82_FR_27267 82 FR 27154 - Effluent Limitations Guidelines and Standards for the Dental Category

82 FR 27154 - Effluent Limitations Guidelines and Standards for the Dental Category

ENVIRONMENTAL PROTECTION AGENCY

Federal Register Volume 82, Issue 113 (June 14, 2017)

Page Range27154-27178
FR Document2017-12338

The Environmental Protection Agency (EPA) is promulgating technology-based pretreatment standards under the Clean Water Act to reduce discharges of mercury from dental offices into municipal sewage treatment plants known as publicly owned treatment works (POTWs). This final rule requires dental offices to use amalgam separators and two best management practices recommended by the American Dental Association (ADA). This final rule includes a provision to significantly reduce and streamline the oversight and reporting requirements in EPA's General Pretreatment Regulations that would otherwise apply as a result of this rulemaking. EPA expects compliance with this final rule will annually reduce the discharge of mercury by 5.1 tons as well as 5.3 tons of other metals found in waste dental amalgam to POTWs.

Federal Register, Volume 82 Issue 113 (Wednesday, June 14, 2017)
[Federal Register Volume 82, Number 113 (Wednesday, June 14, 2017)]
[Rules and Regulations]
[Pages 27154-27178]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2017-12338]


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ENVIRONMENTAL PROTECTION AGENCY

40 CFR Part 441

[EPA-HQ-OW-2014-0693; FRL-9957-10-OW]
RIN 2040-AF26


Effluent Limitations Guidelines and Standards for the Dental 
Category

AGENCY: Environmental Protection Agency (EPA).

ACTION: Final rule.

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SUMMARY: The Environmental Protection Agency (EPA) is promulgating 
technology-based pretreatment standards under the Clean Water Act to 
reduce discharges of mercury from dental offices into municipal sewage 
treatment plants known as publicly owned treatment works (POTWs). This 
final rule requires dental offices to use amalgam separators and two 
best management practices recommended by the American Dental 
Association (ADA). This final rule includes a provision to 
significantly reduce and streamline the oversight and reporting 
requirements in EPA's General Pretreatment Regulations that would 
otherwise apply as a result of this rulemaking. EPA expects compliance 
with this final rule will annually reduce the discharge of mercury by 
5.1 tons as well as 5.3 tons of other metals found in waste dental 
amalgam to POTWs.

DATES: The final rule is effective on July 14, 2017. The compliance 
date, meaning the date that existing sources subject to the rule must 
comply with the standards in this rule is July 14, 2020. After the 
effective date of the rule, new sources subject to this rule must 
comply immediately with the standards in this rule. In accordance with 
40 CFR part 23, this regulation shall be considered issued for purposes 
of judicial review at 1 p.m. Eastern time on June 28, 2017. Under 
section 509(b)(1) of the CWA, judicial review of this regulation can be 
had only by filing a petition for review in the U.S. Court of Appeals 
within 120 days after the regulation is considered issued for purposes 
of judicial review. Under section 509(b)(2), the requirements in this 
regulation may not be challenged later in civil or criminal proceedings 
brought by EPA to enforce these requirements.

ADDRESSES: EPA has established a docket for this action under Docket ID 
No. EPA-HQ-OW-2014-0693. All documents in the docket are listed on the 
https://www.regulations.gov Web site. Although listed in the index, 
some information is not publicly available, e.g., CBI or other 
information whose disclosure is restricted by statute. Certain other 
material, such as copyrighted material, is not placed on the Internet 
and will be publicly available only in hard copy form. This material 
can be viewed at the Water Docket in the EPA Docket Center, EPA/DC, EPA 
West William Jefferson Clinton Bldg., Room 3334, 1301 Constitution Ave. 
NW., Washington, DC. The Public Reading Room is open from 8:30 a.m. to 
4:30 p.m., Monday through Friday, excluding legal holidays. The 
telephone number for the Public Reading room is 202-566-1744, and the 
telephone number for the Water Docket is 202-566-2426. Publicly 
available docket materials are available electronically through http://www.regulations.gov. A detailed record index, organized by subject, is 
available on EPA's Web site at https://www.epa.gov/eg/dental-effluent-guidelines .

FOR FURTHER INFORMATION CONTACT: For more information, see EPA's Web 
site: https://www.epa.gov/eg/dental-effluent-guidelines. For technical 
information, contact Ms. Karen Milam, Engineering and Analysis Division 
(4303T), Office of Water, Environmental Protection Agency, 1200 
Pennsylvania Ave. NW., Washington, DC 20460-0001; telephone: 202-566-
1915; email: [email protected].

SUPPLEMENTARY INFORMATION:

I. Regulated Entities and Supporting Information
    A. Regulated Entities
    B. Supporting Information
II. Legal Authority
III. Executive Summary
IV. Background
    A. Legal Framework
    1. Clean Water Act
    2. Effluent Limitations Guidelines and Standards
    a. Best Available Technology Economically Achievable (BAT)
    b. Best Available Demonstrated Control Technology (BADCT)/New 
Source Performance Standards (NSPS)
    c. Pretreatment Standards for Existing Sources (PSES)
    d. Pretreatment Standards for New Sources (PSNS)
    e. Best Management Practices (BMPs)
    B. Dental Sector Rulemaking History and Summary of Public 
Comments
    C. Existing State and Local Program Requirements
    D. Roles and Responsibilities Under the National Pretreatment 
Program

[[Page 27155]]

    E. Minamata Convention on Mercury
V. Description of Dental Industry & Dental Amalgam Wastewater 
Sources and Management
    A. Dental Industry
    B. Dental Amalgam Wastewater Sources and Management
    1. Amalgam Separators
    2. Polishing To Remove Dissolved Mercury From Wastewater
    3. Wastewater Retention Tanks
    4. Best Management Practices
VI. Final Rule
    A. Scope and General Applicability
    B. Existing Source (PSES) Option Selection
    C. New Source (PSNS) Option Selection
    D. Requirements
    1. Performance Standard
    2. Applicability to Dental Offices That Do Not Place or Remove 
Dental Amalgam
    3. Dental Discharger Reporting and On-Site Paperwork Compliance 
Requirements
    4. Control Authority Oversight/Reporting
    5. Interaction With Existing State and Local Mandatory Dental 
Amalgam Reduction Programs
    6. Variances
    E. Pollutants of Concern and Pass-Through Analysis
VII. Technology Costs
    A. Costs for Model Dental Offices
    B. Costs for Larger Institutional Dental Offices
VIII. Pollutant Loads
    A. National Estimate of Annual Pollutant Reductions to POTWs 
Associated With This Rule
    1. Mercury
    2. Other Metals
    3. Total Reductions
    B. National Estimate of Annual Pollutant Reductions to Surface 
Waters Associated With This Rule
IX. Economic Impact Analysis
    A. Social Cost Estimates
    B. Economic Impact
    1. Cost-to-Revenue Analysis
    2. Ratio of Rule's Capital Costs to Total Dental Office Capital 
Assets
    3. Comparison of the Rule's Capital Costs to Annual Dental 
Office Capital Replacement Costs
    C. Economic Achievability
X. Cost Effectiveness Analysis
XI. Environmental Assessment
    A. Environmental Impacts
    B. Environmental Benefits
XII. Non-Water Quality Environmental Impacts Associated With the 
Technology Basis of the Rule
    A. Energy Requirements
    B. Air Emissions
    C. Solid Waste Generation
XIII. Standards for Reference
XIV. Statutory and Executive Order Reviews
    A. Executive Order 12866: Regulatory Planning and Review and 
Executive Order 13563: Improving Regulation and Regulatory Review
    B. Paperwork Reduction Act
    C. Regulatory Flexibility Act
    D. Unfunded Mandates Reform Act
    E. Executive Order 13132: Federalism
    F. Executive Order 13175: Consultation and Coordination With 
Indian Tribal Governments
    G. Executive Order 13045: Protection of Children From 
Environmental Health Risks and Safety Risks
    H. Executive Order 13211: Energy Effects
    I. National Technology Transfer and Advancement Act
    J. Executive Order 12898: Federal Actions To Address 
Environmental Justice in Minority Populations and Low-Income 
Populations
    K. Congressional Review Act

I. Regulated Entities and Supporting Information

A. Regulated Entities

    Entities potentially regulated by this action include:

------------------------------------------------------------------------
                                                         North American
                                                            Industry
           Category              Example of regulated    Classification
                                        entity           System (NAICS)
                                                              Code
------------------------------------------------------------------------
Industry......................  A general dentistry               621210
                                 practice or large
                                 dental facility.
------------------------------------------------------------------------

    This section is not intended to be exhaustive, but rather provides 
a guide for readers regarding entities likely to be regulated or 
affected by this final rule. Other types of entities that do not meet 
the above criteria could also be regulated. To determine whether your 
facility would be regulated by this final rule, you should carefully 
examine the applicability criteria listed in Sec.  441.10 and the 
definitions in Sec.  441.20 of this final rule and detailed further in 
Section VI of this preamble. If you still have questions regarding the 
applicability of this final rule to a particular entity, consult the 
person listed for technical information in the preceding FOR FURTHER 
INFORMATION CONTACT section.

B. Supporting Information

    This final rule is supported by a number of documents including the 
Technical and Economic Development Document for the Final Effluent 
Limitations Guidelines and Standards for the Dental Category (TEDD), 
Document No. EPA-821-R-16-005. The TEDD and additional records are 
available in the public record for this final rule and on EPA's Web 
site at https://www.epa.gov/eg/dental-effluent-guidelines.

II. Legal Authority

    EPA promulgates this regulation under the authorities of sections 
101, 301, 304, 306, 307, 308, and 501 of the CWA, 33 U.S.C. 1251, 1311, 
1314, 1316, 1317, 1318, 1342 and 1361 and pursuant to the Pollution 
Prevention Act of 1990, 42 U.S.C. 13101 et seq.

III. Executive Summary

    The purpose of this final rule is to set a uniform national 
standard that will greatly reduce the discharge of mercury-containing 
dental amalgam to municipal sewage treatment plants, known as POTWs, in 
the United States. Mercury is a potent neurotoxin that bioaccumulates 
in fish and shellfish, and mercury pollution is widespread and a global 
concern that originates from many diverse sources such as air 
deposition from municipal and industrial incinerators and combustion of 
fossil fuels. Across the U.S., 12 states and at least 18 localities 
have established mandatory programs to reduce discharges of mercury to 
POTWs. As a result of these efforts, along with outreach from the ADA 
to promote voluntary actions to reduce such discharges, approximately 
40 percent of the dentists subject to this rule already have installed 
amalgam separators. Amalgam separators greatly reduce the discharge of 
mercury-containing amalgam to POTWs. Amalgam separators are a 
practical, affordable and readily available technology for capturing 
mercury at dental offices. The mercury collected by these separators 
can be recycled. This rule will ensure that mercury discharges to POTWs 
are effectively controlled at dental offices that discharge wastewater 
to POTWs.
    Many studies have been conducted in an attempt to identify the 
sources of mercury entering POTWs. According to the 2002 Mercury Source 
Control and Pollution Prevention Program Evaluation Final Report (DCN 
DA00006) prepared by the Association of Metropolitan Sewerage Agencies 
(AMSA), dental offices are the main source of mercury discharges to 
POTWs. A study funded by the ADA published in 2005 estimated that 
dental offices contributed 50 percent of mercury entering POTWs (DCN 
DA00163). Mercury is discharged in the form of waste dental amalgam 
when dentists remove old amalgam fillings from cavities, and from 
excess amalgam

[[Page 27156]]

waste when a dentist places a new amalgam filling.
    While dental offices are not a major contributor of mercury to the 
environment generally, dental offices are the main source of mercury 
discharges to POTWs. EPA estimates that across the United States 5.1 
tons of mercury and an additional 5.3 tons of other metals found in 
waste dental amalgam are collectively discharged into POTWs annually. 
Mercury entering POTWs frequently partitions into the sludge, the solid 
material that remains after wastewater is treated. Mercury from waste 
amalgam therefore can make its way into the environment from the POTW 
through the incineration, landfilling, or land application of sludge or 
through surface water discharge. Once released into the aquatic 
environment, certain bacteria can change mercury into methylmercury, a 
highly toxic form of mercury that bioaccumulates in fish and shellfish. 
In the U.S., consumption of fish and shellfish is the main source of 
methylmercury exposure to humans. Removing mercury when it is in a 
concentrated and easy to manage form in dental amalgam, before it 
becomes diluted and difficult and costly to remove, is a common sense 
step to prevent mercury from being released into the environment where 
it can become a hazard to humans.
    The ADA, which supported removal and recycling of mercury from 
wastewater discharged to POTWs in its comments on the 2014 proposed 
rule (See DCN EPA-HQ-OW-2014-0693-0434), developed best management 
practices (BMPs) to facilitate this goal and shared its recommendations 
widely with the dental community (DCN DA00165). The ADA's voluntary 
amalgam waste handling and disposal practices include the use of 
amalgam separators to reduce mercury discharges. In addition, some 
states and localities have implemented mandatory programs to reduce 
dental mercury discharges that include the use of amalgam separators.
    EPA has concluded that requiring dental offices to remove mercury 
through relatively low-cost and readily available amalgam separators 
and BMPs makes sense. Capturing mercury-laden waste where it is created 
prevents it from being released into the environment. This final rule 
controls mercury discharges to POTWs by establishing a performance 
standard for amalgam process wastewater based on the use of amalgam 
separator technology. The rule also requires dental dischargers to 
adopt two BMPs, one which prohibits the discharge of waste (``or 
scrap''), and the other which prohibits the use of line cleaners that 
may lead to the dissolution of solid mercury when cleaning chair-side 
traps and vacuum lines.
    In addition, the rule minimizes the administrative burden on dental 
offices subject to the rule, as well as on federal, state, and local 
regulatory authorities responsible for oversight and enforcement of the 
new standard. Administrative burden was a concern of many of the 
commenters on the 2014 proposed rule and EPA has greatly reduced that 
burden through streamlining the administrative requirements in this 
final rule.
    When EPA establishes categorical pretreatment requirements, it 
triggers additional oversight and reporting requirements in EPA's 
General Pretreatment Regulations. The General Pretreatment Regulations 
specify that Control Authorities (which are often the state or POTW) 
are responsible for administering and enforcing pretreatment standards, 
including receiving and reviewing compliance reports. While other 
industries subject to categorical pretreatment standards typically 
consist of tens to hundreds of facilities, the dental industry consists 
of approximately 130,000 offices. Application of the default General 
Pretreatment Regulation oversight and reporting requirements to such a 
large number of facilities would be much more challenging. Further, 
dental office discharges differ from other industries for which EPA has 
established categorical pretreatment standards. Both the volume of 
wastewater discharged and the quantity of pollutants in the discharge 
on a per facility basis are significantly less than other industries 
for which EPA has established categorical pretreatment standards. 
Accordingly, this final rule exempts dental offices from the General 
Pretreatment Regulations' oversight and reporting requirements 
associated with categorical pretreatment standards, reflecting EPA's 
recognition that the otherwise-applicable regulatory framework for 
categorical dischargers would be unlikely to have a significant 
positive impact on overall compliance with the rule across the dental 
industry, while imposing a substantial burden on state and local 
regulating authorities.
    In order to simplify implementation and compliance for the dental 
offices and the regulating authorities, the final rule establishes that 
dental dischargers are not Significant Industrial Users (SIUs) as 
defined in 40 CFR part 403, and are not Categorical Industrial Users 
(CIUs) or ``industrial users subject to categorical pretreatment 
standards'' as those terms and variations are used in the General 
Pretreatment Regulations, unless designated such by the Control 
Authority. While this rule establishes pretreatment standards that 
require dental offices to reduce dental amalgam discharges, the rule 
does not require Control Authorities to implement the traditional suite 
of oversight requirements in the General Pretreatment Regulations that 
become applicable upon the promulgation of categorical pretreatment 
standards for an industrial category. This significantly reduces the 
reporting requirements for dental dischargers that would otherwise 
apply by instead requiring them to demonstrate compliance with the 
performance standard and BMPs through a one-time compliance report to 
their Control Authority. This regulatory approach also eliminates the 
additional oversight requirements for Control Authorities that are 
typically associated with SIUs, such as permitting and annual 
inspections of individual dental offices. It also eliminates additional 
reporting requirements for the Control Authorities typically associated 
with CIUs, such as identification of CIUs in their annual pretreatment 
reports. At the same time, the final rule recognizes the Control 
Authority's discretionary authority to treat a dental discharger as an 
SIU and/or CIU if, in the Control Authority's judgement, it is 
necessary.
    EPA estimated the annual costs associated with this rule. EPA's 
analysis reflects that many dental offices have already taken steps to 
reduce dental amalgam discharges by discontinuing the use of dental 
amalgam, adopting the ADA's voluntary best practices, or by meeting 
existing mandatory state or local requirements. On a national basis, 
EPA estimates that approximately 40 percent of dental offices subject 
to this final rule already use amalgam separators (DCN DA00456). Of the 
remaining 60 percent of dental offices that do not have amalgam 
separators and that are subject to this final rule, EPA estimates that 
20 percent do not place or remove dental amalgam (DCN DA00161). These 
dentists that do not place or remove dental amalgam--which correspond 
to 12 percent of the dental offices subject to this final rule--will 
incur little to no costs as a result of the rule. EPA estimates the 
remainder (representing 48 percent of the dental offices subject to 
this final rule) will incur an approximate average annual cost of $800 
per office. The total annual cost of this final rule is projected to be 
$59-$61 million.
    This final rule will produce human health and ecological benefits 
by reducing the estimated annual

[[Page 27157]]

nationwide POTW discharge of dental mercury to surface water from 1,003 
pounds to 11 pounds. Studies show that decreased point-source 
discharges of mercury to surface water have resulted in lower 
methylmercury concentrations in fish, and that such reductions can 
result in quantifiable economic benefits from improved human health and 
ecological conditions (DCN DA00148). While not quantified, as noted 
above, this rule will also reduce mercury releases to the environment 
associated with the incineration, landfilling, or land application of 
POTW sludges. Instead, EPA expects all of the collected amalgam will be 
recycled, rather than released back into the environment.

IV. Background

A. Legal Framework

1. Clean Water Act
    Congress passed the Federal Water Pollution Control Act Amendments 
of 1972, also known as the Clean Water Act (CWA), to ``restore and 
maintain the chemical, physical, and biological integrity of the 
Nation's waters.'' (33 U.S.C. 1251(a)). The CWA establishes a 
comprehensive program for protecting our nation's waters. Among its 
core provisions, the CWA prohibits the discharge of pollutants from a 
point source to waters of the U.S. except as authorized under the CWA. 
Under section 402 of the CWA, EPA authorizes discharges by a National 
Pollutant Discharge Elimination System (NPDES) permit. The CWA 
establishes a two- pronged approach for these permits: Technology-based 
controls that establish the floor of performance for all dischargers, 
and water quality-based limits where the technology-based limits are 
insufficient for the discharge to meet applicable water quality 
standards. To serve as the basis for the technology-based controls, the 
CWA authorizes EPA to establish national technology-based effluent 
limitations guidelines and new source performance standards for 
discharges from different categories of point sources, such as 
industrial, commercial, and public sources, that discharge directly 
into waters of the U.S.
    Direct dischargers (those discharging directly to surface waters) 
must comply with effluent limitations in NPDES permits. Technology-
based effluent limitations in NPDES permits for direct dischargers are 
derived from effluent limitations guidelines (CWA sections 301 and 304) 
and new source performance standards (CWA section 306) promulgated by 
EPA, or based on best professional judgment where EPA has not 
promulgated an applicable effluent guideline or new source performance 
standard (CWA section 402(a)(1)(B) and 40 CFR 125.3). The effluent 
guidelines and new source performance standards established by 
regulation for categories of industrial dischargers are based on the 
degree of control that can be achieved using various levels of 
pollution control technology, as specified in the Act.
    EPA promulgates national effluent limitations guidelines and 
standards of performance for major industrial categories for three 
classes of pollutants: (1) Conventional pollutants (total suspended 
solids, oil and grease, biochemical oxygen demand, fecal coliform, and 
pH) as outlined in CWA section 304(a)(4) and 40 CFR 401.16; (2) toxic 
pollutants (e.g., toxic metals such as chromium, lead, mercury, nickel, 
and zinc) as outlined in section 307(a) of the Act, 40 CFR 401.15 and 
40 CFR part 423, appendix A; and (3) non-conventional pollutants, which 
are those pollutants that are not categorized as conventional or toxic 
(e.g., ammonia-N, formaldehyde, and phosphorus).
    The CWA also authorizes EPA to promulgate nationally applicable 
pretreatment standards that restrict pollutant discharges from 
facilities that discharge pollutants indirectly, by sending wastewater 
to POTWs, as outlined in sections 307(b), (c) and 304(g) of the CWA. 
EPA establishes national pretreatment standards for those pollutants 
that may pass through, interfere with, or may otherwise be incompatible 
with POTW operations. CWA sections 307(b) and (c) and 304(g). The 
legislative history of the 1977 CWA amendments explains that 
pretreatment standards are technology-based and analogous to 
technology-based effluent limitations for direct dischargers for the 
removal of toxic pollutants. As further explained in the legislative 
history, the combination of pretreatment and treatment by the POTW is 
intended to achieve the level of treatment that would be required if 
the industrial source were making a direct discharge. Conf. Rep. No. 
95-830, at 87 (1977), reprinted in U.S. Congress. Senate. Committee on 
Public Works (1978), A Legislative History of the CWA of 1977, Serial 
No. 95-14 at 271 (1978). As such, in establishing pretreatment 
standards, EPA's consideration of pass through for national technology-
based categorical pretreatment standards differs from that described in 
EPA's General Pretreatment regulations at 40 CFR part 403. For 
categorical pretreatment standards, EPA's approach for pass through 
satisfies two competing objectives set by Congress: (1) That standards 
for indirect dischargers be equivalent to standards for direct 
dischargers; and (2) that the treatment capability and performance of 
the POTWs be recognized and taken into account in regulating the 
discharge of pollutants from indirect dischargers. CWA 
301(b)(1)(A)(BPT); and 301(b)(1)(E).
2. Effluent Limitations Guidelines and Standards
    EPA develops Effluent Guidelines Limitations and Standards (ELGs) 
that are technology-based regulations for specific categories of 
dischargers. EPA bases these regulations on the performance of control 
and treatment technologies. The legislative history of CWA section 
304(b), which is the heart of the effluent guidelines program, 
describes the need to press toward higher levels of control through 
research and development of new processes, modifications, replacement 
of obsolete plants and processes, and other improvements in technology, 
taking into account the cost of controls. Congress has also stated that 
EPA need not consider water quality impacts on individual water bodies 
as the guidelines are developed; see Statement of Senator Muskie 
(October 4, 1972), reprinted in U.S. Senate Committee on Public Works, 
Legislative History of the Water Pollution Control Act Amendments of 
1972, Serial No. 93-1, at 170).
    There are standards applicable to direct dischargers (dischargers 
to surface waters) and standards applicable to indirect dischargers 
(dischargers to POTWs). The types of standards relevant to this 
rulemaking are summarized here.
a. Best Available Technology Economically Achievable (BAT)
    BAT represents the second level of stringency for controlling 
direct discharge of toxic and nonconventional pollutants. In general, 
BAT-based effluent guidelines and new source performance standards 
represent the best available economically achievable performance of 
facilities in the industrial subcategory or category. Following the 
statutory language, EPA considers the technological availability and 
the economic achievability in determining what level of control 
represents BAT. CWA section 301(b)(2)(A). Other statutory factors that 
EPA considers in assessing BAT are the cost of achieving BAT effluent 
reductions, the age of equipment and facilities involved, the process 
employed, potential process changes, and non- water quality 
environmental impacts, including energy requirements and such other 
factors as the

[[Page 27158]]

Administrator deems appropriate. CWA section 304(b)(2)(B). The Agency 
retains considerable discretion in assigning the weight to be accorded 
these factors. Weyerhaeuser Co. v. Costle, 590 F.2d 1011, 1045 (D.C. 
Cir. 1978).
b. Best Available Demonstrated Control Technology (BADCT)/New Source 
Performance Standards (NSPS)
    NSPS reflect effluent reductions that are achievable based on the 
best available demonstrated control technology (BADCT). Owners of new 
facilities have the opportunity to install the best and most efficient 
production processes and wastewater treatment technologies. As a 
result, NSPS should represent the most stringent controls attainable 
through the application of the BADCT for all pollutants (that is, 
conventional, nonconventional, and toxic pollutants). In establishing 
NSPS, EPA is directed to take into consideration the cost of achieving 
the effluent reduction and any non-water quality environmental impacts 
and energy requirements. CWA section 306(b)(1)(B).
c. Pretreatment Standards for Existing Sources (PSES)
    Pretreatment standards apply to dischargers of pollutants to POTWs; 
Pretreatment Standards for Existing Sources are designed to prevent the 
discharge of pollutants to POTWs that pass through, interfere with, or 
are otherwise incompatible with the operation of POTWs, including 
sludge disposal methods of POTWs. Categorical pretreatment standards 
for existing sources are technology-based and are analogous to BAT 
effluent limitations guidelines, and thus the Agency typically 
considers the same factors in promulgating PSES as it considers in 
promulgating BAT. See Natural Resources Defense Council v. EPA, 790 
F.2d 289, 292 (3rd Cir. 1986).
d. Pretreatment Standards for New Sources (PSNS)
    Like PSES, PSNS are designed to prevent the discharges of 
pollutants that pass through, interfere with, or are otherwise 
incompatible with the operation of POTWs. New indirect discharges have 
the opportunity to incorporate into their facilities the best available 
demonstrated technologies. In establishing pretreatment standards for 
new sources, the Agency typically considers the same factors in 
promulgating PSNS as it considers in promulgating NSPS (BADCT).
e. Best Management Practices (BMPs)
    Section 304(e) of the CWA authorizes the Administrator to publish 
regulations, in addition to effluent limitations guidelines and 
standards for certain toxic or hazardous pollutants, ``to control plant 
site runoff, spillage or leaks, sludge or waste disposal, and drainage 
from raw material storage which the Administrator determines are 
associated with or ancillary to the industrial manufacturing or 
treatment process . . . and may contribute significant amounts of such 
pollutants to navigable waters.'' In addition, section 304(g), read in 
concert with section 501(a), authorizes EPA to prescribe as wide a 
range of pretreatment requirements as the Administrator deems 
appropriate in order to control and prevent the discharge into 
navigable waters, either directly or through POTWs, any pollutant which 
interferes with, passes through, or otherwise is incompatible with such 
treatment works. (see also Citizens Coal Council v. U.S. EPA, 447 F3d 
879, 895-96 (6th Cir. 2006) (upholding EPA's use of non-numeric 
effluent limitations and standards); Waterkeeper Alliance, Inc. v. U.S. 
EPA, 399 F.3d 486, 496-97, 502 (2d Cir. 2005) (EPA use of non-numerical 
effluent limitations in the form of BMPs are effluent limitations under 
the CWA); and Natural Res. Def. Council, Inc. v. EPA, 673 F.2d 400, 403 
(D.C. Cir. 1982) (``section 502(11) [of the CWA] defines `effluent 
limitation' as `any restriction' on the amounts of pollutants 
discharged, not just a numerical restriction.''))

B. Dental Category Effluent Guidelines Rulemaking History and Summary 
of Public Comments

    EPA published the proposed rule on October 22, 2014, and took 
public comment through February 20, 2015. During the public comment 
period, EPA received approximately 200 comments. EPA also held a public 
hearing on November 10, 2014. Administrative burden was a concern of 
many of the commenters on the 2014 proposed rule, particularly from 
regulatory authorities responsible for oversight and enforcement of the 
new standard. Commenters also provided additional information on 
amalgam separators (e.g., costs, models, and design) as well as 
information on some other approaches to reduce pollutant discharges 
from dentists. Commenters also offered ways to improve and/or clarify 
the proposed pretreatment standards, including the proposed numerical 
efficiency and operation and maintenance requirements. See DCN DA00516 
for these comments and EPA's responses.

C. Existing State and Local Program Requirements

    Currently, 12 states (Connecticut, Louisiana,\1\ Maine, 
Massachusetts, Michigan, New Hampshire, New Jersey, New Mexico, New 
York, Rhode Island, Vermont, and Washington) have mandatory programs to 
reduce dental mercury discharges. Additionally, at least 18 localities 
(located in California, Colorado, Ohio, and Wisconsin) similarly have 
mandatory dental amalgam reduction pretreatment programs. EPA analyzed 
readily available information about these programs and found 
commonalities (DCN DA00524). For example, all require the use of 
amalgam separators and most specify associated operating and 
maintenance requirements. The majority of these programs also require 
some type of best management practices, and at least a one-time 
compliance report to the regulating authority.
---------------------------------------------------------------------------

    \1\ Louisiana state requirements do not explicitly require 
dental offices to install amalgam separators; dental offices must 
follow BMPs recommended by the ADA in 1999. ADA added amalgam 
separators to the list of BMPs in 2008.
---------------------------------------------------------------------------

D. Roles and Responsibilities Under the National Pretreatment Program

    The National Pretreatment Program requires industrial dischargers 
that discharge to POTWs to comply with pretreatment standards. The 
General Pretreatment Regulations in 40 CFR part 403 establish roles and 
responsibilities for entities involved in the implementation of 
pretreatment standards. This section summarizes the roles and 
responsibilities of Industrial Users (IUs), Control Authorities, and 
Approval Authorities. For a detailed description, see the preamble for 
the proposed rule (79 FR 63279-63280; October 22, 2014).
    An IU is a nondomestic source of indirect discharge into a POTW, 
and in this rule is the dental discharger. The Control Authority may be 
the POTW, the state, or EPA, depending on whether the POTW or the state 
is approved by EPA to administer the pretreatment program. The Control 
Authority is the POTW in cases where the POTW has an approved 
pretreatment program. The Control Authority is the state, where the 
POTW has not been approved to administer the pretreatment program, but 
the state has been approved. The Control Authority is EPA where neither 
the POTW nor the state have been approved to administer the 
pretreatment program. The Approval Authority is the

[[Page 27159]]

State (Director) in an NPDES authorized state with an approved 
pretreatment program; or the EPA regional administrator in a non-NPDES 
authorized state or NPDES state without an approved state pretreatment 
program.
    Typically, an IU is responsible for demonstrating compliance with 
pretreatment standards by performing self-monitoring, submitting 
reports and notifications to its Control Authority, and maintaining 
records of activities associated with its discharge to the POTW. The 
Control Authority is the regulating authority responsible for 
implementing and enforcing pretreatment standards. The General 
Pretreatment Regulations require certain minimum oversight of IUs by 
Control Authorities. The required minimum oversight includes receipt 
and analysis of reports and notifications submitted by IUs, random 
sampling and analyzing effluent from IUs, and conducting surveillance 
activities to identify occasional and continuing non-compliance with 
pretreatment standards. The Control Authority is also responsible for 
taking enforcement action as necessary. For IUs that are designated as 
Significant Industrial Users (SIUs), Control Authorities must inspect 
and sample the SIU effluent annually, review the need for a slug 
control plan, and issue a permit or equivalent control mechanism. IUs 
subject to categorical pretreatment standards are referred to as 
Categorical Industrial Users (CIUs). The General Pretreatment 
Regulations define SIU to include CIUs. The Approval Authority is 
responsible for ensuring that POTWs comply with all applicable 
pretreatment program requirements. Among other things, the Approval 
Authority receives annual pretreatment reports from the Control 
Authority. These reports must identify which IUs are CIUs.

E. Minamata Convention on Mercury

    On November 6, 2013, the United States joined the Minamata 
Convention on Mercury, a new multilateral environmental agreement that 
addresses specific human activities that are contributing to widespread 
mercury pollution. The agreement identifies dental amalgam as a 
mercury-added product for which certain measures should be taken. 
Specifically, the Convention lists nine measures for phasing down the 
use of mercury in dental amalgam, including promoting the use of best 
environmental practices in dental offices to reduce releases of mercury 
and mercury compounds to water and land. Nations that are parties to 
the Convention are required to implement at least two of the nine 
measures to address dental amalgam. This final rule contributes to the 
U.S.'s efforts to meet the measures called for in the treaty.

V. Description of Dental Industry & Dental Amalgam Wastewater Sources 
and Management

A. Dental Industry

    The industry category affected by this final rule is Offices of 
Dentists (NAICS 621210), which comprises establishments of health 
practitioners primarily engaged in the independent practice of general 
or specialized dentistry, or dental surgery. These practitioners 
operate individual or group practices in their own offices or in the 
offices of others, such as hospitals or health maintenance organization 
medical centers. They can provide either comprehensive preventive, 
cosmetic, or emergency care, or specialize in a single field of 
dentistry.
    According to the 2012 Economic Census, there are 133,221 U.S. 
dental offices owned or operated by 125,275 dental firms.\2\ Only 2 
percent of all dental firms are multi-unit, the rest are single-unit. 
The growth of the number of dental offices remained steady over the 
past decade with an average increase of 1 percent per year.
---------------------------------------------------------------------------

    \2\ A firm is a business organization, such as a sole 
proprietorship, partnership, or corporation.
---------------------------------------------------------------------------

    The industry includes mostly small businesses with an estimated 
over 99 percent of all offices falling below the Small Business 
Administration (SBA) size standard ($7.5 million in annual revenue). 
Using Census Bureau data, EPA estimates an average revenue for offices 
at $787,190 per year with an average of 6.6 employees per 
establishment.
    According to ADA data, approximately 80 percent of the dental 
industry engages in general dentistry. Approximately 20 percent are 
specialty dentists such as periodontists, orthodontists, radiologists, 
maxillofacial surgeons, endodontists, or prosthodontists (DCN DA00460).
    Dentistry may also be performed at larger institutional dental 
offices (military clinics and dental schools). Since EPA does not know 
if these offices are included in the 2012 Economic Census data, EPA 
conservatively assumed the largest offices are not present in the data, 
and so added an estimate of 415 larger institutional dental offices 
across the nation. For the final rule, EPA updated this number based on 
comments received on the proposed rule.

B. Dental Amalgam Wastewater Sources and Management

    Dental amalgam consists of approximately 49 percent mercury by 
weight. Mercury is the only metal that is in its liquid phase at room 
temperature, and it bonds well with powdered alloy. This contributes to 
its durability in dental amalgam. The other half of dental amalgam is 
usually composed of 35 percent silver, 9 percent tin, 6 percent copper, 
1 percent zinc and small amounts of indium and palladium (DCN DA00131).
    Sources of dental amalgam discharges generally occur in the course 
of two categories of activities. The first category of discharges may 
occur in the course of treating a patient, such as during the placement 
or removal of a filling. When filling a cavity, dentists overfill the 
tooth cavity so that the filling can be carved to the proper shape. The 
excess amalgam is typically rinsed into a cuspidor, or suctioned out of 
the patient's mouth. In addition to filling new cavities, dentists also 
remove old restorations that are worn or damaged. Removed restorations 
also may be rinsed into a cuspidor or suctioned out of the patient's 
mouth. Based on information in the record (DCN DA00456), removed 
restorations is the largest contributor of mercury in dental 
discharges.
    The second category of dental amalgam discharges occurs in the 
course of activities not directly involved with the placement or 
removal of dental amalgam. Preparation of dental amalgam, disposing of 
excess amalgam, and flushing vacuum lines with corrosive chemicals 
present opportunities for dental amalgam to be discharged.
    The use of dental amalgam has decreased steadily since the late 
1970s as alternative materials such as composite resins and glass 
ionomers have become more widely available. Estimates show that 
placements of dental amalgam have decreased on average by about 2 to 3% 
per year (74 FR 38686; August 4, 2009). Based on this information, EPA 
estimates that mercury in dental amalgam discharges to POTWs will 
decrease by about half within the next 25 years. While the use of 
dental amalgam continues to decline, EPA estimates that approximately 2 
tons of mercury would continue to be discharged to POTWs in 2040.
    The typical plumbing configuration in a dental office consists of a 
chair-side trap for each chair, and a central vacuum pump with a vacuum 
pump filter. Chair-side traps and vacuum pump filters remove 
approximately 78

[[Page 27160]]

percent of dental amalgam particles from the wastewater stream (DCN 
DA00163). EPA identified three major technologies that capture dental 
amalgam waste, in addition to chair-side traps and vacuum pump filters, 
before it is discharged to the POTW: Separators, ion exchange, and 
wastewater containment systems. EPA also identified BMPs that have a 
significant impact on dental amalgam discharges.
1. Amalgam Separators
    An amalgam separator is a device designed to remove solids from 
dental office wastewater. Amalgam separators remove amalgam particles 
from the wastewater through centrifugation, sedimentation, filtration, 
or a combination of any of these methods. Practically all amalgam 
separators on the market today rely on sedimentation because of its 
effectiveness and operational simplicity.
    The vast majority of amalgam separators on the market today have 
been evaluated for their ability to meet the current American National 
Standards Institute's (ANSI) Standard for Amalgam Separators (ANSI/ADA 
Standard No. 108 for Amalgam Separators). This standard incorporates 
the International Organization for Standardization (ISO) Standard for 
Dental Amalgam Separators (http://www.iso.org/iso/iso_catalogue/catalogue_tc/catalogue_detail.htm?csnumber=42288).\3\ The current ISO 
standard for amalgam separators is ISO 11143. ISO established a 
standard for measuring amalgam separator efficiency by evaluating the 
retention of amalgam solids using specified test procedures in a 
laboratory setting. In order to meet the ISO standard, a separator must 
achieve 95 percent removal or greater of total solids. The ISO standard 
also includes certain design requirements and requirements for 
instructions for proper use and maintenance. For example, for non-
sedimentation amalgam separators, the ISO 11143 standard requires a 
warning system such as an auditory or visual sign to indicate when the 
separator's efficiency is compromised to ensure that the operator is 
aware that the separator is not operating optimally. For sedimentation 
separators, the requirement can be met by providing instructions that 
would allow the operator to ascertain the operating status of the 
amalgam separator.
---------------------------------------------------------------------------

    \3\ ANSI is the coordinator of the U.S. voluntary consensus 
standards system. An ISO document may be nationally adopted as an 
ANS as written or with modifications to its content that reflect 
technical deviations to the ISO standard that have been agreed upon 
through a consensus process. In other words, a consensus of U.S. 
experts, in an open and due process based environment, agreed that 
ISO 11143 with U.S. modifications is appropriate for adoption as an 
ANS.
---------------------------------------------------------------------------

    Based on reported removal efficiencies of a range of amalgam 
separators currently on the market that meet the ISO standard, 
separators obtain a median of 99 percent removal efficiency (see 
Chapter 7 of the TEDD) of total dental solids. When existing chair-side 
traps and vacuum pump filters are used upstream of the amalgam 
separators, the combined treatment system can achieve total mercury 
removal rates exceeding 99 percent (DCN DA00008).
    Solids collected by the amalgam separator may be a combination of 
dental amalgam, biological material from patients, and any other solid 
material sent down the vacuum line. The collected solids must be 
handled in accordance with federal, state and local requirements. EPA 
regulates the disposal of mercury-containing hazardous waste under the 
Resource Conservation and Recovery Act (RCRA). A mercury-containing 
waste can be considered hazardous in two ways: (1) As a listed 
hazardous waste; or (2) as a characteristic hazardous waste. Unused 
elemental mercury being discarded would be a listed hazardous waste 
(waste code U151). Persons who generate hazardous waste, such as a 
waste that exhibits the hazardous characteristics for mercury, are 
subject to specific requirements for the proper management and disposal 
of that waste. The federal RCRA regulatory requirements differ 
depending upon how much hazardous waste a site generates per month. 
Most dental practices generate less than 100 kilograms of non-acute 
hazardous waste per month and less than 1 kilogram of acute hazardous 
waste per month. Such facilities are therefore classified as ``Very 
Small Quantity Generators'' (VSQGs). VSQGs are not subject to most of 
the RCRA hazardous waste requirements.
    Many states have additional requirements for the handling of 
mercury, including waste dental amalgam. Chapter 6 of the TEDD provides 
additional details on the handling requirements for states that require 
dentists to control dental mercury dischargers. To facilitate 
compliance with state and local requirements, several amalgam separator 
manufacturers offer services that facilitate the transport of waste 
amalgam to facilities that separate mercury from other metals in dental 
amalgam and recycle the mercury, keeping it out of the environment. EPA 
recommends that dental dischargers take advantage of such services. In 
2012, ADA posted a directory of amalgam recyclers on its Web site. See 
DCN DA00468.
    For more information about amalgam separators, see the proposed 
rule (79 FR 63265; October 22, 2014).
2. Polishing To Remove Dissolved Mercury From Wastewater
    Mercury from dental amalgam in wastewater is present in both the 
particulate and dissolved form. The vast majority (>99.6 percent) is 
particulate (DCN DA00018). An additional process sometimes referred to 
as ``polishing'' uses ion exchange to remove dissolved mercury from 
wastewater. Dissolved mercury has a tendency to bind with other 
chemicals, resulting in a charged complex. Ion exchange is the process 
that separates these charged amalgam particles from the wastewater. For 
ion exchange to be most effective, the incoming wastewater must first 
be treated to remove solids. Then the wastewater needs to be oxidized 
(creating a charge on the amalgam particles) in order for the resin or 
mercury capturing material to capture the dissolved mercury. Therefore, 
ion exchange will not be effective without first being preceded by a 
solids collector and an oxidation process. The data available to EPA 
indicate that total additional mercury reductions with the addition of 
polishing are typically about 0.5 percent (DCN DA00164). This is not 
surprising since, as indicated above, dissolved mercury contributes 
such a small portion to the total amount of mercury in wastewater. In 
addition to polishing as described above, EPA is aware that vendors are 
developing amalgam separators with an improved resin for removing 
dissolved mercury. For additional discussion on polishing, see proposal 
(79 FR 63266; October 22, 2014).
3. Wastewater Retention Tanks
    Commenters on the proposed rule identified wastewater retaining 
tanks as a third technology to reduce mercury discharges from dental 
offices to POTWs. Where currently used, these systems collect and 
retain all \4\ amalgam process wastewater. The wastewater remains in 
the wastewater retention tank until it is pumped out of the tank and 
transferred to a privately owned wastewater treatment facility. This 
eliminates the discharge of amalgam process wastewater and the 
associated

[[Page 27161]]

pollutants from a dental office to a POTW.
---------------------------------------------------------------------------

    \4\ Dental offices using wastewater retention tanks must ensure 
that all amalgam process wastewater is collected by the wastewater 
retention tanks. Any uncollected amalgam process wastewater that is 
discharged to the POTW is subject to this rule.
---------------------------------------------------------------------------

4. Best Management Practices
    In addition to technologies, EPA also identified best management 
practices currently used in this industry (and included in the ADA 
BMPs) to reduce dental amalgam discharges. In particular, EPA 
identified two BMPs to control dental amalgam discharges that would not 
be captured by an amalgam separator and/or polishing unit. Oxidizing 
line cleaners can solubilize bound mercury. If oxidizing cleaners are 
used to clean dental unit water lines, chair side traps, or vacuum 
lines that lead to an amalgam separator, the line cleaners may 
solubilize any mercury that the separator has captured, resulting in 
increased mercury discharges. One BMP ensures the efficiency of amalgam 
separators by prohibiting use of oxidizing line cleaners including but 
not limited to, bleach, chlorine, iodine and peroxide, that have a pH 
lower than 6 or greater than 8.\5\
---------------------------------------------------------------------------

    \5\ Many alternatives use enzymatic or other processes that do 
not lead to the dissolution of mercury when used to clean chairside 
traps, and vacuum lines. See DCN DA00215.
---------------------------------------------------------------------------

    Flushing waste amalgam from chair-side traps, screens, vacuum pump 
filters, dental tools, or collection devices into drains also presents 
additional opportunities for mercury to be discharged from the dental 
office. The second BMP prohibits flushing waste dental amalgam into any 
drain.

