81_FR_95834 81 FR 95585 - Applicability Determination Index (ADI) Data System Recent Posting: Agency Applicability Determinations, Alternative Monitoring Decisions, and Regulatory Interpretations Pertaining to Standards of Performance for New Stationary Sources, National Emission Standards for Hazardous Air Pollutants, and the Stratospheric Ozone Protection Program

81 FR 95585 - Applicability Determination Index (ADI) Data System Recent Posting: Agency Applicability Determinations, Alternative Monitoring Decisions, and Regulatory Interpretations Pertaining to Standards of Performance for New Stationary Sources, National Emission Standards for Hazardous Air Pollutants, and the Stratospheric Ozone Protection Program

ENVIRONMENTAL PROTECTION AGENCY

Federal Register Volume 81, Issue 249 (December 28, 2016)

Page Range95585-95591
FR Document2016-31235

This notice announces applicability determinations, alternative monitoring decisions, and regulatory interpretations that EPA has made under the New Source Performance Standards (NSPS); the National Emission Standards for Hazardous Air Pollutants (NESHAP); and/ or the Stratospheric Ozone Protection Program.

Federal Register, Volume 81 Issue 249 (Wednesday, December 28, 2016)
[Federal Register Volume 81, Number 249 (Wednesday, December 28, 2016)]
[Notices]
[Pages 95585-95591]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-31235]



[[Page 95585]]

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ENVIRONMENTAL PROTECTION AGENCY

[FRL-9956-57-OECA]


Applicability Determination Index (ADI) Data System Recent 
Posting: Agency Applicability Determinations, Alternative Monitoring 
Decisions, and Regulatory Interpretations Pertaining to Standards of 
Performance for New Stationary Sources, National Emission Standards for 
Hazardous Air Pollutants, and the Stratospheric Ozone Protection 
Program

AGENCY: Environmental Protection Agency (EPA).

ACTION: Notice of availability.

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SUMMARY: This notice announces applicability determinations, 
alternative monitoring decisions, and regulatory interpretations that 
EPA has made under the New Source Performance Standards (NSPS); the 
National Emission Standards for Hazardous Air Pollutants (NESHAP); and/
or the Stratospheric Ozone Protection Program.

FOR FURTHER INFORMATION CONTACT: An electronic copy of each complete 
document posted on the Applicability Determination Index (ADI) data 
system is available on the Internet through the Resources and Guidance 
Documents for Compliance Assistance page of the Clean Air Act 
Compliance Monitoring Web site under ``Air'' at: https://www2.epa.gov/compliance/resources-and-guidance-documents-compliance-assistance. The 
letters and memoranda on the ADI may be located by date, office of 
issuance, subpart, citation, control number, or by string word 
searches. For questions about the ADI or this notice, contact Maria 
Malave at EPA by phone at: (202) 564-7027, or by email at: 
[email protected]. For technical questions about individual 
applicability determinations, monitoring decisions or regulatory 
interpretations, refer to the contact person identified in the 
individual documents, or in the absence of a contact person, refer to 
the author of the document.

SUPPLEMENTARY INFORMATION: 

Background

    The General Provisions of the NSPS in 40 Code of Federal 
Regulations (CFR) part 60 and the General Provisions of the NESHAP in 
40 CFR part 61 provide that a source owner or operator may request a 
determination of whether certain intended actions constitute the 
commencement of construction, reconstruction, or modification. The 
EPA's written responses to these inquiries are commonly referred to as 
applicability determinations. See 40 CFR 60.5 and 61.06. Although the 
NESHAP part 63 regulations [which include Maximum Achievable Control 
Technology (MACT) standards and/or Generally Available Control 
Technology (GACT) standards] and Section 111(d) of the Clean Air Act 
(CAA) contain no specific regulatory provision providing that sources 
may request applicability determinations, the EPA also responds to 
written inquiries regarding applicability for the part 63 and Section 
111(d) programs. The NSPS and NESHAP also allow sources to seek 
permission to use monitoring or recordkeeping that is different from 
the promulgated requirements. See 40 CFR 60.13(i), 61.14(g), 
63.8(b)(1), 63.8(f), and 63.10(f). The EPA's written responses to these 
inquiries are commonly referred to as alternative monitoring decisions. 
Furthermore, the EPA responds to written inquiries about the broad 
range of NSPS and NESHAP regulatory requirements as they pertain to a 
whole source category. These inquiries may pertain, for example, to the 
type of sources to which the regulation applies, or to the testing, 
monitoring, recordkeeping, or reporting requirements contained in the 
regulation. The EPA's written responses to these inquiries are commonly 
referred to as regulatory interpretations.
    The EPA currently compiles EPA-issued NSPS and NESHAP applicability 
determinations, alternative monitoring decisions, and regulatory 
interpretations, and posts them to the ADI on a regular basis. In 
addition, the ADI contains EPA-issued responses to requests pursuant to 
the stratospheric ozone regulations, contained in 40 CFR part 82. The 
ADI is a data system on the Internet with over three thousand EPA 
letters and memoranda pertaining to the applicability, monitoring, 
recordkeeping, and reporting requirements of the NSPS, NESHAP, and 
stratospheric ozone regulations. Users can search for letters and 
memoranda by date, office of issuance, subpart, citation, control 
number, or by string word searches.
    Today's notice comprises a summary of 30 such documents added to 
the ADI on December 6, 2016. This notice lists the subject and header 
of each letter and memorandum, as well as a brief abstract of the 
letter or memorandum. Complete copies of these documents may be 
obtained from the ADI on the Internet through the Resources and 
Guidance Documents for Compliance Assistance page of the Clean Air Act 
Compliance Monitoring Web site under ``Air'' at: https://www2.epa.gov/compliance/resources-and-guidance-documents-compliance-assistance.

Summary of Headers and Abstracts

    The following table identifies the control number for each document 
posted on the ADI data system on December 6, 2016; the applicable 
category; the section(s) and/or subpart(s) of 40 CFR part 60, 61, or 63 
(as applicable) addressed in the document; and the title of the 
document, which provides a brief description of the subject matter.
    We have also included an abstract of each document identified with 
its control number after the table. These abstracts are provided solely 
to alert the public to possible items of interest and are not intended 
as substitutes for the full text of the documents. This notice does not 
change the status of any document with respect to whether it is ``of 
nationwide scope or effect'' for purposes of CAA section 307(b)(1) For 
example, this notice does not convert an applicability determination 
for a particular source into a nationwide rule. Neither does it purport 
to make a previously non-binding document binding.

             ADI Determinations Uploaded on December 6, 2016
------------------------------------------------------------------------
     Control No.          Categories        Subparts          Title
------------------------------------------------------------------------
1500007..............  NSPS...........  Eb.............  Waiver of
                                                          System
                                                          Operational
                                                          Limits During
                                                          Performance
                                                          Test.
1500050..............  MACT, NESHAP,    A, Db, JJJJJJ..  Extension
                        NSPS.                             Request for
                                                          Initial
                                                          Performance
                                                          Test at Coal-
                                                          Fired Boiler.
1500053..............  NSPS...........  Ja.............  Alternative
                                                          Monitoring
                                                          Plan for
                                                          Flares at a
                                                          Petroleum
                                                          Refinery.
1500061..............  NSPS...........  IIII...........  Regulatory
                                                          Interpretation
                                                          for Bi-fuel
                                                          Engine Kits.
1500075..............  NSPS...........  KKK, OOOO, VV,   Applicability
                                         VVa.             Determination
                                                          for a Natural
                                                          Gas Processing
                                                          Plant.
1500076..............  NSPS...........  Ja.............  Applicability
                                                          Determination
                                                          for a
                                                          Condensate
                                                          Splitter
                                                          Processing
                                                          Facility.
1500077..............  NSPS...........  CCCC, DDDD.....  Applicability
                                                          Determination
                                                          for Thermal
                                                          Oxidizer.

[[Page 95586]]

 
1500078..............  NSPS...........  OOO............  Applicability
                                                          Determination
                                                          for Equipment
                                                          Replacement at
                                                          Salt Recovery
                                                          Production
                                                          Line.
1500079..............  NSPS...........  DD.............  Applicability
                                                          Determination
                                                          for Wire
                                                          Screen Column
                                                          Dryers.
1500080..............  NSPS...........  JJJ............  Applicability
                                                          Determination
                                                          for Closed
                                                          Loop Dry to
                                                          Dry Cleaning
                                                          Equipment.
1500084..............  NSPS...........  KKK, NNN, OOOO,  Alternative
                                         RRR.             Monitoring for
                                                          Vent Streams
                                                          Flow
                                                          Monitoring and
                                                          Pilot Light
                                                          Monitoring.
1600001..............  GACT, MACT,      CCCC, DDDDD,     Applicability
                        NESHAP, NSPS.    JJJJJJ.          Determination
                                                          for a Stoker
                                                          Boiler.
1600002..............  NSPS...........  OOO............  Extension
                                                          Request for
                                                          Performance
                                                          Test at Sand
                                                          Mine.
1600005..............  NSPS...........  LLLL...........  Alternative
                                                          Monitoring for
                                                          Granular
                                                          Activated
                                                          Carbon and
                                                          Fugitive Ash
                                                          Monitoring at
                                                          Sewage Sludge
                                                          Incinerator.
1600006..............  NSPS...........  LLLL...........  Alternative
                                                          Monitoring for
                                                          Wet
                                                          Electrostatic
                                                          Precipitator
                                                          at Sewage
                                                          Sludge
                                                          Incinerator.
1600007..............  NSPS...........  Ja.............  Alternative
                                                          Monitoring of
                                                          Hydrogen
                                                          Sulfide from
                                                          Flares at
                                                          Chemical
                                                          Plant.
1600008..............  NSPS...........  J, Ja..........  Alternative
                                                          Monitoring of
                                                          Hydrogen
                                                          Sulfide from
                                                          Portable
                                                          Temporary
                                                          Thermal
                                                          Oxidizer Units
                                                          at Refinery
                                                          Degassing
                                                          Operations.
M150035..............  MACT, NESHAP...  HHHHHHH........  Alternative
                                                          Monitoring for
                                                          Scrubber at
                                                          Polyvinyl
                                                          Chloride
                                                          Plant.
M150038..............  MACT, NESHAP...  N..............  Alternative
                                                          Monitoring
                                                          Procedures for
                                                          Air Pollution
                                                          Control Device
                                                          at Chrome
                                                          Plating
                                                          Facility.
M150039..............  MACT, NESHAP...  DDDDD..........  Alternative
                                                          Monitoring for
                                                          Wet Scrubbers
                                                          at Pulp and
                                                          Paper Mill.
M150040..............  MACT, NESHAP...  DDDDD..........  Alternative
                                                          Monitoring for
                                                          Wet Venturi
                                                          Scrubber and
                                                          Power Boiler.
M160001..............  MACT, NESHAP...  RRR............  Applicability
                                                          Determination
                                                          for an
                                                          Aluminum Chip
                                                          Dryer.
M160002..............  MACT, NESHAP...  DDDD, DDDDD....  Applicability
                                                          Determination
                                                          for Drying
                                                          Kilns and
                                                          Boilers.
M160003..............  MACT, NESHAP...  DDDDD..........  Applicability
                                                          Determination
                                                          for a Biomass
                                                          Boiler Sub-
                                                          Categorization
                                                          .
M160004..............  MACT, NESHAP...  BBBBB..........  Applicability
                                                          Determination
                                                          for
                                                          Semiconductor
                                                          Facility.
Z150003..............  MACT, NESHAP...  BBBBBB.........  Alternative
                                                          Monitoring for
                                                          Internal
                                                          Floating Roof
                                                          Tanks.
Z150007..............  MACT, NESHAP...  ZZZZ...........  Regulatory
                                                          Interpretation
                                                          of Duke Energy
                                                          Emergency
                                                          Generator
                                                          Programs.
Z150008..............  MACT, NESHAP,    IIII, JJJJ,      Regulatory
                        NSPS.            ZZZZ.            Interpretation
                                                          on Stack
                                                          Testing for
                                                          Reciprocating
                                                          Internal
                                                          Combustion
                                                          Engines.
Z150012..............  GACT, MACT,      JJJJJJ.........  Regulatory
                        NESHAP.                           Interpretation
                                                          of Emissions
                                                          Test Data for
                                                          Wood-Fired
                                                          Boilers.
Z160001..............  GACT, MACT,      DDDDDDD........  Clarification
                        NESHAP.                           of Prepared
                                                          Feeds Area
                                                          Source Rule.
------------------------------------------------------------------------

Abstracts

Abstract for [1500007]

    Q: Will the EPA grant a waiver to the large municipal waste 
combustor (MWC) at Covanta Marion, Inc. (CMI) in Brooks, Oregon, 
pursuant to its authority under 40 CFR 60.53b(b)(2) for the combustor 
unit load level limitations, under 40 CFR 60.53b(c)(1) for the 
particulate matter control device inlet temperature, and under 40 CFR 
60.58b(m)(2)(ii) for the average mass carbon feed rate, for the two 
weeks preceding, and during the annual dioxin/furan and mercury 
performance tests for the purpose of evaluating system performance?
    A: Yes. For the purpose of evaluating system performance, the EPA 
agrees to waive the following operational limits imposed to large 
municipal waste combustors under the Federal Plan at subpart FFF, part 
62, pursuant to its authority under 40 CFR 60.53b(b)(2): (1) MWC load 
level (steam generation rate), (2) flue gas temperatures at the inlet 
to the particulate matter control device, and (3) activated carbon 
injection rate (mass carbon feed rate). These requirements are waived 
for the two week period preceding, and during the annual dioxin/furan 
and mercury performance test which is scheduled to take place during 
the week of June 9, 2014 at the CMI MWC. This waiver is limited to the 
time frame and operational limits specifically identified above, and 
all otherwise applicable requirements continue to be in effect during 
this period.

