system and began diverting the waters of the Owens River to the City of 
Los Angeles. By 1930, these diversions from the Owens River had drained 
the Owens Lake almost completely dry.\10\
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    \9\ 2016 PM10 Plan, p. 7.
    \10\ Id., p. 8.
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    Strong winds blowing over the surface of the dry, alkaline bed of 
the Owens Lake have produced among the highest measured concentrations 
of PM10 ever recorded, including a monitored reading that 
exceeded 12,000 [mu]g/m\3\--more than 80 times over the federal 24-hour 
standard.\11\ Past data from the EPA's approval of the 1998 
PM10 Plan indicated that during days when violations were 
recorded, 94 percent of the PM10 concentrations came from 
the Owens Lake bed and another five percent came from re-entrained 
Owens Lake dust already deposited in the area.\12\ Since our approval 
of the 1998 PM10 Plan, PM10 emissions occurring 
directly from the Owens Lake bed and those attributable to re-entrained 
Owens Lake dust deposited in the two-kilometer area surrounding the 
Owens Lake bed, particularly the Keeler and Olancha Dunes, have 
declined. Despite this reduction, the predominant source of 
PM10 emissions contributing to nonattainment in the Owens 
Valley PM10 NA continues to be the dry Owens Lake bed and 
the two-kilometer perimeter surrounding it.\13\
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    \11\ Id., p. S-2.
    \12\ 64 FR 34173 at 34174.
    \13\ 2016 PM10 Plan, page S-4, Table S-2, and Chapter 
8.
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    Approximately 40,000 permanent residents live in the area affected 
by the Owens Lake PM10 emissions.\14\ Some of these 
residents are members of four Tribes: The Lone Pine Paiute/Shoshone 
Tribe, the Fort Independence Tribe, the Big Pine Tribe, and the Bishop 
Tribe. Residents and visitors to the area suffer the adverse health 
effects from high PM10 concentrations.\15\
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    \14\ Id. at S-2.
    \15\ Id.
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    As noted previously, the State of California and the GBUAPCD 
submitted a PM10 Plan in 1998 that the EPA approved in 
1999.\16\ The EPA recognized in approving the 1998 PM10 Plan 
that the Owens Valley PM10 NA presented one of the most 
challenging air quality problems nationally, requiring a reduction of 
PM10 concentrations from almost 4000 [mu]g/m\3\ to the 24-
hour NAAQS of 150 [mu]g/m\3\. The EPA also recognized that while the 
origin of the PM10 problem was well understood--the draining 
of Owens Lake by the City of Los Angeles in the early part of this 
century and continued LADWP withdrawals from the Owens River--the 
solution to the problem remained controversial.\17\ The EPA's 
evaluation of the 1998 PM10 Plan noted the unique 
complexities of the Owens Valley PM10 planning process, 
including the competing authorities and responsibilities of the GBUAPCD 
to protect Owens Valley residents from the harmful effects of air 
pollution and those of the City of Los Angeles to provide its residents 
with an adequate water supply.\18\
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    \16\ 64 FR 48305.
    \17\ 64 FR 34173 at 34174.
    \18\ Id.
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    Historically, there have been significant disputes between the 
GBUAPCD and the City of Los Angeles concerning the appropriateness, 
location, and extent of control measures to reduce PM10 
emissions from the Owens Lake bed and surrounding areas, which 
interfered with the adoption of a fully approvable plan. The legal 
history between the GBUAPCD and the City of Los Angeles is described in 
some detail in the EPA's proposed approval of the 1998 PM10 
Plan and in the 2016 PM10 Plan.\19\ In summary, California 
legislation followed by litigation in state and federal courts resulted 
in a series of agreements requiring the City of Los Angeles to 
implement a variety of control measures to mitigate PM10 
emissions from the dry Owens Lake bed. The most recent iteration of 
these agreements, reached after extensive negotiations, is the 2014 
Stipulated Judgment between the City of Los Angeles and the 
GBUAPCD.\20\ It is our understanding that the 2014 Stipulated Judgment 
resolves all disputes between the District and the City of Los Angeles 
and it appears to clearly articulate the responsibilities of both 
parties, providing certainty and eliminating the risk of further 
litigation regarding the Owens Lake bed controls required for 
attainment and contingency measures. The 2014 Stipulated Judgment adds 
to and incorporates prior agreements between the parties and 
constitutes the foundation for the 2016 PM10 Plan that we 
are proposing to approve in this action.\21\
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    \19\ 2016 PM10 Plan, pp. 9-12.
    \20\ Id., Appendix II-1.
    \21\ Id., p.12 (``The judgment requires the City of Los Angeles 
to implement the dust control measures ordered in 2011 and 2012 and 
provides for additional dust control measures up to 53.4 square 
miles in total for all ordered dust control areas.'')
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    The EPA is proposing to approve the 2016 PM10 Plan 
because it meets the CAA requirements for Serious area plans. As was 
true of the 1998 PM10 Plan, this 2016 PM10 Plan 
is an important blueprint for clean air in one of the most unique and 
challenging PM10 nonattainment areas in the United 
States.\22\ Successful implementation will require continued joint 
efforts by the GBUAPCD and the City of Los Angeles.\23\
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    \22\ In 2016, the EPA bestowed its Clean Air Excellence Award 
for Regulatory and Policy Innovations on the GBUAPCD in recognition 
of the District's development of leading methods to identify 
pollution source areas, analyze particulate emissions, and determine 
suitable pollution control measures. The EPA noted the Owens Lake 
project constitutes the world's largest PM10 emission 
control project and has led to annual air pollution reductions of 
75,000 tons. See the EPA's Web site: https://www.epa.gov/caaac/clean-air-excellence-awards.
    \23\ In 2016, the EPA bestowed its Clean Air Excellence Award 
for Regulatory and Policy Innovations on the GBUAPCD in recognition 
of the District's development of leading methods to identify 
pollution source areas, analyze particulate emissions, and determine 
suitable pollution control measures. The EPA noted the Owens Lake 
project constitutes the world's largest PM10 emission 
control project and has led to annual air pollution reductions of 
75,000 tons. See the EPA's Web site: https://www.epa.gov/caaac/clean-air-excellence-awards.
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    The establishment of controls on the lake bed has resulted in 
significant improvements to air quality in the Owens Valley. Between 
1993 and 2014, the number of NAAQS exceedances decreased substantially 
at monitors located in the Owens Valley PM10 NA. For 
example, the peak three-year average number of exceedances at the Dirty 
Socks monitor declined from 41 to 9 in 2014, at the Keeler monitor from 
20 to 8, and at the Shell Cut monitor from 19 to 5.\24\ As shown in 
Table 1, the 2016 PM10 Plan demonstrates that 
PM10 design concentrations are predicted to be below the 
NAAQS when all required controls are implemented by the City of Los 
Angeles and the GBUAPCD.\25\ Through the continued efforts of the 
GBUAPCD and the City of Los Angeles, the 2016 PM10 Plan 
demonstrates attainment of the 24-hour PM10 NAAQS within the 
attainment year of 2017.
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    \24\ 2016 PM10 Plan, Appendix III-2, Table 1.
    \25\ Id., Table 7-5.

[[Page 89410]]



                              Table 1--Decline in Owens Valley PM10 Concentrations
                                                  [[mu]g/m\3\]
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                                                                                            Hybrid model 2017
                        Monitoring site                           July 2009-June 2014      design concentration
                                                                      maximum PM10             predictions
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Dirty Socks...................................................                    1,437                       93
Flat Rock.....................................................                      871                       94
Keeler........................................................                    2,994                       67
Lizard Tail...................................................                    4,571                      142
Mill Site.....................................................                      754                      125
North Beach...................................................                    1,536                       67
Olancha.......................................................                      779                       41
Shell Cut.....................................................                    2,149                      105
Stanley.......................................................                      286                       39
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Source: 2016 PM10 Plan, Tables 7-1 and 7-5.

C. Public Notice, Public Hearing, and Completeness Requirements for SIP 
Submittals

    CAA section 110(a)(1) and (2) and 110(l) require each state to 
provide reasonable public notice and opportunity for public hearing 
prior to the adoption and submission of a SIP or SIP revision to the 
EPA. To meet this requirement, every SIP submission should include 
evidence that adequate public notice was given and an opportunity for a 
public hearing was provided consistent with the EPA's implementing 
regulations in 40 CFR 51.102.
    Both the GBUAPCD and the California Air Resources Board (CARB) 
satisfied applicable statutory and regulatory requirements for 
reasonable public notice and hearing prior to adoption of the 2016 
PM10 Plan. The District provided a public comment period and 
conducted a public hearing on April 13, 2016, before its Board adopted 
the 2016 PM10 Plan.\26\ CARB provided the required public 
notice and opportunity for public comment prior to its May 19, 2016 
public hearing.\27\ The submission provides proof of publication of 
notices for the respective public hearings. We find, therefore, that 
the 2016 PM10 Plan meets the procedural requirements for 
public notice and hearing in CAA sections 110(a) and 110(l).
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    \26\ Id., Chapter 13--Declaration of Clerk of the Board and 
Resolutions Certifying the EIR and Approving the SIP.
    \27\ State of California Air Resources Board Resolution 16-3, 
May 19, 2016.
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    CAA section 110(k)(1)(B) requires the EPA to determine whether a 
SIP submission is complete within 60 days of receipt. This section of 
the CAA also provides that any plan that the EPA has not affirmatively 
determined to be complete will become complete by operation of law six 
months after the date of submission. The EPA's completeness criteria 
are found in 40 CFR part 51, Appendix V. The EPA determined the SIP 
submission dated June 9, 2016, to be complete on November 21, 2016.\28\
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    \28\ See letter from Elizabeth Adams, Acting Air Division 
Director, U.S. EPA Region 9 to Richard Corey, Executive Officer, 
California Air Resource Board.
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D. CAA Requirements for PM10 Serious Area Plans

    As a Serious PM10 nonattainment area that failed to meet 
its applicable attainment date of December 31, 2006, the Owens Valley 
PM10 NA is subject to CAA sections 188 and 189. Section 188 
establishes attainment dates for Serious PM10 nonattainment 
areas. However, when an area such as the Owens Valley PM10 
NA fails to attain the PM10 NAAQS within the time prescribed 
in section 188, a new attainment date may be approved. The new 
attainment date is established by section 179(d)(3), which establishes 
that the attainment date applicable to the revision required under 
paragraph (1) of section 179(d) shall be the same as provided in the 
provisions of section 172 of the CAA. That section of the statute 
requires the area attain as expeditiously as practicable, but no later 
than five years from the date of designation.\29\ It also includes a 
provision that allows the EPA to extend the attainment date for up to 
an additional five years (i.e., a period of no greater than 10 years) 
to the extent the Administrator determines appropriate, considering the 
severity of nonattainment and the availability and feasibility of 
pollution control measures.\30\
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    \29\ In accordance with CAA section 179(d)(3) and 172(a)(2)(A), 
the attainment deadline applicable to an area that misses the 
Serious area attainment date is as soon as practicable, but no later 
than five years from the publication date of the nonattainment 
finding notice. The EPA's finding that the Owens Valley 
PM10 NA failed to attain by the Serious area 
nonattainment date was published on June 6, 2007.
    \30\ 42 U.S.C. 7502(a)(2)(A). See also Ass'n of Irritated 
Residents v. United States EPA, 423 F.3d 989, 993-94 (9th Cir. 
2015).
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    Section 189(d) provides that the state shall submit within 12 
months after the applicable attainment date, plan revisions that 
provide for attainment of the PM10 air quality standard and, 
from the date of such submission until attainment, for an annual 
reduction of PM10 or PM10 precursor emissions 
within the area of not less than five percent of the amount of such 
emissions as reported in the most recent inventory prepared for the 
area.
    The general planning and control requirements for all nonattainment 
plans are found in CAA sections 110 and 172. More specific planning and 
control requirements relevant to the PM10 NAAQS are found in 
Part D, Subpart 4, in CAA sections 188 and 189, as noted above. The EPA 
has issued a General Preamble \31\ and Addendum to the General Preamble 
\32\ to provide guidance to states for meeting the CAA's requirements 
for the PM10 NAAQS. The General Preamble mainly addresses 
the requirements for moderate nonattainment areas and the Addendum 
addresses requirements for Serious nonattainment areas. The EPA has 
also issued other guidance documents related to PM10 plans 
that are discussed and cited below. The specific PM10 plan 
requirements addressed by this proposed action are summarized below.
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    \31\ ``State Implementation Plans; General Preamble for the 
Implementation of Title I of the Clean Air Act Amendments of 1990,'' 
57 FR 13498 (April 16, 1992) (General Preamble) and 57 FR 18070 
(April 28, 1992).
    \32\ ``State Implementation Plans for Serious PM10 
Nonattainment Areas, and Attainment Date Waivers for PM10 
Nonattainment Areas Generally; Addendum to the General Preamble for 
the Implementation of Title I of the Clean Air Act Amendments of 
1990,'' 59 FR 41998 (August 16, 1994) (Addendum).

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[[Page 89411]]

1. Emissions Inventories
    CAA section 172(c)(3) requires that an attainment plan include a 
comprehensive, accurate, and current inventory of actual emissions from 
all sources of the relevant pollutants.
2. Attainment Demonstration and Five Percent Requirement
    For Serious PM10 nonattainment areas that do not attain 
the PM10 NAAQS by the applicable attainment date, CAA 
section 189(d) requires the state to submit plan revisions that provide 
for attainment of the NAAQS and provide for an annual five percent 
reduction in PM10 or PM10 precursor emissions for 
each year from the date of submission until attainment.\33\ Section 
189(d) specifies that the state must submit these plan revisions within 
12 months of the applicable attainment date that the area failed to 
meet.
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    \33\ The EPA has previously determined that PM10 
precursors are not significant contributors to PM10 
levels in the Owens Valley PM10 NA. See 64 FR 34173 at 
34716 (June 25, 1999). In that rulemaking notice, the EPA noted that 
the contribution from secondary aerosols is insignificant. Inventory 
information submitted by the GBUAPCD in association with the 2016 
PM10 Plan also demonstrates that precursors do not 
contribute significantly to PM10 levels that exceed the 
standard. See section II.D.2.b of this notice.
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3. Best Available Control Measures for Sources of PM10
    CAA section 189(b)(1)(B) requires provisions to assure that BACM, 
including the best available control technology (BACT) for stationary 
sources, for the control of PM10 shall be implemented no 
later than four years after the date a nonattainment area is 
reclassified as Serious.
    When a Moderate area is reclassified to Serious, the requirements 
to implement reasonably available control measures (RACM), including 
such reductions in emissions from existing sources in the area as may 
be obtained through the adoption, at a minimum, of reasonably available 
control technology (RACT), in CAA sections 172(c)(1) and 189(a)(1)(C) 
remain applicable. Thus, a Serious area PM10 plan must also 
provide for the implementation of RACM and RACT to the extent that the 
RACM and RACT requirements have not been satisfied in the area's 
Moderate area plan.
    CAA section 189(e) requires that control requirements applicable to 
major stationary sources of PM10 shall also apply to major 
stationary sources of PM10 precursors, except where the 
Administrator determines that such sources do not contribute 
significantly to PM10 levels that exceed the standards in 
the area.
4. Reasonable Further Progress and Quantitative Milestones
    CAA section 172(c)(2) requires that implementation plans 
demonstrate reasonable further progress (RFP) as defined in section 
171(1). Section 171(1) defines RFP as such annual incremental 
reductions in emissions of the relevant air pollutant as are required 
by part D of title I or may reasonably be required by the Administrator 
for the purpose of ensuring attainment of the applicable national 
ambient air quality standard by the applicable date. The general RFP 
requirement of section 172(c)(2) applies to SIP submissions necessary 
to meet CAA section 189(d) for the PM10 NAAQS.
    In addition, CAA section 189(c)(1), which is specifically 
applicable to the PM10 NAAQS, requires that an 
implementation plan contain quantitative milestones that will be 
achieved every three years and that will demonstrate that RFP is being 
met.
5. Contingency Measures
    CAA section 172(c)(9) requires that implementation plans provide 
for the implementation of specific measures to be undertaken if the 
area fails to make RFP or to attain the NAAQS by the attainment date 
applicable under part D of title I. Such measures are to take effect in 
any such case without further action by the State or the Administrator. 
The contingency measure requirement of CAA section 179(c)(9) applies to 
the SIP submissions necessary to meet CAA section 189(d) for the 
PM10 NAAQS.
6. Transportation Conformity and Motor Vehicle Emissions Budgets
    Transportation conformity is required by CAA section 176(c). Our 
conformity rule (40 CFR part 93, subpart A) requires that 
transportation plans, programs, and projects conform to state air 
quality implementation plans and establishes the criteria and 
procedures for determining whether or not they do so. Conformity to a 
SIP means that transportation activities will not produce new air 
quality violations, worsen existing violations, or delay timely 
attainment of the NAAQS or any interim milestone. Once a SIP that 
contains motor vehicle emissions budgets has been submitted to the EPA, 
and the EPA has found them adequate, these budgets are used for 
determining conformity (i.e., emissions from planned transportation 
activities must be less than or equal to the budgets).

II. Evaluation of the Owens Valley PM10 Plan's Compliance 
With CAA Requirements

A. Review of the Owens Valley PM10 Nonattainment Area Emissions 
Inventories

    The 2016 PM10 Plan includes PM10 emissions 
inventories for the Owens Valley PM10 NA for the years 1999 
through 2019. For the most part, the emissions data presented in the 
Plan were derived from the CARB 2012 and 2015 emission inventories for 
Inyo County and apportioned to the Owens Valley PM10 NA 
using factors such as population, roadway miles, and land area.\34\ The 
GBUAPCD calculated fugitive windblown dust emissions using a 
combination of modeling and data collected at monitors located around 
the Owens Lake bed. The unpaved road dust emissions were calculated 
using the GBUAPCD's emission factors. These calculations are included 
in Tables 3 and 4 of Appendix IV-1 of the 2016 PM10 Plan.
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    \34\ An overview of the 2016 PM10 Plan emissions 
inventory is provided here. For detailed results and a complete 
discussion of the methodologies used to produce the emissions 
inventories, see the following sections of the 2016 PM10 
Plan: Summary, S.1; Chapter 4, ``PM10 Emissions Inventory 
and Determination of Significant Sources;'' and Appendix IV-1, 
``2016 SIP Inventory.''
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    The District has also provided an inventory of emissions of 
PM10 precursors (i.e., sulfur oxides, nitrogen oxides, 
volatile organic compounds, and ammonia) for a 2015 exceedance day.\35\ 
In this inventory, ammonia emission estimates ``were derived from Inyo 
County emissions that were queried from the USEPA's 2014 National 
Emissions Inventory.'' Estimates for the other precursors ``were 
derived from Inyo County emissions that were queried from the CARB 
CEPAM Standard Emissions Tool (2013 Almanac).'' In all cases, emissions 
were apportioned to the Owens Valley PM10 NA using various 
factors.\36\ The EPA previously determined that PM10 
precursors are not significant contributors to PM10 levels 
in the Owens Valley PM10 NA.\37\ At that time, the EPA noted 
that the contribution from secondary aerosols is insignificant. The EPA 
proposes to find again that precursors do not play a significant part 
in the PM10 problem in the Owens

[[Page 89412]]

Valley PM10 NA. We discuss this in more detail in Section 
II.D., below.
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    \35\ See attachment to letter from Phillip L. Kiddoo, Air 
Pollution Control Officer, GBUAPCD to Elizabeth Adams, Acting Air 
Division Director, U.S. EPA, Region 9, dated October 26, 2016.
    \36\ Id. The metrics used to ratio emissions from Inyo County to 
the Owens Valley PM10 NA are specified in the attachment.
    \37\ See 64 FR 34173 at 34716 (June 25, 1999).
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    The emissions inventories provided in the Plan show that fugitive 
dust emissions resulting from wind erosion on the exposed Owens Lake 
bed, off-lake deposits of lake bed dust such as the Keeler Dunes, and 
open desert are by far the largest sources of PM10 in the 
Owens Valley PM10 NA. Other, much smaller sources of 
windblown dust include small mining facilities and the Lone Pine 
Landfill. The remaining sources of PM10 within the Owens 
Valley PM10 NA include wood stoves, fireplaces, unpaved and 
paved road dust, and vehicle tailpipe emissions. The District also 
notes that prescribed burning is a source of PM10 in the 
nonattainment area. There are no large industrial sources of 
PM10 in the Owens Valley PM10 NA.
    The GBUAPCD also grouped emissions into three location-based 
categories: ``lake bed emissions,'' ``near-lake emissions,'' and 
``remaining Owens Valley NA emissions.'' Emissions originating from the 
lake bed are included in the lake bed category. The near-lake category 
consists of emissions generated within a two-kilometer zone surrounding 
the lake bed and includes fugitive windblown dust emissions from paved 
and unpaved roads and open desert, emissions from other sources within 
two kilometers of the lake bed such as the Lone Pine Dump, and the 
Keeler and Olancha dunes. Emissions generated outside the two-kilometer 
zone are grouped in the remaining Owens Lake NA emissions category. The 
``Owens Lake Subarea'' encompasses the lake bed and the near-lake 
emissions. Emissions from unpaved roads and open desert areas generated 
within the two-kilometer zone surrounding the lake were used in the 
District's analysis of which sources contribute significantly to 
nonattainment, thereby allowing the District to factor in the impact of 
the distance between emission sources and affected monitors.
    Table 2 provides a summary of the annual emissions forecast for all 
PM10 emission source categories in the Owens Valley 
PM10 NA for 2006, 2007, and for 2016 through 2019 (tons per 
year).
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    \38\ Values presented represent the emissions at the end of the 
calendar year, after all scheduled controls are in place.
    \39\ Includes PM10 emissions from Lone Pine Landfill, 
which equal on average approximately 60 tons per year.
    \40\ Emissions assumed constant over time.
    \41\ Miscellaneous sources include: Manufacturing and 
industrial, service and commercial, mineral processes, metal 
processes, residential fuel combustion, construction and demolition, 
paved and unpaved road dust (activity related), windblown dust from 
agricultural lands, managed burning and disposal, on-road mobile, 
and wildfires.

