82_FR_40266 82 FR 40103 - National Emission Standards for Hazardous Air Pollutants: Manufacture of Amino/Phenolic Resins

82 FR 40103 - National Emission Standards for Hazardous Air Pollutants: Manufacture of Amino/Phenolic Resins

ENVIRONMENTAL PROTECTION AGENCY

Federal Register Volume 82, Issue 163 (August 24, 2017)

Page Range40103-40118
FR Document2017-17514

On October 8, 2014, the Environmental Protection Agency (EPA) finalized amendments to the National Emission Standards for Hazardous Air Pollutants (NESHAP) for the Manufacture of Amino/Phenolic Resins (APR). Subsequently, the EPA received three petitions for reconsideration of the final rule. The EPA is reconsidering and requesting public comment on issues related to the maximum achievable control technology (MACT) standards for continuous process vents (CPVs) at existing affected sources. The EPA is proposing to revise the MACT standard for back-end CPVs at existing affected sources based on hazardous air pollutant (HAP) emissions test data for back-end CPVs at existing sources for this source category submitted by petitioners. The EPA is also soliciting comments regarding the need to revise the standard for front-end CPVs at existing sources, and to extend the compliance date for the proposed revised emission limit for back-end CPVs at existing sources. Additionally, the EPA is proposing requirements for storage vessels at new and existing sources during periods when an emission control system used to control vents on fixed roof tanks is undergoing planned routine maintenance. The EPA is seeking comments only on the four issues specifically addressed in this notice: proposed revised back-end CPV MACT standards for existing sources, whether the EPA should modify the front-end CPV MACT standards for existing sources, whether the EPA should extend the compliance date for the proposed revised back-end CPV MACT standards for existing sources, and the proposed work practice standards for storage vessels during planned routine maintenance of emission control systems. In this rulemaking, the EPA is not reopening or requesting comment on any other aspects of the 2014 final amendments to the NESHAP for the Manufacture of APR, including other issues raised in petitions for reconsideration of the 2014 rule. The EPA estimates this proposal, if finalized as proposed, would reduce compliance costs to this industry by $2.1 million per year, compared to a revised cost estimate of the MACT standard as amended in 2014.

Federal Register, Volume 82 Issue 163 (Thursday, August 24, 2017)
[Federal Register Volume 82, Number 163 (Thursday, August 24, 2017)]
[Proposed Rules]
[Pages 40103-40118]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2017-17514]


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ENVIRONMENTAL PROTECTION AGENCY

40 CFR Part 63

[EPA-HQ-OAR-2012-0133, FRL-9966-26-OAR]
RIN 2060-AS79


National Emission Standards for Hazardous Air Pollutants: 
Manufacture of Amino/Phenolic Resins

AGENCY: Environmental Protection Agency (EPA).

ACTION: Proposed rule.

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SUMMARY: On October 8, 2014, the Environmental Protection Agency (EPA) 
finalized amendments to the National Emission Standards for Hazardous 
Air Pollutants (NESHAP) for the Manufacture of Amino/Phenolic Resins 
(APR). Subsequently, the EPA received three petitions for 
reconsideration of the final rule. The EPA is reconsidering and 
requesting public comment on issues related to the maximum achievable 
control technology (MACT) standards for continuous process vents (CPVs) 
at existing affected sources. The EPA is proposing to revise the MACT 
standard for back-end CPVs at existing affected sources based on 
hazardous air pollutant (HAP) emissions test data for back-end CPVs at 
existing sources for this source category submitted by petitioners. The 
EPA is also soliciting comments regarding the need to revise the 
standard for front-end CPVs at existing sources, and to extend the 
compliance date for the proposed revised emission limit for back-end 
CPVs at existing sources. Additionally, the EPA is proposing 
requirements for storage vessels at new and existing sources during 
periods when an emission control system used to control vents on fixed 
roof tanks is undergoing planned routine maintenance. The EPA is 
seeking comments only on the four issues specifically addressed in this 
notice: proposed revised back-end CPV MACT standards for existing 
sources, whether the EPA should modify the front-end CPV MACT standards 
for existing sources, whether the EPA should extend the compliance date 
for the proposed revised back-end CPV MACT standards for existing 
sources, and the proposed work practice standards for storage vessels 
during planned routine maintenance of emission control systems. In this 
rulemaking, the EPA is not reopening or requesting comment on any other 
aspects of the 2014 final amendments to the NESHAP for the Manufacture 
of APR, including other issues raised in petitions for reconsideration 
of the 2014 rule. The EPA estimates this proposal, if

[[Page 40104]]

finalized as proposed, would reduce compliance costs to this industry 
by $2.1 million per year, compared to a revised cost estimate of the 
MACT standard as amended in 2014.

DATES: 
    Comments. Comments must be received on or before October 23, 2017.
    Public Hearing. If a public hearing is requested by September 7, 
2017, then we will hold a public hearing on September 25, 2017 at EPA 
Headquarters, William Jefferson Clinton East Building, 1201 
Constitution Avenue NW., Washington, DC 20004. If a public hearing is 
requested, then we will provide details about the public hearing on our 
Web site at: https://www.epa.gov/stationary-sources-air-pollution/manufacture-aminophenolic-resins-national-emission-standards. The EPA 
does not intend to publish another notice in the Federal Register 
announcing any updates on the request for a public hearing. Please 
contact Ms. Virginia Hunt at (919) 541-0832 or by email at 
[email protected] to request a public hearing, to register to speak 
at the public hearing, or to inquire as to whether a public hearing 
will be held. The last day to pre-register in advance to speak at the 
public hearing will be September 21, 2017.

ADDRESSES: Comments. Submit your comments, identified by Docket ID No. 
EPA-HQ-OAR-2012-0133 at http://www.regulations.gov. Follow the online 
instructions for submitting comments. Once submitted, comments cannot 
be edited or removed from http://www.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 http://www.epa.gov/dockets/commenting-epa-dockets.

FOR FURTHER INFORMATION CONTACT: For questions about this proposed 
action, please contact Mr. Art Diem, Sector Policies and Programs 
Division (E143-01), Office of Air Quality Planning and Standards, U.S. 
Environmental Protection Agency, Research Triangle Park, North Carolina 
27711; telephone number: (919) 541-1185; fax number: (919) 541-0246; 
email address: [email protected]. For information about the 
applicability of the NESHAP to a particular entity, contact Maria 
Malave, Office of Enforcement and Compliance Assurance, U.S. 
Environmental Protection Agency, EPA WJC South Building, Mail Code 
2227A, 1200 Pennsylvania Avenue NW., Washington DC 20460; telephone 
number: (202) 564-7027; fax number: (202) 564-0050; and email address: 
[email protected].