Abstract for [1500050]

    Q: May the Eielson Air Force Base (EAFB) in Alaska have an 
extension to the required initial performance test deadlines for a 
recently constructed Boiler 6A subject to 40 CFR part 60 subpart Db and 
40 CFR part 63 subpart JJJJJJ under the force majeure provisions in 40 
CFR 60.2, 60.8(a)(1) through (4); 63.2, and 60.7(a)(4)(i) through 
(iii)?
    A: No. The EPA determines that the event described in the request 
does not meet the definition of a ``force majeure event''. The EPA 
cannot conclude that the delay in full operation of B6A in sufficient 
time to conduct the required initial performance tests was beyond the 
control of the EAFB; therefore, the EPA is denying the EAFB's request 
to extend the April 26, 2015, deadline for conducting the initial 
performance testing of B6A.

Abstract for [1500053]

    Q: Will the EPA approve alternatives to the quality assurance 
testing requirements, required by 40 CFR 60.107a(e)(1), for the total 
reduced sulfur (TRS) flare analyzer at the CHS Inc. refinery in Laurel, 
Montana?
    A: Yes. The EPA conditionally approves the alternative quality 
assurance testing requirements for the high range TRS portion of the 
analyzer under 40 CFR 60.l3(i). The conditions for approval of the AMP 
request to address safety hazards concerns are established in the EPA 
response letter, which include a laboratory demonstration of linearity 
for the analyzer.

Abstract for [1500061]

    Q1: Does the installation of the bi-fuel kit on new U.S. EPA-
certified units at engines at the USR Corporation in Virginia subject 
to NSPS subpart IIII affect the manufacturer's certification?

[[Page 95587]]

In other words, is the unit still a certified unit?
    A1: No. The EPA determines that the engine is no longer certified 
after the conversion and the owner/operator must follow the 
requirements listed under 40 CFR 60.4211(g) to show compliance with 
emission standards in NSPS subpart IIII.
    Q2: Does the installation and operation of the bi-fuel kit on a 
certified engine constitute tampering under the Clean Air Act, or is 
this action prohibited by other provisions of the Clean Air Act?
    A2: No. The EPA determines this action is not prohibited for 
certified stationary compression ignition internal combustion engines 
(CI ICE), but after the installation and operation of the kit, the unit 
is no longer certified. The owner/operator must show compliance with 
emission standards by following requirements listed in 40 CFR 
60.4211(g).
    Q3: If a manufacturer's certification is affected for an engine, 
what specific requirements must be performed to ensure compliance with 
emission standards under NSPS subpart IIII? URS requests a 
determination as to the testing procedures required for a facility with 
a fleet of identical engines which have been installed with bi-fuel 
units. The engines are identical in size, horsepower, model year, etc. 
The test would determine compliance with NSPS subpart IIII and would 
represent compliance for all the identical engines for the client. It 
is URS' contention that since the engines are identical in every way, 
it would be unnecessary and cost prohibitive to test all of the 
engines. Can a representative engine test satisfy the testing 
requirements for a fleet of identical engines for the same client?
    A3: No. The testing requirements are listed in 40 CFR 60.4211(g). 
An initial performance test must be conducted for stationary CI ICE 
less than or equal to 500 horsepower (HP). For stationary CI ICE 
greater than 500 horsepower, the owner/operator must conduct an initial 
test, and subsequent testing every 8,760 hours of operation or every 3 
years, whichever comes first. The EPA determines that a representative 
engine test cannot satisfy the testing requirements for a fleet of 
identical engines for one client, unless the owner/operator has 
requested and received approval of a waiver of the performance testing 
requirements, listed under 40 CFR 60.8(b).

Abstract for [1500075]

    Q1: Does the NSPS subpart OOOO apply to the storage facilities at 
the Williams Four Corners LLC Ignacio Gas Plant located near Ignacio, 
Colorado?
    A1: Yes. Based on the information provided, the EPA understands the 
storage facilities referred to are the portion of the plant which 
stores final product (propane, butane, etc.) prior to offsite 
transport. As such, the storage facilities at the Ignacio Gas Plant are 
a process unit and an affected facility under subpart OOOO.
    Q2: What value should the Ignacio Gas Plant use for ``B'' in the 
equation for determining whether a ``capital expenditure'' has 
occurred, and thus a modification under subpart OOOO at the Ignacio Gas 
Plant?
    A2: For determining whether a modification has occurred at the 
Ignacio Gas Plant under subpart OOOO, in the equation for capital 
expenditure in 40 CFR 60.481(a), the value to be used for ``B'' is 4.5 
and the value to be used for ``X'' is 2011 minus the year of 
construction.

Abstract for [1500076]

    Q1: Does the EPA determine that NSPS subpart Ja applies to the 
condensate splitter located at the Kinder Morgan Crude & Condensate LCC 
(KMCC) Facility, a petroleum refinery located in Galena Park, Texas?
    A1: Yes. Based upon the information provided, the EPA determines 
that the KMCC condensate splitter facility is a refinery under subpart 
Ja because it receives and distills a crude oil and condensate 
hydrocarbon mixture into various refined petroleum products. Based on 
review of the company's information, the EPA concludes that the raw 
material feedstock, processes employed, and products generated meet the 
definition of a petroleum refinery provided at 40 CFR 60.101a.

Abstract for [1500077]

    Q1: Does the EPA determine that the thermal oxidizer at the 3M 
Company (3M) facility in Cordova, Illinois is subject to the Standards 
of Performance for Commercial and Industrial Solid Waste Incineration 
(CISWI) Units, 40 CFR part 60 subpart CCCC?
    A1: No. The EPA determines that the thermal oxidizer is not subject 
to subpart CCCC because 3M commenced construction of the thermal 
oxidizer before the threshold date for a new CISWI unit.
    Q2: Does the EPA determine that a fluorinated liquid organic 
chemical byproduct from a chemical manufacturing process unit at the 
facility which is atomized in the thermal oxidizer is not a ``solid 
waste'' as defined in 40 CFR 60.2265?
    A2: Yes. Based on the information provided, the byproduct liquid 
appears to meet the Non Hazardous Secondary Material (NHSM) criteria 
and would be considered a non-waste ingredient under the 40 CFR part 
241 regulations.

Abstract for [1500078]

    Q1: Does the EPA determine that the ``like-for-like'' replacement 
exemption in 40 CFR 60.670(d) is applicable to the replacement of 
affected facilities on production lines that were constructed after 
August 31, 1983 at the 3M Company salt recovery production line located 
in Elyria, Ohio?
    A1: Yes. The EPA determines that the ``like-for-like'' replacement 
exemption in 40 CFR 60.670(d)(1) of subpart OOO is applicable to 
``affected facilities'' (those constructed after August 31, 1983) with 
regards to the subpart OOO amendments promulgated on April 28, 2009 
based on 3M's description that the Weigh Conveyors A and B are equal or 
smaller in size to and perform the same function as the original 
conveyors, and emissions at the conveyors did not increase, and as long 
as the remaining affected facilities in the salt recovery production 
line have not been replaced since April 22, 2008.
    Q2: What emission standards apply to a production line constructed 
after August 31, 1983 that includes affected facilities constructed as 
a ``like-for-like'' replacement after April 22, 2008, assuming that all 
of the affected facilities on the production line have not been 
replaced as provided in 40 CFR 60.670(d)(3)?
    A2: A production line constructed after August 31, 1983 that 
includes affected facilities constructed as a ``like-for-like'' 
replacement after April 22, 2008 is subject to the original subpart OOO 
rule standards promulgated on August 1, 1985, and not the 2009 subpart 
OOO rule standards, as long as all affected facilities on the 
production line have not been replaced.

Abstract for [1500079]

    Q: Does the EPA determine that NSPS subpart DD applies to column 
dryers constructed of woven wire screen at the Riceland Foods facility 
in Stuttgart, Arkansas (Riceland)?
    A: No. The EPA determines that although the Riceland facility is a 
grain terminal elevator subject to subpart DD, the column dryers in 
question are a new subcategory of grain dryers not subject to subpart 
DD due to its differences in size, type and class of column dryers. The 
EPA has stated this position in the July 9, 2014 proposed rule for 
subpart DD and in a new proposed subpart DDa

[[Page 95588]]

rule, which now includes a definition for ``wire screen column 
dryers''.

Abstract for [1500080]

    Q: Does the EPA determine that NSPS subpart JJJ for Petroleum Dry 
Cleaners applies to closed loop, dry to dry new hydrocarbon equipment 
at Parrot Cleaners facility in Louisville, Kentucky?
    A: No. The EPA determines that the dry to dry closed loop machines 
installed at Parrot Cleaners do not meet the definition of a 
``petroleum dry cleaner,'' in that they do not use solvent in a 
``combination of washers, dryers, filters, stills, and settling tanks'' 
since these are single unit machines. The EPA intent to regulate dry 
cleaning machines with separate units (i.e., transfer machines with 
separate washers and dryers) in subpart JJJ is evidenced by the 
equipment standard requiring separate ``solvent recovery dryers'' in 
section 60.622 and in the testing procedures in section 60.624, as well 
as in other EPA statements regarding the petroleum solvent drycleaning 
industry. Therefore, subpart JJJ does not apply to the dry to dry 
machines installed at the facility.

Abstract for [1500084]

    Q1: Does the EPA approve the use of a lock and seal configuration 
in lieu of flow indicators to monitor VOC containing vent streams 
routed from distillation facilities to plant flares at the Aux Sable 
Liquid Products (ASLP) facility in Morris, Illinois to demonstrate 
compliance with requirements of 40 CFR 63 subpart NNN?
    A1: Yes. The EPA approves locking or sealing leak-proof bypass 
valves in the closed position in lieu of flow indicators. ASLP will 
conduct monthly monitoring of the lock or seal valves to ensure that 
they function and are kept in the closed position. ASLP will maintain a 
log of each lock or seal inspection and comply with the monitoring 
requirements of 40 CFR 60.703(b)(2), 40 CFR 60.703(b)(2)(i), and 40 CFR 
60.703 (b)(2)(ii) of NSPS subpart RRR for the purpose of complying with 
NSPS NNN. In addition, ASLP will need to comply with the monitoring and 
record keeping requirements of 40 CFR 60.705(d)(2) and (s).
    Q2: Does the EPA approve the use of infrared cameras to monitor the 
continuous presence of a pilot light in lieu of a thermocouple or 
ultraviolet beam sensor, in the ASLP Morris, Illinois facility?
    A2: No. The EPA does not approve the use of an infrared camera 
pilot monitor (PM) to meet the requirements of 40 CFR 60.663(b), 40 CFR 
60.703(b) and 40 CFR 60.18(e)(2) because ASLP is unable to prove that 
their pilot monitor can continuously monitor the presence of a pilot 
flame. The PM is able to detect the flare flame accurately and 
reliability when the vent gas is flowing, but it has not proven to have 
sufficient resolution for a situation where the pilot light is not 
present and a flare flame is present with vent gas flowing.