                                                  Table 2--Summary of PM10 Annual Emissions in the OVPA
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                        Near-lake emissions            Remaining Owens Valley NA emissions
                                                              ------------------------------------------------------------------------------
                                                    Lake bed                                           Windblown
                  Year end \38\                    emissions      Keeler      Olancha    2-km buffer      dust      Windblown      Misc.        Total
                                                                  Dunes        Dunes      (excluding    unpaved     dust open     sources
                                                                                         dunes) \39\     roads     desert \40\      \41\
--------------------------------------------------------------------------------------------------------------------------------------------------------
2006............................................          789        5,324        6,395        4,217          416       19,617          854       37,613
2007............................................        7,448        4,476        5,011        3,143          416       19,617          854       40,964
2016............................................        1,222          172        1,506        1,358          416       19,617          747       25,038
2017............................................          355           41        1,093        1,180          416       19,617          747       23,450
2018............................................          355           41          798        1,053          416       19,617          747       23,027
2019............................................          355           41          586          962          416       19,617          750       22,726
--------------------------------------------------------------------------------------------------------------------------------------------------------
Source: 2016 PM10 Plan, Table 4-3.

    The EPA is proposing to find that the 2016 PM10 Plan's 
emissions inventories for 2006 through 2019 are comprehensive, 
accurate, and current inventories of actual emissions from all sources 
in the Owens Valley PM10 NA and that these emissions 
inventories meet the requirements of section 172(c)(3) of the CAA and 
EPA guidance.\42\ The GBUAPCD has provided a 2006 base year and future 
year emissions inventories to 2019, comprehensively addressing all 
source categories in the Owens Valley PM10 NA. Consequently, 
we are proposing to find that the emissions inventories provided by the 
GBUAPCD meet the requirements of section 172(c)(3) and provide an 
adequate basis for the attainment demonstration as well as for the BACM 
and RFP demonstrations.
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    \42\ Emissions Inventory Guidance for Implementation of Ozone 
and Particulate Matter National Ambient Air Quality Standards 
(NAAQS) and Regional Haze Regulations. U.S. EPA, September 29, 2016 
(draft).
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B. Demonstration of Attainment

    The 2016 PM10 Plan must provide a detailed demonstration 
(including air quality modeling) that the specified control strategy 
will reduce PM10 emissions so that the 24-hour NAAQS will be 
attained as soon as practicable but no later than June 6, 2017, 
assuming final approval of the attainment deadline extension discussed 
above. CAA section 189(b)(1)(A).
1. Attainment Deadline
    In 2007, the EPA notified the GBUAPCD that it had failed to attain 
the PM10 NAAQS by the attainment date at the end of 
2006.\43\ The GBUAPCD has requested that the EPA extend the attainment 
date for the Owens Valley PM10 NA for an additional 10 
years.\44\ The EPA is proposing to approve the requested attainment 
date extension because, considering the severity of nonattainment and 
the availability and feasibility of pollution control measures, the EPA 
believes such an extension to June 6, 2017 is warranted based on 
various factors, including the following.
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    \43\ See 72 FR 31183 (June 6, 2007).
    \44\ As discussed above, CAA section 188 and 179 allow up to a 
10-year extension of the attainment date after the EPA issues a 
finding that a Serious PM10 nonattainment area has failed 
to attain the NAAQS. CAA section 172(a) authorizes the EPA to extend 
the attainment deadline to the extent it deems appropriate for a 
period of no greater than 10 years from the publication of the 
nonattainment finding, considering the severity of nonattainment and 
the availability and feasibility of pollution control measure.
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    First, the EPA acknowledges the severity of the PM10 
problem. As discussed above, prior to the application of controls, the 
Owens Valley PM10 NA experienced dust storms of 
unprecedented magnitude that originated from the dry Owens Lake bed 
under certain meteorological conditions. The magnitude of these dust 
storms from the dry lake bed were unique within California and the 
United States.
    Second, the factors creating the dry Owens Lake bed, specifically 
the diversion of water in the early 20th century to the City of Los 
Angeles, resulted in complex legal and technical

[[Page 89413]]

agreements for installation of control measures that were untested in 
kind and scope. Since approval of the 1998 PM10 Plan, the 
GBUAPCD and City of Los Angeles have worked consistently to refine and 
optimize the complex set of control measures leading to substantial 
reductions of PM10 from the dry Owens Lake bed and 
surrounding near-lake sources. The culmination of decades of work on 
this problem by the GBUAPCD and the City of Los Angeles is the 
Stipulated Judgment leading to the District's adoption and the EPA's 
approval of Rule 433 into the SIP in 2016.\45\ Rule 433 will ensure 
that the mitigation measures leading to the final reductions in 
PM10 will occur and lead to attainment of the NAAQS.
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    \45\ Because some of the controls required in the 2016 
PM10 Plan are required to be installed prior the end of 
2017, this leaves open the possibility that some of the required 
controls will not be completed by June of 2017. We do not believe 
this will be an impediment to reaching attainment due to the 
seasonal nature of PM10 emissions in the Owens Lake NA, 
which are generally elevated in the winter and spring months.
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    For these reasons, the EPA concurs that an extension of the 
attainment deadline to June 6, 2017 is warranted.
2. PM10 Attainment Demonstration Approaches
    A key part of a PM10 attainment plan is the attainment 
demonstration. This is a demonstration by the state that the existing 
and planned emission control measures, in this case, the controls that 
have been incorporated into Rule 433 and the Keeler Dunes Project, are 
sufficient to result in attainment of the PM10 NAAQS by the 
required attainment date (i.e., 2017). Under CAA section 189(b)(1)(A), 
the attainment demonstration for a Serious nonattainment area must 
include air quality modeling. Please see the EPA's accompanying 
Technical Support Document (TSD), located in the docket for this 
action, for our detailed analysis of the air quality modeling 
supporting the District's demonstration of attainment. In summary, the 
EPA's preferred PM10 attainment demonstration approach is 
dispersion modeling, with receptor modeling or emissions inventory 
approaches as adjuncts. However, emissions from fugitive dust sources 
such as the dry Owens Lake bed are uncertain and variable in comparison 
with the typical industrial point sources to which dispersion modeling 
is usually applied. Also, in a fugitive dust-dominated area there are 
few if any chemical differences between the various emitting source 
regions within the area, so receptor modeling is of limited use. 
Therefore, emissions inventory-based modeling approaches have been used 
in fugitive dust and other PM10 nonattainment areas. These 
include the ``rollback'' of monitored concentrations in proportion to 
emissions, sometimes in conjunction with a dispersion model in order to 
account for the spatial and temporal variation of emissions and their 
various distances from the monitor(s). In all of the approaches, 
projected emissions reductions due to control measures are applied to 
the emission source contributions, and attainment is demonstrated if 
the resulting concentrations are below the NAAQS.\46\
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    \46\ Monitored concentrations meet the 24-hour PM10 
NAAQS when the ``design value,'' the expected number of daily 
exceedances of the NAAQS level of 150 [mu]g/m\3\, is no more than 
one per year, 40 CFR 50.6. However, for a modeled attainment 
demonstration, when five years of meteorology are modeled, the 6th 
highest concentration is used as the ``design concentration'' to 
compare to the NAAQS level; at most five exceedances of that level 
are acceptable for attainment, one per modeled year. Guideline on 
Air Quality Models, 40 CFR 51 Appendix W, section 7.2.1.1, ``Design 
Concentrations for SO2, PM10, CO, Pb, and 
NO2'' The design concentration is sometimes referred to 
as the ``design value,'' but strictly speaking, the PM10 
design value is the expected number of exceedances per year.
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3. Modeling in Submittal
    The District used a hybrid modeling approach combining the CALPUFF 
(``California Puff'') dispersion model \47\ with a monitored component. 
CALPUFF is used to model the effect of emissions from sources on the 
Owens Lake bed and the Keeler Dunes. The monitored component is used to 
represent the effect of other sources off the lake bed (``out-of-
network''), which are not otherwise included in the CALPUFF modeling; 
it is a time-varying background concentration that declines over time 
as lake bed emissions are controlled. The District's hybrid model and 
its inputs are discussed in more detail in our TSD.
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    \47\ Model code and documentation are available at no cost for 
download from http://www.src.com/calpuff/calpuff1.htm.
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    The District's model performance evaluation \48\ of the hybrid 
model, which checked model predictions against monitored observations 
during the five-year period of July 2009 to June 2014, showed a high 
correlation between them and acceptable model performance.
---------------------------------------------------------------------------

    \48\ 2016 PM10 Plan, Appendix VII-1: Air Quality 
Modeling Report, sec. 5.
---------------------------------------------------------------------------

    The attainment demonstration also examined the effect of the 
controls through implementation of Rule 433 and controls on the Keeler 
Dunes that would be in place by the end of 2017, the attainment year. 
Each of the five meteorology years was modeled, and for a given 
receptor the highest sixth-high concentration taken as the design 
concentration. The design concentration results for each monitor site 
for 2014 through 2019 are shown in Table 7-5 of the 2016 
PM10 Plan. For 2017, the highest design concentration is 142 
[mu]g/m\3\ and all concentrations are less than 150 [mu]g/m\3\, 
demonstrating attainment of the PM10 NAAQS.
4. Evaluation of Modeled Attainment Demonstration
    The dry Owens Lake bed presents a unique situation for which 
unconventional modeling approaches may be appropriate. The EPA has 
consulted with the District and CARB on the modeling approach numerous 
times over the past decade, including during the year prior to the 
current Plan submittal. As discussed in detail in our TSD and in the 
summary below, the District's air quality modeling analysis is 
appropriate for this area.
a. Model Emissions Input
    The District's Dust Identification (ID) Program, described in 
detail in the TSD, provides estimates of PM10 emissions 
based on real-time measurements at numerous locations. It provides a 
level of detail and accuracy that is unique, and is a considerable 
refinement over standard emission factors, and even over locale-
specific emission factors that account for soil type and wind speed. It 
provides a strong foundation for the emission estimates needed for a 
modeled attainment demonstration.
b. Model Choice
    The District's method for estimating PM10 emission 
factors (i.e., back-calculation from monitored concentrations, also 
discussed in detail in the TSD), depends on good characterization of 
source-receptor relationships (emitting source square and monitor 
receptor) to determine which particular emitting areas are contributing 
to a given monitored concentration. A Lagrangian puff model like 
CALPUFF, which allows PM10 emissions to follow a realistic 
curved trajectory between the source area and the monitor and allows 
different wind direction to vary by location at any given time, is 
appropriate for this demonstration. CALPUFF is preferable to a steady-
state Gaussian model like AERMOD, which has ``straight-line'' 
trajectories along a single wind direction within any given hour for 
all sources.

[[Page 89414]]

c. Modeling Domain and Background Concentration
    The District's monitoring and modeling network is focused on the 
lake bed and the immediately surrounding area. In order for the 
attainment demonstration to account for all the PM10 
emission sources contributing to NAAQS violations, off-lake sources 
must be adequately represented in the background concentration that is 
added to the model prediction. The District's procedure for determining 
background concentration is discussed in detail in the TSD. The EPA 
finds the District's reasoning and supporting documentation for the 
assumptions convincing.
d. Modeling Receptors
    By default, a grid of model receptors is used to cover much of a 
nonattainment area, to ensure that the NAAQS is attained everywhere in 
the area. In the 2016 PM10 Plan, receptors are placed only 
along the lake bed shoreline, and further, only at monitor locations. 
As stated in the 2016 PM10 Plan, the monitoring sites were 
chosen to be downwind of the largest PM10 source areas, i.e. 
the lake bed, and so are representative of the highest expected 
impacts.\49\ Because concentrations necessarily decline with distance 
from a non-buoyant source like fugitive dust, the EPA agrees that the 
highest PM10 concentrations would be expected at the 
shoreline.
---------------------------------------------------------------------------

    \49\ Id., p. 62 sec.7.1.
---------------------------------------------------------------------------

5. The EPA's Proposed Action
    In summary, the attainment demonstration is based on a unique 
modeling approach that incorporates real-world measurements and is 
well-suited to the special conditions at Owens Lake. The EPA is 
proposing to find that the attainment demonstration in the 2016 
PM10 Plan is approvable.

C. Five Percent Requirement

    Section 189(d) of the CAA requires a state with a Serious 
PM10 nonattainment area that fails to attain the 
PM10 NAAQS by the applicable attainment deadlines to submit 
within 12 months after the attainment applicable attainment date, a 
plan showing an annual five percent reduction in emissions of 
PM10 in the area from the date of the submission until 
attainment, based on the most recent inventory.
    Table 4-3 in the 2016 PM10 Plan provides a summary of 
the annual emissions forecast for sources of emissions in the 
nonattainment area for the years 1999 through 2019. The inventory 
values are derived using a combination of modeling data, monitoring 
results, CARB emissions inventories and control measure 
efficiencies.\50\
---------------------------------------------------------------------------

    \50\ Id., at 34-35.
---------------------------------------------------------------------------

    The 2016 PM10 Plan includes a demonstration of annual 
five percent reductions in Chapter 8. As noted, fugitive windblown 
emissions, ``which are tied to meteorology and are highly irregular 
year-to-year,'' \51\ account for most of the emissions in the Owens 
Valley PM10 NA.\52\ To accommodate this variability for a 
more stable and realistic assessment of reductions, the District used a 
three-year rolling average to calculate the annual reductions. Using 
average annual emissions from 2005-2007 (62,734 tpy) as the starting 
point for the required five percent per year reductions, the District 
is required to reduce emissions by 31,367 tons per year by the 
attainment year (2017) to 32,367 tons per year. The GBUAPCD projects 
three-year annual average emissions in 2017 to be 24,783 tons per year, 
which exceeds the required amount of required reductions by 7,584 tons 
per year. Figure 8-1 in the 2016 PM10 Plan illustrates 
emissions trends for various sources in the nonattainment area from 
1999 through 2019 along with the three-year average total, and compares 
these values with a five percent reduction line.\53\
---------------------------------------------------------------------------

    \51\ For example, emissions totaled 109,635 tons in 2005, 
dropped to 37,613 tons in 2006, then rose to 73,999 tons in 2009 
before beginning to consistently decline. Emissions in 2010 totaled 
70,343 tons and by 2017 when attainment will be reached, emissions 
are projected to be 23,450 tons per year. 2016 PM10 Plan, 
Table 4-3.
    \52\ Id., p. 81.
    \53\ The EPA believes the use of 2007 as the baseline for five 
percent reductions is reasonable and consistent with Congress' 
intent. Section 189(d) states that plans are due within 12 months of 
the missed attainment deadline and that the plans should provide for 
annual five percent reductions from the date of the submission until 
attainment. The attainment deadline for the Owens Valley 
PM10 NA was December 31, 2006. 64 FR 48305 (September 3, 
1999). Accordingly, a submittal to fulfill section 189(d) was due by 
December 31, 2007. Arguably, some of the reductions in the RFP 
demonstration occurred outside the literal time frame specified by 
Congress (i.e., ``the date of the submission'' of the Plan) because 
the 2016 PM10 Plan was not submitted until June 9, 2016. 
The EPA believes that it is appropriate and consistent with 
Congress's intent for expeditious attainment of the NAAQS that we 
consider reductions that occurred prior to the submittal of the 2016 
PM10 Plan.
---------------------------------------------------------------------------

    Although annual emissions increase in the first few years of the 
planning period, a steady decline begins in 2009.\54\ The average 
emissions reductions catch up with the five percent per year reduction 
target in 2013, and subsequently exceed the required reductions beyond 
the projected attainment year. The EPA recognizes the unprecedented 
challenges faced by the District in achieving this target. In light of 
the unique nature of the source of emissions in the Owens Valley 
PM10 NA, the groundbreaking technical efforts needed to 
characterize and control emissions from the lake bed, and the 
unavoidable delays in implementing controls on the lake bed caused by 
litigation, and in recognition of the achievement of reductions beyond 
those required under CAA section 189(d) after 2013, we are proposing to 
approve the five percent demonstration in the 2016 PM10 
Plan.
---------------------------------------------------------------------------

    \54\ The District notes that a substantial portion of the total 
reductions achieved beginning in 2006 and forecast through 2017 
occur from 2010 to 2014 with the implementation of the 2008 SIP 
Control Areas and Phase 8 Control Area, which are described in 
Sections 6.2.1.4 and 6.2.1.5 of the Plan. 2016 PM10 Plan, 
p. 85.
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D. BACM/BACT and Adopted Control Strategy

1. Background
    Section 189(b)(1)(B) of the CAA requires areas designated as 
Serious nonattainment for PM10 to implement BACM and BACT 
\55\ on all significant sources of direct PM10 and 
PM10 precursors. The CAA does not define a BACM-level of 
control for specific sources. In our guidance for Serious 
PM10 nonattainment area plans, the EPA defined BACM to be, 
among other things, the maximum degree of emission reduction achievable 
from a source or source category which is determined on a case-by-case 
basis, considering energy, economic and environmental impacts.\56\ 
Consistent with the General Preamble Addendum, a BACM analysis should 
include the following elements for the Owens Valley PM10 NA:

    \55\ BACT, which applies to stationary sources, is a subset of 
BACM.
    \56\ See 59 FR 41998, 42010 (August 16, 1994).
---------------------------------------------------------------------------