SUPPLEMENTARY INFORMATION: 
    Docket. The EPA has established a docket for this rulemaking under 
Docket ID No. EPA-HQ-OAR-2012-0133. All documents in the docket are 
listed in the http://www.regulations.gov index. Although listed in the 
index, some information is not publicly available, e.g., CBI or other 
information whose disclosure is restricted by statute. Certain other 
material, such as copyrighted material, is not placed on the Internet 
and will be publicly available only in hard copy. Publicly available 
docket materials are available either electronically at http://www.regulations.gov or in hard copy at the EPA Docket Center, Room 
3334, EPA WJC West Building, 1301 Constitution Avenue NW, Washington, 
DC. The Public Reading Room is open from 8:30 a.m. to 4:30 p.m., Monday 
through Friday, excluding legal holidays. The telephone number for the 
Public Reading Room is (202) 566-1744, and the telephone number for the 
EPA Docket Center is (202) 566-1742.
    Instructions: Direct your comments to Docket ID No. EPA-HQ-OAR-
2012-0133. The EPA's policy is that all comments received will be 
included in the public docket without change and will be made available 
online at http://www.regulations.gov, including any personal 
information provided, unless the comment includes information claimed 
to be CBI or other information whose disclosure is restricted by 
statute. Do not submit information that you consider to be CBI or 
otherwise protected through http://www.regulations.gov or email. Send 
or deliver information identified as CBI only to the following address: 
OAQPS Document Control Officer (C404-02), Office of Air Quality 
Planning and Standards, U.S. Environmental Protection Agency, Research 
Triangle Park, North Carolina 27711, Attention Docket ID No. EPA-HQ-
OAR-2012-0133. Clearly mark the part or all of the information that you 
claim to be CBI. For CBI information on a disk or CD-ROM that you mail 
to the EPA, mark the outside of the disk or CD-ROM as CBI and then 
identify electronically within the disk or CD-ROM the specific 
information you claim as CBI. In addition to one complete version of 
the comment that includes information claimed as CBI, you must submit a 
copy of the comment that does not contain the information claimed as 
CBI for inclusion in the public docket. Information so marked will not 
be disclosed except in accordance with procedures set forth in the Code 
of Federal Regulations (CFR) at 40 CFR part 2.
    The http://www.regulations.gov Web site is an ``anonymous access'' 
system, which means the EPA will not know your identity or contact 
information unless you provide it in the body of your comment. If you 
send an email comment directly to the EPA without going through http://www.regulations.gov, your email address will be automatically captured 
and included as part of the comment that is placed in the public docket 
and made available on the Internet. If you submit an electronic 
comment, the EPA recommends that you include your name and other 
contact information in the body of your comment and with any electronic 
storage media you submit. If the EPA cannot read your comment due to 
technical difficulties and cannot contact you for clarification, the 
EPA may not be able to consider your comment. Electronic files should 
avoid the use of special characters or any form of encryption and be 
free of any defects or viruses. For additional information about the 
EPA's public docket, visit the EPA Docket Center homepage at http://www.epa.gov/dockets.
    Preamble Acronyms and Abbreviations. Multiple acronyms and terms 
are used in this preamble. While this list may not be exhaustive, to 
ease the reading of this preamble and for reference purposes, the EPA 
defines the following terms and acronyms here:

APR Amino/phenolic resin
CAA Clean Air Act
CBI Confidential Business Information
CFR Code of Federal Regulations
CPV Continuous process vent
EPA Environmental Protection Agency
FR Federal Register
HAP Hazardous air pollutants
HON Hazardous Organic NESHAP
ICR Information collection request
lb Pound
MACT Maximum achievable control technology
NESHAP National emissions standards for hazardous air pollutants

[[Page 40105]]

OAQPS Office of Air Quality Planning and Standards
OMB Office of Management and Budget
PRD Pressure relief device
ppmv Parts per million by volume
RTO Regenerative thermal oxidizer
RTR Residual risk and technology review
UFC Urea formaldehyde concentrate
UPL Upper predictive limit

    Organization of this Document. The information in this preamble is 
organized as follows:

I. General Information
    A. What is the source of authority for the reconsideration 
action?
    B. Does this action apply to me?
    C. Where can I get a copy of this document and other related 
information?
II. Background
    A. Why is the EPA issuing this proposed reconsideration action?
    B. What are the issues raised by petitioners about the standards 
for CPVs at existing affected sources?
III. Proposed Emissions Standards for Back-End CPVs at Existing 
Sources
    A. What data were collected for back-end CPVs on resin spray 
dryers?
    B. What analyses were conducted for back-end CPVs?
    C. Should the EPA provide facilities more time to comply with 
the proposed revised back-end CPV standards?
IV. What other changes or issues does this action address?
    A. Should the EPA promulgate a separate standard for front-end 
CPVs at existing sources?
    B. Proposed work practice standards for storage vessels at new 
and existing sources during planned routine maintenance of emission 
control systems
V. Summary of Cost, Environmental, and Economic Impacts
    A. What are the affected sources?
    B. What are the air quality impacts?
    C. What are the cost impacts?
    D. What are the economic impacts?
    E. What are the benefits?
VI. Solicitation of Public Comment and Participation
VII. Statutory and Executive Order Reviews
    A. Executive Order 12866: Regulatory Planning and Review and 
Executive Order 13563: Improving Regulation and Regulatory Review
    B. Paperwork Reduction Act (PRA)
    C. Regulatory Flexibility Act (RFA)
    D. Unfunded Mandates Reform Act (UMRA)
    E. Executive Order 13132: Federalism
    F. Executive Order 13175: Consultation and Coordination with 
Indian Tribal Governments
    G. Executive Order 13045: Protection of Children from 
Environmental Health Risks and Safety Risks
    H. Executive Order 13211: Actions Concerning Regulations that 
Significantly Affect Energy Supply, Distribution, or Use
    I. National Technology Transfer and Advancement Act (NTTAA)
    J. Executive Order 12898: Federal Actions to Address 
Environmental Justice in Minority Populations and Low-Income 
Populations

I. General Information

A. What is the source of authority for the reconsideration action?

    The statutory authority for this action is provided by sections 112 
and 307(d)(7)(B) of the Clean Air Act (CAA) (42 U.S.C. 7412 and 
7607(d)(7)(B)).

B. Does this action apply to me?

    Categories and entities potentially regulated by this action 
include, but are not limited to, facilities having a North American 
Industry Classification System (NAICS) code 325211. Facilities with 
this NAICS code are described as plastics material and resin 
manufacturing establishments, which includes facilities engaged in 
manufacturing amino resins and phenolic resins, as well as other 
plastic and resin types.
    To determine whether your facility is affected, you should examine 
the applicability criteria in 40 CFR 63.1400 of subpart OOO. If you 
have any questions regarding the applicability of any aspect of the 
NESHAP, please contact the appropriate person listed in the preceding 
FOR FURTHER INFORMATION CONTACT section of this preamble.

C. Where can I get a copy of this document and other related 
information?

    In addition to being available in the docket, an electronic copy of 
this action is available on the Internet. A redline version of the 
regulatory language that incorporates the proposed changes in this 
action is available in the docket for this action (Docket ID No. EPA-
HQ-OAR-2012-0133). Following signature by the EPA Administrator, the 
EPA will post a copy of this proposed action at: https://www.epa.gov/stationary-sources-air-pollution/manufacture-aminophenolic-resins-national-emission-standards. Following publication in the Federal 
Register, the EPA will post the Federal Register version of this 
proposal at this same Web site. Other key technical documents related 
to this proposal will be available in the docket when the Federal 
Register version of the proposal is posted to the docket. Only the 
version as published in the Federal Register will represent the 
official EPA proposal.

II. Background

A. Why is the EPA issuing this proposed reconsideration action?

    On October 8, 2014, the EPA completed the residual risk and 
technology review (RTR) of the January 20, 2000, APR MACT standards (65 
FR 3276), and published its final rule amending the NESHAP for the APR 
Production source category at 40 CFR part 63, subpart OOO. That action 
also amended the NESHAP for the Acrylic and Modacrylic Fibers 
Production source category and the Polycarbonate Production source 
category at 40 CFR part 63, subpart YY (79 FR 60898). The 2014 final 
rule established MACT standards for the first time for CPVs at existing 
affected sources in the APR Production source category. The 2014 final 
rule also removed exemptions for periods of startup, shutdown, and 
malfunction; clarified provisions pertaining to open-ended valves and 
lines; added monitoring requirements for pressure relief devices 
(PRDs); and added requirements for electronic reporting of performance 
test results.
    The October 2014 amendments to 40 CFR part 63, subpart OOO, 
promulgated emissions limits for previously unregulated HAP emissions 
from CPVs at existing affected sources, without distinguishing between 
back-end and front-end CPVs. The standard of 0.95 kilograms of organic 
HAP per megagram (1.9 pounds (lb) of total organic HAP per ton) of 
resin produced is codified at 40 CFR 63.1405(a)(3) and currently 
applies to existing affected source back-end and front-end CPVs.
    Following promulgation of the October 8, 2014, final rule, the EPA 
received three petitions for reconsideration pursuant to section 
307(d)(7)(B) of the CAA. The petitions were submitted by the Sierra 
Club, Tembec BTLSR (``Tembec''), and Georgia-Pacific LLC (``Georgia-
Pacific''). The petitions are available for review in the rulemaking 
docket (see Docket Document ID Nos. EPA-HQ-OAR-2012-0133-0077, EPA-HQ-
OAR-2012-0133-0076, and EPA-HQ-OAR-2012-0133-0072, respectively). On 
March 27, 2015, the EPA issued letters to the petitioners granting 
reconsideration of the final rule to address at least the following 
petitioners' claims: that the public was not afforded a reasonable 
opportunity to comment on the MACT floor analysis, supporting data and 
resulting emission standards for CPVs at existing sources; and that the 
requirements associated with emissions from PRDs should be 
reconsidered.\1\