Abstract for [1600001]

    Q1: Does the EPA determine that the stoker boiler at Fibrominn LLC 
(Fibrominn) in Benson, Minnesota is subject to the Standards of 
Performance for Commercial and Industrial Solid Waste Incineration 
(CISWI) Units, 40 CFR part 60 subpart CCCC (CISWI NSPS)?
    A1: No. Although the EPA concludes that the boiler is a CISWI unit, 
Fibrominn commenced construction of its boiler on or before June 4, 
2010 and there is no evidence that it has been modified or 
reconstructed after August 7, 2013. Therefore, the EPA concludes that 
Fibrominn's boiler is not subject to the CISWI NSPS pursuant to 40 CFR 
60.2010 and 60.2015.
    Q2: Does the EPA determine that Fibrominn's boiler is subject to 
the Federal Plan Requirements for CISWI Units That Commenced 
Construction On or Before November 30, 1999, 40 CFR part 62 subpart III 
(CISWI FIP)?
    A2: No. Fibrominn's boiler is not subject to the CISWI FIP because 
Fibrominn commenced construction between November 30, 1999, and June 4, 
2010. The CISWI NSPS applies to each CISWI unit that commenced 
construction after June 4, 2010, or commenced reconstruction or 
modification after August 7, 2013.
    Q3: Does the EPA determine that Fibrominn's boiler is exempt from 
the requirements in the CISWI FIP?
    A3: No. Fibrominn's boiler is not subject to the CISWI FIP. 
Therefore, the question of whether Fibrominn's boiler is exempt from 
the CISWI FIP is moot.
    Q4: Does the EPA determine that Fibrominn can avoid being subject 
to the NESHAP for Major Sources: Industrial, Commercial, and 
Institutional Boilers and Process Heaters, 40 CFR part 63 subpart DDDDD 
(Major Source Boiler MACT) by taking federally enforceable limits on 
its potential to emit prior to the compliance date, January 31, 2016?
    A4: Yes. The EPA agrees that Fibrominn can take federally 
enforceable limits on its potential to emit to avoid being subject to 
the Major Source Boiler MACT. By doing so, Fibrominn would become 
subject to the NESHAP for Industrial, Commercial, and Institutional 
Boilers Area Sources, 40 CFR part 63 subpart JJJJJJ (Area Source Boiler 
MACT).
    Q5: If Fibrominn submits a formal application to the Minnesota 
Pollution Control Agency (MPCA) to amend Fibrominn's existing Title V 
permit in order to take a synthetic minor limit, and Fibrominn submits 
the application to the MPCA prior to January 31, 2016, the compliance 
date for the Major Source Boiler MACT, does this constitute Fibrominn's 
``taking a synthetic minor limit'' in terms of eligibility to avoid 
being subject to the Major Source Boiler MACT?
    A5: No. Fibrominn's submittal of its application for modification 
of its Title V permit does not constitute taking federally enforceable 
limits on its potential to emit.
    Q6: Does the EPA determine that Fibrominn remain subject to the 
case-specific MACT in its 2002 Title V permit after the compliance date 
for the Major Source Boiler MACT?
    A6: Yes. The EPA notes that more than one MACT standard can apply 
to the same equipment or operation. Unless the case specific MACT is 
removed from the permit, Fibrominn would remain subject to the case 
specific MACT and either the Major Source or Area Source Boiler MACT.

Abstract for [1600002]

    Q: Does the EPA approve an extension of time to conduct a 
performance test required by NSPS subpart OOO based on a force majeure 
event at the Hi-Crush Augusta, LLC industrial sand mine and processing 
plant in August, Wisconsin?
    A: No. The EPA determines that the event described in the request 
does not meet the definition of a ``force majeure event'' under 40 CFR 
60.2.

Abstract for [1600005]

    Q1: Does the EPA approve an alternative monitoring plan (AMP) for 
the granular activated carbon adsorption system used to control mercury 
emissions from the sewage sludge incinerator subject to 40 CFR part 60 
subpart LLLL at the Mattabassett District Water Pollution Control 
Facility in Cromwell, Connecticut?
    A1: Yes. The EPA approves Mattabassett's AMP for the carbon bed 
under 40 CFR 60.13(i) for the granular activated carbon adsorption 
system (``carbon bed'') used to control mercury emissions from the 
sewage sludge incinerator subject to subpart LLLL. The alternative 
monitoring plan that Mattabassett has proposed, combined with the 
facilities construction permit, meets the requirement of a similar type 
of monitoring application for carbon

[[Page 95589]]

beds used to control mercury under 40 CFR part 63 subpart EEE.
    Q2: Does the EPA approve Mattabassett's site-specific ash handling 
monitoring plan to meet the fugitive emission limits specified in 40 
CFR part 60 subpart LLLL, considering that the ash at the facility is 
collected using an entirely wet system?
    A2: Yes. The EPA approves Mattabassett's site-specific plan for 
fugitive ash monitoring that consists of daily observations of the ash 
lagoons.

Abstract for [1600006]

    Q: Does the EPA approve an alternative monitoring plan (AMP) for 
the wet electrostatic precipitator (WESP) used to control air emissions 
from the sewage sludge incinerator subject to 40 CFR part 60 subpart 
LLLL located at the Mattabassett District Water Pollution Control 
Facility (Mattabassett) in Cromwell, Connecticut?
    A: Yes. The EPA approves Mattabassett's AMP to monitor the total 
water flow rate of the influent to the WESP on an 8 hour block basis 
and to set the parameter limit at 90 percent of the 8 hour flow 
recorded during the initial performance test.

Abstract for [1600007]

    Q: Does the EPA approve the alternative monitoring plan to use the 
same high level calibration gas for both the low range and high level 
range for two dual range hydrogen sulfide (H2S) monitors installed on 
two flares subject to 40 CFR part 60 subpart Ja at the Shell Chemical 
LP plant in Saraland, Alabama?
    A: Yes. The EPA responded to the Alabama Department of 
Environmental Management that based upon the expectation that the 
majority of H2S readings will be made on the lower range of the dual 
range monitors, a demonstration that the monitors have a linear 
response across their entire range of operation, and the toxicity of 
H2S, the proposal is acceptable.

Abstract for [1600008]

    Q: Does the EPA approve an alternative hydrogen sulfide (H2S) 
monitoring plan (AMP) for portable temporary thermal oxidizer units 
(TOUs) that control emissions during tank degassing and vapor control 
projects subject to 40 CFR part 60 subpart J and 40 CFR part 60 subpart 
Ja at Tristar Global Energy Solutions (Tristar) petroleum refineries 
located in EPA Region 4?
    A: Yes. The EPA approves the AMP request since installing and 
operating an H2S continuous emission monitoring system would be 
impractical due to the short term nature of the degassing operations 
performed by Tristar. In addition, Tristar's proposed monitoring 
alternative is consistent with previously approved alternatives for 
other tank degassing service providers.

Abstract for [M150035]

    Q1: Does the EPA approve an alternative monitoring request (AMR) 
for the purpose of monitoring pressure drop under requirements of 40 
CFR part 63 subpart HHHHHHH Table 5, Polyvinyl Chloride (PVC) and 
Copolymer Production at Major Sources NESHAP at the Oxy Vinyls, LP 
Pasadena PVC plant in Pasadena, Texas?
    A1: Yes. The EPA approves the AMR to substitute ambient pressure 
for the measured outlet pressure of the scrubber. Since the scrubber is 
a low pressure scrubber, the outlet of the scrubber system operates at 
ambient pressure. Any pressure changes in the scrubber would be 
indicated by changes to the inlet pressure, which will be directly 
monitored. Therefore, the calculation of pressure drop will be 
determined by the difference between inlet pressure and ambient 
pressure. The operating limit for pressure drop has been established 
using engineering assessments and manufacturer's recommendations, which 
is allowed by 40 CFR 63.11935(d)(2). Scrubber pressure drop will be 
recorded in accordance with the approved AMR during a performance test, 
along with other operating parameters required by Table 5 of subpart 
HHHHHHH. The frequency and content of pressure drop monitoring, 
recording, and reporting will not change as a result of the approved 
AMR.

Abstract for [M150038]

    Q: Does the EPA approve of alternative work practice and monitoring 
procedures for the three enclosed hard chromium plating tanks to be 
installed that will be subject to 40 CFR part 63 subpart N at the Har-
Conn Chrome Company (Har-Conn) facility in West Hartford, Connecticut?
    A: Yes. The EPA approves the Har-Conn alternative monitoring 
procedures to demonstrate ongoing compliance with the operation and 
maintenance (``O&M'') practices and monitoring specified in Table 1 of 
63.342 as they are not feasible for the application to the Palm 
Technology Emission Eliminating Devices (EEE) used by the enclosed hard 
chromium tanks. Har-Conn will use the operation and maintenance (O&M) 
practices and manual recommended by the manufacturer of the Palm 
Technology Emission Eliminating Devices (EEE), as well as daily, 
weekly, monthly, quarterly, and annual compliance monitoring logs for 
the EED.

Abstract for [M150039]

    Q: Does the EPA approve an alternative monitoring plan to the use 
of an alternative control device parameter other than one of the 
parameters required at 40 CFR 63.7525(f) and Tables 4, 7, and 8 in 
subpart DDDDD for wet scrubbers at the SAPPI Fine Paper North America 
(SAPPI) facility in Skowhegan, Maine?
    A: Yes. The EPA approves SAPPI's alternative monitoring request for 
the wet scrubber to monitor scrubber liquid supply pressure in lieu of 
the pressure drop across the wet scrubber used to control emissions 
from the Number 2 Power Boiler. Based on the data provided showing 
strong correlation between spray tower liquid recirculation pressure 
and flow, as well as data that demonstrates a poor correlation between 
pressure drop of the scrubber and heat input to the boiler (an 
indicator of emissions), EPA agrees that this method may be used in 
this situation in lieu of monitoring pressure drop across the scrubber. 
In addition, this method is consistent with similar boiler monitoring 
applications.

Abstract for [M150040]

    Q1: Does the EPA approve separate sets of parameter monitoring 
thresholds for the scrubber liquid flow rate and pressure drop of the 
wet venturi scrubber subject to 40 CFR part 63 subpart DDDDD at the 
Verso Corporation (Verso) facility in Jay, Maine under two operating 
scenarios: (1) Periods when the unit burns biomass and combined 
biomass/fossil-fuel burning at boiler capacities up to 480 MMBtu, and 
(2) periods when the unit burns only fossil fuel at boiler capacities 
equal to or less than 240 MMBtu, on a 30-day rolling average and on a 
daily block average when burning only fossil fuels?
    A1: Yes. The EPA approves Verso's alternative monitoring request 
for both operating scenarios.
    Q2: Does the EPA approve for Verso when burning exclusively natural 
gas to operate without engaging the wet venturi scrubber after startup 
and exclude periods when the wet scrubber is not engaged due to burning 
gas from the 30-day compliance averages?
    A2: Yes. The EPA approves the request to allow the unit to operate 
without engaging the wet scrubber and to exclude parameter monitoring 
data during periods when only natural gas is fired, provided that Verso 
can demonstrate through existing data or emissions testing that the 
unit complies

[[Page 95590]]

with the PM, Hg, and HCl emissions standards while firing only natural 
gas.

Abstract for [M160001]

    Q: Would an aluminum chip drying process at the Remelt Scientific 
facility (Remelt) in Port Charlotte, Florida, that is used to remove 
water meet the definition of ``thermal chip dryer'' in 40 CFR part 63 
subpart RRR?
    A: No. Remelt's chip drying process does the not meet the 
definition of ``thermal chip dryer'' and is therefore not subject to 
subpart RRR. Based on the description that the process operates at 
temperatures of 200F and 235F, and the oil that remains on the chips 
has an evaporation temperature of over 300F, we believe that the 
process would be used solely to remove water from the aluminum chips 
since it would not be operating at temperatures sufficient to remove 
the machining oil that remains on the chips.

Abstract for [M160002]

    Q1: The ArborTech Forest Products, Inc. (ArborTech) facility in 
Blackstone, Virginia is planning to increase its lumber production such 
that the potential to emit for methanol would be greater than 10 tons 
per year. Does the EPA determine that the facility would be 
reclassified as a major source for hazardous air pollutants (HAPs)?
    A1: Yes. The EPA determines that if ArborTech increases the air 
permit limit on production and potential methanol emissions would 
exceed 10 tons/year that the facility would qualify as a major source 
and would need to be reclassified as a major source in the State 
permit.
    Q2: Does the EPA determine that ArborTech would be subject to 40 
CFR part 63 subpart DDDD, Plywood and Composite Wood Products National 
Emission Standards for Hazardous Air Pollutants (PCWP MACT), and would 
the dry kilns be considered an affected source immediately upon 
issuance of the revised permit/reclassification to a major source of 
HAPs?
    A2: Yes. The EPA determines that ArborTech would be subject to the 
subpart DDDD rule on the date of issuance of the revised permit when 
the facility would be reclassified as a major source of HAPs, and 
therefore the dry kilns would be an affected source under the rule.
    Q3: Does the EPA determine that if the wood-fired boilers' exhaust 
is routed to the lumber kiln(s) and used to dry lumber the boilers 
would be an ``affected source'' under the PCWP MACT and subject to the 
rule?
    A3: The EPA determines that if Arbortech becomes a major source of 
HAPs, and if ArborTech sent 100 percent of the exhaust from its wood-
fired boilers to its lumber drying kiln(s) to help dry lumber, then the 
boilers would not be subject to 40 CFR part 63 subpart DDDDD (the Major 
Source Boiler MACT), but would instead be subject to the PCWP MACT.
    Q4: When does the EPA determine that Arbortech would become subject 
to the Major Source Boiler MACT?
    A4: The EPA determines that if ArborTech were to become a major 
source of HAPs after the Major Source Boiler MACT initial compliance 
date for existing sources of January 31, 2016, then ArborTech would be 
required to bring its existing boilers into compliance with the Major 
Source Boiler MACT within three years after ArborTech became a major 
source, unless ArborTech had previously sent 100% of the exhaust from 
its boiler(s) to its kiln(s), thus making the boiler(s) and their 
exhaust streams affected sources under the PCWP MACT. If Arbortech were 
to become a major source prior to the Major Source Boiler MACT initial 
compliance date for existing sources of January 31, 2016, then its 
existing boilers would be required to be in compliance as of January 
31, 2016, unless ArborTech had previously sent 100% of the exhaust from 
its boiler(s) to its kiln(s), thus making the boiler(s) and their 
exhaust streams affected sources under the PCWP MACT.

