82_FR_28725 82 FR 28605 - Approval of Missouri Air Quality Implementation Plans; Determination of Attainment for the 2010 1-Hour Primary Sulfur Dioxide National Ambient Air Quality Standard; Jefferson County Nonattainment Area

82 FR 28605 - Approval of Missouri Air Quality Implementation Plans; Determination of Attainment for the 2010 1-Hour Primary Sulfur Dioxide National Ambient Air Quality Standard; Jefferson County Nonattainment Area

ENVIRONMENTAL PROTECTION AGENCY

Federal Register Volume 82, Issue 120 (June 23, 2017)

Page Range28605-28611
FR Document2017-13190

The Environmental Protection Agency (EPA) is proposing to determine that the Jefferson County nonattainment area, in Missouri, has attained the 2010 1-hour primary Sulfur Dioxide (SO<INF>2</INF>) National Ambient Air Quality Standard (NAAQS) per the EPA's Clean Data Policy. This proposed determination of attainment is based upon complete, quality assured, and certified ambient air monitoring data from the 2014-2016 monitoring period, associated dispersion modeling, and supplemental emissions inventory information, which demonstrate that the Jefferson County area attained the 2010 1-hour primary SO<INF>2</INF> NAAQS.

Federal Register, Volume 82 Issue 120 (Friday, June 23, 2017)
[Federal Register Volume 82, Number 120 (Friday, June 23, 2017)]
[Proposed Rules]
[Pages 28605-28611]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2017-13190]


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ENVIRONMENTAL PROTECTION AGENCY

40 CFR Part 52

[EPA-R07-OAR-2017-0251; FRL-9963-75-Region 7]


Approval of Missouri Air Quality Implementation Plans; 
Determination of Attainment for the 2010 1-Hour Primary Sulfur Dioxide 
National Ambient Air Quality Standard; Jefferson County Nonattainment 
Area

AGENCY: Environmental Protection Agency (EPA).

ACTION: Proposed rule.

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SUMMARY: The Environmental Protection Agency (EPA) is proposing to 
determine that the Jefferson County nonattainment area, in Missouri, 
has attained the 2010 1-hour primary Sulfur Dioxide (SO2) 
National Ambient Air Quality Standard (NAAQS) per the EPA's Clean Data 
Policy. This proposed determination of attainment is based upon 
complete, quality assured, and certified ambient air monitoring data 
from the 2014-2016 monitoring period, associated dispersion modeling, 
and supplemental emissions inventory information, which demonstrate 
that the Jefferson County area attained the 2010 1-hour primary 
SO2 NAAQS.

DATES: Comments must be received on or before July 24, 2017.

ADDRESSES: Submit your comments, identified by Docket ID No. EPA-R07-
OAR-2017-0251, to https://www.regulations.gov. Follow the online 
instructions for submitting comments. Once submitted, comments cannot 
be edited or removed from Regulations.gov. The EPA may publish any 
comment received to its public docket. Do not submit electronically any 
information you consider to be Confidential Business Information (CBI) 
or other information whose disclosure is restricted by statute. 
Multimedia submissions (audio, video, etc.) must be accompanied by a 
written comment. The written comment is considered the official comment 
and should include discussion of all points you wish to make. The EPA 
will generally not consider comments or comment contents located 
outside of the primary submission (i.e. on the web, cloud, or other 
file sharing system). For additional submission methods, the full EPA 
public comment policy, information about CBI or multimedia submissions, 
and general guidance on making effective comments, please visit https://www2.epa.gov/dockets/commenting-epa-dockets.

FOR FURTHER INFORMATION CONTACT: Ms. Tracey Casburn, Environmental 
Protection Agency, Air Planning and Development Branch, 11201 Renner 
Boulevard, Lenexa, Kansas 66219 at (913) 551-7016, or by email at 
[email protected].

SUPPLEMENTARY INFORMATION: Throughout this document ``we,'' ``us,'' and 
``our'' refer to the EPA. This section provides additional information 
by addressing the following:

I. What action is the EPA proposing?
II. What is the background of this action?
    a. Nonattainment Designation
    b. Clean Data Policy
    c. How does a Nonattainment Area achieve ``Clean Data'' for the 
2010 1-hour primary SO2 NAAQS?
    d. What information did the state provide to the EPA to 
demonstrate that the area has attained the NAAQS?
    e. What is the EPA's rationale for proposing this action?
III. What is the EPA's analysis of the state's Air Quality 
Monitoring and Modeling Data, and the state's Supplemental Emissions 
Inventory Information?
    a. Ambient Air Quality Monitoring Data Evaluation
    b. Modeling Data and Supplemental 2016 Emissions Information 
Evaluation
IV. What would be the effects of this action, if promulgated?
V. Statutory and Executive Order Reviews

I. What action is the EPA proposing?

    The EPA is proposing to determine that the Jefferson County 2010 1-
hour primary SO2 nonattainment area (hereby referred to as 
``the nonattainment area''), in Missouri, has attained the 2010 1-hour 
primary SO2 NAAQS.\1\ This proposed determination of 
attainment is based on a February 2016 request from the state (as later 
supplemented) that the EPA consider information--including complete, 
quality assured, and certified ambient air monitoring data from the 
2013-2015 monitoring period, with additional certified monitoring data 
from 2016, associated dispersion modeling for the 2013-2015 emission 
years, as well as supplemental 2016 emissions inventory information--
which show that the nonattainment area has attained the 2010 1-hour 
primary SO2 NAAQS.2 3
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    \1\ In accordance with Appendix T to 40 CFR part 50, the 1-hour 
primary SO2 NAAQS is met at an ambient air quality 
monitoring site when the valid 1-hour primary standard design value 
is less than or equal to 75 parts per billion (ppb). 40 CFR 
50.17(b).
    \2\ In accordance with Appendix T to 40 CFR part 50, a 1-hour 
primary SO2 NAAQS design value is valid if it encompasses 
three consecutive calendar years of complete data. A year meets data 
completeness requirements when all 4 quarters are complete. A 
quarter is complete when at least 75 percent of the sampling days 
for each quarter have complete data. A sampling day has complete 
data if 75 percent of the hourly concentration values, including 
state-flagged data affected by exceptional events which have been 
approved for exclusion by the Administrator, are reported.
    \3\ Monitoring data must be reported, quality assured, and 
certified in accordance with the requirements set forth in 40 CFR 
part 58.
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    The EPA has made the monitoring data, the modeling data, the 
supplemental emissions inventory information and additional information 
submitted by the state to support this proposed action available in the 
docket to this rulemaking through www.regulations.gov and/or at the EPA 
Region 7 Office (please contact the person identified in the FOR 
FURTHER INFORMATION CONTACT section of this preamble for more 
information).

II. What is the background of this action?

a. Nonattainment Designation

    On June 2, 2010 (75 FR 35520), the EPA established a health-based 
1-hour primary SO2 NAAQS at 75 ppb. Upon promulgation of a 
new or revised NAAQS, section 107(d) of the Clean Air

[[Page 28606]]

Act (CAA) requires the EPA to designate any area that does not meet (or 
that contributes to ambient air quality in a nearby area that does not 
meet) the NAAQS as nonattainment. On August 5, 2013, the EPA designated 
a portion of Jefferson County, Missouri, as nonattainment for the 2010 
1-hour primary SO2 NAAQS, effective October 4, 2013.\4\ The 
designation was based on 2008-2010 monitoring data in Herculaneum, 
Missouri, which monitored violations of the standard (see section III 
of this document for additional monitoring information). The effective 
date of the nonattainment designation was October 4, 2013. This action 
established an attainment date five years after the effective date for 
the areas designated as nonattainment for the 2010 SO2 NAAQS 
(i.e., by October 4, 2018). The state was also required to submit a 
State Implementation Plan (SIP) for the nonattainment area to the EPA 
that meets the requirements of CAA sections 110, 172(c) and 191-192 
within 18 months following the October 4, 2013, effective date of 
designation (i.e., by April 4, 2015). The State of Missouri submitted 
the ``Nonattainment Area Plan for the 2010 1-Hour Sulfur Dioxide 
National Ambient Air Quality Standard Jefferson County Sulfur Dioxide 
Nonattainment Area'' on June 5, 2015.
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    \4\ 78 FR 47191 (August 5, 2013), codified at 40 CFR 81.326.
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b. Clean Data Policy

    Where states request a clean data determination of a designated 
SO2 NAAQS nonattainment area, the EPA will determine whether 
or not an area has attained the NAAQS based on air quality monitoring 
data (when available) and air quality dispersion modeling information 
for the affected area as necessary. The EPA issued ``Clean Data'' 
policy memoranda for SO2 and other NAAQS describing reduced 
attainment planning requirements for nonattainment areas that attain 
the NAAQS, but have not yet been redesignated as 
attainment.5 6 Additionally, the EPA has issued national 
rulemakings that have codified this policy for ozone and fine 
particulate matter (PM2.5) NAAQS.\7\ Under the Clean Data 
policy, the EPA interprets the requirements of the CAA that are 
specifically designed to help an area achieve attainment, such as 
attainment demonstrations and implementation of reasonably available 
control measures (including reasonably available control technology), 
reasonable further progress (RFP) demonstrations, and contingency 
measures, to be suspended as long as air quality continues to meet the 
standard.
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    \5\ Memorandum of December 14, 2004, from Steve Page, Director, 
EPA Office of Air Quality Planning and Standards to the EPA Air 
Division Directors, ``Clean Data Policy for the Fine Particle 
National Ambient Air Quality Standards.'' This document is available 
at: http://www.epa.gov/pmdesignations/guidance.htm.
    \6\ The memorandum of April 23, 2014, from Steve Page, Director, 
EPA Office of Air Quality Planning and Standards to the EPA Air 
Division Directors ``Guidance for 1-hr SO2 Nonattainment 
Area SIP Submissions'' provides guidance for the application of the 
clean data policy to the 2010 1-hour primary SO2 NAAQS. 
This document is available at https://www.epa.gov/sites/production/files/2016-06/documents/20140423guidance_nonattainment_sip.pdf.
    \7\ See, e.g., 81 FR 58010, 81 FR 58127-58129 (August 24, 2016) 
(promulgating 40 CFR 51.1015); 80 FR 12264, 80 FR 12296 
(promulgating 51.1118). See also 70 FR 71612, 70 FR 71664-46 
(November 29, 2005); 72 FR 20585, 72 FR 20603-20605 (April 25, 
2007).
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    In the memorandum of April 23, 2014, from Steve Page, Director, EPA 
Office of Air Quality Planning and Standards to the EPA Air Division 
Directors ``Guidance for 1-hr SO2 Nonattainment Area SIP 
Submissions'' (2014 SO2 Nonattainment Area Guidance), the 
EPA explained its intention to extend the Clean Data Policy to 1-hour 
SO2 nonattainment areas that attained the standard. As noted 
therein, the legal bases set forth in the various guidance documents 
and regulations establishing the Clean Data Policy for other pollutants 
are equally pertinent to all NAAQS.\8\ This proposed rule is also 
consistent with prior actions of the EPA applying the Clean Data Policy 
to two other nonattainment areas under the 2010 SO2 
NAAQS.\9\
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    \8\ See court cases upholding legal basis for the EPA's Clean 
Data Determination Policy, NRDC v. EPA, 571 F.3d at 1258-61 (D.C. 
Cir. 2009); Sierra Club v. EPA, 99 F.3d 1551 (10th Cir. 1996); 
Latino Issues Forum v. EPA, 315 Fed. App. 651, 652 (9th Cir. 2009).
    \9\ 82 FR 13227 (March 10, 2016) and 81 FR 28718 (May 10, 2016).
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    Clean data determinations are not redesignations to attainment. For 
the EPA to redesignate an area to attainment, a state must submit and 
receive full approval of a redesignation request that satisfies all of 
the statutory criteria for redesignation to attainment, including a 
demonstration that the improvement in the area's air quality is due to 
permanent and enforceable reductions; have a fully approved SIP that 
meets all of the applicable requirements under CAA section 110 and CAA 
part D; and have a fully approved maintenance plan.

c. How does a nonattainment area achieve ``clean data'' for the 2010 1-
hour primary SO2 NAAQS?