     Preparation of an inventory of PM10 sources;
     Identification of source categories having a greater than 
de minimis impact on ambient PM10 concentrations;
     Comparative analysis of the controls implemented in the 
Owens Valley PM10 NA and BACM in other Serious nonattainment 
areas for significant source categories; and
     Evaluation of reducing emissions from a particular source 
category and costs associated with controls.
2. Analysis
    The GBUAPCD BACM analysis, which addresses the four elements 
described in the General Preamble Addendum,\57\ is summarized below. 
The GBUAPCD's Rule 433 contains the BACM control measures for the Owens

[[Page 89415]]

Lake bed. The EPA approved Rule 433 into the SIP on November 10, 
2016.\58\ In addition, the GBUAPCD is directly implementing controls at 
the Keeler Dunes as discussed further below.
---------------------------------------------------------------------------

    \57\ 2016 PM10 Plan, page 38.
    \58\ Acting Regional Administrator Alexis Strauss signed the 
EPA's final action approving Rule 433 on November 10, 2016. It will 
be published in the Federal Register in the near future.
---------------------------------------------------------------------------

a. Inventory
    The emissions inventories included in the 2016 PM10 Plan 
and in additional information submitted on October 26, 2016 are 
summarized and evaluated in section II.A, above. As noted previously, 
the EPA is proposing to find that the 2016 PM10 Plan's 
emissions inventories for 2006 through 2019 are comprehensive, 
accurate, and current inventories of actual emissions from all sources 
in the Owens Valley PM10 NA and that these emissions 
inventories meet the requirements of Section 172(c)(3) of the CAA and 
the EPA.
b. Identification of Source Categories
    The General Preamble Addendum provides that BACM are required for 
all categories of sources in Serious areas unless the State adequately 
demonstrates a particular source category does not contribute 
significantly to nonattainment of the NAAQS. A source category is 
presumed to contribute significantly to a violation of the 24-hour 
PM10 NAAQS if its PM10 impact at the location of 
expected violation would exceed 5 [mu]g/m\3\.\59\
---------------------------------------------------------------------------

    \59\ 59 FR 41998, 42011.
---------------------------------------------------------------------------

    To determine which sources contribute significantly to 
PM10 violations and are therefore subject to BACM level 
controls, the GBUAPCD selected a day on which measured levels of 
particulate approached the level of the standard and the predominant 
source of emissions was characterized as ``non-lake.'' The District 
noted that its choice is conservative because it ``produces a small de 
minimis emissions level and makes it feasible for non-lake sources to 
be considered significant.'' \60\ By dividing the threshold value for a 
significant contribution (i.e., 5 [mu]g/m\3\) by ambient level of 
PM10 on the chosen day (150.1 [mu]g/m\3\), Great Basin 
calculated a de minimis factor of 3.33 percent.
---------------------------------------------------------------------------

    \60\ 2016 PM10 Plan, page S-3.
---------------------------------------------------------------------------

    The GBUAPCD provided an inventory of sources of precursor emissions 
that we used to determine if sources of precursors contribute 
significantly to ambient levels of PM10 exceeding the 
standard in the Owens Valley PM10 NA. Because of the gaseous 
nature of precursor emissions, these compounds would have the potential 
for long distance transport, so emissions from the entire nonattainment 
area are considered. Adding together emissions of PM10 from 
within the near-lake area on a near exceedance day and precursor 
emissions from throughout the nonattainment area results in a total of 
535.37 tons per day of emissions. Multiplying this number by 3.33 
percent yields a de minimis threshold of 17.8 tons per day.
    In determining whether sources of precursors contribute 
significantly to PM10 levels, we made two conservative 
assumptions. First, we assumed that all precursor emissions would 
result in the formation of PM10. Second, we compared the 
total emissions for all precursors (i.e., 4.7 tons per day), rather 
than emissions of each precursor from each source category, to the de 
minimis threshold of 17.8 tons per day. Given total precursor emissions 
are far below the de minimis threshold, we conclude precursors do not 
contribute significantly to PM10 levels in the Owens Valley.
    To determine which sources of direct PM10 are 
significant, the District multiplied the near-exceedance day 
PM10 emissions inventory (530.65 tons per day \61\) by the 
de minimis factor, yielding a de minimis emissions threshold of 17.7 
tons per day.\62\
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    \61\ This number does not include precursor emissions, which is 
acceptable because precursors do not significantly contribute and 
excluding precursor emissions results in a slightly lower (more 
conservative) threshold for significance.
    \62\ 2016 PM10 Plan, p. 4.
---------------------------------------------------------------------------

    Table 3 below summarizes the sources of PM10 emissions 
in the Owens Lake subarea, on the analyzed day.\63\
---------------------------------------------------------------------------

    \63\ The GBUAPCD notes that ``monitoring and modeling analyses 
indicate that emissions from off-lake sources more than two 
kilometers away do not have an impact on achieving attainment'' and 
cites a similar approach taken in the ``Five Percent Plan for 
PM10 for the Maricopa County Nonattainment Area.'' Id. 
Page 56.

      Table 3--PM10 Exceedance Day Inventory for Owens Lake Subarea
                              [2 km buffer]
------------------------------------------------------------------------
                                                        2015  (tons per
                       Category                            day) \64\
------------------------------------------------------------------------
Fugitive Windblown Dust from Exposed Lake Beds.......              45.30
Fugitive Windblown Dust from Keeler Dunes............             169.20
Fugitive Windblown Dust from Olancha Dunes...........             312.00
Other sources within the Owens Lake Subarea,                        4.15
 including mineral processing, paved and unpaved road
 dust, and the Lone Pine Landfill \65\...............
                                                      ------------------
    Total............................................             530.65
------------------------------------------------------------------------

    Using the 17.7 tons per day threshold, the GBUAPCD identified three 
significant PM10 source categories in the OVPA:
---------------------------------------------------------------------------

    \64\ Id. Table S-2.
    \65\ BACT, which applies to stationary sources, is generally not 
applicable within the Owens Valley PM10 NA where all 
PM10 sources except for wind erosion from the dry Owens 
Lake bed and the dune systems are de minimis.
---------------------------------------------------------------------------

     Fugitive windblown dust from exposed lake bed.
     Fugitive windblown dust from Keeler Dunes.
     Fugitive windblown dust from Olancha Dunes.
    Based on this analysis, the District focused its BACM demonstration 
on the controls required on the lake bed and on the Keeler Dunes.\66\ 
According to the GBUAPCD, the Olancha dunes are primarily natural. If 
PM10 violations are attributed to these dunes, the 
violations will be treated as natural events and a Natural Events 
Action Plan will be developed and implemented in accordance with the 
EPA's guidance and rules on Exceptional Events.\67\ Further, emissions 
from the Olancha Dunes are expected to be reduced by

[[Page 89416]]

about 2090 tons per year as the result of lake bed controls, which will 
reduce sand migration from nearby areas and allow redeposited lake bed 
particulate to winnow away until emissions are those of a natural dune 
system.\68\
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    \66\ The GBUAPCD has investigated the history and morphology of 
the Keeler Dunes and determined that the drying of the Owens Lake 
bed resulted in the expansion of the pre-existing, natural dune 
area. 2016 PM10 Plan, page 61.
    \67\ Id. See Appendix V-1, ``OVPA 2016 SIP BACM Assessment,'' 
Appendix E, ``2013 GBUAPCD Board Order No. 130916-01,'' p. 7.
    \68\ Id., pp. 34 and 56.
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c. Comparative Analysis
    To fulfill the requirement for a comparative analysis, the GBUAPCD 
searched for requirements for analogous lake bed and dune sources in 
other PM10 nonattainment areas including Imperial County, 
the San Joaquin Valley, Maricopa County (Phoenix area), the South 
Coast, and Clark County (Las Vegas area). However, the District was 
unable to identify any analogous active controls for these kinds of 
sources in other areas. The District concludes that ``these measures 
are unique in the US and are, by definition, the most stringent 
requirements for these sources.'' \69\ A description of the lake bed 
and dune controls follows.
---------------------------------------------------------------------------

    \69\ Id. See Appendix V-1, ``OVPA 2016 SIP BACM Assessment,'' p. 
22.
---------------------------------------------------------------------------

i. Lake Bed Controls
    Lake bed controls are set forth in the GBUAPCD's Rule 433, which is 
included in the 2016 PM10 Plan. The EPA has approved Rule 
433 into the SIP in a separate action.\70\ Rule 433 requires the 
control measures described in Chapter 6 of the 2016 PM10 
Plan and summarized in our TSD to be implemented by the City of Los 
Angeles on various portions of the dry Owens Lake bed.\71\ In brief, 
Rule 433 requires the City of Los Angeles to conduct shallow flooding 
through application of water, install managed vegetation or a gravel 
blanket, or in some cases use tillage with a brine back-up. These 
control measures typically result in a 99 to 100 percent control 
efficiency. Beginning in 2001, lake bed controls have been constructed 
in phases as modeling and empirical evidence have demonstrated the need 
for additional controls. Rule 433 requires ongoing implementation of 
previously established control requirements and includes an enforceable 
implementation schedule for the most recent phase of controls, with all 
controls in place in the attainment year of 2017.
---------------------------------------------------------------------------

    \70\ 81 FR 62849 (September 13, 2016); final approval signed 
November 10, 2016.
    \71\ For more detail on the Owens Lake bed controls, see Chapter 
6 of the 2016 PM10 Plan and our TSD. Some of these 
control measures are also described in our proposed approval of the 
1998 Plan (64 FR 34173, June 25, 1999).
---------------------------------------------------------------------------

ii. Dune Controls
    The District is in the process of implementing a dust control 
project on Keeler Dunes that involves the placement of approximately 
82,000 straw bales and planting of approximately 246,000 native 
shrubs.\72\ The goal of the project is to create a stable, non-
emissive, low-impact vegetated dune system that requires minimal 
resources to maintain. The placement of the straw bales was completed 
in 2015 and plantings are scheduled to be complete by the end of 2016. 
At full build-out, the GBUACPD projects the project will reduce 
PM10 emissions by approximately 95 percent and bring the 
community of Keeler into compliance with state and federal 
PM10 standards.\73\ Implementation of this project is made 
federally enforceable by approval of the 2016 PM10 Plan, 
which includes Resolution 2016-03 wherein the Governing Board of the 
GBUAPCD authorizes and commits the District to complete the Keeler 
Dunes Project as set forth in the Plan.
---------------------------------------------------------------------------

    \72\ As noted above, no additional active controls are 
anticipated for the Olancha Dunes.
    \73\ 2016 PM10 Plan, pp. 19 and 50-53
---------------------------------------------------------------------------

    In the context of its environmental review of the Keeler Dunes 
Project, the District considered alternatives for reducing the 
windblown dust from the Keeler Dunes, such as covering with geotextile 
fabric and gravel or excavation and removal of the dunes, but found 
them to be infeasible.\74\
---------------------------------------------------------------------------

    \74\ Id. See Appendix V-1, ``OVPA 2016 SIP BACM Assessment,'' 
pp. 16-17.
---------------------------------------------------------------------------

d. Evaluation of Reducing Emissions From Windblown Dust and Associated 
Costs
    The GBUAPCD estimated cost and emission impacts of the exposed lake 
bed and Keeler Dune controls as shown in Table 4 below:

         Table 4--Impact Analysis: Control Effectiveness, Cost Information, and Cost Effectiveness \75\
----------------------------------------------------------------------------------------------------------------
                                                                                                       Cost
  Source category (and windblown      Average annual          Control               Costs          effectiveness
          dust controls)             emissions (tons)      effectiveness                              (tons)
----------------------------------------------------------------------------------------------------------------
Dry Lake Bed (varied controls,     2006: 73,174; 2010:  Up to 99 percent     $145.8M                      $2,390
 including shallow flooding,        43,325; 2014:        depending on         (annualized) for
 gravel blanket, and managed        1,936                control and          2016 SIP.
 vegetation. See Rule 433.).                             location.
Off-Lake Dunes (straw bales and    3,309..............  95 percent based on  $700,000                        222
 re-vegetation).                                         straw bales with     (annualized) for
                                                         future shrub         straw bales and
                                                         establishment.       revegetation with
                                                                              watering.
----------------------------------------------------------------------------------------------------------------

3. EPA Evaluation and Proposed Action
    In the 2016 PM10 Plan, the GBUAPCD has provided 
documentation on Rule 433 and on the Keeler Dunes Project, quantifying 
the cost of construction, materials, operation, and maintenance, and 
examining other factors such as energy and environmental impacts. The 
EPA agrees that adequate time must be allowed to fully implement Rule 
433 successfully because the control measures in the Rule are uniquely 
vast in scale, materials, and required construction activity. Rule 433 
establishes an aggressive, phased, implementation schedule that we are 
proposing to find is as expeditious as practicable. We also find that 
the implementation schedule for the Keeler Dunes project is as 
expeditious as practicable.
---------------------------------------------------------------------------

    \75\ Id. See Appendix V-1, ``OVPA 2016 SIP BACM Assessment,'' p. 
21.
---------------------------------------------------------------------------

    The EPA concludes that the 2016 PM10 Plan demonstrates:
    (1) Wind erosion from the dry Owens Lake bed (and secondarily, from 
the Keeler Dunes, which have expanded as a result of redeposited 
particles transported from the dry lake bed \76\), is the predominant 
source of PM10 emissions that cause or contribute to 
PM10 violations in the Owens Valley PM10 NA and 
that applying BACM to

[[Page 89417]]

other source categories would not contribute significantly to achieving 
the NAAQS as expeditiously as practicable;
---------------------------------------------------------------------------

    \76\ Id., page 61.
---------------------------------------------------------------------------

    (2) Rule 433's control measures to reduce windblown dust from the 
dry Owens Lake bed and area immediately surrounding the bed of Owens 
Lake are unique and satisfy the requirement for BACM.
    (3) The goal of the Keeler Dunes Project is to create a stable 
self-sustaining low-impact vegetated dune system to reduce wind 
erosion. Implementation of these controls represents BACM since there 
are no analogous dust control projects or alternative controls for this 
type of source; and
    (4) No analogous source has been identified to support the economic 
and technological feasibility of any alternative or additional measures 
for the control of significant sources of wind erosion emissions in the 
Owens Valley PM10 NA.

E. Reasonable Further Progress/Quantitative Milestones

    CAA section 189(c) requires that PM10 nonattainment 
areas must include quantitative milestones that are to be achieved 
every three years and that show RFP toward attainment by the applicable 
attainment deadline. Quantitative milestones may be met in a variety of 
ways, including by establishing a percent implementation of various 
control strategies, by percent compliance with implemented control 
measures, or adherence to a compliance schedule.\77\ Prior to submittal 
of the 2016 PM10 Plan, lake bed controls were established 
that yielded significant emissions reductions, as reflected in the 
annual emissions inventory \78\ and illustrated in Figure 8-1 of the 
Plan. Unsurprisingly, given the variable nature of the emissions 
sources and the periodic delays due to disputed control measures, the 
decline is not linear; however, as noted previously, reductions 
sufficient to provide for attainment will be achieved within the 
required timeframe. Under the circumstances, we find that the progress 
achieved prior to the 2016 adoption of the Plan is reasonable.
---------------------------------------------------------------------------

    \77\ 59 FR 41998 at 42016.
    \78\ 2016 PM10 Plan, Table 4-3.
---------------------------------------------------------------------------

    The GBUAPCD's Rule 433 and the Keeler Dunes Project establish 
requirements for additional controls that will be completed in 2017 and 
that provide for additional emissions reductions. Under Rule 433, the 
City of Los Angeles must continue to implement all control measures 
that are already in place,\79\ and must implement Phase 9/10, which 
requires the control of an additional 3.62 square miles of the Owens 
Lake bed by December 31, 2017. These control requirements include 
enforceable schedules for implementation of the specified control 
measures, and the Plan includes quantification of the emissions 
reductions that will be achieved by implementation of the control 
measures.
---------------------------------------------------------------------------

    \79\ These areas consist of the 2003 Dust Control Area (29.8 
square miles), the 2006 Dust Control Area and Channel Area (13.2 
square miles), and the Phase 8 area (2.0 square miles).
---------------------------------------------------------------------------

    In its discussion of the requirement for quantitative milestone 
reports, the District noted that the remaining milestone for the 2016 
PM10 Plan is the completion of the Phase 9/10 dust controls, 
which are enforceable through Rule 433. In other words, the final 
quantitative milestone for the 2016 PM10 Plan is 100 percent 
implementation of the required controls. The GBUAPCD commits to 
submitting a report to the EPA by April 1, 2018, as required by Section 
189(c)(2) of the Act, that demonstrates RFP thorough the achievement of 
the December 31, 2017 quantitative milestone.
    The EPA proposes to approve the enforceable schedule in Rule 433 
and commitment for completion of the Keeler Dunes Project in 2016 as 
meeting the RFP requirements of CAA section 189(c).

F. Contingency Measures

    The CAA requires that the 2016 PM10 Plan include 
contingency measures to be implemented if the area fails to meet 
progress requirements or fails to attain the NAAQS by the applicable 
deadline. These contingency measures should take effect without 
requiring further action by the state or the EPA and should be fully 
implemented as expeditiously as practicable.\80\ Contingency measures 
should also provide for emissions reductions equivalent to one year's 
average increment of RFP.\81\
---------------------------------------------------------------------------

    \80\ 59 FR 41998 at 42015.
    \81\ Id.
---------------------------------------------------------------------------

    Because it is not possible to predict which areas of the lake bed 
may become emissive and cause a failure to meet progress requirements 
or to attain the NAAQS, Rule 433 requires the District to evaluate at 
least once per calendar year whether additional areas of the lake bed 
require controls. If the GBUAPCD determines that the Owens Valley 
PM10 NA has not met progress requirements or will not timely 
attain, Rule 433 requires the implementation of BACM control measures 
on up to an additional 4.78 square miles of the Owens Lake bed as 
expeditiously as practicable. The implementation of the contingency 
measure in Rule 433 does not require additional rulemaking actions or 
public hearings. The EPA has concluded, therefore, that the contingency 
measure included in the 2016 PM10 Plan through adopted Rule 
433 provides for the implementation of contingency measures as 
expeditiously as practicable.
    The GBUAPCD has demonstrated that the dry lake bed is the 
overwhelming contributor the exceedances of the PM10 NAAQS, 
both through PM10 originating directly from the lake bed, or 
from lake bed particles that have been deposited nearby, which then 
become a secondary source of particulate (e.g., the Keeler Dunes).\82\ 
Therefore, we have focused our analysis on the control of emissions 
emanating from the lake bed in assessing whether the contingency 
measure in the 2016 PM10 Plan provides a year's worth of 
average RFP increment.
---------------------------------------------------------------------------

    \82\ For additional discussion, see Chapter 7 of the 2016 
PM10 Plan and the attainment demonstration analysis in 
the TSD for this action.
---------------------------------------------------------------------------

    Determining the amount of emissions reductions needed for 
contingency measures (i.e., a year's worth of reductions) presents a 
unique challenge in the Owens Valley PM10 NA due to the 
nature of the lake bed and the meteorological influence on emissions, 
which leads to a degree of variability in annual emissions that is 
somewhat independent of the application of controls. For this reason, 
we have used the annual average area of the lake bed on which controls 
are required for the period of 2007 (the year the EPA made a finding of 
failure to attain) through 2017 (the attainment year) as a surrogate 
for the annual amount (tons) of emissions reductions required. This 
results in an annual average area of 1.8 square miles.\83\ Rule 433 
provides for the implementation of controls on an additional 4.78 
square miles of lake bed, which is more than double the annual average. 
We therefore conclude the contingency measure provisions in Rule 433 
satisfy the contingency measure requirements under CAA section 
172(c)(9).
---------------------------------------------------------------------------

    \83\ A total of 18.2 square miles will be controlled in 10-year 
period of 2007 through 2017 (the 2006 Dust Control and Channel Area 
encompasses 13.2 square miles; the Phase 8 Area encompasses 2.0 
square miles; the Phase 9/10 Area encompasses 3.62--the 
provisionally excluded Cultural Resource Areas encompass 
approximately 0.6 square miles).
---------------------------------------------------------------------------

G. Transportation Conformity

    Transportation conformity is required by CAA section 176(c). Our 
conformity rule (40 CFR part 93, subpart A) requires that 
transportation plans, programs, and

[[Page 89418]]

projects conform to state air quality implementation plans and 
establishes the criteria and procedures for determining whether or not 
they do so. Conformity to a SIP means that transportation activities 
will not produce new air quality violations, worsen existing 
violations, or delay timely attainment of the NAAQS or the timely 
achievement of interim milestones. However, if the EPA determines that 
a SIP demonstrates that motor vehicle emissions are an insignificant 
contributor to the air quality problem, states are not required to 
establish motor vehicle emissions budgets or perform a regional 
emissions analysis for transportation conformity purposes.\84\
---------------------------------------------------------------------------

    \84\ 40 CFR 93.109(f).
---------------------------------------------------------------------------

    In section 6.1.2 of the Plan, the GBUAPCD provides its argument for 
why motor vehicle emissions are insignificant contributors to the 
PM10 problem in the Owens Valley PM10 NA. First, 
the District noted that motor vehicle tailpipe emissions and re-
entrained roadway dust contribute just 1.4 percent of the 2016 
PM10 emissions. The District also observed that the State 
estimates the annual population growth (about 0.7 percent) and increase 
in vehicle miles traveled (about 1.2 percent annually) and argued that 
it is unlikely that ``these emissions would grow to such an extent as 
to cause a NAAQS violation in the future.'' Finally, the District 
pointed out the absence of measures in the SIP that control motor 
vehicle emissions. In light of these factors, the EPA concurs with the 
District's conclusion that motor vehicle emissions are insignificant 
contributors to the PM10 problem in the Owens Valley. 
Accordingly, the GBUAPCD is not required to establish motor vehicle 
budgets in this plan or to perform regional emissions analyses for 
transportation conformity.