Abstract for [M160003]

    Q: Does the EPA approve the re-categorization of Boiler No. 9 at 
the Finch Paper, LLC (Finch) integrated pulp and paper manufacturing 
facility located in Glen Falls, New York from the wet biomass stoker 
subcategory to the hybrid suspension grate boiler subcategory pursuant 
to 40 CFR part 63 subpart DDDDD (the Major Source Boiler MACT)?
    A: Yes. Based on the information submitted on the design and 
operation of the Boiler No. 9, the EPA determines that it meets the 
definition of ``hybrid suspension grate boiler'' found in 40 CFR 
63.7575. Therefore, Boiler No. 9 will be subject to the rule as it 
pertains to existing hybrid suspension grate boilers.

Abstract for [M160004]

    Q: Does the EPA determine that the Truesense Imaging, Inc. 
(Truesense) semiconductor fabrication business (Semiconductor Business) 
located at its microelectronics wafer fabrication facility (FAB 
facility) in Rochester, NY is subject to the National Emissions 
Standards for Hazardous Air Pollutants for Semiconductor Manufacturing, 
40 CFR part 63 subpart BBBBB (Semiconductor MACT)?
    A: Yes. The EPA determines that the FAB facility, currently owned 
and operated by Truesense, is and continues to be an existing source 
with compliance required as of 2006 and must continue to comply with 
the Semiconductor MACT, even after a sale, as long as the source 
otherwise continues to meet the definition of an affected facility 
(i.e., major source status not withstanding) consistent with the ``Once 
In Always In'' policy.

Abstract for [Z150003]

    Q: Does the EPA approve Monroe Interstate Pipeline Company (MIPC) 
alternative monitoring request for use of top-side in-service 
inspections in lieu of the out-of-service inspection requirements for 
specific types of internal floating roof (IFR) storage tanks subject to 
40 CFR part 63 subpart BBBBBB (GD GACT) and/or 40 CFR part 60 subpart 
Kb, NSPS for Volatile Organic Liquid Storage Vessels), at the MIPC 
Chelsea Tank Farm in Aston, PA?
    A: Yes. In accordance with 40 CFR 60.13 and 63.8(f), EPA approves 
MIPC alternative monitoring request for use of top-side in-service 
internal inspection methodology for the IFR storage tanks subject to 
NSPS Kb and GD GACT specified in the AMP request (tanks that have 
geodesic dome roofs equipped with skylights for enhanced natural 
lighting and aluminum honeycomb panel decks constructed decks with 
mechanical shoe primary and secondary seals liquid surface) to meet the 
internal out-of-service inspection required at intervals no greater 
than 10 years by the applicable regulations. MIPC will be able to have 
visual access to all of the requisite components (i.e., the primary and 
secondary mechanical seals, gaskets, and slotted membranes) through the 
top side of the IFR for the specified storage tanks, as well as 
properly inspect and repair the requisite components while these tanks 
are still in-service, consistent with the inspection and repair 
requirements established under NSPS subpart Kb. In addition, MIPC 
internal inspection methodology includes identifying and addressing any 
gaps of more than \1/8\ inch between any deck fitting gasket, seal, or 
wiper and any surface that it is intended to seal; complying with the 
fitting and deck seal requirements and the repair time frame 
requirement in NSPS subpart Kb for all tanks, including GACT tanks; and 
implementing a full top-side and bottom-side out-of-service inspection 
of the tank each time an IFR storage tank is emptied and degassed for

[[Page 95591]]

any reason, and keep records for at least five years.

Abstract for [Z150007]

    Q: Does the EPA determine that the stationary reciprocating 
internal combustion engines (RICE) participating in two Duke Energy 
Carolinas nonresidential demand response programs meet the definition 
of ``emergency stationary RICE'' in the National Emissions Standards 
for Hazardous Air Pollutants for Stationary Reciprocating Internal 
Combustion Engines (``RICE NESHAP'')?
    A: No. The EPA determines that the terms of Duke's demand response 
programs do not meet all of the operational limits on emergency engines 
in the RICE NESHAP. The terms of the programs are consistent with the 
limitations on emergency demand response. However, an engine must also 
comply with the definition of ``emergency stationary RICE'' and all of 
the operational restrictions in 40 CFR 63.6640(f) to be considered RICE 
NESHAP emergency engines.

Abstract for [Z150008]

    Q1: Has EPA Method 1 been removed from the reciprocating internal 
combustion engine (RICE) NESHAP subpart ZZZZ, or should the engines at 
Farabee Mechanical in Hickman, Nebraska (Farabee) be following Method 1 
for test port locations.
    A1: No. EPA Method 1 of 40 CFR part 60 Appendix A from the RICE 
NESHAP should be followed for test port locations. The EPA response 
letter provides guidance for numerous testing scenarios under NESHAP 
subpart ZZZZ sources including engines where Method 1 is required but 
the testing ports do not meet the minimum criteria of Method 1 and 
engines that are not required to use Method 1 procedures.
    Q2: Is there any conflict with the RICE NESHAP subpart ZZZZ rule if 
utilizing test ports at engines for testing purposes?
    A2: No. The Farabee Mechanical facility was approved to use single-
point sampling at NSPS subpart JJJJ sources in lieu of Method 1 for 
their engines. Single point sampling without a stratification test for 
nitrogen oxide emissions using Alternative Test Method 87 is allowed 
under 40 CFR 60, Subparts IIII and JJJJ. However, single point sampling 
for carbon monoxide at NESHAP subpart ZZZZ sources have not yet been 
broadly approved. Therefore, when Method 1 is not met, a stratification 
test is to be conducted to show if the site is acceptable to perform 
the test.

Abstract for [Z150012]

    Q: Does the EPA approve the use of the results of a particulate 
matter emission test conducted on December 2014 for two new wood-fired 
boilers at Norwich University in Northfield, Vermont that are subject 
to the requirements of 40 CFR part 63 subpart JJJJJJ as being 
representative of ``initial conditions'' because the first test, 
conducted in February 2014, was not conducted under normal operating 
conditions?
    A: Yes. The EPA approves the use of emissions test data from the 
second test as meeting the requirements of 40 CFR 63.11220(b) since it 
is representative of normal operating conditions, and therefore Norwich 
University may avoid the requirement to test particulate matter every 
three years.

Abstract for [Z160001]

    Q: Does the EPA accept the proposal by Tyson Foods Inc. to use a 
louvered door system, where the louvers would only open inward and 
would only open when negative pressure is in place, to meet the work 
practice requirements in 40 CFR part 63 subpart DDDDDDD, National 
Emissions Standards for Hazardous Air Pollutants for Area Sources: 
Prepared Feeds Manufacturing (Prepared Feeds Area Source Rule), to keep 
exterior doors in the immediate affected areas shut except during 
normal ingress and egress, as practicable?
    A: Yes. The EPA determines that the use of the louvered door system 
would meet the requirements of subpart DDDDDDD. The louvered door 
system described would maintain the function of the closed doors by 
only opening the louvers to the interior of the building when the doors 
are under negative pressure, drawing air into the building. Under these 
conditions the doors would be serving the purpose of minimizing the 
release of prepared feed dust emissions to the outside, which is the 
intent of the work practice standard in Section 63.11621(a)(1)(iii).

    Dated: November 10, 2016.
David A. Hindin,
Director, Office of Compliance, Office of Enforcement and Compliance 
Assurance.
[FR Doc. 2016-31235 Filed 12-27-16; 8:45 am]
 BILLING CODE 6560-50-P



                                                                              Federal Register / Vol. 81, No. 249 / Wednesday, December 28, 2016 / Notices                                                               95585

                                                ENVIRONMENTAL PROTECTION                                           SUPPLEMENTARY INFORMATION:                                     ozone regulations, contained in 40 CFR
                                                AGENCY                                                                                                                            part 82. The ADI is a data system on the
                                                                                                                   Background
                                                                                                                                                                                  Internet with over three thousand EPA
                                                [FRL–9956–57–OECA]                                                    The General Provisions of the NSPS                          letters and memoranda pertaining to the
                                                                                                                   in 40 Code of Federal Regulations (CFR)                        applicability, monitoring,
                                                Applicability Determination Index (ADI)                            part 60 and the General Provisions of                          recordkeeping, and reporting
                                                Data System Recent Posting: Agency                                 the NESHAP in 40 CFR part 61 provide                           requirements of the NSPS, NESHAP,
                                                Applicability Determinations,                                      that a source owner or operator may                            and stratospheric ozone regulations.
                                                Alternative Monitoring Decisions, and                              request a determination of whether                             Users can search for letters and
                                                Regulatory Interpretations Pertaining                              certain intended actions constitute the                        memoranda by date, office of issuance,
                                                to Standards of Performance for New                                commencement of construction,                                  subpart, citation, control number, or by
                                                Stationary Sources, National Emission                              reconstruction, or modification. The                           string word searches.
                                                Standards for Hazardous Air                                        EPA’s written responses to these
                                                Pollutants, and the Stratospheric                                                                                                    Today’s notice comprises a summary
                                                                                                                   inquiries are commonly referred to as
                                                Ozone Protection Program                                                                                                          of 30 such documents added to the ADI
                                                                                                                   applicability determinations. See 40
                                                                                                                                                                                  on December 6, 2016. This notice lists
                                                                                                                   CFR 60.5 and 61.06. Although the
                                                AGENCY: Environmental Protection                                                                                                  the subject and header of each letter and
                                                                                                                   NESHAP part 63 regulations [which
                                                Agency (EPA).                                                                                                                     memorandum, as well as a brief abstract
                                                                                                                   include Maximum Achievable Control
                                                ACTION: Notice of availability.                                                                                                   of the letter or memorandum. Complete
                                                                                                                   Technology (MACT) standards and/or
                                                                                                                                                                                  copies of these documents may be
                                                SUMMARY:   This notice announces                                   Generally Available Control Technology
                                                                                                                   (GACT) standards] and Section 111(d) of                        obtained from the ADI on the Internet
                                                applicability determinations, alternative                                                                                         through the Resources and Guidance
                                                monitoring decisions, and regulatory                               the Clean Air Act (CAA) contain no
                                                                                                                   specific regulatory provision providing                        Documents for Compliance Assistance
                                                interpretations that EPA has made                                                                                                 page of the Clean Air Act Compliance
                                                                                                                   that sources may request applicability
                                                under the New Source Performance                                                                                                  Monitoring Web site under ‘‘Air’’ at:
                                                                                                                   determinations, the EPA also responds
                                                Standards (NSPS); the National                                                                                                    https://www2.epa.gov/compliance/
                                                                                                                   to written inquiries regarding
                                                Emission Standards for Hazardous Air                                                                                              resources-and-guidance-documents-
                                                                                                                   applicability for the part 63 and Section
                                                Pollutants (NESHAP); and/or the                                                                                                   compliance-assistance.
                                                                                                                   111(d) programs. The NSPS and
                                                Stratospheric Ozone Protection
                                                                                                                   NESHAP also allow sources to seek                              Summary of Headers and Abstracts
                                                Program.
                                                                                                                   permission to use monitoring or
                                                FOR FURTHER INFORMATION CONTACT:       An                          recordkeeping that is different from the                          The following table identifies the
                                                electronic copy of each complete                                   promulgated requirements. See 40 CFR                           control number for each document
                                                document posted on the Applicability                               60.13(i), 61.14(g), 63.8(b)(1), 63.8(f), and                   posted on the ADI data system on
                                                Determination Index (ADI) data system                              63.10(f). The EPA’s written responses to                       December 6, 2016; the applicable
                                                is available on the Internet through the                           these inquiries are commonly referred to                       category; the section(s) and/or subpart(s)
                                                Resources and Guidance Documents for                               as alternative monitoring decisions.                           of 40 CFR part 60, 61, or 63 (as
                                                Compliance Assistance page of the                                  Furthermore, the EPA responds to                               applicable) addressed in the document;
                                                Clean Air Act Compliance Monitoring                                written inquiries about the broad range                        and the title of the document, which
                                                Web site under ‘‘Air’’ at: https://                                of NSPS and NESHAP regulatory                                  provides a brief description of the
                                                www2.epa.gov/compliance/resources-                                 requirements as they pertain to a whole                        subject matter.
                                                and-guidance-documents-compliance-                                 source category. These inquiries may                              We have also included an abstract of
                                                assistance. The letters and memoranda                              pertain, for example, to the type of                           each document identified with its
                                                on the ADI may be located by date,                                 sources to which the regulation applies,                       control number after the table. These
                                                office of issuance, subpart, citation,                             or to the testing, monitoring,                                 abstracts are provided solely to alert the
                                                control number, or by string word                                  recordkeeping, or reporting                                    public to possible items of interest and
                                                searches. For questions about the ADI or                           requirements contained in the                                  are not intended as substitutes for the
                                                this notice, contact Maria Malave at EPA                           regulation. The EPA’s written responses                        full text of the documents. This notice
                                                by phone at: (202) 564–7027, or by                                 to these inquiries are commonly referred                       does not change the status of any
                                                email at: malave.maria@epa.gov. For                                to as regulatory interpretations.                              document with respect to whether it is
                                                technical questions about individual                                  The EPA currently compiles EPA-                             ‘‘of nationwide scope or effect’’ for
                                                applicability determinations,                                      issued NSPS and NESHAP applicability                           purposes of CAA section 307(b)(1) For
                                                monitoring decisions or regulatory                                 determinations, alternative monitoring                         example, this notice does not convert an
                                                interpretations, refer to the contact                              decisions, and regulatory                                      applicability determination for a
                                                person identified in the individual                                interpretations, and posts them to the                         particular source into a nationwide rule.
                                                documents, or in the absence of a                                  ADI on a regular basis. In addition, the                       Neither does it purport to make a
                                                contact person, refer to the author of the                         ADI contains EPA-issued responses to                           previously non-binding document
                                                document.                                                          requests pursuant to the stratospheric                         binding.