    Generally, the EPA relies on ambient air quality monitoring data 
alone in order to make determinations of attainment for areas 
designated nonattainment for a particular NAAQS. However, given the 
Agency's historical approach toward SO2, the source-specific 
nature of SO2 emissions, and the localized effect of those 
emissions, in the preamble to the 2010 1-hour primary SO2 
NAAQS rulemaking, the EPA stated that it did not expect to rely solely 
on monitored air quality data in all areas when determining if an area 
has attained the 2010 1-hour primary SO2 NAAQS (75 FR 
35551). As the EPA noted in the preamble, in order for the EPA to 
determine that an area is attaining the 2010 1-hour primary 
SO2 NAAQS, dispersion modeling may be needed to show no 
violating receptors even if a monitoring site showed no violations.\10\ 
This was because, as the EPA explained in the preamble, the Agency did 
not expect that most existing SO2 monitors were well sited 
to record maximum 1-hour ambient SO2 concentrations under 
the new NAAQS. The 2014 SO2 Nonattainment Area Guidance 
states that, in order for a nonattainment area that was designated 
based on air quality monitoring data to be determined as attaining the 
NAAQS, the state would need to meet a series of criteria. First, the 
state would need to demonstrate that the area is meeting the standard 
based on three consecutive calendar years of air quality monitoring 
that is complete and quality-assured (consistent with 40 CFR part 58 
requirements). Second, the state would need to either (1) provide 
modeling of the most recent three years of actual

[[Page 28607]]

emissions for the area or (2) provide a demonstration that the affected 
monitor(s) is or are located in the area of maximum concentration. As 
explained in more detail later in this section, the EPA believes that 
it is permissible to substitute current source-specific allowable 
emissions for actual emissions for the purpose of demonstrating (1) in 
this paragraph.
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    \10\ As noted in the preamble to the 2010 1-hour primary 
SO2 NAAQS (75 FR 35551), this has been the EPA's general 
position throughout the history of implementation of the 
SO2 NAAQS program. See, e.g., ``Air Quality Control 
Regions, Criteria, and Control techniques; Attainment Status 
Designations,'' 43 FR 40412, 43 FR 40415-43 FR 40416 (September 11, 
1978); ``Air Quality Control Regions, Criteria, and Control 
Techniques,'' 43 FR 45993, 43 FR 46000-43 FR 46002 (October 5, 
1978); ``Air Quality Implementation Plans: State Implementation 
Plans; General Preamble,'' 57 FR 13498, 57 FR 13545, 57 FR 13547-57 
FR 13557, 57 FR 13548 (April 16, 1992); ``Approval and Promulgation 
of State Implementation Plans; Call for Sulfur Dioxide SIP Revisions 
for Billings/Laurel, MT,'' 58 FR 41430 (August 4, 1993); 
``Designation of Areas for Air Quality Planning Purposes; Ohio,'' 59 
FR 12886, 59 FR 12887 (March 18, 1994); ``Ambient Air Quality 
Standards, National and Implementation Plans for Sulfur Oxides 
(Sulfur Dioxide),'' 60 FR 12492, 60 FR 12494-60 FR 12495 (March 7, 
1995); ``Air Quality Implementation Plans; Approval and 
Promulgation: Various States: Montana,'' 67 FR 22167, 67 FR 22170-67 
FR 22171, 67 FR 22183-67 FR 22887 (May 2, 2002).
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    If a demonstration shows that the monitor(s) is or are located in 
the area of maximum concentration, the EPA believes that it may be 
appropriate to determine that the nonattainment area is attaining the 
standard based on monitoring data alone. The state did not submit a 
demonstration that the monitor was located in the area of maximum 
concentration, therefore its submittal needed to provide a modeling 
demonstration in support of a clean data determination.
    The 2014 SO2 Nonattainment Area Guidance states that, 
when air agencies provide monitoring and/or modeling to support clean 
data determinations, the monitoring data provided by the state should 
follow the EPA's ``SO2 NAAQS Designations Source-Oriented 
Monitoring Technical Assistance Document'' (SO2 monitoring 
TAD) and the modeling provided by the state should follow the EPA's 
``SO2 NAAQS Designations Modeling Technical Assistance 
Document'' (SO2 Modeling TAD).11 12 The 
SO2 Modeling TAD outlines modeling approaches for future 
SO2 NAAQS attainment status designations and states that, 
for the purposes of modeling to characterize air quality for use in 
SO2 designations, the EPA recommends using a minimum of the 
most recent three years of actual emissions data and concurrent 
meteorological data to allow the modeling to simulate what a monitor 
would observe. Additionally, the SO2 Modeling TAD indicates 
that it is acceptable to use allowable emission rates instead of actual 
emission rates. Although past actual emissions could have been higher 
than those under the most recent allowable rate, the SO2 
Modeling TAD reflects the EPA's belief that it is reasonable to account 
for any lower allowable limits currently in place when determining if 
an area is attaining the NAAQS. In addition, the SO2 
Modeling TAD indicates that, where an allowable emissions limit has 
been lowered during the relevant three-year period (such as through the 
implementation of emissions controls), the air agency may rely on the 
new limit in demonstrating that the modeled limit assures attainment. 
In this fashion, the most recent permitted or potential to emit rate 
should be used along with a minimum of the most recent three years of 
meteorological data.\13\
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    \11\ The SO2 NAAQS Designations Source-Oriented 
Monitoring Draft Technical Assistance Document, Office of Air 
Quality Planning and Standards, Air Quality Assessment Division, May 
2013, can be found at https://www.epa.gov/sites/production/files/2016-06/documents/so2monitoringtad.pdf.
    \12\ The SO2 NAAQS Designations Modeling Technical 
Assistance Document, Office of Air Quality Planning and Standards, 
Air Quality Assessment Division, May 2013, can be found at https://www.epa.gov/sites/production/files/2016-06/documents/so2modelingtad.pdf.
    \13\ See page 10 of the SO2 Modeling TAD.
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    The EPA believes that modeling a mix of current allowable emissions 
and actual emissions would be permissible in such an analysis as long 
as the same type of emissions are used for each source for all three 
years. For instance, if a state decided to use current allowables for a 
facility in a modeling analysis, the state would need to use current 
allowables for all three years of the analysis for that facility. The 
state would not necessarily need to use current allowables for the 
other sources in the analysis (i.e., actuals would be permissible for 
all three years for other sources in the area). The EPA believes this 
kind of analysis is appropriate for both designations and clean data 
determinations, both of which use the analysis to determine whether the 
area is currently meeting the NAAQS.
    The EPA recognizes that its 2014 SO2 Nonattainment Area 
Guidance does not on its face suggest that modeling allowable emissions 
would be an acceptable alternative to modeling actual emissions in the 
clean data determination or redesignations contexts. However, the 
Agency considers it to have been an oversight on its part not to have 
addressed this alternative possibility in the 2014 SO2 
Nonattainment Area Guidance, as the Agency clearly has endorsed the use 
of both actual emissions and allowable emissions in the SO2 
Modeling TAD in general and in the recent rounds of area designations 
under the SO2 NAAQS, in contexts where, as here, the Agency 
is making a factual judgment about whether an area has attained the 
NAAQS. Moreover, the 2014 guidance also suggests that modeling of 
allowables emissions, combined with other information, could also be 
used to determine whether, after the attainment deadline has passed, 
areas in fact timely attained the NAAQS under CAA section 179. 
Therefore, although the SO2 Nonattainment Area Guidance was 
silent on using allowable emissions in the clean data determination and 
redesignations contexts, the EPA believes it is not inconsistent with 
the guidance to endorse that practice now, provided the allowables-
based modeling is conducted appropriately pursuant to the 
SO2 Modeling TAD and applicable EPA regulations such as 
those governing stack heights and dispersion techniques at 40 CFR 
51.100 and 40 CFR 51.118.

d. What information did the state provide to the EPA to demonstrate 
that the area attained the NAAQS?

    On February 2, 2016, the state submitted a request asking the EPA 
to determine that the nonattainment area attained the 2010 1-hour 
primary SO2 NAAQS per the EPA's Clean Data Policy. The 
request included the most recent three years of complete, quality 
assured, and certified ambient air monitoring data from the 2013-2015 
monitoring period; the design value for 2013-2015 was 66.0 ppb. In a 
response letter, dated March 4, 2016, the EPA stated that, because the 
request did not include a modeling demonstration showing attainment 
utilizing the most recent three years of actual emissions or a 
demonstration that the monitor was located in the area of maximum 
concentration for the nonattainment area, the state's request did not 
contain the necessary supporting information as outlined in the EPA's 
2014 SO2 Nonattainment Area Guidance. In a letter dated 
August 4, 2016, the state provided modeling of the most recent three 
years of actual emissions (2013-2015) for the nonattainment area. 
However, in the provided modeling, the Doe Run Herculaneum facility was 
zeroed out despite the fact that the facility was still operating in 
2013.\14\ On November 9, 2016, the EPA asked the state (via email) to 
provide additional information regarding the exclusion of emissions 
from the Doe Run Herculaneum facility for the 2013-2015 emission years 
from the modeling demonstration as well as additional information 
regarding its selection of the 2014 emissions data year as a surrogate 
for the interactive sources' emissions.\15\ The state submitted 
supporting information to the EPA on November 21, 2016. In its November

[[Page 28608]]

2016 submittal the state spoke to the complexity of modeling fugitive 
emissions from the Doe Run Herculaneum facility and the appropriateness 
of utilizing 2014 emissions as a surrogate for the interactive sources. 
On February 22, 2017, the state provided additional supplemental 
information that consisted of available 2016 emissions inventory 
information. On May 1, 2017, the EPA received email notification from 
the state that its 2016 ambient air quality data was certified as 
complete and continues to show attainment of the standard; the design 
value for 2014-2016 is 23.0 ppb. These communications are available in 
the docket for this action.
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    \14\ The Doe Run Herculaneum (Herculaneum) facility was a lead 
smelting facility identified by the state and the EPA as the largest 
source of SO2 emissions in Jefferson County at the time 
of the promulgation of nonattainment designations in 2013. The 
facility ceased operations in December 2013. Although the source 
operated in 2013, emitting 11,477 tons of SO2, the state 
zeroed out its emissions in each of the 2013-2015 emission years in 
the modeling information.
    \15\ The state modeled all interactive sources utilizing the 
sources' 2014 emission limits (essentially modeling the 2014 
emissions input three times). The EPA requested that the state 
confirm that utilizing 2014 as a surrogate for 2013 and 2015 was 
appropriate.
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e. What is the EPA's rationale for proposing this action?

    The EPA is proposing to issue a determination of attainment for the 
nonattainment area based on the area's 2013-2015 modeling 
demonstration, which is supported by monitoring data from the Mott 
Street monitor. The 2014 SO2 Nonattainment Area Guidance and 
the accompanying 2016 SO2 Modeling TAD allow for 
nonattainment areas to model a mix of actual emissions and current 
allowable emissions, and as noted previously, we interpret that 
document to also allow this approach for a clean data determination.
    The state modeled actual emissions for all sources except for the 
Doe Run Herculaneum facility, which was modeled at zero emissions, 
since the facility shut down in December 2013.\16\ This treatment of 
the Doe Run Herculaneum facility is appropriate because the 
demonstration includes emissions for Doe Run Herculaneum using the most 
recent allowable emissions rate, which has been permanently and 
enforceably lowered during the relevant period. The maximum modeled 
impact from the model scenario is 172.8 [mu]g/m3, or 66 ppb, which 
complies with the 1-hour standard of 75 ppb. The model results satisfy 
the criteria for determinations of attainment according to the EPA's 
guidance and policy.
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    \16\ The Doe Run was limited to the terms of a consent decree 
applicable to the Herculaneum facility entered into by Doe Run, 
Missouri, and EPA in the United States District Court in the Eastern 
District of Missouri, Case No. 4:10-cv-01895-JCH on December 21, 
2011 (2011 Consent Decree). On December 31, 2013, pursuant to the 
terms of the 2011 Consent Decree, Doe Run permanently ceased 
operations of the sintering plant. The 2011 Consent Decree also 
required Doe Run to permanently cease smelting operations and retire 
the blast furnaces by April 30, 2014; Doe Run ceased operation of 
the blast furnaces on December 31, 2013, concurrently with the 
cessation of operation of the sintering plant.
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III. What is the EPA's analysis of the state's air quality monitoring 
and modeling data, and the state's supplemental emissions inventory 
information?

a. Ambient Air Quality Monitoring Data Evaluation

    According to the 2014 SO2 Nonattainment Area Guidance, 
to support a clean data determination based on monitoring, the state 
needs to demonstrate that the area is meeting the standard based on 
three consecutive calendar years of complete and quality-assured air 
quality monitoring data (consistent with 40 CFR part 58 requirements). 
The EPA has determined that three complete consecutive calendar years 
of quality-assured air quality monitoring data from the Mott Street 
monitor have been recorded in the EPA's Air Quality System (AQS), and 
the data meets the requirements of Appendix T to 40 CFR part 50 and 40 
CFR part 58. This data suggests improved air quality in the 
nonattainment area. As shown in Table 1, the 99th percentile 1-hour 
average (in ppb) at the Mott Street Monitor has decreased after 2013, 
when the Doe Run Herculaneum facility ceased primary smelting 
operations. As shown in Table 2, during the 2014-2016 monitoring 
period, the nonattainment area met the 2010 1-hour primary 
SO2 NAAQS. The certified annual design value for the 
nonattainment area for the 2014-2016 monitoring period is 23.0 ppb. 
Although clean data at a monitor sited in the area of maximum 
concentration could be sufficient for purposes of a clean data 
determination under the EPA's guidance, the state did not submit a 
demonstration showing that the Mott Street monitor is located in the 
area of maximum concentration. Thus, the monitoring data on its own is 
not sufficient to support a clean data determination in this case, and, 
as such, the state submitted modeling to support the clean data 
determination.