VI. Final Rule

A. Scope and General Applicability

    Consistent with the proposal, dental offices that discharge to 
POTWs are within the scope of this final pretreatment rule.\6\ EPA 
solicited information in the proposal from the public on its 
preliminary finding that, with few exceptions, dental offices do not 
discharge wastewater directly to surface waters. EPA did not receive 
any comments containing data to contradict this finding. Therefore, EPA 
is not establishing any requirements for direct wastewater discharges 
from dental offices to surface waters at this time.
---------------------------------------------------------------------------

    \6\ The final rule does not apply to dental discharges to septic 
systems.
---------------------------------------------------------------------------

    The final rule applies to wastewater discharges to POTWs from 
offices where the practice of dentistry is performed, including large 
institutions such as dental schools and clinics; permanent or temporary 
offices, home offices, and facilities; and including dental offices 
owned and operated by federal, state, or local governments including 
military bases. The final rule does not apply to wastewater discharges 
from dental offices where the practice of dentistry consists 
exclusively of one or more of the following dental specialties: Oral 
pathology, oral and maxillofacial radiology, oral and maxillofacial 
surgery, orthodontics, periodontics, or prosthodontics. As described in 
the TEDD, these specialty practices are not expected to engage in the 
practice of amalgam restorations or removals, and are not expected to 
have any wastewater discharges containing dental amalgam.
    The final rule also does not apply to wastewater discharges to 
POTWs from mobile units. EPA proposed to apply the standards to mobile 
units (typically a specialized mobile self- contained van, trailer, or 
equipment from which dentists provide services at multiple locations), 
soliciting comments and data pertaining to them (79 FR 63261; October 
22, 2014). However, EPA is not establishing requirements for mobile 
units at this time because it has insufficient data to do so. EPA does 
not have, nor did commenters provide, data on the number, size, 
operation, or financial characteristics of mobile units. EPA also has 
minimal information on wastewater discharges from mobile units, and/or 
practices employed to minimize dental amalgam in such discharges. 
Therefore, any further evaluation of requirements for mobile units is 
not possible at this time, and the final rule requirements do not apply 
to mobile units.

B. Existing Source (PSES) Option Selection

    After considering all of the relevant factors and dental amalgam 
management approaches discussed in this preamble and TEDD, as well as 
public comments, EPA decided to establish PSES based on proper 
operation and maintenance of one or more ISO 11143 \7\ compliant 
amalgam separators and two BMPs--a prohibition on the discharge of 
waste (or ``scrap'') amalgam to POTWs and a prohibition on the use of 
line cleaners that are oxidizing or acidic and that have a pH higher 
than 8 or lower than 6. EPA finds that the technology basis is 
``available'' as that term is used in the CWA because it is readily 
available and feasible for all dental offices subject to this rule. 
Data in the record demonstrate that the technology basis is extremely 
effective in reducing pollutant discharges in dental wastewater to 
POTWs as the median efficacy of ISO compliant amalgam separators on the 
market in the U.S. is 99.3 percent. Moreover, ADA recommends that 
dentists use the technology on which this rule is based (ISO compliant 
amalgam separators and BMPs). Further, as described in Section III, EPA 
estimates that approximately 40 percent of dental offices potentially 
subject to this rule currently use amalgam separators on a voluntary 
basis or are in states or localities with laws requiring the use of 
amalgam separators. Many dentists have used amalgam separators and BMPs 
for at least a decade. For those dental offices that have not yet 
installed an amalgam separator, EPA estimates this is a low-cost 
technology with an approximate average annual cost of $800 \8\ per 
office. EPA's economic analysis shows that this rule is economically 
achievable (see Section IX). Finally, EPA also examined the incremental 
non-water-quality environmental impacts of the final pretreatment 
standards and found them to be acceptable. See Section XII.
---------------------------------------------------------------------------

    \7\ ISO 11143 Standard as incorporated and updated by ANSI 
Standard 108 (ANSI 108/ISO 11143 Standard).
    \8\ This estimate is based on the average annualized cost for 
dental offices that do not currently have an amalgam separator. See 
DCN DA00458.
---------------------------------------------------------------------------

    EPA did not establish PSES based on technologies that remove 
dissolved mercury such as polishing. EPA is not aware of any state or 
local regulations that require ion exchange or that require removal of 
dissolved mercury. Commenters raised operational concerns with ion 
exchange citing a pilot study for the department of Navy. EPA also 
lacks adequate performance data to assess the efficacy of polishing for 
nationwide use. While even very small amounts of mercury have 
environmental effects, EPA lacks sufficient data to conclude that there 
is a significant difference in the performance between traditional 
amalgam separators and polishing. Moreover, current information 
suggests that polishing is not available for nationwide use because the 
typical dental office may not have adequate space to install the 
treatment train needed for effective polishing and because there are 
few polishing systems on the market today in comparison to traditional 
amalgam separators. Lastly, EPA estimates that the capital costs of the 
polishing system, as a stand-alone system, are approximately four times 
that of the amalgam separator even though the costs for chemical use, 
regenerating the resin, filter replacement, and other operational costs 
were not reported (DCN DA00122). These factors led EPA to find that 
polishing is not ``available'' as that term is used in the CWA.

[[Page 27162]]

    EPA also did not establish PSES based on wastewater retention 
tanks. Capital costs for wastewater retention tanks are approximately 
twice that of the amalgam separator (DCN DA00461). EPA does not have 
information on the costs incurred by the dental office to send the 
collected wastewater off-site to a privately owned treatment facility 
(may also be referred to as a centralized waste treatment facility or 
CWT). Furthermore, wastewater retention tanks require space, and EPA 
determined that the typical dental office may not have adequate space 
to install the tanks. In addition, EPA is only aware of one vendor 
currently offering this technology and service combination (vendor 
transfers the collected wastewater to a privately owned treatment 
facility), and the vendor's service area is limited to a few states. 
Therefore, EPA did not find this technology to be available to the 
industry as a whole.

C. New Source (PSNS) Option Selection

    After considering all of the relevant factors and technology 
options discussed in this preamble and in the TEDD, as well as public 
comments, EPA decided to establish PSNS based on the same technologies 
identified above as PSES. As previously noted, under section 307(c) of 
the CWA, new sources of pollutants into POTWs must comply with 
standards that reflect the greatest degree of effluent reduction 
achievable through application of the best available demonstrated 
control technologies. Congress envisioned that new treatment systems 
could meet tighter controls than existing sources because of the 
opportunity to incorporate the most efficient processes and treatment 
systems into the facility design. The technologies used to control 
pollutants at existing offices, amalgam separators and BMPs, are fully 
available to new offices. In addition, data from EPA's record show that 
the incremental cost of an amalgam separator compared to the cost of 
opening a new dental office is negligible; therefore, EPA determined 
that the final PSNS present no barrier to entry (see Section IX below). 
Similarly, because EPA projects that the incremental non-water quality 
environmental impacts associated with controls for new sources would 
not exceed those for existing sources, EPA concludes the non-water 
quality environmental impacts are acceptable. Therefore, this final 
rule establishes PSNS that are the same as those for PSES.
    EPA rejected other technologies as the basis for PSNS for the same 
reasons the Agency rejected other technology bases for PSES.

D. Requirements

1. Performance Standard
    EPA finalized the performance standards based on the same 
technology identified in the proposed rule, amalgam separators.
    EPA proposed a standard that would require dental dischargers to 
remove a specified percentage of total mercury from amalgam process 
wastewater and to follow the BMPs. Recognizing the impracticality of 
collecting and analyzing wastewater samples to demonstrate compliance 
with the standard for this industry, EPA included a provision by which 
dental offices could demonstrate compliance by certifying they were 
following the required BMPs and using an amalgam separator that 
achieved the specified percentage when tested for conformance with the 
ISO standard. EPA received comments regarding the proposed requirement. 
Commenters questioned the specified percent reduction, and raised 
concerns that the proposed standard could require dental offices to 
measure the percent removal being achieved by their amalgam separator, 
which was not the Agency's intent. In response to these comments, the 
final rule specifies a performance standard--BMPs and the use of an 
amalgam separator(s) compliant with the ISO standard rather than 
specifying a numerical reduction requirement. The final rule also 
includes a provision such that the performance standard can be met with 
the use of an amalgam removing technology other than an amalgam 
separator (equivalent device). EPA included this provision to 
incorporate future technologies that achieve comparable removals of 
pollutants from dental discharges as amalgam separators but that may 
not fall under the amalgam separator classification. Because the rule 
does not include a numerical limit, the performance standards also 
specify certain operation and maintenance requirements for the amalgam 
separator or comparable device to ensure they are operated optimally.
    The final rule allows dental offices to continue to operate 
existing amalgam separators for their lifetime or ten years (whichever 
comes first), as long as the dental discharger complies with the other 
rule requirements including the specified BMPs, operation and 
maintenance, reporting, and recordkeeping requirements. Once the 
separator needs to be replaced or the ten-year period has ended, dental 
offices will need to replace the amalgam separator with one that meets 
the requirements of the final rule. EPA does not want to penalize 
existing dental offices or institutional dental offices that have 
already installed amalgam separators voluntarily or to comply with 
state or local requirements. EPA recognizes that these offices may 
currently have amalgam separators in place that do not meet the ANSI 
ADA specification or the criteria of the ISO 11143 2008 standard. EPA 
did not want to establish a rule that would require dental offices with 
existing separators that still have a remaining useful life to be 
retrofitted with new separators, both because of the additional costs 
incurred by dental offices that adopted technology to reduce mercury 
discharges ahead of EPA's requirements and because of the additional 
solid waste that would be generated by disposal of the existing 
separators.
    In addition to installing one or more amalgam separators compliant 
with the ISO 11143 standard (or its equivalent) and implementing the 
required BMPs, the pretreatment standards specify certain operating and 
maintenance requirements for the amalgam separator. For example, the 
final rule requires a documented amalgam separator inspection to ensure 
the separator is performing properly. As explained in Section V, 
malfunctioning separators or separators that have reached their 
capacity are ineffective. Therefore, in order to ensure that mercury is 
not discharged from the facility, it is important that dentists know 
the operational status of their amalgam separator (see 40 CFR 
441.40(c)). As such, the final rule requires the separator to be 
inspected per the manufacturer's instructions. In addition, as 
explained in Section V, the ISO standard specifies non-sedimentation 
separators must have a visual or auditory warning indicator when the 
separator is nearly full or operating in by-pass mode. While not 
required for sedimentation amalgam separators, some manufacturers of 
sedimentation amalgam separators include visual or auditory warning 
indicators. Because warning indicators make it easy to detect when the 
separator is not operating optimally, EPA encourages dental offices to 
select an amalgam separator with a warning indicator when installing a 
new amalgam separator.
    EPA is aware that some amalgam separator vendors (in addition to 
providing the needed equipment) or service providers offer service 
contracts to maintain the system. These vendors also typically provide 
waste

[[Page 27163]]

management services for the collected solids. Some vendors also provide 
the necessary documentation and reports required by existing state and 
local programs. EPA encourages but does not require dental offices to 
consider such services, as they may aid compliance with the rule.
2. Applicability to Dental Offices That Do Not Place or Remove Dental 
Amalgam
    In the final rule, dental dischargers that do not place dental 
amalgam, and do not remove dental amalgam except in limited emergency 
or unplanned, unanticipated circumstances are exempt from any further 
requirements as long as they certify such in their One-time Compliance 
Report to their Control Authority. In this way, if, over time, the use 
of dental amalgam is phased out as a restorative material, the 
requirements of this rule will no longer apply. By limited 
circumstances, EPA means, dental offices that remove amalgam at a 
frequency less than five percent of its procedures. As described below, 
based on the record, on average, this percent approximates to 9 
removals per office per year (DCN DA00467).
    Dental amalgam traditionally has been used as a restorative 
material for cavities because the malleability of newly mixed amalgam 
makes it easy to place into cavities and because of its durability over 
time. While still used in many dental offices in the U.S., some dental 
offices have elected not to use dental amalgam and instead use only 
non-mercury based filling materials, such as composite resins and glass 
ionomer cements (DCN DA00495). As explained in Section IV, removed 
restorations are the largest contributor of mercury in dental 
discharges. Some dental offices have also elected not to remove amalgam 
restorations.
    EPA recognizes some dental offices only remove dental amalgam 
extremely infrequently, where there is an unplanned, unanticipated 
procedure. At the same time, for accepting new patients during the 
normal course of business, EPA would expect offices to inquire as to 
whether the patient has mercury fillings and not accept patients that 
have such fillings unless they install a separator or equivalent 
treatment in accordance with this rule. EPA proposed that dental 
offices that certify that they do not place or remove amalgam except in 
limited emergency circumstances would be exempt from any further 
requirements of the rule. EPA is clarifying in the final rule that the 
limited circumstances provision applies to the removal, but not to the 
placement of dental amalgam. A dental office that stocks amalgam 
capsules clearly intends to place amalgam, and does not represent the 
type of limited circumstance this provision is intended to address. 
Commenters largely supported this approach, and most commenters 
suggested EPA define limited emergency circumstances. The frequency 
recommended by these commenters ranged from once a quarter to 96 times 
a year (DCN DA00467).
    EPA is including the limited circumstances provision in the final 
rule to allow a dental office that does not reasonably expect to place 
or remove dental amalgam to provide immediate treatment, such as where 
unplanned, unanticipated removal of the amalgam is necessary at that 
facility at that time, in the professional judgment of the dentist. 
EPA's intent is to exclude dental offices from the rule's requirements, 
other than a one-time report, for unplanned removals. In EPA's view, 
dental offices that remove amalgam at a frequency more often than five 
percent of its procedures are not likely engaging in only limited, 
unplanned removals. EPA estimates that on average, a single chair 
dental office would remove amalgam 183 times per year (DCN DA00467). An 
amalgam removal rate that represents less than five percent of this 
frequency consists of approximately nine removals per year, on average, 
respectively. However, because EPA does not have, nor did commenters 
provide, data on the frequency of such unplanned and unanticipated 
instances nationwide, the final rule does not include a specific 
definition of limited circumstances. Rather, EPA expects a dental 
office to carefully consider its operation in light of the information 
provided above and only certify accordingly to their Control Authority 
if it meets the situation EPA described.
3. Dental Discharger Reporting and On-Site Paperwork Compliance 
Requirements
    Dental dischargers subject to this rule must comply with a one-time 
reporting requirement specified in the final rule in lieu of the 
otherwise applicable reporting requirements in 40 CFR part 403. 
Submission of reports as specified in this rule satisfies the reporting 
requirements in 40 CFR parts 403 and 441. For dental offices that do 
not place or remove dental amalgam except in limited circumstances, 
dental offices must submit a One-Time Compliance Report that includes 
information on the facility and a certification statement that the 
dental discharger does not place dental amalgam and does not remove 
amalgam except in limited circumstances. For dental offices that place 
or remove dental amalgam, the One-Time Compliance Report must include 
information on the dental facility and its operations and a 
certification that the dental discharger meets the requirements of the 
applicable performance standard. Dentists that utilize a third party to 
maintain their separator must report that information in their One-Time 
Compliance Report. Dentists that do not utilize a third party to 
maintain the amalgam separator(s) must provide a description of the 
practices employed by the office to ensure proper operation and 
maintenance. EPA suggests dental offices consider use of signs 
displayed prominently in the office or electronic calendar alerts to 
remind staff of dates to perform and document monthly inspections, 
cartridge replacement, etc.
    If a dental practice changes ownership (which is a change in the 
responsible party, as defined in 40 CFR 403.12(l)), the new owner must 
submit a One-Time Compliance Report that contains the required 
information.
    The One-Time Compliance Report must be signed by (1) a responsible 
corporate officer if the dental office is a corporation; (2) a general 
partner or proprietor if the dental office is a partnership or sole 
proprietorship; or (3) a duly authorized representative of the 
responsible corporate officer, or general partner or proprietor. This 
does not preclude a third party from submitting the report on behalf of 
a dental office as long as the submission also includes a proper 
signature as described above.
    The final rule does not require electronic reporting nor does it 
prevent electronic reporting. EPA received several comments requesting 
that EPA develop an electronic compliance reporting system as a part of 
this final rule. These commenters generally advocated for electronic 
reporting due to the size of the industry and the proposed annual 
reporting requirement. During development of the final rule, EPA 
considered several variations of requirements for dental dischargers to 
report electronically (which would have necessitated an electronic 
system). Most commonly, electronic systems are preferable when reports 
must be submitted on a periodic basis. EPA ultimately decided not to 
specify electronic reporting in the final rule after it determined the 
final rule would only require a one-time compliance report from each 
affected dental discharger.
    Still, EPA recognizes that some Control Authorities may prefer to 
receive the one-time reports electronically or to provide affected

[[Page 27164]]

dental dischargers with the option to report electronically. EPA also 
recognizes that electronic submittal of required reports could increase 
the usefulness of the reports, is in keeping with current trends in 
compliance reporting, and could result in less burden on the regulated 
community and the Control Authorities. EPA may develop and make 
available, via its E-Enterprise portal, an electronic reporting system 
that Control Authorities could use to facilitate the receipt of reports 
from dental dischargers, if they choose to do so. At some future date, 
EPA could decide to revise this final rule to require electronic 
reporting. If it chose to do so, EPA would first propose the revisions 
and provide an opportunity for public review and comment.
    Finally, the final rule requires dental offices to document certain 
operation and maintenance requirements and maintain all records of 
compliance, as described in the regulation, and to make them available 
for inspection.
4. Control Authority Oversight/Reporting
    EPA proposed to amend selected parts of the General Pretreatment 
Regulations (40 CFR part 403) in order to simplify oversight 
requirements for the approximately 117,000 dental offices subject to 
the proposed rule. Specifically, EPA proposed to amend 40 CFR part 403 
to create a new classification of categorical industrial users 
specifically tailored to pretreatment standards for dental offices, 
dental industrial user (DIU). EPA proposed that as long as a dental 
office complied with the requirements for DIUs, that it would not be 
considered an SIU. Among other things, this would have reduced the 
General Pretreatment Regulation oversight requirements for Control 
Authorities, such as the requirement to issue a control mechanism and 
annual inspection and sampling.
    EPA received numerous comments related to the proposed change, 
particularly from the Control Authorities. These commenters largely 
supported the reduced oversight requirements in the proposal, but 
encouraged EPA to reduce them further so that dental offices would 
never be SIUs, primarily due to concerns over the associated burden 
given the large number of dental offices potentially subject to the 
rule. In addition, Control Authorities raised concerns that they would 
have to update state and local laws to take advantage of the proposed 
changes to part 403 that would reduce the oversight requirements. They 
also raised concerns about additional reporting requirements for the 
Control Authorities typically associated with CIUs, such as identifying 
CIUs in their annual pretreatment report to the Approval Authority.
    In response, EPA did not revise the General Pretreatment Standards 
to create the proposed DIU category and associated requirements. 
Rather, this rule establishes for the purposes of part 441, that dental 
dischargers are not SIUs or CIUs as defined in 40 CFR part 403 unless 
designated as such by the Control Authority. This regulatory structure 
achieves the same goal as the proposed revisions to the General 
Pretreatment Standards--simplification of oversight requirements--
without creating a need for updates to state and local laws. By 
establishing that dental dischargers are not SIUs or CIUs in the final 
rule, EPA eliminates the application of specific oversight and 
reporting requirements in 40 CFR part 403 such as permitting and annual 
inspections of dental dischargers for SIUs and CIUs unless the Control 
Authority chooses to apply these requirements to dental offices. This 
means that Control Authorities have discretion under the final rule to 
determine the appropriate manner of oversight, compliance assistance, 
and enforcement.\9\ Further, the final rule reduced reporting for 
dental offices (and associated oversight requirements by Control 
Authorities) in comparison to reporting requirements for other 
industries subject to categorical pretreatment standards, as it 
requires only a One-Time Compliance Report be submitted to the Control 
Authority. The One-Time Compliance Report requirements specific to 
dental dischargers are included in this rule rather than in the General 
Pretreatment regulations so that they may be implemented directly. In 
summary, for this final rule, the Control Authorities must receive the 
One-Time Compliance Reports from dental dischargers and retain that 
notification according to the standard records retention protocol 
contained in Sec.  403.12(o).
---------------------------------------------------------------------------

    \9\ Nothing stated in this section shall be construed so as to 
limit EPA's inspection and enforcement authority.
---------------------------------------------------------------------------

    Where EPA is the Control Authority, EPA expects to explore 
compliance monitoring approaches that support sector-wide compliance 
evaluations, to the extent practicable. States and POTWs that are the 
Control Authority may elect to use the same approach but are not 
required to do so. One approach may be periodic review and evaluation 
of nationwide data on releases of dental amalgam metals (e.g., 
mercury), relying on Discharge Monitoring Reports from POTWs, Annual 
Biosolids Reports from POTWs, emissions data from sludge incinerators, 
and supplemental data submitted to EPA under the Toxic Releases 
Inventory program. EPA may utilize an approach to compliance 
inspections that focuses on a statistically valid sample of the 
regulated community. EPA may then use the inspection findings from such 
an approach to identify common areas of noncompliance, which would 
inform decisions about needed outreach, compliance assistance, and 
training materials. EPA will work with state and local Control 
Authorities, the ADA and other partners to tailor oversight and 
outreach to the issues where such oversight and outreach is most likely 
to achieve compliance across the dental sector.
5. Interaction With Existing State and Local Mandatory Dental Amalgam 
Reduction Programs
    The final rule applies to both dental offices that are subject to 
existing mandatory state or local dental amalgam reduction programs and 
those that are not. Some proposal commenters, many of whom are in 
states and localities with existing programs, questioned the 
application of this rule to dentists already subject to state and local 
programs noting the duplicative requirements. While EPA found that many 
of the existing programs contained at least one attribute of this final 
rule (e.g. separators, reporting, BMPs, operation and maintenance), the 
majority did not contain all of the attributes. Generally, the 
additional requirements (and associated costs) of this final rule are 
incremental over existing mandatory state or local dental amalgam 
reduction requirements. For example, a dentist located in a state or 
locality that does not require one or both of the BMPs specified in 
this rule must implement both BMPs. While the requirements of this rule 
are incremental to existing state and local regulatory requirements, 
EPA finds they are necessary to achieve the intended environmental 
objectives of the rule. Applying categorical pretreatment standards to 
pollutant discharges from dental offices irrespective of existing 
discharge requirements is consistent with the general approach to 
pretreatment standards under the CWA in that it establishes uniform 
requirements that form the floor of performance for all dischargers in 
a regulated category.
    In addition, requiring all dental offices to meet the same 
requirements, regardless of the applicability of other

[[Page 27165]]

state or local requirements, avoids substantial implementation 
challenges and potential confusion associated with alternative 
approaches. EPA considered several approaches for accommodating 
dentists in states and localities with existing and local requirements. 
For example, EPA considered exempting dentists subject to equivalent 
state and local requirements from the scope of this rule. EPA rejected 
this approach, in part, due to the complexities and potential confusion 
associated with evaluating and communicating the equivalency of state 
and local requirements to this rule, particularly as they may change 
over time.
    The rule establishes clear requirements for all parties and 
compliance with the final rule is simple and straightforward for dental 
offices and the regulating authorities. It requires dental offices to 
install and operate a separator, to implement two BMPs, and to submit a 
One-time Compliance Report to the Control Authority. Thereafter, the 
dental office will be required to conduct ongoing operation and 
maintenance and maintain associated records. These activities can be 
facilitated by third parties such as dental office suppliers and 
amalgam separator manufacturers. EPA does not expect the federal 
requirements to conflict with existing state or local mandatory amalgam 
reduction requirements. Rather, EPA concludes this final rule imposes 
only incremental additional requirements (e.g., one-time compliance 
report) to their Control Authority, if any, on dental offices already 
subject to state or local amalgam reduction requirements. For Control 
Authorities, because EPA significantly reduced the oversight 
requirements associated with this rule, the incremental costs and 
burden to apply the final rule's requirements to dental facilities 
subject to some existing mandatory dental amalgam reduction 
requirements are minimal. The only incremental requirement associated 
with this rule is for the Control Authority to receive, review, and 
retain a One-time Compliance Report from dentists subject to this rule.
6. Variances
    The provision of this rule establishing that dental dischargers are 
not SIUs or CIUs unless designated as such by the Control Authority 
does not change the otherwise applicable variances and modifications 
provided by the statute. For example, EPA can develop pretreatment 
standards different from the otherwise applicable requirements for an 
individual existing discharger subject to categorical pretreatment 
standards if it is fundamentally different with respect to factors 
considered in establishing the standards applicable to the individual 
discharger. Such a modification is known as a ``fundamentally different 
factors'' (FDF) variance. See 40 CFR 403.13 and the preamble to the 
proposed rule (79 FR 63278-63279, October 22, 2014). FDF variances 
traditionally have been available to industrial users subject to 
categorical pretreatment standards. Whether or not a dental discharger 
is an SIU or CIU, it is subject to categorical pretreatment standards 
and therefore eligible to apply for an FDF variance.

E. Pollutants of Concern and Pass Through Analysis

    CWA section 301(b) directs EPA to eliminate the discharge of all 
pollutants where it is technologically available and economically 
achievable (after a consideration of the factors specified in section 
304(b) of the Act). The first step in such an analysis is typically to 
identify Pollutants of Concern (POCs)--or the pollutants potentially 
regulated in the effluent guideline. For this rule, EPA identifies the 
primary metals in dental amalgam as pollutants of concern: Mercury, 
silver, tin, copper, and zinc.
    Generally, in determining whether pollutants pass through a POTW 
when considering the establishment of categorical pretreatment 
standards, EPA compares the median percentage of the pollutant removed 
by POTWs achieving secondary treatment with the median percentage of 
the pollutant removed by facilities meeting BAT effluent limitations. 
EPA deems a pollutant to pass through a POTW when the percentage 
removed by POTWs is less than the percentage removed by direct 
dischargers complying with BPT/BAT effluent limitations. In this 
manner, EPA can ensure that the combined treatment at indirect 
discharging facilities and POTWs is at least equivalent to that 
obtained through treatment by a direct discharger, while also 
considering the treatment capability of the POTW. In the case of this 
final rulemaking, where EPA is only developing pretreatment standards, 
EPA compares the POTW removals with removals achieved by indirect 
dischargers using the technology that otherwise satisfies the BAT 
factors.
    Historically, EPA's primary source of POTW removal data is its 1982 
``Fate of Priority Pollutants in Publicly Owned Treatment Works'' (also 
known as the 50 POTW Study). This well documented study presents data 
on the performance of 50 POTWs achieving secondary treatment in 
removing toxic pollutants. As part of the development of ELGs for the 
Centralized Waste Treatment (CWT) Industry promulgated in December 
2000, EPA developed and documented a methodology, including data 
editing criteria, to calculate POTW percent removals for various toxic 
pollutants from the data collected in the study. EPA provided the 
opportunity for public comment on the percent removal methodology and 
the resulting percent removals in the CWT proposal. EPA similarly used 
and presented this methodology and data in subsequent ELG proposals and 
final rules. Using its long-standing approach, for this final rule, EPA 
determined the median percent removal by POTWs achieving secondary 
treatment is 90.2 percent for total mercury, and 42.6 percent to 88.3 
percent for the other pollutants of concern.
    As described above, the 50 POTW Study measured pollutant reductions 
on the basis of total metals. Total metals include particulate 
(suspended) and dissolved (soluble) forms of the metal. As discussed 
above, while mercury is present in dental amalgam in both the 
particulate and dissolved form, the vast majority (>99.6 percent) is 
particulate. While EPA does not have information on the distribution of 
the other metals, EPA reasonably assumes the same distribution for the 
other metals. Because secondary treatment technologies are not designed 
to remove dissolved metals, EPA assumes dissolved metals are not 
removed by POTWs and that the percent reductions for POTWs represent 
particulate reductions.
    To determine the median percent removal of the pollutants of 
concern by amalgam separators, EPA collected information on the 
efficacy of existing separators. EPA excluded those separators that did 
not meet the 2008 ISO standards. At proposal, EPA determined the median 
percent removal of total mercury to be 99.0 percent, which is the 
reported removal when testing each of the amalgam separators marketed 
in the U.S. as conforming to the ISO standard (DCN DA00233). Commenters 
noted that existing data on the effectiveness of separators is measured 
as a percent reduction in mass, reflecting the dental amalgam 
particulates (rather than total mercury) collected by the device. EPA 
agrees the ISO standard evaluates particulates from dental amalgam 
rather than total mercury, and has adjusted its terminology 
accordingly. Based on updated information in the record, EPA determined 
the median percent removal of particulates by amalgam separators that 
meet the 2008 ISO standards is 99.3 percent. As such, because the 
median

[[Page 27166]]

percent removal of amalgam separators exceeds the median percent 
removal of well-operated POTWs employing secondary treatment for 
mercury and the other POCs, EPA determines that mercury and the other 
POCs pass through.
    In addition to comments relating to dissolved mercury, EPA received 
other comments and data pertaining to the proposed median percent 
removal of ISO compliant amalgam separators. Some commenters supported 
the percentage identified in the proposal, noting that certain states 
require the same level of performance, or identifying separators 
documented as achieving or exceeding that removal efficiency. Other 
commenters questioned EPA's use of the data collected when laboratories 
certify amalgam separators to meet the ISO standard. More specifically, 
they asserted that the 2008 ISO standard requires the removal 
efficiency of the amalgam separator to be at least 95 percent on a mass 
fraction basis and as such, the ISO standard is not a validated test 
for measuring higher efficiencies. These commenters offered no data to 
demonstrate that the reported removals in excess of 95 percent were 
inaccurate, nor did commenters provide other efficiency data for 
amalgam separators. As it represents the best data available for the 
final rule, EPA appropriately used the data as reported to estimate the 
efficacy of amalgam separators for these purposes. EPA notes that even 
if commenters correctly characterized the minimum percent removal 
efficiency of amalgam separators meeting the 2008 ISO standard as 95 
percent, this is a higher removal rate than the median percent removal 
by POTWs for all POCs. Therefore, while EPA based its analysis in the 
final rule on the percent removals as reported, under either case, EPA 
determines that mercury and the other POCs pass through.
    Other commenters stated the 50 POTW Study data were old, and that 
current POTW removals are higher than 90 percent. Some provided case 
studies, many of which reflected POTWs with advanced treatment 
capabilities rather than secondary treatment. In particular, the 
National Association of Clean Water Agencies (NACWA) submitted data 
from a nationwide voluntary survey of its members regarding mercury 
reductions at POTWs. Based on its analysis of the data collected in 
this survey, NACWA calculated a three-year average removal efficiency 
of 94 percent.\10\ EPA notes that even if EPA were to accept these data 
and analyses as presented by NACWA without further review, it would 
confirm EPA's conclusion that pass through of POCs occurs because this 
percentage is less than the median efficiency of 2008 ISO compliant 
amalgam separators of 99.3 percent.
---------------------------------------------------------------------------

    \10\ EPA notes that in conducting its pass through analysis, EPA 
calculates and compares median percent removals rather than average 
percent removals.
---------------------------------------------------------------------------

    EPA, however, gave full consideration to the NACWA survey and 
subjected the mercury influent and effluent data from the 41 POTWs from 
that survey to similar review and data editing criteria as influent and 
effluent data collected for the 50 POTW Study. In this way, EPA 
attempted to give the NACWA data full and equal consideration as the 
historical data from the 50 POTW Study. EPA created a database of the 
raw data in order to conduct its analysis. (DCN DA00463). When EPA 
calculated the median percent removal of the non-edited raw data as 
submitted by NACWA, the median plant performance was 93.8 percent, with 
a range of 57.2 percent to 99.1 percent. In reviewing the data used in 
that calculation, EPA identified numerous data points that would not 
satisfy the data editing criteria applied in the 50 POTW Study, 
including data points representing combined data rather than raw data, 
order of magnitude outlier concentrations, and incorrectly reported 
units of measure. Other discrepancies between data and analyses from 
the 50 POTW Study and NACWA survey include upward bias of using data 
from voluntary respondents, representing non-detect influent 
concentrations as zero,\11\ inclusion of several POTWs using BNR 
(biological nutrient removal) and other advanced treatment expected to 
perform better than secondary treatment, overrepresentation of areas 
with existing dental amalgam reduction programs, and 
underrepresentation of certain geographical areas. Sensitivity analyses 
around these data are found in the record. (DCN DA00464).
---------------------------------------------------------------------------

    \11\ EPA generally handles non-detect values in the reported 
data by replacing them with a value of one-half of the detection 
level for the observation that yielded the non-detect. This 
methodology is standard procedure for the ELG program as well as 
Clean Water Act assessment and permitting, Safe Drinking Water Act 
monitoring, and Resource Conservation and Recovery Act and Superfund 
programs; and this approach is consistent with previous ELGs.
---------------------------------------------------------------------------

    Consequently, for all of the reasons identified above, for this 
final rule, EPA finds that data from the 50 POTW Study continues to 
represent the best data available to determine the percent removed 
nationwide by well operated POTWs employing secondary treatment. Based 
on the information in its record including full consideration of 
comments, EPA appropriately concludes that the median percent removal 
of amalgam separators is higher than the median percent removal of 
POTWs for mercury and the other pollutants of concern. As such, EPA 
concludes mercury and the other POCs pass through.

VII. Technology Costs

    This section summarizes EPA's approach for estimating incremental 
compliance costs to implement changes associated with this rule, while 
the TEDD provides detailed information on the methodology. The costing 
methodology for the final rule is the same as that described in the 
proposal (79 FR 63269; October 22, 2014); however, EPA updated some of 
the specific data elements. EPA estimated compliance costs using data 
collected through EPA's Health Services Industry Detailed Study (August 
2008) [EPA-821-R-08-014], a review of the literature, information 
supplied by vendors, and data submitted with comments on the proposed 
rule. In estimating the total cost of the regulatory options, EPA 
estimated costs for the following components: Capital costs and other 
one-time costs; installation costs; annual operation and maintenance 
costs; and recordkeeping and reporting costs. EPA incorporated 
information received in comments pertaining to specific elements of the 
cost analysis, resulting in an increase in the initial installation 
cost and a minor increase in the average costs of dental amalgam 
separators that meet the 2008 ISO standard. In addition, EPA adjusted 
the reporting and recordkeeping costs to reflect the final rule 
requirements.
    The cost estimates reflect the incremental costs attributed only to 
this final rule. For example, offices required by a state or local 
program to have an amalgam separator compliant with the 2008 ISO 11143 
standard will not incur costs to retrofit a separator as a result of 
this rule. Others may certify that they do not place or remove amalgam. 
Such offices may still have costs under this final rule such as those 
associated with the one-time reporting requirement to certify that they 
do not place or remove amalgam. EPA's cost methodology assumes dental 
offices would use the required BMPs in combination with 2008 ISO 11143 
amalgam separators to comply with the rule. All final cost estimates 
are expressed in terms of 2016 dollars.
    EPA used a model office approach to calculate costs of this rule. 
Under this approach, EPA developed a series of model dental offices 
that exhibited the

[[Page 27167]]

typical characteristics of the regulated dental offices, and then 
calculated costs for each type of model office. EPA then determined how 
many of each model office accurately represented the full universe of 
affected offices. While this part of the methodology remains unchanged 
from the proposal, EPA updated the number of offices in each model to 
reflect current existing state and local programs and, in the case of 
very large offices, to reflect new data obtained in public comments on 
the number of clinics and schools subject to this rule.

A. Costs for Model Dental Offices

    EPA used the model approach to estimate costs for offices that 
place or remove amalgam for this final rule. EPA developed compliance 
costs for seven models, where each model is based on the number of 
chairs in an office. The ranges for each model are as follows: 1 to 2 
chairs, 3 chairs, 4 chairs, 5 chairs, 6 chairs, 7-14 chairs (average of 
10 chairs), and 15 chairs. EPA developed the 15 chairs model 
specifically to represent large institutional offices. This is 
discussed separately below in Section VII.B. EPA developed two sets of 
costs for each model: One for offices that do not use an amalgam 
separator and one for offices that do use an amalgam separator.
    For those offices that currently do not use an amalgam separator, 
EPA estimated one-time and annual costs. One-time costs include 
purchase of the separator and installation, and preparation of the One-
time Compliance Report. Annual costs, for those offices that do use an 
amalgam separator, include visual inspection, replacement of the 
amalgam-retaining unit (e.g., cartridge or filter), separator 
maintenance and repair, recycling (preparation and services), and 
recordkeeping. Recordkeeping costs include documentation of inspection, 
separator maintenance and repair, and recycling (preparation and 
services). EPA also estimated periodic recordkeeping costs associated 
with repairs and One-Time Compliance Reports for new offices, which are 
included in the total of recordkeeping costs. Annual costs also include 
a cost offset, reflecting a cost savings as a result of changes that 
occur in the dental office due to the final rule requirements. More 
specifically, EPA received data in comments that an amalgam separator 
would protect the vacuum system filter and impeller blade from small 
particles, resulting in less frequent replacement and servicing of 
these elements when an amalgam separator has been installed. In the 
final rule cost analysis, EPA accordingly reduced the overall operation 
and maintenance costs for those dental offices that do not already have 
an amalgam separator. This cost offset reflects the reduced cost to 
dental offices of servicing the vacuum system filter and impeller 
blade. A summary of costs for dental offices that do not currently use 
amalgam separators may be found in Tables VII-1 and VII-2, see the TEDD 
for more details.
---------------------------------------------------------------------------

    \12\ EPA assumed the separator can be sized for 3, 4, or 5 
chairs, but has kept these three model office sizes distinct because 
the economic analysis evaluates different revenues for each of these 
sized offices.
    \13\ EPA assumed the separator can be sized for 3, 4, or 5 
chairs, but has kept these three model office sizes distinct because 
the economic analysis evaluates different revenues for each of these 
sized offices.