                                                                                                    ADI DETERMINATIONS UPLOADED ON DECEMBER 6, 2016
                                                   Control No.                      Categories                             Subparts                                                        Title
sradovich on DSK3GMQ082PROD with NOTICES




                                                1500007 .............      NSPS ............................   Eb .................................     Waiver of System Operational Limits During Performance Test.
                                                1500050 .............      MACT, NESHAP,                       A, Db, JJJJJJ ...............            Extension Request for Initial Performance Test at Coal-Fired Boiler.
                                                                            NSPS.
                                                1500053    .............   NSPS ............................   Ja ..................................    Alternative Monitoring Plan for Flares at a Petroleum Refinery.
                                                1500061    .............   NSPS ............................   IIII .................................   Regulatory Interpretation for Bi-fuel Engine Kits.
                                                1500075    .............   NSPS ............................   KKK, OOOO, VV, VVa                       Applicability Determination for a Natural Gas Processing Plant.
                                                1500076    .............   NSPS ............................   Ja ..................................    Applicability Determination for a Condensate Splitter Processing Facility.
                                                1500077    .............   NSPS ............................   CCCC, DDDD ..............                Applicability Determination for Thermal Oxidizer.



                                           VerDate Sep<11>2014      18:54 Dec 27, 2016       Jkt 241001    PO 00000       Frm 00031        Fmt 4703      Sfmt 4703   E:\FR\FM\28DEN1.SGM   28DEN1


                                                95586                         Federal Register / Vol. 81, No. 249 / Wednesday, December 28, 2016 / Notices

                                                                                          ADI DETERMINATIONS UPLOADED ON DECEMBER 6, 2016—Continued
                                                   Control No.                      Categories                             Subparts                                                        Title

                                                1500078 .............      NSPS ............................    OOO .............................       Applicability Determination for Equipment Replacement at Salt Recovery
                                                                                                                                                          Production Line.
                                                1500079 .............      NSPS ............................    DD ................................     Applicability Determination for Wire Screen Column Dryers.
                                                1500080 .............      NSPS ............................    JJJ ................................    Applicability Determination for Closed Loop Dry to Dry Cleaning Equip-
                                                                                                                                                          ment.
                                                1500084 .............      NSPS ............................    KKK, NNN, OOOO,                         Alternative Monitoring for Vent Streams Flow Monitoring and Pilot Light
                                                                                                                  RRR.                                    Monitoring.
                                                1600001 .............      GACT, MACT,                          CCCC, DDDDD, JJJJJJ                     Applicability Determination for a Stoker Boiler.
                                                                            NESHAP, NSPS.
                                                1600002 .............      NSPS ............................    OOO .............................       Extension Request for Performance Test at Sand Mine.
                                                1600005 .............      NSPS ............................    LLLL .............................      Alternative Monitoring for Granular Activated Carbon and Fugitive Ash
                                                                                                                                                          Monitoring at Sewage Sludge Incinerator.
                                                1600006 .............      NSPS ............................    LLLL .............................      Alternative Monitoring for Wet Electrostatic Precipitator at Sewage
                                                                                                                                                          Sludge Incinerator.
                                                1600007 .............      NSPS ............................    Ja ..................................   Alternative Monitoring of Hydrogen Sulfide from Flares at Chemical
                                                                                                                                                          Plant.
                                                1600008 .............      NSPS ............................    J, Ja ..............................    Alternative Monitoring of Hydrogen Sulfide from Portable Temporary
                                                                                                                                                          Thermal Oxidizer Units at Refinery Degassing Operations.
                                                M150035 ............       MACT, NESHAP ..........              HHHHHHH ...................             Alternative Monitoring for Scrubber at Polyvinyl Chloride Plant.
                                                M150038 ............       MACT, NESHAP ..........              N ...................................   Alternative Monitoring Procedures for Air Pollution Control Device at
                                                                                                                                                          Chrome Plating Facility.
                                                M150039     ............   MACT,     NESHAP        ..........   DDDDD ........................          Alternative Monitoring for Wet Scrubbers at Pulp and Paper Mill.
                                                M150040     ............   MACT,     NESHAP        ..........   DDDDD ........................          Alternative Monitoring for Wet Venturi Scrubber and Power Boiler.
                                                M160001     ............   MACT,     NESHAP        ..........   RRR ..............................      Applicability Determination for an Aluminum Chip Dryer.
                                                M160002     ............   MACT,     NESHAP        ..........   DDDD, DDDDD ............                Applicability Determination for Drying Kilns and Boilers.
                                                M160003     ............   MACT,     NESHAP        ..........   DDDDD ........................          Applicability Determination for a Biomass Boiler Sub-Categorization.
                                                M160004     ............   MACT,     NESHAP        ..........   BBBBB .........................         Applicability Determination for Semiconductor Facility.
                                                Z150003     ............   MACT,     NESHAP        ..........   BBBBBB .......................          Alternative Monitoring for Internal Floating Roof Tanks.
                                                Z150007     ............   MACT,     NESHAP        ..........   ZZZZ .............................      Regulatory Interpretation of Duke Energy Emergency Generator Pro-
                                                                                                                                                          grams.
                                                Z150008 ............       MACT, NESHAP,                        IIII, JJJJ, ZZZZ .............          Regulatory Interpretation on Stack Testing for Reciprocating Internal
                                                                            NSPS.                                                                         Combustion Engines.
                                                Z150012 ............       GACT, MACT,                          JJJJJJ ...........................      Regulatory Interpretation of Emissions Test Data for Wood-Fired Boil-
                                                                            NESHAP.                                                                       ers.
                                                Z160001 ............       GACT, MACT,                          DDDDDDD ...................             Clarification of Prepared Feeds Area Source Rule.
                                                                            NESHAP.



                                                Abstracts                                                           requirements are waived for the two                           is denying the EAFB’s request to extend
                                                                                                                    week period preceding, and during the                         the April 26, 2015, deadline for
                                                Abstract for [1500007]
                                                                                                                    annual dioxin/furan and mercury                               conducting the initial performance
                                                  Q: Will the EPA grant a waiver to the                             performance test which is scheduled to                        testing of B6A.
                                                large municipal waste combustor                                     take place during the week of June 9,
                                                (MWC) at Covanta Marion, Inc. (CMI) in                                                                                            Abstract for [1500053]
                                                                                                                    2014 at the CMI MWC. This waiver is
                                                Brooks, Oregon, pursuant to its                                     limited to the time frame and                                   Q: Will the EPA approve alternatives
                                                authority under 40 CFR 60.53b(b)(2) for                             operational limits specifically identified                    to the quality assurance testing
                                                the combustor unit load level                                       above, and all otherwise applicable                           requirements, required by 40 CFR
                                                limitations, under 40 CFR 60.53b(c)(1)                              requirements continue to be in effect                         60.107a(e)(1), for the total reduced
                                                for the particulate matter control device                           during this period.                                           sulfur (TRS) flare analyzer at the CHS
                                                inlet temperature, and under 40 CFR                                                                                               Inc. refinery in Laurel, Montana?
                                                60.58b(m)(2)(ii) for the average mass                               Abstract for [1500050]                                          A: Yes. The EPA conditionally
                                                carbon feed rate, for the two weeks                                    Q: May the Eielson Air Force Base                          approves the alternative quality
                                                preceding, and during the annual                                    (EAFB) in Alaska have an extension to                         assurance testing requirements for the
                                                dioxin/furan and mercury performance                                the required initial performance test                         high range TRS portion of the analyzer
                                                tests for the purpose of evaluating                                 deadlines for a recently constructed                          under 40 CFR 60.l3(i). The conditions
                                                system performance?                                                 Boiler 6A subject to 40 CFR part 60                           for approval of the AMP request to
                                                  A: Yes. For the purpose of evaluating                             subpart Db and 40 CFR part 63 subpart                         address safety hazards concerns are
                                                system performance, the EPA agrees to                               JJJJJJ under the force majeure provisions                     established in the EPA response letter,
                                                waive the following operational limits                              in 40 CFR 60.2, 60.8(a)(1) through (4);                       which include a laboratory
                                                imposed to large municipal waste                                    63.2, and 60.7(a)(4)(i) through (iii)?                        demonstration of linearity for the
                                                combustors under the Federal Plan at                                   A: No. The EPA determines that the
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                                                                                                                                                                                  analyzer.
                                                subpart FFF, part 62, pursuant to its                               event described in the request does not
                                                authority under 40 CFR 60.53b(b)(2): (1)                            meet the definition of a ‘‘force majeure                      Abstract for [1500061]
                                                MWC load level (steam generation rate),                             event’’. The EPA cannot conclude that                            Q1: Does the installation of the bi-fuel
                                                (2) flue gas temperatures at the inlet to                           the delay in full operation of B6A in                         kit on new U.S. EPA-certified units at
                                                the particulate matter control device,                              sufficient time to conduct the required                       engines at the USR Corporation in
                                                and (3) activated carbon injection rate                             initial performance tests was beyond the                      Virginia subject to NSPS subpart IIII
                                                (mass carbon feed rate). These                                      control of the EAFB; therefore, the EPA                       affect the manufacturer’s certification?