[[Page 40106]]

These letters are also available in the rulemaking docket (see Docket 
Document ID Nos. EPA-HQ-OAR-2012-0133-0075, EPA-HQ-OAR-2012-0133-0073, 
and EPA-HQ-OAR-2012-0133-0074, respectively).
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    \1\ A petitioner requested another change in the rule language 
regarding planned routine maintenance of emission control systems 
used to reduce HAP emissions from storage vessels. Although this 
issue was not addressed in the March 2015 letters granting 
reconsideration, the EPA has reconsidered the storage vessel 
requirements and is addressing these requirements in this proposal. 
See section IV of this preamble for more details.
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    The Agency is now proposing revised emissions standards for back-
end CPVs at existing affected sources and is proposing alternative work 
practice standards for storage vessels during periods of planned 
routine maintenance of emission control systems on fixed roof tanks at 
new and existing affected APR production sources. The EPA is requesting 
public comments on these proposed standards. The EPA is also asking for 
comments on whether it is necessary to establish a new compliance date 
for the proposed revised back-end CPV limits at existing sources (if 
they are promulgated), and on whether revisions are needed to the 
existing source CPV limits as they apply to front-end CPVs. At this 
time, the EPA is not proposing any actions pertaining to its grant of 
reconsideration on the PRD issues raised in the petitions for 
reconsideration. The EPA intends to address those issues separately in 
a future action and is not requesting or accepting comment on issues 
related to PRDs.

B. What are the issues raised by petitioners about the standards for 
CPVs at existing affected sources?

1. Opportunity To Comment on Final Production-Based Standards for CPVs 
at Existing Affected Sources
    During the review of the APR NESHAP, the EPA determined that there 
were no applicable MACT standards for CPVs located at existing affected 
sources, and, therefore, in the January 9, 2014 (79 FR 1676), RTR 
proposal for the category, the EPA proposed first-time MACT standards, 
based on the MACT floor, for those CPVs as follows:
     Reduce organic HAP by 85 percent or more; or
     Limit the concentration of organic HAP to 20 parts per 
million by volume (ppmv) when using a combustion control device; or
     Limit the concentration of organic HAP to 50 ppmv when 
using a non-combustion control device.
    During the comment period on the proposal, commenters provided the 
EPA with information showing that, rather than the two existing 
affected sources in the category with CPVs (specifically, CPVs on resin 
spray dryers) that the EPA had identified at proposal, there are four 
existing affected sources with a total of six CPVs (all on resin spray 
dryers). In addition, commenters stated that the EPA should calculate 
uncontrolled production-based emission rates based on 5 years of 
production, taking variability in emissions between resin types into 
account. Commenters provided the EPA with HAP emissions data and resin 
production data for the previous 5 years during the comment period.
    The EPA considered the additional data submitted during the comment 
period in calculating the MACT floor, and determined that it was 
appropriate to finalize a production-based limit of 1.9 lb of HAP per 
ton of resin produced for CPVs at existing affected sources (see 40 CFR 
63.1405(a)(3)). The EPA discussed the determination of the MACT floor 
in a memorandum available in the rulemaking docket (Docket Document ID 
No. EPA-HQ-OAR-2012-0133-0053). The final rule was promulgated on 
October 8, 2014 (79 FR 60898).
    Petitioners Tembec and Georgia-Pacific each own resin spray dryers 
(back-end CPVs) regulated by the NESHAP for existing affected sources. 
The back-end CPVs are currently subject to the finalized limit of 1.9 
lb of HAP per ton of resin produced. Tembec's and Georgia-Pacific's 
petitions claim they did not have an opportunity to comment on the MACT 
floor analysis and emissions standard in the final rule. While they 
stated in the petitions that they believe a production-based limit is 
appropriate, they claimed they did not get an opportunity to comment on 
how the EPA would use the data they provided in analyses conducted to 
determine the MACT floor level of control.
2. MACT Floor Determination for Back-End CPVs at Existing Affected 
Sources
    The Tembec and Georgia-Pacific petitions stated that the 
production-based emissions limit in the 2014 final rule of 1.9 lb of 
HAP per ton of resin produced was not achievable for back-end CPVs, and 
they expressed concern over the data and calculation methodology used 
to set the HAP emissions standard for CPVs at existing affected 
sources. Specifically, Tembec stated that even though its back-end CPVs 
are identified as the best-performing units, these units do not meet 
the 1.9 lb of HAP per ton of resin produced standard for existing 
source CPVs.
    Tembec and Georgia-Pacific further stated that the emissions data 
the EPA used to represent Tembec's back-end CPVs were incomplete. 
According to Tembec and Georgia-Pacific, Tembec's back-end CPV HAP 
emissions data used in the final rule MACT floor analysis do not 
account for all HAP emitted, including methanol and formaldehyde. 
Therefore, petitioners stated that the EPA underestimated the total HAP 
emissions from these back-end CPVs, resulting in an unreasonably 
stringent production-based total HAP emissions standard for existing 
affected sources.
    Georgia-Pacific stated in its petition that the EPA made three 
errors in calculating the production-based HAP limits for CPVs at 
existing affected sources. First, the petitioner claimed that the 
promulgated emissions standard does not adequately account for 
variability in emissions from back-end CPVs. The commenter noted that 
the EPA calculated the emission rate for each CPV by dividing the 5-
year total emissions by the 5-year total amount of resin produced by 
the corresponding resin unit. The petitioner stated that to account for 
short-term variability, the EPA should have based the standard on the 
maximum 1-year production-based HAP emissions rate for each CPV. 
Georgia-Pacific also stated that another approach the EPA could have 
used to account for variability in the data when calculating the 
production-based HAP emissions limit is the application of a 99-percent 
upper prediction limit (UPL). Second, Georgia-Pacific disagreed with 
the EPA's interpretation of ``average'' as the median rather than the 
arithmetic mean of the production-based HAP emissions, although it 
acknowledged the EPA's long-standing interpretation that ``average'' 
could mean arithmetic mean, median, or mode. The petitioner stated that 
using the arithmetic mean would better reflect the performance of 
Georgia-Pacific's back-end CPVs, whereas the median produced an 
emissions limit that is not representative of two of the five best-
performing back-end CPVs (with the noted two being Georgia-Pacific 
CPVs). Third, Georgia-Pacific stated that the EPA's emissions 
calculations do not account for a change in particulate control 
technology for one of Tembec's back-end CPVs that occurred prior to the 
2014 final rule. Georgia-Pacific asserted that HAP emissions from this 
CPV are now higher with the change in particulate control technology, 
and the EPA should not have used data from a period with the previous 
control technology in place when determining production-based HAP 
emissions from the five best-performing CPVs at existing affected 
sources.
    Georgia-Pacific also suggested in its petition for reconsideration 
that the EPA should explore subcategorizing the existing source CPVs 
between those at Tembec and those at Georgia-Pacific to account for 
fundamental differences in