          Table 1--99th Percentile 1-Hour Average in Parts per Billion (ppb) at the Mott Street Monitor
                                                   [2013-2016]
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            Monitor                 Site name          2013            2014            2015            2016
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29-099-0027...................  Mott Street.....             143              18              38              13
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 Table 2--1-Hour Primary SO2 NAAQS Design Value (dv) for the Mott Street Monitor 99th Percentile 1-Hour Average
                              in Parts per Billion (ppb) at the Mott Street Monitor
                                                   [2014-2016]
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               State                        County             Monitor           Site name              dv
----------------------------------------------------------------------------------------------------------------
MO................................  Jefferson............     29-099-0027  Mott Street..........            23.0
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b. Modeling Data and Supplemental 2016 Emissions Information Evaluation

    As noted earlier, the 2014 SO2 Nonattainment Area 
Guidance states that, in order for the EPA to make a clean data 
determination, the state may need to submit information in addition to 
monitoring data if the area was designated nonattainment based on air 
quality monitoring data. In August 2016, the state submitted modeling 
data for the most recent three years (2013-2015).\17\ In February 2017, 
the state submitted supplemental preliminary 2016 emissions data in 
support of assumptions made in the 2013-2015 modeling 
demonstration.\18\ The EPA reviewed the submitted modeling data

[[Page 28609]]

and supporting 2016 preliminary emissions data information for the 
nonattainment area to determine consistency with the EPA's Clean Data 
Policy, the 2014 SO2 Nonattainment Area Guidance and the 
2016 SO2 Modeling TAD.
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    \17\ The state's submittal included 2013-2015 emissions data as 
it was the complete and quality assured data set at the time of the 
submittal. The submittal includes a table of the sources included in 
the model and the emission rates used in the model. This information 
is provided in the docket.
    \18\ 2016 emissions data submitted by the state in February 2017 
included only data quality assured as of September 2016.
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    The EPA reviewed the August 2016 submittal to determine if the 
appropriate meteorological inputs were utilized. The state determined 
that the 2013-2015 meteorological data collected at the Doe Run 
Herculaneum meteorological sites were inappropriate for use in the 
model analysis as the data were disjointed. The data were disjointed 
due to a 2013 Consent Judgment between the state and Doe Run that 
allowed Doe Run Herculaneum to cease meteorological measurements at 
certain towers and to move the remaining tower to allow for site 
remediation. The state elected to use the most recent full three-year 
period (2013-2015) of data as measured at a spatially representative 
NWS airport site. The state utilized the St. Louis, Missouri downtown 
airport (Cahokia) for surface data and the Lincoln, Illinois site for 
upper air data. The meteorological data from the time period of 2013-
2015 was processed and paired with the emissions data as discussed 
later in this preamble. The EPA believes that the utilization of 
meteorological data from these sites was appropriate.\19\
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    \19\ See the state's August 2016 modeling demonstration, 
provided in the docket to this action, for model selection 
information (i.e., receptor grid selection).
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    The EPA finds that the state sufficiently considered all 
significant sources of SO2 emissions for inclusion in the 
modeling demonstration, including permitted sources of SO2 
emissions inside of the nonattainment area boundary, nearby sources 
(located within 20 kilometers (km) of the nonattainment area boundary 
and emitting greater than 1 ton per year (tpy) of SO2) 
outside the nonattainment area boundary, and large sources (sources 
that emit greater than 2,000 tpy of SO2) located within 50 
km of the nonattainment boundary. The EPA finds the modeled source 
inventory was created in accordance with the 2014 SO2 
Nonattainment Area Guidance and the 2016 SO2 Modeling TAD.
    To characterize the emissions from the sources in the modeling 
inventory, the state used hourly varying emissions, as reported to the 
EPA's Clean Air Markets Division (CAMD) program database, for three of 
the fifteen sources, and the 2014 actual emissions, as reported in the 
Missouri Emission Inventory System (MoEIS), for the remaining twelve 
sources. For the remaining twelve sources, the state converted the 
annual emissions to hourly emission rates utilizing operational hours 
reported by the facilities (as hourly emissions were not available for 
these twelve sources). The state's November 2016 supplemental 
information indicated that the state evaluated actual emissions for 
each year in the three-year period (2013-2015) separately. As can be 
expected, there were variations in hourly emissions during the modeled 
time period (2013-2015); emissions from either 2013 or 2015 were 
slightly higher than the 2014 emissions for six of the twelve sources. 
As such, in the November 2016 supplemental information, the state 
revised the modeling to reflect the highest hourly emissions (either 
reported to CAMD or converted to hourly emission rates by the State) 
for each interactive source during the three-year period. The variation 
in emissions resulted in only a 0.02 percent increase on the model-
predicted concentrations; the highest modeled impact increased from 
172.82 [mu]g/m\3\ to 172.85 [mu]g/m\3\. Considering the variation 
resulted in only a 0.02 percent increase on the predicted modeling 
concentrations, the EPA agrees with the state's assertion that the use 
of hourly emission data (either reported to CAMD or converted to hourly 
emission rates by the State) from 2014 for the interactive sources was 
a reasonable representation of the time period.
    The state did not include emissions from Doe Run Herculaneum in the 
modeling demonstration for any of the 2013-2015 emission years. The 
state modeled the facility at zero emissions from 2013-2015 even though 
the facility's primary smelting operation was active during 2013.\20\ 
The EPA believes that this modeling analysis supports the rationale 
outlined in section II.e. for proposing the clean data determination. 
The EPA believes that modeling the Doe Run Herculaneum facility at zero 
emissions is in accordance with the 2016 SO2 Modeling TAD as 
it is representative of current allowable emissions at the source. 
Because the EPA is interpreting that the 2016 SO2 Modeling 
TAD's provision for modeling a mix of current allowables and actuals 
for area designations is also appropriate for purposes of a clean data 
determination, the EPA finds that the emissions from all modeled 
sources were characterized appropriately in the model.
---------------------------------------------------------------------------

    \20\ Herculaneum emitted an estimated 11,477 tons of 
SO2 in 2013 prior to it ceasing operations in December of 
2013.
---------------------------------------------------------------------------

    As previously described, the state submitted additional information 
to the EPA in February 2017. In this submittal, the state acknowledged 
that that emissions data for the 4th quarter of 2016 was not yet 
available nor quality assured for modeling purposes. Most of the 
modeled source inventory data will not be available until at least mid-
2017. However, the state compared ``data elements of 2016'' to 2013 to 
determine whether the 2013 data could serve as a surrogate for 2016 
data.\21\ The state asserted that, because the August 2016 modeling 
demonstration used actual emissions for the period 2013-2015 for all 
sources except Doe Run Herculaneum, a modeling demonstration for the 
period 2014-2016 would likely yield similar results because Doe Run 
Herculaneum was not operational in any of those three years.
---------------------------------------------------------------------------

    \21\ Key data elements included meteorological data, available 
emission data and monitoring data.
---------------------------------------------------------------------------

    The supplemental information submitted by the state included an 
examination of variations in meteorology and in modeled source 
inventory emissions. This included a qualitative climatological 
comparison between the years 2013 and 2016 for the St. Louis, Missouri 
downtown airport location and highlighted the similarities and 
differences observed in those years. The state asserted that the 
meteorological information indicates that the differences in 
meteorological conditions from 2013 to 2016 are insignificant.
    The state also provided 2016 emissions information, as reported to 
CAMD, for the three EGUs (Ameren's Labadie, Meramec and Rush Island 
facilities) and compared them to the modeled 2013 emissions data. 
Partial data for 2016 (through September 30, 2016) emissions data was 
provided in CAMD; the state compared available 2016 emissions data 
(January 1, 2016-September 30, 2016) to 2013 emissions data for these 
three sources.22 23 For 2016, the three reported quarters 
were extrapolated to a full year for an annual comparison.\24\ This 
extrapolation assumed a continuation of comparable

[[Page 28610]]

emission levels. The extrapolated 2016 data indicated that the Labadie 
facility's SO2 emissions decreased 21 percent, the Meramec 
facility's SO2 emissions decreased 23 percent and the Rush 
Island facility's SO2 emissions decreased 3 percent from 
2013 annual emission rates. The state also asserted that updating the 
modeling data to include 2014-2016 emissions and meteorological 
information would not change the outcome of the previously submitted 
modeling information (which utilized 2013-2015 data) that modeled 
attainment of the NAAQS. Essentially, the state claimed, the maximum 
modeled impact from the model scenario (172.8 [mu]g/m\3\ or 66 ppb in 
the northwest portion of the nonattainment area) utilizing 2013-2015 
emission data without Doe Run Herculaneum emissions, is indicative of 
2014-2016 air quality without contributions from the Doe Run 
Herculaneum facility and demonstrates that the nonattainment area has 
attained the standard of 75 ppb.
---------------------------------------------------------------------------

    \22\ Ameren's Labadie and Meramec facilities are not in the 
nonattainment area but are within 50 km of the nonattainment area 
and emit greater than 2,000 tpy of SO2. Therefore, they 
were included in the state's modeling demonstration and subsequent 
supplemental information.
    \23\ All emissions data used in the analysis are available 
through the EPA's CAMD database online. https://www.epa.gov/airmarkets/clean-air-markets-data-resources.
    \24\ The first three quarters of 2016 were extrapolated to a 
full year for annual comparison by multiplying by 75 percent (x/
0.75).
---------------------------------------------------------------------------

    While the state's analysis of available 2016 emissions and 
meteorology data is informative, the EPA interprets that the 2014 
SO2 Nonattainment Area Guidance and the 2016 SO2 
Modeling TAD allows for modeling of a mix of actual emissions and 
current allowable emissions to support a clean data determination, and 
therefore the state's 2013-2015 modeling demonstration is sufficient to 
allow an assessment as to whether the area has achieved clean data.
    The EPA acknowledges the Doe Run Herculaneum facility's primary 
smelting operation is permanently shut down and recognizes the 
corresponding relationship between the decrease in the emissions from 
Doe Run Herculaneum and the decreased monitored concentrations at the 
Mott Street monitor as seen in table 3. The maximum hourly 
SO2 concentration was reduced by 87 percent from 2013 (143 
ppb) to 2014 (18 ppb) after the Doe Run Herculaneum facility closed. A 
comparison of the 99th percentile 1-hr average from the last full 
production year (2012) to the first post-shutdown year (2014) shows a 
93 percent reduction in monitored SO2 concentrations.

 Table 3--Decrease in Doe Run Herculaneum SO2 Emissions vs. the Decrease
              in Monitored 99th Percentile 1-Hour Averages
                               [2012-2015]
------------------------------------------------------------------------
                                               99th
                                           percentile 1-    Herculaneum
                  Year                     hour  average   SO2 emissions
                                               (ppb)           (tpy)
------------------------------------------------------------------------
2012....................................             268          17,894
2013....................................             143          11,477
2014....................................              18              <1
2015....................................              38              <1
------------------------------------------------------------------------

    The maximum modeled impact from the 2013-2015 model scenario is 
172.8 [mu]g/m\3\ or 66 ppb which complies with the 1-hour standard of 
75 ppb. The model results, along with monitored attainment of the NAAQS 
at the Mott Street monitor for the same time period, satisfies the 
criteria for clean data according to the EPA's guidance. Certified and 
quality assured 2016 air quality monitoring data is indicative of a 
substantial improvement in SO2 air quality in the 
nonattainment area; the design value for 2014-2016 is 23.0 ppb. 
Missouri's monitoring data, technical modeling analysis and 
supplemental information all support an EPA determination, consistent 
with its Clean Data Policy, that the nonattainment area has clean data 
and warrants a clean data determination.