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                                                                         Federal Register / Vol. 81, No. 249 / Wednesday, December 28, 2016 / Notices                                             95587

                                                In other words, is the unit still a                     Williams Four Corners LLC Ignacio Gas                   A2: Yes. Based on the information
                                                certified unit?                                         Plant located near Ignacio, Colorado?                 provided, the byproduct liquid appears
                                                   A1: No. The EPA determines that the                     A1: Yes. Based on the information                  to meet the Non Hazardous Secondary
                                                engine is no longer certified after the                 provided, the EPA understands the                     Material (NHSM) criteria and would be
                                                conversion and the owner/operator                       storage facilities referred to are the                considered a non-waste ingredient
                                                must follow the requirements listed                     portion of the plant which stores final               under the 40 CFR part 241 regulations.
                                                under 40 CFR 60.4211(g) to show                         product (propane, butane, etc.) prior to              Abstract for [1500078]
                                                compliance with emission standards in                   offsite transport. As such, the storage
                                                NSPS subpart IIII.                                      facilities at the Ignacio Gas Plant are a                Q1: Does the EPA determine that the
                                                   Q2: Does the installation and                        process unit and an affected facility                 ‘‘like-for-like’’ replacement exemption
                                                operation of the bi-fuel kit on a certified             under subpart OOOO.                                   in 40 CFR 60.670(d) is applicable to the
                                                engine constitute tampering under the                      Q2: What value should the Ignacio                  replacement of affected facilities on
                                                Clean Air Act, or is this action                        Gas Plant use for ‘‘B’’ in the equation for           production lines that were constructed
                                                prohibited by other provisions of the                   determining whether a ‘‘capital                       after August 31, 1983 at the 3M
                                                Clean Air Act?                                          expenditure’’ has occurred, and thus a                Company salt recovery production line
                                                   A2: No. The EPA determines this                      modification under subpart OOOO at                    located in Elyria, Ohio?
                                                action is not prohibited for certified                  the Ignacio Gas Plant?                                   A1: Yes. The EPA determines that the
                                                stationary compression ignition internal                   A2: For determining whether a                      ‘‘like-for-like’’ replacement exemption
                                                combustion engines (CI ICE), but after                  modification has occurred at the Ignacio              in 40 CFR 60.670(d)(1) of subpart OOO
                                                the installation and operation of the kit,              Gas Plant under subpart OOOO, in the                  is applicable to ‘‘affected facilities’’
                                                the unit is no longer certified. The                    equation for capital expenditure in 40                (those constructed after August 31,
                                                owner/operator must show compliance                     CFR 60.481(a), the value to be used for               1983) with regards to the subpart OOO
                                                with emission standards by following                    ‘‘B’’ is 4.5 and the value to be used for             amendments promulgated on April 28,
                                                requirements listed in 40 CFR                           ‘‘X’’ is 2011 minus the year of                       2009 based on 3M’s description that the
                                                60.4211(g).                                             construction.                                         Weigh Conveyors A and B are equal or
                                                   Q3: If a manufacturer’s certification is                                                                   smaller in size to and perform the same
                                                                                                        Abstract for [1500076]                                function as the original conveyors, and
                                                affected for an engine, what specific
                                                requirements must be performed to                         Q1: Does the EPA determine that                     emissions at the conveyors did not
                                                ensure compliance with emission                         NSPS subpart Ja applies to the                        increase, and as long as the remaining
                                                standards under NSPS subpart IIII? URS                  condensate splitter located at the Kinder             affected facilities in the salt recovery
                                                requests a determination as to the                      Morgan Crude & Condensate LCC                         production line have not been replaced
                                                testing procedures required for a facility              (KMCC) Facility, a petroleum refinery                 since April 22, 2008.
                                                with a fleet of identical engines which                 located in Galena Park, Texas?                           Q2: What emission standards apply to
                                                have been installed with bi-fuel units.                   A1: Yes. Based upon the information                 a production line constructed after
                                                The engines are identical in size,                      provided, the EPA determines that the                 August 31, 1983 that includes affected
                                                horsepower, model year, etc. The test                   KMCC condensate splitter facility is a                facilities constructed as a ‘‘like-for-like’’
                                                would determine compliance with                         refinery under subpart Ja because it                  replacement after April 22, 2008,
                                                NSPS subpart IIII and would represent                   receives and distills a crude oil and                 assuming that all of the affected
                                                compliance for all the identical engines                condensate hydrocarbon mixture into                   facilities on the production line have
                                                for the client. It is URS’ contention that              various refined petroleum products.                   not been replaced as provided in 40 CFR
                                                since the engines are identical in every                Based on review of the company’s                      60.670(d)(3)?
                                                way, it would be unnecessary and cost                   information, the EPA concludes that the                  A2: A production line constructed
                                                prohibitive to test all of the engines. Can             raw material feedstock, processes                     after August 31, 1983 that includes
                                                a representative engine test satisfy the                employed, and products generated meet                 affected facilities constructed as a ‘‘like-
                                                testing requirements for a fleet of                     the definition of a petroleum refinery                for-like’’ replacement after April 22,
                                                identical engines for the same client?                  provided at 40 CFR 60.101a.                           2008 is subject to the original subpart
                                                   A3: No. The testing requirements are                                                                       OOO rule standards promulgated on
                                                                                                        Abstract for [1500077]
                                                listed in 40 CFR 60.4211(g). An initial                                                                       August 1, 1985, and not the 2009
                                                performance test must be conducted for                     Q1: Does the EPA determine that the                subpart OOO rule standards, as long as
                                                stationary CI ICE less than or equal to                 thermal oxidizer at the 3M Company                    all affected facilities on the production
                                                500 horsepower (HP). For stationary CI                  (3M) facility in Cordova, Illinois is                 line have not been replaced.
                                                ICE greater than 500 horsepower, the                    subject to the Standards of Performance
                                                                                                        for Commercial and Industrial Solid                   Abstract for [1500079]
                                                owner/operator must conduct an initial
                                                test, and subsequent testing every 8,760                Waste Incineration (CISWI) Units, 40                     Q: Does the EPA determine that NSPS
                                                hours of operation or every 3 years,                    CFR part 60 subpart CCCC?                             subpart DD applies to column dryers
                                                whichever comes first. The EPA                             A1: No. The EPA determines that the                constructed of woven wire screen at the
                                                determines that a representative engine                 thermal oxidizer is not subject to                    Riceland Foods facility in Stuttgart,
                                                test cannot satisfy the testing                         subpart CCCC because 3M commenced                     Arkansas (Riceland)?
                                                requirements for a fleet of identical                   construction of the thermal oxidizer                     A: No. The EPA determines that
                                                engines for one client, unless the owner/               before the threshold date for a new                   although the Riceland facility is a grain
                                                                                                        CISWI unit.                                           terminal elevator subject to subpart DD,
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                                                operator has requested and received
                                                approval of a waiver of the performance                    Q2: Does the EPA determine that a                  the column dryers in question are a new
                                                testing requirements, listed under 40                   fluorinated liquid organic chemical                   subcategory of grain dryers not subject
                                                CFR 60.8(b).                                            byproduct from a chemical                             to subpart DD due to its differences in
                                                                                                        manufacturing process unit at the                     size, type and class of column dryers.
                                                Abstract for [1500075]                                  facility which is atomized in the                     The EPA has stated this position in the
                                                  Q1: Does the NSPS subpart OOOO                        thermal oxidizer is not a ‘‘solid waste’’             July 9, 2014 proposed rule for subpart
                                                apply to the storage facilities at the                  as defined in 40 CFR 60.2265?                         DD and in a new proposed subpart DDa


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                                                95588                    Federal Register / Vol. 81, No. 249 / Wednesday, December 28, 2016 / Notices

                                                rule, which now includes a definition                   and 40 CFR 60.18(e)(2) because ASLP is                and Institutional Boilers Area Sources,
                                                for ‘‘wire screen column dryers’’.                      unable to prove that their pilot monitor              40 CFR part 63 subpart JJJJJJ (Area
                                                                                                        can continuously monitor the presence                 Source Boiler MACT).
                                                Abstract for [1500080]                                                                                           Q5: If Fibrominn submits a formal
                                                                                                        of a pilot flame. The PM is able to detect
                                                   Q: Does the EPA determine that NSPS                  the flare flame accurately and reliability            application to the Minnesota Pollution
                                                subpart JJJ for Petroleum Dry Cleaners                  when the vent gas is flowing, but it has              Control Agency (MPCA) to amend
                                                applies to closed loop, dry to dry new                  not proven to have sufficient resolution              Fibrominn’s existing Title V permit in
                                                hydrocarbon equipment at Parrot                         for a situation where the pilot light is              order to take a synthetic minor limit,
                                                Cleaners facility in Louisville,                        not present and a flare flame is present              and Fibrominn submits the application
                                                Kentucky?                                               with vent gas flowing.                                to the MPCA prior to January 31, 2016,
                                                   A: No. The EPA determines that the                                                                         the compliance date for the Major
                                                dry to dry closed loop machines                         Abstract for [1600001]
                                                                                                                                                              Source Boiler MACT, does this
                                                installed at Parrot Cleaners do not meet                   Q1: Does the EPA determine that the                constitute Fibrominn’s ‘‘taking a
                                                the definition of a ‘‘petroleum dry                     stoker boiler at Fibrominn LLC                        synthetic minor limit’’ in terms of
                                                cleaner,’’ in that they do not use solvent              (Fibrominn) in Benson, Minnesota is                   eligibility to avoid being subject to the
                                                in a ‘‘combination of washers, dryers,                  subject to the Standards of Performance               Major Source Boiler MACT?
                                                filters, stills, and settling tanks’’ since             for Commercial and Industrial Solid                      A5: No. Fibrominn’s submittal of its
                                                these are single unit machines. The EPA                 Waste Incineration (CISWI) Units, 40                  application for modification of its Title
                                                intent to regulate dry cleaning machines                CFR part 60 subpart CCCC (CISWI                       V permit does not constitute taking
                                                with separate units (i.e., transfer                     NSPS)?                                                federally enforceable limits on its
                                                machines with separate washers and                         A1: No. Although the EPA concludes                 potential to emit.
                                                dryers) in subpart JJJ is evidenced by the              that the boiler is a CISWI unit,                         Q6: Does the EPA determine that
                                                equipment standard requiring separate                   Fibrominn commenced construction of                   Fibrominn remain subject to the case-
                                                ‘‘solvent recovery dryers’’ in section                  its boiler on or before June 4, 2010 and              specific MACT in its 2002 Title V
                                                60.622 and in the testing procedures in                 there is no evidence that it has been                 permit after the compliance date for the
                                                section 60.624, as well as in other EPA                 modified or reconstructed after August                Major Source Boiler MACT?
                                                statements regarding the petroleum                      7, 2013. Therefore, the EPA concludes                    A6: Yes. The EPA notes that more
                                                solvent drycleaning industry. Therefore,                that Fibrominn’s boiler is not subject to             than one MACT standard can apply to
                                                subpart JJJ does not apply to the dry to                the CISWI NSPS pursuant to 40 CFR                     the same equipment or operation.
                                                dry machines installed at the facility.                 60.2010 and 60.2015.                                  Unless the case specific MACT is
                                                                                                           Q2: Does the EPA determine that                    removed from the permit, Fibrominn
                                                Abstract for [1500084]
                                                                                                        Fibrominn’s boiler is subject to the                  would remain subject to the case
                                                   Q1: Does the EPA approve the use of                  Federal Plan Requirements for CISWI                   specific MACT and either the Major
                                                a lock and seal configuration in lieu of                Units That Commenced Construction                     Source or Area Source Boiler MACT.
                                                flow indicators to monitor VOC                          On or Before November 30, 1999, 40
                                                containing vent streams routed from                     CFR part 62 subpart III (CISWI FIP)?                  Abstract for [1600002]
                                                distillation facilities to plant flares at                 A2: No. Fibrominn’s boiler is not                    Q: Does the EPA approve an extension
                                                the Aux Sable Liquid Products (ASLP)                    subject to the CISWI FIP because                      of time to conduct a performance test
                                                facility in Morris, Illinois to                         Fibrominn commenced construction                      required by NSPS subpart OOO based
                                                demonstrate compliance with                             between November 30, 1999, and June                   on a force majeure event at the Hi-Crush
                                                requirements of 40 CFR 63 subpart                       4, 2010. The CISWI NSPS applies to                    Augusta, LLC industrial sand mine and
                                                NNN?                                                    each CISWI unit that commenced                        processing plant in August, Wisconsin?
                                                   A1: Yes. The EPA approves locking or                 construction after June 4, 2010, or                     A: No. The EPA determines that the
                                                sealing leak-proof bypass valves in the                 commenced reconstruction or                           event described in the request does not
                                                closed position in lieu of flow                         modification after August 7, 2013.                    meet the definition of a ‘‘force majeure
                                                indicators. ASLP will conduct monthly                      Q3: Does the EPA determine that                    event’’ under 40 CFR 60.2.
                                                monitoring of the lock or seal valves to                Fibrominn’s boiler is exempt from the
                                                ensure that they function and are kept                                                                        Abstract for [1600005]
                                                                                                        requirements in the CISWI FIP?
                                                in the closed position. ASLP will                          A3: No. Fibrominn’s boiler is not                     Q1: Does the EPA approve an
                                                maintain a log of each lock or seal                     subject to the CISWI FIP. Therefore, the              alternative monitoring plan (AMP) for
                                                inspection and comply with the                          question of whether Fibrominn’s boiler                the granular activated carbon adsorption
                                                monitoring requirements of 40 CFR                       is exempt from the CISWI FIP is moot.                 system used to control mercury
                                                60.703(b)(2), 40 CFR 60.703(b)(2)(i), and                  Q4: Does the EPA determine that                    emissions from the sewage sludge
                                                40 CFR 60.703 (b)(2)(ii) of NSPS subpart                Fibrominn can avoid being subject to                  incinerator subject to 40 CFR part 60
                                                RRR for the purpose of complying with                   the NESHAP for Major Sources:                         subpart LLLL at the Mattabassett District
                                                NSPS NNN. In addition, ASLP will need                   Industrial, Commercial, and                           Water Pollution Control Facility in
                                                to comply with the monitoring and                       Institutional Boilers and Process                     Cromwell, Connecticut?
                                                record keeping requirements of 40 CFR                   Heaters, 40 CFR part 63 subpart DDDDD                    A1: Yes. The EPA approves
                                                60.705(d)(2) and (s).                                   (Major Source Boiler MACT) by taking                  Mattabassett’s AMP for the carbon bed
                                                   Q2: Does the EPA approve the use of                  federally enforceable limits on its                   under 40 CFR 60.13(i) for the granular
                                                infrared cameras to monitor the                         potential to emit prior to the compliance             activated carbon adsorption system
                                                                                                                                                              (‘‘carbon bed’’) used to control mercury
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                                                continuous presence of a pilot light in                 date, January 31, 2016?
                                                lieu of a thermocouple or ultraviolet                      A4: Yes. The EPA agrees that                       emissions from the sewage sludge
                                                beam sensor, in the ASLP Morris,                        Fibrominn can take federally                          incinerator subject to subpart LLLL. The
                                                Illinois facility?                                      enforceable limits on its potential to                alternative monitoring plan that
                                                   A2: No. The EPA does not approve                     emit to avoid being subject to the Major              Mattabassett has proposed, combined
                                                the use of an infrared camera pilot                     Source Boiler MACT. By doing so,                      with the facilities construction permit,
                                                monitor (PM) to meet the requirements                   Fibrominn would become subject to the                 meets the requirement of a similar type
                                                of 40 CFR 60.663(b), 40 CFR 60.703(b)                   NESHAP for Industrial, Commercial,                    of monitoring application for carbon