   Table VII-1--Summary of One Time Model Facility Costs ($2016) for Dental Offices That Do Not Currently Use
                                               Amalgam Separators
----------------------------------------------------------------------------------------------------------------
                                                    Number of chairs in the model dental office
                                 -------------------------------------------------------------------------------
          Cost element                              3, 4, or 5
                                      1 or 2           \12\              6            7 to 14           15
----------------------------------------------------------------------------------------------------------------
Separator Purchase..............            $437            $697          $1,058          $1,291          $2,424
Installation....................             235             276             276             358             942
One-Time Compliance Report......              23              23              23              23              23
----------------------------------------------------------------------------------------------------------------


Table VII-2--Summary of Annual Model Facility Costs ($2016) for Dental Offices That Do Not Currently Use Amalgam
                                                   Separators
----------------------------------------------------------------------------------------------------------------
                                                    Number of chairs in the model dental office
                                 -------------------------------------------------------------------------------
          Cost element                              3, 4, or 5
                                      1 or 2           \13\              6            7 to 14           15
----------------------------------------------------------------------------------------------------------------
Replacement Parts...............            $275            $386            $559            $732          $1,078
Separator Maintenance...........             115             115             115             115             115
Maintenance Cost Off-set........             -75             -75             -75             -75             -75
Recycling.......................              91              91              91              91              91
Visual Inspection...............              18              18              18              18              18
Recordkeeping...................              62              62              62              62              62
----------------------------------------------------------------------------------------------------------------

    For those offices that already have an amalgam separator, EPA 
calculated costs for certain incremental annual costs associated with 
the amalgam separator required for this rule. Because these offices 
have separators, EPA only included a one-time cost for a One-Time 
Compliance Report ($23/office). Annual costs for such offices include 
visual inspection, replacement of the amalgam-retaining unit, separator 
maintenance and repair, recycling (preparation and services), and 
recordkeeping. Because these offices have amalgam separators in place, 
they are already incurring the majority of these costs irrespective of 
this final rule. As such, for those components (e.g., replacement of 
the cartridge and operation and maintenance), EPA calculated their 
incremental costs as a portion (percentage) of annual costs for dental 
offices without technology in place. Recordkeeping costs include 
documentation of inspection, separator maintenance and repair, and 
recycling (preparation and services). EPA also estimated periodic 
recordkeeping costs associated with repairs and One-Time Compliance 
Reports for new offices, which are included in the total of 
recordkeeping costs. EPA did not include the cost offset in this model, 
as

[[Page 27168]]

described above. A summary of these annual costs may be found in Table 
VII-3, see the TEDD for more details.

    Table VII-3--Summary of Annual Model Facility Costs ($2016) for Dental Offices That Currently Use Amalgam
                                                   Separators
----------------------------------------------------------------------------------------------------------------
                                                    Number of chairs in the model dental office
                                 -------------------------------------------------------------------------------
          Cost element                              3, 4, or 5
                                      1 or 2           \14\              6            7 to 14           15
----------------------------------------------------------------------------------------------------------------
Replacement Parts...............            $138            $193            $280            $366            $539
Separator Maintenance...........              58              58              58              58              58
Recycling.......................              45              45              45              45              45
Inspection......................              18              18              18              18              18
Recordkeeping...................              62              62              62              62              62
----------------------------------------------------------------------------------------------------------------

    In assessing the long term costs of rule compliance for these model 
offices (those with and without existing separators), EPA assumed that 
amalgam separators would have a service life of 10 years, at which time 
the amalgam separators would need to be replaced (DCN DA00163). 
Furthermore, the cost model assumes all dental amalgam separators 
installed prior to this rule would need to be replaced within 10 years 
of the effective date of this rule. Therefore, for the purposes of 
estimating compliance costs, EPA assumed that all offices subject to 
this rule would incur the cost of installing a new amalgam separator 10 
years after the effective date of this rule. However, because various 
modifications needed by the office for initial amalgam separator 
installation would have already been completed, EPA has projected the 
installation costs for amalgam separators would be one-half of the cost 
of the original installation. EPA assumed that all dental offices would 
continue to incur recurring expenses such as O&M beyond year 10 in the 
same way as described for the initial installation. To the extent 
dental offices either close or certify they no longer remove or place 
amalgam, the costs are likely overstated.
---------------------------------------------------------------------------

    \14\ EPA assumed the separator can be sized for 3, 4, or 5 
chairs, but has kept these three model office sizes distinct because 
the economic analysis evaluates different revenues for each of these 
sized offices.
---------------------------------------------------------------------------

    EPA projects that there will be no incremental costs associated 
with the required BMPs because (1) costs for non-oxidizing, pH neutral 
line cleaners are roughly equivalent to other line cleaners; and (2) 
dental offices will not incur additional costs by changing the location 
for flushing waste amalgam.

B. Costs for Larger Institutional Dental Offices

    Institutional dental offices (e.g., military clinics or dental 
schools) have a larger number of chairs than the typical dental office. 
For these institutional dental offices, EPA developed a costing 
methodology based on the methodology for offices described above. For 
purposes of costs, consistent with the proposal, EPA assumed the 
average institutional office has 15 chairs.\15\ As shown in Chapter 9 
of the TEDD, EPA has cost information for five amalgam separators that 
have a maximum design ranging from 17-22 chairs. EPA also has costs for 
a unit that can be custom sized for chair sizes of 16 or greater. EPA 
used the information for these six separators to estimate costs for 
institutional facilities. See DCN DA00454. These costs are likely 
overstated as they do not reflect opportunities the largest offices may 
have to share costs,\16\ and they do not assume any economies of scale. 
In addition, it is possible that the largest offices have multiple 
plumbing lines, allowing the installation of dental amalgam separators 
(or equivalent devices) only for those chairs used for placing or 
removing amalgam. See the proposed preamble and the TEDD for additional 
details on the costing methodology for institutional offices.
---------------------------------------------------------------------------

    \15\ This represents the number of chairs that can be used for 
the placement and/or removal of amalgam at a particular location. 
EPA received comments for institutional facilities indicating they 
had 7, 15, or 25 chairs. EPA selected the median of these values for 
purposes of this analysis.
    \16\ For example, multiple offices located in a single building 
or complex may be able to share plumbing, vacuum systems, and may be 
able to install a larger separator rather than each office having 
its own separator.
---------------------------------------------------------------------------

VIII. Pollutant Loads

    As was the case for costing, EPA does not have office-specific 
discharge data for the approximately 117,000 dental offices potentially 
subject to this rule. Instead, EPA modeled the baseline, pre-rule 
discharges of mercury based on nationwide estimates of amalgam 
restorations and removals, and did not calculate the pollutant 
reductions on a per office basis. Rather, EPA calculated average 
mercury loadings by dividing the total number of annual procedures by 
the total number of dentists performing the procedure.\17\ The 
technology basis used to estimate the compliance costs of this rule 
includes 2008 ISO 11143 amalgam separators available on the market 
today, and certain BMPs. The median performance of these separators is 
99.3 percent. EPA assumes all offices have chair-side traps or a 
combination of chair-side traps and vacuum filters that result in 68 
percent and 78 percent collection of dental amalgam, respectively (DCN 
DA00163). After accounting for mercury reductions achieved through 
existing chair-side traps and vacuum pump filters, EPA's analysis 
reduces remaining mercury loads to reflect the combination of chair-
side traps, vacuum filters, and amalgam separators. Therefore, EPA 
assumed a post-rule reduction in mercury loads to POTWs based on a 99.8 
percent removal rate. This is the same approach and data that EPA 
presented in the proposal (79 FR 623275; October 22, 2014).
---------------------------------------------------------------------------

    \17\ Because this approach is based on the number of dentists, 
it includes those dentists both at offices and institutional 
offices.
---------------------------------------------------------------------------

    Amalgam is comprised of roughly 49 percent mercury, 35 percent 
silver, 9 percent tin, 6 percent copper and 1 percent zinc (DCN 
DA00131). As explained earlier in Section VI, EPA concludes that the 
technology basis would be equally effective in reducing discharges of 
silver, tin, copper, and zinc as it is in reducing mercury. EPA 
therefore applied the same approach to estimating reductions of other 
metals found in dental amalgam. In other words, EPA assumes chair-side 
traps and the combination of chair-side traps and vacuum filters will 
result in 68 percent and 78 percent collection of these metals, 
respectively. Remaining amalgam metals are further reduced by an 
amalgam separator, as discussed above.

[[Page 27169]]

A. National Estimate of Annual Pollutant Reductions to POTWs Associated 
With This Rule \18\

1. Mercury
    EPA estimates the approximately 55,000 offices that install 
separators would obtain 99.3 percent removal of particulate mercury 
through the use of amalgam separators (median removal efficiency of 
amalgam separators; see Chapter 7 of the TEDD). This would result in 
reduction of particulate mercury discharges to POTWs by approximately 
5.1 tons. Amalgam separators are not effective in removing dissolved 
mercury. However, dissolved mercury accounts for much less than 1 
percent of the total mercury, so the form of mercury removed from 
discharges to POTWs is assumed to consist of particulate (solids) only.
---------------------------------------------------------------------------

    \18\ EPA's approach is not dynamic, as it does not account for 
declining use of dental amalgam. See additional discussion in V.B.
---------------------------------------------------------------------------

2. Other Metals
    As explained earlier in Section VI, EPA concludes that the 
technology basis for this final rule would be equally effective in 
reducing discharges of silver, tin, copper, and zinc as it is in 
reducing mercury. Accordingly, EPA estimates a reduction of these metal 
discharges to POTWs of approximately 5.3 tons.
3. Total Reductions
    EPA estimates this final rule would annually reduce particulate 
mercury and other metal particulate discharges by a total of 10.3 tons.

B. National Estimate of Annual Pollutant Reductions to Surface Waters 
Associated With This Rule

    In order to evaluate final discharges of mercury (and other metals) 
to waters of the U.S. by the POTW, EPA used its 50 POTW Study to 
calculate POTW removals of each metal. As explained above, at baseline 
and prior to implementation of this rule, EPA estimates 5.1 tons of 
dental mercury particulates are collectively discharged annually to 
POTWs. Based on the 50 POTW Study, EPA estimates POTWs remove 90.2 
percent of dental mercury from the wastewater. Thus, POTWs collectively 
discharge 1,003 pounds of mercury from dental amalgam to surface waters 
annually. Under this final rule, 99.8 percent of mercury particulates 
currently discharged annually to POTWs will be removed prior to the 
POTW. The POTWs then further remove 90.2 percent of the remaining 
particulate mercury from the wastewater. This reduces the total amount 
of dental mercury particulates discharged from POTWs nationwide to 
surface water to 11 pounds of mercury annually. In other words, 
discharges of dental mercury to waters of the U.S. from POTWs are 
expected to be reduced by 992 pounds per year.\19\ Similarly, EPA's 50 
POTW Study data shows 42.6 percent to 88.3 percent of other metals in 
the wastewater are removed by POTWs. As explained above, EPA estimates 
5.3 tons of other metals are also collectively discharged annually from 
dental offices to POTWs. Thus, POTWs collectively discharge 
approximately 2,178 pounds of other dental metals to surface waters 
annually. Following compliance with this rule, the total amount of 
other dental metal discharges from POTWs nationwide to surface waters 
will be approximately 24 pounds or a reduction of 2,153. See Chapter 11 
of the TEDD for more details.
---------------------------------------------------------------------------

    \19\ Dissolved mercury accounts for a portion of surface water 
discharges, because amalgam separators do not remove dissolved 
mercury.
---------------------------------------------------------------------------

IX. Economic Impact Analysis

    This section summarizes EPA's assessment of the total annual costs 
and impacts of the final pretreatment standards on the regulated 
industry.

A. Social Cost Estimates

    As described earlier in Section VI of this preamble, EPA based the 
technology standard for the final rule on a widely available 
technology, amalgam separators, and employment of readily available 
BMPs. Section VII provides a detailed explanation of how EPA estimated 
compliance costs for model dental offices. As applicable, EPA 
annualized the capital costs over a 20-year period at a discount rate 
of 7 percent and 3 percent \20\ and summed these costs with the O&M and 
reporting/recordkeeping costs to determine an annual compliance cost 
estimate for each model facility. See the TEDD for more details.
---------------------------------------------------------------------------

    \20\ See the TEDD for the reported analyses using both a 7 
percent and 3 percent discount rate.
---------------------------------------------------------------------------

    In order to develop a national estimate of social costs \21\ based 
on these model offices, EPA estimated the number of dental offices 
represented by each model office. EPA categorized dental offices based 
on the number of chairs in each office.\22\ The 2012 Economic Census 
does not provide information on the distribution of dental offices by 
the number of chairs in each office. However, two studies, the ADA 
National Study and a Colorado Study, estimate distribution of dentist 
offices by number of chairs (DCN DA00141 and DCN DA00149). EPA used 
these two data sources to correlate the number of chairs per office to 
the revenue range of dental offices. EPA averaged the correlation of 
these two studies to estimate the number of dental offices by the 
number of chairs. The results are reported in table IX-1:
---------------------------------------------------------------------------

    \21\ Costs of the rule, from the standpoint of cost to society, 
include compliance costs and administrative costs to Control 
Authorities. Social costs would also incorporate any adjustment 
based on a quantity demand response to a change in price driven by a 
price change due to cost pass-through to consumers. For this 
analysis, EPA is not able to demonstrate an observable change in 
price for dental services, therefore no observable change in amount 
of visits (quantity demanded). Therefore, EPA makes no adjustment to 
social costs based on a change in quantity.
    \22\ Amalgam separators are typically designed based on the 
number of chairs.

                            Table IX-1--Number of Dental Offices by Number of Chairs
----------------------------------------------------------------------------------------------------------------
                                                                          Number of offices by chair size
                                                                 -----------------------------------------------
                        Number of chairs                                             Colorado
                                                                    ADA survey        survey          Average
----------------------------------------------------------------------------------------------------------------
1-2 chairs......................................................          16,606          12,976          14,791
3 chairs........................................................          57,841          33,738          31,329
4 chairs........................................................  ..............          38,928          33,924
5 chairs........................................................          35,638          19,032          18,425
6 chairs........................................................  ..............           7,786          12,802
7+ chairs.......................................................          23,136          20,762          21,949
                                                                 -----------------------------------------------

[[Page 27170]]

 
    Total.......................................................         133,221         133,221         133,221
----------------------------------------------------------------------------------------------------------------

    To estimate nationwide social costs, EPA multiplied the estimated 
total annualized costs of rule compliance for each model office by the 
estimated number of dental offices represented by that model (i.e. with 
the indicated number of chairs and with/without existing amalgam 
separators). In EPA's analysis, for dental offices that do not place or 
remove amalgam, EPA assigned them costs for a baseline-compliance 
report. EPA then summed the values for each chair range over the number 
of chair ranges to yield the total estimated compliance cost. 
Similarly, EPA calculated costs for institutional offices by 
multiplying the compliance cost for its model institutional offices 
(15-chair model) by the number of estimated institutional offices 
indicated in Section V. Lastly, EPA estimated costs for Control 
Authorities to administer the final rule. Details of this cost analysis 
can be found in the TEDD. See Table IX-2 for EPA's estimate of total 
nationwide annualized social costs for this final rule using a 3 
percent discount rate.\23\
---------------------------------------------------------------------------

    \23\ As a point of clarification, social costs equal the sum of 
compliance costs and administrative costs. Also, EPA used a 3 
percent discount rate for the social costs analysis.

      Table IX-2--Total Annualized Social Costs by Number of Chairs
                       [Millions of 2016 dollars]
------------------------------------------------------------------------
                                             Total annualized costs by
                                                  chair size \1\
            Number of chairs             -------------------------------
                                             Colorado
                                              survey        ADA survey
------------------------------------------------------------------------
1-2 chairs..............................            $4.2            $5.4
3 chairs................................            13.6            23.3
4 chairs................................            15.7  ..............
5 chairs................................             7.7            16.4
6 chairs................................             4.0  ..............
7-14 chairs.............................            13.1            14.6
15 chairs...............................             0.3             0.3
Cost to Control Authorities.............             0.8             0.8
                                         -------------------------------
    Total Annualized Social Costs.......            59.4            60.8
------------------------------------------------------------------------
\1\ These costs reflect estimated costs discounted to the year of
  promulgation. EPA assumed that initial capital outlays and initial
  incurrence of ongoing compliance expenses would occur in the third
  year following rule promulgation. EPA assumed that the amalgam
  separator technology would have a service life of 10 years, and used a
  20-year analysis period to allow for one-time replacement of capital
  equipment 10 years following the initial installation. A 3 percent
  discount rate was used for the analysis reported in this table; see
  the TEDD for the analysis reported with a 7% discount rate.

B. Economic Impact

    EPA devised a set of tests for analyzing economic achievability. As 
is often EPA's practice, the Agency conducted a cost-to-revenue 
analysis to examine the relationship between the costs of the rule to 
current (or pre-rule) dental office revenues as a screening analysis. 
In addition, EPA chose to examine the financial impacts of the rule 
using two measures that utilize the data EPA has on dental office 
baseline assets and estimated replacement capital costs: (1) Ratio of 
the Final Rule's Capital Costs to Total Dental Office Capital Assets 
and (2) Ratio of the Final Rule's Capital Costs to Annual Dental Office 
Capital Replacement Costs.
    EPA did not conduct a traditional closure analysis for this final 
rule because EPA does not have detailed data on baseline financial 
conditions of dental offices. Also, closure analyses typically rely on 
accounting measures such as present value of after-tax cash flow, and 
such accounting measures are difficult to implement for businesses that 
are organized as sole proprietorships or partnerships, as typically is 
the case in the dental industry. EPA considered whether it should 
exclude these offices from the analyses, which is described further in 
EPA's proposal (79 FR 63272; October 22, 2014). Because EPA did not 
receive any comments to the contrary, EPA used the same assumptions for 
this final rule as it did at proposal with regard to low-revenue 
offices. EPA concluded that offices making less than $25,400 were 
baseline closures as traditionally accounted for in cost and economic 
impact analysis for effluent guidelines rulemakings. Using the Economic 
Census, EPA estimated that to be approximately 531 offices. Still, 
because of the uncertainty here, EPA analyzed the impacts twice: (1) 
Excluding dental offices that could represent baseline closures and (2) 
including all offices in the analysis. For each of the three analyses 
conducted below, EPA used the same methodology for the final rule's 
impact analysis as described in the proposal because EPA did not 
receive any comments to suggest a different approach for each impact 
analysis. Lastly, EPA used a 7 percent discount rate for the costs used 
in these three analyses described below. See the proposed rule for 
further description of the analyses below (79 FR 63272; October 22, 
2014).

[[Page 27171]]

1. Cost-to-Revenue Analysis
    To provide an assessment of the impact of the rule on dental 
offices, EPA used a cost-to-revenue analysis as is standard practice 
when looking at impacts to small businesses under the Regulatory 
Flexibility Act (RFA) to determine if a rule has the potential to have 
a significant impact on a substantial number of small entities. The 
cost-to-revenue analysis compares the total annualized compliance cost 
of each regulatory option with the revenue of the entities.
    EPA estimated the occurrence of annualized compliance costs 
exceeding the 1 percent and 3 percent of revenue thresholds for the 
final rule twice: (1) Excluding dental offices that could represent 
baseline closures (excluding baseline set-aside offices), and (2) 
including all offices in the analysis (including baseline set-aside 
offices).
    Table IX-3 summarizes the results from this analysis. As shown 
there, under either scenario, over 99 percent of dental offices subject 
to this rule would incur annualized compliance costs of less than 1 
percent of revenue. With baseline set-asides excluded from the 
analysis, 808 offices (0.7 percent of offices using dental amalgam and 
exceeding the set-aside revenue threshold) are estimated to incur costs 
exceeding 1 percent of revenue; no offices are estimated to incur costs 
exceeding 3 percent of revenue. With baseline set-asides included in 
the analysis, 1,217 offices (1 percent of offices using dental amalgam) 
are estimated to incur costs exceeding 1 percent of revenue; 174 
offices (0.1 percent of offices using dental amalgam) are estimated to 
incur costs exceeding 3 percent of revenue.

                               Table IX-3--Cost-to-Revenue Analysis Impact Summary
----------------------------------------------------------------------------------------------------------------
                                                         Costs >1% revenue               Costs >3% revenue
        Number of chairs           Total offices ---------------------------------------------------------------
                                   by chair size      Number          Percent         Number          Percent
----------------------------------------------------------------------------------------------------------------
                               Excluding Baseline Set-Aside Offices from Analysis
----------------------------------------------------------------------------------------------------------------
1-2 chairs......................          12,914             808             6.3               0             0.0
3 chairs........................          27,353               0             0.0               0             0.0
4 chairs........................          29,619               0             0.0               0             0.0
5 chairs........................          16,087               0             0.0               0             0.0
6 chairs........................          11,177               0             0.0               0             0.0
7-14 chairs.....................          19,163               0             0.0               0             0.0
                                 -------------------------------------------------------------------------------
    Total.......................         116,313             808             0.7               0             0.0
----------------------------------------------------------------------------------------------------------------
                                Including Baseline Set-Aside Offices in Analysis
----------------------------------------------------------------------------------------------------------------
1-2 chairs......................          12,914           1,217             9.4             174             1.4
3 chairs........................          27,353               0             0.0               0             0.0
4 chairs........................          29,619               0             0.0               0             0.0
5 chairs........................          16,087               0             0.0               0             0.0
6 chairs........................          11,177               0             0.0               0             0.0
7-14 chairs.....................          19,163               0             0.0               0             0.0
                                 -------------------------------------------------------------------------------
    Total.......................         116,313           1,217             1.0             174             0.1
----------------------------------------------------------------------------------------------------------------

2. Ratio of the Rule's Capital Costs to Total Dental Office Capital 
Assets
    This ratio examines the initial spending on capital costs of 
compliance in relation to the baseline value of assets on the balance 
sheet of dental office businesses. EPA assumes a low ratio implies 
limited impact on dental offices' ability to finance the initial 
spending on capital costs of the final rule. A high ratio may still 
allow costs to be financed but could imply a need to change capital 
planning and budgeting.
    Table IX-4 reports the findings from this analysis, specifically 
the weighted average of the initial spending on the proposed rule's 
capital costs divided by total assets of dental office across the 
revenue range/number-of-chairs analysis combinations. With baseline 
set-asides excluded from the analysis, the resulting initial capital 
costs to total capital assets values are low, with an average value 0.4 
percent to 0.7 percent for the no technology in-place case and zero 
percent for the technology in-place case. With baseline closures 
included in the analysis, the resulting initial capital costs to total 
capital assets values are low, with an average value 0.4 percent to 0.7 
percent for the no technology in-place case and 0 percent for the 
technology in-place case.

          Table IX-4--Initial Spending as Percentage of Pre-Rule Total Dental Office Capital Assets\1\
----------------------------------------------------------------------------------------------------------------
                                                        Technology in place           No technology in place
                Number of chairs                 ---------------------------------------------------------------
                                                        Low            High             Low            High
----------------------------------------------------------------------------------------------------------------
                               Excluding Baseline Set-Aside Offices from Analysis
----------------------------------------------------------------------------------------------------------------
1-2 chairs......................................             0.1             0.0             2.4             1.2
3 chairs........................................             0.0             0.0             0.9             0.5
4 chairs........................................             0.0             0.0             0.6             0.4
5 chairs........................................             0.0             0.0             0.3             0.2
6 chairs........................................             0.0             0.0             0.3             0.2
7-14 chairs.....................................             0.0             0.0             0.2             0.1

[[Page 27172]]

 
Weighted Average................................             0.0             0.0             0.7             0.4
----------------------------------------------------------------------------------------------------------------
                                Including Baseline Set-Aside Offices in Analysis
----------------------------------------------------------------------------------------------------------------
1-2 chairs......................................             0.1             0.0             3.0             1.5
3 chairs........................................             0.0             0.0             0.9             0.5
4 chairs........................................             0.0             0.0             0.6             0.4
5 chairs........................................             0.0             0.0             0.3             0.2
6 chairs........................................             0.0             0.0             0.3             0.2
7-14 chairs.....................................             0.0             0.0             0.2             0.1
Weighted Average................................             0.0             0.0             0.7             0.4
----------------------------------------------------------------------------------------------------------------
\1\ EPA used the baseline asset value for the minimum (reported as low) and maximum (reported as high) revenue
  values by number-of-chairs category as the denominator for the ratio. Total final rule compliance costs, as
  described in Section IX above, were assigned to each number-of-chairs category as the numerator for the ratio.

3. Comparison of the Rule's Capital Costs to Annual Dental Office 
Capital Replacement Costs
    EPA also compared the initial spending on capital costs of 
compliance associated with this rule to the estimated capital 
replacement costs for a dental office business (e.g., computer systems, 
chairs, x-ray machines, etc.) across all chair sizes. The capital 
replacement costs represent a value that dental offices may reasonably 
expect to spend in any year to replace and/or upgrade dental office 
capital equipment. EPA assumes a low ratio implies limited impact on 
dental offices' ability to finance the initial spending on capital 
costs of the final rule. A high ratio may still allow costs to be 
financed but could imply a need to change capital planning and 
budgeting. As expected, the results for this ratio are higher than the 
previous ratio in the test above, given that EPA expects replacement 
costs would be smaller than total capital assets. EPA performed this 
test because this ratio is based on a different data source, and so it 
provides an independent check that abstracts from the limitations of 
the data used in the test above. The resulting values for the final 
rule range from 2.0 percent to 2.8 percent, with a weighted average of 
2.4 percent across all chair size ranges.

  Table IX-5--Initial Spending as Percentage of Estimated Annual Dental
                  Office Capital Replacement Costs \1\
------------------------------------------------------------------------
                       Number of chairs                         Percent
------------------------------------------------------------------------
1-2 chairs...................................................        2.7
3 chairs.....................................................        2.8
4 chairs.....................................................        2.3
5 chairs.....................................................        2.0
6 chairs.....................................................        2.3
7 chairs.....................................................        2.5
8 chairs.....................................................        2.3
9 chairs.....................................................        2.1
Weighted Average.............................................        2.4
------------------------------------------------------------------------
\1\ EPA estimated capital replacement costs, accounting for the total
  value of equipment purchases for different numbers of chairs, and the
  composition of purchases by equipment life category by number-of-
  chairs as the denominator for the ratio. EPA assigned total final rule
  compliance costs, as described above in Section IX, to each number-of-
  chairs as the numerator for the ratio.

C. Economic Achievability

    The analyses performed above inform the potential economic impact 
of this final rule on the dental office sector. In the cost-to-revenue 
analysis, EPA found that no more than 0.1 percent of offices, mostly in 
the lower revenue ranges, would potentially incur costs in excess of 3 
percent of revenue. The two financial ratios reported in Tables IX-3 
and IX-4 show that the final rule will not cause dental offices to 
encounter difficulty in financing initial spending on capital costs of 
the final rule. Based on the combined results of the three analyses and 
that EPA had no data since proposal to suggest otherwise, EPA 
determined that the final rule is economically achievable. Regarding 
large offices, EPA notes that, due to a lack of data, the economic 
impact analyses did not include large institutional offices. EPA did 
not receive comments indicating large offices would be impacted more or 
less than other dental offices subject to this rule. Given the results 
of the economic analysis performed on a range of office sizes 
indicating that the rule is economically achievable, EPA finds the rule 
would similarly be achievable for large institutional offices.
    EPA determined that the final pretreatment standard for new sources 
will not be a barrier to entry. EPA relied on data describing the 
equipment needs and costs for starting a dental practice as compiled in 
Safety Net Dental Clinic Manual, prepared by the National Maternal & 
Child Oral Health Resource Center at Georgetown University (see DCN 
DA00143). Information from the Georgetown Manual demonstrates that the 
amalgam separator capital costs (based on costs for existing model 
offices as described in Section VII) comprised 0.2 percent to 0.3 
percent of the cost of starting a dental practice as shown in Table IX-
6 and, therefore, does not pose a barrier to entry.

  Table IX-6--Initial Spending as Percentage of Estimated Dental Office
                             Start-Up Costs
------------------------------------------------------------------------
                       Number of chairs                         Percent
------------------------------------------------------------------------
1-2 chairs...................................................        0.3
3 chairs.....................................................        0.3
4 chairs.....................................................        0.3
5 chairs.....................................................        0.2
6 chairs.....................................................        0.3
7 chairs.....................................................        0.3
8 chairs.....................................................        0.3
9 chairs.....................................................        0.3
Weighted Average.............................................        0.3
------------------------------------------------------------------------

X. Cost-Effectiveness Analysis

    EPA often uses cost-effectiveness analysis in the development and 
revision of ELGs to evaluate the relative efficiency of alternative 
regulatory options in removing toxic pollutants from effluent 
discharges to our nation's waters. Although not required by the CWA, 
and not a determining factor for establishing PSES or PSNS, cost-
effectiveness analysis can be a useful

[[Page 27173]]

tool for describing regulatory options that address toxic pollutants.
    EPA defines the cost-effectiveness of a regulatory option as the 
incremental annual cost (in 1981 constant dollars to facilitate 
comparison to ELGs for other industrial categories promulgated over 
different years) per incremental toxic-weighted pollutant removals for 
that option. For more information about the methodology, data, and 
results, see Chapter 12 of the TEDD. EPA determines toxic-weighted 
pollutant removals for a particular pollutant by multiplying the number 
of pounds of a pollutant removed by an option by a toxic weighting 
factor (TWF). The toxic weighting factor for each pollutant measures 
its toxicity relative to copper,\24\ with more toxic pollutants having 
higher toxic weights. The use of toxic weights allows EPA to express 
the removals of different pollutants on a constant toxicity basis as 
toxic-pound- equivalents (lb-eq). In the case of indirect dischargers, 
the removal also accounts for the effectiveness of treatment at POTWs 
and reflects the toxic-weighted pounds after POTW treatment. The TWFs 
for the pollutants of concern are shown in Table X-1.
---------------------------------------------------------------------------

    \24\ When EPA first developed TWFs in 1981, it chose the copper 
freshwater chronic aquatic life criterion of 5.6 [mu]g/L as the 
benchmark scaling factor for deriving TWFs because copper was a 
common and well-studied toxic chemical in industrial waste streams. 
Consequently, the basic equation for deriving the TWF for any 
chemical is: TWF = 5.6 [mu]g/L/Aquatic Life Value ([mu]g/L) + 5.6 
[mu]g/L/Human Health Value ([mu]g/L). The chronic freshwater aquatic 
life criterion for copper, however, has been revised three times 
since it was first published in 1980 due to advances in the 
scientific understanding of its toxic effects. Thus, when 
calculating the TWF for copper, EPA normalizes the 1998 chronic 
freshwater aquatic life copper criterion of 9.0 [mu]g/L to the 
original 1980 copper criterion of 5.6 [mu]g/L by dividing 5.6 [mu]g/
L by 9.0 [mu]g/L and adding the quotient to 5.6 [mu]g/L divided by 
the copper human health value of 4444 [mu]g/L, which results in a 
copper TWF of 0.623.

   Table X-1--Toxic Weighting Factors for Pollutants in Dental Amalgam
------------------------------------------------------------------------
 
------------------------------------------------------------------------
Mercury.................................................             110
Silver..................................................           16.47
Tin.....................................................           0.301
Copper..................................................           0.623
Zinc....................................................           0.047
------------------------------------------------------------------------

    The costs used in the cost-effectiveness analyses are the estimated 
annual pre-tax costs described in Section IX, restated in 1981 dollars 
as a convention to allow comparisons with the reported cost 
effectiveness of other effluent guidelines. Collectively, the final 
PSES requirements have a cost-effectiveness ratio of $190-$195/lb-
equivalent as shown in Table X-2 below. This cost-effectiveness ratio 
falls within the range of cost-effectiveness ratios for PSES 
requirements in other industries. A review of approximately 25 of the 
most recently promulgated or revised categorical pretreatment standards 
shows PSES cost-effectiveness ranges from less than $1/lb-equivalent 
(Inorganic Chemicals) to $380/lb-equivalent (Transportation Equipment 
Cleaning) in 1981 dollars.

                                   Table X-2--PSES Cost Effectiveness Analysis
----------------------------------------------------------------------------------------------------------------
                                                                   Pre-tax total
                                                                    annualized    Removals  (lbs-  Average cost
                          Final option                             costs  ($1981        eq)        effectiveness
                                                                        M)
----------------------------------------------------------------------------------------------------------------
Colorado Survey.................................................           $23.5         123,552            $190
ADA National Survey.............................................            24.1         123,552             195
----------------------------------------------------------------------------------------------------------------

XI. Environmental Assessment

A. Environmental Impacts

    EPA conducted a literature review concerning potential 
environmental impacts associated with mercury in dental amalgam 
discharged to surface water by POTWs (DCN DA00148). As discussed above, 
studies indicate that dental offices are the largest source of mercury 
entering POTWs. The total annual baseline discharge of dental mercury 
to POTWs is approximately 10,239 pounds (5.1 tons): 10,198 pounds are 
in the form of solid particles (99.6 percent) and 41 pounds (0.4 
percent) are dissolved in the wastewater (DCN DA00018). Through POTW 
treatment, approximately 90 percent of dental mercury is removed from 
the wastewater and transferred to sewage sludge. The 10 percent of 
dental mercury not removed by POTW treatment is discharged to surface 
water. EPA estimates that POTWs annually discharge approximately 1,003 
pounds of dental mercury nationwide.
    The CWA regulations known as Standards for Use and Disposal of 
Sewage Sludge, 40 CFR part 503, control the land application, surface 
disposal, and incineration of sewage sludge generated by POTWs. Of the 
11.2 billion dry pounds of sewage sludge generated annually, about 60 
percent, or 6.7 billion pounds, are treated to produce biosolids for 
beneficial use as a soil amendment and applied to about 0.1 percent of 
agricultural lands in the United States (DCN DA00257). Approximately 
5,500 pounds per year of dental mercury are contained in land- applied 
biosolids.
    Approximately 18 percent, or 2 billion pounds, of the sewage sludge 
generated annually by POTWs are surface disposed in sewage sludge mono-
fills or municipal landfills. Approximately 1,700 pounds per year of 
dental mercury are contained in surface disposed sewage sludge. 
Pollutant limits and monitoring requirements for surface disposed 
sewage sludge mono-fills are set by 40 CFR part 503 and by 40 CFR part 
258 for municipal landfills. There may be additional state or local 
regulations that are more stringent than the federal biosolids 
regulations.
    The remaining 22 percent, or 2.5 billion pounds, of sewage sludge 
generated annually by POTWs is disposed of through incineration. 
Approximately 2,000 pounds per year of dental mercury are contained in 
incinerated sewage sludge. 40 CFR part 503, subpart E sets requirements 
for the incineration of mercury and other toxic metals in sludge. For 
mercury, subpart E provides that incineration of sludge must meet the 
requirements of the National Emissions Standards for Mercury in subpart 
E of 40 CFR part 61.
    Environmental assessment of impacts associated with POTW discharges 
of dental mercury is complicated by uncertainties about the fate and 
transport of mercury in aquatic environments. The elemental form of 
mercury used in dentistry has low water solubility and is not readily 
absorbed when ingested by humans, fish, or wildlife. However, elemental 
mercury may be converted into highly toxic methylmercury in aquatic 
environments by certain forms of anaerobic sulfate-reducing bacteria. 
Methylmercury has high potential to become increasingly concentrated up 
through aquatic food chains as larger fish eat smaller fish.

[[Page 27174]]

Fish commonly eaten by humans may have methylmercury levels 100,000 
times that of ambient water. The neurological effects of consumption of 
methylmercury-contaminated fish are well documented. Developmental 
effects to fetuses, infants, children, and fish consumption by women of 
childbearing age are of special concern. Neurological effects from 
predation of methylmercury-contaminated fish have been documented to 
occur in wild populations of fish, birds, and mammals in many areas of 
the United States (DCN DA00202). A plausible link has been identified 
between anthropogenic sources of mercury in the United States and 
methylmercury in fish. However, fish methylmercury concentrations also 
result from existing background concentrations of mercury which may 
consist of mercury from natural sources and atmospheric deposition of 
mercury in the United States from sources in other countries. Given the 
current scientific understanding of the environmental fate and 
transport of mercury, it is not possible to quantify how much of the 
methylmercury in fish consumed by the U.S. population is contributed by 
U.S. emissions relative to international mercury sources or natural 
mercury sources.
    EPA was unable to assess the specific environmental impacts of 
dental mercury discharged by POTWs due to insufficient data needed to 
evaluate several fundamental factors about the discharge, fate, and 
transport of dental mercury in aquatic environments, including: the 
degree and geographic extent of dental mercury methylation in aquatic 
environments, the amount of methylated dental mercury that is taken up 
by fish and wildlife, the human consumption rates of fish contaminated 
with methylated dental mercury, and the extent and magnitude of 
naturally- occurring mercury in aquatic environments.

B. Environmental Benefits

    While EPA did not perform a quantitative environmental benefits 
analysis of the final rule, due to insufficient data about the aquatic 
fate and transport of dental mercury discharged by POTWs, EPA was able 
to assess the qualitative environmental benefits based on existing 
information. For example, EPA identified studies that show that 
decreased point-source discharges of mercury to surface water result in 
lower methylmercury concentrations in fish. Moreover, several studies 
quantify economic benefits from improved human health and ecological 
conditions resulting from lower fish concentrations of methylmercury 
(DCN DA00148). The final pretreatment standards will produce human 
health and ecological benefits by reducing the estimated annual 
nationwide POTW discharge of dental mercury to surface water from 1,003 
pounds to 11 pounds.

XII. Non-Water Quality Environmental Impacts Associated With the 
Technology Basis of the Rule

    Eliminating or reducing one form of pollution may cause other 
environmental problems. Sections 304(b) and 306 of the Clean Water Act 
require EPA to consider non-water quality environmental impacts 
(including energy requirements) associated with effluent limitations 
guidelines and standards. To comply with these requirements, EPA 
considered the potential impact of the technology basis on energy 
consumption, air pollution, and solid waste generation. As shown below, 
EPA anticipates that the rule would produce minimal non-water quality 
environmental impacts and as such determined they are acceptable. 
Additional information about the analysis of these non-water quality 
impacts is contained in the TEDD.

A. Energy Requirements

    Net energy consumption considers the incremental electrical 
requirements associated with operating and maintaining dental amalgam 
separators used in combination with BMPs that form the technology basis 
for the standards. As described in Section V, most amalgam separators 
use sedimentation, either alone or in conjunction with filtration to 
remove solids in the waste stream. Most separators rely on gravity or 
the suction of the existing vacuum system to operate, and do not 
require an additional electrical power source. As noted in Section V, 
some separators have warning indicators that require a battery or power 
source. EPA does not anticipate this would pose any considerable energy 
requirements. Moreover, the addition of an amalgam separator is likely 
to reduce energy consumption at dental offices that do not currently 
employ an amalgam separator as it will prevent small particles from 
impeding the vacuum pump impeller. A clean impeller is more efficient 
than a dirty impeller, and thus will draw less energy (DCN DA00465). 
Upon consideration of all of these factors, EPA concludes there will be 
no significant energy requirements associated with this final rule.