III. Summary of the EPA's Proposed Action

    The EPA is proposing to approve the Serious area 2016 
PM10 Plan submitted by the State of California for the Owens 
Valley PM10 nonattainment area. Specifically, the EPA is 
proposing to approve the 2016 PM10 Plan with respect to the 
CAA requirements for public notice and involvement under section 
110(a)(1); emissions inventories under section 172(c)(3); the control 
measures in Rule 433 under section 110(k)(3), as meeting the 
requirements of sections 110(a) and 189(b)(1)(B); RFP and quantitative 
milestones under section 189(c); the contingency measure in Rule 433 
under section 172(c)(9); and demonstration of attainment under section 
189(b)(1)(A). The EPA is also proposing to approve the State's request 
for an extension of the attainment date to June 6, 2017 pursuant to CAA 
sections 188 and 179.

IV. Statutory and Executive Order Reviews

    Under the Clean Air Act, the Administrator is required to approve a 
SIP submission that complies with the provisions of the Act and 
applicable federal regulations. 42 U.S.C. 7410(k); 40 CFR 52.02(a). 
Thus, in reviewing SIP submissions, the EPA's role is to approve State 
choices, provided that they meet the criteria of the Clean Air Act. 
Accordingly, this proposed action merely proposes to approve State law 
as meeting federal requirements and does not impose additional 
requirements beyond those imposed by State law. For that reason, this 
proposed action:
     Is not a ``significant regulatory action'' subject to 
review by the Office of Management and Budget under Executive Order 
12866 (58 FR 51735, October 4, 1993);
     Does not impose an information collection burden under the 
provisions of the Paperwork Reduction Act (44 U.S.C. 3501 et seq.);
     Is certified as not having a significant economic impact 
on a substantial number of small entities under the Regulatory 
Flexibility Act (5 U.S.C. 601 et seq.);
     Does not contain any unfunded mandate or significantly or 
uniquely affect small governments, as described in the Unfunded 
Mandates Reform Act of 1995 (Pub. L. 104-4);
     Does not have Federalism implications as specified in 
Executive Order 13132 (64 FR 43255, August 10, 1999);
     Is not an economically significant regulatory action based 
on health or safety risks subject to Executive Order 13045 (62 FR 
19885, April 23, 1997);
     Is not a significant regulatory action subject to 
Executive Order 13211 (66 FR 28355, May 22, 2001);
     Is not subject to requirements of Section 12(d) of the 
National Technology Transfer and Advancement Act of 1995 (15 U.S.C. 272 
note) because application of those requirements would be inconsistent 
with the Clean Air Act; and
     Does not provide the EPA with the discretionary authority 
to address disproportionate human health or environmental effects with 
practical, appropriate, and legally permissible methods under Executive 
Order 12898 (59 FR 7629, February 16, 1994).
    In addition, the SIP is not approved to apply on any Indian 
reservation land or in any other area where the EPA or an Indian tribe 
has demonstrated that a tribe has jurisdiction. In those areas of 
Indian country, the rule does not have tribal implications and will not 
impose substantial direct costs on tribal governments or preempt tribal 
law as specified by Executive Order 13175 (65 FR 67249, November 9, 
2000). We intend to offer to consult with local tribes during the 
comment period.

List of Subjects in 40 CFR Part 52

    Environmental protection, Air pollution control, Incorporation by 
reference, Intergovernmental relations, Particulate matter, Reporting 
and recordkeeping requirements.

    Authority: 42 U.S.C. 7401 et seq.

    Dated: December 1, 2016.
Deborah Jordan,
Acting Regional Administrator, Region IX.
[FR Doc. 2016-29758 Filed 12-9-16; 8:45 am]
 BILLING CODE 6560-50-P



                                                                         Federal Register / Vol. 81, No. 238 / Monday, December 12, 2016 / Proposed Rules                                                     89407

                                                  respectively, and adding a new                            requirement, provided that the DEA                     exemption is subsequently denied by
                                                  paragraph (g)(1)(i) to read as follows:                   receives a properly completed                          the DEA must obtain a registration with
                                                                                                            application for registration or                        the DEA. A temporary exemption from
                                                  § 1310.04      Maintenance of records.
                                                                                                            application for exemption for a                        the registration requirement will also be
                                                  *      *     *      *   *                                 chemical mixture containing alpha-                     provided for those persons whose
                                                     (g) * * *                                              phenylacetoacetonitrile (APAAN) and                    applications for exemption are denied,
                                                     (1) * * *                                              its salts, optical isomers, and salts of               provided that the DEA receives a
                                                     (i) Alpha-phenylacetoacetonitrile and
                                                                                                            optical isomers, pursuant to Section                   properly completed application for
                                                  its salts, optical isomers, and salts of
                                                                                                            1310.13 of this part on or before (30                  registration on or before 30 days
                                                  optical isomers (APAAN)
                                                                                                            days after publication of a Final Rule                 following the date of official DEA
                                                  *      *     *      *   *                                 implementing regulations regarding                     notification that the application for
                                                  ■ 4. Amend § 1310.09 by adding new
                                                                                                            APAAN). The exemption will remain in                   exemption has been denied. The
                                                  paragraph (n) to read as follows:                         effect for each person who has made                    temporary exemption for such persons
                                                  § 1310.09 Temporary exemption from                        such application until the                             will remain in effect until the DEA takes
                                                  registration.                                             Administration has approved or denied                  final action on their registration
                                                  *      *     *      *   *                                 that application. This exemption applies               application.
                                                     (n)(1) Each person required under                      only to registration; all other chemical               ■ 5. Amend § 1310.12 paragraph (c) by
                                                  Sections 302 and 1007 of the Act (21                      control requirements set forth in the Act              adding in alphabetical order an entry
                                                  U.S.C. 822, 957) to obtain a registration                 and parts 1309, 1310, 1313, and 1316 of                ‘‘Alpha-phenylacetoacetonitrile, and its
                                                  to manufacture, distribute, import, or                    this chapter remain in full force and                  salts, optical isomers, and salts of
                                                  export regulated alpha-                                   effect.                                                optical isomers. (APAAN)’’ in the table
                                                  phenylacetoacetonitrile (APAAN) and                          (2) Any person who manufactures,                    ‘‘Table of Concentration Limits’’ to read
                                                  its salts, optical isomers, and salts of                  distributes, imports or exports a                      as follows:
                                                  optical isomers, including regulated                      chemical mixture containing alpha-
                                                  chemical mixtures pursuant to Section                     phenylacetoacetonitrile (APAAN) and                    § 1310.12   Exempt chemical mixtures.
                                                  1310.12 of this part, is temporarily                      its salts, optical isomers, and salts of               *       *    *        *      *
                                                  exempted from the registration                            optical isomers whose application for                      (c) * * *

                                                                                                                  TABLE OF CONCENTRATION LIMITS
                                                                                                                               DEA chemical                Concentration                     Special conditions
                                                                                                                                 code No.


                                                           *                     *                   *                                *                    *                         *                   *
                                                  Alpha-phenylacetoacetonitrile, and its salts, optical isomers,                          8512   Not exempt at any concentra-         Chemical mixtures containing
                                                    and salts of optical isomers. (APAAN).                                                         tion.                                any amount of APAAN are
                                                                                                                                                                                        not exempt.

                                                             *                        *                       *                       *                       *                      *                    *



                                                  *      *       *       *      *                           Great Basin Unified Air Pollution                      NAAQS and for an annual emission
                                                    Dated: December 2, 2016.                                Control District (GBUAPCD or                           reduction in PM10 of not less than five
                                                  Chuck Rosenberg,                                          ‘‘District’’) to meet Clean Air Act (CAA               percent until attainment of the PM10
                                                                                                            or ‘‘Act’’) requirements applicable to the             NAAQS. The EPA is proposing to
                                                  Acting Administrator.
                                                                                                            Owens Valley PM10 nonattainment area                   approve the 2016 PM10 Plan as meeting
                                                  [FR Doc. 2016–29523 Filed 12–9–16; 8:45 am]
                                                                                                            (NA). The Owens Valley PM10 NA is                      all relevant statutory and regulatory
                                                  BILLING CODE 4410–09–P                                                                                           requirements.
                                                                                                            located in the southern portion of the
                                                                                                            Owens Valley in Inyo County,
                                                                                                            California. It is classified as a Serious              DATES: Any comments on this proposal
                                                  ENVIRONMENTAL PROTECTION                                  nonattainment area for the national                    must arrive by January 11, 2017.
                                                  AGENCY                                                    ambient air quality standards (NAAQS)                  ADDRESSES:   Submit comments,
                                                                                                            for particulate matter of ten microns or               identified by docket number EPA–R09–
                                                  40 CFR Part 52
                                                                                                            less (PM10). The submitted SIP revision                OAR–2016–0660, at http://
                                                  [EPA–R09–OAR–2016–0660; FRL–9956–27–                      is the ‘‘Great Basin Unified Air                       www.regualtions.gov, or via email to
                                                  Region 9]                                                 Pollution Control District 2016 Owens                  Vagenas.Ginger@epa.gov. For comments
                                                                                                            Valley Planning Area PM10 State                        submitted at Regulations.gov, follow the
                                                  Approval of California Air Plan; Owens                    Implementation Plan’’ (‘‘2016 PM10                     online instructions for submitting
                                                  Valley Serious Area Plan for the 1987                     Plan’’ or ‘‘Plan’’). The GBUAPCD’s                     comments. Once submitted, comments
                                                  24-Hour PM10 Standard                                     obligation to submit the 2016 PM10 Plan                cannot be edited or removed from
srobinson on DSK5SPTVN1PROD with PROPOSALS




                                                  AGENCY:  Environmental Protection                         was triggered by the EPA’s 2007 finding                Regulations.gov. For either manner of
                                                  Agency (EPA).                                             that the Owens Valley PM10 NA had                      submission, the EPA may publish any
                                                  ACTION: Proposed rule.                                    failed to meet its December 31, 2006,                  comment received to its public docket.
                                                                                                            deadline to attain the PM10 NAAQS.                     Do not submit electronically any
                                                  SUMMARY:  The Environmental Protection                    The CAA requires a Serious PM10                        information you consider to be
                                                  Agency (EPA) is proposing to approve a                    nonattainment area that fails to meet its              Confidential Business Information (CBI)
                                                  state implementation plan (SIP) revision                  attainment deadline to submit a plan                   or other information whose disclosure is
                                                  submitted by the State of California and                  providing for attainment of the PM10                   restricted by statute. Multimedia


                                             VerDate Sep<11>2014     17:02 Dec 09, 2016   Jkt 241001   PO 00000    Frm 00011   Fmt 4702   Sfmt 4702   E:\FR\FM\12DEP1.SGM   12DEP1


                                                  89408                Federal Register / Vol. 81, No. 238 / Monday, December 12, 2016 / Proposed Rules

                                                  submissions (audio, video, etc.) must be                and people with asthma and heart                      CAA section 188(e) authorizes the EPA
                                                  accompanied by a written comment.                       conditions are the most vulnerable.                   to grant up to a 5-year extension of that
                                                  The written comment is considered the                      On July 1, 1987, the EPA revised the               attainment deadline if certain
                                                  official comment and should include                     health-based national ambient air                     conditions are met by the state. In order
                                                  discussion of all points you wish to                    quality standards, replacing the                      to obtain the extension, the state must
                                                  make. The EPA will generally not                        standards for total suspended                         make a SIP submission showing that: (1)
                                                  consider comments or comment                            particulates with new standards                       Attainment by the applicable attainment
                                                  contents located outside of the primary                 applying only to PM10.1 At that time, the             date would be impracticable; (2) the
                                                  submission (i.e., on the Web, cloud, or                 EPA established two PM10 standards,                   state complied with all requirements
                                                  other file sharing system). For                         annual and 24-hour. Effective December                and commitments pertaining to the area
                                                  additional submission methods, please                   18, 2006, the EPA revoked the annual                  in the implementation plan for the area;
                                                  contact the person identified in the FOR                PM10 standard but retained the 24-hour                and (3) the plan for the area includes the
                                                  FURTHER INFORMATION CONTACT section.                    PM10 standard.2 The 24-hour PM10                      most stringent measures (MSM) that are
                                                  For the EPA’s full public comment                       standard of 150 micrograms per cubic                  included in the implementation plan of
                                                  policy, information about CBI or                        meter (mg/m3) is attained when the                    any state or are achieved in practice in
                                                  multimedia submissions, and general                     expected number of days with a 24-hour                any state and can feasibly be
                                                  guidance on making effective                            average concentration above 150 mg/m3                 implemented in the specific area.
                                                  comments, please visit http://                          per calendar year averaged over a three-                 In its 1998 Owens Valley PM10 Plan
                                                  www2.epa.gov/dockets/commenting-                        year period, as determined in                         (submitted to the EPA on September 10,
                                                  epa-dockets.                                            accordance with appendix K to 40 CFR                  1998), California requested an
                                                                                                          part 50, is equal to or less than one.3               attainment date extension under CAA
                                                  FOR FURTHER INFORMATION CONTACT:
                                                                                                             On the date of enactment of the 1990               section 188(e) for the Owens Valley
                                                  Ginger Vagenas, EPA Region IX, 415–
                                                                                                          CAA Amendments, the Owens Valley                      PM10 NA from December 31, 2001 to
                                                  972–3964, Vagenas.Ginger@epa.gov.
                                                                                                          (along with many other areas meeting                  December 31, 2006. On September 3,
                                                  SUPPLEMENTARY INFORMATION:                              the qualifications of section 107(d)(4)(B)            1999, the EPA approved the Serious
                                                  Throughout this document, the terms                     of the amended Act) was designated                    area 1998 PM10 Plan for the Owens
                                                  ‘‘we,’’ ‘‘us,’’ and ‘‘our’’ mean EPA.                   nonattainment by operation of law.4 The               Valley PM10 NA as meeting the
                                                  Table of Contents                                       Owens Valley PM10 NA is located in                    requirements for such areas in CAA
                                                                                                          Inyo County in east-central California.               sections 189(b) and (c), including the
                                                  I. Background: PM10 Air Quality Planning in                                                                   requirements for implementation of best
                                                                                                          The EPA codified the boundaries of the
                                                        the Owens Valley PM10 Nonattainment
                                                                                                          Owens Valley PM10 NA at 40 CFR                        available control measures (BACM) in
                                                        Area
                                                     A. Planning History                                  81.305.                                               section 189(b)(1)(B) and MSM in section
                                                     B. Description of the Owens Valley PM10                 Once an area is designated                         188(e). In the same action, the EPA
                                                        Nonattainment Area                                nonattainment for PM10, section 188 of                approved the submission with respect to
                                                     C. Public Notice, Public Hearing, and                the CAA outlines the process for                      the requirements of section 188(e) and
                                                        Completeness Requirements for SIP                 classifying the area as Moderate or                   granted California’s request to extend
                                                        Submittals                                        Serious and establishes the area’s                    the attainment date for the area to
                                                     D. CAA Requirements for PM10 Serious                 attainment deadline. In accordance with               December 31, 2006. This final action
                                                        Area Plans                                        section 188(a), at the time of                        and the proposal preceding it provide a
                                                  II. Evaluation of the Owens Valley PM10
                                                                                                          designation, all PM10 nonattainment                   more detailed discussion of the history
                                                        Plan’s Compliance With CAA
                                                        Requirements                                      areas, including the Owens Valley PM10                of PM10 planning in the Owens Valley
                                                     A. Review of the Owens Valley PM10                   NA, were initially classified as                      PM10 NA.6
                                                        Nonattainment Area Emissions                      Moderate. A Moderate PM10                                On June 6, 2007, the EPA found that
                                                        Inventories                                       nonattainment area can subsequently be                the Owens Valley PM10 NA failed to
                                                     B. Demonstration of Attainment                       reclassified as Serious either before the             attain the 24-hour PM10 NAAQS by the
                                                     C. Five Percent Requirement                          applicable attainment date if the EPA                 applicable attainment date of December
                                                     D. BACM/BACT and Adopted Control                     determines the area cannot practicably                31, 2006.7 Accordingly, the State was
                                                        Strategy                                          attain the PM10 NAAQS by this                         required to submit a new plan meeting
                                                     E. Reasonable Further Progress/                                                                            the requirements of section 189(d) by
                                                        Quantitative Milestones
                                                                                                          attainment date, or after the passage of
                                                     F. Contingency Measures                              the applicable Moderate area PM10                     December 31, 2007.
                                                     G. Transportation Conformity                         attainment date if the EPA determines                    The Governing Board of the
                                                  III. Summary of the EPA’s Proposed Action               that the area has failed to attain the                GBUAPCD adopted the ‘‘2008 Owens
                                                  IV. Statutory and Executive Order Reviews               standard. In accordance with section                  Valley PM10 Planning Area
                                                                                                          188(b)(1) of the CAA, on February 8,                  Demonstration of Attainment State
                                                  I. Background: PM10 Air Quality                                                                               Implementation Plan’’ (‘‘2008 Plan’’) on
                                                                                                          1993, the EPA determined the Owens
                                                  Planning in the Owens Valley PM10                                                                             February 1, 2008. The 2008 Plan, which
                                                                                                          Valley PM10 NA could not practicably
                                                  Nonattainment Area                                                                                            included a request for an attainment
                                                                                                          attain the PM10 NAAQS by December
                                                  A. Planning History                                     31, 1994 and reclassified the area as                 date extension, was submitted by the
                                                                                                          Serious.5                                             State to the EPA on June 11, 2009. The
                                                     The NAAQS are standards for certain                     As a Serious area, the Owens Valley                2008 Plan was subsequently updated
                                                  ambient air pollutants set by the EPA to
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                                                                                                          PM10 NA acquired a new attainment                     and superseded by the submittal of the
                                                  protect public health and welfare. PM10                 deadline of no later than December 31,                2016 PM10 Plan, which reiterates the
                                                  is among the ambient air pollutants for                 2001. CAA section 188(c)(2). However,                 request for an attainment date extension
                                                  which the EPA has established health-                                                                         and incorporates agreements reached
                                                  based standards. By penetrating deep in                   1 52 FR 24672.                                      between the GBUAPCD and the City of
                                                  the lungs, PM10 causes adverse health                     2 71 FR 61144 (October 17, 2006).
                                                  effects including lung damage,                            3 40 CFR 50.6 and 40 CFR part 50, appendix K.         6 See 64 FR 34173 (June 25, 1999) and 64 FR
                                                  increased respiratory disease, and                        4 56 FR 11101 (March 15, 1991).                     48305 (September 3, 1999).
                                                  premature death. Children, the elderly,                   5 58 FR 3334 (January 8, 1993).                       7 72 FR 31183.