VI. What would be the effects of this action, if promulgated?

    If this proposed determination is made final, the requirements for 
the state to submit an attainment demonstration, a reasonable further 
progress plan, contingency measures, and other planning SIPs revisions 
related to attainment of the 2010 1-hour primary SO2 NAAQS 
shall be suspended until such time, if any, that the EPA subsequently 
determines, after notice-and-comment rulemaking in the Federal 
Register, that the area has violated the 2010 1-hour primary 
SO2 NAAQS. If this were to occur, the basis for the 
suspension of the specific SIP requirements would no longer exist, and 
the state would thereafter have to address the pertinent requirements. 
If finalized, this determination of attainment would not shield the 
area from other required actions, such as provisions to address 
pollution transport, which could require emission reductions at sources 
or other types of emission activities contributing significantly to 
nonattainment in other areas or states, or interfering with maintenance 
in those areas. The EPA has the authority to require emissions 
reductions as necessary and appropriate to deal with transported air 
pollution situations. See CAA sections 110(a)(2)(D), 110(a)(2)(A), and 
126.
    If, after considering any comments received on this proposal, the 
EPA finalizes a clean data determination for this area, the state would 
need to continue to monitor and/or model air quality to verify 
continued attainment. The air agency would be expected to continue to 
operate an appropriate air quality monitoring network in the affected 
area, in accordance with the EPA regulations, to verify the attainment 
status of the area (see 40 CFR part 58).
    This proposed clean data determination is limited to a 
determination that the area attained the 2010 1-hour primary 
SO2 NAAQS as evidenced by the state's monitoring data and 
modeling analysis; this proposed action, if finalized, would not 
constitute a redesignation to attainment under section 107(d)(3) of the 
CAA. The designation status of the nonattainment area will remain 
nonattainment for the 2010 1-hour primary SO2 NAAQS until 
such time as the state submits an approvable redesignation request and 
maintenance plan, and the EPA takes final rulemaking action to 
determine that such submission meets the CAA requirements for 
redesignation to attainment.

V. Statutory and Executive Order Reviews

    This action proposes to make a determination based on air quality 
monitoring data and modeling and would, if finalized, result in the 
suspension of certain Federal requirements and would not impose any 
additional requirements. For that reason, this proposed action:
     Is not a significant regulatory action subject to review 
by the Office of Management and Budget under Executive Orders 12866 (58 
FR 51735, October 4, 1993) and 13563 (76 FR 3821, January 21, 2011);
     Does not impose an information collection burden under the 
provisions of the Paperwork Reduction Act (44 U.S.C. 3501 et seq.);
     Is certified as not having a significant economic impact 
on a substantial number of small entities under the Regulatory 
Flexibility Act (5 U.S.C. 601 et seq.);
     Does not contain any unfunded mandate or significantly or 
uniquely affect small governments, as described in the Unfunded 
Mandates Reform Act of 1995 (Pub. L. 104-4);
     Does not have Federalism implications as specified in 
Executive

[[Page 28611]]

Order 13132 (64 FR 43255, August 10, 1999);
     Is not an economically significant regulatory action based 
on health or safety risks subject to Executive Order 13045 (62 FR 
19885, April 23, 1997);
     Is not a significant regulatory action subject to 
Executive Order 13211 (66 FR 28355, May 22, 2001);
     Is not subject to requirements of Section 12(d) of the 
National Technology Transfer and Advancement Act of 1995 (15 U.S.C. 272 
note) because application of those requirements would be inconsistent 
with the CAA; and
     Does not provide the EPA with the discretionary authority 
to address, as appropriate, disproportionate human health or 
environmental effects, using practicable and legally permissible 
methods, under Executive Order 12898 (59 FR 7629, February 16, 1994).
    In addition, this proposed action does not apply on any Indian 
reservation land or in any other area where the EPA or an Indian tribe 
has demonstrated that a tribe has jurisdiction. In those areas of 
Indian country, the rule does not have tribal implications and will not 
impose substantial direct costs on tribal governments or preempt tribal 
law as specified by Executive Order 13175 (65 FR 67249, November 9, 
2000).

List of Subjects in 40 CFR Part 52

    Environmental protection, Air pollution control, Incorporation by 
reference, Sulfur dioxide, attainment determination.

    Dated: June 5, 2017.
Edward H, Chu,
Acting Regional Administrator, Region 7.
[FR Doc. 2017-13190 Filed 6-22-17; 8:45 am]
BILLING CODE 6560-50-P



                                                                                Federal Register / Vol. 82, No. 120 / Friday, June 23, 2017 / Proposed Rules                                                    28605

                                                      Paragraph 6004 Class E Airspace                         quality assured, and certified ambient                   a. Ambient Air Quality Monitoring Data
                                                      Designated as an Extension to a Class D or              air monitoring data from the 2014–2016                      Evaluation
                                                      Class E Surface Area.                                   monitoring period, associated                            b. Modeling Data and Supplemental 2016
                                                      *      *     *       *      *                                                                                       Emissions Information Evaluation
                                                                                                              dispersion modeling, and supplemental                  IV. What would be the effects of this action,
                                                      ANM OR E4 Redmond, OR [Amended]                         emissions inventory information, which                      if promulgated?
                                                      Roberts Field, OR
                                                                                                              demonstrate that the Jefferson County                  V. Statutory and Executive Order Reviews
                                                        (Lat. 44°15′15″ N., long. 121°09′00″ W.)              area attained the 2010 1-hour primary
                                                                                                              SO2 NAAQS.                                             I. What action is the EPA proposing?
                                                        That airspace extending upward from the
                                                      surface within 1 mile each side of the 122°             DATES: Comments must be received on                       The EPA is proposing to determine
                                                      bearing of Roberts Field extending from the             or before July 24, 2017.                               that the Jefferson County 2010 1-hour
                                                      5.1-mile radius to 8.5 miles southeast of the           ADDRESSES: Submit your comments,                       primary SO2 nonattainment area (hereby
                                                      airport.                                                identified by Docket ID No. EPA–R07–                   referred to as ‘‘the nonattainment area’’),
                                                      Paragraph 6005 Class E Airspace Areas                   OAR–2017–0251, to https://                             in Missouri, has attained the 2010 1-
                                                      Extending Upward From 700 Feet or More                  www.regulations.gov. Follow the online                 hour primary SO2 NAAQS.1 This
                                                      Above the Surface of the Earth.                         instructions for submitting comments.                  proposed determination of attainment is
                                                      *      *     *       *      *                           Once submitted, comments cannot be                     based on a February 2016 request from
                                                                                                              edited or removed from Regulations.gov.                the state (as later supplemented) that the
                                                      ANM OR E5 Redmond, OR [Modified]                                                                               EPA consider information—including
                                                                                                              The EPA may publish any comment
                                                      Roberts Field, OR                                       received to its public docket. Do not                  complete, quality assured, and certified
                                                         (Lat. 44°15′15″ N., long. 121°09′00″ W.)
                                                                                                              submit electronically any information                  ambient air monitoring data from the
                                                         That airspace extending upward from 700              you consider to be Confidential                        2013–2015 monitoring period, with
                                                      feet above the surface within a 7.6 mile
                                                                                                              Business Information (CBI) or other                    additional certified monitoring data
                                                      radius of Roberts Field from a 270° bearing                                                                    from 2016, associated dispersion
                                                      from the airport clockwise to a 195° bearing            information whose disclosure is
                                                                                                              restricted by statute. Multimedia                      modeling for the 2013–2015 emission
                                                      from the airport, and within a 10.5-mile                                                                       years, as well as supplemental 2016
                                                      radius of Roberts Field from a 195° bearing             submissions (audio, video, etc.) must be
                                                      from the airport clockwise to a 270° bearing            accompanied by a written comment.                      emissions inventory information—
                                                      from the airport, and within 2.6 miles each             The written comment is considered the                  which show that the nonattainment area
                                                      side of a 085° bearing from Roberts Field               official comment and should include                    has attained the 2010 1-hour primary
                                                      extending to 9.6 miles east of the airport, and         discussion of all points you wish to                   SO2 NAAQS.2 3
                                                      within 4 miles northeast and 3 miles                                                                              The EPA has made the monitoring
                                                                                                              make. The EPA will generally not
                                                      southwest of a 122° bearing from Roberts                                                                       data, the modeling data, the
                                                      Field extending to 13.1 miles southeast of the          consider comments or comment
                                                                                                                                                                     supplemental emissions inventory
                                                      airport.                                                contents located outside of the primary
                                                                                                                                                                     information and additional information
                                                                                                              submission (i.e. on the web, cloud, or
                                                        Issued in Seattle, Washington, on June 15,                                                                   submitted by the state to support this
                                                      2017.
                                                                                                              other file sharing system). For
                                                                                                                                                                     proposed action available in the docket
                                                                                                              additional submission methods, the full
                                                      Sam S.L. Shrimpton,                                                                                            to this rulemaking through
                                                                                                              EPA public comment policy,
                                                      Acting Group Manager, Operations Support                                                                       www.regulations.gov and/or at the EPA
                                                                                                              information about CBI or multimedia
                                                      Group, Western Service Center.                                                                                 Region 7 Office (please contact the
                                                                                                              submissions, and general guidance on
                                                      [FR Doc. 2017–13049 Filed 6–22–17; 8:45 am]                                                                    person identified in the FOR FURTHER
                                                                                                              making effective comments, please visit
                                                      BILLING CODE 4910–13–P                                                                                         INFORMATION CONTACT section of this
                                                                                                              https://www2.epa.gov/dockets/
                                                                                                                                                                     preamble for more information).
                                                                                                              commenting-epa-dockets.
                                                                                                              FOR FURTHER INFORMATION CONTACT: Ms.                   II. What is the background of this
                                                      ENVIRONMENTAL PROTECTION                                Tracey Casburn, Environmental                          action?
                                                      AGENCY                                                  Protection Agency, Air Planning and                    a. Nonattainment Designation
                                                      40 CFR Part 52                                          Development Branch, 11201 Renner
                                                                                                              Boulevard, Lenexa, Kansas 66219 at                        On June 2, 2010 (75 FR 35520), the
                                                      [EPA–R07–OAR–2017–0251; FRL–9963–75–                    (913) 551–7016, or by email at                         EPA established a health-based 1-hour
                                                      Region 7]                                               casburn.tracey@epa.gov.                                primary SO2 NAAQS at 75 ppb. Upon
                                                                                                              SUPPLEMENTARY INFORMATION:
                                                                                                                                                                     promulgation of a new or revised
                                                      Approval of Missouri Air Quality                                                                               NAAQS, section 107(d) of the Clean Air
                                                      Implementation Plans; Determination                     Throughout this document ‘‘we,’’ ‘‘us,’’
                                                      of Attainment for the 2010 1-Hour                       and ‘‘our’’ refer to the EPA. This section                1 In accordance with Appendix T to 40 CFR part

                                                      Primary Sulfur Dioxide National                         provides additional information by                     50, the 1-hour primary SO2 NAAQS is met at an
                                                      Ambient Air Quality Standard;                           addressing the following:                              ambient air quality monitoring site when the valid
                                                                                                                                                                     1-hour primary standard design value is less than
                                                      Jefferson County Nonattainment Area                     I. What action is the EPA proposing?
                                                                                                                                                                     or equal to 75 parts per billion (ppb). 40 CFR
                                                                                                              II. What is the background of this action?             50.17(b).
                                                      AGENCY:  Environmental Protection                          a. Nonattainment Designation                           2 In accordance with Appendix T to 40 CFR part
                                                      Agency (EPA).                                              b. Clean Data Policy                                50, a 1-hour primary SO2 NAAQS design value is
                                                      ACTION: Proposed rule.                                     c. How does a Nonattainment Area achieve            valid if it encompasses three consecutive calendar
                                                                                                                    ‘‘Clean Data’’ for the 2010 1-hour
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                                                                                                                                                                     years of complete data. A year meets data
                                                      SUMMARY:   The Environmental Protection                       primary SO2 NAAQS?                               completeness requirements when all 4 quarters are
                                                      Agency (EPA) is proposing to determine                     d. What information did the state provide           complete. A quarter is complete when at least 75
                                                                                                                    to the EPA to demonstrate that the area          percent of the sampling days for each quarter have
                                                      that the Jefferson County nonattainment                                                                        complete data. A sampling day has complete data
                                                                                                                    has attained the NAAQS?
                                                      area, in Missouri, has attained the 2010                                                                       if 75 percent of the hourly concentration values,
                                                                                                                 e. What is the EPA’s rationale for
                                                      1-hour primary Sulfur Dioxide (SO2)                           proposing this action?
                                                                                                                                                                     including state-flagged data affected by exceptional
                                                      National Ambient Air Quality Standard                                                                          events which have been approved for exclusion by
                                                                                                              III. What is the EPA’s analysis of the state’s         the Administrator, are reported.
                                                      (NAAQS) per the EPA’s Clean Data                              Air Quality Monitoring and Modeling                 3 Monitoring data must be reported, quality
                                                      Policy. This proposed determination of                        Data, and the state’s Supplemental               assured, and certified in accordance with the
                                                      attainment is based upon complete,                            Emissions Inventory Information?                 requirements set forth in 40 CFR part 58.