[[Page 40107]]

equipment and processes, including dryer size and/or type of resin 
produced. Georgia-Pacific's resin spray dryers are substantially larger 
than Tembec's resin spray dryers. Also, Tembec produces urea-
formaldehyde resins, whereas Georgia-Pacific produces phenolic resins.
    Tembec stated in its petition that the EPA did not consider 
information Tembec submitted to the EPA in the development of the MACT 
standard for back-end CPVs at existing sources. Specifically, Tembec 
stated that 2006 engineering test data for one of its CPVs were 
submitted to the EPA and could have been used to better estimate the 
HAP emissions from its three CPVs. Tembec also stated that it supports 
the Georgia-Pacific petition.
    In a comment letter from Georgia-Pacific dated March 10, 2014 
(Docket Document ID No. EPA-HQ-OAR-2012-0133-0046), on the January 9, 
2014, proposal, Georgia Pacific identified an additional CPV at its 
Crossett, Arkansas, facility. This newly identified CPV is not on the 
resin spray dryers. Whereas the resin spray dryers are on the back-end 
of the resin manufacturing process, this additional CPV is associated 
with a reactor used to produce urea-formaldehyde concentrate (UFC), 
which is located in the front-end of the resin manufacturing process, 
ahead of the resin spray dryers. Due to a lack of reliable emissions 
data for this CPV at the time of the 2014 final rule, the EPA did not 
include emissions from this CPV when it set the MACT floor for CPVs. 
The Sierra Club raised concerns in its petition for reconsideration 
regarding the exclusion of HAP emissions data from that front-end CPV, 
stating that the EPA did not adequately explain why the UFC CPV HAP 
emissions data were not included in the analysis to calculate the MACT 
floor for CPVs and asserting that the EPA must include all existing 
sources in the MACT floor analysis. Sierra Club argued that if the EPA 
had included Georgia-Pacific's UFC front-end CPV, the HAP emissions 
standard for CPVs would have been more stringent.
    Sierra Club asserted in its petition that all the CPVs are in the 
same source category and that the EPA cannot subcategorize based on the 
controls that are in place. Sierra Club further noted that although the 
EPA stated that the HAP emissions data from this front-end CPV were not 
reliable, such a statement is insufficient to explain ignoring the HAP 
emissions from this CPV when setting the MACT standard for CPVs. 
Lastly, Sierra Club stated that excluding the UFC front-end CPV in the 
MACT floor analysis because its HAP emissions are not responsible for 
driving risks is not a relevant reason for such an exclusion.
    Following the EPA's issuance of the March 27, 2015, letters 
granting reconsideration on petitioners' issues pertaining to CPVs, 
petitioners Tembec and Georgia-Pacific conducted HAP emissions testing 
on the back-end CPVs located on their resin dryers at their four 
existing affected sources. The data from that testing are discussed in 
section III.A of this preamble.

III. Proposed Emissions Standards for Back-End CPVs at Existing Sources

A. What data were collected for back-end CPVs on resin spray dryers?

    Georgia-Pacific and Tembec conducted HAP emissions testing in April 
2015 and June 2015 on all six back-end CPVs located on their resin 
spray dryers, and they submitted the results of that testing to the 
EPA. Georgia-Pacific separately tested emissions during production of 
three types of resins at its Conway, North Carolina, facility; two 
types of resins at the Taylorsville, Mississippi, facility; and one 
type of resin at the Crossett, Arkansas, facility. Tembec tested 
emissions from one spray dryer CPV while producing one type of resin 
and tested emissions during production of two types of resins from the 
other two resin spray dryer CPVs. The companies followed a testing 
protocol approved in advance by the EPA, and both companies conducted 
six 1-hour runs of the back-end CPVs on each resin spray dryer, where 
possible, yielding a total of 64 runs. The test data indicate that the 
major HAP present were methanol and formaldehyde. Complete information 
on the spray dryer back-end CPV exhaust emission testing, including 
process and operation information, testing protocol and methodology, 
quality assurance/quality control, and detailed test results are 
available in the rulemaking docket.

B. What analyses were conducted for back-end CPVs?

1. MACT Floor Analysis for Back-End CPVs
    We performed a MACT floor analysis for back-end CPVs using the 2015 
test data provided by Georgia-Pacific and Tembec. In determining the 
MACT floor for existing sources, CAA section 112(d)(3) specifies that 
the emissions limits cannot be less stringent than the average emission 
limitation achieved by the best-performing 12 percent of existing 
sources in the category or subcategory (or the best-performing five 
sources for categories or subcategories with fewer than 30 sources). 
Since we have identified six existing source dryers in the APR source 
category, we determined the MACT floor-level of control based on the 
best-performing five sources. The MACT floor analysis involved 
determining the UPL emission rate for each dryer CPV, based on the 
emissions test results for the resin type generating the highest HAP 
emissions (where multiple resin types were tested). This UPL value 
takes into account production variability and estimates the upper bound 
of future values, based on present or past samples. The resulting UPL 
emission rate values for the six dryers were ranked, and the five 
lowest values were averaged to produce the MACT floor value.
    The EPA considered the petitioner's claim that the arithmetic 
average rather than the median value should be used in determining the 
MACT floor. Given the distribution of the data from these sources, the 
EPA interprets the arithmetic mean to be the better interpretation of 
``average'' for this set of data. If the distribution of the emission 
rates from each of the dryers had extreme variation or extreme 
skewness, then the median might be a better indicator of the central 
tendency or average of the data set. However, given that the data set 
consists of only five values (i.e., the UPL of the performance testing 
results for each of the five best-performing dryers \2\) and given that 
there is only a slight positive skew of this dataset, there is not 
enough skewness or variation in this dataset to conclude the median 
would be a better description of the average over the arithmetic mean.
---------------------------------------------------------------------------

    \2\ See Table 3 of the memorandum titled ``Proposed Revised MACT 
Floor and Beyond-the-Floor Analysis for Back-End Continuous Process 
Vents at Existing Sources in the Amino and Phenolic Resins 
Production Source Category'' in this docket.
---------------------------------------------------------------------------

    The EPA also considered how to best account for variability in 
emissions rates in the MACT floor determination. As each of these 
sources may produce multiple types (or recipes) of APR (without 
restriction and without needing any physical modification to the 
sources), to establish a standard that represents the emissions limit 
achieved in practice by the best-performing sources, our calculations 
of the MACT floor are based on the resin resulting in the highest HAP 
emissions at each of the best-performing sources and the calculated UPL 
emission rate for production of that highest-HAP emission generating 
resin at each dryer. In determining the MACT floor for existing 
sources, the EPA may exercise its judgment, based on an evaluation of 
the relevant factors and available data,

[[Page 40108]]

to determine the level of performance that has been achieved by the 
average of the best-performing sources (in this case, five sources) 
under variable conditions. The Court has recognized that the EPA may 
consider variability in estimating the degree of emissions reduction 
achieved by the best-performing sources and in setting MACT floors, 
holding the EPA may consider emission variability in estimating 
performance achieved by best-performing sources and may set the floor 
at a level that best-performing sources can expect to meet ``every day 
and under all operating conditions.'' \3\ As a result of its analysis, 
the EPA has determined that an appropriate MACT floor for back-end CPVs 
s 8.6 lb of HAP per ton of resin produced. See the memorandum titled 
``Proposed Revised MACT Floor and Beyond-the-Floor Analysis for Back-
End Continuous Process Vents at Existing Sources in the Amino and 
Phenolic Resins Production Source Category'' for more details on this 
analysis.
---------------------------------------------------------------------------

    \3\ Mossville Environmental Action Now v. EPA, 370 F.3d 1232, 
(D.C. Cir. 2004).
---------------------------------------------------------------------------