B. Air Emissions

    Unbound mercury is highly volatile and can easily evaporate into 
the atmosphere. An estimated 99.6 percent of dental mercury discharges 
are in solid bound form; i.e. elemental mercury bound to amalgam 
particles (DCN DA00018). Because the majority of dental mercury is 
bound to solid particles, it likely will not volatize to the 
atmosphere. Therefore, EPA expects the final PSES and PSNS will not 
pose any increases in air pollution.

C. Solid Waste Generation

    In the absence of amalgam separators, a portion of the amalgam 
rinsed into chair-side drains is collected by chair-side traps. The 
remainder is discharged to the POTW where the vast majority is removed 
from the wastewater and becomes part of the POTW sludge that may be 
land-applied, disposed of in landfills or mono-fills, or incinerated. 
EPA expect the final rule to increase the use of amalgam separators 
nationwide by one and a half times with a corresponding increase in 
collection and recycling of used amalgam from the spent separator 
canisters. EPA expects the operation and maintenance requirements 
associated with the amalgam separator compliance option included in the 
final rule will further promote recycling as the primary means of 
amalgam waste management, because many amalgam separator manufactures 
and dental office suppliers have begun offering waste handling services 
that send dental amalgam waste to retorting and recycling facilities. 
Nationally, EPA expects less dental amalgam will be discharged to POTWs 
leading to reductions in the amount of mercury discharged to surface 
waters and land-applied, landfilled, or released to the air during 
incineration of sludge. Instead, EPA expects that the waste will be 
collected in separator canisters and recycled. After the amalgam 
containing waste has been recycled, the canisters are either recycled 
or landfilled. For purposes of assessing the incremental solid waste 
generation, EPA conservatively assumes all of the canisters are 
landfilled. EPA finds that if each dental office generated an average 
of 2 pounds of spent canisters per year, the total mass of solid waste 
generated would still comprise less than 0.0001 percent of the 254 
million tons of solid waste generated by Americans annually (DCN 
DA00496). Based on this evaluation of incremental solid waste 
generation, EPA concludes there will not be a significant incremental 
non-water quality impact associated with

[[Page 27175]]

solid waste generation as a result of this final rule.

XIII. Standards for Reference

    This rule references standards from the American National Standards 
Institute/American Dental Association and the International 
Organization for Standardization, and in compliance with the National 
Technology Transfer and Advancement Act (see Section XIV). They are 
available either at EPA's Water Docket (see ADDRESSES section above) 
for inspection, or on their respective Web sites to everyone at a cost 
determined by the respective Web site, generally from $100 to $150. The 
cost of obtaining these standards is not a significant financial burden 
for a discharger or environmental laboratory, making the standards 
reasonably available. The individual standards are discussed in greater 
detail below.
    The installation, operation, and maintenance of one or more amalgam 
separators compliant with either the ADA 2009 standard with the 2011 
addendum, or the ISO standard when removing dental amalgam solids from 
all amalgam process wastewater:
     ANSI/ADA Specification No. 108:2009, American National 
Standard/American Dental Association Specification No. 108 Amalgam 
Separators.
     ANSI/ADA Specification No. 108:2009 Addendum, American 
National Standard/American Dental Association Specification No. 108 
Amalgam Separators, Addendum.
     International Standard ISO 11143;2008, Dentistry--Amalgam 
Separators.

XIV. Statutory and Executive Order Reviews

    Additional information about these statutes and Executive Orders 
can be found at https://www.epa.gov/laws-regulations/laws-and-executive-orders.

A. Executive Order 12866: Regulatory Planning and Review and Executive 
Order 13563: Improving Regulation and Regulatory Review

    This action is a significant regulatory action that was submitted 
to the Office of Management and Budget (OMB) for review because it 
raises novel legal or policy issues. Any changes made in response to 
OMB recommendations have been documented in the docket. The economic 
analysis is available in the docket (DCN DA00458) and is briefly 
summarized in Section IX. The benefits are summarized in Section XI.

B. Paperwork Reduction Act

    The information collection requirements in this final rule have 
been submitted for approval to the OMB under the Paperwork Reduction 
Act, 44 U.S.C. 3501 et seq. The Information Collection Request (ICR) 
document prepared by EPA has been assigned EPA ICR number 2514.02. You 
can find a copy of the ICR in the docket for this rule, and it is 
briefly summarized here. The information collection requirements are 
not enforceable until OMB approves them.
    EPA estimates it would take a total annual average of 402,000 hours 
and $7.2 million for affected dental offices to collect and report the 
information required in the final rule. This estimate includes effort 
for each dental office associated with completing a one-time compliance 
report. EPA based this estimate on average labor rates from the Bureau 
of Labor Statistics for the dental office personnel involved in 
collecting and reporting the information required. EPA estimates it 
would take a total annual average of 34,000 hours and $2.02 million for 
Control Authorities to review the information submitted by dental 
offices. EPA estimates that there would be no start-up or capital costs 
associated with the information described above. Burden is defined at 5 
CFR 1320(b).
    An agency may not conduct or sponsor, and a person is not required 
to respond to, a collection of information unless it displays a 
currently valid OMB control number. The OMB control numbers for EPA's 
regulations are listed in 40 CFR part 9. When OMB approves this ICR, 
the Agency will announce the approval in the Federal Register and 
publish a technical amendment to 40 CFR part 9 to display the OMB 
control number for the approved information collection activities in 
this final rule.

C. Regulatory Flexibility Act

    I certify that this action will not have a significant economic 
impact on a substantial number of small entities under the RFA. The 
small entities subject to the requirements of this action are defined 
as: (1) A small business in the Dental Office sector (NAICS 621210) 
with annual receipts of 7.5 million dollars or less (based on SBA size 
standards); (2) a small governmental jurisdiction that is a government 
of a city, county, town, school district or special district with a 
population of less than 50,000; and (3) a small organization that is 
any not-for- profit enterprise which is independently owned and 
operated and is not dominant in its field.
    The Agency has determined that 116,014 dental offices out of 
116,720 dental offices potentially subject to this final rule meet the 
small business definition. EPA's analysis of projected impacts on small 
dental offices is described in detail in Section IX. EPA projects less 
than 1 percent of 116,720 affected dental offices would incur 
compliance costs exceeding 1 percent of revenue and no more than 0.2 
percent would incur compliance costs exceeding 3 percent of revenue.
    Although this final rule will not have a significant economic 
impact on a substantial number of small entities, EPA nonetheless has 
tried to reduce the impact of this final rule on small entities. First, 
this final rule will allow dental offices with existing separators to 
satisfy the requirements for a period of up to 10 years. Second, EPA 
significantly reduced the rule's reporting requirements for all 
affected dental offices as compared to the reporting requirements for 
other industries with categorical pretreatment standards.

D. Unfunded Mandates Reform Act (UMRA)

    This action does not contain an unfunded mandate of $100 million or 
more as described in UMRA, 2 U.S.C. 1531-1538, and does not 
significantly or uniquely affect small governments. The annual cost of 
the final rule is $59 to $61 million; thus, this final rule is not 
subject to the requirements of sections 202 or 205 of UMRA.
    This final rule is also not subject to the requirements of section 
203 of UMRA, because it contains no regulatory requirements that may 
significantly or uniquely affect small governments. EPA has not 
identified any dental offices that are owned by small governments. 
While this final rule impacts government entities required to 
administer pretreatment standards, small governments will generally not 
be affected. By statute, a small government jurisdiction is defined as 
a government of a city, county, town, school district or special 
district with a population of less than 50,000 (5 U.S.C 601). Control 
authorities are responsible for oversight and administration associated 
with this final rule. A POTW is required to become a Control Authority 
when it (or a combination of POTWs operated by the same authority) has 
a design flow of at least 5 million gallons per day and receives 
pollutants from industrial users that would pass through or interfere 
with the operations and cause a violation of the POTW's NPDES permit. 
The average water use per person is 100 gallons per day so a POTW with 
a

[[Page 27176]]

population less than 50,000 would likely have a flow less than 5 MGD. 
Therefore, EPA does not expect small government owned POTWs to be 
required to become a Control Authority. EPA is aware that some small 
POTWs have approved pretreatment programs so they serve as a Control 
Authority. To the extent small POTWs with pre-existing approved 
pretreatment programs receive dental discharges subject to this rule, 
they would incur some incremental oversight requirements as described 
in Section VI. However, EPA expects such cases to be limited.

E. Executive Order 13132: Federalism

    This action does not have federalism implications. It will not have 
substantial direct effects on the states, on the relationship between 
the national government and the states, or on the distribution of power 
and responsibilities among the various levels of government.

F. Executive Order 13175: Consultation and Coordination With Indian 
Tribal Governments

    This final rule does not have tribal implications, as specified in 
Executive Order 13175. It does not have substantial direct effects on 
Tribal governments, on the relationship between the Federal government 
and Indian Tribes, or on the distribution of power and responsibilities 
between the Federal government and Indian Tribes. This final rule 
contains no Federal mandates for Tribal governments and does not impose 
any enforceable duties on Tribal governments. Thus, Executive Order 
13175 does not apply to this final rule.

G. Executive Order 13045: Protection of Children From Environmental 
Health and Safety Risks

    This action is not subject to Executive Order 13045 because it is 
not economically significant as defined in Executive Order 12866, and 
because EPA does not project the environmental health or safety risks 
addressed by this action present a disproportionate risk to children. 
This final rule will reduce the amount of mercury from dental amalgam 
entering POTW's and eventually the nation's waters, which will reduce 
impacts to the neurological development of children.

H. Executive Order 13211: Energy Effects

    This action is not a ``significant energy action'' because it is 
not likely to have a significant adverse effect on the supply, 
distribution or use of energy. EPA determined that any additional 
energy usage would be insignificant to the total energy usage of Dental 
Offices and total annual U.S. energy consumption.

I. National Technology Transfer and Advancement Act

    This final rule involves technical standards. The Agency decided to 
use the American National Standards Institute (ANSI) American National 
Standard/American Dental Association (ADA) Specification 108 for 
Amalgam Separators (2009) with Technical Addendum (2011) or the 
International Organization for Standardization (ISO) 11143 Standard 
(2008) or the International Organization for Standardization (ISO) 
efficiency standards for amalgam separators (ISO 11143) developed in 
1999 and updated in 2008. One approach to meet the standards in this 
rule is to install and operate an amalgam separator(s) compliant with 
one of these standards or their equivalent. These voluntary standard 
setting organizations established a standard for measuring amalgam 
separator efficiency by evaluating the retention of amalgam mercury 
using specified test procedures in a laboratory setting. They also 
include requirements for instructions for use and operation and 
maintenance.

J. Executive Order 12898: Federal Actions To Address Environmental 
Justice in Minority Populations and Low-Income Populations

    EPA determined that this action does not have disproportionately 
high and adverse human health or environmental effects on minority 
populations, low-income populations, and/or indigenous peoples, as 
specified in Executive Order 12898 (59 FR 7629, February 16, 1994). 
While EPA was unable to perform a detailed environmental justice 
analysis because it lacks data on the location of POTWs to which dental 
discharges currently occur, this final rule will increase the level of 
environmental protection for all affected populations without having 
any disproportionately high and adverse human health or environmental 
effects on any population, including any minority or low-income 
population. This final rule will reduce the amount of mercury from 
dental amalgam entering POTW's and eventually the nation's waters, to 
benefit all of society, including minority communities.

K. Congressional Review Act (CRA)

    This action is subject to the CRA, and EPA will submit a rule 
report to each House of the Congress and to the Comptroller General of 
the United States. This action is not a ``major rule'' as defined by 5 
U.S.C. 804(2).

List of Subjects in 40 CFR Part 441

    Environmental protection, Dental, Dental office, Dentist, Mercury, 
Pretreatment, Waste treatment and disposal, Water pollution control.

    Dated: June 9, 2017.
Michael H. Shapiro,
Acting Assistant Administrator.
    Therefore, 40 CFR part 441 is amended by adding part 441 to read as 
follows:

PART 441--DENTAL OFFICE POINT SOURCE CATEGORY

Sec.
441.10 Applicability.
441.20 General definitions.
441.30 Pretreatment standards for existing sources (PSES).
441.40 Pretreatment standards for new sources (PSNS).
441.50 Reporting and recordkeeping requirements.

    Authority: 33 U.S.C. 1251, 1311, 1314, 1316, 1317, 1318, 1342, 
and 1361. 42 U.S.C. 13101-13103.


Sec.  441.10  Applicability.

    (a) Except as provided in paragraphs (c), (d), and (e) of this 
section, this part applies to dental dischargers.
    (b) Unless otherwise designated by the Control Authority, dental 
dischargers subject to this part are not Significant Industrial Users 
as defined in 40 CFR part 403, and are not ``Categorical Industrial 
Users'' or ``industrial users subject to categorical pretreatment 
standards'' as those terms and variations are used in 40 CFR part 403, 
as a result of applicability of this rule.
    (c) This part does not apply to dental dischargers that exclusively 
practice one or more of the following dental specialties: Oral 
pathology, oral and maxillofacial radiology, oral and maxillofacial 
surgery, orthodontics, periodontics, or prosthodontics.
    (d) This part does not apply to wastewater discharges from a mobile 
unit operated by a dental discharger.
    (e) This part does not apply to dental dischargers that do not 
discharge any amalgam process wastewater to a POTW, such as dental 
dischargers that collect all dental amalgam process wastewater for 
transfer to a Centralized Waste Treatment facility as defined in 40 CFR 
part 437.
    (f) Dental Dischargers that do not place dental amalgam, and do not 
remove amalgam except in limited emergency or unplanned, unanticipated 
circumstances, and that certify such to

[[Page 27177]]

the Control Authority as required in Sec.  441.50 are exempt from any 
further requirements of this part.


Sec.  441.20  General definitions.

    For purposes of this part:
    (a) Amalgam process wastewater means any wastewater generated and 
discharged by a dental discharger through the practice of dentistry 
that may contain dental amalgam.
    (b) Amalgam separator means a collection device designed to capture 
and remove dental amalgam from the amalgam process wastewater of a 
dental facility.
    (c) Control Authority is defined in 40 CFR 403.3(f).
    (d) Dental amalgam means an alloy of elemental mercury and other 
metal(s) that is used in the practice of dentistry.
    (e) Dental Discharger means a facility where the practice of 
dentistry is performed, including, but not limited to, institutions, 
permanent or temporary offices, clinics, home offices, and facilities 
owned and operated by Federal, state or local governments, that 
discharges wastewater to a publicly owned treatment works (POTW).
    (f) Duly Authorized Representative is defined in 40 CFR 
403.12(l)(3).
    (g) Existing Sources means a dental discharger that is not a new 
source.
    (h) Mobile unit means a specialized mobile self-contained van, 
trailer, or equipment used in providing dentistry services at multiple 
locations.
    (i) New Sources means a dental discharger whose first discharge to 
a POTW occurs after July 14, 2017.
    (j) Publicly Owned Treatment Works is defined in 40 CFR 403.3(q).


Sec.  441.30  Pretreatment standards for existing sources (PSES).

    No later than July 14, 2020, any existing source subject to this 
part must achieve the following pretreatment standards:
    (a) Removal of dental amalgam solids from all amalgam process 
wastewater by one of the following methods:
    (1) Installation, operation, and maintenance of one or more amalgam 
separators that meet the following requirements:
    (i) Compliant with either the American National Standards Institute 
(ANSI) American National Standard/American Dental Association (ADA) 
Specification 108 for Amalgam Separators (2009) with Technical Addendum 
(2011) or the International Organization for Standardization (ISO) 
11143 Standard (2008) or subsequent versions so long as that version 
requires amalgam separators to achieve at least a 95% removal 
efficiency. Compliance must be assessed by an accredited testing 
laboratory under ANSI's accreditation program for product certification 
or a testing laboratory that is a signatory to the International 
Laboratory Accreditation Cooperation's Mutual Recognition Arrangement. 
The testing laboratory's scope of accreditation must include ANSI/ADA 
108-2009 or ISO 11143.
    (ii) The amalgam separator(s) must be sized to accommodate the 
maximum discharge rate of amalgam process wastewater.
    (iii) A dental discharger subject to this part that operates an 
amalgam separator that was installed at a dental facility prior to June 
14, 2017, satisfies the requirements of paragraphs (a)(1)(i) and (ii) 
of this section until the existing separator is replaced as described 
in paragraph (a)(1)(v) of this section or until June 14, 2017, 
whichever is sooner.
    (iv) The amalgam separator(s) must be inspected in accordance with 
the manufacturer's operating manual to ensure proper operation and 
maintenance of the separator(s) and to confirm that all amalgam process 
wastewater is flowing through the amalgam retaining portion of the 
amalgam separator(s).
    (v) In the event that an amalgam separator is not functioning 
properly, the amalgam separator must be repaired consistent with 
manufacturer instructions or replaced with a unit that meets the 
requirements of paragraphs (a)(i) and (ii) of this section as soon as 
possible, but no later than 10 business days after the malfunction is 
discovered by the dental discharger, or an agent or representative of 
the dental discharger.
    (vi) The amalgam retaining units must be replaced in accordance 
with the manufacturer's schedule as specified in the manufacturer's 
operating manual or when the amalgam retaining unit has reached the 
maximum level, as specified by the manufacturer in the operating 
manual, at which the amalgam separator can perform to the specified 
efficiency, whichever comes first.
    (2) Installation, operation, and maintenance of one or more amalgam 
removal device(s) other than an amalgam separator. The amalgam removal 
device must meet the following requirements:
    (i) Removal efficiency of at least 95 percent of the mass of solids 
from all amalgam process wastewater. The removal efficiency must be 
calculated in grams recorded to three decimal places, on a dry weight 
basis. The removal efficiency must be demonstrated at the maximum water 
flow rate through the device as established by the device 
manufacturer's instructions for use.
    (ii) The removal efficiency must be determined using the average 
performance of three samples. The removal efficiency must be 
demonstrated using a test sample of dental amalgam that meets the 
following particle size distribution specifications: 60 percent by mass 
of particles that pass through a 3150 [micro]m sieve but which do not 
pass through a 500 [micro]m sieve, 10 percent by mass of particles that 
pass through a 500 [micro]m sieve but which do not pass through a 100 
[micro]m sieve, and 30 percent by mass of particles that pass through a 
100 [micro]m sieve. Each of these three specified particle size 
distributions must contain a representative distribution of particle 
sizes.
    (iii) The device(s) must be sized to accommodate the maximum 
discharge rate of amalgam process wastewater.
    (iv) The devices(s) must be accompanied by the manufacturer's 
manual providing instructions for use including the frequency for 
inspection and collecting container replacement such that the unit is 
replaced once it has reached the maximum filling level at which the 
device can perform to the specified efficiency.
    (v) The device(s) must be inspected in accordance with the 
manufacturer's operation manual to ensure proper operation and 
maintenance, including confirmation that amalgam process wastewater is 
flowing through the amalgam separating portion of the device(s).
    (vi) In the event that a device is not functioning properly, it 
must be repaired consistent with manufacturer instructions or replaced 
with a unit that meets the requirements of paragraphs (a)(2)(i) through 
(iii) of this section as soon as possible, but no later than 10 
business days after the malfunction is discovered by the dental 
discharger, or an agent or representative of the dental discharger.
    (vii) The amalgam retaining unit(s) of the device(s) must be 
replaced as specified in the manufacturer's operating manual, or when 
the collecting container has reached the maximum filling level, as 
specified by the manufacturer in the operating manual, at which the 
amalgam separator can perform to the specified efficiency, whichever 
comes first.
    (viii) The demonstration of the device(s) under paragraphs 
(a)(2)(i) through (iii) of this section must be documented in the One-
Time Compliance Report.
    (b) Implementation of the following best management practices 
(BMPs):

[[Page 27178]]

    (1) Waste amalgam including, but not limited to, dental amalgam 
from chair-side traps, screens, vacuum pump filters, dental tools, 
cuspidors, or collection devices, must not be discharged to a POTW.
    (2) Dental unit water lines, chair-side traps, and vacuum lines 
that discharge amalgam process wastewater to a POTW must not be cleaned 
with oxidizing or acidic cleaners, including but not limited to bleach, 
chlorine, iodine and peroxide that have a pH lower than 6 or greater 
than 8.
    (c) All material is available for inspection at EPA's Water Docket, 
EPA West, 1301 Constitution Avenue NW., Room 3334, Washington, DC 
20004, Telephone: 202-566-2426, and is available from the sources 
listed below.
    (1) The following standards are available from the American Dental 
Association (ADA), 211 East Chicago Ave., Chicago IL 60611-2678, 
Telephone 312-440-2500, http://www.ada.org.
    (i) ANSI/ADA Specification No. 108:2009, American National 
Standard/American Dental Association Specification No. 108 Amalgam 
Separators. February 2009.
    (ii) ANSI/ADA Specification No. 108:2009 Addendum, American 
National Standard/American Dental Association Specification No. 108 
Amalgam Separators, Addendum. November 2011.
    (2) The following standards are available from the American 
National Standards Institute (ANSI), 25 West 43rd Street, 4th Floor, 
New York, NY 10036, Telephone 212-642-4900, http://webstore.ansi.org.
    (i) International Standard ISO 11143:2008, Dentistry--Amalgam 
Separators. Second edition, July 1, 2008.
    (ii) [Reserved]


Sec.  441.40  Pretreatment standards for new sources (PSNS).

    As of July 14, 2017, any new source subject to this part must 
comply with the requirements of Sec.  441.30(a) and (b) and the 
reporting and recordkeeping requirements of Sec.  441.50.


Sec.  441.50  Reporting and recordkeeping requirements.

    (a) Dental Dischargers subject to this part must comply with the 
following reporting requirements in lieu of the otherwise applicable 
requirements in 40 CFR 403.12(b), (d), (e), and (g).
    (1) One-Time Compliance Report deadlines. For existing sources, a 
One-Time Compliance Report must be submitted to the Control Authority 
no later than October 12, 2020, or 90 days after a transfer of 
ownership. For new sources, a One-Time Compliance Report must be 
submitted to the Control Authority no later than 90 days following the 
introduction of wastewater into a POTW.
    (2) Signature and certification. The One-Time Compliance Report 
must be signed and certified by a responsible corporate officer, a 
general partner or proprietor if the dental discharger is a partnership 
or sole proprietorship, or a duly authorized representative in 
accordance with the requirements of 40 CFR 403.12(l).
    (3) Contents. (i) The One-Time Compliance Report for dental 
dischargers subject to this part that do not place or remove dental 
amalgam as described at Sec.  441.10(f) must include the: facility 
name, physical address, mailing address, contact information, name of 
the operator(s) and owner(s); and a certification statement that the 
dental discharger does not place dental amalgam and does not remove 
amalgam except in limited circumstances.
    (ii) The One-Time Compliance Report for dental dischargers subject 
to the standards of this part must include:
    (A) The facility name, physical address, mailing address, and 
contact information.
    (B) Name(s) of the operator(s) and owner(s).
    (C) A description of the operation at the dental facility 
including: The total number of chairs, the total number of chairs at 
which dental amalgam may be present in the resulting wastewater, and a 
description of any existing amalgam separator(s) or equivalent 
device(s) currently operated to include, at a minimum, the make, model, 
year of installation.
    (D) Certification that the amalgam separator(s) or equivalent 
device is designed and will be operated and maintained to meet the 
requirements specified in Sec.  441.30 or Sec.  441.40.
    (E) Certification that the dental discharger is implementing BMPs 
specified in Sec.  441.30(b) or Sec.  441.40(b) and will continue to do 
so.
    (F) The name of the third-party service provider that maintains the 
amalgam separator(s) or equivalent device(s) operated at the dental 
office, if applicable. Otherwise, a brief description of the practices 
employed by the facility to ensure proper operation and maintenance in 
accordance with Sec.  441.30 or Sec.  441.40.
    (4) Transfer of ownership notification. If a dental discharger 
transfers ownership of the facility, the new owner must submit a new 
One-Time Compliance Report to the Control Authority no later than 90 
days after the transfer.
    (5) Retention period. As long as a Dental Discharger subject to 
this part is in operation, or until ownership is transferred, the 
Dental Discharger or an agent or representative of the dental 
discharger must maintain the One-Time Compliance Report required at 
paragraph (a) of this section and make it available for inspection in 
either physical or electronic form.
    (b) Dental Dischargers or an agent or representative of the dental 
discharger must maintain and make available for inspection in either 
physical or electronic form, for a minimum of three years:
    (1) Documentation of the date, person(s) conducting the inspection, 
and results of each inspection of the amalgam separator(s) or 
equivalent device(s), and a summary of follow-up actions, if needed.
    (2) Documentation of amalgam retaining container or equivalent 
container replacement (including the date, as applicable).
    (3) Documentation of all dates that collected dental amalgam is 
picked up or shipped for proper disposal in accordance with 40 CFR 
261.5(g)(3), and the name of the permitted or licensed treatment, 
storage or disposal facility receiving the amalgam retaining 
containers.
    (4) Documentation of any repair or replacement of an amalgam 
separator or equivalent device, including the date, person(s) making 
the repair or replacement, and a description of the repair or 
replacement (including make and model).
    (5) Dischargers or an agent or representative of the dental 
discharger must maintain and make available for inspection in either 
physical or electronic form the manufacturers operating manual for the 
current device.

[FR Doc. 2017-12338 Filed 6-12-17; 11:15 am]
 BILLING CODE 6560-50-P



                                                27154                  Federal Register / Vol. 82, No. 113 / Wednesday, June 14, 2017 / Rules and Regulations

                                                and pests, Reporting and recordkeeping                                  (b) Section 18 emergency exemptions.                ADDRESSES:    EPA has established a
                                                requirements.                                                         [Reserved]                                            docket for this action under Docket ID
                                                  Dated: May 4, 2017.                                                 *     *     *    *    *                               No. EPA–HQ–OW–2014–0693. All
                                                Michael Goodis,                                                       [FR Doc. 2017–12346 Filed 6–13–17; 8:45 am]
                                                                                                                                                                            documents in the docket are listed on
                                                                                                                                                                            the https://www.regulations.gov Web
                                                Director, Registration Division, Office of                            BILLING CODE 6560–50–P
                                                Pesticide Programs.
                                                                                                                                                                            site. Although listed in the index, some
                                                                                                                                                                            information is not publicly available,
                                                  Therefore, 40 CFR chapter I is                                                                                            e.g., CBI or other information whose
                                                                                                                      ENVIRONMENTAL PROTECTION
                                                amended as follows:                                                                                                         disclosure is restricted by statute.
                                                                                                                      AGENCY
                                                                                                                                                                            Certain other material, such as
                                                PART 180—[AMENDED]                                                                                                          copyrighted material, is not placed on
                                                                                                                      40 CFR Part 441
                                                                                                                                                                            the Internet and will be publicly
                                                ■ 1. The authority citation for part 180                              [EPA–HQ–OW–2014–0693; FRL–9957–10–
                                                                                                                                                                            available only in hard copy form. This
                                                continues to read as follows:                                         OW]
                                                                                                                                                                            material can be viewed at the Water
                                                    Authority: 21 U.S.C. 321(q), 346a and 371.                        RIN 2040–AF26                                         Docket in the EPA Docket Center, EPA/
                                                ■  2. Section 180.681 is amended as                                                                                         DC, EPA West William Jefferson Clinton
                                                                                                                      Effluent Limitations Guidelines and                   Bldg., Room 3334, 1301 Constitution
                                                follows:
                                                                                                                      Standards for the Dental Category                     Ave. NW., Washington, DC. The Public
                                                ■ a. In the table in paragraph (a)
                                                alphabetically add the following                                      AGENCY:  Environmental Protection                     Reading Room is open from 8:30 a.m. to
                                                commodities: ‘‘Apple, wet pomace’’;                                   Agency (EPA).                                         4:30 p.m., Monday through Friday,
                                                ‘‘Bushberry subgroup 13–07B’’;                                        ACTION: Final rule.
                                                                                                                                                                            excluding legal holidays. The telephone
                                                ‘‘Caneberry subgroup 13–07A’’; ‘‘Cherry                                                                                     number for the Public Reading room is
                                                subgroup 12–12A’’; ‘‘Fruit, pome, group                               SUMMARY:    The Environmental Protection              202–566–1744, and the telephone
                                                11–10’’; ‘‘Fruit, small vine climbing,                                Agency (EPA) is promulgating                          number for the Water Docket is 202–
                                                except grape, subgroup 13–07E’’; ‘‘Pea                                technology-based pretreatment                         566–2426. Publicly available docket
                                                and bean, dried shelled, except soybean,                              standards under the Clean Water Act to                materials are available electronically
                                                subgroup 6C’’; ‘‘Pea and bean, succulent                              reduce discharges of mercury from                     through http://www.regulations.gov. A
                                                shelled, subgroup 6B’’; ‘‘Peach subgroup                              dental offices into municipal sewage                  detailed record index, organized by
                                                12–12B’’; ‘‘Plum, Prune, Dried’’; ‘‘Plum                              treatment plants known as publicly                    subject, is available on EPA’s Web site
                                                subgroup 12–12C’’; ‘‘Vegetable, legume,                               owned treatment works (POTWs). This                   at https://www.epa.gov/eg/dental-
                                                edible podded, subgroup 6A’’.                                         final rule requires dental offices to use             effluent-guidelines .
                                                ■ b. Paragraph (b) is revised.                                        amalgam separators and two best                       FOR FURTHER INFORMATION CONTACT: For
                                                   The additions and revision read as                                 management practices recommended by                   more information, see EPA’s Web site:
                                                follows:                                                              the American Dental Association (ADA).                https://www.epa.gov/eg/dental-effluent-
                                                                                                                      This final rule includes a provision to               guidelines. For technical information,
                                                § 180.681 Isofetamid; tolerances for                                  significantly reduce and streamline the               contact Ms. Karen Milam, Engineering
                                                residues.                                                             oversight and reporting requirements in               and Analysis Division (4303T), Office of
                                                    (a) * * *                                                         EPA’s General Pretreatment Regulations                Water, Environmental Protection
                                                                                                                      that would otherwise apply as a result                Agency, 1200 Pennsylvania Ave. NW.,
                                                                                                    Parts per         of this rulemaking. EPA expects                       Washington, DC 20460–0001; telephone:
                                                               Commodity                             million          compliance with this final rule will                  202–566–1915; email: milam.karen@
                                                                                                                      annually reduce the discharge of                      epa.gov.
                                                   *        *         *               *                     *         mercury by 5.1 tons as well as 5.3 tons
                                                                                                                                                                            SUPPLEMENTARY INFORMATION:
                                                Apple, wet pomace ...................                           2.0   of other metals found in waste dental
                                                Bushberry subgroup 13–07B ....                                  5.0   amalgam to POTWs.                                     I. Regulated Entities and Supporting
                                                Caneberry subgroup 13–07A ...                                   4.0                                                               Information
                                                                                                                      DATES: The final rule is effective on July
                                                                                                                                                                               A. Regulated Entities
                                                                                                                      14, 2017. The compliance date, meaning                   B. Supporting Information
                                                  *         *       *            *                          *         the date that existing sources subject to
                                                Cherry subgroup 12–12A .........                                4.0                                                         II. Legal Authority
                                                                                                                      the rule must comply with the standards               III. Executive Summary
                                                   *         *        *            *                        *         in this rule is July 14, 2020. After the              IV. Background
                                                Fruit, pome, group 11–10 .........                          0.60      effective date of the rule, new sources                  A. Legal Framework
                                                                                                                      subject to this rule must comply                         1. Clean Water Act
                                                   *          *         *       *                           *         immediately with the standards in this                   2. Effluent Limitations Guidelines and
                                                Fruit, small vine climbing, ex-                                       rule. In accordance with 40 CFR part 23,                    Standards
                                                  cept grape, subgroup 13–07E                               10.0                                                               a. Best Available Technology Economically
                                                                                                                      this regulation shall be considered                         Achievable (BAT)
                                                                                                                      issued for purposes of judicial review at                b. Best Available Demonstrated Control
                                                   *             *              *               *           *         1 p.m. Eastern time on June 28, 2017.
                                                Pea and bean, dried shelled,                                                                                                      Technology (BADCT)/New Source
                                                  except soybean, subgroup
                                                                                                                      Under section 509(b)(1) of the CWA,                         Performance Standards (NSPS)
                                                  6C ..........................................          0.040        judicial review of this regulation can be                c. Pretreatment Standards for Existing
                                                Pea and bean, succulent                                               had only by filing a petition for review                    Sources (PSES)
                                                  shelled, subgroup 6B ............                      0.030        in the U.S. Court of Appeals within 120                  d. Pretreatment Standards for New Sources
                                                                                                                                                                                  (PSNS)
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                                                Peach subgroup 12–12B ..........                            3.0       days after the regulation is considered
                                                Plum, Prune, Dried ...................                    1.50        issued for purposes of judicial review.                  e. Best Management Practices (BMPs)
                                                Plum subgroup 12–12C ............                         0.80                                                                 B. Dental Sector Rulemaking History and
                                                                                                                      Under section 509(b)(2), the                                Summary of Public Comments
                                                                                                                      requirements in this regulation may not                  C. Existing State and Local Program
                                                   *         *        *              *                      *         be challenged later in civil or criminal
                                                Vegetable, legume, edible pod-                                                                                                    Requirements
                                                  ded, subgroup 6A .................                        1.50
                                                                                                                      proceedings brought by EPA to enforce                    D. Roles and Responsibilities Under the
                                                                                                                      these requirements.                                         National Pretreatment Program



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                                                                       Federal Register / Vol. 82, No. 113 / Wednesday, June 14, 2017 / Rules and Regulations                                                                     27155

                                                  E. Minamata Convention on Mercury                                      B. Costs for Larger Institutional Dental                     XIII. Standards for Reference
                                                V. Description of Dental Industry & Dental                                  Offices                                                   XIV. Statutory and Executive Order Reviews
                                                     Amalgam Wastewater Sources and                                    VIII. Pollutant Loads                                            A. Executive Order 12866: Regulatory
                                                     Management                                                          A. National Estimate of Annual Pollutant                          Planning and Review and Executive
                                                  A. Dental Industry                                                        Reductions to POTWs Associated With                            Order 13563: Improving Regulation and
                                                  B. Dental Amalgam Wastewater Sources                                      This Rule                                                      Regulatory Review
                                                     and Management                                                      1. Mercury                                                     B. Paperwork Reduction Act
                                                  1. Amalgam Separators                                                  2. Other Metals                                                C. Regulatory Flexibility Act
                                                  2. Polishing To Remove Dissolved Mercury                               3. Total Reductions                                            D. Unfunded Mandates Reform Act
                                                     From Wastewater                                                     B. National Estimate of Annual Pollutant                       E. Executive Order 13132: Federalism
                                                  3. Wastewater Retention Tanks                                             Reductions to Surface Waters Associated                     F. Executive Order 13175: Consultation
                                                  4. Best Management Practices                                              With This Rule                                                 and Coordination With Indian Tribal
                                                                                                                       IX. Economic Impact Analysis                                        Governments
                                                VI. Final Rule
                                                                                                                         A. Social Cost Estimates                                       G. Executive Order 13045: Protection of
                                                  A. Scope and General Applicability
                                                                                                                         B. Economic Impact                                                Children From Environmental Health
                                                  B. Existing Source (PSES) Option Selection                             1. Cost-to-Revenue Analysis
                                                  C. New Source (PSNS) Option Selection                                                                                                    Risks and Safety Risks
                                                                                                                         2. Ratio of Rule’s Capital Costs to Total                      H. Executive Order 13211: Energy Effects
                                                  D. Requirements                                                           Dental Office Capital Assets
                                                  1. Performance Standard                                                                                                               I. National Technology Transfer and
                                                                                                                         3. Comparison of the Rule’s Capital Costs                         Advancement Act
                                                  2. Applicability to Dental Offices That Do                                to Annual Dental Office Capital
                                                     Not Place or Remove Dental Amalgam                                                                                                 J. Executive Order 12898: Federal Actions
                                                                                                                            Replacement Costs                                              To Address Environmental Justice in
                                                  3. Dental Discharger Reporting and On-Site                             C. Economic Achievability
                                                     Paperwork Compliance Requirements                                                                                                     Minority Populations and Low-Income
                                                                                                                       X. Cost Effectiveness Analysis
                                                  4. Control Authority Oversight/Reporting                                                                                                 Populations
                                                                                                                       XI. Environmental Assessment
                                                  5. Interaction With Existing State and Local                                                                                          K. Congressional Review Act
                                                                                                                         A. Environmental Impacts
                                                     Mandatory Dental Amalgam Reduction                                  B. Environmental Benefits                                    I. Regulated Entities and Supporting
                                                     Programs                                                          XII. Non-Water Quality Environmental                           Information
                                                  6. Variances                                                              Impacts Associated With the Technology
                                                  E. Pollutants of Concern and Pass-Through                                 Basis of the Rule                                         A. Regulated Entities
                                                     Analysis                                                            A. Energy Requirements
                                                VII. Technology Costs                                                    B. Air Emissions                                               Entities potentially regulated by this
                                                  A. Costs for Model Dental Offices                                      C. Solid Waste Generation                                    action include:

                                                                                                                                                                                                                          North American
                                                                                                                                                                                                                          Industry Classi-
                                                                       Category                                                                   Example of regulated entity                                             fication System
                                                                                                                                                                                                                           (NAICS) Code

                                                Industry ....................................................   A general dentistry practice or large dental facility .................................................            621210



                                                   This section is not intended to be                                  II. Legal Authority                                            percent of the dentists subject to this
                                                exhaustive, but rather provides a guide                                                                                               rule already have installed amalgam
                                                for readers regarding entities likely to be                              EPA promulgates this regulation                              separators. Amalgam separators greatly
                                                regulated or affected by this final rule.                              under the authorities of sections 101,                         reduce the discharge of mercury-
                                                Other types of entities that do not meet                               301, 304, 306, 307, 308, and 501 of the                        containing amalgam to POTWs.
                                                the above criteria could also be                                       CWA, 33 U.S.C. 1251, 1311, 1314, 1316,                         Amalgam separators are a practical,
                                                regulated. To determine whether your                                   1317, 1318, 1342 and 1361 and pursuant                         affordable and readily available
                                                facility would be regulated by this final                              to the Pollution Prevention Act of 1990,                       technology for capturing mercury at
                                                rule, you should carefully examine the                                 42 U.S.C. 13101 et seq.                                        dental offices. The mercury collected by
                                                applicability criteria listed in § 441.10                              III. Executive Summary                                         these separators can be recycled. This
                                                and the definitions in § 441.20 of this                                                                                               rule will ensure that mercury discharges
                                                final rule and detailed further in Section                                The purpose of this final rule is to set                    to POTWs are effectively controlled at
                                                VI of this preamble. If you still have                                 a uniform national standard that will                          dental offices that discharge wastewater
                                                questions regarding the applicability of                               greatly reduce the discharge of mercury-                       to POTWs.
                                                this final rule to a particular entity,                                containing dental amalgam to municipal                            Many studies have been conducted in
                                                consult the person listed for technical                                sewage treatment plants, known as                              an attempt to identify the sources of
                                                information in the preceding FOR                                       POTWs, in the United States. Mercury                           mercury entering POTWs. According to
                                                FURTHER INFORMATION CONTACT section.                                   is a potent neurotoxin that                                    the 2002 Mercury Source Control and
                                                                                                                       bioaccumulates in fish and shellfish,                          Pollution Prevention Program
                                                B. Supporting Information                                              and mercury pollution is widespread                            Evaluation Final Report (DCN DA00006)
                                                   This final rule is supported by a                                   and a global concern that originates                           prepared by the Association of
                                                number of documents including the                                      from many diverse sources such as air                          Metropolitan Sewerage Agencies
                                                Technical and Economic Development                                     deposition from municipal and                                  (AMSA), dental offices are the main
                                                Document for the Final Effluent                                        industrial incinerators and combustion                         source of mercury discharges to POTWs.
                                                Limitations Guidelines and Standards                                   of fossil fuels. Across the U.S., 12 states                    A study funded by the ADA published
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                                                for the Dental Category (TEDD),                                        and at least 18 localities have                                in 2005 estimated that dental offices
                                                Document No. EPA–821–R–16–005. The                                     established mandatory programs to                              contributed 50 percent of mercury
                                                TEDD and additional records are                                        reduce discharges of mercury to                                entering POTWs (DCN DA00163).
                                                available in the public record for this                                POTWs. As a result of these efforts,                           Mercury is discharged in the form of
                                                final rule and on EPA’s Web site at                                    along with outreach from the ADA to                            waste dental amalgam when dentists
                                                https://www.epa.gov/eg/dental-effluent-                                promote voluntary actions to reduce                            remove old amalgam fillings from
                                                guidelines.                                                            such discharges, approximately 40                              cavities, and from excess amalgam