                                                 VerDate Sep<11>2014   18:12 Jun 22, 2017   Jkt 241001   PO 00000   Frm 00017   Fmt 4702   Sfmt 4702   E:\FR\FM\23JNP1.SGM   23JNP1


                                                      28606                     Federal Register / Vol. 82, No. 120 / Friday, June 23, 2017 / Proposed Rules

                                                      Act (CAA) requires the EPA to designate                 Additionally, the EPA has issued                       c. How does a nonattainment area
                                                      any area that does not meet (or that                    national rulemakings that have codified                achieve ‘‘clean data’’ for the 2010 1-
                                                      contributes to ambient air quality in a                 this policy for ozone and fine                         hour primary SO2 NAAQS?
                                                      nearby area that does not meet) the                     particulate matter (PM2.5) NAAQS.7                        Generally, the EPA relies on ambient
                                                      NAAQS as nonattainment. On August 5,                    Under the Clean Data policy, the EPA                   air quality monitoring data alone in
                                                      2013, the EPA designated a portion of                   interprets the requirements of the CAA                 order to make determinations of
                                                      Jefferson County, Missouri, as                          that are specifically designed to help an              attainment for areas designated
                                                      nonattainment for the 2010 1-hour                       area achieve attainment, such as                       nonattainment for a particular NAAQS.
                                                      primary SO2 NAAQS, effective October                    attainment demonstrations and                          However, given the Agency’s historical
                                                      4, 2013.4 The designation was based on                                                                         approach toward SO2, the source-
                                                                                                              implementation of reasonably available
                                                      2008–2010 monitoring data in                                                                                   specific nature of SO2 emissions, and
                                                                                                              control measures (including reasonably
                                                      Herculaneum, Missouri, which                                                                                   the localized effect of those emissions,
                                                      monitored violations of the standard                    available control technology),
                                                                                                              reasonable further progress (RFP)                      in the preamble to the 2010 1-hour
                                                      (see section III of this document for                                                                          primary SO2 NAAQS rulemaking, the
                                                      additional monitoring information). The                 demonstrations, and contingency
                                                                                                              measures, to be suspended as long as air               EPA stated that it did not expect to rely
                                                      effective date of the nonattainment                                                                            solely on monitored air quality data in
                                                      designation was October 4, 2013. This                   quality continues to meet the standard.
                                                                                                                                                                     all areas when determining if an area
                                                      action established an attainment date                      In the memorandum of April 23,                      has attained the 2010 1-hour primary
                                                      five years after the effective date for the             2014, from Steve Page, Director, EPA                   SO2 NAAQS (75 FR 35551). As the EPA
                                                      areas designated as nonattainment for                   Office of Air Quality Planning and                     noted in the preamble, in order for the
                                                      the 2010 SO2 NAAQS (i.e., by October                    Standards to the EPA Air Division                      EPA to determine that an area is
                                                      4, 2018). The state was also required to                Directors ‘‘Guidance for 1-hr SO2                      attaining the 2010 1-hour primary SO2
                                                      submit a State Implementation Plan                      Nonattainment Area SIP Submissions’’                   NAAQS, dispersion modeling may be
                                                      (SIP) for the nonattainment area to the                 (2014 SO2 Nonattainment Area                           needed to show no violating receptors
                                                      EPA that meets the requirements of                      Guidance), the EPA explained its                       even if a monitoring site showed no
                                                      CAA sections 110, 172(c) and 191–192                    intention to extend the Clean Data                     violations.10 This was because, as the
                                                      within 18 months following the October                  Policy to 1-hour SO2 nonattainment                     EPA explained in the preamble, the
                                                      4, 2013, effective date of designation                                                                         Agency did not expect that most
                                                                                                              areas that attained the standard. As
                                                      (i.e., by April 4, 2015). The State of                                                                         existing SO2 monitors were well sited to
                                                                                                              noted therein, the legal bases set forth
                                                      Missouri submitted the ‘‘Nonattainment                                                                         record maximum 1-hour ambient SO2
                                                      Area Plan for the 2010 1-Hour Sulfur                    in the various guidance documents and
                                                                                                              regulations establishing the Clean Data                concentrations under the new NAAQS.
                                                      Dioxide National Ambient Air Quality                                                                           The 2014 SO2 Nonattainment Area
                                                      Standard Jefferson County Sulfur                        Policy for other pollutants are equally
                                                                                                              pertinent to all NAAQS.8 This proposed                 Guidance states that, in order for a
                                                      Dioxide Nonattainment Area’’ on June 5,                                                                        nonattainment area that was designated
                                                      2015.                                                   rule is also consistent with prior actions
                                                                                                              of the EPA applying the Clean Data                     based on air quality monitoring data to
                                                      b. Clean Data Policy                                    Policy to two other nonattainment areas                be determined as attaining the NAAQS,
                                                         Where states request a clean data                    under the 2010 SO2 NAAQS.9                             the state would need to meet a series of
                                                      determination of a designated SO2                                                                              criteria. First, the state would need to
                                                                                                                 Clean data determinations are not                   demonstrate that the area is meeting the
                                                      NAAQS nonattainment area, the EPA                       redesignations to attainment. For the
                                                      will determine whether or not an area                                                                          standard based on three consecutive
                                                                                                              EPA to redesignate an area to                          calendar years of air quality monitoring
                                                      has attained the NAAQS based on air
                                                                                                              attainment, a state must submit and                    that is complete and quality-assured
                                                      quality monitoring data (when
                                                                                                              receive full approval of a redesignation               (consistent with 40 CFR part 58
                                                      available) and air quality dispersion
                                                      modeling information for the affected                   request that satisfies all of the statutory            requirements). Second, the state would
                                                      area as necessary. The EPA issued                       criteria for redesignation to attainment,              need to either (1) provide modeling of
                                                      ‘‘Clean Data’’ policy memoranda for SO2                 including a demonstration that the                     the most recent three years of actual
                                                      and other NAAQS describing reduced                      improvement in the area’s air quality is
                                                                                                                                                                        10 As noted in the preamble to the 2010 1-hour
                                                      attainment planning requirements for                    due to permanent and enforceable
                                                                                                                                                                     primary SO2 NAAQS (75 FR 35551), this has been
                                                      nonattainment areas that attain the                     reductions; have a fully approved SIP                  the EPA’s general position throughout the history
                                                      NAAQS, but have not yet been                            that meets all of the applicable                       of implementation of the SO2 NAAQS program. See,
                                                      redesignated as attainment.5 6                          requirements under CAA section 110                     e.g., ‘‘Air Quality Control Regions, Criteria, and
                                                                                                              and CAA part D; and have a fully                       Control techniques; Attainment Status
                                                                                                                                                                     Designations,’’ 43 FR 40412, 43 FR 40415–43 FR
                                                         4 78 FR 47191 (August 5, 2013), codified at 40       approved maintenance plan.                             40416 (September 11, 1978); ‘‘Air Quality Control
                                                      CFR 81.326.                                                                                                    Regions, Criteria, and Control Techniques,’’ 43 FR
                                                         5 Memorandum of December 14, 2004, from Steve
                                                                                                                                                                     45993, 43 FR 46000–43 FR 46002 (October 5, 1978);
                                                      Page, Director, EPA Office of Air Quality Planning         7 See, e.g., 81 FR 58010, 81 FR 58127–58129         ‘‘Air Quality Implementation Plans: State
                                                      and Standards to the EPA Air Division Directors,                                                               Implementation Plans; General Preamble,’’ 57 FR
                                                      ‘‘Clean Data Policy for the Fine Particle National      (August 24, 2016) (promulgating 40 CFR 51.1015);
                                                                                                                                                                     13498, 57 FR 13545, 57 FR 13547–57 FR 13557, 57
                                                      Ambient Air Quality Standards.’’ This document is       80 FR 12264, 80 FR 12296 (promulgating 51.1118).       FR 13548 (April 16, 1992); ‘‘Approval and
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                                                      available at: http://www.epa.gov/pmdesignations/        See also 70 FR 71612, 70 FR 71664–46 (November         Promulgation of State Implementation Plans; Call
                                                      guidance.htm.                                           29, 2005); 72 FR 20585, 72 FR 20603–20605 (April       for Sulfur Dioxide SIP Revisions for Billings/Laurel,
                                                         6 The memorandum of April 23, 2014, from Steve       25, 2007).                                             MT,’’ 58 FR 41430 (August 4, 1993); ‘‘Designation
                                                      Page, Director, EPA Office of Air Quality Planning         8 See court cases upholding legal basis for the     of Areas for Air Quality Planning Purposes; Ohio,’’
                                                      and Standards to the EPA Air Division Directors         EPA’s Clean Data Determination Policy, NRDC v.         59 FR 12886, 59 FR 12887 (March 18, 1994);
                                                      ‘‘Guidance for 1-hr SO2 Nonattainment Area SIP          EPA, 571 F.3d at 1258–61 (D.C. Cir. 2009); Sierra      ‘‘Ambient Air Quality Standards, National and
                                                      Submissions’’ provides guidance for the application                                                            Implementation Plans for Sulfur Oxides (Sulfur
                                                                                                              Club v. EPA, 99 F.3d 1551 (10th Cir. 1996); Latino
                                                      of the clean data policy to the 2010 1-hour primary                                                            Dioxide),’’ 60 FR 12492, 60 FR 12494–60 FR 12495
                                                      SO2 NAAQS. This document is available at https://       Issues Forum v. EPA, 315 Fed. App. 651, 652 (9th       (March 7, 1995); ‘‘Air Quality Implementation
                                                      www.epa.gov/sites/production/files/2016-06/             Cir. 2009).                                            Plans; Approval and Promulgation: Various States:
                                                                                                                 9 82 FR 13227 (March 10, 2016) and 81 FR 28718
                                                      documents/                                                                                                     Montana,’’ 67 FR 22167, 67 FR 22170–67 FR 22171,
                                                      20140423guidance_nonattainment_sip.pdf.                 (May 10, 2016).                                        67 FR 22183–67 FR 22887 (May 2, 2002).