    The EPA explored Georgia-Pacific's request in its petition 
regarding subcategorizing the dryer standards based on dryer size and/
or type of resin produced. However, we found no compelling dryer size 
threshold nor resin type attribution that would provide a suitable 
rationale for subcategorization of a MACT floor for a back-end CPV 
standard.
2. Beyond-the-Floor Analysis for Back-End CPVs
    When establishing an emission standard pursuant to section 112(d) 
of the CAA, the EPA also determines whether to control emissions to a 
more stringent level ``beyond-the-floor,'' after considering the costs, 
non-air quality health and environmental impacts, and energy 
requirements of such more stringent control. As part of the beyond-the-
floor analysis for existing source back-end CPVs, control options that 
are more stringent than the MACT floor were considered. We identified 
one such option for back-end CPVs at existing sources, a 98-percent 
emissions reduction requirement. For this option, we assumed that 
regenerative thermal oxidizers (RTOs) would need to be used to achieve 
this control level at all existing APR sources with back-end CPVs. 
While we project that two facilities would already need to install RTOs 
on their back-end CPVs to meet the proposed revised MACT floor 
emissions limit, for this beyond-the-floor analysis, we evaluated the 
potential additional installation of RTOs at the other two facilities--
one facility would install an RTO to control the back-end CPV on one 
resin spray dryer and the other facility would install an RTO to 
control the back-end CPVs on three resin spray dryers.
    Table 1 presents the impacts for the MACT floor and the beyond-the-
floor options evaluated. Since we are not aware that any of the four 
facilities have installed controls to comply with the CPV requirements 
in the 2014 final rule, and since we are aware that at least three of 
the facilities have obtained an additional year to comply from their 
permitting authorities pursuant to 40 CFR 63.6(i), we believe it is 
appropriate to compare the impacts of the MACT floor and the beyond-
the-floor option identified to the 2000 rule compliance baseline. In 
addition, as explained previously, because the data used to set the 
production-based HAP emissions limit in the 2014 final rule did not 
account for all HAP, the cost and emissions impacts determined at the 
time the EPA issued the 2014 final rule would not be an appropriate 
basis of comparison. However, we note that using the more complete HAP 
emissions data now available, the cost and emissions impacts of the 
2014 final rule for back-end CPVs would be approximately the same as 
the cost and emissions impacts of the beyond-the-floor option for back-
end CPVs presented in Table 1 because we now project that all four 
facilities would need to install RTOs to comply with the 2014 final 
rule for back-end CPVs. More information on how the capital and 
annualized costs and costs per ton were calculated is available in the 
memorandum titled ``National Impacts Associated with Proposed Existing 
Source Standards for CPVs and Storage Tanks in the Amino and Phenolic 
Resins Production Source Category,'' available in the rulemaking 
docket.
---------------------------------------------------------------------------

    \4\ Beyond-the-floor would be essentially the same level of 
control as the 2014 final rule, with revised estimates of the costs 
and HAP emissions reduction based on the 2015 test data of back-end 
CPVs at existing sources.

                Table 1--Nationwide Emissions Reduction and Cost Impacts of Control Options for Back-End CPVs at Existing APR Facilities
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                             HAP emissions
                                                               reduction                                                   Cost         Incremental cost
                    Regulatory options                      compared to 2000     Capital cost     Annualized cost   effectiveness ($/  effectiveness ($/
                                                             rule (tons per      (million $)           ($/yr)        ton HAP removed)   ton HAP removed)
                                                                 year)
--------------------------------------------------------------------------------------------------------------------------------------------------------
MACT floor...............................................                207                4.8                2.1             10,400  .................
Beyond-the-floor \4\.....................................                271                9.6                4.2             15,500             33,000
--------------------------------------------------------------------------------------------------------------------------------------------------------

    Essentially, the beyond-the-floor option reflects a doubling of 
capital and annualized costs compared to the MACT floor option, while 
obtaining an additional HAP reduction of only 31-percent beyond the 
MACT floor option. Based on this analysis, we do not consider the 
beyond-the-floor option to be cost effective. Therefore, we are not 
proposing any beyond-the-floor standards. Instead, we are proposing to 
establish production-based HAP emission limits for back-end CPVs at 
existing APR production sources, at the level we have now determined is 
the correct MACT floor (i.e., 8.6 lb of HAP per ton of resin produced).
3. Proposed Amendments to Compliance Demonstration Procedures
    Facilities in the APR Production source category produce a wide 
variety of resin recipes as needed to meet the specifications of 
various products in which these resins are used. As a result, the 
characteristics of the resins passing through the dryers where the 
back-end CPVs are located can vary at a facility. In order to ensure 
that APR sources monitor operating parameters at a level that ensures 
continuous compliance with the proposed MACT standards for back-end 
CPVs under any and all operating conditions, we are also proposing to 
amend 40 CFR 63.1413 to require sources to conduct the performance 
testing using the resin

[[Page 40109]]

recipes anticipated to have the highest HAP content in the liquid 
resin.
4. Consideration of Risk Review
    In the risk assessment for the 2014 final rule, we determined that 
the APR MACT standards promulgated in January 2000 provide an ample 
margin of safety to protect public health (including the then-
uncontrolled emissions from CPVs at existing sources). See Residual 
Risk Assessment for the Amino/Phenolic Resins Production Source 
Category, Docket Document ID No. EPA-HQ-OAR-2012-0133-0065. Although 
the data set used to establish the MACT production-based emission 
limits for CPVs at existing sources in the 2014 final rule did not 
include data on all HAP, the risk assessment modeling input files for 
the 2014 final rule show that emissions of all HAP, including methanol 
and formaldehyde, from the CPVs at the existing sources were accounted 
for, except for the non-reactor front-end CPV at the INEOS Melamines 
facility. At the INEOS Melamines facility, the 2014 risk modeling 
estimates a maximum individual risk of 0.4-in-1 million attributable to 
the APR source at the INEOS facility, with the risk driver identified 
as formaldehyde, and the risk modeling input files include 0.375 tons 
per year of formaldehyde emissions. The information collected from 
INEOS regarding its non-reactor front-end CPV indicates annual 
emissions of formaldehyde at less than 0.03 tons per year. Given the 
low risk estimate for the facility, we consider this small increase in 
emissions to be insignificant, and the estimated facility risk would be 
about the same (less than 1-in-1 million). Thus, we would not 
anticipate the inclusion of a revised emissions estimate for the INEOS 
facility would change the 2014 risk assessment results for the facility 
or the APR Production source category, and we have determined that 
additional quantitative risk analyses are not necessary.

C. Should the EPA provide facilities more time to comply with the 
proposed revised back-end CPV standards?

    We are soliciting comments on whether existing facilities would 
need additional time to comply with the proposed revised back-end CPV 
standards, if the revisions to those standards are promulgated. The 
current compliance date in the 2014 final rule is October 9, 2017. The 
APR NESHAP at 40 CFR 63.1401(d) provides the opportunity for existing 
facilities, on a case-by-case basis, to request an extension from their 
permitting authorities for up to 1 additional year to comply, if 
necessary, to install controls to meet a standard. We anticipate that 
two existing facilities would need to install control devices to comply 
with the proposed revised back-end CPV emissions standards. Industry 
has indicated that at least 18 months would be needed to install 
controls, once the proposed rule is finalized, and a 1-year extension 
of the October 9, 2017, compliance date, if granted, would require 
compliance in less than 18 months from any promulgation date of the 
revised back-end CPV standards (given the date of this proposal). We 
are soliciting comments on whether to maintain the current compliance 
date, anticipating that case-by-case extension requests may be made, or 
if the compliance date should be established for another date. If it is 
appropriate to establish a different compliance date, we are soliciting 
comments on an appropriate date, such as a date 18 months after 
promulgation of the revised standards, the date 18 months beyond the 
original October 9, 2017, compliance date, or some other date.