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                                                                         Federal Register / Vol. 81, No. 238 / Monday, December 12, 2016 / Proposed Rules                                                    89409

                                                  Los Angeles, and is the subject of this                   the adverse health effects from high                   negotiations, is the 2014 Stipulated
                                                  action.8                                                  PM10 concentrations.15                                 Judgment between the City of Los
                                                                                                              As noted previously, the State of                    Angeles and the GBUAPCD.20 It is our
                                                  B. Description of the Owens Valley PM10
                                                                                                            California and the GBUAPCD submitted                   understanding that the 2014 Stipulated
                                                  Nonattainment Area
                                                                                                            a PM10 Plan in 1998 that the EPA                       Judgment resolves all disputes between
                                                    Owens Lake is located in Inyo County                    approved in 1999.16 The EPA                            the District and the City of Los Angeles
                                                  in east central California in the southern                recognized in approving the 1998 PM10                  and it appears to clearly articulate the
                                                  portion of the Owens Valley. It is part                   Plan that the Owens Valley PM10 NA                     responsibilities of both parties,
                                                  of a chain of lakes formed over 140,000                   presented one of the most challenging                  providing certainty and eliminating the
                                                  thousand years ago.9 In 1913, the Los                     air quality problems nationally,                       risk of further litigation regarding the
                                                  Angeles Department of Water and Power                     requiring a reduction of PM10                          Owens Lake bed controls required for
                                                  (LADWP) completed an aqueduct                             concentrations from almost 4000 mg/m3                  attainment and contingency measures.
                                                  system and began diverting the waters                     to the 24-hour NAAQS of 150 mg/m3.                     The 2014 Stipulated Judgment adds to
                                                  of the Owens River to the City of Los                     The EPA also recognized that while the                 and incorporates prior agreements
                                                  Angeles. By 1930, these diversions from                                                                          between the parties and constitutes the
                                                                                                            origin of the PM10 problem was well
                                                  the Owens River had drained the Owens                                                                            foundation for the 2016 PM10 Plan that
                                                                                                            understood—the draining of Owens
                                                  Lake almost completely dry.10                                                                                    we are proposing to approve in this
                                                    Strong winds blowing over the surface                   Lake by the City of Los Angeles in the
                                                                                                            early part of this century and continued               action.21
                                                  of the dry, alkaline bed of the Owens
                                                  Lake have produced among the highest                      LADWP withdrawals from the Owens                          The EPA is proposing to approve the
                                                  measured concentrations of PM10 ever                      River—the solution to the problem                      2016 PM10 Plan because it meets the
                                                  recorded, including a monitored reading                   remained controversial.17 The EPA’s                    CAA requirements for Serious area
                                                  that exceeded 12,000 mg/m3—more than                      evaluation of the 1998 PM10 Plan noted                 plans. As was true of the 1998 PM10
                                                  80 times over the federal 24-hour                         the unique complexities of the Owens                   Plan, this 2016 PM10 Plan is an
                                                  standard.11 Past data from the EPA’s                      Valley PM10 planning process, including                important blueprint for clean air in one
                                                  approval of the 1998 PM10 Plan                            the competing authorities and                          of the most unique and challenging
                                                  indicated that during days when                           responsibilities of the GBUAPCD to                     PM10 nonattainment areas in the United
                                                  violations were recorded, 94 percent of                   protect Owens Valley residents from the                States.22 Successful implementation
                                                  the PM10 concentrations came from the                     harmful effects of air pollution and                   will require continued joint efforts by
                                                  Owens Lake bed and another five                           those of the City of Los Angeles to                    the GBUAPCD and the City of Los
                                                  percent came from re-entrained Owens                      provide its residents with an adequate                 Angeles.23
                                                  Lake dust already deposited in the                        water supply.18                                           The establishment of controls on the
                                                  area.12 Since our approval of the 1998                      Historically, there have been                        lake bed has resulted in significant
                                                  PM10 Plan, PM10 emissions occurring                       significant disputes between the                       improvements to air quality in the
                                                  directly from the Owens Lake bed and                      GBUAPCD and the City of Los Angeles                    Owens Valley. Between 1993 and 2014,
                                                  those attributable to re-entrained Owens                  concerning the appropriateness,                        the number of NAAQS exceedances
                                                  Lake dust deposited in the two-                           location, and extent of control measures               decreased substantially at monitors
                                                  kilometer area surrounding the Owens                      to reduce PM10 emissions from the                      located in the Owens Valley PM10 NA.
                                                  Lake bed, particularly the Keeler and                     Owens Lake bed and surrounding areas,                  For example, the peak three-year
                                                  Olancha Dunes, have declined. Despite                     which interfered with the adoption of a                average number of exceedances at the
                                                  this reduction, the predominant source                    fully approvable plan. The legal history               Dirty Socks monitor declined from 41 to
                                                  of PM10 emissions contributing to                         between the GBUAPCD and the City of                    9 in 2014, at the Keeler monitor from 20
                                                  nonattainment in the Owens Valley                         Los Angeles is described in some detail                to 8, and at the Shell Cut monitor from
                                                  PM10 NA continues to be the dry Owens                     in the EPA’s proposed approval of the                  19 to 5.24 As shown in Table 1, the 2016
                                                  Lake bed and the two-kilometer                            1998 PM10 Plan and in the 2016 PM10                    PM10 Plan demonstrates that PM10
                                                  perimeter surrounding it.13                               Plan.19 In summary, California                         design concentrations are predicted to
                                                    Approximately 40,000 permanent                          legislation followed by litigation in state            be below the NAAQS when all required
                                                  residents live in the area affected by the                and federal courts resulted in a series of             controls are implemented by the City of
                                                  Owens Lake PM10 emissions.14 Some of                      agreements requiring the City of Los                   Los Angeles and the GBUAPCD.25
                                                  these residents are members of four                       Angeles to implement a variety of                      Through the continued efforts of the
                                                  Tribes: The Lone Pine Paiute/Shoshone                     control measures to mitigate PM10                      GBUAPCD and the City of Los Angeles,
                                                  Tribe, the Fort Independence Tribe, the                   emissions from the dry Owens Lake bed.                 the 2016 PM10 Plan demonstrates
                                                  Big Pine Tribe, and the Bishop Tribe.                     The most recent iteration of these                     attainment of the 24-hour PM10 NAAQS
                                                  Residents and visitors to the area suffer                 agreements, reached after extensive                    within the attainment year of 2017.
                                                     8 See Chapter 8 of the 2016 PM
                                                                                       10 Plan and letter
                                                                                                              19 2016  PM10 Plan, pp. 9–12.                        reductions of 75,000 tons. See the EPA’s Web site:
                                                  from Phillip L. Kiddoo, Air Pollution Control               20 Id., Appendix II–1.                               https://www.epa.gov/caaac/clean-air-excellence-
                                                  Officer, GBUAPCD to Elizabeth Adams, Acting Air             21 Id., p.12 (‘‘The judgment requires the City of    awards.
                                                  Division Director, U.S. EPA, Region 9, dated              Los Angeles to implement the dust control                23 In 2016, the EPA bestowed its Clean Air

                                                  October 26, 2016.                                         measures ordered in 2011 and 2012 and provides         Excellence Award for Regulatory and Policy
                                                     9 2016 PM
                                                                 10 Plan, p. 7.                             for additional dust control measures up to 53.4        Innovations on the GBUAPCD in recognition of the
                                                     10 Id., p. 8.                                          square miles in total for all ordered dust control     District’s development of leading methods to
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                                                     11 Id., p. S–2.                                        areas.’’)                                              identify pollution source areas, analyze particulate
                                                     12 64 FR 34173 at 34174.                                 22 In 2016, the EPA bestowed its Clean Air           emissions, and determine suitable pollution control
                                                     13 2016 PM                                             Excellence Award for Regulatory and Policy             measures. The EPA noted the Owens Lake project
                                                                   10 Plan, page S–4, Table S–2, and
                                                                                                            Innovations on the GBUAPCD in recognition of the       constitutes the world’s largest PM10 emission
                                                  Chapter 8.                                                                                                       control project and has led to annual air pollution
                                                     14 Id. at S–2.                                         District’s development of leading methods to
                                                                                                            identify pollution source areas, analyze particulate   reductions of 75,000 tons. See the EPA’s Web site:
                                                     15 Id.
                                                                                                            emissions, and determine suitable pollution control    https://www.epa.gov/caaac/clean-air-excellence-
                                                     16 64 FR 48305.                                                                                               awards.
                                                                                                            measures. The EPA noted the Owens Lake project
                                                     17 64 FR 34173 at 34174.                                                                                        24 2016 PM
                                                                                                            constitutes the world’s largest PM10 emission                        10 Plan, Appendix III–2, Table 1.
                                                     18 Id.                                                 control project and has led to annual air pollution      25 Id., Table 7–5.




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                                                  89410                        Federal Register / Vol. 81, No. 238 / Monday, December 12, 2016 / Proposed Rules

                                                                                                        TABLE 1—DECLINE IN OWENS VALLEY PM10 CONCENTRATIONS
                                                                                                                                                             [μg/m3]

                                                                                                                                                                                                                                 Hybrid model 2017
                                                                                                                                                                                                   July 2009–June 2014
                                                                                                             Monitoring site                                                                                                    design concentration
                                                                                                                                                                                                      maximum PM10                   predictions

                                                  Dirty Socks ...............................................................................................................................                        1,437                             93
                                                  Flat Rock ..................................................................................................................................                         871                             94
                                                  Keeler .......................................................................................................................................                     2,994                             67
                                                  Lizard Tail ................................................................................................................................                       4,571                            142
                                                  Mill Site ....................................................................................................................................                       754                            125
                                                  North Beach .............................................................................................................................                          1,536                             67
                                                  Olancha ....................................................................................................................................                         779                             41
                                                  Shell Cut ..................................................................................................................................                       2,149                            105
                                                  Stanley .....................................................................................................................................                        286                             39
                                                     Source: 2016 PM10 Plan, Tables 7–1 and 7–5.


                                                  C. Public Notice, Public Hearing, and                                       CFR part 51, Appendix V. The EPA                                        feasibility of pollution control
                                                  Completeness Requirements for SIP                                           determined the SIP submission dated                                     measures.30
                                                  Submittals                                                                  June 9, 2016, to be complete on                                            Section 189(d) provides that the state
                                                     CAA section 110(a)(1) and (2) and                                        November 21, 2016.28                                                    shall submit within 12 months after the
                                                  110(l) require each state to provide                                        D. CAA Requirements for PM10 Serious                                    applicable attainment date, plan
                                                  reasonable public notice and                                                                                                                        revisions that provide for attainment of
                                                                                                                              Area Plans
                                                  opportunity for public hearing prior to                                                                                                             the PM10 air quality standard and, from
                                                  the adoption and submission of a SIP or                                        As a Serious PM10 nonattainment area                                 the date of such submission until
                                                  SIP revision to the EPA. To meet this                                       that failed to meet its applicable                                      attainment, for an annual reduction of
                                                  requirement, every SIP submission                                           attainment date of December 31, 2006,                                   PM10 or PM10 precursor emissions
                                                  should include evidence that adequate                                       the Owens Valley PM10 NA is subject to                                  within the area of not less than five
                                                  public notice was given and an                                              CAA sections 188 and 189. Section 188                                   percent of the amount of such emissions
                                                  opportunity for a public hearing was                                                                                                                as reported in the most recent inventory
                                                                                                                              establishes attainment dates for Serious
                                                  provided consistent with the EPA’s                                                                                                                  prepared for the area.
                                                                                                                              PM10 nonattainment areas. However,
                                                  implementing regulations in 40 CFR
                                                  51.102.                                                                     when an area such as the Owens Valley                                      The general planning and control
                                                     Both the GBUAPCD and the California                                      PM10 NA fails to attain the PM10                                        requirements for all nonattainment
                                                  Air Resources Board (CARB) satisfied                                        NAAQS within the time prescribed in                                     plans are found in CAA sections 110
                                                  applicable statutory and regulatory                                         section 188, a new attainment date may                                  and 172. More specific planning and
                                                  requirements for reasonable public                                          be approved. The new attainment date                                    control requirements relevant to the
                                                  notice and hearing prior to adoption of                                     is established by section 179(d)(3),                                    PM10 NAAQS are found in Part D,
                                                  the 2016 PM10 Plan. The District                                            which establishes that the attainment                                   Subpart 4, in CAA sections 188 and 189,
                                                  provided a public comment period and                                        date applicable to the revision required                                as noted above. The EPA has issued a
                                                  conducted a public hearing on April 13,                                     under paragraph (1) of section 179(d)                                   General Preamble 31 and Addendum to
                                                  2016, before its Board adopted the 2016                                     shall be the same as provided in the                                    the General Preamble 32 to provide
                                                  PM10 Plan.26 CARB provided the                                              provisions of section 172 of the CAA.                                   guidance to states for meeting the CAA’s
                                                  required public notice and opportunity                                      That section of the statute requires the                                requirements for the PM10 NAAQS. The
                                                  for public comment prior to its May 19,                                                                                                             General Preamble mainly addresses the
                                                                                                                              area attain as expeditiously as
                                                  2016 public hearing.27 The submission                                                                                                               requirements for moderate
                                                                                                                              practicable, but no later than five years
                                                  provides proof of publication of notices                                                                                                            nonattainment areas and the Addendum
                                                                                                                              from the date of designation.29 It also
                                                  for the respective public hearings. We                                                                                                              addresses requirements for Serious
                                                                                                                              includes a provision that allows the                                    nonattainment areas. The EPA has also
                                                  find, therefore, that the 2016 PM10 Plan                                    EPA to extend the attainment date for
                                                  meets the procedural requirements for                                                                                                               issued other guidance documents
                                                                                                                              up to an additional five years (i.e., a                                 related to PM10 plans that are discussed
                                                  public notice and hearing in CAA                                            period of no greater than 10 years) to the
                                                  sections 110(a) and 110(l).                                                                                                                         and cited below. The specific PM10 plan
                                                                                                                              extent the Administrator determines                                     requirements addressed by this
                                                     CAA section 110(k)(1)(B) requires the
                                                                                                                              appropriate, considering the severity of                                proposed action are summarized below.
                                                  EPA to determine whether a SIP
                                                  submission is complete within 60 days                                       nonattainment and the availability and
                                                                                                                                                                                                         30 42 U.S.C. 7502(a)(2)(A). See also Ass’n of
                                                  of receipt. This section of the CAA also
                                                                                                                                                                                                      Irritated Residents v. United States EPA, 423 F.3d
                                                  provides that any plan that the EPA has                                        28 See letter from Elizabeth Adams, Acting Air                       989, 993–94 (9th Cir. 2015).
                                                  not affirmatively determined to be                                          Division Director, U.S. EPA Region 9 to Richard                            31 ‘‘State Implementation Plans; General Preamble
                                                  complete will become complete by                                            Corey, Executive Officer, California Air Resource                       for the Implementation of Title I of the Clean Air
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                                                  operation of law six months after the                                       Board.                                                                  Act Amendments of 1990,’’ 57 FR 13498 (April 16,
                                                  date of submission. The EPA’s                                                  29 In accordance with CAA section 179(d)(3) and                      1992) (General Preamble) and 57 FR 18070 (April
                                                                                                                                                                                                      28, 1992).
                                                  completeness criteria are found in 40                                       172(a)(2)(A), the attainment deadline applicable to                        32 ‘‘State Implementation Plans for Serious PM
                                                                                                                                                                                                                                                        10
                                                                                                                              an area that misses the Serious area attainment date
                                                                                                                                                                                                      Nonattainment Areas, and Attainment Date Waivers
                                                    26 Id., Chapter 13—Declaration of Clerk of the                            is as soon as practicable, but no later than five years                 for PM10 Nonattainment Areas Generally;
                                                  Board and Resolutions Certifying the EIR and                                from the publication date of the nonattainment                          Addendum to the General Preamble for the
                                                  Approving the SIP.                                                          finding notice. The EPA’s finding that the Owens                        Implementation of Title I of the Clean Air Act
                                                    27 State of California Air Resources Board                                Valley PM10 NA failed to attain by the Serious area                     Amendments of 1990,’’ 59 FR 41998 (August 16,
                                                  Resolution 16–3, May 19, 2016.                                              nonattainment date was published on June 6, 2007.                       1994) (Addendum).