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                                                                                Federal Register / Vol. 82, No. 120 / Friday, June 23, 2017 / Proposed Rules                                                      28607

                                                      emissions for the area or (2) provide a                 attaining the NAAQS. In addition, the                  guidance to endorse that practice now,
                                                      demonstration that the affected                         SO2 Modeling TAD indicates that,                       provided the allowables-based modeling
                                                      monitor(s) is or are located in the area                where an allowable emissions limit has                 is conducted appropriately pursuant to
                                                      of maximum concentration. As                            been lowered during the relevant three-                the SO2 Modeling TAD and applicable
                                                      explained in more detail later in this                  year period (such as through the                       EPA regulations such as those governing
                                                      section, the EPA believes that it is                    implementation of emissions controls),                 stack heights and dispersion techniques
                                                      permissible to substitute current source-               the air agency may rely on the new limit               at 40 CFR 51.100 and 40 CFR 51.118.
                                                      specific allowable emissions for actual                 in demonstrating that the modeled limit
                                                                                                                                                                     d. What information did the state
                                                      emissions for the purpose of                            assures attainment. In this fashion, the
                                                                                                                                                                     provide to the EPA to demonstrate that
                                                      demonstrating (1) in this paragraph.                    most recent permitted or potential to
                                                         If a demonstration shows that the                                                                           the area attained the NAAQS?
                                                                                                              emit rate should be used along with a
                                                      monitor(s) is or are located in the area                minimum of the most recent three years                    On February 2, 2016, the state
                                                      of maximum concentration, the EPA                       of meteorological data.13                              submitted a request asking the EPA to
                                                      believes that it may be appropriate to                     The EPA believes that modeling a mix                determine that the nonattainment area
                                                      determine that the nonattainment area is                of current allowable emissions and                     attained the 2010 1-hour primary SO2
                                                      attaining the standard based on                         actual emissions would be permissible                  NAAQS per the EPA’s Clean Data
                                                      monitoring data alone. The state did not                in such an analysis as long as the same                Policy. The request included the most
                                                      submit a demonstration that the monitor                 type of emissions are used for each                    recent three years of complete, quality
                                                      was located in the area of maximum                      source for all three years. For instance,              assured, and certified ambient air
                                                      concentration, therefore its submittal                  if a state decided to use current                      monitoring data from the 2013–2015
                                                      needed to provide a modeling                            allowables for a facility in a modeling                monitoring period; the design value for
                                                      demonstration in support of a clean data                analysis, the state would need to use                  2013–2015 was 66.0 ppb. In a response
                                                      determination.                                          current allowables for all three years of              letter, dated March 4, 2016, the EPA
                                                         The 2014 SO2 Nonattainment Area                      the analysis for that facility. The state              stated that, because the request did not
                                                      Guidance states that, when air agencies                 would not necessarily need to use                      include a modeling demonstration
                                                      provide monitoring and/or modeling to                   current allowables for the other sources               showing attainment utilizing the most
                                                      support clean data determinations, the                  in the analysis (i.e., actuals would be                recent three years of actual emissions or
                                                      monitoring data provided by the state                   permissible for all three years for other              a demonstration that the monitor was
                                                      should follow the EPA’s ‘‘SO2 NAAQS                     sources in the area). The EPA believes                 located in the area of maximum
                                                      Designations Source-Oriented                            this kind of analysis is appropriate for               concentration for the nonattainment
                                                      Monitoring Technical Assistance                         both designations and clean data                       area, the state’s request did not contain
                                                      Document’’ (SO2 monitoring TAD) and                     determinations, both of which use the                  the necessary supporting information as
                                                      the modeling provided by the state                      analysis to determine whether the area                 outlined in the EPA’s 2014 SO2
                                                      should follow the EPA’s ‘‘SO2 NAAQS                     is currently meeting the NAAQS.                        Nonattainment Area Guidance. In a
                                                      Designations Modeling Technical                            The EPA recognizes that its 2014 SO2                letter dated August 4, 2016, the state
                                                      Assistance Document’’ (SO2 Modeling                     Nonattainment Area Guidance does not                   provided modeling of the most recent
                                                      TAD).11 12 The SO2 Modeling TAD                         on its face suggest that modeling                      three years of actual emissions (2013–
                                                      outlines modeling approaches for future                 allowable emissions would be an                        2015) for the nonattainment area.
                                                      SO2 NAAQS attainment status                             acceptable alternative to modeling                     However, in the provided modeling, the
                                                      designations and states that, for the                   actual emissions in the clean data                     Doe Run Herculaneum facility was
                                                      purposes of modeling to characterize air                determination or redesignations                        zeroed out despite the fact that the
                                                      quality for use in SO2 designations, the                contexts. However, the Agency                          facility was still operating in 2013.14 On
                                                      EPA recommends using a minimum of                       considers it to have been an oversight                 November 9, 2016, the EPA asked the
                                                      the most recent three years of actual                   on its part not to have addressed this                 state (via email) to provide additional
                                                      emissions data and concurrent                           alternative possibility in the 2014 SO2                information regarding the exclusion of
                                                      meteorological data to allow the                        Nonattainment Area Guidance, as the                    emissions from the Doe Run
                                                      modeling to simulate what a monitor                     Agency clearly has endorsed the use of                 Herculaneum facility for the 2013–2015
                                                      would observe. Additionally, the SO2                    both actual emissions and allowable                    emission years from the modeling
                                                      Modeling TAD indicates that it is                       emissions in the SO2 Modeling TAD in                   demonstration as well as additional
                                                      acceptable to use allowable emission                    general and in the recent rounds of area               information regarding its selection of
                                                      rates instead of actual emission rates.                 designations under the SO2 NAAQS, in                   the 2014 emissions data year as a
                                                      Although past actual emissions could                    contexts where, as here, the Agency is                 surrogate for the interactive sources’
                                                      have been higher than those under the                   making a factual judgment about                        emissions.15 The state submitted
                                                      most recent allowable rate, the SO2                     whether an area has attained the                       supporting information to the EPA on
                                                      Modeling TAD reflects the EPA’s belief                  NAAQS. Moreover, the 2014 guidance                     November 21, 2016. In its November
                                                      that it is reasonable to account for any                also suggests that modeling of
                                                      lower allowable limits currently in                     allowables emissions, combined with                      14 The Doe Run Herculaneum (Herculaneum)

                                                      place when determining if an area is                    other information, could also be used to               facility was a lead smelting facility identified by the
                                                                                                                                                                     state and the EPA as the largest source of SO2
                                                                                                              determine whether, after the attainment                emissions in Jefferson County at the time of the
                                                                                                              deadline has passed, areas in fact timely
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                                                         11 The SO NAAQS Designations Source-Oriented
                                                                  2                                                                                                  promulgation of nonattainment designations in
                                                      Monitoring Draft Technical Assistance Document,         attained the NAAQS under CAA section                   2013. The facility ceased operations in December
                                                      Office of Air Quality Planning and Standards, Air                                                              2013. Although the source operated in 2013,
                                                      Quality Assessment Division, May 2013, can be
                                                                                                              179. Therefore, although the SO2
                                                                                                                                                                     emitting 11,477 tons of SO2, the state zeroed out its
                                                      found at https://www.epa.gov/sites/production/          Nonattainment Area Guidance was                        emissions in each of the 2013–2015 emission years
                                                      files/2016-06/documents/so2monitoringtad.pdf.           silent on using allowable emissions in                 in the modeling information.
                                                         12 The SO NAAQS Designations Modeling
                                                                  2                                           the clean data determination and                         15 The state modeled all interactive sources

                                                      Technical Assistance Document, Office of Air            redesignations contexts, the EPA                       utilizing the sources’ 2014 emission limits
                                                      Quality Planning and Standards, Air Quality                                                                    (essentially modeling the 2014 emissions input
                                                      Assessment Division, May 2013, can be found at          believes it is not inconsistent with the               three times). The EPA requested that the state
                                                      https://www.epa.gov/sites/production/files/2016-                                                               confirm that utilizing 2014 as a surrogate for 2013
                                                      06/documents/so2modelingtad.pdf.                          13 See   page 10 of the SO2 Modeling TAD.            and 2015 was appropriate.



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                                                      28608                              Federal Register / Vol. 82, No. 120 / Friday, June 23, 2017 / Proposed Rules

                                                      2016 submittal the state spoke to the                                      The state modeled actual emissions                             (consistent with 40 CFR part 58
                                                      complexity of modeling fugitive                                         for all sources except for the Doe Run                            requirements). The EPA has determined
                                                      emissions from the Doe Run                                              Herculaneum facility, which was                                   that three complete consecutive
                                                      Herculaneum facility and the                                            modeled at zero emissions, since the                              calendar years of quality-assured air
                                                      appropriateness of utilizing 2014                                       facility shut down in December 2013.16                            quality monitoring data from the Mott
                                                      emissions as a surrogate for the                                        This treatment of the Doe Run                                     Street monitor have been recorded in
                                                      interactive sources. On February 22,                                    Herculaneum facility is appropriate                               the EPA’s Air Quality System (AQS),
                                                      2017, the state provided additional                                     because the demonstration includes                                and the data meets the requirements of
                                                      supplemental information that consisted                                 emissions for Doe Run Herculaneum                                 Appendix T to 40 CFR part 50 and 40
                                                      of available 2016 emissions inventory                                   using the most recent allowable                                   CFR part 58. This data suggests
                                                      information. On May 1, 2017, the EPA                                    emissions rate, which has been                                    improved air quality in the
                                                      received email notification from the                                    permanently and enforceably lowered                               nonattainment area. As shown in Table
                                                      state that its 2016 ambient air quality                                 during the relevant period. The                                   1, the 99th percentile 1-hour average (in
                                                      data was certified as complete and                                      maximum modeled impact from the                                   ppb) at the Mott Street Monitor has
                                                      continues to show attainment of the                                     model scenario is 172.8 mg/m3, or 66                              decreased after 2013, when the Doe Run
                                                      standard; the design value for 2014–                                    ppb, which complies with the 1-hour                               Herculaneum facility ceased primary
                                                      2016 is 23.0 ppb. These                                                 standard of 75 ppb. The model results                             smelting operations. As shown in Table
                                                      communications are available in the                                     satisfy the criteria for determinations of                        2, during the 2014–2016 monitoring
                                                      docket for this action.                                                 attainment according to the EPA’s                                 period, the nonattainment area met the
                                                                                                                              guidance and policy.                                              2010 1-hour primary SO2 NAAQS. The
                                                      e. What is the EPA’s rationale for
                                                      proposing this action?                                                  III. What is the EPA’s analysis of the                            certified annual design value for the
                                                                                                                              state’s air quality monitoring and                                nonattainment area for the 2014–2016
                                                         The EPA is proposing to issue a                                      modeling data, and the state’s                                    monitoring period is 23.0 ppb. Although
                                                      determination of attainment for the                                     supplemental emissions inventory                                  clean data at a monitor sited in the area
                                                      nonattainment area based on the area’s                                  information?                                                      of maximum concentration could be
                                                      2013–2015 modeling demonstration,                                                                                                         sufficient for purposes of a clean data
                                                      which is supported by monitoring data                                   a. Ambient Air Quality Monitoring Data                            determination under the EPA’s
                                                      from the Mott Street monitor. The 2014                                  Evaluation                                                        guidance, the state did not submit a
                                                      SO2 Nonattainment Area Guidance and                                        According to the 2014 SO2                                      demonstration showing that the Mott
                                                      the accompanying 2016 SO2 Modeling                                      Nonattainment Area Guidance, to                                   Street monitor is located in the area of
                                                      TAD allow for nonattainment areas to                                    support a clean data determination                                maximum concentration. Thus, the
                                                      model a mix of actual emissions and                                     based on monitoring, the state needs to                           monitoring data on its own is not
                                                      current allowable emissions, and as                                     demonstrate that the area is meeting the                          sufficient to support a clean data
                                                      noted previously, we interpret that                                     standard based on three consecutive                               determination in this case, and, as such,
                                                      document to also allow this approach                                    calendar years of complete and quality-                           the state submitted modeling to support
                                                      for a clean data determination.                                         assured air quality monitoring data                               the clean data determination.

                                                                 TABLE 1—99TH PERCENTILE 1-HOUR AVERAGE IN PARTS PER BILLION (PPB) AT THE MOTT STREET MONITOR
                                                                                                                                                      [2013–2016]

                                                                            Monitor                                               Site name                                    2013                2014                    2015             2016

                                                      29–099–0027 ....................................          Mott Street ........................................                  143                    18                      38             13


                                                         TABLE 2—1-HOUR PRIMARY SO2 NAAQS DESIGN VALUE (DV) FOR THE MOTT STREET MONITOR 99TH PERCENTILE 1-
                                                                         HOUR AVERAGE IN PARTS PER BILLION (PPB) AT THE MOTT STREET MONITOR
                                                                                                                                                      [2014–2016]

                                                                            State                                                County                                 Monitor                          Site name                           dv

                                                      MO ..................................................   Jefferson ........................................       29–099–0027      Mott Street .....................................          23.0



                                                      b. Modeling Data and Supplemental                                       need to submit information in addition                            2015).17 In February 2017, the state
                                                      2016 Emissions Information Evaluation                                   to monitoring data if the area was                                submitted supplemental preliminary
                                                        As noted earlier, the 2014 SO2                                        designated nonattainment based on air                             2016 emissions data in support of
                                                      Nonattainment Area Guidance states                                      quality monitoring data. In August 2016,                          assumptions made in the 2013–2015
                                                      that, in order for the EPA to make a                                    the state submitted modeling data for                             modeling demonstration.18 The EPA
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                                                      clean data determination, the state may                                 the most recent three years (2013–                                reviewed the submitted modeling data