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                                                27156            Federal Register / Vol. 82, No. 113 / Wednesday, June 14, 2017 / Rules and Regulations

                                                waste when a dentist places a new                       waste (‘‘or scrap’’), and the other which              those terms and variations are used in
                                                amalgam filling.                                        prohibits the use of line cleaners that                the General Pretreatment Regulations,
                                                   While dental offices are not a major                 may lead to the dissolution of solid                   unless designated such by the Control
                                                contributor of mercury to the                           mercury when cleaning chair-side traps                 Authority. While this rule establishes
                                                environment generally, dental offices                   and vacuum lines.                                      pretreatment standards that require
                                                are the main source of mercury                             In addition, the rule minimizes the                 dental offices to reduce dental amalgam
                                                discharges to POTWs. EPA estimates                      administrative burden on dental offices                discharges, the rule does not require
                                                that across the United States 5.1 tons of               subject to the rule, as well as on federal,            Control Authorities to implement the
                                                mercury and an additional 5.3 tons of                   state, and local regulatory authorities                traditional suite of oversight
                                                other metals found in waste dental                      responsible for oversight and                          requirements in the General
                                                amalgam are collectively discharged                     enforcement of the new standard.                       Pretreatment Regulations that become
                                                into POTWs annually. Mercury entering                   Administrative burden was a concern of                 applicable upon the promulgation of
                                                POTWs frequently partitions into the                    many of the commenters on the 2014                     categorical pretreatment standards for
                                                sludge, the solid material that remains                 proposed rule and EPA has greatly                      an industrial category. This significantly
                                                after wastewater is treated. Mercury                    reduced that burden through                            reduces the reporting requirements for
                                                from waste amalgam therefore can make                   streamlining the administrative                        dental dischargers that would otherwise
                                                its way into the environment from the                   requirements in this final rule.                       apply by instead requiring them to
                                                POTW through the incineration,                             When EPA establishes categorical                    demonstrate compliance with the
                                                landfilling, or land application of sludge              pretreatment requirements, it triggers                 performance standard and BMPs
                                                or through surface water discharge.                     additional oversight and reporting                     through a one-time compliance report to
                                                Once released into the aquatic                          requirements in EPA’s General                          their Control Authority. This regulatory
                                                environment, certain bacteria can                       Pretreatment Regulations. The General                  approach also eliminates the additional
                                                change mercury into methylmercury, a                    Pretreatment Regulations specify that                  oversight requirements for Control
                                                highly toxic form of mercury that                       Control Authorities (which are often the               Authorities that are typically associated
                                                bioaccumulates in fish and shellfish. In                state or POTW) are responsible for                     with SIUs, such as permitting and
                                                the U.S., consumption of fish and                       administering and enforcing                            annual inspections of individual dental
                                                shellfish is the main source of                         pretreatment standards, including                      offices. It also eliminates additional
                                                methylmercury exposure to humans.                       receiving and reviewing compliance                     reporting requirements for the Control
                                                Removing mercury when it is in a                        reports. While other industries subject                Authorities typically associated with
                                                concentrated and easy to manage form                    to categorical pretreatment standards                  CIUs, such as identification of CIUs in
                                                in dental amalgam, before it becomes                    typically consist of tens to hundreds of               their annual pretreatment reports. At the
                                                diluted and difficult and costly to                     facilities, the dental industry consists of            same time, the final rule recognizes the
                                                remove, is a common sense step to                       approximately 130,000 offices.                         Control Authority’s discretionary
                                                prevent mercury from being released                     Application of the default General                     authority to treat a dental discharger as
                                                into the environment where it can                       Pretreatment Regulation oversight and                  an SIU and/or CIU if, in the Control
                                                become a hazard to humans.                              reporting requirements to such a large                 Authority’s judgement, it is necessary.
                                                   The ADA, which supported removal                     number of facilities would be much                        EPA estimated the annual costs
                                                and recycling of mercury from                           more challenging. Further, dental office               associated with this rule. EPA’s analysis
                                                wastewater discharged to POTWs in its                   discharges differ from other industries                reflects that many dental offices have
                                                comments on the 2014 proposed rule                      for which EPA has established                          already taken steps to reduce dental
                                                (See DCN EPA–HQ–OW–2014–0693–                           categorical pretreatment standards. Both               amalgam discharges by discontinuing
                                                0434), developed best management                        the volume of wastewater discharged                    the use of dental amalgam, adopting the
                                                practices (BMPs) to facilitate this goal                and the quantity of pollutants in the                  ADA’s voluntary best practices, or by
                                                and shared its recommendations widely                   discharge on a per facility basis are                  meeting existing mandatory state or
                                                with the dental community (DCN                          significantly less than other industries               local requirements. On a national basis,
                                                DA00165). The ADA’s voluntary                           for which EPA has established                          EPA estimates that approximately 40
                                                amalgam waste handling and disposal                     categorical pretreatment standards.                    percent of dental offices subject to this
                                                practices include the use of amalgam                    Accordingly, this final rule exempts                   final rule already use amalgam
                                                separators to reduce mercury                            dental offices from the General                        separators (DCN DA00456). Of the
                                                discharges. In addition, some states and                Pretreatment Regulations’ oversight and                remaining 60 percent of dental offices
                                                localities have implemented mandatory                   reporting requirements associated with                 that do not have amalgam separators
                                                programs to reduce dental mercury                       categorical pretreatment standards,                    and that are subject to this final rule,
                                                discharges that include the use of                      reflecting EPA’s recognition that the                  EPA estimates that 20 percent do not
                                                amalgam separators.                                     otherwise-applicable regulatory                        place or remove dental amalgam (DCN
                                                   EPA has concluded that requiring                     framework for categorical dischargers                  DA00161). These dentists that do not
                                                dental offices to remove mercury                        would be unlikely to have a significant                place or remove dental amalgam—
                                                through relatively low-cost and readily                 positive impact on overall compliance                  which correspond to 12 percent of the
                                                available amalgam separators and BMPs                   with the rule across the dental industry,              dental offices subject to this final rule—
                                                makes sense. Capturing mercury-laden                    while imposing a substantial burden on                 will incur little to no costs as a result
                                                waste where it is created prevents it                   state and local regulating authorities.                of the rule. EPA estimates the remainder
                                                from being released into the                               In order to simplify implementation                 (representing 48 percent of the dental
                                                environment. This final rule controls                   and compliance for the dental offices                  offices subject to this final rule) will
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                                                mercury discharges to POTWs by                          and the regulating authorities, the final              incur an approximate average annual
                                                establishing a performance standard for                 rule establishes that dental dischargers               cost of $800 per office. The total annual
                                                amalgam process wastewater based on                     are not Significant Industrial Users                   cost of this final rule is projected to be
                                                the use of amalgam separator                            (SIUs) as defined in 40 CFR part 403,                  $59–$61 million.
                                                technology. The rule also requires                      and are not Categorical Industrial Users                  This final rule will produce human
                                                dental dischargers to adopt two BMPs,                   (CIUs) or ‘‘industrial users subject to                health and ecological benefits by
                                                one which prohibits the discharge of                    categorical pretreatment standards’’ as                reducing the estimated annual


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                                                                 Federal Register / Vol. 82, No. 113 / Wednesday, June 14, 2017 / Rules and Regulations                                          27157

                                                nationwide POTW discharge of dental                     effluent guideline or new source                       for direct dischargers; and (2) that the
                                                mercury to surface water from 1,003                     performance standard (CWA section                      treatment capability and performance of
                                                pounds to 11 pounds. Studies show that                  402(a)(1)(B) and 40 CFR 125.3). The                    the POTWs be recognized and taken
                                                decreased point-source discharges of                    effluent guidelines and new source                     into account in regulating the discharge
                                                mercury to surface water have resulted                  performance standards established by                   of pollutants from indirect dischargers.
                                                in lower methylmercury concentrations                   regulation for categories of industrial                CWA 301(b)(1)(A)(BPT); and
                                                in fish, and that such reductions can                   dischargers are based on the degree of                 301(b)(1)(E).
                                                result in quantifiable economic benefits                control that can be achieved using
                                                                                                                                                               2. Effluent Limitations Guidelines and
                                                from improved human health and                          various levels of pollution control
                                                                                                                                                               Standards
                                                ecological conditions (DCN DA00148).                    technology, as specified in the Act.
                                                While not quantified, as noted above,                      EPA promulgates national effluent                      EPA develops Effluent Guidelines
                                                this rule will also reduce mercury                      limitations guidelines and standards of                Limitations and Standards (ELGs) that
                                                releases to the environment associated                  performance for major industrial                       are technology-based regulations for
                                                with the incineration, landfilling, or                  categories for three classes of pollutants:            specific categories of dischargers. EPA
                                                land application of POTW sludges.                       (1) Conventional pollutants (total                     bases these regulations on the
                                                Instead, EPA expects all of the collected               suspended solids, oil and grease,                      performance of control and treatment
                                                amalgam will be recycled, rather than                   biochemical oxygen demand, fecal                       technologies. The legislative history of
                                                released back into the environment.                     coliform, and pH) as outlined in CWA                   CWA section 304(b), which is the heart
                                                                                                        section 304(a)(4) and 40 CFR 401.16; (2)               of the effluent guidelines program,
                                                IV. Background                                          toxic pollutants (e.g., toxic metals such              describes the need to press toward
                                                A. Legal Framework                                      as chromium, lead, mercury, nickel, and                higher levels of control through research
                                                                                                        zinc) as outlined in section 307(a) of the             and development of new processes,
                                                1. Clean Water Act                                      Act, 40 CFR 401.15 and 40 CFR part                     modifications, replacement of obsolete
                                                   Congress passed the Federal Water                    423, appendix A; and (3) non-                          plants and processes, and other
                                                Pollution Control Act Amendments of                     conventional pollutants, which are                     improvements in technology, taking into
                                                1972, also known as the Clean Water                     those pollutants that are not categorized              account the cost of controls. Congress
                                                Act (CWA), to ‘‘restore and maintain the                as conventional or toxic (e.g., ammonia-               has also stated that EPA need not
                                                chemical, physical, and biological                      N, formaldehyde, and phosphorus).                      consider water quality impacts on
                                                integrity of the Nation’s waters.’’ (33                    The CWA also authorizes EPA to                      individual water bodies as the
                                                U.S.C. 1251(a)). The CWA establishes a                  promulgate nationally applicable                       guidelines are developed; see Statement
                                                comprehensive program for protecting                    pretreatment standards that restrict                   of Senator Muskie (October 4, 1972),
                                                our nation’s waters. Among its core                     pollutant discharges from facilities that              reprinted in U.S. Senate Committee on
                                                provisions, the CWA prohibits the                       discharge pollutants indirectly, by                    Public Works, Legislative History of the
                                                discharge of pollutants from a point                    sending wastewater to POTWs, as                        Water Pollution Control Act
                                                source to waters of the U.S. except as                  outlined in sections 307(b), (c) and                   Amendments of 1972, Serial No. 93–1,
                                                authorized under the CWA. Under                         304(g) of the CWA. EPA establishes                     at 170).
                                                section 402 of the CWA, EPA authorizes                  national pretreatment standards for                       There are standards applicable to
                                                discharges by a National Pollutant                      those pollutants that may pass through,                direct dischargers (dischargers to
                                                Discharge Elimination System (NPDES)                    interfere with, or may otherwise be                    surface waters) and standards applicable
                                                permit. The CWA establishes a two-                      incompatible with POTW operations.                     to indirect dischargers (dischargers to
                                                pronged approach for these permits:                     CWA sections 307(b) and (c) and 304(g).                POTWs). The types of standards
                                                Technology-based controls that                          The legislative history of the 1977 CWA                relevant to this rulemaking are
                                                establish the floor of performance for all              amendments explains that pretreatment                  summarized here.
                                                dischargers, and water quality-based                    standards are technology-based and                     a. Best Available Technology
                                                limits where the technology-based                       analogous to technology-based effluent
                                                                                                                                                               Economically Achievable (BAT)
                                                limits are insufficient for the discharge               limitations for direct dischargers for the
                                                to meet applicable water quality                        removal of toxic pollutants. As further                   BAT represents the second level of
                                                standards. To serve as the basis for the                explained in the legislative history, the              stringency for controlling direct
                                                technology-based controls, the CWA                      combination of pretreatment and                        discharge of toxic and nonconventional
                                                authorizes EPA to establish national                    treatment by the POTW is intended to                   pollutants. In general, BAT-based
                                                technology-based effluent limitations                   achieve the level of treatment that                    effluent guidelines and new source
                                                guidelines and new source performance                   would be required if the industrial                    performance standards represent the
                                                standards for discharges from different                 source were making a direct discharge.                 best available economically achievable
                                                categories of point sources, such as                    Conf. Rep. No. 95–830, at 87 (1977),                   performance of facilities in the
                                                industrial, commercial, and public                      reprinted in U.S. Congress. Senate.                    industrial subcategory or category.
                                                sources, that discharge directly into                   Committee on Public Works (1978), A                    Following the statutory language, EPA
                                                waters of the U.S.                                      Legislative History of the CWA of 1977,                considers the technological availability
                                                   Direct dischargers (those discharging                Serial No. 95–14 at 271 (1978). As such,               and the economic achievability in
                                                directly to surface waters) must comply                 in establishing pretreatment standards,                determining what level of control
                                                with effluent limitations in NPDES                      EPA’s consideration of pass through for                represents BAT. CWA section
                                                permits. Technology-based effluent                      national technology-based categorical                  301(b)(2)(A). Other statutory factors that
                                                limitations in NPDES permits for direct                 pretreatment standards differs from that               EPA considers in assessing BAT are the
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                                                dischargers are derived from effluent                   described in EPA’s General Pretreatment                cost of achieving BAT effluent
                                                limitations guidelines (CWA sections                    regulations at 40 CFR part 403. For                    reductions, the age of equipment and
                                                301 and 304) and new source                             categorical pretreatment standards,                    facilities involved, the process
                                                performance standards (CWA section                      EPA’s approach for pass through                        employed, potential process changes,
                                                306) promulgated by EPA, or based on                    satisfies two competing objectives set by              and non- water quality environmental
                                                best professional judgment where EPA                    Congress: (1) That standards for indirect              impacts, including energy requirements
                                                has not promulgated an applicable                       dischargers be equivalent to standards                 and such other factors as the


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                                                27158            Federal Register / Vol. 82, No. 113 / Wednesday, June 14, 2017 / Rules and Regulations

                                                Administrator deems appropriate. CWA                    e. Best Management Practices (BMPs)                    requirements. See DCN DA00516 for
                                                section 304(b)(2)(B). The Agency retains                   Section 304(e) of the CWA authorizes                these comments and EPA’s responses.
                                                considerable discretion in assigning the                the Administrator to publish                           C. Existing State and Local Program
                                                weight to be accorded these factors.                    regulations, in addition to effluent                   Requirements
                                                Weyerhaeuser Co. v. Costle, 590 F.2d                    limitations guidelines and standards for
                                                1011, 1045 (D.C. Cir. 1978).                                                                                     Currently, 12 states (Connecticut,
                                                                                                        certain toxic or hazardous pollutants,                 Louisiana,1 Maine, Massachusetts,
                                                b. Best Available Demonstrated Control                  ‘‘to control plant site runoff, spillage or            Michigan, New Hampshire, New Jersey,
                                                Technology (BADCT)/New Source                           leaks, sludge or waste disposal, and                   New Mexico, New York, Rhode Island,
                                                                                                        drainage from raw material storage                     Vermont, and Washington) have
                                                Performance Standards (NSPS)
                                                                                                        which the Administrator determines are                 mandatory programs to reduce dental
                                                   NSPS reflect effluent reductions that                associated with or ancillary to the                    mercury discharges. Additionally, at
                                                are achievable based on the best                        industrial manufacturing or treatment                  least 18 localities (located in California,
                                                available demonstrated control                          process . . . and may contribute                       Colorado, Ohio, and Wisconsin)
                                                technology (BADCT). Owners of new                       significant amounts of such pollutants                 similarly have mandatory dental
                                                facilities have the opportunity to install              to navigable waters.’’ In addition,                    amalgam reduction pretreatment
                                                the best and most efficient production                  section 304(g), read in concert with                   programs. EPA analyzed readily
                                                processes and wastewater treatment                      section 501(a), authorizes EPA to                      available information about these
                                                technologies. As a result, NSPS should                  prescribe as wide a range of                           programs and found commonalities
                                                represent the most stringent controls                   pretreatment requirements as the                       (DCN DA00524). For example, all
                                                attainable through the application of the               Administrator deems appropriate in                     require the use of amalgam separators
                                                                                                        order to control and prevent the                       and most specify associated operating
                                                BADCT for all pollutants (that is,
                                                                                                        discharge into navigable waters, either                and maintenance requirements. The
                                                conventional, nonconventional, and
                                                                                                        directly or through POTWs, any                         majority of these programs also require
                                                toxic pollutants). In establishing NSPS,
                                                                                                        pollutant which interferes with, passes                some type of best management
                                                EPA is directed to take into
                                                                                                        through, or otherwise is incompatible                  practices, and at least a one-time
                                                consideration the cost of achieving the                 with such treatment works. (see also
                                                effluent reduction and any non-water                                                                           compliance report to the regulating
                                                                                                        Citizens Coal Council v. U.S. EPA, 447                 authority.
                                                quality environmental impacts and                       F3d 879, 895–96 (6th Cir. 2006)
                                                energy requirements. CWA section                        (upholding EPA’s use of non-numeric                    D. Roles and Responsibilities Under the
                                                306(b)(1)(B).                                           effluent limitations and standards);                   National Pretreatment Program
                                                c. Pretreatment Standards for Existing                  Waterkeeper Alliance, Inc. v. U.S. EPA,                  The National Pretreatment Program
                                                Sources (PSES)                                          399 F.3d 486, 496–97, 502 (2d Cir. 2005)               requires industrial dischargers that
                                                                                                        (EPA use of non-numerical effluent                     discharge to POTWs to comply with
                                                  Pretreatment standards apply to                       limitations in the form of BMPs are                    pretreatment standards. The General
                                                dischargers of pollutants to POTWs;                     effluent limitations under the CWA);                   Pretreatment Regulations in 40 CFR part
                                                Pretreatment Standards for Existing                     and Natural Res. Def. Council, Inc. v.                 403 establish roles and responsibilities
                                                Sources are designed to prevent the                     EPA, 673 F.2d 400, 403 (D.C. Cir. 1982)                for entities involved in the
                                                discharge of pollutants to POTWs that                   (‘‘section 502(11) [of the CWA] defines                implementation of pretreatment
                                                pass through, interfere with, or are                    ‘effluent limitation’ as ‘any restriction’             standards. This section summarizes the
                                                otherwise incompatible with the                         on the amounts of pollutants                           roles and responsibilities of Industrial
                                                operation of POTWs, including sludge                    discharged, not just a numerical                       Users (IUs), Control Authorities, and
                                                disposal methods of POTWs. Categorical                  restriction.’’))                                       Approval Authorities. For a detailed
                                                pretreatment standards for existing                                                                            description, see the preamble for the
                                                                                                        B. Dental Category Effluent Guidelines                 proposed rule (79 FR 63279–63280;
                                                sources are technology-based and are                    Rulemaking History and Summary of
                                                analogous to BAT effluent limitations                                                                          October 22, 2014).
                                                                                                        Public Comments                                          An IU is a nondomestic source of
                                                guidelines, and thus the Agency
                                                typically considers the same factors in                   EPA published the proposed rule on                   indirect discharge into a POTW, and in
                                                                                                        October 22, 2014, and took public                      this rule is the dental discharger. The
                                                promulgating PSES as it considers in
                                                                                                        comment through February 20, 2015.                     Control Authority may be the POTW,
                                                promulgating BAT. See Natural
                                                                                                        During the public comment period, EPA                  the state, or EPA, depending on whether
                                                Resources Defense Council v. EPA, 790
                                                                                                        received approximately 200 comments.                   the POTW or the state is approved by
                                                F.2d 289, 292 (3rd Cir. 1986).                                                                                 EPA to administer the pretreatment
                                                                                                        EPA also held a public hearing on
                                                d. Pretreatment Standards for New                       November 10, 2014. Administrative                      program. The Control Authority is the
                                                Sources (PSNS)                                          burden was a concern of many of the                    POTW in cases where the POTW has an
                                                                                                        commenters on the 2014 proposed rule,                  approved pretreatment program. The
                                                  Like PSES, PSNS are designed to                       particularly from regulatory authorities               Control Authority is the state, where the
                                                prevent the discharges of pollutants that               responsible for oversight and                          POTW has not been approved to
                                                pass through, interfere with, or are                    enforcement of the new standard.                       administer the pretreatment program,
                                                otherwise incompatible with the                         Commenters also provided additional                    but the state has been approved. The
                                                operation of POTWs. New indirect                        information on amalgam separators (e.g.,               Control Authority is EPA where neither
                                                discharges have the opportunity to                      costs, models, and design) as well as                  the POTW nor the state have been
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                                                incorporate into their facilities the best              information on some other approaches                   approved to administer the pretreatment
                                                available demonstrated technologies. In                 to reduce pollutant discharges from                    program. The Approval Authority is the
                                                establishing pretreatment standards for                 dentists. Commenters also offered ways
                                                new sources, the Agency typically                       to improve and/or clarify the proposed                   1 Louisiana state requirements do not explicitly

                                                                                                                                                               require dental offices to install amalgam separators;
                                                considers the same factors in                           pretreatment standards, including the                  dental offices must follow BMPs recommended by
                                                promulgating PSNS as it considers in                    proposed numerical efficiency and                      the ADA in 1999. ADA added amalgam separators
                                                promulgating NSPS (BADCT).                              operation and maintenance                              to the list of BMPs in 2008.



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                                                                 Federal Register / Vol. 82, No. 113 / Wednesday, June 14, 2017 / Rules and Regulations                                           27159

                                                State (Director) in an NPDES authorized                 measures to address dental amalgam.                     B. Dental Amalgam Wastewater Sources
                                                state with an approved pretreatment                     This final rule contributes to the U.S.’s               and Management
                                                program; or the EPA regional                            efforts to meet the measures called for                    Dental amalgam consists of
                                                administrator in a non-NPDES                            in the treaty.                                          approximately 49 percent mercury by
                                                authorized state or NPDES state without                                                                         weight. Mercury is the only metal that
                                                                                                        V. Description of Dental Industry &
                                                an approved state pretreatment program.                                                                         is in its liquid phase at room
                                                   Typically, an IU is responsible for                  Dental Amalgam Wastewater Sources
                                                                                                        and Management                                          temperature, and it bonds well with
                                                demonstrating compliance with
                                                                                                                                                                powdered alloy. This contributes to its
                                                pretreatment standards by performing                    A. Dental Industry                                      durability in dental amalgam. The other
                                                self-monitoring, submitting reports and
                                                                                                           The industry category affected by this               half of dental amalgam is usually
                                                notifications to its Control Authority,
                                                                                                        final rule is Offices of Dentists (NAICS                composed of 35 percent silver, 9 percent
                                                and maintaining records of activities
                                                                                                        621210), which comprises                                tin, 6 percent copper, 1 percent zinc and
                                                associated with its discharge to the
                                                POTW. The Control Authority is the                      establishments of health practitioners                  small amounts of indium and palladium
                                                regulating authority responsible for                    primarily engaged in the independent                    (DCN DA00131).
                                                                                                        practice of general or specialized                         Sources of dental amalgam discharges
                                                implementing and enforcing
                                                                                                        dentistry, or dental surgery. These                     generally occur in the course of two
                                                pretreatment standards. The General
                                                Pretreatment Regulations require certain                practitioners operate individual or                     categories of activities. The first
                                                minimum oversight of IUs by Control                     group practices in their own offices or                 category of discharges may occur in the
                                                Authorities. The required minimum                       in the offices of others, such as hospitals             course of treating a patient, such as
                                                oversight includes receipt and analysis                 or health maintenance organization                      during the placement or removal of a
                                                of reports and notifications submitted                  medical centers. They can provide                       filling. When filling a cavity, dentists
                                                by IUs, random sampling and analyzing                   either comprehensive preventive,                        overfill the tooth cavity so that the
                                                effluent from IUs, and conducting                       cosmetic, or emergency care, or                         filling can be carved to the proper
                                                surveillance activities to identify                     specialize in a single field of dentistry.              shape. The excess amalgam is typically
                                                occasional and continuing non-                             According to the 2012 Economic                       rinsed into a cuspidor, or suctioned out
                                                compliance with pretreatment                            Census, there are 133,221 U.S. dental                   of the patient’s mouth. In addition to
                                                standards. The Control Authority is also                offices owned or operated by 125,275                    filling new cavities, dentists also
                                                responsible for taking enforcement                      dental firms.2 Only 2 percent of all                    remove old restorations that are worn or
                                                action as necessary. For IUs that are                   dental firms are multi-unit, the rest are               damaged. Removed restorations also
                                                designated as Significant Industrial                    single-unit. The growth of the number of                may be rinsed into a cuspidor or
                                                Users (SIUs), Control Authorities must                  dental offices remained steady over the                 suctioned out of the patient’s mouth.
                                                inspect and sample the SIU effluent                     past decade with an average increase of                 Based on information in the record
                                                annually, review the need for a slug                    1 percent per year.                                     (DCN DA00456), removed restorations is
                                                control plan, and issue a permit or                                                                             the largest contributor of mercury in
                                                                                                           The industry includes mostly small                   dental discharges.
                                                equivalent control mechanism. IUs                       businesses with an estimated over 99
                                                subject to categorical pretreatment                                                                                The second category of dental
                                                                                                        percent of all offices falling below the                amalgam discharges occurs in the
                                                standards are referred to as Categorical                Small Business Administration (SBA)
                                                Industrial Users (CIUs). The General                                                                            course of activities not directly involved
                                                                                                        size standard ($7.5 million in annual                   with the placement or removal of dental
                                                Pretreatment Regulations define SIU to                  revenue). Using Census Bureau data,
                                                include CIUs. The Approval Authority                                                                            amalgam. Preparation of dental
                                                                                                        EPA estimates an average revenue for                    amalgam, disposing of excess amalgam,
                                                is responsible for ensuring that POTWs                  offices at $787,190 per year with an
                                                comply with all applicable pretreatment                                                                         and flushing vacuum lines with
                                                                                                        average of 6.6 employees per                            corrosive chemicals present
                                                program requirements. Among other                       establishment.
                                                things, the Approval Authority receives                                                                         opportunities for dental amalgam to be
                                                annual pretreatment reports from the                       According to ADA data,                               discharged.
                                                Control Authority. These reports must                   approximately 80 percent of the dental                     The use of dental amalgam has
                                                identify which IUs are CIUs.                            industry engages in general dentistry.                  decreased steadily since the late 1970s
                                                                                                        Approximately 20 percent are specialty                  as alternative materials such as
                                                E. Minamata Convention on Mercury                       dentists such as periodontists,                         composite resins and glass ionomers
                                                  On November 6, 2013, the United                       orthodontists, radiologists, maxillofacial              have become more widely available.
                                                States joined the Minamata Convention                   surgeons, endodontists, or                              Estimates show that placements of
                                                on Mercury, a new multilateral                          prosthodontists (DCN DA00460).                          dental amalgam have decreased on
                                                environmental agreement that addresses                     Dentistry may also be performed at                   average by about 2 to 3% per year (74
                                                specific human activities that are                      larger institutional dental offices                     FR 38686; August 4, 2009). Based on
                                                contributing to widespread mercury                      (military clinics and dental schools).                  this information, EPA estimates that
                                                pollution. The agreement identifies                     Since EPA does not know if these                        mercury in dental amalgam discharges
                                                dental amalgam as a mercury-added                       offices are included in the 2012                        to POTWs will decrease by about half
                                                product for which certain measures                      Economic Census data, EPA                               within the next 25 years. While the use
                                                should be taken. Specifically, the                      conservatively assumed the largest                      of dental amalgam continues to decline,
                                                Convention lists nine measures for                      offices are not present in the data, and                EPA estimates that approximately 2 tons
                                                phasing down the use of mercury in                      so added an estimate of 415 larger                      of mercury would continue to be
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                                                dental amalgam, including promoting                     institutional dental offices across the                 discharged to POTWs in 2040.
                                                the use of best environmental practices                 nation. For the final rule, EPA updated                    The typical plumbing configuration in
                                                in dental offices to reduce releases of                 this number based on comments                           a dental office consists of a chair-side
                                                mercury and mercury compounds to                        received on the proposed rule.                          trap for each chair, and a central
                                                water and land. Nations that are parties                                                                        vacuum pump with a vacuum pump
                                                to the Convention are required to                         2 A firm is a business organization, such as a sole   filter. Chair-side traps and vacuum
                                                implement at least two of the nine                      proprietorship, partnership, or corporation.            pump filters remove approximately 78


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                                                27160            Federal Register / Vol. 82, No. 113 / Wednesday, June 14, 2017 / Rules and Regulations

                                                percent of dental amalgam particles                     operator to ascertain the operating status             ADA posted a directory of amalgam
                                                from the wastewater stream (DCN                         of the amalgam separator.                              recyclers on its Web site. See DCN
                                                DA00163). EPA identified three major                       Based on reported removal                           DA00468.
                                                technologies that capture dental                        efficiencies of a range of amalgam                       For more information about amalgam
                                                amalgam waste, in addition to chair-side                separators currently on the market that                separators, see the proposed rule (79 FR
                                                traps and vacuum pump filters, before it                meet the ISO standard, separators obtain               63265; October 22, 2014).
                                                is discharged to the POTW: Separators,                  a median of 99 percent removal
                                                ion exchange, and wastewater                            efficiency (see Chapter 7 of the TEDD)                 2. Polishing To Remove Dissolved
                                                containment systems. EPA also                           of total dental solids. When existing                  Mercury From Wastewater
                                                identified BMPs that have a significant                 chair-side traps and vacuum pump                          Mercury from dental amalgam in
                                                impact on dental amalgam discharges.                    filters are used upstream of the amalgam               wastewater is present in both the
                                                                                                        separators, the combined treatment                     particulate and dissolved form. The vast
                                                1. Amalgam Separators                                   system can achieve total mercury                       majority (≤99.6 percent) is particulate
                                                   An amalgam separator is a device                     removal rates exceeding 99 percent                     (DCN DA00018). An additional process
                                                designed to remove solids from dental                   (DCN DA00008).                                         sometimes referred to as ‘‘polishing’’
                                                office wastewater. Amalgam separators                      Solids collected by the amalgam                     uses ion exchange to remove dissolved
                                                remove amalgam particles from the                       separator may be a combination of                      mercury from wastewater. Dissolved
                                                wastewater through centrifugation,                      dental amalgam, biological material                    mercury has a tendency to bind with
                                                sedimentation, filtration, or a                         from patients, and any other solid                     other chemicals, resulting in a charged
                                                combination of any of these methods.                    material sent down the vacuum line.                    complex. Ion exchange is the process
                                                Practically all amalgam separators on                   The collected solids must be handled in                that separates these charged amalgam
                                                the market today rely on sedimentation                  accordance with federal, state and local               particles from the wastewater. For ion
                                                because of its effectiveness and                        requirements. EPA regulates the                        exchange to be most effective, the
                                                operational simplicity.                                 disposal of mercury-containing                         incoming wastewater must first be
                                                   The vast majority of amalgam                         hazardous waste under the Resource                     treated to remove solids. Then the
                                                separators on the market today have                     Conservation and Recovery Act (RCRA).                  wastewater needs to be oxidized
                                                been evaluated for their ability to meet                A mercury-containing waste can be                      (creating a charge on the amalgam
                                                the current American National                           considered hazardous in two ways: (1)                  particles) in order for the resin or
                                                Standards Institute’s (ANSI) Standard                   As a listed hazardous waste; or (2) as a               mercury capturing material to capture
                                                for Amalgam Separators (ANSI/ADA                        characteristic hazardous waste. Unused                 the dissolved mercury. Therefore, ion
                                                Standard No. 108 for Amalgam                            elemental mercury being discarded                      exchange will not be effective without
                                                Separators). This standard incorporates                 would be a listed hazardous waste                      first being preceded by a solids collector
                                                the International Organization for                      (waste code U151). Persons who                         and an oxidation process. The data
                                                Standardization (ISO) Standard for                      generate hazardous waste, such as a                    available to EPA indicate that total
                                                Dental Amalgam Separators (http://                      waste that exhibits the hazardous
                                                www.iso.org/iso/iso_catalogue/                                                                                 additional mercury reductions with the
                                                                                                        characteristics for mercury, are subject
                                                catalogue_tc/catalogue_detail.htm                                                                              addition of polishing are typically about
                                                                                                        to specific requirements for the proper
                                                ?csnumber=42288).3 The current ISO                                                                             0.5 percent (DCN DA00164). This is not
                                                                                                        management and disposal of that waste.
                                                standard for amalgam separators is ISO                                                                         surprising since, as indicated above,
                                                                                                        The federal RCRA regulatory
                                                11143. ISO established a standard for                                                                          dissolved mercury contributes such a
                                                                                                        requirements differ depending upon
                                                measuring amalgam separator efficiency                                                                         small portion to the total amount of
                                                                                                        how much hazardous waste a site
                                                by evaluating the retention of amalgam                                                                         mercury in wastewater. In addition to
                                                                                                        generates per month. Most dental
                                                solids using specified test procedures in                                                                      polishing as described above, EPA is
                                                                                                        practices generate less than 100
                                                a laboratory setting. In order to meet the                                                                     aware that vendors are developing
                                                                                                        kilograms of non-acute hazardous waste
                                                ISO standard, a separator must achieve                                                                         amalgam separators with an improved
                                                                                                        per month and less than 1 kilogram of
                                                95 percent removal or greater of total                  acute hazardous waste per month. Such                  resin for removing dissolved mercury.
                                                solids. The ISO standard also includes                  facilities are therefore classified as                 For additional discussion on polishing,
                                                certain design requirements and                         ‘‘Very Small Quantity Generators’’                     see proposal (79 FR 63266; October 22,
                                                requirements for instructions for proper                (VSQGs). VSQGs are not subject to most                 2014).
                                                use and maintenance. For example, for                   of the RCRA hazardous waste                            3. Wastewater Retention Tanks
                                                non-sedimentation amalgam separators,                   requirements.
                                                the ISO 11143 standard requires a                          Many states have additional                            Commenters on the proposed rule
                                                warning system such as an auditory or                   requirements for the handling of                       identified wastewater retaining tanks as
                                                visual sign to indicate when the                        mercury, including waste dental                        a third technology to reduce mercury
                                                separator’s efficiency is compromised to                amalgam. Chapter 6 of the TEDD                         discharges from dental offices to
                                                ensure that the operator is aware that                  provides additional details on the                     POTWs. Where currently used, these
                                                the separator is not operating optimally.               handling requirements for states that                  systems collect and retain all 4 amalgam
                                                For sedimentation separators, the                       require dentists to control dental                     process wastewater. The wastewater
                                                requirement can be met by providing                     mercury dischargers. To facilitate                     remains in the wastewater retention
                                                instructions that would allow the                       compliance with state and local                        tank until it is pumped out of the tank
                                                                                                        requirements, several amalgam                          and transferred to a privately owned
                                                  3 ANSI is the coordinator of the U.S. voluntary
                                                                                                        separator manufacturers offer services                 wastewater treatment facility. This
                                                                                                                                                               eliminates the discharge of amalgam
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                                                consensus standards system. An ISO document may         that facilitate the transport of waste
                                                be nationally adopted as an ANS as written or with                                                             process wastewater and the associated
                                                modifications to its content that reflect technical     amalgam to facilities that separate
                                                deviations to the ISO standard that have been           mercury from other metals in dental
                                                agreed upon through a consensus process. In other                                                                4 Dental offices using wastewater retention tanks
                                                                                                        amalgam and recycle the mercury,
                                                words, a consensus of U.S. experts, in an open and                                                             must ensure that all amalgam process wastewater is
                                                due process based environment, agreed that ISO
                                                                                                        keeping it out of the environment. EPA                 collected by the wastewater retention tanks. Any
                                                11143 with U.S. modifications is appropriate for        recommends that dental dischargers                     uncollected amalgam process wastewater that is
                                                adoption as an ANS.                                     take advantage of such services. In 2012,              discharged to the POTW is subject to this rule.