IV. What other changes or issues does this action address?

A. Should the EPA promulgate a separate standard for front-end CPVs at 
existing sources?

    In the APR Production source category, CPVs are found in both the 
back-end and front-end of the resins production process. Back-end CPVs 
are associated with APR production operations related to processing 
liquid resins into a dry form. Back-end process operations include, but 
are not limited to, flaking, grinding, blending, mixing, drying, 
pelletizing, and other finishing operations, as well as latex and crumb 
storage. Front-end CPVs are associated with the part of an APR process 
unit related to producing liquid resins, including any product 
recovery, stripping, and filtering operations. Front-end CPVs can be 
further distinguished as being reactor CPVs or non-reactor CPVs. A 
reactor front-end CPV receives air streams originating from a reactor, 
whereas a non-reactor front-end CPV receives air streams originating 
from a unit operation other than a reactor. Examples of non-reactor 
front-end CPV unit operations include filter presses, surge control 
vessels, bottoms receivers, weigh tanks, holding tanks, and 
distillation systems.
    The EPA has identified two APR Production existing sources that 
have front-end CPVs. One is Georgia-Pacific's facility in Crossett, 
Arkansas, and the other is an INEOS Melamines facility in Springfield, 
Massachusetts. Georgia-Pacific has a front-end reactor CPV that handles 
air streams originating from the reactor associated with the 
manufacture of UFC. This front-end CPV is controlled with an RTO that 
achieves a HAP control efficiency of 95 percent or more and also 
controls HAP emissions from other processes at the facility. The EPA 
became aware of this front-end CPV through comments on the 2014 
proposed rulemaking, but had limited information about this front-end 
CPV at the time of the final rule. INEOS Melamines has a front-end non-
reactor CPV that handles air streams from the formaldehyde recovery 
process associated with their amino resins production process. This 
front-end CPV is routed to a scrubber, which was installed primarily 
for control of particulate matter emissions. The EPA was not aware of 
this front-end CPV unit during the 2014 rulemaking, but learned of it 
in 2015 from communications with the Massachusetts Department of 
Environmental Protection. We are not aware of any other front-end CPVs 
at any of the other existing sources in the APR Production source 
category.
    Since the air emission streams from these two front-end CPVs have 
different characteristics, such as different flow rates and HAP 
concentrations, and are vents for dissimilar types of equipment and 
would likely require different control approaches, we are soliciting 
comments on, but not yet proposing, whether standards for these front-
end CPVs should be revised from the currently applicable CPV standard 
of 1.9 lb of HAP per ton of resin produced and subcategorized into two 
types--reactor and non-reactor front-end CPVs. Separate standards for 
the two types of front-end CPVs would be consistent with how reactor 
and non-reactor vents have been regulated by the EPA for batch 
processes for the APR Production source category--see 40 CFR 63.1406 
Reactor Batch Process Vent Provisions and 40 CFR 63.1407 Non-reactor 
Batch Process Vent Provisions. We are not proposing separate standards 
for front-end CPVs on reactors and non-reactors at this time because we 
are uncertain as to whether we have identified the only two front-end 
CPVs in the source category or whether the data for these two CPVs 
would be appropriate to revise the currently applicable CPV standards 
and establish front-end CPV standards for the source category if there 
are other front-end CPVs at existing affected sources. Therefore, we 
are seeking comment on whether there are other reactor or non-reactor 
front-end CPVs at existing affected sources. For

[[Page 40110]]

any such front-end CPVs, we are further seeking information regarding 
current HAP emissions, emissions controls, and control costs. If there 
are no other reactor or non-reactor front-end CPVs at existing affected 
sources or if no additional data are provided for any such CPVs, it is 
possible that the EPA would consider, in lieu of leaving front-end CPVs 
at existing sources subject to the currently applicable CPV standards, 
adopting final revised standards that could apply to front-end CPVs at 
existing sources, as discussed below.
    Based on the analyses presented below, we could establish separate 
existing APR Production source standards for front-end CPVs on reactors 
and for front-end CPVs on non-reactors, based on the MACT floor. We are 
soliciting comments on whether the EPA should maintain the 2014 final 
rule CPV emissions standards that currently apply to front-end CPVs 
(1.9 lb of HAP per ton of resin produced), whether the EPA should 
replace these standards for front-end CPVs with standards specific to 
front-end CPVs as discussed in this section, or whether the EPA should 
set different revised front-end CPV standards based on additional 
information about additional front-end CPVs that the EPA has not yet 
obtained.
1. Data Collected for Front-End CPVs
    On November 30, 2015, the EPA requested process information and 
emissions data for front-end CPVs at Georgia-Pacific's Crossett and 
INEOS Melamines' resin production facilities via a CAA section 114 
survey. Georgia-Pacific has another formaldehyde and resin 
manufacturing facility located in Columbus, Ohio, for which Georgia-
Pacific also provided information in their survey submittal. Although 
the Columbus facility is an area source not subject to the APR MACT 
standards, Georgia-Pacific provided the data to help clarify emissions 
that would be expected from the front-end CPV due to APR production at 
the Georgia-Pacific facility in Crossett, Arkansas, where the front-end 
CPV at this facility handles streams from both APR and non-APR 
production sources, since the Columbus and Crossett resin manufacturing 
operations are similar. The EPA received responses from Georgia-Pacific 
on February 9, 2016, and responses from INEOS Melamines on January 11, 
2016, with additional information on May 23, 2016. The CAA section 114 
survey and the survey responses received from Georgia-Pacific and INEOS 
Melamines can be found in the rulemaking docket.
2. MACT Floor and Beyond-the-Floor Analysis for Front-End CPVs
    We performed separate MACT floor analyses for reactor and non-
reactor front-end CPVs at existing sources using the 2016 CAA section 
114 survey data provided by Georgia-Pacific and INEOS Melamines.
    For front-end reactor CPVs at existing sources, we are aware of one 
major source facility with a front-end reactor CPV subject to the APR 
NESHAP, which is a Georgia Pacific facility in Crossett, Arkansas. 
Georgia-Pacific also submitted data for a facility in Columbus, Ohio, 
which is a synthetic area source and is not subject to the APR NESHAP. 
Consistent with the EPA's longstanding policy and with prior 
rulemakings where the EPA has included data from synthetic area sources 
in MACT floor calculations,\5\ data for the front-end CPVs at both the 
synthetic area source and the major source were included in the MACT 
floor calculations for reactor front-end CPVs. Based on our analysis of 
the data provided by Georgia Pacific for these facilities, we have 
determined that the MACT floor for front-end reactor CPVs at existing 
sources would be 0.61 lb of HAP per hour.\6\
---------------------------------------------------------------------------

    \5\ See, e.g., NESHAP for Municipal Solid Waste Landfills, 68 FR 
2227, 2232 (January 16, 2003); NESHAP for Brick and Structural Clay 
Products Manufacturing and NESHAP for Clay Ceramics Manufacturing, 
68 FR 26690, 26697 (May 16, 2003); NESHAP for Polyvinyl Chloride and 
Copolymers Production, 77 FR 22848, 22876 (April 17, 2012).
    \6\ The EPA did not select a production-based format for the 
MACT floor because front-end equipment may not produce finished 
resin products and relating the output of front-end equipment to 
tons of finished resin produced may be difficult for compliance 
purposes.
---------------------------------------------------------------------------

    For front-end non-reactor CPVs at existing sources, we are aware of 
one major source facility with a front-end non-reactor CPV subject to 
the APR NESHAP, which is INEOS Melamines in Springfield, Massachusetts. 
As there is only one front-end CPV in this subcategory, the emissions 
level currently being achieved by this CPV represents the MACT floor 
for the subcategory. Based on our analysis of the data provided by 
INEOS Melamines for this front-end CPV, we have determined that the 
MACT floor for front-end non-reactor CPVs at existing sources would be 
0.022 lb of HAP per hour.\7\
---------------------------------------------------------------------------

    \7\ See footnote 5.
---------------------------------------------------------------------------