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                                                                         Federal Register / Vol. 81, No. 249 / Wednesday, December 28, 2016 / Notices                                            95589

                                                beds used to control mercury under 40                   short term nature of the degassing                    monthly, quarterly, and annual
                                                CFR part 63 subpart EEE.                                operations performed by Tristar. In                   compliance monitoring logs for the EED.
                                                  Q2: Does the EPA approve                              addition, Tristar’s proposed monitoring
                                                                                                                                                              Abstract for [M150039]
                                                Mattabassett’s site-specific ash handling               alternative is consistent with previously
                                                monitoring plan to meet the fugitive                    approved alternatives for other tank                     Q: Does the EPA approve an
                                                emission limits specified in 40 CFR part                degassing service providers.                          alternative monitoring plan to the use of
                                                60 subpart LLLL, considering that the                                                                         an alternative control device parameter
                                                                                                        Abstract for [M150035]                                other than one of the parameters
                                                ash at the facility is collected using an
                                                entirely wet system?                                       Q1: Does the EPA approve an                        required at 40 CFR 63.7525(f) and
                                                  A2: Yes. The EPA approves                             alternative monitoring request (AMR)                  Tables 4, 7, and 8 in subpart DDDDD for
                                                Mattabassett’s site-specific plan for                   for the purpose of monitoring pressure                wet scrubbers at the SAPPI Fine Paper
                                                fugitive ash monitoring that consists of                drop under requirements of 40 CFR part                North America (SAPPI) facility in
                                                daily observations of the ash lagoons.                  63 subpart HHHHHHH Table 5,                           Skowhegan, Maine?
                                                                                                        Polyvinyl Chloride (PVC) and                             A: Yes. The EPA approves SAPPI’s
                                                Abstract for [1600006]                                  Copolymer Production at Major Sources                 alternative monitoring request for the
                                                   Q: Does the EPA approve an                           NESHAP at the Oxy Vinyls, LP                          wet scrubber to monitor scrubber liquid
                                                alternative monitoring plan (AMP) for                   Pasadena PVC plant in Pasadena, Texas?                supply pressure in lieu of the pressure
                                                the wet electrostatic precipitator (WESP)                  A1: Yes. The EPA approves the AMR                  drop across the wet scrubber used to
                                                used to control air emissions from the                  to substitute ambient pressure for the                control emissions from the Number 2
                                                sewage sludge incinerator subject to 40                 measured outlet pressure of the                       Power Boiler. Based on the data
                                                CFR part 60 subpart LLLL located at the                 scrubber. Since the scrubber is a low                 provided showing strong correlation
                                                Mattabassett District Water Pollution                   pressure scrubber, the outlet of the                  between spray tower liquid
                                                Control Facility (Mattabassett) in                      scrubber system operates at ambient                   recirculation pressure and flow, as well
                                                Cromwell, Connecticut?                                  pressure. Any pressure changes in the                 as data that demonstrates a poor
                                                   A: Yes. The EPA approves                             scrubber would be indicated by changes                correlation between pressure drop of the
                                                Mattabassett’s AMP to monitor the total                 to the inlet pressure, which will be                  scrubber and heat input to the boiler (an
                                                water flow rate of the influent to the                  directly monitored. Therefore, the                    indicator of emissions), EPA agrees that
                                                WESP on an 8 hour block basis and to                    calculation of pressure drop will be                  this method may be used in this
                                                set the parameter limit at 90 percent of                determined by the difference between                  situation in lieu of monitoring pressure
                                                the 8 hour flow recorded during the                     inlet pressure and ambient pressure.                  drop across the scrubber. In addition,
                                                initial performance test.                               The operating limit for pressure drop                 this method is consistent with similar
                                                                                                        has been established using engineering                boiler monitoring applications.
                                                Abstract for [1600007]                                  assessments and manufacturer’s
                                                   Q: Does the EPA approve the                          recommendations, which is allowed by                  Abstract for [M150040]
                                                alternative monitoring plan to use the                  40 CFR 63.11935(d)(2). Scrubber                          Q1: Does the EPA approve separate
                                                same high level calibration gas for both                pressure drop will be recorded in                     sets of parameter monitoring thresholds
                                                the low range and high level range for                  accordance with the approved AMR                      for the scrubber liquid flow rate and
                                                two dual range hydrogen sulfide (H2S)                   during a performance test, along with                 pressure drop of the wet venturi
                                                monitors installed on two flares subject                other operating parameters required by                scrubber subject to 40 CFR part 63
                                                to 40 CFR part 60 subpart Ja at the Shell               Table 5 of subpart HHHHHHH. The                       subpart DDDDD at the Verso
                                                Chemical LP plant in Saraland,                          frequency and content of pressure drop                Corporation (Verso) facility in Jay,
                                                Alabama?                                                monitoring, recording, and reporting                  Maine under two operating scenarios:
                                                   A: Yes. The EPA responded to the                     will not change as a result of the                    (1) Periods when the unit burns biomass
                                                Alabama Department of Environmental                     approved AMR.                                         and combined biomass/fossil-fuel
                                                Management that based upon the                                                                                burning at boiler capacities up to 480
                                                                                                        Abstract for [M150038]
                                                expectation that the majority of H2S                                                                          MMBtu, and (2) periods when the unit
                                                readings will be made on the lower                         Q: Does the EPA approve of                         burns only fossil fuel at boiler capacities
                                                range of the dual range monitors, a                     alternative work practice and                         equal to or less than 240 MMBtu, on a
                                                demonstration that the monitors have a                  monitoring procedures for the three                   30-day rolling average and on a daily
                                                linear response across their entire range               enclosed hard chromium plating tanks                  block average when burning only fossil
                                                of operation, and the toxicity of H2S,                  to be installed that will be subject to 40            fuels?
                                                the proposal is acceptable.                             CFR part 63 subpart N at the Har-Conn                    A1: Yes. The EPA approves Verso’s
                                                                                                        Chrome Company (Har-Conn) facility in                 alternative monitoring request for both
                                                Abstract for [1600008]                                  West Hartford, Connecticut?                           operating scenarios.
                                                   Q: Does the EPA approve an                              A: Yes. The EPA approves the Har-                     Q2: Does the EPA approve for Verso
                                                alternative hydrogen sulfide (H2S)                      Conn alternative monitoring procedures                when burning exclusively natural gas to
                                                monitoring plan (AMP) for portable                      to demonstrate ongoing compliance                     operate without engaging the wet
                                                temporary thermal oxidizer units                        with the operation and maintenance                    venturi scrubber after startup and
                                                (TOUs) that control emissions during                    (‘‘O&M’’) practices and monitoring                    exclude periods when the wet scrubber
                                                tank degassing and vapor control                        specified in Table 1 of 63.342 as they                is not engaged due to burning gas from
                                                projects subject to 40 CFR part 60                      are not feasible for the application to the           the 30-day compliance averages?
                                                                                                        Palm Technology Emission Eliminating                     A2: Yes. The EPA approves the
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                                                subpart J and 40 CFR part 60 subpart Ja
                                                at Tristar Global Energy Solutions                      Devices (EEE) used by the enclosed hard               request to allow the unit to operate
                                                (Tristar) petroleum refineries located in               chromium tanks. Har-Conn will use the                 without engaging the wet scrubber and
                                                EPA Region 4?                                           operation and maintenance (O&M)                       to exclude parameter monitoring data
                                                   A: Yes. The EPA approves the AMP                     practices and manual recommended by                   during periods when only natural gas is
                                                request since installing and operating an               the manufacturer of the Palm                          fired, provided that Verso can
                                                H2S continuous emission monitoring                      Technology Emission Eliminating                       demonstrate through existing data or
                                                system would be impractical due to the                  Devices (EEE), as well as daily, weekly,              emissions testing that the unit complies


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                                                95590                    Federal Register / Vol. 81, No. 249 / Wednesday, December 28, 2016 / Notices