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                                                                        Federal Register / Vol. 81, No. 238 / Monday, December 12, 2016 / Proposed Rules                                                   89411

                                                  1. Emissions Inventories                                4. Reasonable Further Progress and                    II. Evaluation of the Owens Valley PM10
                                                     CAA section 172(c)(3) requires that an               Quantitative Milestones                               Plan’s Compliance With CAA
                                                  attainment plan include a                                                                                     Requirements
                                                                                                            CAA section 172(c)(2) requires that
                                                  comprehensive, accurate, and current                                                                          A. Review of the Owens Valley PM10
                                                                                                          implementation plans demonstrate
                                                  inventory of actual emissions from all                                                                        Nonattainment Area Emissions
                                                  sources of the relevant pollutants.                     reasonable further progress (RFP) as
                                                                                                          defined in section 171(1). Section 171(1)             Inventories
                                                  2. Attainment Demonstration and Five                    defines RFP as such annual incremental
                                                  Percent Requirement                                                                                              The 2016 PM10 Plan includes PM10
                                                                                                          reductions in emissions of the relevant               emissions inventories for the Owens
                                                     For Serious PM10 nonattainment areas                 air pollutant as are required by part D               Valley PM10 NA for the years 1999
                                                  that do not attain the PM10 NAAQS by                    of title I or may reasonably be required              through 2019. For the most part, the
                                                  the applicable attainment date, CAA                     by the Administrator for the purpose of               emissions data presented in the Plan
                                                  section 189(d) requires the state to                    ensuring attainment of the applicable                 were derived from the CARB 2012 and
                                                  submit plan revisions that provide for                  national ambient air quality standard by              2015 emission inventories for Inyo
                                                  attainment of the NAAQS and provide                     the applicable date. The general RFP                  County and apportioned to the Owens
                                                  for an annual five percent reduction in                 requirement of section 172(c)(2) applies              Valley PM10 NA using factors such as
                                                  PM10 or PM10 precursor emissions for                    to SIP submissions necessary to meet                  population, roadway miles, and land
                                                  each year from the date of submission                   CAA section 189(d) for the PM10                       area.34 The GBUAPCD calculated
                                                  until attainment.33 Section 189(d)                      NAAQS.                                                fugitive windblown dust emissions
                                                  specifies that the state must submit
                                                                                                            In addition, CAA section 189(c)(1),                 using a combination of modeling and
                                                  these plan revisions within 12 months
                                                                                                          which is specifically applicable to the               data collected at monitors located
                                                  of the applicable attainment date that
                                                                                                          PM10 NAAQS, requires that an                          around the Owens Lake bed. The
                                                  the area failed to meet.
                                                                                                          implementation plan contain                           unpaved road dust emissions were
                                                  3. Best Available Control Measures for                  quantitative milestones that will be                  calculated using the GBUAPCD’s
                                                  Sources of PM10                                                                                               emission factors. These calculations are
                                                                                                          achieved every three years and that will
                                                     CAA section 189(b)(1)(B) requires                    demonstrate that RFP is being met.                    included in Tables 3 and 4 of Appendix
                                                  provisions to assure that BACM,                                                                               IV–1 of the 2016 PM10 Plan.
                                                  including the best available control                    5. Contingency Measures                                 The District has also provided an
                                                  technology (BACT) for stationary                                                                              inventory of emissions of PM10
                                                                                                             CAA section 172(c)(9) requires that
                                                  sources, for the control of PM10 shall be                                                                     precursors (i.e., sulfur oxides, nitrogen
                                                  implemented no later than four years                    implementation plans provide for the
                                                                                                                                                                oxides, volatile organic compounds, and
                                                  after the date a nonattainment area is                  implementation of specific measures to
                                                                                                                                                                ammonia) for a 2015 exceedance day.35
                                                  reclassified as Serious.                                be undertaken if the area fails to make
                                                                                                                                                                In this inventory, ammonia emission
                                                     When a Moderate area is reclassified                 RFP or to attain the NAAQS by the                     estimates ‘‘were derived from Inyo
                                                  to Serious, the requirements to                         attainment date applicable under part D               County emissions that were queried
                                                  implement reasonably available control                  of title I. Such measures are to take                 from the USEPA’s 2014 National
                                                  measures (RACM), including such                         effect in any such case without further               Emissions Inventory.’’ Estimates for the
                                                  reductions in emissions from existing                   action by the State or the Administrator.             other precursors ‘‘were derived from
                                                  sources in the area as may be obtained                  The contingency measure requirement                   Inyo County emissions that were
                                                  through the adoption, at a minimum, of                  of CAA section 179(c)(9) applies to the               queried from the CARB CEPAM
                                                  reasonably available control technology                 SIP submissions necessary to meet CAA                 Standard Emissions Tool (2013
                                                  (RACT), in CAA sections 172(c)(1) and                   section 189(d) for the PM10 NAAQS.                    Almanac).’’ In all cases, emissions were
                                                  189(a)(1)(C) remain applicable. Thus, a                                                                       apportioned to the Owens Valley PM10
                                                  Serious area PM10 plan must also                        6. Transportation Conformity and Motor
                                                                                                                                                                NA using various factors.36 The EPA
                                                  provide for the implementation of                       Vehicle Emissions Budgets
                                                                                                                                                                previously determined that PM10
                                                  RACM and RACT to the extent that the                                                                          precursors are not significant
                                                  RACM and RACT requirements have not                        Transportation conformity is required
                                                                                                          by CAA section 176(c). Our conformity                 contributors to PM10 levels in the
                                                  been satisfied in the area’s Moderate                                                                         Owens Valley PM10 NA.37 At that time,
                                                  area plan.                                              rule (40 CFR part 93, subpart A) requires
                                                                                                          that transportation plans, programs, and              the EPA noted that the contribution
                                                     CAA section 189(e) requires that                                                                           from secondary aerosols is insignificant.
                                                  control requirements applicable to                      projects conform to state air quality
                                                                                                          implementation plans and establishes                  The EPA proposes to find again that
                                                  major stationary sources of PM10 shall
                                                                                                                                                                precursors do not play a significant part
                                                  also apply to major stationary sources of               the criteria and procedures for
                                                                                                                                                                in the PM10 problem in the Owens
                                                  PM10 precursors, except where the                       determining whether or not they do so.
                                                  Administrator determines that such                      Conformity to a SIP means that                          34 An overview of the 2016 PM
                                                                                                                                                                                                   10 Plan emissions
                                                  sources do not contribute significantly                 transportation activities will not                    inventory is provided here. For detailed results and
                                                  to PM10 levels that exceed the standards                produce new air quality violations,                   a complete discussion of the methodologies used to
                                                  in the area.                                            worsen existing violations, or delay                  produce the emissions inventories, see the
                                                                                                                                                                following sections of the 2016 PM10 Plan: Summary,
                                                                                                          timely attainment of the NAAQS or any                 S.1; Chapter 4, ‘‘PM10 Emissions Inventory and
                                                    33 The EPA has previously determined that PM
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                                                                                                    10
                                                  precursors are not significant contributors to PM10
                                                                                                          interim milestone. Once a SIP that                    Determination of Significant Sources;’’ and
                                                  levels in the Owens Valley PM10 NA. See 64 FR           contains motor vehicle emissions                      Appendix IV–1, ‘‘2016 SIP Inventory.’’
                                                                                                                                                                  35 See attachment to letter from Phillip L. Kiddoo,
                                                  34173 at 34716 (June 25, 1999). In that rulemaking      budgets has been submitted to the EPA,
                                                  notice, the EPA noted that the contribution from                                                              Air Pollution Control Officer, GBUAPCD to
                                                                                                          and the EPA has found them adequate,                  Elizabeth Adams, Acting Air Division Director, U.S.
                                                  secondary aerosols is insignificant. Inventory
                                                  information submitted by the GBUAPCD in                 these budgets are used for determining                EPA, Region 9, dated October 26, 2016.
                                                  association with the 2016 PM10 Plan also                conformity (i.e., emissions from planned                36 Id. The metrics used to ratio emissions from

                                                  demonstrates that precursors do not contribute          transportation activities must be less                Inyo County to the Owens Valley PM10 NA are
                                                  significantly to PM10 levels that exceed the                                                                  specified in the attachment.
                                                  standard. See section II.D.2.b of this notice.          than or equal to the budgets).                          37 See 64 FR 34173 at 34716 (June 25, 1999).




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                                                  89412                       Federal Register / Vol. 81, No. 238 / Monday, December 12, 2016 / Proposed Rules

                                                  Valley PM10 NA. We discuss this in                             industrial sources of PM10 in the Owens               Owens Lake NA emissions category.
                                                  more detail in Section II.D., below.                           Valley PM10 NA.                                       The ‘‘Owens Lake Subarea’’
                                                     The emissions inventories provided                            The GBUAPCD also grouped                            encompasses the lake bed and the near-
                                                  in the Plan show that fugitive dust                            emissions into three location-based                   lake emissions. Emissions from unpaved
                                                  emissions resulting from wind erosion                          categories: ‘‘lake bed emissions,’’ ‘‘near-           roads and open desert areas generated
                                                  on the exposed Owens Lake bed, off-                            lake emissions,’’ and ‘‘remaining Owens               within the two-kilometer zone
                                                  lake deposits of lake bed dust such as                         Valley NA emissions.’’ Emissions                      surrounding the lake were used in the
                                                  the Keeler Dunes, and open desert are                          originating from the lake bed are                     District’s analysis of which sources
                                                  by far the largest sources of PM10 in the                      included in the lake bed category. The
                                                                                                                                                                       contribute significantly to
                                                  Owens Valley PM10 NA. Other, much                              near-lake category consists of emissions
                                                                                                                                                                       nonattainment, thereby allowing the
                                                  smaller sources of windblown dust                              generated within a two-kilometer zone
                                                  include small mining facilities and the                        surrounding the lake bed and includes                 District to factor in the impact of the
                                                  Lone Pine Landfill. The remaining                              fugitive windblown dust emissions from                distance between emission sources and
                                                  sources of PM10 within the Owens                               paved and unpaved roads and open                      affected monitors.
                                                  Valley PM10 NA include wood stoves,                            desert, emissions from other sources                     Table 2 provides a summary of the
                                                  fireplaces, unpaved and paved road                             within two kilometers of the lake bed                 annual emissions forecast for all PM10
                                                  dust, and vehicle tailpipe emissions.                          such as the Lone Pine Dump, and the                   emission source categories in the Owens
                                                  The District also notes that prescribed                        Keeler and Olancha dunes. Emissions                   Valley PM10 NA for 2006, 2007, and for
                                                  burning is a source of PM10 in the                             generated outside the two-kilometer                   2016 through 2019 (tons per year).
                                                  nonattainment area. There are no large                         zone are grouped in the remaining

                                                                                                TABLE 2—SUMMARY OF PM10 ANNUAL EMISSIONS IN THE OVPA
                                                                                                                       Near-lake emissions                    Remaining Owens Valley NA emissions
                                                                                             Lake bed
                                                           Year end 38                                                                        2-km buffer     Windblown     Windblown                           Total
                                                                                             emissions        Keeler         Olancha                                                           Misc.
                                                                                                                                              (excluding       dust un-     dust open        sources 41
                                                                                                              Dunes           Dunes            dunes) 39     paved roads     desert 40

                                                  2006   .................................          789           5,324            6,395            4,217             416         19,617             854          37,613
                                                  2007   .................................        7,448           4,476            5,011            3,143             416         19,617             854          40,964
                                                  2016   .................................        1,222             172            1,506            1,358             416         19,617             747          25,038
                                                  2017   .................................          355              41            1,093            1,180             416         19,617             747          23,450
                                                  2018   .................................          355              41              798            1,053             416         19,617             747          23,027
                                                  2019   .................................          355              41              586              962             416         19,617             750          22,726
                                                     Source: 2016 PM10 Plan, Table 4–3.


                                                     The EPA is proposing to find that the                       B. Demonstration of Attainment                        because, considering the severity of
                                                  2016 PM10 Plan’s emissions inventories                            The 2016 PM10 Plan must provide a                  nonattainment and the availability and
                                                  for 2006 through 2019 are                                      detailed demonstration (including air                 feasibility of pollution control measures,
                                                  comprehensive, accurate, and current                           quality modeling) that the specified                  the EPA believes such an extension to
                                                  inventories of actual emissions from all                       control strategy will reduce PM10                     June 6, 2017 is warranted based on
                                                  sources in the Owens Valley PM10 NA                            emissions so that the 24-hour NAAQS                   various factors, including the following.
                                                  and that these emissions inventories                           will be attained as soon as practicable                  First, the EPA acknowledges the
                                                  meet the requirements of section                               but no later than June 6, 2017, assuming              severity of the PM10 problem. As
                                                  172(c)(3) of the CAA and EPA                                   final approval of the attainment                      discussed above, prior to the application
                                                  guidance.42 The GBUAPCD has                                    deadline extension discussed above.                   of controls, the Owens Valley PM10 NA
                                                  provided a 2006 base year and future                           CAA section 189(b)(1)(A).                             experienced dust storms of
                                                  year emissions inventories to 2019,                                                                                  unprecedented magnitude that
                                                                                                                 1. Attainment Deadline                                originated from the dry Owens Lake bed
                                                  comprehensively addressing all source
                                                                                                                    In 2007, the EPA notified the                      under certain meteorological conditions.
                                                  categories in the Owens Valley PM10
                                                                                                                 GBUAPCD that it had failed to attain the              The magnitude of these dust storms
                                                  NA. Consequently, we are proposing to
                                                                                                                 PM10 NAAQS by the attainment date at                  from the dry lake bed were unique
                                                  find that the emissions inventories                                                                                  within California and the United States.
                                                                                                                 the end of 2006.43 The GBUAPCD has
                                                  provided by the GBUAPCD meet the                               requested that the EPA extend the                        Second, the factors creating the dry
                                                  requirements of section 172(c)(3) and                          attainment date for the Owens Valley                  Owens Lake bed, specifically the
                                                  provide an adequate basis for the                              PM10 NA for an additional 10 years.44                 diversion of water in the early 20th
                                                  attainment demonstration as well as for                        The EPA is proposing to approve the                   century to the City of Los Angeles,
                                                  the BACM and RFP demonstrations.                               requested attainment date extension                   resulted in complex legal and technical
                                                    38 Values presented represent the emissions at the           and unpaved road dust (activity related),                44 As discussed above, CAA section 188 and 179
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                                                  end of the calendar year, after all scheduled                  windblown dust from agricultural lands, managed       allow up to a 10-year extension of the attainment
                                                  controls are in place.                                         burning and disposal, on-road mobile, and             date after the EPA issues a finding that a Serious
                                                    39 Includes PM
                                                                    10 emissions from Lone Pine                  wildfires.                                            PM10 nonattainment area has failed to attain the
                                                  Landfill, which equal on average approximately 60                42 Emissions Inventory Guidance for                 NAAQS. CAA section 172(a) authorizes the EPA to
                                                  tons per year.                                                                                                       extend the attainment deadline to the extent it
                                                                                                                 Implementation of Ozone and Particulate Matter
                                                    40 Emissions assumed constant over time.                                                                           deems appropriate for a period of no greater than
                                                    41 Miscellaneous sources include: Manufacturing              National Ambient Air Quality Standards (NAAQS)        10 years from the publication of the nonattainment
                                                  and industrial, service and commercial, mineral                and Regional Haze Regulations. U.S. EPA,              finding, considering the severity of nonattainment
                                                  processes, metal processes, residential fuel                   September 29, 2016 (draft).                           and the availability and feasibility of pollution
                                                  combustion, construction and demolition, paved                   43 See 72 FR 31183 (June 6, 2007).                  control measure.



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                                                                        Federal Register / Vol. 81, No. 238 / Monday, December 12, 2016 / Proposed Rules                                             89413

                                                  agreements for installation of control                   emissions inventory-based modeling                      a given receptor the highest sixth-high
                                                  measures that were untested in kind and                  approaches have been used in fugitive                   concentration taken as the design
                                                  scope. Since approval of the 1998 PM10                   dust and other PM10 nonattainment                       concentration. The design concentration
                                                  Plan, the GBUAPCD and City of Los                        areas. These include the ‘‘rollback’’ of                results for each monitor site for 2014
                                                  Angeles have worked consistently to                      monitored concentrations in proportion                  through 2019 are shown in Table 7–5 of
                                                  refine and optimize the complex set of                   to emissions, sometimes in conjunction                  the 2016 PM10 Plan. For 2017, the
                                                  control measures leading to substantial                  with a dispersion model in order to                     highest design concentration is 142 mg/
                                                  reductions of PM10 from the dry Owens                    account for the spatial and temporal                    m3 and all concentrations are less than
                                                  Lake bed and surrounding near-lake                       variation of emissions and their various                150 mg/m3, demonstrating attainment of
                                                  sources. The culmination of decades of                   distances from the monitor(s). In all of
                                                                                                                                                                   the PM10 NAAQS.
                                                  work on this problem by the GBUAPCD                      the approaches, projected emissions
                                                  and the City of Los Angeles is the                       reductions due to control measures are                  4. Evaluation of Modeled Attainment
                                                  Stipulated Judgment leading to the                       applied to the emission source                          Demonstration
                                                  District’s adoption and the EPA’s                        contributions, and attainment is
                                                  approval of Rule 433 into the SIP in                     demonstrated if the resulting                              The dry Owens Lake bed presents a
                                                  2016.45 Rule 433 will ensure that the                    concentrations are below the NAAQS.46                   unique situation for which
                                                  mitigation measures leading to the final                                                                         unconventional modeling approaches
                                                                                                           3. Modeling in Submittal
                                                  reductions in PM10 will occur and lead                                                                           may be appropriate. The EPA has
                                                  to attainment of the NAAQS.                                 The District used a hybrid modeling                  consulted with the District and CARB
                                                    For these reasons, the EPA concurs                     approach combining the CALPUFF                          on the modeling approach numerous
                                                  that an extension of the attainment                      (‘‘California Puff’’) dispersion model 47               times over the past decade, including
                                                  deadline to June 6, 2017 is warranted.                   with a monitored component. CALPUFF                     during the year prior to the current Plan
                                                                                                           is used to model the effect of emissions                submittal. As discussed in detail in our
                                                  2. PM10 Attainment Demonstration                         from sources on the Owens Lake bed
                                                  Approaches                                                                                                       TSD and in the summary below, the
                                                                                                           and the Keeler Dunes. The monitored
                                                                                                                                                                   District’s air quality modeling analysis
                                                     A key part of a PM10 attainment plan                  component is used to represent the
                                                                                                           effect of other sources off the lake bed                is appropriate for this area.
                                                  is the attainment demonstration. This is
                                                  a demonstration by the state that the                    (‘‘out-of-network’’), which are not                     a. Model Emissions Input
                                                  existing and planned emission control                    otherwise included in the CALPUFF
                                                                                                           modeling; it is a time-varying                            The District’s Dust Identification (ID)
                                                  measures, in this case, the controls that
                                                  have been incorporated into Rule 433                     background concentration that declines                  Program, described in detail in the TSD,
                                                  and the Keeler Dunes Project, are                        over time as lake bed emissions are                     provides estimates of PM10 emissions
                                                  sufficient to result in attainment of the                controlled. The District’s hybrid model                 based on real-time measurements at
                                                  PM10 NAAQS by the required                               and its inputs are discussed in more                    numerous locations. It provides a level
                                                  attainment date (i.e., 2017). Under CAA                  detail in our TSD.                                      of detail and accuracy that is unique,
                                                                                                              The District’s model performance                     and is a considerable refinement over
                                                  section 189(b)(1)(A), the attainment
                                                                                                           evaluation 48 of the hybrid model,                      standard emission factors, and even
                                                  demonstration for a Serious
                                                                                                           which checked model predictions                         over locale-specific emission factors that
                                                  nonattainment area must include air
                                                                                                           against monitored observations during                   account for soil type and wind speed. It
                                                  quality modeling. Please see the EPA’s
                                                                                                           the five-year period of July 2009 to June
                                                  accompanying Technical Support                                                                                   provides a strong foundation for the
                                                                                                           2014, showed a high correlation
                                                  Document (TSD), located in the docket                                                                            emission estimates needed for a
                                                                                                           between them and acceptable model
                                                  for this action, for our detailed analysis               performance.                                            modeled attainment demonstration.
                                                  of the air quality modeling supporting                      The attainment demonstration also
                                                  the District’s demonstration of                                                                                  b. Model Choice
                                                                                                           examined the effect of the controls
                                                  attainment. In summary, the EPA’s                        through implementation of Rule 433                         The District’s method for estimating
                                                  preferred PM10 attainment                                and controls on the Keeler Dunes that                   PM10 emission factors (i.e., back-
                                                  demonstration approach is dispersion                     would be in place by the end of 2017,                   calculation from monitored
                                                  modeling, with receptor modeling or                      the attainment year. Each of the five                   concentrations, also discussed in detail
                                                  emissions inventory approaches as                        meteorology years was modeled, and for                  in the TSD), depends on good
                                                  adjuncts. However, emissions from
                                                                                                                                                                   characterization of source-receptor
                                                  fugitive dust sources such as the dry                       46 Monitored concentrations meet the 24-hour
                                                  Owens Lake bed are uncertain and                                                                                 relationships (emitting source square
                                                                                                           PM10 NAAQS when the ‘‘design value,’’ the
                                                  variable in comparison with the typical                  expected number of daily exceedances of the             and monitor receptor) to determine
                                                  industrial point sources to which                        NAAQS level of 150 mg/m3, is no more than one per       which particular emitting areas are
                                                                                                           year, 40 CFR 50.6. However, for a modeled               contributing to a given monitored
                                                  dispersion modeling is usually applied.                  attainment demonstration, when five years of
                                                  Also, in a fugitive dust-dominated area                  meteorology are modeled, the 6th highest
                                                                                                                                                                   concentration. A Lagrangian puff model
                                                  there are few if any chemical differences                concentration is used as the ‘‘design concentration’’   like CALPUFF, which allows PM10
                                                  between the various emitting source                      to compare to the NAAQS level; at most five             emissions to follow a realistic curved
                                                                                                           exceedances of that level are acceptable for
                                                  regions within the area, so receptor                     attainment, one per modeled year. Guideline on Air
                                                                                                                                                                   trajectory between the source area and
                                                  modeling is of limited use. Therefore,                   Quality Models, 40 CFR 51 Appendix W, section           the monitor and allows different wind
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                                                                                                           7.2.1.1, ‘‘Design Concentrations for SO2, PM10, CO,     direction to vary by location at any
                                                    45 Because some of the controls required in the        Pb, and NO2’’ The design concentration is               given time, is appropriate for this
                                                  2016 PM10 Plan are required to be installed prior        sometimes referred to as the ‘‘design value,’’ but
                                                                                                           strictly speaking, the PM10 design value is the         demonstration. CALPUFF is preferable
                                                  the end of 2017, this leaves open the possibility that
                                                  some of the required controls will not be completed      expected number of exceedances per year.                to a steady-state Gaussian model like
                                                  by June of 2017. We do not believe this will be an          47 Model code and documentation are available at
                                                                                                                                                                   AERMOD, which has ‘‘straight-line’’
                                                  impediment to reaching attainment due to the             no cost for download from http://www.src.com/           trajectories along a single wind
                                                  seasonal nature of PM10 emissions in the Owens           calpuff/calpuff1.htm.
                                                  Lake NA, which are generally elevated in the winter         48 2016 PM
                                                                                                                          10 Plan, Appendix VII–1: Air Quality
                                                                                                                                                                   direction within any given hour for all
                                                  and spring months.                                       Modeling Report, sec. 5.                                sources.