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                                                                 Federal Register / Vol. 82, No. 113 / Wednesday, June 14, 2017 / Rules and Regulations                                                   27161

                                                pollutants from a dental office to a                    bases. The final rule does not apply to                amalgam separators on the market in the
                                                POTW.                                                   wastewater discharges from dental                      U.S. is 99.3 percent. Moreover, ADA
                                                                                                        offices where the practice of dentistry                recommends that dentists use the
                                                4. Best Management Practices
                                                                                                        consists exclusively of one or more of                 technology on which this rule is based
                                                   In addition to technologies, EPA also                the following dental specialties: Oral                 (ISO compliant amalgam separators and
                                                identified best management practices                    pathology, oral and maxillofacial                      BMPs). Further, as described in Section
                                                currently used in this industry (and                    radiology, oral and maxillofacial                      III, EPA estimates that approximately 40
                                                included in the ADA BMPs) to reduce                     surgery, orthodontics, periodontics, or                percent of dental offices potentially
                                                dental amalgam discharges. In                           prosthodontics. As described in the                    subject to this rule currently use
                                                particular, EPA identified two BMPs to                  TEDD, these specialty practices are not                amalgam separators on a voluntary basis
                                                control dental amalgam discharges that                  expected to engage in the practice of                  or are in states or localities with laws
                                                would not be captured by an amalgam                     amalgam restorations or removals, and                  requiring the use of amalgam separators.
                                                separator and/or polishing unit.                        are not expected to have any wastewater                Many dentists have used amalgam
                                                Oxidizing line cleaners can solubilize                  discharges containing dental amalgam.                  separators and BMPs for at least a
                                                bound mercury. If oxidizing cleaners are                   The final rule also does not apply to               decade. For those dental offices that
                                                used to clean dental unit water lines,                  wastewater discharges to POTWs from                    have not yet installed an amalgam
                                                chair side traps, or vacuum lines that                  mobile units. EPA proposed to apply the                separator, EPA estimates this is a low-
                                                lead to an amalgam separator, the line                  standards to mobile units (typically a                 cost technology with an approximate
                                                cleaners may solubilize any mercury                     specialized mobile self- contained van,                average annual cost of $800 8 per office.
                                                that the separator has captured,                        trailer, or equipment from which                       EPA’s economic analysis shows that this
                                                resulting in increased mercury                          dentists provide services at multiple                  rule is economically achievable (see
                                                discharges. One BMP ensures the                         locations), soliciting comments and data               Section IX). Finally, EPA also examined
                                                efficiency of amalgam separators by                     pertaining to them (79 FR 63261;                       the incremental non-water-quality
                                                prohibiting use of oxidizing line                       October 22, 2014). However, EPA is not                 environmental impacts of the final
                                                cleaners including but not limited to,                  establishing requirements for mobile                   pretreatment standards and found them
                                                bleach, chlorine, iodine and peroxide,                  units at this time because it has                      to be acceptable. See Section XII.
                                                that have a pH lower than 6 or greater                  insufficient data to do so. EPA does not
                                                than 8.5                                                have, nor did commenters provide, data                    EPA did not establish PSES based on
                                                   Flushing waste amalgam from chair-                   on the number, size, operation, or                     technologies that remove dissolved
                                                side traps, screens, vacuum pump                        financial characteristics of mobile units.             mercury such as polishing. EPA is not
                                                filters, dental tools, or collection devices            EPA also has minimal information on                    aware of any state or local regulations
                                                into drains also presents additional                    wastewater discharges from mobile                      that require ion exchange or that require
                                                opportunities for mercury to be                         units, and/or practices employed to                    removal of dissolved mercury.
                                                discharged from the dental office. The                  minimize dental amalgam in such                        Commenters raised operational
                                                second BMP prohibits flushing waste                     discharges. Therefore, any further                     concerns with ion exchange citing a
                                                dental amalgam into any drain.                          evaluation of requirements for mobile                  pilot study for the department of Navy.
                                                                                                        units is not possible at this time, and the            EPA also lacks adequate performance
                                                VI. Final Rule                                                                                                 data to assess the efficacy of polishing
                                                                                                        final rule requirements do not apply to
                                                A. Scope and General Applicability                      mobile units.                                          for nationwide use. While even very
                                                                                                                                                               small amounts of mercury have
                                                  Consistent with the proposal, dental                  B. Existing Source (PSES) Option                       environmental effects, EPA lacks
                                                offices that discharge to POTWs are                     Selection                                              sufficient data to conclude that there is
                                                within the scope of this final                                                                                 a significant difference in the
                                                                                                           After considering all of the relevant
                                                pretreatment rule.6 EPA solicited                                                                              performance between traditional
                                                                                                        factors and dental amalgam
                                                information in the proposal from the                                                                           amalgam separators and polishing.
                                                                                                        management approaches discussed in
                                                public on its preliminary finding that,                                                                        Moreover, current information suggests
                                                                                                        this preamble and TEDD, as well as
                                                with few exceptions, dental offices do                                                                         that polishing is not available for
                                                                                                        public comments, EPA decided to
                                                not discharge wastewater directly to                                                                           nationwide use because the typical
                                                                                                        establish PSES based on proper
                                                surface waters. EPA did not receive any                                                                        dental office may not have adequate
                                                                                                        operation and maintenance of one or
                                                comments containing data to contradict                                                                         space to install the treatment train
                                                                                                        more ISO 11143 7 compliant amalgam
                                                this finding. Therefore, EPA is not                                                                            needed for effective polishing and
                                                                                                        separators and two BMPs—a prohibition
                                                establishing any requirements for direct                                                                       because there are few polishing systems
                                                                                                        on the discharge of waste (or ‘‘scrap’’)
                                                wastewater discharges from dental                                                                              on the market today in comparison to
                                                                                                        amalgam to POTWs and a prohibition
                                                offices to surface waters at this time.                                                                        traditional amalgam separators. Lastly,
                                                                                                        on the use of line cleaners that are
                                                  The final rule applies to wastewater                                                                         EPA estimates that the capital costs of
                                                                                                        oxidizing or acidic and that have a pH
                                                discharges to POTWs from offices where                                                                         the polishing system, as a stand-alone
                                                                                                        higher than 8 or lower than 6. EPA finds
                                                the practice of dentistry is performed,                                                                        system, are approximately four times
                                                                                                        that the technology basis is ‘‘available’’
                                                including large institutions such as                                                                           that of the amalgam separator even
                                                                                                        as that term is used in the CWA because
                                                dental schools and clinics; permanent or                                                                       though the costs for chemical use,
                                                                                                        it is readily available and feasible for all
                                                temporary offices, home offices, and                                                                           regenerating the resin, filter
                                                                                                        dental offices subject to this rule. Data
                                                facilities; and including dental offices                                                                       replacement, and other operational costs
                                                                                                        in the record demonstrate that the
                                                owned and operated by federal, state, or                                                                       were not reported (DCN DA00122).
                                                                                                        technology basis is extremely effective
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                                                local governments including military                                                                           These factors led EPA to find that
                                                                                                        in reducing pollutant discharges in
                                                  5 Many alternatives use enzymatic or other
                                                                                                        dental wastewater to POTWs as the                      polishing is not ‘‘available’’ as that term
                                                processes that do not lead to the dissolution of        median efficacy of ISO compliant                       is used in the CWA.
                                                mercury when used to clean chairside traps, and
                                                vacuum lines. See DCN DA00215.                            7 ISO 11143 Standard as incorporated and               8 This estimate is based on the average annualized
                                                  6 The final rule does not apply to dental             updated by ANSI Standard 108 (ANSI 108/ISO             cost for dental offices that do not currently have an
                                                discharges to septic systems.                           11143 Standard).                                       amalgam separator. See DCN DA00458.



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                                                27162            Federal Register / Vol. 82, No. 113 / Wednesday, June 14, 2017 / Rules and Regulations

                                                   EPA also did not establish PSES based                Agency rejected other technology bases                 will need to replace the amalgam
                                                on wastewater retention tanks. Capital                  for PSES.                                              separator with one that meets the
                                                costs for wastewater retention tanks are                                                                       requirements of the final rule. EPA does
                                                                                                        D. Requirements
                                                approximately twice that of the                                                                                not want to penalize existing dental
                                                amalgam separator (DCN DA00461).                        1. Performance Standard                                offices or institutional dental offices that
                                                EPA does not have information on the                       EPA finalized the performance                       have already installed amalgam
                                                costs incurred by the dental office to                  standards based on the same technology                 separators voluntarily or to comply with
                                                send the collected wastewater off-site to               identified in the proposed rule,                       state or local requirements. EPA
                                                a privately owned treatment facility                    amalgam separators.                                    recognizes that these offices may
                                                (may also be referred to as a centralized                  EPA proposed a standard that would                  currently have amalgam separators in
                                                waste treatment facility or CWT).                       require dental dischargers to remove a                 place that do not meet the ANSI ADA
                                                Furthermore, wastewater retention tanks                 specified percentage of total mercury                  specification or the criteria of the ISO
                                                require space, and EPA determined that                  from amalgam process wastewater and                    11143 2008 standard. EPA did not want
                                                the typical dental office may not have                  to follow the BMPs. Recognizing the                    to establish a rule that would require
                                                adequate space to install the tanks. In                 impracticality of collecting and                       dental offices with existing separators
                                                addition, EPA is only aware of one                      analyzing wastewater samples to                        that still have a remaining useful life to
                                                vendor currently offering this                          demonstrate compliance with the                        be retrofitted with new separators, both
                                                technology and service combination                      standard for this industry, EPA included               because of the additional costs incurred
                                                (vendor transfers the collected                         a provision by which dental offices                    by dental offices that adopted
                                                wastewater to a privately owned                                                                                technology to reduce mercury
                                                                                                        could demonstrate compliance by
                                                treatment facility), and the vendor’s                                                                          discharges ahead of EPA’s requirements
                                                                                                        certifying they were following the
                                                service area is limited to a few states.                                                                       and because of the additional solid
                                                                                                        required BMPs and using an amalgam
                                                Therefore, EPA did not find this                                                                               waste that would be generated by
                                                                                                        separator that achieved the specified
                                                technology to be available to the                                                                              disposal of the existing separators.
                                                                                                        percentage when tested for conformance                   In addition to installing one or more
                                                industry as a whole.                                    with the ISO standard. EPA received                    amalgam separators compliant with the
                                                C. New Source (PSNS) Option Selection                   comments regarding the proposed                        ISO 11143 standard (or its equivalent)
                                                                                                        requirement. Commenters questioned                     and implementing the required BMPs,
                                                   After considering all of the relevant                the specified percent reduction, and
                                                factors and technology options                                                                                 the pretreatment standards specify
                                                                                                        raised concerns that the proposed                      certain operating and maintenance
                                                discussed in this preamble and in the                   standard could require dental offices to
                                                TEDD, as well as public comments, EPA                                                                          requirements for the amalgam separator.
                                                                                                        measure the percent removal being                      For example, the final rule requires a
                                                decided to establish PSNS based on the                  achieved by their amalgam separator,                   documented amalgam separator
                                                same technologies identified above as                   which was not the Agency’s intent. In                  inspection to ensure the separator is
                                                PSES. As previously noted, under                        response to these comments, the final                  performing properly. As explained in
                                                section 307(c) of the CWA, new sources                  rule specifies a performance standard—                 Section V, malfunctioning separators or
                                                of pollutants into POTWs must comply                    BMPs and the use of an amalgam                         separators that have reached their
                                                with standards that reflect the greatest                separator(s) compliant with the ISO                    capacity are ineffective. Therefore, in
                                                degree of effluent reduction achievable                 standard rather than specifying a                      order to ensure that mercury is not
                                                through application of the best available               numerical reduction requirement. The                   discharged from the facility, it is
                                                demonstrated control technologies.                      final rule also includes a provision such              important that dentists know the
                                                Congress envisioned that new treatment                  that the performance standard can be                   operational status of their amalgam
                                                systems could meet tighter controls than                met with the use of an amalgam                         separator (see 40 CFR 441.40(c)). As
                                                existing sources because of the                         removing technology other than an                      such, the final rule requires the
                                                opportunity to incorporate the most                     amalgam separator (equivalent device).                 separator to be inspected per the
                                                efficient processes and treatment                       EPA included this provision to                         manufacturer’s instructions. In addition,
                                                systems into the facility design. The                   incorporate future technologies that                   as explained in Section V, the ISO
                                                technologies used to control pollutants                 achieve comparable removals of                         standard specifies non-sedimentation
                                                at existing offices, amalgam separators                 pollutants from dental discharges as                   separators must have a visual or
                                                and BMPs, are fully available to new                    amalgam separators but that may not fall               auditory warning indicator when the
                                                offices. In addition, data from EPA’s                   under the amalgam separator                            separator is nearly full or operating in
                                                record show that the incremental cost of                classification. Because the rule does not              by-pass mode. While not required for
                                                an amalgam separator compared to the                    include a numerical limit, the                         sedimentation amalgam separators,
                                                cost of opening a new dental office is                  performance standards also specify                     some manufacturers of sedimentation
                                                negligible; therefore, EPA determined                   certain operation and maintenance                      amalgam separators include visual or
                                                that the final PSNS present no barrier to               requirements for the amalgam separator                 auditory warning indicators. Because
                                                entry (see Section IX below). Similarly,                or comparable device to ensure they are                warning indicators make it easy to
                                                because EPA projects that the                           operated optimally.                                    detect when the separator is not
                                                incremental non-water quality                              The final rule allows dental offices to             operating optimally, EPA encourages
                                                environmental impacts associated with                   continue to operate existing amalgam                   dental offices to select an amalgam
                                                controls for new sources would not                      separators for their lifetime or ten years             separator with a warning indicator
                                                exceed those for existing sources, EPA                  (whichever comes first), as long as the                when installing a new amalgam
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                                                concludes the non-water quality                         dental discharger complies with the                    separator.
                                                environmental impacts are acceptable.                   other rule requirements including the                    EPA is aware that some amalgam
                                                Therefore, this final rule establishes                  specified BMPs, operation and                          separator vendors (in addition to
                                                PSNS that are the same as those for                     maintenance, reporting, and                            providing the needed equipment) or
                                                PSES.                                                   recordkeeping requirements. Once the                   service providers offer service contracts
                                                   EPA rejected other technologies as the               separator needs to be replaced or the                  to maintain the system. These vendors
                                                basis for PSNS for the same reasons the                 ten-year period has ended, dental offices              also typically provide waste


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                                                                 Federal Register / Vol. 82, No. 113 / Wednesday, June 14, 2017 / Rules and Regulations                                           27163

                                                management services for the collected                   office that stocks amalgam capsules                    circumstances. For dental offices that
                                                solids. Some vendors also provide the                   clearly intends to place amalgam, and                  place or remove dental amalgam, the
                                                necessary documentation and reports                     does not represent the type of limited                 One-Time Compliance Report must
                                                required by existing state and local                    circumstance this provision is intended                include information on the dental
                                                programs. EPA encourages but does not                   to address. Commenters largely                         facility and its operations and a
                                                require dental offices to consider such                 supported this approach, and most                      certification that the dental discharger
                                                services, as they may aid compliance                    commenters suggested EPA define                        meets the requirements of the applicable
                                                with the rule.                                          limited emergency circumstances. The                   performance standard. Dentists that
                                                                                                        frequency recommended by these                         utilize a third party to maintain their
                                                2. Applicability to Dental Offices That
                                                                                                        commenters ranged from once a quarter                  separator must report that information
                                                Do Not Place or Remove Dental
                                                                                                        to 96 times a year (DCN DA00467).                      in their One-Time Compliance Report.
                                                Amalgam                                                    EPA is including the limited                        Dentists that do not utilize a third party
                                                   In the final rule, dental dischargers                circumstances provision in the final rule              to maintain the amalgam separator(s)
                                                that do not place dental amalgam, and                   to allow a dental office that does not                 must provide a description of the
                                                do not remove dental amalgam except in                  reasonably expect to place or remove                   practices employed by the office to
                                                limited emergency or unplanned,                         dental amalgam to provide immediate                    ensure proper operation and
                                                unanticipated circumstances are exempt                  treatment, such as where unplanned,                    maintenance. EPA suggests dental
                                                from any further requirements as long as                unanticipated removal of the amalgam                   offices consider use of signs displayed
                                                they certify such in their One-time                     is necessary at that facility at that time,            prominently in the office or electronic
                                                Compliance Report to their Control                      in the professional judgment of the                    calendar alerts to remind staff of dates
                                                Authority. In this way, if, over time, the              dentist. EPA’s intent is to exclude                    to perform and document monthly
                                                use of dental amalgam is phased out as                  dental offices from the rule’s                         inspections, cartridge replacement, etc.
                                                a restorative material, the requirements                requirements, other than a one-time                       If a dental practice changes ownership
                                                of this rule will no longer apply. By                   report, for unplanned removals. In                     (which is a change in the responsible
                                                limited circumstances, EPA means,                       EPA’s view, dental offices that remove                 party, as defined in 40 CFR 403.12(l)),
                                                dental offices that remove amalgam at a                 amalgam at a frequency more often than                 the new owner must submit a One-Time
                                                frequency less than five percent of its                 five percent of its procedures are not                 Compliance Report that contains the
                                                procedures. As described below, based                   likely engaging in only limited,                       required information.
                                                on the record, on average, this percent                 unplanned removals. EPA estimates that                    The One-Time Compliance Report
                                                approximates to 9 removals per office                   on average, a single chair dental office               must be signed by (1) a responsible
                                                per year (DCN DA00467).                                 would remove amalgam 183 times per                     corporate officer if the dental office is a
                                                   Dental amalgam traditionally has been                year (DCN DA00467). An amalgam                         corporation; (2) a general partner or
                                                used as a restorative material for cavities             removal rate that represents less than                 proprietor if the dental office is a
                                                because the malleability of newly mixed                 five percent of this frequency consists of             partnership or sole proprietorship; or (3)
                                                amalgam makes it easy to place into                     approximately nine removals per year,                  a duly authorized representative of the
                                                cavities and because of its durability                  on average, respectively. However,                     responsible corporate officer, or general
                                                over time. While still used in many                     because EPA does not have, nor did                     partner or proprietor. This does not
                                                dental offices in the U.S., some dental                 commenters provide, data on the                        preclude a third party from submitting
                                                offices have elected not to use dental                  frequency of such unplanned and                        the report on behalf of a dental office as
                                                amalgam and instead use only non-                       unanticipated instances nationwide, the                long as the submission also includes a
                                                mercury based filling materials, such as                final rule does not include a specific                 proper signature as described above.
                                                composite resins and glass ionomer                      definition of limited circumstances.                      The final rule does not require
                                                cements (DCN DA00495). As explained                     Rather, EPA expects a dental office to                 electronic reporting nor does it prevent
                                                in Section IV, removed restorations are                 carefully consider its operation in light              electronic reporting. EPA received
                                                the largest contributor of mercury in                   of the information provided above and                  several comments requesting that EPA
                                                dental discharges. Some dental offices                  only certify accordingly to their Control              develop an electronic compliance
                                                have also elected not to remove                         Authority if it meets the situation EPA                reporting system as a part of this final
                                                amalgam restorations.                                   described.                                             rule. These commenters generally
                                                   EPA recognizes some dental offices                                                                          advocated for electronic reporting due
                                                only remove dental amalgam extremely                    3. Dental Discharger Reporting and On-                 to the size of the industry and the
                                                infrequently, where there is an                         Site Paperwork Compliance                              proposed annual reporting requirement.
                                                unplanned, unanticipated procedure. At                  Requirements                                           During development of the final rule,
                                                the same time, for accepting new                           Dental dischargers subject to this rule             EPA considered several variations of
                                                patients during the normal course of                    must comply with a one-time reporting                  requirements for dental dischargers to
                                                business, EPA would expect offices to                   requirement specified in the final rule                report electronically (which would have
                                                inquire as to whether the patient has                   in lieu of the otherwise applicable                    necessitated an electronic system). Most
                                                mercury fillings and not accept patients                reporting requirements in 40 CFR part                  commonly, electronic systems are
                                                that have such fillings unless they                     403. Submission of reports as specified                preferable when reports must be
                                                install a separator or equivalent                       in this rule satisfies the reporting                   submitted on a periodic basis. EPA
                                                treatment in accordance with this rule.                 requirements in 40 CFR parts 403 and                   ultimately decided not to specify
                                                EPA proposed that dental offices that                   441. For dental offices that do not place              electronic reporting in the final rule
                                                certify that they do not place or remove                or remove dental amalgam except in                     after it determined the final rule would
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                                                amalgam except in limited emergency                     limited circumstances, dental offices                  only require a one-time compliance
                                                circumstances would be exempt from                      must submit a One-Time Compliance                      report from each affected dental
                                                any further requirements of the rule.                   Report that includes information on the                discharger.
                                                EPA is clarifying in the final rule that                facility and a certification statement that               Still, EPA recognizes that some
                                                the limited circumstances provision                     the dental discharger does not place                   Control Authorities may prefer to
                                                applies to the removal, but not to the                  dental amalgam and does not remove                     receive the one-time reports
                                                placement of dental amalgam. A dental                   amalgam except in limited                              electronically or to provide affected


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                                                27164            Federal Register / Vol. 82, No. 113 / Wednesday, June 14, 2017 / Rules and Regulations

                                                dental dischargers with the option to                   raised concerns about additional                        on Discharge Monitoring Reports from
                                                report electronically. EPA also                         reporting requirements for the Control                  POTWs, Annual Biosolids Reports from
                                                recognizes that electronic submittal of                 Authorities typically associated with                   POTWs, emissions data from sludge
                                                required reports could increase the                     CIUs, such as identifying CIUs in their                 incinerators, and supplemental data
                                                usefulness of the reports, is in keeping                annual pretreatment report to the                       submitted to EPA under the Toxic
                                                with current trends in compliance                       Approval Authority.                                     Releases Inventory program. EPA may
                                                reporting, and could result in less                        In response, EPA did not revise the                  utilize an approach to compliance
                                                burden on the regulated community and                   General Pretreatment Standards to                       inspections that focuses on a
                                                the Control Authorities. EPA may                        create the proposed DIU category and                    statistically valid sample of the
                                                develop and make available, via its E-                  associated requirements. Rather, this                   regulated community. EPA may then
                                                Enterprise portal, an electronic                        rule establishes for the purposes of part               use the inspection findings from such
                                                reporting system that Control                           441, that dental dischargers are not SIUs               an approach to identify common areas
                                                Authorities could use to facilitate the                 or CIUs as defined in 40 CFR part 403                   of noncompliance, which would inform
                                                receipt of reports from dental                          unless designated as such by the Control                decisions about needed outreach,
                                                dischargers, if they choose to do so. At                Authority. This regulatory structure                    compliance assistance, and training
                                                some future date, EPA could decide to                   achieves the same goal as the proposed                  materials. EPA will work with state and
                                                revise this final rule to require                       revisions to the General Pretreatment                   local Control Authorities, the ADA and
                                                electronic reporting. If it chose to do so,             Standards—simplification of oversight                   other partners to tailor oversight and
                                                EPA would first propose the revisions                   requirements—without creating a need                    outreach to the issues where such
                                                and provide an opportunity for public                   for updates to state and local laws. By                 oversight and outreach is most likely to
                                                review and comment.                                     establishing that dental dischargers are                achieve compliance across the dental
                                                  Finally, the final rule requires dental               not SIUs or CIUs in the final rule, EPA                 sector.
                                                offices to document certain operation                   eliminates the application of specific
                                                and maintenance requirements and                                                                                5. Interaction With Existing State and
                                                                                                        oversight and reporting requirements in
                                                maintain all records of compliance, as                                                                          Local Mandatory Dental Amalgam
                                                                                                        40 CFR part 403 such as permitting and
                                                described in the regulation, and to make                                                                        Reduction Programs
                                                                                                        annual inspections of dental dischargers
                                                them available for inspection.                          for SIUs and CIUs unless the Control                       The final rule applies to both dental
                                                                                                        Authority chooses to apply these                        offices that are subject to existing
                                                4. Control Authority Oversight/                                                                                 mandatory state or local dental amalgam
                                                Reporting                                               requirements to dental offices. This
                                                                                                        means that Control Authorities have                     reduction programs and those that are
                                                   EPA proposed to amend selected parts                 discretion under the final rule to                      not. Some proposal commenters, many
                                                of the General Pretreatment Regulations                 determine the appropriate manner of                     of whom are in states and localities with
                                                (40 CFR part 403) in order to simplify                  oversight, compliance assistance, and                   existing programs, questioned the
                                                oversight requirements for the                          enforcement.9 Further, the final rule                   application of this rule to dentists
                                                approximately 117,000 dental offices                    reduced reporting for dental offices (and               already subject to state and local
                                                subject to the proposed rule.                           associated oversight requirements by                    programs noting the duplicative
                                                Specifically, EPA proposed to amend 40                  Control Authorities) in comparison to                   requirements. While EPA found that
                                                CFR part 403 to create a new                            reporting requirements for other                        many of the existing programs
                                                classification of categorical industrial                industries subject to categorical                       contained at least one attribute of this
                                                users specifically tailored to                          pretreatment standards, as it requires                  final rule (e.g. separators, reporting,
                                                pretreatment standards for dental                       only a One-Time Compliance Report be                    BMPs, operation and maintenance), the
                                                offices, dental industrial user (DIU).                  submitted to the Control Authority. The                 majority did not contain all of the
                                                EPA proposed that as long as a dental                   One-Time Compliance Report                              attributes. Generally, the additional
                                                office complied with the requirements                   requirements specific to dental                         requirements (and associated costs) of
                                                for DIUs, that it would not be                          dischargers are included in this rule                   this final rule are incremental over
                                                considered an SIU. Among other things,                  rather than in the General Pretreatment                 existing mandatory state or local dental
                                                this would have reduced the General                     regulations so that they may be                         amalgam reduction requirements. For
                                                Pretreatment Regulation oversight                       implemented directly. In summary, for                   example, a dentist located in a state or
                                                requirements for Control Authorities,                   this final rule, the Control Authorities                locality that does not require one or
                                                such as the requirement to issue a                      must receive the One-Time Compliance                    both of the BMPs specified in this rule
                                                control mechanism and annual                            Reports from dental dischargers and                     must implement both BMPs. While the
                                                inspection and sampling.                                retain that notification according to the               requirements of this rule are
                                                   EPA received numerous comments                                                                               incremental to existing state and local
                                                                                                        standard records retention protocol
                                                related to the proposed change,                                                                                 regulatory requirements, EPA finds they
                                                                                                        contained in § 403.12(o).
                                                particularly from the Control                              Where EPA is the Control Authority,                  are necessary to achieve the intended
                                                Authorities. These commenters largely                   EPA expects to explore compliance                       environmental objectives of the rule.
                                                supported the reduced oversight                         monitoring approaches that support                      Applying categorical pretreatment
                                                requirements in the proposal, but                       sector-wide compliance evaluations, to                  standards to pollutant discharges from
                                                encouraged EPA to reduce them further                   the extent practicable. States and                      dental offices irrespective of existing
                                                so that dental offices would never be                   POTWs that are the Control Authority                    discharge requirements is consistent
                                                SIUs, primarily due to concerns over the                may elect to use the same approach but                  with the general approach to
                                                associated burden given the large                       are not required to do so. One approach                 pretreatment standards under the CWA
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                                                number of dental offices potentially                    may be periodic review and evaluation                   in that it establishes uniform
                                                subject to the rule. In addition, Control               of nationwide data on releases of dental                requirements that form the floor of
                                                Authorities raised concerns that they                   amalgam metals (e.g., mercury), relying                 performance for all dischargers in a
                                                would have to update state and local                                                                            regulated category.
                                                laws to take advantage of the proposed                    9 Nothing stated in this section shall be construed      In addition, requiring all dental
                                                changes to part 403 that would reduce                   so as to limit EPA’s inspection and enforcement         offices to meet the same requirements,
                                                the oversight requirements. They also                   authority.                                              regardless of the applicability of other


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                                                                 Federal Register / Vol. 82, No. 113 / Wednesday, June 14, 2017 / Rules and Regulations                                        27165

                                                state or local requirements, avoids                     standards if it is fundamentally different             the Centralized Waste Treatment (CWT)
                                                substantial implementation challenges                   with respect to factors considered in                  Industry promulgated in December
                                                and potential confusion associated with                 establishing the standards applicable to               2000, EPA developed and documented
                                                alternative approaches. EPA considered                  the individual discharger. Such a                      a methodology, including data editing
                                                several approaches for accommodating                    modification is known as a                             criteria, to calculate POTW percent
                                                dentists in states and localities with                  ‘‘fundamentally different factors’’ (FDF)              removals for various toxic pollutants
                                                existing and local requirements. For                    variance. See 40 CFR 403.13 and the                    from the data collected in the study.
                                                example, EPA considered exempting                       preamble to the proposed rule (79 FR                   EPA provided the opportunity for
                                                dentists subject to equivalent state and                63278–63279, October 22, 2014). FDF                    public comment on the percent removal
                                                local requirements from the scope of                    variances traditionally have been                      methodology and the resulting percent
                                                this rule. EPA rejected this approach, in               available to industrial users subject to               removals in the CWT proposal. EPA
                                                part, due to the complexities and                       categorical pretreatment standards.                    similarly used and presented this
                                                potential confusion associated with                     Whether or not a dental discharger is an               methodology and data in subsequent
                                                evaluating and communicating the                        SIU or CIU, it is subject to categorical               ELG proposals and final rules. Using its
                                                equivalency of state and local                          pretreatment standards and therefore                   long-standing approach, for this final
                                                requirements to this rule, particularly as              eligible to apply for an FDF variance.                 rule, EPA determined the median
                                                they may change over time.                                                                                     percent removal by POTWs achieving
                                                   The rule establishes clear                           E. Pollutants of Concern and Pass
                                                                                                                                                               secondary treatment is 90.2 percent for
                                                requirements for all parties and                        Through Analysis
                                                                                                                                                               total mercury, and 42.6 percent to 88.3
                                                compliance with the final rule is simple                   CWA section 301(b) directs EPA to                   percent for the other pollutants of
                                                and straightforward for dental offices                  eliminate the discharge of all pollutants              concern.
                                                and the regulating authorities. It                      where it is technologically available and                 As described above, the 50 POTW
                                                requires dental offices to install and                  economically achievable (after a                       Study measured pollutant reductions on
                                                operate a separator, to implement two                   consideration of the factors specified in              the basis of total metals. Total metals
                                                BMPs, and to submit a One-time                          section 304(b) of the Act). The first step             include particulate (suspended) and
                                                Compliance Report to the Control                        in such an analysis is typically to                    dissolved (soluble) forms of the metal.
                                                Authority. Thereafter, the dental office                identify Pollutants of Concern (POCs)—                 As discussed above, while mercury is
                                                will be required to conduct ongoing                     or the pollutants potentially regulated in             present in dental amalgam in both the
                                                operation and maintenance and                           the effluent guideline. For this rule, EPA             particulate and dissolved form, the vast
                                                maintain associated records. These                      identifies the primary metals in dental                majority (>99.6 percent) is particulate.
                                                activities can be facilitated by third                  amalgam as pollutants of concern:                      While EPA does not have information
                                                parties such as dental office suppliers                 Mercury, silver, tin, copper, and zinc.                on the distribution of the other metals,
                                                and amalgam separator manufacturers.                       Generally, in determining whether                   EPA reasonably assumes the same
                                                EPA does not expect the federal                         pollutants pass through a POTW when                    distribution for the other metals.
                                                requirements to conflict with existing                  considering the establishment of                       Because secondary treatment
                                                state or local mandatory amalgam                        categorical pretreatment standards, EPA                technologies are not designed to remove
                                                reduction requirements. Rather, EPA                     compares the median percentage of the                  dissolved metals, EPA assumes
                                                concludes this final rule imposes only                  pollutant removed by POTWs achieving                   dissolved metals are not removed by
                                                incremental additional requirements                     secondary treatment with the median                    POTWs and that the percent reductions
                                                (e.g., one-time compliance report) to                   percentage of the pollutant removed by                 for POTWs represent particulate
                                                their Control Authority, if any, on                     facilities meeting BAT effluent                        reductions.
                                                dental offices already subject to state or              limitations. EPA deems a pollutant to                     To determine the median percent
                                                local amalgam reduction requirements.                   pass through a POTW when the                           removal of the pollutants of concern by
                                                For Control Authorities, because EPA                    percentage removed by POTWs is less                    amalgam separators, EPA collected
                                                significantly reduced the oversight                     than the percentage removed by direct                  information on the efficacy of existing
                                                requirements associated with this rule,                 dischargers complying with BPT/BAT                     separators. EPA excluded those
                                                the incremental costs and burden to                     effluent limitations. In this manner, EPA              separators that did not meet the 2008
                                                apply the final rule’s requirements to                  can ensure that the combined treatment                 ISO standards. At proposal, EPA
                                                dental facilities subject to some existing              at indirect discharging facilities and                 determined the median percent removal
                                                mandatory dental amalgam reduction                      POTWs is at least equivalent to that                   of total mercury to be 99.0 percent,
                                                requirements are minimal. The only                      obtained through treatment by a direct                 which is the reported removal when
                                                incremental requirement associated                      discharger, while also considering the                 testing each of the amalgam separators
                                                with this rule is for the Control                       treatment capability of the POTW. In the               marketed in the U.S. as conforming to
                                                Authority to receive, review, and retain                case of this final rulemaking, where EPA               the ISO standard (DCN DA00233).
                                                a One-time Compliance Report from                       is only developing pretreatment                        Commenters noted that existing data on
                                                dentists subject to this rule.                          standards, EPA compares the POTW                       the effectiveness of separators is
                                                                                                        removals with removals achieved by                     measured as a percent reduction in
                                                6. Variances                                            indirect dischargers using the                         mass, reflecting the dental amalgam
                                                   The provision of this rule establishing              technology that otherwise satisfies the                particulates (rather than total mercury)
                                                that dental dischargers are not SIUs or                 BAT factors.                                           collected by the device. EPA agrees the
                                                CIUs unless designated as such by the                      Historically, EPA’s primary source of               ISO standard evaluates particulates from
                                                Control Authority does not change the                   POTW removal data is its 1982 ‘‘Fate of                dental amalgam rather than total
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                                                otherwise applicable variances and                      Priority Pollutants in Publicly Owned                  mercury, and has adjusted its
                                                modifications provided by the statute.                  Treatment Works’’ (also known as the                   terminology accordingly. Based on
                                                For example, EPA can develop                            50 POTW Study). This well documented                   updated information in the record, EPA
                                                pretreatment standards different from                   study presents data on the performance                 determined the median percent removal
                                                the otherwise applicable requirements                   of 50 POTWs achieving secondary                        of particulates by amalgam separators
                                                for an individual existing discharger                   treatment in removing toxic pollutants.                that meet the 2008 ISO standards is 99.3
                                                subject to categorical pretreatment                     As part of the development of ELGs for                 percent. As such, because the median


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                                                27166            Federal Register / Vol. 82, No. 113 / Wednesday, June 14, 2017 / Rules and Regulations

                                                percent removal of amalgam separators                   that even if EPA were to accept these                  including full consideration of
                                                exceeds the median percent removal of                   data and analyses as presented by                      comments, EPA appropriately
                                                well-operated POTWs employing                           NACWA without further review, it                       concludes that the median percent
                                                secondary treatment for mercury and                     would confirm EPA’s conclusion that                    removal of amalgam separators is higher
                                                the other POCs, EPA determines that                     pass through of POCs occurs because                    than the median percent removal of
                                                mercury and the other POCs pass                         this percentage is less than the median                POTWs for mercury and the other
                                                through.                                                efficiency of 2008 ISO compliant                       pollutants of concern. As such, EPA
                                                   In addition to comments relating to                  amalgam separators of 99.3 percent.                    concludes mercury and the other POCs
                                                dissolved mercury, EPA received other                      EPA, however, gave full consideration               pass through.
                                                comments and data pertaining to the                     to the NACWA survey and subjected the
                                                                                                        mercury influent and effluent data from                VII. Technology Costs
                                                proposed median percent removal of
                                                                                                        the 41 POTWs from that survey to                          This section summarizes EPA’s
                                                ISO compliant amalgam separators.
                                                                                                        similar review and data editing criteria               approach for estimating incremental
                                                Some commenters supported the
                                                                                                        as influent and effluent data collected                compliance costs to implement changes
                                                percentage identified in the proposal,                                                                         associated with this rule, while the
                                                                                                        for the 50 POTW Study. In this way,
                                                noting that certain states require the                                                                         TEDD provides detailed information on
                                                                                                        EPA attempted to give the NACWA data
                                                same level of performance, or                                                                                  the methodology. The costing
                                                                                                        full and equal consideration as the
                                                identifying separators documented as                                                                           methodology for the final rule is the
                                                                                                        historical data from the 50 POTW
                                                achieving or exceeding that removal                                                                            same as that described in the proposal
                                                                                                        Study. EPA created a database of the
                                                efficiency. Other commenters                                                                                   (79 FR 63269; October 22, 2014);
                                                                                                        raw data in order to conduct its
                                                questioned EPA’s use of the data                                                                               however, EPA updated some of the
                                                                                                        analysis. (DCN DA00463). When EPA
                                                collected when laboratories certify                                                                            specific data elements. EPA estimated
                                                                                                        calculated the median percent removal
                                                amalgam separators to meet the ISO                                                                             compliance costs using data collected
                                                                                                        of the non-edited raw data as submitted
                                                standard. More specifically, they                                                                              through EPA’s Health Services Industry
                                                                                                        by NACWA, the median plant
                                                asserted that the 2008 ISO standard                     performance was 93.8 percent, with a                   Detailed Study (August 2008) [EPA–
                                                requires the removal efficiency of the                  range of 57.2 percent to 99.1 percent. In              821–R–08–014], a review of the
                                                amalgam separator to be at least 95                     reviewing the data used in that                        literature, information supplied by
                                                percent on a mass fraction basis and as                 calculation, EPA identified numerous                   vendors, and data submitted with
                                                such, the ISO standard is not a validated               data points that would not satisfy the                 comments on the proposed rule. In
                                                test for measuring higher efficiencies.                 data editing criteria applied in the 50                estimating the total cost of the
                                                These commenters offered no data to                     POTW Study, including data points                      regulatory options, EPA estimated costs
                                                demonstrate that the reported removals                  representing combined data rather than                 for the following components: Capital
                                                in excess of 95 percent were inaccurate,                raw data, order of magnitude outlier                   costs and other one-time costs;
                                                nor did commenters provide other                        concentrations, and incorrectly reported               installation costs; annual operation and
                                                efficiency data for amalgam separators.                 units of measure. Other discrepancies                  maintenance costs; and recordkeeping
                                                As it represents the best data available                between data and analyses from the 50                  and reporting costs. EPA incorporated
                                                for the final rule, EPA appropriately                   POTW Study and NACWA survey                            information received in comments
                                                used the data as reported to estimate the               include upward bias of using data from                 pertaining to specific elements of the
                                                efficacy of amalgam separators for these                voluntary respondents, representing                    cost analysis, resulting in an increase in
                                                purposes. EPA notes that even if                        non-detect influent concentrations as                  the initial installation cost and a minor
                                                commenters correctly characterized the                  zero,11 inclusion of several POTWs                     increase in the average costs of dental
                                                minimum percent removal efficiency of                   using BNR (biological nutrient removal)                amalgam separators that meet the 2008
                                                amalgam separators meeting the 2008                     and other advanced treatment expected                  ISO standard. In addition, EPA adjusted
                                                ISO standard as 95 percent, this is a                   to perform better than secondary                       the reporting and recordkeeping costs to
                                                higher removal rate than the median                     treatment, overrepresentation of areas                 reflect the final rule requirements.
                                                percent removal by POTWs for all POCs.                  with existing dental amalgam reduction                    The cost estimates reflect the
                                                Therefore, while EPA based its analysis                 programs, and underrepresentation of                   incremental costs attributed only to this
                                                in the final rule on the percent removals               certain geographical areas. Sensitivity                final rule. For example, offices required
                                                as reported, under either case, EPA                     analyses around these data are found in                by a state or local program to have an
                                                determines that mercury and the other                   the record. (DCN DA00464).                             amalgam separator compliant with the
                                                POCs pass through.                                         Consequently, for all of the reasons                2008 ISO 11143 standard will not incur
                                                   Other commenters stated the 50                       identified above, for this final rule, EPA             costs to retrofit a separator as a result of
                                                POTW Study data were old, and that                      finds that data from the 50 POTW Study                 this rule. Others may certify that they do
                                                current POTW removals are higher than                   continues to represent the best data                   not place or remove amalgam. Such
                                                90 percent. Some provided case studies,                 available to determine the percent                     offices may still have costs under this
                                                many of which reflected POTWs with                      removed nationwide by well operated                    final rule such as those associated with
                                                advanced treatment capabilities rather                  POTWs employing secondary treatment.                   the one-time reporting requirement to
                                                than secondary treatment. In particular,                Based on the information in its record                 certify that they do not place or remove
                                                the National Association of Clean Water                                                                        amalgam. EPA’s cost methodology
                                                Agencies (NACWA) submitted data from                    percent removals rather than average percent           assumes dental offices would use the
                                                                                                        removals.                                              required BMPs in combination with
                                                a nationwide voluntary survey of its                      11 EPA generally handles non-detect values in the
                                                members regarding mercury reductions                                                                           2008 ISO 11143 amalgam separators to
                                                                                                        reported data by replacing them with a value of
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                                                at POTWs. Based on its analysis of the                  one-half of the detection level for the observation    comply with the rule. All final cost
                                                data collected in this survey, NACWA                    that yielded the non-detect. This methodology is       estimates are expressed in terms of 2016
                                                calculated a three-year average removal                 standard procedure for the ELG program as well as      dollars.
                                                                                                        Clean Water Act assessment and permitting, Safe           EPA used a model office approach to
                                                efficiency of 94 percent.10 EPA notes                   Drinking Water Act monitoring, and Resource
                                                                                                        Conservation and Recovery Act and Superfund
                                                                                                                                                               calculate costs of this rule. Under this
                                                  10 EPA notes that in conducting its pass through      programs; and this approach is consistent with         approach, EPA developed a series of
                                                analysis, EPA calculates and compares median            previous ELGs.                                         model dental offices that exhibited the


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                                                                        Federal Register / Vol. 82, No. 113 / Wednesday, June 14, 2017 / Rules and Regulations                                                               27167

                                                typical characteristics of the regulated                                  the 15 chairs model specifically to                     repairs and One-Time Compliance
                                                dental offices, and then calculated costs                                 represent large institutional offices. This             Reports for new offices, which are
                                                for each type of model office. EPA then                                   is discussed separately below in Section                included in the total of recordkeeping
                                                determined how many of each model                                         VII.B. EPA developed two sets of costs                  costs. Annual costs also include a cost
                                                office accurately represented the full                                    for each model: One for offices that do                 offset, reflecting a cost savings as a
                                                universe of affected offices. While this                                  not use an amalgam separator and one                    result of changes that occur in the
                                                part of the methodology remains                                           for offices that do use an amalgam                      dental office due to the final rule
                                                unchanged from the proposal, EPA                                          separator.                                              requirements. More specifically, EPA
                                                updated the number of offices in each                                        For those offices that currently do not              received data in comments that an
                                                model to reflect current existing state                                   use an amalgam separator, EPA                           amalgam separator would protect the
                                                and local programs and, in the case of                                    estimated one-time and annual costs.                    vacuum system filter and impeller blade
                                                very large offices, to reflect new data                                   One-time costs include purchase of the                  from small particles, resulting in less
                                                obtained in public comments on the                                        separator and installation, and                         frequent replacement and servicing of
                                                number of clinics and schools subject to                                  preparation of the One-time Compliance                  these elements when an amalgam
                                                this rule.                                                                Report. Annual costs, for those offices                 separator has been installed. In the final
                                                                                                                          that do use an amalgam separator,                       rule cost analysis, EPA accordingly
                                                A. Costs for Model Dental Offices
                                                                                                                          include visual inspection, replacement                  reduced the overall operation and
                                                  EPA used the model approach to                                          of the amalgam-retaining unit (e.g.,                    maintenance costs for those dental
                                                estimate costs for offices that place or                                  cartridge or filter), separator                         offices that do not already have an
                                                remove amalgam for this final rule. EPA                                   maintenance and repair, recycling                       amalgam separator. This cost offset
                                                developed compliance costs for seven                                      (preparation and services), and                         reflects the reduced cost to dental
                                                models, where each model is based on                                      recordkeeping. Recordkeeping costs                      offices of servicing the vacuum system
                                                the number of chairs in an office. The                                    include documentation of inspection,                    filter and impeller blade. A summary of
                                                ranges for each model are as follows: 1                                   separator maintenance and repair, and                   costs for dental offices that do not
                                                to 2 chairs, 3 chairs, 4 chairs, 5 chairs,                                recycling (preparation and services).                   currently use amalgam separators may
                                                6 chairs, 7–14 chairs (average of 10                                      EPA also estimated periodic                             be found in Tables VII–1 and VII–2, see
                                                chairs), and 15 chairs. EPA developed                                     recordkeeping costs associated with                     the TEDD for more details.