                                                        16 The Doe Run was limited to the terms of a                          Decree also required Doe Run to permanently cease                 assured data set at the time of the submittal. The
                                                      consent decree applicable to the Herculaneum                            smelting operations and retire the blast furnaces by              submittal includes a table of the sources included
                                                      facility entered into by Doe Run, Missouri, and EPA                     April 30, 2014; Doe Run ceased operation of the                   in the model and the emission rates used in the
                                                      in the United States District Court in the Eastern                      blast furnaces on December 31, 2013, concurrently                 model. This information is provided in the docket.
                                                      District of Missouri, Case No. 4:10–cv–01895–JCH
                                                                                                                              with the cessation of operation of the sintering                    18 2016 emissions data submitted by the state in
                                                      on December 21, 2011 (2011 Consent Decree). On
                                                      December 31, 2013, pursuant to the terms of the                         plant.                                                            February 2017 included only data quality assured
                                                                                                                                17 The state’s submittal included 2013–2015                     as of September 2016.
                                                      2011 Consent Decree, Doe Run permanently ceased
                                                      operations of the sintering plant. The 2011 Consent                     emissions data as it was the complete and quality



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                                                                                Federal Register / Vol. 82, No. 120 / Friday, June 23, 2017 / Proposed Rules                                                   28609

                                                      and supporting 2016 preliminary                         Inventory System (MoEIS), for the                      were characterized appropriately in the
                                                      emissions data information for the                      remaining twelve sources. For the                      model.
                                                      nonattainment area to determine                         remaining twelve sources, the state                       As previously described, the state
                                                      consistency with the EPA’s Clean Data                   converted the annual emissions to                      submitted additional information to the
                                                      Policy, the 2014 SO2 Nonattainment                      hourly emission rates utilizing                        EPA in February 2017. In this submittal,
                                                      Area Guidance and the 2016 SO2                          operational hours reported by the                      the state acknowledged that that
                                                      Modeling TAD.                                           facilities (as hourly emissions were not               emissions data for the 4th quarter of
                                                         The EPA reviewed the August 2016                     available for these twelve sources). The               2016 was not yet available nor quality
                                                      submittal to determine if the                           state’s November 2016 supplemental                     assured for modeling purposes. Most of
                                                      appropriate meteorological inputs were                  information indicated that the state                   the modeled source inventory data will
                                                      utilized. The state determined that the                 evaluated actual emissions for each year               not be available until at least mid-2017.
                                                      2013–2015 meteorological data                           in the three-year period (2013–2015)                   However, the state compared ‘‘data
                                                      collected at the Doe Run Herculaneum                    separately. As can be expected, there                  elements of 2016’’ to 2013 to determine
                                                      meteorological sites were inappropriate                 were variations in hourly emissions                    whether the 2013 data could serve as a
                                                      for use in the model analysis as the data               during the modeled time period (2013–                  surrogate for 2016 data.21 The state
                                                      were disjointed. The data were                          2015); emissions from either 2013 or                   asserted that, because the August 2016
                                                      disjointed due to a 2013 Consent                        2015 were slightly higher than the 2014                modeling demonstration used actual
                                                      Judgment between the state and Doe                      emissions for six of the twelve sources.               emissions for the period 2013–2015 for
                                                      Run that allowed Doe Run Herculaneum                    As such, in the November 2016                          all sources except Doe Run
                                                      to cease meteorological measurements at                 supplemental information, the state                    Herculaneum, a modeling
                                                      certain towers and to move the                          revised the modeling to reflect the                    demonstration for the period 2014–2016
                                                      remaining tower to allow for site                       highest hourly emissions (either                       would likely yield similar results
                                                      remediation. The state elected to use the               reported to CAMD or converted to                       because Doe Run Herculaneum was not
                                                      most recent full three-year period                      hourly emission rates by the State) for                operational in any of those three years.
                                                      (2013–2015) of data as measured at a                    each interactive source during the three-                 The supplemental information
                                                      spatially representative NWS airport                    year period. The variation in emissions                submitted by the state included an
                                                      site. The state utilized the St. Louis,                 resulted in only a 0.02 percent increase               examination of variations in
                                                      Missouri downtown airport (Cahokia)                     on the model-predicted concentrations;                 meteorology and in modeled source
                                                      for surface data and the Lincoln, Illinois              the highest modeled impact increased                   inventory emissions. This included a
                                                      site for upper air data. The                            from 172.82 mg/m3 to 172.85 mg/m3.                     qualitative climatological comparison
                                                      meteorological data from the time                       Considering the variation resulted in                  between the years 2013 and 2016 for the
                                                      period of 2013–2015 was processed and                   only a 0.02 percent increase on the                    St. Louis, Missouri downtown airport
                                                      paired with the emissions data as                       predicted modeling concentrations, the                 location and highlighted the similarities
                                                      discussed later in this preamble. The                   EPA agrees with the state’s assertion                  and differences observed in those years.
                                                      EPA believes that the utilization of                    that the use of hourly emission data                   The state asserted that the
                                                      meteorological data from these sites was                (either reported to CAMD or converted                  meteorological information indicates
                                                      appropriate.19                                          to hourly emission rates by the State)                 that the differences in meteorological
                                                         The EPA finds that the state                         from 2014 for the interactive sources                  conditions from 2013 to 2016 are
                                                      sufficiently considered all significant                 was a reasonable representation of the                 insignificant.
                                                      sources of SO2 emissions for inclusion                  time period.                                              The state also provided 2016
                                                      in the modeling demonstration,                                                                                 emissions information, as reported to
                                                      including permitted sources of SO2                         The state did not include emissions                 CAMD, for the three EGUs (Ameren’s
                                                      emissions inside of the nonattainment                   from Doe Run Herculaneum in the                        Labadie, Meramec and Rush Island
                                                      area boundary, nearby sources (located                  modeling demonstration for any of the                  facilities) and compared them to the
                                                      within 20 kilometers (km) of the                        2013–2015 emission years. The state                    modeled 2013 emissions data. Partial
                                                      nonattainment area boundary and                         modeled the facility at zero emissions                 data for 2016 (through September 30,
                                                      emitting greater than 1 ton per year (tpy)              from 2013–2015 even though the                         2016) emissions data was provided in
                                                      of SO2) outside the nonattainment area                  facility’s primary smelting operation                  CAMD; the state compared available
                                                      boundary, and large sources (sources                    was active during 2013.20 The EPA                      2016 emissions data (January 1, 2016–
                                                      that emit greater than 2,000 tpy of SO2)                believes that this modeling analysis                   September 30, 2016) to 2013 emissions
                                                      located within 50 km of the                             supports the rationale outlined in                     data for these three sources.22 23 For
                                                      nonattainment boundary. The EPA finds                   section II.e. for proposing the clean data             2016, the three reported quarters were
                                                      the modeled source inventory was                        determination. The EPA believes that                   extrapolated to a full year for an annual
                                                      created in accordance with the 2014 SO2                 modeling the Doe Run Herculaneum                       comparison.24 This extrapolation
                                                      Nonattainment Area Guidance and the                     facility at zero emissions is in                       assumed a continuation of comparable
                                                      2016 SO2 Modeling TAD.                                  accordance with the 2016 SO2 Modeling
                                                         To characterize the emissions from                   TAD as it is representative of current                   21 Key data elements included meteorological

                                                      the sources in the modeling inventory,                  allowable emissions at the source.                     data, available emission data and monitoring data.
                                                      the state used hourly varying emissions,                Because the EPA is interpreting that the                 22 Ameren’s Labadie and Meramec facilities are
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                                                                                                              2016 SO2 Modeling TAD’s provision for                  not in the nonattainment area but are within 50 km
                                                      as reported to the EPA’s Clean Air                                                                             of the nonattainment area and emit greater than
                                                      Markets Division (CAMD) program                         modeling a mix of current allowables                   2,000 tpy of SO2. Therefore, they were included in
                                                      database, for three of the fifteen sources,             and actuals for area designations is also              the state’s modeling demonstration and subsequent
                                                      and the 2014 actual emissions, as                       appropriate for purposes of a clean data               supplemental information.
                                                                                                                                                                       23 All emissions data used in the analysis are
                                                      reported in the Missouri Emission                       determination, the EPA finds that the
                                                                                                                                                                     available through the EPA’s CAMD database online.
                                                                                                              emissions from all modeled sources                     https://www.epa.gov/airmarkets/clean-air-markets-
                                                        19 See the state’s August 2016 modeling                                                                      data-resources.
                                                      demonstration, provided in the docket to this             20 Herculaneum emitted an estimated 11,477 tons        24 The first three quarters of 2016 were

                                                      action, for model selection information (i.e.,          of SO2 in 2013 prior to it ceasing operations in       extrapolated to a full year for annual comparison by
                                                      receptor grid selection).                               December of 2013.                                      multiplying by 75 percent (×/0.75).



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                                                      28610                     Federal Register / Vol. 82, No. 120 / Friday, June 23, 2017 / Proposed Rules

                                                      emission levels. The extrapolated 2016                    TABLE 3—DECREASE IN DOE RUN                            reductions as necessary and appropriate
                                                      data indicated that the Labadie facility’s                HERCULANEUM SO2 EMISSIONS VS.                          to deal with transported air pollution
                                                      SO2 emissions decreased 21 percent, the                   THE DECREASE IN MONITORED 99TH                         situations. See CAA sections
                                                      Meramec facility’s SO2 emissions                          PERCENTILE 1-HOUR AVERAGES                             110(a)(2)(D), 110(a)(2)(A), and 126.
                                                      decreased 23 percent and the Rush                                                                                   If, after considering any comments
                                                                                                                                    [2012–2015]                        received on this proposal, the EPA
                                                      Island facility’s SO2 emissions
                                                      decreased 3 percent from 2013 annual                                                                             finalizes a clean data determination for
                                                                                                                                  99th percentile                      this area, the state would need to
                                                      emission rates. The state also asserted                                                       Herculaneum
                                                                                                                                      1-hour
                                                                                                                    Year                            SO2 emissions      continue to monitor and/or model air
                                                      that updating the modeling data to                                             average            (tpy)
                                                                                                                                       (ppb)                           quality to verify continued attainment.
                                                      include 2014–2016 emissions and
                                                                                                                                                                       The air agency would be expected to
                                                      meteorological information would not                    2012   ..........               268            17,894    continue to operate an appropriate air
                                                      change the outcome of the previously                    2013   ..........               143            11,477    quality monitoring network in the
                                                      submitted modeling information (which                   2014   ..........                18                <1
                                                                                                                                                                       affected area, in accordance with the
                                                      utilized 2013–2015 data) that modeled                   2015   ..........                38                <1
                                                                                                                                                                       EPA regulations, to verify the
                                                      attainment of the NAAQS. Essentially,                                                                            attainment status of the area (see 40 CFR
                                                      the state claimed, the maximum                             The maximum modeled impact from
                                                                                                              the 2013–2015 model scenario is 172.8                    part 58).
                                                      modeled impact from the model                                                                                       This proposed clean data
                                                      scenario (172.8 mg/m3 or 66 ppb in the                  mg/m3 or 66 ppb which complies with
                                                                                                                                                                       determination is limited to a
                                                                                                              the 1-hour standard of 75 ppb. The
                                                      northwest portion of the nonattainment                                                                           determination that the area attained the
                                                                                                              model results, along with monitored
                                                      area) utilizing 2013–2015 emission data                                                                          2010 1-hour primary SO2 NAAQS as
                                                                                                              attainment of the NAAQS at the Mott
                                                      without Doe Run Herculaneum                                                                                      evidenced by the state’s monitoring data
                                                                                                              Street monitor for the same time period,
                                                      emissions, is indicative of 2014–2016                                                                            and modeling analysis; this proposed
                                                                                                              satisfies the criteria for clean data
                                                      air quality without contributions from                                                                           action, if finalized, would not constitute
                                                                                                              according to the EPA’s guidance.
                                                      the Doe Run Herculaneum facility and                                                                             a redesignation to attainment under
                                                                                                              Certified and quality assured 2016 air
                                                      demonstrates that the nonattainment                                                                              section 107(d)(3) of the CAA. The
                                                                                                              quality monitoring data is indicative of
                                                      area has attained the standard of 75 ppb.                                                                        designation status of the nonattainment
                                                                                                              a substantial improvement in SO2 air
                                                                                                                                                                       area will remain nonattainment for the
                                                         While the state’s analysis of available              quality in the nonattainment area; the
                                                                                                                                                                       2010 1-hour primary SO2 NAAQS until
                                                      2016 emissions and meteorology data is                  design value for 2014–2016 is 23.0 ppb.
                                                                                                                                                                       such time as the state submits an
                                                      informative, the EPA interprets that the                Missouri’s monitoring data, technical
                                                                                                                                                                       approvable redesignation request and
                                                      2014 SO2 Nonattainment Area Guidance                    modeling analysis and supplemental
                                                                                                                                                                       maintenance plan, and the EPA takes
                                                      and the 2016 SO2 Modeling TAD allows                    information all support an EPA
                                                                                                                                                                       final rulemaking action to determine
                                                      for modeling of a mix of actual                         determination, consistent with its Clean
                                                                                                                                                                       that such submission meets the CAA
                                                      emissions and current allowable                         Data Policy, that the nonattainment area
                                                                                                                                                                       requirements for redesignation to
                                                      emissions to support a clean data                       has clean data and warrants a clean data
                                                                                                                                                                       attainment.
                                                      determination, and therefore the state’s                determination.
                                                      2013–2015 modeling demonstration is                                                                              V. Statutory and Executive Order
                                                                                                              VI. What would be the effects of this
                                                      sufficient to allow an assessment as to                                                                          Reviews
                                                                                                              action, if promulgated?
                                                      whether the area has achieved clean                                                                                 This action proposes to make a
                                                                                                                 If this proposed determination is                     determination based on air quality
                                                      data.                                                   made final, the requirements for the                     monitoring data and modeling and
                                                         The EPA acknowledges the Doe Run                     state to submit an attainment                            would, if finalized, result in the
                                                      Herculaneum facility’s primary smelting                 demonstration, a reasonable further                      suspension of certain Federal
                                                      operation is permanently shut down                      progress plan, contingency measures,                     requirements and would not impose any
                                                      and recognizes the corresponding                        and other planning SIPs revisions                        additional requirements. For that
                                                      relationship between the decrease in the                related to attainment of the 2010 1-hour                 reason, this proposed action:
                                                      emissions from Doe Run Herculaneum                      primary SO2 NAAQS shall be                                  • Is not a significant regulatory action
                                                      and the decreased monitored                             suspended until such time, if any, that                  subject to review by the Office of
                                                      concentrations at the Mott Street                       the EPA subsequently determines, after                   Management and Budget under
                                                      monitor as seen in table 3. The                         notice-and-comment rulemaking in the                     Executive Orders 12866 (58 FR 51735,
                                                      maximum hourly SO2 concentration                        Federal Register, that the area has                      October 4, 1993) and 13563 (76 FR 3821,
                                                      was reduced by 87 percent from 2013                     violated the 2010 1-hour primary SO2                     January 21, 2011);
                                                      (143 ppb) to 2014 (18 ppb) after the Doe                NAAQS. If this were to occur, the basis                     • Does not impose an information
                                                      Run Herculaneum facility closed. A                      for the suspension of the specific SIP                   collection burden under the provisions
                                                                                                              requirements would no longer exist, and                  of the Paperwork Reduction Act (44
                                                      comparison of the 99th percentile 1-hr
                                                                                                              the state would thereafter have to                       U.S.C. 3501 et seq.);
                                                      average from the last full production
                                                      year (2012) to the first post-shutdown
                                                                                                              address the pertinent requirements. If                      • Is certified as not having a
                                                                                                              finalized, this determination of                         significant economic impact on a
                                                      year (2014) shows a 93 percent                          attainment would not shield the area
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                                                      reduction in monitored SO2                                                                                       substantial number of small entities
                                                                                                              from other required actions, such as                     under the Regulatory Flexibility Act
                                                      concentrations.                                         provisions to address pollution                          (5 U.S.C. 601 et seq.);
                                                                                                              transport, which could require emission                     • Does not contain any unfunded
                                                                                                              reductions at sources or other types of                  mandate or significantly or uniquely
                                                                                                              emission activities contributing                         affect small governments, as described
                                                                                                              significantly to nonattainment in other                  in the Unfunded Mandates Reform Act
                                                                                                              areas or states, or interfering with                     of 1995 (Pub. L. 104–4);
                                                                                                              maintenance in those areas. The EPA                         • Does not have Federalism
                                                                                                              has the authority to require emissions                   implications as specified in Executive