    We also conducted a beyond-the-floor analysis for reactor and non-
reactor front-end CPVs at existing sources using the 2016 CAA section 
114 survey data. For front-end reactor CPVs, HAP emissions from the 
CPVs at both facilities are controlled with RTOs, and we have not 
identified any other technology that would perform better. Therefore, 
there is no beyond-the-floor option to evaluate.
    For front-end non-reactor CPVs at existing sources, the CPV at the 
INEOS Melamines facility is currently controlled with a scrubber, and 
we assumed carbon adsorption would be a technically feasible control 
technology that would reduce HAP emissions. We estimated the total 
annualized costs of adding carbon adsorption to be approximately $9,000 
per year and the control would achieve an additional reduction of 0.04 
tons of HAP per year, resulting in a cost of approximately $225,000 per 
ton of HAP removed beyond the MACT floor level of control. Based on the 
high costs and low additional emissions reduction possible with this 
control, we have determined that this beyond-the-floor option is not 
reasonable. More information on these MACT floor and beyond-the-floor 
analyses are available in the memorandum titled ``MACT Floor and 
Beyond-the-Floor Analyses for Front-End Continuous Process Vents at 
Existing Sources in the Amino and Phenolic Resins Production Source 
Category'' in the rulemaking docket.

B. Proposed Work Practice Standards for Storage Vessels at New and 
Existing Sources During Planned Routine Maintenance of Emission Control 
Systems

    In the 2014 final rule, we removed the exemption from emissions 
standards for periods of startup, shutdown and malfunction in 
accordance with a decision of the United States Court of Appeals for 
the District of Columbia Circuit, Sierra Club v. EPA, 551 F.3d 1019 
(D.C. Cir. 2008), cert. denied, 130 S. Ct. 1735 (U.S. 2010). This 
decision stated that the EPA must have standards in place at all times, 
even during periods of startup, shutdown and malfunction. As a result, 
the storage vessel provisions in the APR NESHAP at 40 CFR 63.1404 apply 
at all times. In their petition for reconsideration, Georgia-Pacific 
requested that the EPA reconsider the applicability of the storage 
vessel HAP emissions standards when the emission control system for the 
vent on a fixed roof storage vessel is shut down for planned routine 
maintenance.
    In the 2014 final rule, we established storage vessel capacity and 
vapor pressure applicability thresholds for storage vessels at new and 
existing sources, consistent with the thresholds established for the 
chemical industry regulated by the Hazardous Organic NESHAP for 
Synthetic Organic

[[Page 40111]]

Chemical Manufacturing Industry (HON). Georgia Pacific stated in its 
petition for reconsideration of the 2014 final rule that to meet the 
goal of being wholly consistent with the HON storage vessel standards, 
the EPA also should include the HON storage vessel allowance for 
routine maintenance of an emission control system in the rule. The HON 
includes provisions at 40 CFR 63.119(e)(3) and (f)(3) that allow an 
affected source to bypass the storage vessel emission control system 
for up to 240 hours per year to perform planned routine maintenance of 
the emission control system. The emission control system could be an 
emission control device, fuel gas system, or process. The petitioner 
stated that these provisions would ensure consistency and are needed 
because the effort to empty and degas a tank to perform this 
maintenance could result in greater HAP emissions than would occur if a 
limited allowance or exception were provided.
    To determine whether separate MACT standards should be established 
for periods of planned routine maintenance of the emission control 
system for the vent on a fixed roof tank at a new or existing source, 
we reviewed the title V permits for each facility subject to the APR 
NESHAP. In this review, we searched for facilities that had storage 
vessels subject to the emissions standards of the APR NESHAP and for 
any permit requirements pertaining to periods of routine maintenance of 
a control device for a storage vessel. From the review, several 
facilities were found to have storage vessels subject to the APR NESHAP 
emission standards, and two facilities had permit conditions for 
periods of time when the storage vessel control device was not 
operating. One facility had requirements that emissions be routed to a 
different control device, which normally operates at the facility for 
other processes, during planned outages of the primary control device 
for the storage vessel. At this facility, when both control devices are 
not operating, there are requirements that the storage vessels not be 
filled during these times, eliminating working loss emissions. The 
other facility had requirements for one storage vessel that specify it 
could not be filled when its emission control system was not operating. 
The reviewed title V permits also indicate that some APR facilities are 
co-located with storage vessels subject to the HON (or have storage 
vessels that serve both APR and HON operations, but are subject to the 
HON due to predominant use).
    We also reviewed other chemical production NESHAP to determine 
requirements that apply to similar storage vessels. From the review of 
these NESHAP, we found that the HON and several other NESHAP, 
including, but not limited to, those for Group I Polymers and Resins, 
Group IV Polymers and Resins, Off-Site Waste and Recovery Operations, 
Pharmaceuticals Production, and Pesticide Active Ingredient Production 
with similar vapor pressure and threshold capacities had provisions 
that minimized HAP emissions during periods of planned routine 
maintenance. Provisions minimized HAP emissions by limiting the 
duration of the planned routine maintenance to 240 hours per year. The 
Pharmaceuticals Production and Pesticide Active Ingredient Production 
NESHAP allow a facility to request an extension of up to an additional 
120 hours per year on the condition that no material is added to the 
tank during such requested extension period. Based on our review of 
these permits and NESHAP, we have determined that a separate work 
practice standard that allows owners/operators up to 240 hours per year 
during planned routine maintenance of the emission control system, 
provided that there are no working losses from the vessel, represents 
the MACT floor level of control for fixed roof tank vents at new and 
existing APR sources.
    We evaluated the 2014 final rule's requirement that the storage 
vessel work practice standard at new and existing APR sources apply at 
all times (with no separate work practice standards for periods of 
planned routine maintenance of the emission control system) as a 
beyond-the-floor control option. To comply with this option (i.e., the 
current rule's storage tank requirements), we anticipate that backup 
controls would likely be installed to ensure compliance with the 
storage vessel requirements during periods of planned routine 
maintenance of the primary emission control system. We estimate that 
there are one to 15 sources in the category that would need to control 
one or more storage vessels during periods when the primary emission 
control system is undergoing planned routine maintenance. We estimate 
that carbon canisters would be the emission control devices used for 
two storage vessels at each facility. We estimate these control devices 
would have an annualized cost of $830 per year per facility and would 
reduce 240 hours of breathing losses of 0.013 tons of HAP per year per 
facility, at a cost of $62,400 per ton of HAP emissions reduced. We 
view the costs of this beyond-the-floor option as not being cost 
effective.
    Based on this analysis, we are proposing amendments to the 
currently applicable storage vessel work practice standard provisions 
for new and existing affected sources that would establish separate 
work practice standards for periods of planned routine maintenance of 
an emission control system that is used to comply with HAP emissions 
standards for vents on fixed roof tanks. The proposed amendments would 
permit owners and operators of fixed roof tanks at new and existing 
affected APR sources to bypass the emission control system for up to 
240 hours per year during planned routine maintenance of the emission 
control system, provided that there are no working losses from the 
fixed roof tank. To prevent HAP emissions from working losses, owners/
operators would not be permitted to add material to the tank during 
these planned routine maintenance periods. Under this provision, the 
storage vessel would emit HAP to the atmosphere for a limited amount of 
time due to breathing losses only, which we expect to be a much lower 
HAP emission rate than if there were also working losses resulting from 
filling the vessel. The proposed separate work practice standards for 
periods of planned routine maintenance of the emission control system 
would result in slightly higher HAP emissions (approximately 0.013 tons 
per year per facility) than would occur under the current work practice 
standards for storage vessels in the 2014 final rule and would reduce 
annualized costs of approximately $830 per year per facility.
    We are soliciting comments on these proposed work practice 
standards for storage vessels at new and existing APR sources and 
whether they represent practices by the best-performing sources in the 
APR Production source category. We are soliciting comments on whether 
there are other practices that should be considered in establishing the 
work practice standards for periods of planned routine maintenance of 
the emission control system for storage vessels at existing and new APR 
sources. We are also soliciting comments on whether we have accurately 
estimated the HAP emissions and costs compared to the work practice 
standards for storage vessels at new and existing sources in the 2014 
final rule.