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                                                  89414                        Federal Register / Vol. 81, No. 238 / Monday, December 12, 2016 / Proposed Rules

                                                  c. Modeling Domain and Background                           combination of modeling data,                            reductions catch up with the five
                                                  Concentration                                               monitoring results, CARB emissions                       percent per year reduction target in
                                                     The District’s monitoring and                            inventories and control measure                          2013, and subsequently exceed the
                                                  modeling network is focused on the lake                     efficiencies.50                                          required reductions beyond the
                                                  bed and the immediately surrounding                            The 2016 PM10 Plan includes a                         projected attainment year. The EPA
                                                  area. In order for the attainment                           demonstration of annual five percent                     recognizes the unprecedented
                                                  demonstration to account for all the                        reductions in Chapter 8. As noted,                       challenges faced by the District in
                                                  PM10 emission sources contributing to                       fugitive windblown emissions, ‘‘which                    achieving this target. In light of the
                                                  NAAQS violations, off-lake sources                          are tied to meteorology and are highly                   unique nature of the source of emissions
                                                  must be adequately represented in the                       irregular year-to-year,’’ 51 account for                 in the Owens Valley PM10 NA, the
                                                  background concentration that is added                      most of the emissions in the Owens                       groundbreaking technical efforts needed
                                                  to the model prediction. The District’s                     Valley PM10 NA.52 To accommodate this                    to characterize and control emissions
                                                  procedure for determining background                        variability for a more stable and realistic              from the lake bed, and the unavoidable
                                                  concentration is discussed in detail in                     assessment of reductions, the District                   delays in implementing controls on the
                                                  the TSD. The EPA finds the District’s                       used a three-year rolling average to                     lake bed caused by litigation, and in
                                                  reasoning and supporting                                    calculate the annual reductions. Using                   recognition of the achievement of
                                                  documentation for the assumptions                           average annual emissions from 2005–                      reductions beyond those required under
                                                  convincing.                                                 2007 (62,734 tpy) as the starting point                  CAA section 189(d) after 2013, we are
                                                                                                              for the required five percent per year                   proposing to approve the five percent
                                                  d. Modeling Receptors                                       reductions, the District is required to                  demonstration in the 2016 PM10 Plan.
                                                     By default, a grid of model receptors                    reduce emissions by 31,367 tons per
                                                                                                                                                                       D. BACM/BACT and Adopted Control
                                                  is used to cover much of a                                  year by the attainment year (2017) to
                                                                                                                                                                       Strategy
                                                  nonattainment area, to ensure that the                      32,367 tons per year. The GBUAPCD
                                                  NAAQS is attained everywhere in the                         projects three-year annual average                       1. Background
                                                  area. In the 2016 PM10 Plan, receptors                      emissions in 2017 to be 24,783 tons per                     Section 189(b)(1)(B) of the CAA
                                                  are placed only along the lake bed                          year, which exceeds the required                         requires areas designated as Serious
                                                  shoreline, and further, only at monitor                     amount of required reductions by 7,584                   nonattainment for PM10 to implement
                                                  locations. As stated in the 2016 PM10                       tons per year. Figure 8–1 in the 2016                    BACM and BACT 55 on all significant
                                                  Plan, the monitoring sites were chosen                      PM10 Plan illustrates emissions trends                   sources of direct PM10 and PM10
                                                  to be downwind of the largest PM10                          for various sources in the nonattainment                 precursors. The CAA does not define a
                                                  source areas, i.e. the lake bed, and so are                 area from 1999 through 2019 along with                   BACM-level of control for specific
                                                  representative of the highest expected                      the three-year average total, and                        sources. In our guidance for Serious
                                                  impacts.49 Because concentrations                           compares these values with a five                        PM10 nonattainment area plans, the EPA
                                                  necessarily decline with distance from a                    percent reduction line.53                                defined BACM to be, among other
                                                  non-buoyant source like fugitive dust,                         Although annual emissions increase                    things, the maximum degree of emission
                                                  the EPA agrees that the highest PM10                        in the first few years of the planning                   reduction achievable from a source or
                                                  concentrations would be expected at the                     period, a steady decline begins in                       source category which is determined on
                                                  shoreline.                                                  2009.54 The average emissions                            a case-by-case basis, considering energy,
                                                  5. The EPA’s Proposed Action                                  50 Id.,
                                                                                                                                                                       economic and environmental impacts.56
                                                                                                                         at 34–35.
                                                     In summary, the attainment                                 51 For
                                                                                                                                                                       Consistent with the General Preamble
                                                                                                                         example, emissions totaled 109,635 tons in
                                                  demonstration is based on a unique                          2005, dropped to 37,613 tons in 2006, then rose to       Addendum, a BACM analysis should
                                                  modeling approach that incorporates                         73,999 tons in 2009 before beginning to consistently     include the following elements for the
                                                  real-world measurements and is well-
                                                                                                              decline. Emissions in 2010 totaled 70,343 tons and       Owens Valley PM10 NA:
                                                                                                              by 2017 when attainment will be reached,                    • Preparation of an inventory of PM10
                                                  suited to the special conditions at                         emissions are projected to be 23,450 tons per year.
                                                                                                                                                                       sources;
                                                  Owens Lake. The EPA is proposing to                         2016 PM10 Plan, Table 4–3.
                                                                                                                                                                          • Identification of source categories
                                                  find that the attainment demonstration                         52 Id., p. 81.
                                                                                                                 53 The EPA believes the use of 2007 as the            having a greater than de minimis impact
                                                  in the 2016 PM10 Plan is approvable.
                                                                                                              baseline for five percent reductions is reasonable       on ambient PM10 concentrations;
                                                  C. Five Percent Requirement                                 and consistent with Congress’ intent. Section 189(d)        • Comparative analysis of the
                                                                                                              states that plans are due within 12 months of the        controls implemented in the Owens
                                                     Section 189(d) of the CAA requires a                     missed attainment deadline and that the plans
                                                  state with a Serious PM10 nonattainment                     should provide for annual five percent reductions
                                                                                                                                                                       Valley PM10 NA and BACM in other
                                                  area that fails to attain the PM10 NAAQS                    from the date of the submission until attainment.        Serious nonattainment areas for
                                                  by the applicable attainment deadlines                      The attainment deadline for the Owens Valley PM10        significant source categories; and
                                                                                                              NA was December 31, 2006. 64 FR 48305                       • Evaluation of reducing emissions
                                                  to submit within 12 months after the                        (September 3, 1999). Accordingly, a submittal to
                                                                                                                                                                       from a particular source category and
                                                  attainment applicable attainment date, a                    fulfill section 189(d) was due by December 31,
                                                                                                              2007. Arguably, some of the reductions in the RFP        costs associated with controls.
                                                  plan showing an annual five percent
                                                                                                              demonstration occurred outside the literal time
                                                  reduction in emissions of PM10 in the                       frame specified by Congress (i.e., ‘‘the date of the
                                                                                                                                                                       2. Analysis
                                                  area from the date of the submission                        submission’’ of the Plan) because the 2016 PM10             The GBUAPCD BACM analysis,
                                                  until attainment, based on the most                         Plan was not submitted until June 9, 2016. The EPA
                                                                                                                                                                       which addresses the four elements
                                                  recent inventory.                                           believes that it is appropriate and consistent with
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                                                                                                              Congress’s intent for expeditious attainment of the      described in the General Preamble
                                                     Table 4–3 in the 2016 PM10 Plan                          NAAQS that we consider reductions that occurred          Addendum,57 is summarized below.
                                                  provides a summary of the annual                            prior to the submittal of the 2016 PM10 Plan.            The GBUAPCD’s Rule 433 contains the
                                                  emissions forecast for sources of                              54 The District notes that a substantial portion of
                                                                                                                                                                       BACM control measures for the Owens
                                                  emissions in the nonattainment area for                     the total reductions achieved beginning in 2006 and
                                                  the years 1999 through 2019. The                            forecast through 2017 occur from 2010 to 2014 with
                                                                                                                                                                          55 BACT, which applies to stationary sources, is
                                                                                                              the implementation of the 2008 SIP Control Areas
                                                  inventory values are derived using a                        and Phase 8 Control Area, which are described in         a subset of BACM.
                                                                                                                                                                          56 See 59 FR 41998, 42010 (August 16, 1994).
                                                                                                              Sections 6.2.1.4 and 6.2.1.5 of the Plan. 2016 PM10
                                                    49 Id.,   p. 62 sec.7.1.                                  Plan, p. 85.                                                57 2016 PM
                                                                                                                                                                                     10 Plan, page 38.




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                                                                               Federal Register / Vol. 81, No. 238 / Monday, December 12, 2016 / Proposed Rules                                                                                                   89415

                                                  Lake bed. The EPA approved Rule 433                                         impact at the location of expected                                             of PM10 from within the near-lake area
                                                  into the SIP on November 10, 2016.58 In                                     violation would exceed 5 mg/m3.59                                              on a near exceedance day and precursor
                                                  addition, the GBUAPCD is directly                                             To determine which sources                                                   emissions from throughout the
                                                  implementing controls at the Keeler                                         contribute significantly to PM10                                               nonattainment area results in a total of
                                                  Dunes as discussed further below.                                           violations and are therefore subject to                                        535.37 tons per day of emissions.
                                                                                                                              BACM level controls, the GBUAPCD                                               Multiplying this number by 3.33 percent
                                                  a. Inventory                                                                selected a day on which measured                                               yields a de minimis threshold of 17.8
                                                    The emissions inventories included in                                     levels of particulate approached the                                           tons per day.
                                                  the 2016 PM10 Plan and in additional                                        level of the standard and the                                                    In determining whether sources of
                                                  information submitted on October 26,                                        predominant source of emissions was                                            precursors contribute significantly to
                                                  2016 are summarized and evaluated in                                        characterized as ‘‘non-lake.’’ The                                             PM10 levels, we made two conservative
                                                                                                                              District noted that its choice is                                              assumptions. First, we assumed that all
                                                  section II.A, above. As noted previously,
                                                                                                                              conservative because it ‘‘produces a                                           precursor emissions would result in the
                                                  the EPA is proposing to find that the
                                                                                                                              small de minimis emissions level and                                           formation of PM10. Second, we
                                                  2016 PM10 Plan’s emissions inventories
                                                                                                                              makes it feasible for non-lake sources to                                      compared the total emissions for all
                                                  for 2006 through 2019 are
                                                                                                                              be considered significant.’’ 60 By                                             precursors (i.e., 4.7 tons per day), rather
                                                  comprehensive, accurate, and current
                                                                                                                              dividing the threshold value for a                                             than emissions of each precursor from
                                                  inventories of actual emissions from all                                    significant contribution (i.e., 5 mg/m3)                                       each source category, to the de minimis
                                                  sources in the Owens Valley PM10 NA                                         by ambient level of PM10 on the chosen                                         threshold of 17.8 tons per day. Given
                                                  and that these emissions inventories                                        day (150.1 mg/m3), Great Basin                                                 total precursor emissions are far below
                                                  meet the requirements of Section                                            calculated a de minimis factor of 3.33                                         the de minimis threshold, we conclude
                                                  172(c)(3) of the CAA and the EPA.                                           percent.                                                                       precursors do not contribute
                                                  b. Identification of Source Categories                                        The GBUAPCD provided an inventory                                            significantly to PM10 levels in the
                                                                                                                              of sources of precursor emissions that                                         Owens Valley.
                                                    The General Preamble Addendum                                             we used to determine if sources of                                               To determine which sources of direct
                                                  provides that BACM are required for all                                     precursors contribute significantly to                                         PM10 are significant, the District
                                                  categories of sources in Serious areas                                      ambient levels of PM10 exceeding the                                           multiplied the near-exceedance day
                                                  unless the State adequately                                                 standard in the Owens Valley PM10 NA.                                          PM10 emissions inventory (530.65 tons
                                                  demonstrates a particular source                                            Because of the gaseous nature of                                               per day 61) by the de minimis factor,
                                                  category does not contribute                                                precursor emissions, these compounds                                           yielding a de minimis emissions
                                                  significantly to nonattainment of the                                       would have the potential for long                                              threshold of 17.7 tons per day.62
                                                  NAAQS. A source category is presumed                                        distance transport, so emissions from                                            Table 3 below summarizes the sources
                                                  to contribute significantly to a violation                                  the entire nonattainment area are                                              of PM10 emissions in the Owens Lake
                                                  of the 24-hour PM10 NAAQS if its PM10                                       considered. Adding together emissions                                          subarea, on the analyzed day.63

                                                                                            TABLE 3—PM10 EXCEEDANCE DAY INVENTORY FOR OWENS LAKE SUBAREA
                                                                                                                                                          [2 km buffer]

                                                                                                                                                                                                                                                               2015
                                                                                                                                            Category                                                                                                     (tons per day) 64

                                                  Fugitive Windblown Dust from Exposed Lake Beds .....................................................................................................................                                               45.30
                                                  Fugitive Windblown Dust from Keeler Dunes ...............................................................................................................................                                         169.20
                                                  Fugitive Windblown Dust from Olancha Dunes ............................................................................................................................                                           312.00
                                                  Other sources within the Owens Lake Subarea, including mineral processing, paved and unpaved road dust, and the Lone
                                                    Pine Landfill 65 ............................................................................................................................................................................                     4.15

                                                        Total ........................................................................................................................................................................................              530.65



                                                    Using the 17.7 tons per day threshold,                                      • Fugitive windblown dust from                                               attributed to these dunes, the violations
                                                  the GBUAPCD identified three                                                Olancha Dunes.                                                                 will be treated as natural events and a
                                                  significant PM10 source categories in the                                     Based on this analysis, the District                                         Natural Events Action Plan will be
                                                  OVPA:                                                                       focused its BACM demonstration on the                                          developed and implemented in
                                                    • Fugitive windblown dust from                                            controls required on the lake bed and on                                       accordance with the EPA’s guidance
                                                  exposed lake bed.                                                           the Keeler Dunes.66 According to the                                           and rules on Exceptional Events.67
                                                                                                                                                                                                             Further, emissions from the Olancha
                                                    • Fugitive windblown dust from                                            GBUAPCD, the Olancha dunes are
                                                                                                                              primarily natural. If PM10 violations are                                      Dunes are expected to be reduced by
                                                  Keeler Dunes.
                                                    58 Acting Regional Administrator Alexis Strauss                               62 2016 PM10 Plan, p. 4.                                                   PM10 NA where all PM10 sources except for wind
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                                                  signed the EPA’s final action approving Rule 433                                63 The GBUAPCD notes that ‘‘monitoring and                                 erosion from the dry Owens Lake bed and the dune
                                                  on November 10, 2016. It will be published in the                           modeling analyses indicate that emissions from off-                            systems are de minimis.
                                                  Federal Register in the near future.                                        lake sources more than two kilometers away do not                                66 The GBUAPCD has investigated the history and
                                                    59 59 FR 41998, 42011.                                                    have an impact on achieving attainment’’ and cites                             morphology of the Keeler Dunes and determined
                                                    60 2016 PM
                                                                10 Plan, page S–3.                                            a similar approach taken in the ‘‘Five Percent Plan                            that the drying of the Owens Lake bed resulted in
                                                    61 This number does not include precursor                                 for PM10 for the Maricopa County Nonattainment                                 the expansion of the pre-existing, natural dune area.
                                                  emissions, which is acceptable because precursors                           Area.’’ Id. Page 56.                                                           2016 PM10 Plan, page 61.
                                                                                                                                 64 Id. Table S–2.                                                             67 Id. See Appendix V–1, ‘‘OVPA 2016 SIP BACM
                                                  do not significantly contribute and excluding
                                                  precursor emissions results in a slightly lower                                65 BACT, which applies to stationary sources, is                            Assessment,’’ Appendix E, ‘‘2013 GBUAPCD Board
                                                  (more conservative) threshold for significance.                             generally not applicable within the Owens Valley                               Order No. 130916–01,’’ p. 7.



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                                                  89416                  Federal Register / Vol. 81, No. 238 / Monday, December 12, 2016 / Proposed Rules

                                                  about 2090 tons per year as the result of                       summarized in our TSD to be                                minimal resources to maintain. The
                                                  lake bed controls, which will reduce                            implemented by the City of Los Angeles                     placement of the straw bales was
                                                  sand migration from nearby areas and                            on various portions of the dry Owens                       completed in 2015 and plantings are
                                                  allow redeposited lake bed particulate                          Lake bed.71 In brief, Rule 433 requires                    scheduled to be complete by the end of
                                                  to winnow away until emissions are                              the City of Los Angeles to conduct                         2016. At full build-out, the GBUACPD
                                                  those of a natural dune system.68                               shallow flooding through application of                    projects the project will reduce PM10
                                                  c. Comparative Analysis                                         water, install managed vegetation or a                     emissions by approximately 95 percent
                                                                                                                  gravel blanket, or in some cases use                       and bring the community of Keeler into
                                                     To fulfill the requirement for a                             tillage with a brine back-up. These                        compliance with state and federal PM10
                                                  comparative analysis, the GBUAPCD                               control measures typically result in a 99                  standards.73 Implementation of this
                                                  searched for requirements for analogous                         to 100 percent control efficiency.                         project is made federally enforceable by
                                                  lake bed and dune sources in other PM10                         Beginning in 2001, lake bed controls                       approval of the 2016 PM10 Plan, which
                                                  nonattainment areas including Imperial                          have been constructed in phases as                         includes Resolution 2016–03 wherein
                                                  County, the San Joaquin Valley,                                 modeling and empirical evidence have                       the Governing Board of the GBUAPCD
                                                  Maricopa County (Phoenix area), the                             demonstrated the need for additional                       authorizes and commits the District to
                                                  South Coast, and Clark County (Las                              controls. Rule 433 requires ongoing                        complete the Keeler Dunes Project as set
                                                  Vegas area). However, the District was                          implementation of previously                               forth in the Plan.
                                                  unable to identify any analogous active                         established control requirements and
                                                  controls for these kinds of sources in                                                                                       In the context of its environmental
                                                                                                                  includes an enforceable implementation                     review of the Keeler Dunes Project, the
                                                  other areas. The District concludes that                        schedule for the most recent phase of
                                                  ‘‘these measures are unique in the US                                                                                      District considered alternatives for
                                                                                                                  controls, with all controls in place in                    reducing the windblown dust from the
                                                  and are, by definition, the most                                the attainment year of 2017.
                                                  stringent requirements for these                                                                                           Keeler Dunes, such as covering with
                                                  sources.’’ 69 A description of the lake                         ii. Dune Controls                                          geotextile fabric and gravel or
                                                  bed and dune controls follows.                                                                                             excavation and removal of the dunes,
                                                                                                                     The District is in the process of                       but found them to be infeasible.74
                                                  i. Lake Bed Controls                                            implementing a dust control project on                     d. Evaluation of Reducing Emissions
                                                     Lake bed controls are set forth in the                       Keeler Dunes that involves the                             From Windblown Dust and Associated
                                                  GBUAPCD’s Rule 433, which is                                    placement of approximately 82,000                          Costs
                                                  included in the 2016 PM10 Plan. The                             straw bales and planting of
                                                  EPA has approved Rule 433 into the SIP                          approximately 246,000 native shrubs.72                       The GBUAPCD estimated cost and
                                                  in a separate action.70 Rule 433 requires                       The goal of the project is to create a                     emission impacts of the exposed lake
                                                  the control measures described in                               stable, non-emissive, low-impact                           bed and Keeler Dune controls as shown
                                                  Chapter 6 of the 2016 PM10 Plan and                             vegetated dune system that requires                        in Table 4 below:

                                                               TABLE 4—IMPACT ANALYSIS: CONTROL EFFECTIVENESS, COST INFORMATION, AND COST EFFECTIVENESS 75
                                                                                                         Average
                                                              Source category                                                                                                                                      Cost
                                                                                                          annual                                       Control
                                                              (and windblown                                                                                                               Costs              effectiveness
                                                                                                        emissions                                   effectiveness
                                                               dust controls)                                                                                                                                     (tons)
                                                                                                          (tons)

                                                  Dry Lake Bed (varied con-               2006: 73,174; 2010: 43,325;                    Up to 99 percent depending         $145.8M (annualized) for                 $2,390
                                                    trols, including shallow                2014: 1,936                                    on control and location.           2016 SIP.
                                                    flooding, gravel blanket,
                                                    and managed vegetation.
                                                    See Rule 433.).
                                                  Off-Lake Dunes (straw bales             3,309 ......................................   95 percent based on straw          $700,000 (annualized) for                   222
                                                    and re-vegetation).                                                                    bales with future shrub es-        straw bales and revegeta-
                                                                                                                                           tablishment.                       tion with watering.