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                                                                                Federal Register / Vol. 82, No. 120 / Friday, June 23, 2017 / Proposed Rules                                                    28611

                                                      Order 13132 (64 FR 43255, August 10,                    California’s low emission vehicle (LEV)                III. Relevant EPA and CAA Requirements
                                                      1999);                                                  program. Maine has adopted these                       IV. Proposed Action
                                                         • Is not an economically significant                 revisions to reduce emissions of volatile              V. Incorporation by Reference
                                                      regulatory action based on health or                                                                           VI. Statutory and Executive Order Reviews
                                                                                                              organic compounds (VOC) and nitrogen
                                                      safety risks subject to Executive Order                 oxides (NOX) in accordance with the
                                                                                                                                                                     I. Background and Purpose
                                                      13045 (62 FR 19885, April 23, 1997);                    requirements of the Clean Air Act
                                                         • Is not a significant regulatory action             (CAA), as well as to reduce greenhouse                    On August 18, 2015, the Maine
                                                      subject to Executive Order 13211 (66 FR                 gases. The intended effect of this action              Department of Environmental Protection
                                                      28355, May 22, 2001);                                   is to propose approval of Maine’s                      (DEP) submitted a revision to its SIP
                                                         • Is not subject to requirements of                  August 18, 2015 SIP revision. This                     consisting of Maine’s amended Chapter
                                                      Section 12(d) of the National                           action is being taken under the Clean                  127 ‘‘New Motor Vehicle Emission
                                                      Technology Transfer and Advancement                     Air Act.                                               Standards.’’ The regulation establishes
                                                      Act of 1995 (15 U.S.C. 272 note) because                DATES: Written comments must be                        motor vehicle emission standards for
                                                      application of those requirements would                 received on or before July 24, 2017.                   new gasoline powered passenger cars,
                                                      be inconsistent with the CAA; and                       ADDRESSES: Submit your comments,                       light-duty trucks, medium-duty
                                                         • Does not provide the EPA with the                  identified by Docket ID No. EPA–R01–                   vehicles, as well as for heavy-duty
                                                      discretionary authority to address, as                  OAR–2013–0089 at http://                               diesel vehicles.
                                                      appropriate, disproportionate human                     www.regulations.gov, or via email to                      A prior version of Maine’s Chapter
                                                      health or environmental effects, using                  arnold.anne@epa.gov. For comments                      127 is currently in the Maine SIP. It was
                                                      practicable and legally permissible                     submitted at Regulations.gov, follow the               effective in the State of Maine on
                                                      methods, under Executive Order 12898                    online instructions for submitting                     December 31, 2000 and approved by
                                                      (59 FR 7629, February 16, 1994).                        comments. Once submitted, comments                     EPA into the SIP on April 28, 2005 (70
                                                         In addition, this proposed action does               cannot be edited or removed from                       FR 21959). The SIP-approved version of
                                                      not apply on any Indian reservation                     Regulations.gov. For either manner of                  Chapter 127 includes California’s LEV I
                                                      land or in any other area where the EPA                 submission, the EPA may publish any                    and LEV II standards, effective for
                                                      or an Indian tribe has demonstrated that                comment received to its public docket.                 model years 1994–2003 and 2004–2010,
                                                      a tribe has jurisdiction. In those areas of             Do not submit electronically any                       respectively. It does not include the
                                                      Indian country, the rule does not have                  information you consider to be                         California zero emission vehicle (ZEV)
                                                      tribal implications and will not impose                 Confidential Business Information (CBI)                mandate for Maine.
                                                      substantial direct costs on tribal                      or other information whose disclosure is                  Since that time, Maine has made
                                                      governments or preempt tribal law as                    restricted by statute. Multimedia                      several revisions to Chapter 127. The
                                                      specified by Executive Order 13175 (65                  submissions (audio, video, etc.) must be               version included in Maine’s August 18,
                                                      FR 67249, November 9, 2000).                            accompanied by a written comment.                      2015 SIP revision includes the following
                                                                                                              The written comment is considered the                  requirements, beyond those previously
                                                      List of Subjects in 40 CFR Part 52
                                                                                                              official comment and should include                    approved into the SIP. The SIP revision
                                                        Environmental protection, Air                                                                                includes California’s 2007 heavy-duty
                                                                                                              discussion of all points you wish to
                                                      pollution control, Incorporation by                                                                            diesel engine (HDDE) emission
                                                                                                              make. The EPA will generally not
                                                      reference, Sulfur dioxide, attainment                                                                          standards. This was phased in from
                                                                                                              consider comments or comment
                                                      determination.                                                                                                 2007 through 2009, with full
                                                                                                              contents located outside of the primary
                                                        Dated: June 5, 2017.                                  submission (i.e. on the Web, cloud, or                 compliance required for model year
                                                      Edward H, Chu,                                          other file sharing system). For                        2010 and subsequent engines. The
                                                      Acting Regional Administrator, Region 7.                additional submission methods, please                  California regulations were identical to
                                                      [FR Doc. 2017–13190 Filed 6–22–17; 8:45 am]             contact the person identified in the FOR               EPA’s HDDE rule that requires engines
                                                                                                              FURTHER INFORMATION CONTACT section.                   to emit 95% less NOX and 90% less
                                                      BILLING CODE 6560–50–P
                                                                                                              For the full EPA public comment policy,                particulate matter (PM) than the
                                                                                                              information about CBI or multimedia                    previous standards.
                                                      ENVIRONMENTAL PROTECTION                                submissions, and general guidance on                      Maine’s revised regulation also
                                                      AGENCY                                                  making effective comments, please visit                includes requirements for diesel fueled
                                                                                                              http://www2.epa.gov/dockets/                           auxiliary power units (APUs). APUs are
                                                      40 CFR Part 52                                          commenting-epa-dockets.                                engines, other than the main vehicle
                                                                                                                                                                     engine, that could be used for heating or
                                                      [EPA–R01–OAR–2013–0089; FRL–9963–87–                    FOR FURTHER INFORMATION CONTACT: Eric
                                                                                                                                                                     cooling a sleeper truck, or powering a
                                                      Region 1]                                               Rackauskas, Air Quality Planning Unit,
                                                                                                                                                                     refrigerator unit while the main vehicle
                                                                                                              U.S. Environmental Protection Agency,
                                                      Air Plan Approval; ME; New Motor                                                                               engine is powered down. The amended
                                                                                                              EPA New England Regional Office, 5
                                                      Vehicle Emission Standards                                                                                     Chapter 127 allows truck owners to
                                                                                                              Post Office Square, Suite 100 (mail
                                                                                                                                                                     install either a California certified or a
                                                      AGENCY:  Environmental Protection                       code: OEP05–2), Boston, MA 02109–
                                                                                                                                                                     Federal Tier 4 certified APU.1
                                                      Agency.                                                 3912, telephone number (617) 918–
                                                                                                                                                                        Maine’s revised rule also includes the
                                                                                                              1628, fax number (617) 918–0628, email
                                                      ACTION: Proposed rule.                                                                                         California ZEV program. In 2003, the
                                                                                                              rackauskas.eric@epa.gov.
asabaliauskas on DSKBBXCHB2PROD with PROPOSALS




                                                                                                                                                                     California Air Resources Board (CARB)
                                                      SUMMARY:  The Environmental Protection                  SUPPLEMENTARY INFORMATION:                             finalized modifications to the ZEV
                                                      Agency (EPA) is proposing to approve a                  Throughout this document whenever                      program that better aligned the
                                                      State Implementation Plan (SIP)                         ‘‘we,’’ ‘‘us,’’ or ‘‘our’’ is used, we mean            requirements with the status of then-
                                                      revision submitted by the State of Maine                EPA.                                                   available technology development. The
                                                      on August 18, 2015. This SIP revision                      Organization of this document. The                  updated CARB regulations require that
                                                      includes Maine’s revised regulation for                 following outline is provided to aid in                10% of vehicles be ZEVs starting in
                                                      new motor vehicle emission standards.                   locating information in this preamble.
                                                      Maine has updated its rule to be                        I. Background and Purpose                                1 For information on the Federal Tier 4 diesel

                                                      consistent with various updates made to                 II. The California LEV Program                         program see 40 CFR part 1039.



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Document Created: 2017-06-23 03:37:56
Document Modified: 2017-06-23 03:37:56
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionProposed Rules
ActionProposed rule.
DatesComments must be received on or before July 24, 2017.
ContactMs. Tracey Casburn, Environmental Protection Agency, Air Planning and Development Branch, 11201 Renner Boulevard, Lenexa, Kansas 66219 at (913) 551-7016, or by email at [email protected]
FR Citation82 FR 28605 
CFR AssociatedEnvironmental Protection; Air Pollution Control; Incorporation by Reference; Sulfur Dioxide and Attainment Determination

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