                                                with the PM, Hg, and HCl emissions                      HAPs, and if ArborTech sent 100                       CFR part 63 subpart BBBBB
                                                standards while firing only natural gas.                percent of the exhaust from its wood-                 (Semiconductor MACT)?
                                                                                                        fired boilers to its lumber drying kiln(s)               A: Yes. The EPA determines that the
                                                Abstract for [M160001]
                                                                                                        to help dry lumber, then the boilers                  FAB facility, currently owned and
                                                   Q: Would an aluminum chip drying                     would not be subject to 40 CFR part 63                operated by Truesense, is and continues
                                                process at the Remelt Scientific facility               subpart DDDDD (the Major Source                       to be an existing source with
                                                (Remelt) in Port Charlotte, Florida, that               Boiler MACT), but would instead be                    compliance required as of 2006 and
                                                is used to remove water meet the                        subject to the PCWP MACT.                             must continue to comply with the
                                                definition of ‘‘thermal chip dryer’’ in 40                 Q4: When does the EPA determine                    Semiconductor MACT, even after a sale,
                                                CFR part 63 subpart RRR?                                that Arbortech would become subject to                as long as the source otherwise
                                                   A: No. Remelt’s chip drying process                  the Major Source Boiler MACT?                         continues to meet the definition of an
                                                does the not meet the definition of                        A4: The EPA determines that if                     affected facility (i.e., major source status
                                                ‘‘thermal chip dryer’’ and is therefore                 ArborTech were to become a major                      not withstanding) consistent with the
                                                not subject to subpart RRR. Based on the                source of HAPs after the Major Source                 ‘‘Once In Always In’’ policy.
                                                description that the process operates at                Boiler MACT initial compliance date for
                                                temperatures of 200F and 235F, and the                  existing sources of January 31, 2016,                 Abstract for [Z150003]
                                                oil that remains on the chips has an                    then ArborTech would be required to                      Q: Does the EPA approve Monroe
                                                evaporation temperature of over 300F,                   bring its existing boilers into                       Interstate Pipeline Company (MIPC)
                                                we believe that the process would be                    compliance with the Major Source                      alternative monitoring request for use of
                                                used solely to remove water from the                    Boiler MACT within three years after                  top-side in-service inspections in lieu of
                                                aluminum chips since it would not be                    ArborTech became a major source,                      the out-of-service inspection
                                                operating at temperatures sufficient to                 unless ArborTech had previously sent                  requirements for specific types of
                                                remove the machining oil that remains                   100% of the exhaust from its boiler(s) to             internal floating roof (IFR) storage tanks
                                                on the chips.                                           its kiln(s), thus making the boiler(s) and            subject to 40 CFR part 63 subpart
                                                                                                        their exhaust streams affected sources                BBBBBB (GD GACT) and/or 40 CFR part
                                                Abstract for [M160002]                                  under the PCWP MACT. If Arbortech                     60 subpart Kb, NSPS for Volatile
                                                   Q1: The ArborTech Forest Products,                   were to become a major source prior to                Organic Liquid Storage Vessels), at the
                                                Inc. (ArborTech) facility in Blackstone,                the Major Source Boiler MACT initial                  MIPC Chelsea Tank Farm in Aston, PA?
                                                Virginia is planning to increase its                    compliance date for existing sources of
                                                lumber production such that the                                                                                  A: Yes. In accordance with 40 CFR
                                                                                                        January 31, 2016, then its existing
                                                potential to emit for methanol would be                                                                       60.13 and 63.8(f), EPA approves MIPC
                                                                                                        boilers would be required to be in
                                                greater than 10 tons per year. Does the                                                                       alternative monitoring request for use of
                                                                                                        compliance as of January 31, 2016,
                                                EPA determine that the facility would                                                                         top-side in-service internal inspection
                                                                                                        unless ArborTech had previously sent
                                                be reclassified as a major source for                                                                         methodology for the IFR storage tanks
                                                                                                        100% of the exhaust from its boiler(s) to
                                                hazardous air pollutants (HAPs)?                                                                              subject to NSPS Kb and GD GACT
                                                                                                        its kiln(s), thus making the boiler(s) and
                                                   A1: Yes. The EPA determines that if                                                                        specified in the AMP request (tanks that
                                                                                                        their exhaust streams affected sources
                                                ArborTech increases the air permit limit                                                                      have geodesic dome roofs equipped
                                                                                                        under the PCWP MACT.
                                                on production and potential methanol                                                                          with skylights for enhanced natural
                                                emissions would exceed 10 tons/year                     Abstract for [M160003]                                lighting and aluminum honeycomb
                                                that the facility would qualify as a major                Q: Does the EPA approve the re-                     panel decks constructed decks with
                                                source and would need to be                             categorization of Boiler No. 9 at the                 mechanical shoe primary and secondary
                                                reclassified as a major source in the                   Finch Paper, LLC (Finch) integrated                   seals liquid surface) to meet the internal
                                                State permit.                                           pulp and paper manufacturing facility                 out-of-service inspection required at
                                                   Q2: Does the EPA determine that                      located in Glen Falls, New York from                  intervals no greater than 10 years by the
                                                ArborTech would be subject to 40 CFR                    the wet biomass stoker subcategory to                 applicable regulations. MIPC will be
                                                part 63 subpart DDDD, Plywood and                       the hybrid suspension grate boiler                    able to have visual access to all of the
                                                Composite Wood Products National                        subcategory pursuant to 40 CFR part 63                requisite components (i.e., the primary
                                                Emission Standards for Hazardous Air                    subpart DDDDD (the Major Source                       and secondary mechanical seals,
                                                Pollutants (PCWP MACT), and would                       Boiler MACT)?                                         gaskets, and slotted membranes)
                                                the dry kilns be considered an affected                   A: Yes. Based on the information                    through the top side of the IFR for the
                                                source immediately upon issuance of                     submitted on the design and operation                 specified storage tanks, as well as
                                                the revised permit/reclassification to a                of the Boiler No. 9, the EPA determines               properly inspect and repair the requisite
                                                major source of HAPs?                                   that it meets the definition of ‘‘hybrid              components while these tanks are still
                                                   A2: Yes. The EPA determines that                     suspension grate boiler’’ found in 40                 in-service, consistent with the
                                                ArborTech would be subject to the                       CFR 63.7575. Therefore, Boiler No. 9                  inspection and repair requirements
                                                subpart DDDD rule on the date of                        will be subject to the rule as it pertains            established under NSPS subpart Kb. In
                                                issuance of the revised permit when the                 to existing hybrid suspension grate                   addition, MIPC internal inspection
                                                facility would be reclassified as a major               boilers.                                              methodology includes identifying and
                                                source of HAPs, and therefore the dry                                                                         addressing any gaps of more than 1⁄8
                                                                                                        Abstract for [M160004]                                inch between any deck fitting gasket,
                                                kilns would be an affected source under
                                                the rule.                                                  Q: Does the EPA determine that the                 seal, or wiper and any surface that it is
                                                                                                        Truesense Imaging, Inc. (Truesense)                   intended to seal; complying with the
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                                                   Q3: Does the EPA determine that if
                                                the wood-fired boilers’ exhaust is routed               semiconductor fabrication business                    fitting and deck seal requirements and
                                                to the lumber kiln(s) and used to dry                   (Semiconductor Business) located at its               the repair time frame requirement in
                                                lumber the boilers would be an                          microelectronics wafer fabrication                    NSPS subpart Kb for all tanks, including
                                                ‘‘affected source’’ under the PCWP                      facility (FAB facility) in Rochester, NY              GACT tanks; and implementing a full
                                                MACT and subject to the rule?                           is subject to the National Emissions                  top-side and bottom-side out-of-service
                                                   A3: The EPA determines that if                       Standards for Hazardous Air Pollutants                inspection of the tank each time an IFR
                                                Arbortech becomes a major source of                     for Semiconductor Manufacturing, 40                   storage tank is emptied and degassed for


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                                                                         Federal Register / Vol. 81, No. 249 / Wednesday, December 28, 2016 / Notices                                          95591

                                                any reason, and keep records for at least               Abstract for [Z150012]                                FEDERAL ACCOUNTING STANDARDS
                                                five years.                                                                                                   ADVISORY BOARD
                                                                                                           Q: Does the EPA approve the use of
                                                Abstract for [Z150007]                                  the results of a particulate matter                   Notice of Federal Accounting
                                                   Q: Does the EPA determine that the                   emission test conducted on December                   Standards Advisory Board 2017
                                                stationary reciprocating internal                       2014 for two new wood-fired boilers at                Meeting Schedule
                                                combustion engines (RICE) participating                 Norwich University in Northfield,
                                                in two Duke Energy Carolinas                            Vermont that are subject to the                       AGENCY: Federal Accounting Standards
                                                nonresidential demand response                          requirements of 40 CFR part 63 subpart                Advisory Board.
                                                programs meet the definition of                         JJJJJJ as being representative of ‘‘initial           ACTION: Notice.
                                                ‘‘emergency stationary RICE’’ in the                    conditions’’ because the first test,
                                                National Emissions Standards for                        conducted in February 2014, was not                     Board Action: Pursuant to 31 U.S.C.
                                                Hazardous Air Pollutants for Stationary                 conducted under normal operating                      3511(d), the Federal Advisory
                                                Reciprocating Internal Combustion                       conditions?                                           Committee Act (Pub. L. 92–463), as
                                                Engines (‘‘RICE NESHAP’’)?                                                                                    amended, and the FASAB Rules of
                                                                                                           A: Yes. The EPA approves the use of                Procedure, as amended in October 2010,
                                                   A: No. The EPA determines that the
                                                                                                        emissions test data from the second test              notice is hereby given that the Federal
                                                terms of Duke’s demand response
                                                                                                        as meeting the requirements of 40 CFR                 Accounting Standards Advisory Board
                                                programs do not meet all of the
                                                operational limits on emergency engines                 63.11220(b) since it is representative of             (FASAB) will hold its meetings on the
                                                in the RICE NESHAP. The terms of the                    normal operating conditions, and                      following dates throughout 2017, unless
                                                programs are consistent with the                        therefore Norwich University may avoid                otherwise noted.
                                                limitations on emergency demand                         the requirement to test particulate                   February 22–23, 2017
                                                response. However, an engine must also                  matter every three years.
                                                                                                                                                              April 26–27, 2017
                                                comply with the definition of                           Abstract for [Z160001]                                June 21–22, 2017
                                                ‘‘emergency stationary RICE’’ and all of
                                                                                                                                                              August 30–31, 2017
                                                the operational restrictions in 40 CFR                     Q: Does the EPA accept the proposal
                                                63.6640(f) to be considered RICE                                                                              October 25–26, 2017
                                                                                                        by Tyson Foods Inc. to use a louvered
                                                NESHAP emergency engines.                               door system, where the louvers would                  December 20–21, 2017
                                                                                                        only open inward and would only open                    The purpose of the meetings is to
                                                Abstract for [Z150008]
                                                                                                        when negative pressure is in place, to                discuss issues related to the following
                                                   Q1: Has EPA Method 1 been removed                    meet the work practice requirements in                topics:
                                                from the reciprocating internal                         40 CFR part 63 subpart DDDDDDD,                       Accounting and Reporting of
                                                combustion engine (RICE) NESHAP                         National Emissions Standards for                        Government Land
                                                subpart ZZZZ, or should the engines at                  Hazardous Air Pollutants for Area                     Budget and Accrual Reconciliation
                                                Farabee Mechanical in Hickman,                          Sources: Prepared Feeds Manufacturing
                                                Nebraska (Farabee) be following Method                                                                        Concepts—The Financial Report
                                                                                                        (Prepared Feeds Area Source Rule), to                 DoD Implementation Guidance Request
                                                1 for test port locations.
                                                                                                        keep exterior doors in the immediate                  Leases
                                                   A1: No. EPA Method 1 of 40 CFR part
                                                                                                        affected areas shut except during normal
                                                60 Appendix A from the RICE NESHAP                                                                            Risk Assumed
                                                                                                        ingress and egress, as practicable?
                                                should be followed for test port                                                                              Tax Expenditures
                                                locations. The EPA response letter                         A: Yes. The EPA determines that the                Any other topics as needed
                                                provides guidance for numerous testing                  use of the louvered door system would
                                                                                                        meet the requirements of subpart                        Unless otherwise noted, FASAB
                                                scenarios under NESHAP subpart ZZZZ
                                                                                                                                                              meetings begin at 9 a.m. and conclude
                                                sources including engines where                         DDDDDDD. The louvered door system
                                                                                                                                                              before 5 p.m. and are held at the
                                                Method 1 is required but the testing                    described would maintain the function
                                                                                                                                                              Government Accountability Office
                                                ports do not meet the minimum criteria                  of the closed doors by only opening the
                                                                                                                                                              (GAO) at 441 G Street NW. in Room
                                                of Method 1 and engines that are not                    louvers to the interior of the building               7C13. Agendas and briefing materials
                                                required to use Method 1 procedures.                    when the doors are under negative                     are available at http://www.fasab.gov/
                                                   Q2: Is there any conflict with the RICE              pressure, drawing air into the building.              briefing-materials/ approximately one
                                                NESHAP subpart ZZZZ rule if utilizing                   Under these conditions the doors would                week before the meetings.
                                                test ports at engines for testing                       be serving the purpose of minimizing                    Any interested person may attend the
                                                purposes?                                               the release of prepared feed dust                     meetings as an observer. Board
                                                   A2: No. The Farabee Mechanical                       emissions to the outside, which is the                discussion and reviews are open to the
                                                facility was approved to use single-point               intent of the work practice standard in               public. GAO building security requires
                                                sampling at NSPS subpart JJJJ sources in                Section 63.11621(a)(1)(iii).                          advance notice of your attendance. If
                                                lieu of Method 1 for their engines.
                                                                                                          Dated: November 10, 2016.                           you wish to attend a FASAB meeting,
                                                Single point sampling without a
                                                                                                        David A. Hindin,                                      please pre-register on our Web site at
                                                stratification test for nitrogen oxide
                                                                                                                                                              http://www.fasab.gov/pre-registration/
                                                emissions using Alternative Test                        Director, Office of Compliance, Office of
                                                                                                                                                              no later than 8 a.m. the Tuesday before
                                                Method 87 is allowed under 40 CFR 60,                   Enforcement and Compliance Assurance.
                                                                                                                                                              the meeting to be observed.
                                                Subparts IIII and JJJJ. However, single
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                                                                                                        [FR Doc. 2016–31235 Filed 12–27–16; 8:45 am]
                                                point sampling for carbon monoxide at                                                                         FOR FURTHER INFORMATION CONTACT: Ms.
                                                                                                        BILLING CODE 6560–50–P
                                                NESHAP subpart ZZZZ sources have                                                                              Wendy M. Payne, Executive Director,
                                                not yet been broadly approved.                                                                                441 G Street NW., Mailstop 6H19,
                                                Therefore, when Method 1 is not met, a                                                                        Washington, DC 20548, or call (202)
                                                stratification test is to be conducted to                                                                     512–7350.
                                                show if the site is acceptable to perform                                                                      Authority: Federal Advisory Committee
                                                the test.                                                                                                     Act, Pub. L. 92–463.



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Document Created: 2016-12-28 02:16:42
Document Modified: 2016-12-28 02:16:42
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionNotices
ActionNotice of availability.
ContactAn electronic copy of each complete document posted on the Applicability Determination Index (ADI) data system is available on the Internet through the Resources and Guidance Documents for Compliance Assistance page of the Clean Air Act Compliance Monitoring Web site under ``Air'' at: https://www2.epa.gov/ compliance/resources-and-guidance-documents-compliance-assistance. The letters and memoranda on the ADI may be located by date, office of issuance, subpart, citation, control number, or by string word searches. For questions about the ADI or this notice, contact Maria Malave at EPA by phone at: (202) 564-7027, or by email at: [email protected] For technical questions about individual applicability determinations, monitoring decisions or regulatory interpretations, refer to the contact person identified in the individual documents, or in the absence of a contact person, refer to the author of the document.
FR Citation81 FR 95585 

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