                                                  3. EPA Evaluation and Proposed Action                           measures in the Rule are uniquely vast                        The EPA concludes that the 2016
                                                                                                                  in scale, materials, and required                          PM10 Plan demonstrates:
                                                     In the 2016 PM10 Plan, the GBUAPCD                           construction activity. Rule 433
                                                  has provided documentation on Rule                                                                                            (1) Wind erosion from the dry Owens
                                                                                                                  establishes an aggressive, phased,                         Lake bed (and secondarily, from the
                                                  433 and on the Keeler Dunes Project,                            implementation schedule that we are
                                                  quantifying the cost of construction,                                                                                      Keeler Dunes, which have expanded as
                                                                                                                  proposing to find is as expeditious as                     a result of redeposited particles
                                                  materials, operation, and maintenance,
                                                                                                                  practicable. We also find that the                         transported from the dry lake bed 76), is
                                                  and examining other factors such as
                                                                                                                  implementation schedule for the Keeler                     the predominant source of PM10
                                                  energy and environmental impacts. The
                                                  EPA agrees that adequate time must be                           Dunes project is as expeditious as                         emissions that cause or contribute to
                                                                                                                  practicable.                                               PM10 violations in the Owens Valley
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                                                  allowed to fully implement Rule 433
                                                  successfully because the control                                                                                           PM10 NA and that applying BACM to
                                                    68 Id.,pp. 34 and 56.                                           71 For more detail on the Owens Lake bed                   73 2016  PM10 Plan, pp. 19 and 50–53
                                                    69 Id.See Appendix V–1, ‘‘OVPA 2016 SIP BACM                  controls, see Chapter 6 of the 2016 PM10 Plan and            74 Id. See Appendix V–1, ‘‘OVPA 2016 SIP BACM
                                                  Assessment,’’ p. 22.                                            our TSD. Some of these control measures are also           Assessment,’’ pp. 16–17.
                                                    70 81 FR 62849 (September 13, 2016); final
                                                                                                                  described in our proposed approval of the 1998               75 Id. See Appendix V–1, ‘‘OVPA 2016 SIP BACM
                                                                                                                  Plan (64 FR 34173, June 25, 1999).
                                                  approval signed November 10, 2016.                                72 As noted above, no additional active controls         Assessment,’’ p. 21.
                                                                                                                                                                               76 Id., page 61.
                                                                                                                  are anticipated for the Olancha Dunes.



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                                                                         Federal Register / Vol. 81, No. 238 / Monday, December 12, 2016 / Proposed Rules                                                   89417

                                                  other source categories would not                         already in place,79 and must implement                bed as expeditiously as practicable. The
                                                  contribute significantly to achieving the                 Phase 9/10, which requires the control                implementation of the contingency
                                                  NAAQS as expeditiously as practicable;                    of an additional 3.62 square miles of the             measure in Rule 433 does not require
                                                     (2) Rule 433’s control measures to                     Owens Lake bed by December 31, 2017.                  additional rulemaking actions or public
                                                  reduce windblown dust from the dry                        These control requirements include                    hearings. The EPA has concluded,
                                                  Owens Lake bed and area immediately                       enforceable schedules for                             therefore, that the contingency measure
                                                  surrounding the bed of Owens Lake are                     implementation of the specified control               included in the 2016 PM10 Plan through
                                                  unique and satisfy the requirement for                    measures, and the Plan includes                       adopted Rule 433 provides for the
                                                  BACM.                                                     quantification of the emissions                       implementation of contingency
                                                     (3) The goal of the Keeler Dunes                       reductions that will be achieved by                   measures as expeditiously as
                                                  Project is to create a stable self-                       implementation of the control measures.               practicable.
                                                  sustaining low-impact vegetated dune                        In its discussion of the requirement                   The GBUAPCD has demonstrated that
                                                  system to reduce wind erosion.                            for quantitative milestone reports, the               the dry lake bed is the overwhelming
                                                  Implementation of these controls                          District noted that the remaining                     contributor the exceedances of the PM10
                                                  represents BACM since there are no                        milestone for the 2016 PM10 Plan is the               NAAQS, both through PM10 originating
                                                  analogous dust control projects or                        completion of the Phase 9/10 dust                     directly from the lake bed, or from lake
                                                  alternative controls for this type of                     controls, which are enforceable through               bed particles that have been deposited
                                                  source; and                                               Rule 433. In other words, the final                   nearby, which then become a secondary
                                                     (4) No analogous source has been                       quantitative milestone for the 2016 PM10              source of particulate (e.g., the Keeler
                                                  identified to support the economic and                    Plan is 100 percent implementation of                 Dunes).82 Therefore, we have focused
                                                  technological feasibility of any                          the required controls. The GBUAPCD                    our analysis on the control of emissions
                                                                                                            commits to submitting a report to the                 emanating from the lake bed in
                                                  alternative or additional measures for
                                                                                                            EPA by April 1, 2018, as required by                  assessing whether the contingency
                                                  the control of significant sources of
                                                                                                            Section 189(c)(2) of the Act, that                    measure in the 2016 PM10 Plan provides
                                                  wind erosion emissions in the Owens
                                                                                                            demonstrates RFP thorough the                         a year’s worth of average RFP
                                                  Valley PM10 NA.
                                                                                                            achievement of the December 31, 2017                  increment.
                                                  E. Reasonable Further Progress/                           quantitative milestone.                                  Determining the amount of emissions
                                                  Quantitative Milestones                                     The EPA proposes to approve the                     reductions needed for contingency
                                                                                                            enforceable schedule in Rule 433 and                  measures (i.e., a year’s worth of
                                                     CAA section 189(c) requires that PM10                  commitment for completion of the                      reductions) presents a unique challenge
                                                  nonattainment areas must include                          Keeler Dunes Project in 2016 as meeting               in the Owens Valley PM10 NA due to the
                                                  quantitative milestones that are to be                    the RFP requirements of CAA section                   nature of the lake bed and the
                                                  achieved every three years and that                       189(c).                                               meteorological influence on emissions,
                                                  show RFP toward attainment by the                                                                               which leads to a degree of variability in
                                                  applicable attainment deadline.                           F. Contingency Measures
                                                                                                                                                                  annual emissions that is somewhat
                                                  Quantitative milestones may be met in                       The CAA requires that the 2016 PM10                 independent of the application of
                                                  a variety of ways, including by                           Plan include contingency measures to                  controls. For this reason, we have used
                                                  establishing a percent implementation                     be implemented if the area fails to meet              the annual average area of the lake bed
                                                  of various control strategies, by percent                 progress requirements or fails to attain              on which controls are required for the
                                                  compliance with implemented control                       the NAAQS by the applicable deadline.                 period of 2007 (the year the EPA made
                                                  measures, or adherence to a compliance                    These contingency measures should                     a finding of failure to attain) through
                                                  schedule.77 Prior to submittal of the                     take effect without requiring further                 2017 (the attainment year) as a surrogate
                                                  2016 PM10 Plan, lake bed controls were                    action by the state or the EPA and                    for the annual amount (tons) of
                                                  established that yielded significant                      should be fully implemented as                        emissions reductions required. This
                                                  emissions reductions, as reflected in the                 expeditiously as practicable.80                       results in an annual average area of 1.8
                                                  annual emissions inventory 78 and                         Contingency measures should also                      square miles.83 Rule 433 provides for
                                                  illustrated in Figure 8–1 of the Plan.                    provide for emissions reductions                      the implementation of controls on an
                                                  Unsurprisingly, given the variable                        equivalent to one year’s average                      additional 4.78 square miles of lake bed,
                                                  nature of the emissions sources and the                   increment of RFP.81                                   which is more than double the annual
                                                  periodic delays due to disputed control                     Because it is not possible to predict               average. We therefore conclude the
                                                  measures, the decline is not linear;                      which areas of the lake bed may become                contingency measure provisions in Rule
                                                  however, as noted previously,                             emissive and cause a failure to meet                  433 satisfy the contingency measure
                                                  reductions sufficient to provide for                      progress requirements or to attain the                requirements under CAA section
                                                  attainment will be achieved within the                    NAAQS, Rule 433 requires the District                 172(c)(9).
                                                  required timeframe. Under the                             to evaluate at least once per calendar
                                                  circumstances, we find that the progress                  year whether additional areas of the lake             G. Transportation Conformity
                                                  achieved prior to the 2016 adoption of                    bed require controls. If the GBUAPCD                    Transportation conformity is required
                                                  the Plan is reasonable.                                   determines that the Owens Valley PM10                 by CAA section 176(c). Our conformity
                                                     The GBUAPCD’s Rule 433 and the                         NA has not met progress requirements                  rule (40 CFR part 93, subpart A) requires
                                                  Keeler Dunes Project establish                            or will not timely attain, Rule 433                   that transportation plans, programs, and
                                                  requirements for additional controls that                 requires the implementation of BACM
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                                                  will be completed in 2017 and that                        control measures on up to an additional                 82 For additional discussion, see Chapter 7 of the

                                                                                                            4.78 square miles of the Owens Lake                   2016 PM10 Plan and the attainment demonstration
                                                  provide for additional emissions                                                                                analysis in the TSD for this action.
                                                  reductions. Under Rule 433, the City of                                                                           83 A total of 18.2 square miles will be controlled
                                                                                                              79 These areas consist of the 2003 Dust Control
                                                  Los Angeles must continue to                                                                                    in 10-year period of 2007 through 2017 (the 2006
                                                                                                            Area (29.8 square miles), the 2006 Dust Control       Dust Control and Channel Area encompasses 13.2
                                                  implement all control measures that are                   Area and Channel Area (13.2 square miles), and the    square miles; the Phase 8 Area encompasses 2.0
                                                                                                            Phase 8 area (2.0 square miles).                      square miles; the Phase 9/10 Area encompasses
                                                    77 59   FR 41998 at 42016.                                80 59 FR 41998 at 42015.
                                                                                                                                                                  3.62—the provisionally excluded Cultural Resource
                                                    78 2016   PM10 Plan, Table 4–3.                           81 Id.                                              Areas encompass approximately 0.6 square miles).



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                                                  89418                  Federal Register / Vol. 81, No. 238 / Monday, December 12, 2016 / Proposed Rules

                                                  projects conform to state air quality                     demonstration of attainment under                        In addition, the SIP is not approved
                                                  implementation plans and establishes                      section 189(b)(1)(A). The EPA is also                 to apply on any Indian reservation land
                                                  the criteria and procedures for                           proposing to approve the State’s request              or in any other area where the EPA or
                                                  determining whether or not they do so.                    for an extension of the attainment date               an Indian tribe has demonstrated that a
                                                  Conformity to a SIP means that                            to June 6, 2017 pursuant to CAA                       tribe has jurisdiction. In those areas of
                                                  transportation activities will not                        sections 188 and 179.                                 Indian country, the rule does not have
                                                  produce new air quality violations,                                                                             tribal implications and will not impose
                                                  worsen existing violations, or delay                      IV. Statutory and Executive Order
                                                                                                                                                                  substantial direct costs on tribal
                                                  timely attainment of the NAAQS or the                     Reviews
                                                                                                                                                                  governments or preempt tribal law as
                                                  timely achievement of interim                                Under the Clean Air Act, the                       specified by Executive Order 13175 (65
                                                  milestones. However, if the EPA                           Administrator is required to approve a                FR 67249, November 9, 2000). We
                                                  determines that a SIP demonstrates that                   SIP submission that complies with the                 intend to offer to consult with local
                                                  motor vehicle emissions are an                            provisions of the Act and applicable                  tribes during the comment period.
                                                  insignificant contributor to the air                      federal regulations. 42 U.S.C. 7410(k);
                                                  quality problem, states are not required                  40 CFR 52.02(a). Thus, in reviewing SIP               List of Subjects in 40 CFR Part 52
                                                  to establish motor vehicle emissions                      submissions, the EPA’s role is to                       Environmental protection, Air
                                                  budgets or perform a regional emissions                   approve State choices, provided that                  pollution control, Incorporation by
                                                  analysis for transportation conformity                    they meet the criteria of the Clean Air               reference, Intergovernmental relations,
                                                  purposes.84                                               Act. Accordingly, this proposed action                Particulate matter, Reporting and
                                                     In section 6.1.2 of the Plan, the                      merely proposes to approve State law as               recordkeeping requirements.
                                                  GBUAPCD provides its argument for                         meeting federal requirements and does                   Authority: 42 U.S.C. 7401 et seq.
                                                  why motor vehicle emissions are                           not impose additional requirements
                                                  insignificant contributors to the PM10                                                                            Dated: December 1, 2016.
                                                                                                            beyond those imposed by State law. For
                                                  problem in the Owens Valley PM10 NA.                      that reason, this proposed action:                    Deborah Jordan,
                                                  First, the District noted that motor                         • Is not a ‘‘significant regulatory                Acting Regional Administrator, Region IX.
                                                  vehicle tailpipe emissions and re-                        action’’ subject to review by the Office              [FR Doc. 2016–29758 Filed 12–9–16; 8:45 am]
                                                  entrained roadway dust contribute just                    of Management and Budget under                        BILLING CODE 6560–50–P
                                                  1.4 percent of the 2016 PM10 emissions.                   Executive Order 12866 (58 FR 51735,
                                                  The District also observed that the State                 October 4, 1993);
                                                  estimates the annual population growth                       • Does not impose an information                   ENVIRONMENTAL PROTECTION
                                                  (about 0.7 percent) and increase in                       collection burden under the provisions                AGENCY
                                                  vehicle miles traveled (about 1.2 percent                 of the Paperwork Reduction Act (44
                                                  annually) and argued that it is unlikely                                                                        40 CFR Part 55
                                                                                                            U.S.C. 3501 et seq.);
                                                  that ‘‘these emissions would grow to                         • Is certified as not having a                     [OAR–2004–0091; FRL–9956–07–Region 9]
                                                  such an extent as to cause a NAAQS                        significant economic impact on a
                                                  violation in the future.’’ Finally, the                   substantial number of small entities                  Outer Continental Shelf Air
                                                  District pointed out the absence of                       under the Regulatory Flexibility Act (5               Regulations; Consistency Update for
                                                  measures in the SIP that control motor                                                                          California
                                                                                                            U.S.C. 601 et seq.);
                                                  vehicle emissions. In light of these
                                                                                                               • Does not contain any unfunded                    AGENCY:  Environmental Protection
                                                  factors, the EPA concurs with the
                                                                                                            mandate or significantly or uniquely                  Agency (EPA).
                                                  District’s conclusion that motor vehicle
                                                                                                            affect small governments, as described                ACTION: Proposed rule.
                                                  emissions are insignificant contributors
                                                                                                            in the Unfunded Mandates Reform Act
                                                  to the PM10 problem in the Owens
                                                                                                            of 1995 (Pub. L. 104–4);                              SUMMARY:    The Environmental Protection
                                                  Valley. Accordingly, the GBUAPCD is
                                                  not required to establish motor vehicle                      • Does not have Federalism                         Agency (EPA) is proposing to update
                                                  budgets in this plan or to perform                        implications as specified in Executive                portions of the Outer Continental Shelf
                                                  regional emissions analyses for                           Order 13132 (64 FR 43255, August 10,                  (‘‘OCS’’) Air Regulations. Requirements
                                                  transportation conformity.                                1999);                                                applying to OCS sources located within
                                                                                                               • Is not an economically significant               25 miles of States’ seaward boundaries
                                                  III. Summary of the EPA’s Proposed                        regulatory action based on health or                  must be updated periodically to remain
                                                  Action                                                    safety risks subject to Executive Order               consistent with the requirements of the
                                                     The EPA is proposing to approve the                    13045 (62 FR 19885, April 23, 1997);                  corresponding onshore area (‘‘COA’’), as
                                                  Serious area 2016 PM10 Plan submitted                        • Is not a significant regulatory action           mandated by section 328(a)(1) of the
                                                  by the State of California for the Owens                  subject to Executive Order 13211 (66 FR               Clean Air Act, as amended in 1990 (‘‘the
                                                  Valley PM10 nonattainment area.                           28355, May 22, 2001);                                 Act’’). The portions of the OCS air
                                                  Specifically, the EPA is proposing to                        • Is not subject to requirements of                regulations that are being updated
                                                  approve the 2016 PM10 Plan with                           Section 12(d) of the National                         pertain to the requirements for OCS
                                                  respect to the CAA requirements for                       Technology Transfer and Advancement                   sources for which the Santa Barbara
                                                  public notice and involvement under                       Act of 1995 (15 U.S.C. 272 note) because              County Air Pollution Control District
                                                  section 110(a)(1); emissions inventories                  application of those requirements would               (‘‘Santa Barbara County APCD’’) and
                                                  under section 172(c)(3); the control                      be inconsistent with the Clean Air Act;               Ventura County Air Pollution Control
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                                                  measures in Rule 433 under section                        and                                                   District (‘‘Ventura County APCD’’) are
                                                  110(k)(3), as meeting the requirements                       • Does not provide the EPA with the                the designated COAs. The intended
                                                  of sections 110(a) and 189(b)(1)(B); RFP                  discretionary authority to address                    effect of approving the OCS
                                                  and quantitative milestones under                         disproportionate human health or                      requirements for the Santa Barbara
                                                  section 189(c); the contingency measure                   environmental effects with practical,                 County APCD and Ventura County
                                                  in Rule 433 under section 172(c)(9); and                  appropriate, and legally permissible                  APCD is to regulate emissions from OCS
                                                                                                            methods under Executive Order 12898                   sources in accordance with the
                                                    84 40   CFR 93.109(f).                                  (59 FR 7629, February 16, 1994).                      requirements onshore. The changes to


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Document Created: 2018-02-14 09:05:34
Document Modified: 2018-02-14 09:05:34
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionProposed Rules
ActionProposed rule.
DatesAny comments on this proposal must arrive by January 11, 2017.
ContactGinger Vagenas, EPA Region IX, 415- 972-3964, [email protected]
FR Citation81 FR 89407 
CFR AssociatedEnvironmental Protection; Air Pollution Control; Incorporation by Reference; Intergovernmental Relations; Particulate Matter and Reporting and Recordkeeping Requirements

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