                                                           TABLE VII–1—SUMMARY OF ONE TIME MODEL FACILITY COSTS ($2016) FOR DENTAL OFFICES THAT DO NOT
                                                                                      CURRENTLY USE AMALGAM SEPARATORS
                                                                                                                                                               Number of chairs in the model dental office
                                                                                  Cost element
                                                                                                                                              1 or 2          3, 4, or 5 12           6                7 to 14               15

                                                Separator Purchase .............................................................                    $437                $697              $1,058           $1,291              $2,424
                                                Installation ............................................................................            235                 276                 276              358                 942
                                                One-Time Compliance Report .............................................                              23                  23                  23               23                  23


                                                 TABLE VII–2—SUMMARY OF ANNUAL MODEL FACILITY COSTS ($2016) FOR DENTAL OFFICES THAT DO NOT CURRENTLY
                                                                                     USE AMALGAM SEPARATORS
                                                                                                                                                               Number of chairs in the model dental office
                                                                                  Cost element
                                                                                                                                              1 or 2          3, 4, or 5 13           6                7 to 14               15

                                                Replacement Parts ..............................................................                    $275                $386               $559               $732             $1,078
                                                Separator Maintenance ........................................................                       115                 115                115                115                115
                                                Maintenance Cost Off-set ....................................................                       ¥75                 ¥75                ¥75                ¥75                ¥75
                                                Recycling ..............................................................................              91                  91                 91                 91                 91
                                                Visual Inspection ..................................................................                  18                  18                 18                 18                 18
                                                Recordkeeping .....................................................................                   62                  62                 62                 62                 62



                                                  For those offices that already have an                                  and repair, recycling (preparation and                  offices without technology in place.
                                                amalgam separator, EPA calculated                                         services), and recordkeeping. Because                   Recordkeeping costs include
                                                costs for certain incremental annual                                      these offices have amalgam separators in                documentation of inspection, separator
                                                costs associated with the amalgam                                         place, they are already incurring the                   maintenance and repair, and recycling
                                                separator required for this rule. Because                                 majority of these costs irrespective of                 (preparation and services). EPA also
                                                these offices have separators, EPA only                                   this final rule. As such, for those                     estimated periodic recordkeeping costs
                                                included a one-time cost for a One-Time                                   components (e.g., replacement of the                    associated with repairs and One-Time
                                                Compliance Report ($23/office). Annual                                    cartridge and operation and                             Compliance Reports for new offices,
                                                costs for such offices include visual                                     maintenance), EPA calculated their                      which are included in the total of
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                                                inspection, replacement of the amalgam-                                   incremental costs as a portion                          recordkeeping costs. EPA did not
                                                retaining unit, separator maintenance                                     (percentage) of annual costs for dental                 include the cost offset in this model, as
                                                   12 EPA assumed the separator can be sized for 3,                       evaluates different revenues for each of these sized    sizes distinct because the economic analysis
                                                4, or 5 chairs, but has kept these three model office                     offices.                                                evaluates different revenues for each of these sized
                                                                                                                             13 EPA assumed the separator can be sized for 3,
                                                sizes distinct because the economic analysis                                                                                      offices.
                                                                                                                          4, or 5 chairs, but has kept these three model office



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                                                27168                  Federal Register / Vol. 82, No. 113 / Wednesday, June 14, 2017 / Rules and Regulations

                                                described above. A summary of these                                      annual costs may be found in Table VII–
                                                                                                                         3, see the TEDD for more details.

                                                     TABLE VII–3—SUMMARY OF ANNUAL MODEL FACILITY COSTS ($2016) FOR DENTAL OFFICES THAT CURRENTLY USE
                                                                                          AMALGAM SEPARATORS
                                                                                                                                                              Number of chairs in the model dental office
                                                                                  Cost element
                                                                                                                                             1 or 2          3, 4, or 5 14           6                 7 to 14                15

                                                Replacement Parts ..............................................................                   $138                $193              $280                 $366                 $539
                                                Separator Maintenance ........................................................                       58                  58                58                   58                   58
                                                Recycling ..............................................................................             45                  45                45                   45                   45
                                                Inspection .............................................................................             18                  18                18                   18                   18
                                                Recordkeeping .....................................................................                  62                  62                62                   62                   62



                                                   In assessing the long term costs of rule                              institutional dental offices, EPA                       by the total number of dentists
                                                compliance for these model offices                                       developed a costing methodology based                   performing the procedure.17 The
                                                (those with and without existing                                         on the methodology for offices                          technology basis used to estimate the
                                                separators), EPA assumed that amalgam                                    described above. For purposes of costs,                 compliance costs of this rule includes
                                                separators would have a service life of                                  consistent with the proposal, EPA                       2008 ISO 11143 amalgam separators
                                                10 years, at which time the amalgam                                      assumed the average institutional office                available on the market today, and
                                                separators would need to be replaced                                     has 15 chairs.15 As shown in Chapter 9                  certain BMPs. The median performance
                                                (DCN DA00163). Furthermore, the cost                                     of the TEDD, EPA has cost information                   of these separators is 99.3 percent. EPA
                                                model assumes all dental amalgam                                         for five amalgam separators that have a                 assumes all offices have chair-side traps
                                                separators installed prior to this rule                                  maximum design ranging from 17–22
                                                                                                                                                                                 or a combination of chair-side traps and
                                                would need to be replaced within 10                                      chairs. EPA also has costs for a unit that
                                                                                                                                                                                 vacuum filters that result in 68 percent
                                                years of the effective date of this rule.                                can be custom sized for chair sizes of 16
                                                                                                                         or greater. EPA used the information for                and 78 percent collection of dental
                                                Therefore, for the purposes of estimating
                                                                                                                         these six separators to estimate costs for              amalgam, respectively (DCN DA00163).
                                                compliance costs, EPA assumed that all
                                                                                                                         institutional facilities. See DCN                       After accounting for mercury reductions
                                                offices subject to this rule would incur
                                                the cost of installing a new amalgam                                     DA00454. These costs are likely                         achieved through existing chair-side
                                                separator 10 years after the effective                                   overstated as they do not reflect                       traps and vacuum pump filters, EPA’s
                                                date of this rule. However, because                                      opportunities the largest offices may                   analysis reduces remaining mercury
                                                various modifications needed by the                                      have to share costs,16 and they do not                  loads to reflect the combination of chair-
                                                office for initial amalgam separator                                     assume any economies of scale. In                       side traps, vacuum filters, and amalgam
                                                installation would have already been                                     addition, it is possible that the largest               separators. Therefore, EPA assumed a
                                                completed, EPA has projected the                                         offices have multiple plumbing lines,                   post-rule reduction in mercury loads to
                                                installation costs for amalgam separators                                allowing the installation of dental                     POTWs based on a 99.8 percent removal
                                                would be one-half of the cost of the                                     amalgam separators (or equivalent                       rate. This is the same approach and data
                                                original installation. EPA assumed that                                  devices) only for those chairs used for                 that EPA presented in the proposal (79
                                                all dental offices would continue to                                     placing or removing amalgam. See the                    FR 623275; October 22, 2014).
                                                incur recurring expenses such as O&M                                     proposed preamble and the TEDD for
                                                                                                                         additional details on the costing                          Amalgam is comprised of roughly 49
                                                beyond year 10 in the same way as                                                                                                percent mercury, 35 percent silver, 9
                                                described for the initial installation. To                               methodology for institutional offices.
                                                                                                                                                                                 percent tin, 6 percent copper and 1
                                                the extent dental offices either close or                                VIII. Pollutant Loads                                   percent zinc (DCN DA00131). As
                                                certify they no longer remove or place
                                                                                                                           As was the case for costing, EPA does                 explained earlier in Section VI, EPA
                                                amalgam, the costs are likely overstated.
                                                                                                                         not have office-specific discharge data                 concludes that the technology basis
                                                   EPA projects that there will be no
                                                                                                                         for the approximately 117,000 dental                    would be equally effective in reducing
                                                incremental costs associated with the
                                                                                                                         offices potentially subject to this rule.               discharges of silver, tin, copper, and
                                                required BMPs because (1) costs for
                                                                                                                         Instead, EPA modeled the baseline, pre-                 zinc as it is in reducing mercury. EPA
                                                non-oxidizing, pH neutral line cleaners
                                                                                                                         rule discharges of mercury based on                     therefore applied the same approach to
                                                are roughly equivalent to other line
                                                                                                                         nationwide estimates of amalgam                         estimating reductions of other metals
                                                cleaners; and (2) dental offices will not
                                                                                                                         restorations and removals, and did not                  found in dental amalgam. In other
                                                incur additional costs by changing the                                   calculate the pollutant reductions on a
                                                location for flushing waste amalgam.                                                                                             words, EPA assumes chair-side traps
                                                                                                                         per office basis. Rather, EPA calculated                and the combination of chair-side traps
                                                B. Costs for Larger Institutional Dental                                 average mercury loadings by dividing                    and vacuum filters will result in 68
                                                Offices                                                                  the total number of annual procedures
                                                                                                                                                                                 percent and 78 percent collection of
                                                   Institutional dental offices (e.g.,                                     15 This represents the number of chairs that can      these metals, respectively. Remaining
                                                military clinics or dental schools) have                                 be used for the placement and/or removal of             amalgam metals are further reduced by
                                                a larger number of chairs than the
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                                                                                                                         amalgam at a particular location. EPA received          an amalgam separator, as discussed
                                                typical dental office. For these                                         comments for institutional facilities indicating they
                                                                                                                         had 7, 15, or 25 chairs. EPA selected the median        above.
                                                                                                                         of these values for purposes of this analysis.
                                                   14 EPA assumed the separator can be sized for 3,                        16 For example, multiple offices located in a
                                                4, or 5 chairs, but has kept these three model office                    single building or complex may be able to share
                                                                                                                                                                                   17 Because this approach is based on the number
                                                sizes distinct because the economic analysis                             plumbing, vacuum systems, and may be able to
                                                evaluates different revenues for each of these sized                     install a larger separator rather than each office      of dentists, it includes those dentists both at offices
                                                offices.                                                                 having its own separator.                               and institutional offices.



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                                                                        Federal Register / Vol. 82, No. 113 / Wednesday, June 14, 2017 / Rules and Regulations                                                                                     27169

                                                A. National Estimate of Annual                                              removals of each metal. As explained                                        IX. Economic Impact Analysis
                                                Pollutant Reductions to POTWs                                               above, at baseline and prior to                                               This section summarizes EPA’s
                                                Associated With This Rule 18                                                implementation of this rule, EPA                                            assessment of the total annual costs and
                                                1. Mercury                                                                  estimates 5.1 tons of dental mercury                                        impacts of the final pretreatment
                                                                                                                            particulates are collectively discharged                                    standards on the regulated industry.
                                                   EPA estimates the approximately                                          annually to POTWs. Based on the 50
                                                55,000 offices that install separators                                      POTW Study, EPA estimates POTWs                                             A. Social Cost Estimates
                                                would obtain 99.3 percent removal of                                        remove 90.2 percent of dental mercury                                         As described earlier in Section VI of
                                                particulate mercury through the use of
                                                                                                                            from the wastewater. Thus, POTWs                                            this preamble, EPA based the
                                                amalgam separators (median removal
                                                                                                                            collectively discharge 1,003 pounds of                                      technology standard for the final rule on
                                                efficiency of amalgam separators; see
                                                                                                                            mercury from dental amalgam to surface                                      a widely available technology, amalgam
                                                Chapter 7 of the TEDD). This would
                                                                                                                            waters annually. Under this final rule,                                     separators, and employment of readily
                                                result in reduction of particulate
                                                                                                                            99.8 percent of mercury particulates                                        available BMPs. Section VII provides a
                                                mercury discharges to POTWs by
                                                                                                                            currently discharged annually to                                            detailed explanation of how EPA
                                                approximately 5.1 tons. Amalgam
                                                                                                                            POTWs will be removed prior to the                                          estimated compliance costs for model
                                                separators are not effective in removing
                                                                                                                            POTW. The POTWs then further remove                                         dental offices. As applicable, EPA
                                                dissolved mercury. However, dissolved
                                                                                                                            90.2 percent of the remaining                                               annualized the capital costs over a 20-
                                                mercury accounts for much less than 1
                                                                                                                            particulate mercury from the                                                year period at a discount rate of 7
                                                percent of the total mercury, so the form
                                                                                                                            wastewater. This reduces the total                                          percent and 3 percent 20 and summed
                                                of mercury removed from discharges to
                                                                                                                            amount of dental mercury particulates                                       these costs with the O&M and reporting/
                                                POTWs is assumed to consist of
                                                                                                                                                                                                        recordkeeping costs to determine an
                                                particulate (solids) only.                                                  discharged from POTWs nationwide to
                                                                                                                                                                                                        annual compliance cost estimate for
                                                                                                                            surface water to 11 pounds of mercury
                                                2. Other Metals                                                                                                                                         each model facility. See the TEDD for
                                                                                                                            annually. In other words, discharges of
                                                   As explained earlier in Section VI,                                                                                                                  more details.
                                                                                                                            dental mercury to waters of the U.S.                                          In order to develop a national
                                                EPA concludes that the technology basis                                     from POTWs are expected to be reduced
                                                for this final rule would be equally                                                                                                                    estimate of social costs 21 based on these
                                                                                                                            by 992 pounds per year.19 Similarly,                                        model offices, EPA estimated the
                                                effective in reducing discharges of                                         EPA’s 50 POTW Study data shows 42.6
                                                silver, tin, copper, and zinc as it is in                                                                                                               number of dental offices represented by
                                                                                                                            percent to 88.3 percent of other metals                                     each model office. EPA categorized
                                                reducing mercury. Accordingly, EPA                                          in the wastewater are removed by
                                                estimates a reduction of these metal                                                                                                                    dental offices based on the number of
                                                                                                                            POTWs. As explained above, EPA                                              chairs in each office.22 The 2012
                                                discharges to POTWs of approximately
                                                                                                                            estimates 5.3 tons of other metals are                                      Economic Census does not provide
                                                5.3 tons.
                                                                                                                            also collectively discharged annually                                       information on the distribution of dental
                                                3. Total Reductions                                                         from dental offices to POTWs. Thus,                                         offices by the number of chairs in each
                                                   EPA estimates this final rule would                                      POTWs collectively discharge                                                office. However, two studies, the ADA
                                                annually reduce particulate mercury                                         approximately 2,178 pounds of other                                         National Study and a Colorado Study,
                                                and other metal particulate discharges                                      dental metals to surface waters                                             estimate distribution of dentist offices
                                                by a total of 10.3 tons.                                                    annually. Following compliance with                                         by number of chairs (DCN DA00141 and
                                                                                                                            this rule, the total amount of other                                        DCN DA00149). EPA used these two
                                                B. National Estimate of Annual                                                                                                                          data sources to correlate the number of
                                                                                                                            dental metal discharges from POTWs
                                                Pollutant Reductions to Surface Waters                                                                                                                  chairs per office to the revenue range of
                                                                                                                            nationwide to surface waters will be
                                                Associated With This Rule                                                                                                                               dental offices. EPA averaged the
                                                                                                                            approximately 24 pounds or a reduction
                                                  In order to evaluate final discharges of                                  of 2,153. See Chapter 11 of the TEDD for                                    correlation of these two studies to
                                                mercury (and other metals) to waters of                                     more details.                                                               estimate the number of dental offices by
                                                the U.S. by the POTW, EPA used its 50                                                                                                                   the number of chairs. The results are
                                                POTW Study to calculate POTW                                                                                                                            reported in table IX–1:

                                                                                                  TABLE IX–1—NUMBER OF DENTAL OFFICES BY NUMBER OF CHAIRS
                                                                                                                                                                                                                 Number of offices by chair size
                                                                                                           Number of chairs                                                                                                    Colorado
                                                                                                                                                                                                      ADA survey                               Average
                                                                                                                                                                                                                                survey

                                                1–2 chairs ....................................................................................................................................                  16,606            12,976           14,791
                                                3 chairs ........................................................................................................................................                57,841            33,738           31,329
                                                4 chairs ........................................................................................................................................   ........................       38,928           33,924
                                                5 chairs ........................................................................................................................................                35,638            19,032           18,425
                                                6 chairs ........................................................................................................................................   ........................        7,786           12,802
                                                7+ chairs ......................................................................................................................................                 23,136            20,762           21,949
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                                                  18 EPA’s approach is not dynamic, as it does not                            21 Costs of the rule, from the standpoint of cost                         dental services, therefore no observable change in
                                                account for declining use of dental amalgam. See                            to society, include compliance costs and                                    amount of visits (quantity demanded). Therefore,
                                                additional discussion in V.B.                                               administrative costs to Control Authorities. Social                         EPA makes no adjustment to social costs based on
                                                  19 Dissolved mercury accounts for a portion of                            costs would also incorporate any adjustment based                           a change in quantity.
                                                surface water discharges, because amalgam                                   on a quantity demand response to a change in price                            22 Amalgam separators are typically designed
                                                separators do not remove dissolved mercury.                                 driven by a price change due to cost pass-through
                                                                                                                                                                                                        based on the number of chairs.
                                                  20 See the TEDD for the reported analyses using                           to consumers. For this analysis, EPA is not able to
                                                both a 7 percent and 3 percent discount rate.                               demonstrate an observable change in price for



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                                                27170                   Federal Register / Vol. 82, No. 113 / Wednesday, June 14, 2017 / Rules and Regulations

                                                                                      TABLE IX–1—NUMBER OF DENTAL OFFICES BY NUMBER OF CHAIRS—Continued
                                                                                                                                                                                                                   Number of offices by chair size
                                                                                                           Number of chairs                                                                                                       Colorado
                                                                                                                                                                                                       ADA survey                                     Average
                                                                                                                                                                                                                                   survey

                                                      Total ......................................................................................................................................              133,221               133,221              133,221



                                                  To estimate nationwide social costs,                                      them costs for a baseline-compliance                                         V. Lastly, EPA estimated costs for
                                                EPA multiplied the estimated total                                          report. EPA then summed the values for                                       Control Authorities to administer the
                                                annualized costs of rule compliance for                                     each chair range over the number of                                          final rule. Details of this cost analysis
                                                each model office by the estimated                                          chair ranges to yield the total estimated                                    can be found in the TEDD. See Table
                                                number of dental offices represented by                                     compliance cost. Similarly, EPA                                              IX–2 for EPA’s estimate of total
                                                that model (i.e. with the indicated                                         calculated costs for institutional offices                                   nationwide annualized social costs for
                                                number of chairs and with/without                                           by multiplying the compliance cost for                                       this final rule using a 3 percent discount
                                                existing amalgam separators). In EPA’s                                      its model institutional offices (15-chair                                    rate.23
                                                analysis, for dental offices that do not                                    model) by the number of estimated
                                                place or remove amalgam, EPA assigned                                       institutional offices indicated in Section

                                                                                             TABLE IX–2—TOTAL ANNUALIZED SOCIAL COSTS BY NUMBER OF CHAIRS
                                                                                                                                              [Millions of 2016 dollars]

                                                                                                                                                                                                                                Total annualized costs by chair
                                                                                                                                                                                                                                             size 1
                                                                                                                        Number of chairs
                                                                                                                                                                                                                                  Colorado         ADA survey
                                                                                                                                                                                                                                   survey

                                                1–2 chairs ................................................................................................................................................................               $4.2                    $5.4
                                                3 chairs ....................................................................................................................................................................             13.6                    23.3
                                                4 chairs ....................................................................................................................................................................             15.7   ........................
                                                5 chairs ....................................................................................................................................................................              7.7                    16.4
                                                6 chairs ....................................................................................................................................................................              4.0   ........................
                                                7–14 chairs ..............................................................................................................................................................                13.1                    14.6
                                                15 chairs ..................................................................................................................................................................               0.3                      0.3
                                                Cost to Control Authorities ......................................................................................................................................                         0.8                      0.8

                                                      Total Annualized Social Costs .........................................................................................................................                             59.4                   60.8
                                                   1 Thesecosts reflect estimated costs discounted to the year of promulgation. EPA assumed that initial capital outlays and initial incurrence of
                                                ongoing compliance expenses would occur in the third year following rule promulgation. EPA assumed that the amalgam separator technology
                                                would have a service life of 10 years, and used a 20-year analysis period to allow for one-time replacement of capital equipment 10 years fol-
                                                lowing the initial installation. A 3 percent discount rate was used for the analysis reported in this table; see the TEDD for the analysis reported
                                                with a 7% discount rate.


                                                B. Economic Impact                                                          because EPA does not have detailed                                           impact analysis for effluent guidelines
                                                                                                                            data on baseline financial conditions of                                     rulemakings. Using the Economic
                                                  EPA devised a set of tests for                                            dental offices. Also, closure analyses                                       Census, EPA estimated that to be
                                                analyzing economic achievability. As is                                     typically rely on accounting measures                                        approximately 531 offices. Still, because
                                                often EPA’s practice, the Agency                                            such as present value of after-tax cash
                                                conducted a cost-to-revenue analysis to                                                                                                                  of the uncertainty here, EPA analyzed
                                                                                                                            flow, and such accounting measures are                                       the impacts twice: (1) Excluding dental
                                                examine the relationship between the                                        difficult to implement for businesses
                                                costs of the rule to current (or pre-rule)                                                                                                               offices that could represent baseline
                                                                                                                            that are organized as sole                                                   closures and (2) including all offices in
                                                dental office revenues as a screening                                       proprietorships or partnerships, as
                                                analysis. In addition, EPA chose to                                                                                                                      the analysis. For each of the three
                                                                                                                            typically is the case in the dental
                                                examine the financial impacts of the                                                                                                                     analyses conducted below, EPA used
                                                                                                                            industry. EPA considered whether it
                                                rule using two measures that utilize the                                                                                                                 the same methodology for the final
                                                                                                                            should exclude these offices from the
                                                data EPA has on dental office baseline                                      analyses, which is described further in                                      rule’s impact analysis as described in
                                                assets and estimated replacement                                            EPA’s proposal (79 FR 63272; October                                         the proposal because EPA did not
                                                capital costs: (1) Ratio of the Final                                       22, 2014). Because EPA did not receive                                       receive any comments to suggest a
                                                Rule’s Capital Costs to Total Dental                                        any comments to the contrary, EPA used                                       different approach for each impact
                                                Office Capital Assets and (2) Ratio of the                                  the same assumptions for this final rule                                     analysis. Lastly, EPA used a 7 percent
                                                Final Rule’s Capital Costs to Annual                                        as it did at proposal with regard to low-                                    discount rate for the costs used in these
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                                                Dental Office Capital Replacement                                           revenue offices. EPA concluded that                                          three analyses described below. See the
                                                Costs.                                                                      offices making less than $25,400 were                                        proposed rule for further description of
                                                  EPA did not conduct a traditional                                         baseline closures as traditionally                                           the analyses below (79 FR 63272;
                                                closure analysis for this final rule                                        accounted for in cost and economic                                           October 22, 2014).
                                                  23 As a point of clarification, social costs equal the                    Also, EPA used a 3 percent discount rate for the
                                                sum of compliance costs and administrative costs.                           social costs analysis.



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                                                                        Federal Register / Vol. 82, No. 113 / Wednesday, June 14, 2017 / Rules and Regulations                                                                 27171

                                                1. Cost-to-Revenue Analysis                                                   EPA estimated the occurrence of                              analysis, 808 offices (0.7 percent of
                                                                                                                           annualized compliance costs exceeding                           offices using dental amalgam and
                                                  To provide an assessment of the                                          the 1 percent and 3 percent of revenue                          exceeding the set-aside revenue
                                                impact of the rule on dental offices, EPA                                  thresholds for the final rule twice: (1)                        threshold) are estimated to incur costs
                                                used a cost-to-revenue analysis as is                                      Excluding dental offices that could                             exceeding 1 percent of revenue; no
                                                standard practice when looking at                                          represent baseline closures (excluding                          offices are estimated to incur costs
                                                impacts to small businesses under the                                      baseline set-aside offices), and (2)                            exceeding 3 percent of revenue. With
                                                Regulatory Flexibility Act (RFA) to                                        including all offices in the analysis                           baseline set-asides included in the
                                                determine if a rule has the potential to                                   (including baseline set-aside offices).                         analysis, 1,217 offices (1 percent of
                                                have a significant impact on a                                                Table IX–3 summarizes the results
                                                                                                                                                                                           offices using dental amalgam) are
                                                substantial number of small entities.                                      from this analysis. As shown there,
                                                                                                                           under either scenario, over 99 percent of                       estimated to incur costs exceeding 1
                                                The cost-to-revenue analysis compares                                                                                                      percent of revenue; 174 offices (0.1
                                                the total annualized compliance cost of                                    dental offices subject to this rule would
                                                                                                                           incur annualized compliance costs of                            percent of offices using dental amalgam)
                                                each regulatory option with the revenue                                                                                                    are estimated to incur costs exceeding 3
                                                of the entities.                                                           less than 1 percent of revenue. With
                                                                                                                           baseline set-asides excluded from the                           percent of revenue.

                                                                                                      TABLE IX–3—COST-TO-REVENUE ANALYSIS IMPACT SUMMARY
                                                                                                                                                                             Costs >1% revenue                Costs >3% revenue
                                                                                                                                               Total offices
                                                                               Number of chairs                                                by chair size             Number            Percent           Number          Percent

                                                                                                                        Excluding Baseline Set-Aside Offices from Analysis

                                                1–2 chairs ............................................................................                   12,914                   808               6.3               0               0.0
                                                3 chairs ................................................................................                 27,353                     0               0.0               0               0.0
                                                4 chairs ................................................................................                 29,619                     0               0.0               0               0.0
                                                5 chairs ................................................................................                 16,087                     0               0.0               0               0.0
                                                6 chairs ................................................................................                 11,177                     0               0.0               0               0.0
                                                7–14 chairs ..........................................................................                    19,163                     0               0.0               0               0.0

                                                      Total ..............................................................................              116,313                    808               0.7               0               0.0

                                                                                                                           Including Baseline Set-Aside Offices in Analysis

                                                1–2 chairs ............................................................................                   12,914                1,217                9.4            174                1.4
                                                3 chairs ................................................................................                 27,353                    0                0.0              0                0.0
                                                4 chairs ................................................................................                 29,619                    0                0.0              0                0.0
                                                5 chairs ................................................................................                 16,087                    0                0.0              0                0.0
                                                6 chairs ................................................................................                 11,177                    0                0.0              0                0.0
                                                7–14 chairs ..........................................................................                    19,163                    0                0.0              0                0.0

                                                      Total ..............................................................................              116,313                 1,217                1.0            174                0.1



                                                2. Ratio of the Rule’s Capital Costs to                                    but could imply a need to change                                capital assets values are low, with an
                                                Total Dental Office Capital Assets                                         capital planning and budgeting.                                 average value 0.4 percent to 0.7 percent
                                                   This ratio examines the initial                                           Table IX–4 reports the findings from                          for the no technology in-place case and
                                                spending on capital costs of compliance                                    this analysis, specifically the weighted                        zero percent for the technology in-place
                                                in relation to the baseline value of assets                                average of the initial spending on the                          case. With baseline closures included in
                                                on the balance sheet of dental office                                      proposed rule’s capital costs divided by                        the analysis, the resulting initial capital
                                                businesses. EPA assumes a low ratio                                        total assets of dental office across the                        costs to total capital assets values are
                                                implies limited impact on dental offices’                                  revenue range/number-of-chairs                                  low, with an average value 0.4 percent
                                                ability to finance the initial spending on                                 analysis combinations. With baseline                            to 0.7 percent for the no technology in-
                                                capital costs of the final rule. A high                                    set-asides excluded from the analysis,                          place case and 0 percent for the
                                                ratio may still allow costs to be financed                                 the resulting initial capital costs to total                    technology in-place case.

                                                               TABLE IX–4—INITIAL SPENDING AS PERCENTAGE OF PRE-RULE TOTAL DENTAL OFFICE CAPITAL ASSETS1
                                                                                                                                                                             Technology in place             No technology in place
                                                                                             Number of chairs
                                                                                                                                                                             Low             High             Low             High

                                                                                                                        Excluding Baseline Set-Aside Offices from Analysis
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                                                1–2 chairs ........................................................................................................                0.1               0.0              2.4              1.2
                                                3 chairs ............................................................................................................              0.0               0.0              0.9              0.5
                                                4 chairs ............................................................................................................              0.0               0.0              0.6              0.4
                                                5 chairs ............................................................................................................              0.0               0.0              0.3              0.2
                                                6 chairs ............................................................................................................              0.0               0.0              0.3              0.2
                                                7–14 chairs ......................................................................................................                 0.0               0.0              0.2              0.1



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                                                27172                   Federal Register / Vol. 82, No. 113 / Wednesday, June 14, 2017 / Rules and Regulations

                                                   TABLE IX–4—INITIAL SPENDING AS PERCENTAGE OF PRE-RULE TOTAL DENTAL OFFICE CAPITAL ASSETS1—Continued
                                                                                                                                                                             Technology in place               No technology in place
                                                                                             Number of chairs
                                                                                                                                                                             Low             High               Low                  High

                                                Weighted Average ...........................................................................................                       0.0               0.0                0.7                   0.4

                                                                                                                           Including Baseline Set-Aside Offices in Analysis

                                                1–2 chairs ........................................................................................................                0.1               0.0                3.0                   1.5
                                                3 chairs ............................................................................................................              0.0               0.0                0.9                   0.5
                                                4 chairs ............................................................................................................              0.0               0.0                0.6                   0.4
                                                5 chairs ............................................................................................................              0.0               0.0                0.3                   0.2
                                                6 chairs ............................................................................................................              0.0               0.0                0.3                   0.2
                                                7–14 chairs ......................................................................................................                 0.0               0.0                0.2                   0.1
                                                Weighted Average ...........................................................................................                       0.0               0.0                0.7                   0.4
                                                  1 EPA used the baseline asset value for the minimum (reported as low) and maximum (reported as high) revenue values by number-of-chairs
                                                category as the denominator for the ratio. Total final rule compliance costs, as described in Section IX above, were assigned to each number-of-
                                                chairs category as the numerator for the ratio.


                                                3. Comparison of the Rule’s Capital                                            TABLE IX–5—INITIAL SPENDING AS achievable, EPA finds the rule would
                                                Costs to Annual Dental Office Capital                                          PERCENTAGE OF ESTIMATED AN- similarly be achievable for large
                                                Replacement Costs                                                              NUAL DENTAL OFFICE CAPITAL RE- institutional offices.
                                                                                                                                                                EPA determined that the final
                                                   EPA also compared the initial                                               PLACEMENT COSTS 1—Continued
                                                                                                                                                                                       pretreatment standard for new sources
                                                spending on capital costs of compliance                                                                                                will not be a barrier to entry. EPA relied
                                                associated with this rule to the                                                     Number of chairs                         Percent
                                                                                                                                                                                       on data describing the equipment needs
                                                estimated capital replacement costs for                                    8 chairs .........................................      2.3 and costs for starting a dental practice
                                                a dental office business (e.g., computer                                   9 chairs .........................................      2.1 as compiled in Safety Net Dental Clinic
                                                systems, chairs, x-ray machines, etc.)                                     Weighted Average ........................               2.4 Manual, prepared by the National
                                                across all chair sizes. The capital                                                                                                    Maternal & Child Oral Health Resource
                                                                                                                               1 EPA estimated capital replacement costs,
                                                replacement costs represent a value that
                                                                                                                           accounting for the total value of equipment Center at Georgetown University (see
                                                dental offices may reasonably expect to                                    purchases for different numbers of chairs, and DCN DA00143). Information from the
                                                spend in any year to replace and/or                                        the composition of purchases by equipment Georgetown Manual demonstrates that
                                                upgrade dental office capital equipment.                                   life category by number-of-chairs as the de- the amalgam separator capital costs
                                                EPA assumes a low ratio implies limited                                    nominator for the ratio. EPA assigned total
                                                                                                                           final rule compliance costs, as described (based on costs for existing model
                                                impact on dental offices’ ability to                                       above in Section IX, to each number-of-chairs offices as described in Section VII)
                                                finance the initial spending on capital                                    as the numerator for the ratio.                             comprised 0.2 percent to 0.3 percent of
                                                costs of the final rule. A high ratio may                                                                                              the cost of starting a dental practice as
                                                still allow costs to be financed but could                                 C. Economic Achievability
                                                                                                                                                                                       shown in Table IX–6 and, therefore,
                                                imply a need to change capital planning                                        The analyses performed above inform does not pose a barrier to entry.
                                                and budgeting. As expected, the results                                    the potential economic impact of this
                                                for this ratio are higher than the                                         final rule on the dental office sector. In                     TABLE IX–6—INITIAL SPENDING AS
                                                previous ratio in the test above, given                                    the cost-to-revenue analysis, EPA found                        PERCENTAGE OF ESTIMATED DENTAL
                                                that EPA expects replacement costs                                         that no more than 0.1 percent of offices,                      OFFICE START-UP COSTS
                                                would be smaller than total capital                                        mostly in the lower revenue ranges,
                                                assets. EPA performed this test because                                    would potentially incur costs in excess                              Number of chairs                          Percent
                                                this ratio is based on a different data                                    of 3 percent of revenue. The two
                                                source, and so it provides an                                              financial ratios reported in Tables IX–3                    1–2 chairs .....................................        0.3
                                                independent check that abstracts from                                                                                                  3 chairs .........................................      0.3
                                                                                                                           and IX–4 show that the final rule will                      4 chairs .........................................      0.3
                                                the limitations of the data used in the                                    not cause dental offices to encounter
                                                test above. The resulting values for the                                                                                               5 chairs .........................................      0.2
                                                                                                                           difficulty in financing initial spending                    6 chairs .........................................      0.3
                                                final rule range from 2.0 percent to 2.8                                   on capital costs of the final rule. Based                   7 chairs .........................................      0.3
                                                percent, with a weighted average of 2.4                                    on the combined results of the three                        8 chairs .........................................      0.3
                                                percent across all chair size ranges.                                      analyses and that EPA had no data since 9 chairs .........................................                          0.3
                                                                                                                           proposal to suggest otherwise, EPA                          Weighted Average ........................               0.3
                                                    TABLE IX–5—INITIAL SPENDING AS                                         determined that the final rule is
                                                    PERCENTAGE OF ESTIMATED AN-                                            economically achievable. Regarding                          X. Cost-Effectiveness Analysis
                                                    NUAL DENTAL OFFICE CAPITAL RE-                                         large offices, EPA notes that, due to a                        EPA often uses cost-effectiveness
                                                    PLACEMENT COSTS 1                                                      lack of data, the economic impact                           analysis in the development and
                                                                                                                           analyses did not include large                              revision of ELGs to evaluate the relative
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                                                             Number of chairs                             Percent          institutional offices. EPA did not receive efficiency of alternative regulatory
                                                                                                                           comments indicating large offices would options in removing toxic pollutants
                                                1–2 chairs .....................................                   2.7
                                                3 chairs .........................................                 2.8
                                                                                                                           be impacted more or less than other                         from effluent discharges to our nation’s
                                                4 chairs .........................................                 2.3     dental offices subject to this rule. Given waters. Although not required by the
                                                5 chairs .........................................                 2.0     the results of the economic analysis                        CWA, and not a determining factor for
                                                6 chairs .........................................                 2.3     performed on a range of office sizes                        establishing PSES or PSNS, cost-
                                                7 chairs .........................................                 2.5     indicating that the rule is economically                    effectiveness analysis can be a useful


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                                                                       Federal Register / Vol. 82, No. 113 / Wednesday, June 14, 2017 / Rules and Regulations                                                                           27173

                                                tool for describing regulatory options                                  toxic weights allows EPA to express the                The costs used in the cost-
                                                that address toxic pollutants.                                          removals of different pollutants on a               effectiveness analyses are the estimated
                                                   EPA defines the cost-effectiveness of                                constant toxicity basis as toxic-pound-             annual pre-tax costs described in
                                                a regulatory option as the incremental                                  equivalents (lb-eq). In the case of                 Section IX, restated in 1981 dollars as a
                                                annual cost (in 1981 constant dollars to                                indirect dischargers, the removal also              convention to allow comparisons with
                                                facilitate comparison to ELGs for other                                 accounts for the effectiveness of                   the reported cost effectiveness of other
                                                industrial categories promulgated over                                  treatment at POTWs and reflects the                 effluent guidelines. Collectively, the
                                                different years) per incremental toxic-                                 toxic-weighted pounds after POTW                    final PSES requirements have a cost-
                                                weighted pollutant removals for that                                    treatment. The TWFs for the pollutants              effectiveness ratio of $190–$195/lb-
                                                option. For more information about the                                  of concern are shown in Table X–1.                  equivalent as shown in Table X–2
                                                methodology, data, and results, see                                                                                         below. This cost-effectiveness ratio falls
                                                Chapter 12 of the TEDD. EPA                                               TABLE X–1—TOXIC WEIGHTING FAC- within the range of cost-effectiveness
                                                determines toxic-weighted pollutant                                        TORS FOR POLLUTANTS IN DENTAL ratios for PSES requirements in other
                                                removals for a particular pollutant by                                     AMALGAM                                          industries. A review of approximately
                                                multiplying the number of pounds of a                                                                                       25 of the most recently promulgated or
                                                pollutant removed by an option by a                                                                                         revised categorical pretreatment
                                                                                                                        Mercury .................................       110
                                                toxic weighting factor (TWF). The toxic                                                                                     standards shows PSES cost-effectiveness
                                                                                                                        Silver .....................................  16.47
                                                weighting factor for each pollutant                                     Tin ......................................... 0.301
                                                                                                                                                                            ranges from less than $1/lb-equivalent
                                                measures its toxicity relative to                                       Copper ..................................     0.623
                                                                                                                                                                            (Inorganic Chemicals) to $380/lb-
                                                copper,24 with more toxic pollutants                                    Zinc .......................................  0.047
                                                                                                                                                                            equivalent (Transportation Equipment
                                                having higher toxic weights. The use of                                                                                     Cleaning) in 1981 dollars.

                                                                                                            TABLE X–2—PSES COST EFFECTIVENESS ANALYSIS
                                                                                                                                                                                             Pre-tax total
                                                                                                                                                                                             annualized          Removals         Average cost
                                                                                                            Final option                                                                        costs             (lbs-eq)        effectiveness
                                                                                                                                                                                              ($1981 M)

                                                Colorado Survey ..........................................................................................................................           $23.5           123,552                $190
                                                ADA National Survey ...................................................................................................................               24.1           123,552                 195



                                                XI. Environmental Assessment                                            the land application, surface disposal,                               generated annually by POTWs is
                                                                                                                        and incineration of sewage sludge                                     disposed of through incineration.
                                                A. Environmental Impacts
                                                                                                                        generated by POTWs. Of the 11.2 billion                               Approximately 2,000 pounds per year of
                                                   EPA conducted a literature review                                    dry pounds of sewage sludge generated                                 dental mercury are contained in
                                                concerning potential environmental                                      annually, about 60 percent, or 6.7                                    incinerated sewage sludge. 40 CFR part
                                                impacts associated with mercury in                                      billion pounds, are treated to produce                                503, subpart E sets requirements for the
                                                dental amalgam discharged to surface                                    biosolids for beneficial use as a soil                                incineration of mercury and other toxic
                                                water by POTWs (DCN DA00148). As                                        amendment and applied to about 0.1                                    metals in sludge. For mercury, subpart
                                                discussed above, studies indicate that                                  percent of agricultural lands in the                                  E provides that incineration of sludge
                                                dental offices are the largest source of                                United States (DCN DA00257).                                          must meet the requirements of the
                                                mercury entering POTWs. The total                                       Approximately 5,500 pounds per year of                                National Emissions Standards for
                                                annual baseline discharge of dental                                     dental mercury are contained in land-                                 Mercury in subpart E of 40 CFR part 61.
                                                mercury to POTWs is approximately                                       applied biosolids.
                                                10,239 pounds (5.1 tons): 10,198 pounds                                   Approximately 18 percent, or 2                                         Environmental assessment of impacts
                                                are in the form of solid particles (99.6                                billion pounds, of the sewage sludge                                  associated with POTW discharges of
                                                percent) and 41 pounds (0.4 percent) are                                generated annually by POTWs are                                       dental mercury is complicated by
                                                dissolved in the wastewater (DCN                                        surface disposed in sewage sludge                                     uncertainties about the fate and
                                                DA00018). Through POTW treatment,                                       mono-fills or municipal landfills.                                    transport of mercury in aquatic
                                                approximately 90 percent of dental                                      Approximately 1,700 pounds per year of                                environments. The elemental form of
                                                mercury is removed from the                                             dental mercury are contained in surface                               mercury used in dentistry has low water
                                                wastewater and transferred to sewage                                    disposed sewage sludge. Pollutant limits                              solubility and is not readily absorbed
                                                sludge. The 10 percent of dental                                        and monitoring requirements for surface                               when ingested by humans, fish, or
                                                mercury not removed by POTW                                             disposed sewage sludge mono-fills are                                 wildlife. However, elemental mercury
                                                treatment is discharged to surface water.                               set by 40 CFR part 503 and by 40 CFR                                  may be converted into highly toxic
                                                EPA estimates that POTWs annually                                       part 258 for municipal landfills. There                               methylmercury in aquatic environments
                                                discharge approximately 1,003 pounds                                    may be additional state or local                                      by certain forms of anaerobic sulfate-
                                                of dental mercury nationwide.                                           regulations that are more stringent than                              reducing bacteria. Methylmercury has
                                                   The CWA regulations known as                                         the federal biosolids regulations.                                    high potential to become increasingly
                                                Standards for Use and Disposal of                                         The remaining 22 percent, or 2.5                                    concentrated up through aquatic food
                                                Sewage Sludge, 40 CFR part 503, control                                 billion pounds, of sewage sludge                                      chains as larger fish eat smaller fish.
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                                                   24 When EPA first developed TWFs in 1981, it                         mg/L/Aquatic Life Value (mg/L) + 5.6 mg/L/Human                       freshwater aquatic life copper criterion of 9.0 mg/L
                                                chose the copper freshwater chronic aquatic life                        Health Value (mg/L). The chronic freshwater aquatic                   to the original 1980 copper criterion of 5.6 mg/L by
                                                criterion of 5.6 mg/L as the benchmark scaling factor                   life criterion for copper, however, has been revised                  dividing 5.6 mg/L by 9.0 mg/L and adding the
                                                for deriving TWFs because copper was a common                           three times since it was first published in 1980 due                  quotient to 5.6 mg/L divided by the copper human
                                                and well-studied toxic chemical in industrial waste                     to advances in the scientific understanding of its
                                                                                                                                                                                              health value of 4444 mg/L, which results in a copper
                                                streams. Consequently, the basic equation for                           toxic effects. Thus, when calculating the TWF for
                                                deriving the TWF for any chemical is: TWF = 5.6                         copper, EPA normalizes the 1998 chronic                               TWF of 0.623.




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                                                27174            Federal Register / Vol. 82, No. 113 / Wednesday, June 14, 2017 / Rules and Regulations

                                                Fish commonly eaten by humans may                       methylmercury (DCN DA00148). The                       B. Air Emissions
                                                have methylmercury levels 100,000                       final pretreatment standards will
                                                times that of ambient water. The                        produce human health and ecological                      Unbound mercury is highly volatile
                                                neurological effects of consumption of                  benefits by reducing the estimated                     and can easily evaporate into the
                                                methylmercury-contaminated fish are                     annual nationwide POTW discharge of                    atmosphere. An estimated 99.6 percent
                                                well documented. Developmental                          dental mercury to surface water from                   of dental mercury discharges are in
                                                effects to fetuses, infants, children, and              1,003 pounds to 11 pounds.                             solid bound form; i.e. elemental
                                                fish consumption by women of                                                                                   mercury bound to amalgam particles
                                                childbearing age are of special concern.                XII. Non-Water Quality Environmental                   (DCN DA00018). Because the majority of
                                                Neurological effects from predation of                  Impacts Associated With the                            dental mercury is bound to solid
                                                methylmercury-contaminated fish have                    Technology Basis of the Rule                           particles, it likely will not volatize to
                                                been documented to occur in wild                                                                               the atmosphere. Therefore, EPA expects
                                                                                                           Eliminating or reducing one form of                 the final PSES and PSNS will not pose
                                                populations of fish, birds, and mammals
                                                                                                        pollution may cause other                              any increases in air pollution.
                                                in many areas of the United States (DCN
                                                                                                        environmental problems. Sections
                                                DA00202). A plausible link has been
                                                                                                        304(b) and 306 of the Clean Water Act                  C. Solid Waste Generation
                                                identified between anthropogenic
                                                sources of mercury in the United States                 require EPA to consider non-water
                                                                                                        quality environmental impacts                             In the absence of amalgam separators,
                                                and methylmercury in fish. However,                                                                            a portion of the amalgam rinsed into
                                                fish methylmercury concentrations also                  (including energy requirements)
                                                                                                        associated with effluent limitations                   chair-side drains is collected by chair-
                                                result from existing background                                                                                side traps. The remainder is discharged
                                                concentrations of mercury which may                     guidelines and standards. To comply
                                                                                                        with these requirements, EPA                           to the POTW where the vast majority is
                                                consist of mercury from natural sources                                                                        removed from the wastewater and
                                                and atmospheric deposition of mercury                   considered the potential impact of the
                                                                                                        technology basis on energy                             becomes part of the POTW sludge that
                                                in the United States from sources in                                                                           may be land-applied, disposed of in
                                                other countries. Given the current                      consumption, air pollution, and solid
                                                                                                        waste generation. As shown below, EPA                  landfills or mono-fills, or incinerated.
                                                scientific understanding of the                                                                                EPA expect the final rule to increase the
                                                environmental fate and transport of                     anticipates that the rule would produce
                                                                                                        minimal non-water quality                              use of amalgam separators nationwide
                                                mercury, it is not possible to quantify
                                                                                                        environmental impacts and as such                      by one and a half times with a
                                                how much of the methylmercury in fish
                                                                                                        determined they are acceptable.                        corresponding increase in collection
                                                consumed by the U.S. population is
                                                                                                        Additional information about the                       and recycling of used amalgam from the
                                                contributed by U.S. emissions relative to
                                                                                                        analysis of these non-water quality                    spent separator canisters. EPA expects
                                                international mercury sources or natural
                                                                                                        impacts is contained in the TEDD.                      the operation and maintenance
                                                mercury sources.
                                                   EPA was unable to assess the specific                                                                       requirements associated with the
                                                environmental impacts of dental                         A. Energy Requirements                                 amalgam separator compliance option
                                                mercury discharged by POTWs due to                                                                             included in the final rule will further
                                                                                                          Net energy consumption considers the                 promote recycling as the primary means
                                                insufficient data needed to evaluate                    incremental electrical requirements
                                                several fundamental factors about the                                                                          of amalgam waste management, because
                                                                                                        associated with operating and                          many amalgam separator manufactures
                                                discharge, fate, and transport of dental                maintaining dental amalgam separators
                                                mercury in aquatic environments,                                                                               and dental office suppliers have begun
                                                                                                        used in combination with BMPs that                     offering waste handling services that
                                                including: the degree and geographic                    form the technology basis for the
                                                extent of dental mercury methylation in                                                                        send dental amalgam waste to retorting
                                                                                                        standards. As described in Section V,                  and recycling facilities. Nationally, EPA
                                                aquatic environments, the amount of                     most amalgam separators use
                                                methylated dental mercury that is taken                                                                        expects less dental amalgam will be
                                                                                                        sedimentation, either alone or in                      discharged to POTWs leading to
                                                up by fish and wildlife, the human
                                                                                                        conjunction with filtration to remove                  reductions in the amount of mercury
                                                consumption rates of fish contaminated
                                                                                                        solids in the waste stream. Most                       discharged to surface waters and land-
                                                with methylated dental mercury, and
                                                                                                        separators rely on gravity or the suction              applied, landfilled, or released to the air
                                                the extent and magnitude of naturally-
                                                                                                        of the existing vacuum system to                       during incineration of sludge. Instead,
                                                occurring mercury in aquatic
                                                environments.                                           operate, and do not require an                         EPA expects that the waste will be
                                                                                                        additional electrical power source. As                 collected in separator canisters and
                                                B. Environmental Benefits                               noted in Section V, some separators                    recycled. After the amalgam containing
                                                  While EPA did not perform a                           have warning indicators that require a                 waste has been recycled, the canisters
                                                quantitative environmental benefits                     battery or power source. EPA does not                  are either recycled or landfilled. For
                                                analysis of the final rule, due to                      anticipate this would pose any                         purposes of assessing the incremental
                                                insufficient data about the aquatic fate                considerable energy requirements.                      solid waste generation, EPA
                                                and transport of dental mercury                         Moreover, the addition of an amalgam                   conservatively assumes all of the
                                                discharged by POTWs, EPA was able to                    separator is likely to reduce energy                   canisters are landfilled. EPA finds that
                                                assess the qualitative environmental                    consumption at dental offices that do                  if each dental office generated an
                                                benefits based on existing information.                 not currently employ an amalgam                        average of 2 pounds of spent canisters
                                                For example, EPA identified studies that                separator as it will prevent small                     per year, the total mass of solid waste
                                                show that decreased point-source                        particles from impeding the vacuum                     generated would still comprise less than
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                                                discharges of mercury to surface water                  pump impeller. A clean impeller is                     0.0001 percent of the 254 million tons
                                                result in lower methylmercury                           more efficient than a dirty impeller, and              of solid waste generated by Americans
                                                concentrations in fish. Moreover,                       thus will draw less energy (DCN                        annually (DCN DA00496). Based on this
                                                several studies quantify economic                       DA00465). Upon consideration of all of                 evaluation of incremental solid waste
                                                benefits from improved human health                     these factors, EPA concludes there will                generation, EPA concludes there will
                                                and ecological conditions resulting from                be no significant energy requirements                  not be a significant incremental non-
                                                lower fish concentrations of                            associated with this final rule.                       water quality impact associated with


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                                                                 Federal Register / Vol. 82, No. 113 / Wednesday, June 14, 2017 / Rules and Regulations                                           27175

                                                solid waste generation as a result of this              B. Paperwork Reduction Act                                The Agency has determined that
                                                final rule.                                               The information collection                           116,014 dental offices out of 116,720
                                                                                                        requirements in this final rule have been              dental offices potentially subject to this
                                                XIII. Standards for Reference                                                                                  final rule meet the small business
                                                                                                        submitted for approval to the OMB
                                                   This rule references standards from                  under the Paperwork Reduction Act, 44                  definition. EPA’s analysis of projected
                                                the American National Standards                         U.S.C. 3501 et seq. The Information                    impacts on small dental offices is
                                                Institute/American Dental Association                   Collection Request (ICR) document                      described in detail in Section IX. EPA
                                                and the International Organization for                  prepared by EPA has been assigned EPA                  projects less than 1 percent of 116,720
                                                Standardization, and in compliance                                                                             affected dental offices would incur
                                                                                                        ICR number 2514.02. You can find a
                                                with the National Technology Transfer                                                                          compliance costs exceeding 1 percent of
                                                                                                        copy of the ICR in the docket for this
                                                and Advancement Act (see Section                                                                               revenue and no more than 0.2 percent
                                                                                                        rule, and it is briefly summarized here.
                                                XIV). They are available either at EPA’s                                                                       would incur compliance costs
                                                                                                        The information collection requirements
                                                Water Docket (see ADDRESSES section                                                                            exceeding 3 percent of revenue.
                                                                                                        are not enforceable until OMB approves                    Although this final rule will not have
                                                above) for inspection, or on their                      them.                                                  a significant economic impact on a
                                                respective Web sites to everyone at a                     EPA estimates it would take a total                  substantial number of small entities,
                                                cost determined by the respective Web                   annual average of 402,000 hours and                    EPA nonetheless has tried to reduce the
                                                site, generally from $100 to $150. The                  $7.2 million for affected dental offices to            impact of this final rule on small
                                                cost of obtaining these standards is not                collect and report the information                     entities. First, this final rule will allow
                                                a significant financial burden for a                    required in the final rule. This estimate              dental offices with existing separators to
                                                discharger or environmental laboratory,                 includes effort for each dental office                 satisfy the requirements for a period of
                                                making the standards reasonably                         associated with completing a one-time                  up to 10 years. Second, EPA
                                                available. The individual standards are                 compliance report. EPA based this                      significantly reduced the rule’s
                                                discussed in greater detail below.                      estimate on average labor rates from the               reporting requirements for all affected
                                                   The installation, operation, and                     Bureau of Labor Statistics for the dental              dental offices as compared to the
                                                maintenance of one or more amalgam                      office personnel involved in collecting                reporting requirements for other
                                                separators compliant with either the                    and reporting the information required.                industries with categorical pretreatment
                                                ADA 2009 standard with the 2011                         EPA estimates it would take a total                    standards.
                                                addendum, or the ISO standard when                      annual average of 34,000 hours and
                                                                                                        $2.02 million for Control Authorities to               D. Unfunded Mandates Reform Act
                                                removing dental amalgam solids from
                                                                                                        review the information submitted by                    (UMRA)
                                                all amalgam process wastewater:
                                                                                                        dental offices. EPA estimates that there                  This action does not contain an
                                                   • ANSI/ADA Specification No.                         would be no start-up or capital costs                  unfunded mandate of $100 million or
                                                108:2009, American National Standard/                   associated with the information                        more as described in UMRA, 2 U.S.C.
                                                American Dental Association                             described above. Burden is defined at 5                1531–1538, and does not significantly or
                                                Specification No. 108 Amalgam                           CFR 1320(b).                                           uniquely affect small governments. The
                                                Separators.                                               An agency may not conduct or                         annual cost of the final rule is $59 to
                                                   • ANSI/ADA Specification No.                         sponsor, and a person is not required to               $61 million; thus, this final rule is not
                                                108:2009 Addendum, American                             respond to, a collection of information                subject to the requirements of sections
                                                National Standard/American Dental                       unless it displays a currently valid OMB               202 or 205 of UMRA.
                                                Association Specification No. 108                       control number. The OMB control                           This final rule is also not subject to
                                                Amalgam Separators, Addendum.                           numbers for EPA’s regulations are listed               the requirements of section 203 of
                                                   • International Standard ISO                         in 40 CFR part 9. When OMB approves                    UMRA, because it contains no
                                                11143;2008, Dentistry—Amalgam                           this ICR, the Agency will announce the                 regulatory requirements that may
                                                Separators.                                             approval in the Federal Register and                   significantly or uniquely affect small
                                                                                                        publish a technical amendment to 40                    governments. EPA has not identified
                                                XIV. Statutory and Executive Order                      CFR part 9 to display the OMB control                  any dental offices that are owned by
                                                Reviews                                                 number for the approved information                    small governments. While this final rule
                                                                                                        collection activities in this final rule.              impacts government entities required to
                                                  Additional information about these                                                                           administer pretreatment standards,
                                                statutes and Executive Orders can be                    C. Regulatory Flexibility Act                          small governments will generally not be
                                                found at https://www.epa.gov/laws-                         I certify that this action will not have            affected. By statute, a small government
                                                regulations/laws-and-executive-orders.                  a significant economic impact on a                     jurisdiction is defined as a government
                                                A. Executive Order 12866: Regulatory                    substantial number of small entities                   of a city, county, town, school district
                                                Planning and Review and Executive                       under the RFA. The small entities                      or special district with a population of
                                                Order 13563: Improving Regulation and                   subject to the requirements of this                    less than 50,000 (5 U.S.C 601). Control
                                                Regulatory Review                                       action are defined as: (1) A small                     authorities are responsible for oversight
                                                                                                        business in the Dental Office sector                   and administration associated with this
                                                  This action is a significant regulatory               (NAICS 621210) with annual receipts of                 final rule. A POTW is required to
                                                action that was submitted to the Office                 7.5 million dollars or less (based on                  become a Control Authority when it (or
                                                of Management and Budget (OMB) for                      SBA size standards); (2) a small                       a combination of POTWs operated by
                                                review because it raises novel legal or                 governmental jurisdiction that is a                    the same authority) has a design flow of
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                                                policy issues. Any changes made in                      government of a city, county, town,                    at least 5 million gallons per day and
                                                response to OMB recommendations                         school district or special district with a             receives pollutants from industrial users
                                                have been documented in the docket.                     population of less than 50,000; and (3)                that would pass through or interfere
                                                The economic analysis is available in                   a small organization that is any not-for-              with the operations and cause a
                                                the docket (DCN DA00458) and is                         profit enterprise which is independently               violation of the POTW’s NPDES permit.
                                                briefly summarized in Section IX. The                   owned and operated and is not                          The average water use per person is 100
                                                benefits are summarized in Section XI.                  dominant in its field.                                 gallons per day so a POTW with a


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                                                27176            Federal Register / Vol. 82, No. 113 / Wednesday, June 14, 2017 / Rules and Regulations

                                                population less than 50,000 would                       EPA determined that any additional                     Comptroller General of the United
                                                likely have a flow less than 5 MGD.                     energy usage would be insignificant to                 States. This action is not a ‘‘major rule’’
                                                Therefore, EPA does not expect small                    the total energy usage of Dental Offices               as defined by 5 U.S.C. 804(2).
                                                government owned POTWs to be                            and total annual U.S. energy
                                                                                                                                                               List of Subjects in 40 CFR Part 441
                                                required to become a Control Authority.                 consumption.
                                                EPA is aware that some small POTWs                                                                               Environmental protection, Dental,
                                                                                                        I. National Technology Transfer and                    Dental office, Dentist, Mercury,
                                                have approved pretreatment programs                     Advancement Act
                                                so they serve as a Control Authority. To                                                                       Pretreatment, Waste treatment and
                                                the extent small POTWs with pre-                           This final rule involves technical                  disposal, Water pollution control.
                                                existing approved pretreatment                          standards. The Agency decided to use                    Dated: June 9, 2017.
                                                programs receive dental discharges                      the American National Standards
                                                                                                                                                               Michael H. Shapiro,
                                                subject to this rule, they would incur                  Institute (ANSI) American National
                                                                                                                                                               Acting Assistant Administrator.
                                                some incremental oversight                              Standard/American Dental Association
                                                                                                        (ADA) Specification 108 for Amalgam                      Therefore, 40 CFR part 441 is
                                                requirements as described in Section VI.                                                                       amended by adding part 441 to read as
                                                However, EPA expects such cases to be                   Separators (2009) with Technical
                                                                                                        Addendum (2011) or the International                   follows:
                                                limited.
                                                                                                        Organization for Standardization (ISO)                 PART 441—DENTAL OFFICE POINT
                                                E. Executive Order 13132: Federalism                    11143 Standard (2008) or the                           SOURCE CATEGORY
                                                  This action does not have federalism                  International Organization for
                                                implications. It will not have substantial              Standardization (ISO) efficiency                       Sec.
                                                direct effects on the states, on the                    standards for amalgam separators (ISO                  441.10 Applicability.
                                                relationship between the national                       11143) developed in 1999 and updated                   441.20 General definitions.
                                                                                                        in 2008. One approach to meet the                      441.30 Pretreatment standards for existing
                                                government and the states, or on the                                                                                sources (PSES).
                                                distribution of power and                               standards in this rule is to install and
                                                                                                                                                               441.40 Pretreatment standards for new
                                                responsibilities among the various                      operate an amalgam separator(s)                             sources (PSNS).
                                                levels of government.                                   compliant with one of these standards                  441.50 Reporting and recordkeeping
                                                                                                        or their equivalent. These voluntary                        requirements.
                                                F. Executive Order 13175: Consultation                  standard setting organizations
                                                and Coordination With Indian Tribal                                                                              Authority: 33 U.S.C. 1251, 1311, 1314,
                                                                                                        established a standard for measuring                   1316, 1317, 1318, 1342, and 1361. 42 U.S.C.
                                                Governments                                             amalgam separator efficiency by                        13101–13103.
                                                  This final rule does not have tribal                  evaluating the retention of amalgam
                                                implications, as specified in Executive                 mercury using specified test procedures                § 441.10   Applicability.
                                                Order 13175. It does not have                           in a laboratory setting. They also                        (a) Except as provided in paragraphs
                                                substantial direct effects on Tribal                    include requirements for instructions                  (c), (d), and (e) of this section, this part
                                                governments, on the relationship                        for use and operation and maintenance.                 applies to dental dischargers.
                                                between the Federal government and                                                                                (b) Unless otherwise designated by
                                                                                                        J. Executive Order 12898: Federal                      the Control Authority, dental
                                                Indian Tribes, or on the distribution of
                                                                                                        Actions To Address Environmental                       dischargers subject to this part are not
                                                power and responsibilities between the
                                                                                                        Justice in Minority Populations and                    Significant Industrial Users as defined
                                                Federal government and Indian Tribes.
                                                                                                        Low-Income Populations                                 in 40 CFR part 403, and are not
                                                This final rule contains no Federal
                                                mandates for Tribal governments and                        EPA determined that this action does                ‘‘Categorical Industrial Users’’ or
                                                does not impose any enforceable duties                  not have disproportionately high and                   ‘‘industrial users subject to categorical
                                                on Tribal governments. Thus, Executive                  adverse human health or environmental                  pretreatment standards’’ as those terms
                                                Order 13175 does not apply to this final                effects on minority populations, low-                  and variations are used in 40 CFR part
                                                rule.                                                   income populations, and/or indigenous                  403, as a result of applicability of this
                                                                                                        peoples, as specified in Executive Order               rule.
                                                G. Executive Order 13045: Protection of                 12898 (59 FR 7629, February 16, 1994).                    (c) This part does not apply to dental
                                                Children From Environmental Health                      While EPA was unable to perform a                      dischargers that exclusively practice one
                                                and Safety Risks                                        detailed environmental justice analysis                or more of the following dental
                                                  This action is not subject to Executive               because it lacks data on the location of               specialties: Oral pathology, oral and
                                                Order 13045 because it is not                           POTWs to which dental discharges                       maxillofacial radiology, oral and
                                                economically significant as defined in                  currently occur, this final rule will                  maxillofacial surgery, orthodontics,
                                                Executive Order 12866, and because                      increase the level of environmental                    periodontics, or prosthodontics.
                                                EPA does not project the environmental                  protection for all affected populations                   (d) This part does not apply to
                                                health or safety risks addressed by this                without having any disproportionately                  wastewater discharges from a mobile
                                                action present a disproportionate risk to               high and adverse human health or                       unit operated by a dental discharger.
                                                children. This final rule will reduce the               environmental effects on any                              (e) This part does not apply to dental
                                                amount of mercury from dental                           population, including any minority or                  dischargers that do not discharge any
                                                amalgam entering POTW’s and                             low-income population. This final rule                 amalgam process wastewater to a
                                                eventually the nation’s waters, which                   will reduce the amount of mercury from                 POTW, such as dental dischargers that
                                                will reduce impacts to the neurological                 dental amalgam entering POTW’s and                     collect all dental amalgam process
                                                development of children.                                eventually the nation’s waters, to benefit             wastewater for transfer to a Centralized
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                                                                                                        all of society, including minority                     Waste Treatment facility as defined in
                                                H. Executive Order 13211: Energy                                                                               40 CFR part 437.
                                                                                                        communities.
                                                Effects                                                                                                           (f) Dental Dischargers that do not
                                                  This action is not a ‘‘significant                    K. Congressional Review Act (CRA)                      place dental amalgam, and do not
                                                energy action’’ because it is not likely to               This action is subject to the CRA, and               remove amalgam except in limited
                                                have a significant adverse effect on the                EPA will submit a rule report to each                  emergency or unplanned, unanticipated
                                                supply, distribution or use of energy.                  House of the Congress and to the                       circumstances, and that certify such to


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                                                                 Federal Register / Vol. 82, No. 113 / Wednesday, June 14, 2017 / Rules and Regulations                                          27177

                                                the Control Authority as required in                    must be assessed by an accredited                      device as established by the device
                                                § 441.50 are exempt from any further                    testing laboratory under ANSI’s                        manufacturer’s instructions for use.
                                                requirements of this part.                              accreditation program for product                         (ii) The removal efficiency must be
                                                                                                        certification or a testing laboratory that             determined using the average
                                                § 441.20   General definitions.                         is a signatory to the International                    performance of three samples. The
                                                   For purposes of this part:                           Laboratory Accreditation Cooperation’s                 removal efficiency must be
                                                   (a) Amalgam process wastewater                       Mutual Recognition Arrangement. The                    demonstrated using a test sample of
                                                means any wastewater generated and                      testing laboratory’s scope of                          dental amalgam that meets the following
                                                discharged by a dental discharger                       accreditation must include ANSI/ADA                    particle size distribution specifications:
                                                through the practice of dentistry that                  108–2009 or ISO 11143.                                 60 percent by mass of particles that pass
                                                may contain dental amalgam.                                (ii) The amalgam separator(s) must be               through a 3150 mm sieve but which do
                                                   (b) Amalgam separator means a                        sized to accommodate the maximum                       not pass through a 500 mm sieve, 10
                                                collection device designed to capture                   discharge rate of amalgam process                      percent by mass of particles that pass
                                                and remove dental amalgam from the                      wastewater.                                            through a 500 mm sieve but which do
                                                amalgam process wastewater of a dental                     (iii) A dental discharger subject to this           not pass through a 100 mm sieve, and 30
                                                facility.                                               part that operates an amalgam separator                percent by mass of particles that pass
                                                   (c) Control Authority is defined in 40               that was installed at a dental facility                through a 100 mm sieve. Each of these
                                                CFR 403.3(f).                                           prior to June 14, 2017, satisfies the                  three specified particle size
                                                   (d) Dental amalgam means an alloy of                 requirements of paragraphs (a)(1)(i) and               distributions must contain a
                                                elemental mercury and other metal(s)                    (ii) of this section until the existing                representative distribution of particle
                                                that is used in the practice of dentistry.              separator is replaced as described in                  sizes.
                                                   (e) Dental Discharger means a facility               paragraph (a)(1)(v) of this section or                    (iii) The device(s) must be sized to
                                                where the practice of dentistry is                      until June 14, 2017, whichever is                      accommodate the maximum discharge
                                                performed, including, but not limited to,               sooner.                                                rate of amalgam process wastewater.
                                                institutions, permanent or temporary                       (iv) The amalgam separator(s) must be                  (iv) The devices(s) must be
                                                offices, clinics, home offices, and                     inspected in accordance with the                       accompanied by the manufacturer’s
                                                facilities owned and operated by                        manufacturer’s operating manual to                     manual providing instructions for use
                                                Federal, state or local governments, that               ensure proper operation and                            including the frequency for inspection
                                                discharges wastewater to a publicly                     maintenance of the separator(s) and to                 and collecting container replacement
                                                owned treatment works (POTW).                           confirm that all amalgam process                       such that the unit is replaced once it has
                                                   (f) Duly Authorized Representative is                wastewater is flowing through the                      reached the maximum filling level at
                                                defined in 40 CFR 403.12(l)(3).                         amalgam retaining portion of the                       which the device can perform to the
                                                   (g) Existing Sources means a dental                  amalgam separator(s).                                  specified efficiency.
                                                discharger that is not a new source.                       (v) In the event that an amalgam                       (v) The device(s) must be inspected in
                                                   (h) Mobile unit means a specialized                  separator is not functioning properly,                 accordance with the manufacturer’s
                                                mobile self-contained van, trailer, or                  the amalgam separator must be repaired                 operation manual to ensure proper
                                                equipment used in providing dentistry                   consistent with manufacturer                           operation and maintenance, including
                                                services at multiple locations.                         instructions or replaced with a unit that              confirmation that amalgam process
                                                   (i) New Sources means a dental                       meets the requirements of paragraphs                   wastewater is flowing through the
                                                discharger whose first discharge to a                   (a)(i) and (ii) of this section as soon as             amalgam separating portion of the
                                                POTW occurs after July 14, 2017.                        possible, but no later than 10 business                device(s).
                                                   (j) Publicly Owned Treatment Works                   days after the malfunction is discovered                  (vi) In the event that a device is not
                                                is defined in 40 CFR 403.3(q).                          by the dental discharger, or an agent or               functioning properly, it must be
                                                                                                        representative of the dental discharger.               repaired consistent with manufacturer
                                                § 441.30 Pretreatment standards for                        (vi) The amalgam retaining units must               instructions or replaced with a unit that
                                                existing sources (PSES).                                be replaced in accordance with the                     meets the requirements of paragraphs
                                                   No later than July 14, 2020, any                     manufacturer’s schedule as specified in                (a)(2)(i) through (iii) of this section as
                                                existing source subject to this part must               the manufacturer’s operating manual or                 soon as possible, but no later than 10
                                                achieve the following pretreatment                      when the amalgam retaining unit has                    business days after the malfunction is
                                                standards:                                              reached the maximum level, as                          discovered by the dental discharger, or
                                                   (a) Removal of dental amalgam solids                 specified by the manufacturer in the                   an agent or representative of the dental
                                                from all amalgam process wastewater by                  operating manual, at which the                         discharger.
                                                one of the following methods:                           amalgam separator can perform to the                      (vii) The amalgam retaining unit(s) of
                                                   (1) Installation, operation, and                     specified efficiency, whichever comes                  the device(s) must be replaced as
                                                maintenance of one or more amalgam                      first.                                                 specified in the manufacturer’s
                                                separators that meet the following                         (2) Installation, operation, and                    operating manual, or when the
                                                requirements:                                           maintenance of one or more amalgam                     collecting container has reached the
                                                   (i) Compliant with either the                        removal device(s) other than an                        maximum filling level, as specified by
                                                American National Standards Institute                   amalgam separator. The amalgam                         the manufacturer in the operating
                                                (ANSI) American National Standard/                      removal device must meet the following                 manual, at which the amalgam separator
                                                American Dental Association (ADA)                       requirements:                                          can perform to the specified efficiency,
                                                Specification 108 for Amalgam                              (i) Removal efficiency of at least 95               whichever comes first.
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                                                Separators (2009) with Technical                        percent of the mass of solids from all                    (viii) The demonstration of the
                                                Addendum (2011) or the International                    amalgam process wastewater. The                        device(s) under paragraphs (a)(2)(i)
                                                Organization for Standardization (ISO)                  removal efficiency must be calculated in               through (iii) of this section must be
                                                11143 Standard (2008) or subsequent                     grams recorded to three decimal places,                documented in the One-Time
                                                versions so long as that version requires               on a dry weight basis. The removal                     Compliance Report.
                                                amalgam separators to achieve at least a                efficiency must be demonstrated at the                    (b) Implementation of the following
                                                95% removal efficiency. Compliance                      maximum water flow rate through the                    best management practices (BMPs):


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                                                27178            Federal Register / Vol. 82, No. 113 / Wednesday, June 14, 2017 / Rules and Regulations

                                                   (1) Waste amalgam including, but not                 sources, a One-Time Compliance Report                     (5) Retention period. As long as a
                                                limited to, dental amalgam from chair-                  must be submitted to the Control                       Dental Discharger subject to this part is
                                                side traps, screens, vacuum pump                        Authority no later than 90 days                        in operation, or until ownership is
                                                filters, dental tools, cuspidors, or                    following the introduction of                          transferred, the Dental Discharger or an
                                                collection devices, must not be                         wastewater into a POTW.                                agent or representative of the dental
                                                discharged to a POTW.                                      (2) Signature and certification. The                discharger must maintain the One-Time
                                                   (2) Dental unit water lines, chair-side              One-Time Compliance Report must be                     Compliance Report required at
                                                traps, and vacuum lines that discharge                  signed and certified by a responsible                  paragraph (a) of this section and make
                                                amalgam process wastewater to a POTW                    corporate officer, a general partner or                it available for inspection in either
                                                must not be cleaned with oxidizing or                   proprietor if the dental discharger is a               physical or electronic form.
                                                acidic cleaners, including but not                      partnership or sole proprietorship, or a                  (b) Dental Dischargers or an agent or
                                                limited to bleach, chlorine, iodine and                 duly authorized representative in                      representative of the dental discharger
                                                peroxide that have a pH lower than 6 or                 accordance with the requirements of 40                 must maintain and make available for
                                                greater than 8.                                         CFR 403.12(l).                                         inspection in either physical or
                                                   (c) All material is available for                       (3) Contents. (i) The One-Time                      electronic form, for a minimum of three
                                                inspection at EPA’s Water Docket, EPA                   Compliance Report for dental                           years:
                                                West, 1301 Constitution Avenue NW.,                     dischargers subject to this part that do                  (1) Documentation of the date,
                                                Room 3334, Washington, DC 20004,                        not place or remove dental amalgam as                  person(s) conducting the inspection,
                                                Telephone: 202–566–2426, and is                         described at § 441.10(f) must include                  and results of each inspection of the
                                                available from the sources listed below.                the: facility name, physical address,                  amalgam separator(s) or equivalent
                                                   (1) The following standards are                      mailing address, contact information,                  device(s), and a summary of follow-up
                                                available from the American Dental                      name of the operator(s) and owner(s);                  actions, if needed.
                                                Association (ADA), 211 East Chicago                     and a certification statement that the                    (2) Documentation of amalgam
                                                Ave., Chicago IL 60611–2678,                            dental discharger does not place dental                retaining container or equivalent
                                                Telephone 312–440–2500, http://                         amalgam and does not remove amalgam                    container replacement (including the
                                                www.ada.org.                                            except in limited circumstances.                       date, as applicable).
                                                   (i) ANSI/ADA Specification No.                          (ii) The One-Time Compliance Report                    (3) Documentation of all dates that
                                                108:2009, American National Standard/                   for dental dischargers subject to the                  collected dental amalgam is picked up
                                                American Dental Association                             standards of this part must include:                   or shipped for proper disposal in
                                                Specification No. 108 Amalgam                              (A) The facility name, physical                     accordance with 40 CFR 261.5(g)(3), and
                                                Separators. February 2009.                              address, mailing address, and contact                  the name of the permitted or licensed
                                                   (ii) ANSI/ADA Specification No.                      information.                                           treatment, storage or disposal facility
                                                108:2009 Addendum, American                                (B) Name(s) of the operator(s) and                  receiving the amalgam retaining
                                                National Standard/American Dental                       owner(s).                                              containers.
                                                Association Specification No. 108                          (C) A description of the operation at
                                                                                                                                                                  (4) Documentation of any repair or
                                                Amalgam Separators, Addendum.                           the dental facility including: The total
                                                                                                                                                               replacement of an amalgam separator or
                                                November 2011.                                          number of chairs, the total number of
                                                                                                                                                               equivalent device, including the date,
                                                   (2) The following standards are                      chairs at which dental amalgam may be
                                                                                                                                                               person(s) making the repair or
                                                available from the American National                    present in the resulting wastewater, and
                                                                                                                                                               replacement, and a description of the
                                                Standards Institute (ANSI), 25 West                     a description of any existing amalgam
                                                                                                                                                               repair or replacement (including make
                                                43rd Street, 4th Floor, New York, NY                    separator(s) or equivalent device(s)
                                                                                                                                                               and model).
                                                10036, Telephone 212–642–4900, http://                  currently operated to include, at a
                                                                                                                                                                  (5) Dischargers or an agent or
                                                webstore.ansi.org.                                      minimum, the make, model, year of
                                                                                                                                                               representative of the dental discharger
                                                   (i) International Standard ISO                       installation.
                                                                                                           (D) Certification that the amalgam                  must maintain and make available for
                                                11143:2008, Dentistry—Amalgam                                                                                  inspection in either physical or
                                                Separators. Second edition, July 1, 2008.               separator(s) or equivalent device is
                                                                                                        designed and will be operated and                      electronic form the manufacturers
                                                   (ii) [Reserved]                                                                                             operating manual for the current device.
                                                                                                        maintained to meet the requirements
                                                § 441.40 Pretreatment standards for new                 specified in § 441.30 or § 441.40.                     [FR Doc. 2017–12338 Filed 6–12–17; 11:15 am]
                                                sources (PSNS).                                            (E) Certification that the dental                   BILLING CODE 6560–50–P

                                                  As of July 14, 2017, any new source                   discharger is implementing BMPs
                                                subject to this part must comply with                   specified in § 441.30(b) or § 441.40(b)
                                                the requirements of § 441.30(a) and (b)                 and will continue to do so.                            FEDERAL COMMUNICATIONS
                                                and the reporting and recordkeeping                        (F) The name of the third-party                     COMMISSION
                                                requirements of § 441.50.                               service provider that maintains the
                                                                                                        amalgam separator(s) or equivalent                     47 CFR Parts 2, 15, 80, 90, 97, and 101
                                                § 441.50 Reporting and recordkeeping                    device(s) operated at the dental office, if
                                                requirements.                                                                                                  [ET Docket No. 15–99; FCC 17–33]
                                                                                                        applicable. Otherwise, a brief
                                                   (a) Dental Dischargers subject to this               description of the practices employed                  WRC–12 Implementation Report and
                                                part must comply with the following                     by the facility to ensure proper                       Order
                                                reporting requirements in lieu of the                   operation and maintenance in
                                                otherwise applicable requirements in 40                 accordance with § 441.30 or § 441.40.                  AGENCY:  Federal Communications
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                                                CFR 403.12(b), (d), (e), and (g).                          (4) Transfer of ownership notification.             Commission.
                                                   (1) One-Time Compliance Report                       If a dental discharger transfers                       ACTION: Final rule.
                                                deadlines. For existing sources, a One-                 ownership of the facility, the new owner
                                                Time Compliance Report must be                          must submit a new One-Time                             SUMMARY:  In this document, the
                                                submitted to the Control Authority no                   Compliance Report to the Control                       Commission implemented allocation
                                                later than October 12, 2020, or 90 days                 Authority no later than 90 days after the              changes from the World
                                                after a transfer of ownership. For new                  transfer.                                              Radiocommunication Conference


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Document Created: 2017-06-14 01:23:35
Document Modified: 2017-06-14 01:23:35
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionRules and Regulations
ActionFinal rule.
DatesThe final rule is effective on July 14, 2017. The compliance date, meaning the date that existing sources subject to the rule must comply with the standards in this rule is July 14, 2020. After the effective date of the rule, new sources subject to this rule must comply immediately with the standards in this rule. In accordance with 40 CFR part 23, this regulation shall be considered issued for purposes of judicial review at 1 p.m. Eastern time on June 28, 2017. Under section 509(b)(1) of the CWA, judicial review of this regulation can be had only by filing a petition for review in the U.S. Court of Appeals within 120 days after the regulation is considered issued for purposes of judicial review. Under section 509(b)(2), the requirements in this regulation may not be challenged later in civil or criminal proceedings brought by EPA to enforce these requirements.
ContactFor more information, see EPA's Web site: https://www.epa.gov/eg/dental-effluent-guidelines. For technical information, contact Ms. Karen Milam, Engineering and Analysis Division (4303T), Office of Water, Environmental Protection Agency, 1200 Pennsylvania Ave. NW., Washington, DC 20460-0001; telephone: 202-566- 1915; email: [email protected]
FR Citation82 FR 27154 
RIN Number2040-AF26
CFR AssociatedEnvironmental Protection; Dental; Dental Office; Dentist; Mercury; Pretreatment; Waste Treatment and Disposal and Water Pollution Control

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