V. Summary of Cost, Environmental, and Economic Impacts

A. What are the affected sources?

    We estimate that four to 15 existing sources would be affected by 
one or more of the revised requirements being

[[Page 40112]]

proposed in this action. We expect four existing sources to be affected 
by the proposed revised back-end CPV requirements. We expect one to 15 
existing affected sources to be affected by the proposed work practice 
standards for periods of planned routine maintenance of an emission 
control system that is used to comply with emissions standards for 
vents on fixed roof tanks. We anticipate that some of these existing 
affected sources could be affected by more than one of the proposed 
requirements.

B. What are the air quality impacts?

    We are proposing a revised standard of 8.6 lb of HAP per ton of 
resin produced for back-end CPVs at existing sources. We project that 
the proposed standard would result in an estimated reduction of 207 
tons of HAP per year beyond the January 2000, APR MACT standards. As 
discussed previously in section III.B.2 of this preamble, the 
production-based emissions limit for existing source CPVs in the 2014 
final rule was established based on incomplete HAP emissions data. 
However, if facilities were to comply with that 2014 final rule, we 
estimate a reduction of 271 tons per year of HAP emissions using the 
revised HAP emissions estimates based upon the 2015 test data.
    In the 2014 final rule, we removed the exemptions from standards 
that applied during periods of startup, shutdown, and malfunction. In 
the absence of separate work practice standards that would apply during 
these times, affected sources are now required to meet the storage 
vessel work practice standards during periods when the emission control 
system for the vent on a fixed roof storage tank is shut down for 
planned routine maintenance by routing storage vessel vents to a back-
up control device, resulting in an estimated decrease of 0.013 tons of 
HAP per year per facility beyond the January 2000 APR MACT standards. 
The proposed work practice standards we are proposing in this action 
would preclude the need to install back-up controls for these vessels. 
We anticipate that the proposed revised work practice standards would 
reduce HAP emissions from those allowed under the January 2000 APR MACT 
standards as a result of preventing working losses by not filling the 
tank during planned routine maintenance of the control device and as a 
result of limiting the annual duration of the maintenance period; 
however, the HAP emissions reduction may be slightly less than the 0.08 
tons of HAP per year projected under the 2014 final rule.

C. What are the cost impacts?

    For back-end CPVs at existing affected sources, we are proposing a 
revised standard of 8.6 lb of HAP per ton of resin produced. We project 
that back-end CPVs at two existing affected sources would require 
emissions controls to meet the proposed revised standard. For cost 
purposes, we assumed that each facility would install an RTO. Based on 
discussions with Georgia-Pacific and Tembec, we understand that the 
facilities are exploring other options, such as process changes, that 
may be more cost effective. However, the technical feasibility and 
potential costs of these options are currently unknown, and our 
estimate of compliance costs, assuming the use of RTOs, is based on the 
best information available. We estimate the nationwide capital costs to 
be $4.8 million and annualized costs to be $2.1 million per year. These 
costs are additional to the 2000 rule, which did not regulate CPVs at 
existing sources. Compared to our revised estimate of the 2014 final 
rule costs of $9.6 million in capital costs and annualized costs of 
$4.2 million,\8\ the proposed revised standard represents an 
approximate 50-percent reduction in industry-wide costs.
---------------------------------------------------------------------------

    \8\ See memorandum ``National Impacts Associated with Proposed 
Standards for CPVs and Storage Tanks in the Amino and Phenolic 
Resins Production Source Category,'' which is available in the 
rulemaking docket.
---------------------------------------------------------------------------

    We estimated the nationwide annualized cost reductions associated 
with the proposed work practice standard for periods of planned routine 
maintenance of an emission control system that is used to comply with 
emissions standards for vents on fixed roof tanks. Compared to our 
revised estimate of the 2014 final rule costs,\9\ the proposed storage 
vessel work practice standards result in an annualized cost reduction 
for each facility of $830 per year, which includes capital cost 
reduction of $1,600. We estimate the nationwide annualized cost 
reduction to be up to $12,450 per year based on an estimated 15 
facilities.
---------------------------------------------------------------------------

    \9\ Same as footnote 8.
---------------------------------------------------------------------------

D. What are the economic impacts?

    We performed a national economic impact analysis for APR production 
facilities affected by this proposed rule. We anticipate that two 
existing affected sources would install RTOs to comply with this 
proposed rule at a total annualized cost of $2.1 million (in 2014$) per 
year compared to the 2000 rule. These total annualized costs of 
compliance are estimated to be approximately 0.002 percent of sales. 
Accordingly, we do not project that this proposed rule would have a 
significant economic impact on the affected entities.
    The estimated total annualized cost of this proposal can also be 
compared to the estimated cost for the industry to comply with the 2014 
final rule. Based on information received since the 2014 rule was 
finalized, we developed a revised estimate of the cost to comply with 
the 2014 final rule. We estimate the revised annualized cost of 
complying with the 2014 final rule to be $4.2 million per year.\10\ 
Compared to this revised estimate of the cost of compliance with the 
2014 final rule, this proposal would provide regulatory relief by 
reducing annualized compliance costs by $2.1 million.
---------------------------------------------------------------------------

    \10\ See Table 3 and Table 4, Memorandum ``National Impacts 
Associated with Proposed Standards for CPVs and Storage Tanks in the 
Amino and Phenolic Resins Production Source Category,'' which is 
available in the rulemaking docket.
---------------------------------------------------------------------------

    More information and details of this analysis, including the 
conclusions stated above, are provided in the technical document, 
``Economic Impact Analysis for the Proposed Amendments to the NESHAP 
for Amino/Phenolic Resins,'' which is available in the rulemaking 
docket.

E. What are the benefits?

    We estimate that this proposed rule would result in an annual 
reduction of 207 tons of HAP, compared to the pre-2014 baseline. These 
avoided emissions will result in improvements in air quality and 
reduced negative health effects associated with exposure to air 
pollution of these emissions; however, we have not quantified or 
monetized the benefits of reducing these emissions for this rulemaking. 
See section V.B of this preamble for discussion of existing source CPV 
HAP emissions under this proposed rule compared to the 2014 final rule.

VI. Solicitation of Public Comment and Participation

    The EPA seeks public comments on the issues addressed in this 
proposed rule, as described in this notice. We are soliciting comments 
on the proposed emission standards for back-end CPVs at existing 
affected sources, whether to extend the compliance date for the 
proposed revised emission standards for back-end CPVs at existing 
affected sources, whether to promulgate separate emissions standards 
for reactor front-end CPVs and non-reactor front-end CPVs at existing 
affected sources in lieu of leaving them subject to the current CPV 
standards, and on the information

[[Page 40113]]

available to the EPA to establish emission standards for front-end CPVs 
at existing affected sources. We also request comments on the proposed 
work practice standards for storage vessels at new and existing APR 
sources during periods when an emission control system for a fixed roof 
tank vent is undergoing planned routine maintenance. We are not 
soliciting and will not respond to comments addressing any other issues 
or other provisions of the 2014 final rule or any other rule, including 
other issues raised in the petitions for reconsideration of the 2014 
final rule. Those issues will be addressed, as appropriate, in a 
separate, future action.

VII. Statutory and Executive Order Reviews

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

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

    This action is not a significant regulatory action and was, 
therefore, not submitted to the Office of Management and Budget (OMB) 
for review.

B. Paperwork Reduction Act (PRA)

    The information collection activities in this proposed rule have 
been submitted for approval to OMB under the PRA. The Information 
Collection Request (ICR) document that the EPA prepared has been 
assigned EPA ICR number 1869.08. You can find a copy of the ICR in the 
docket for this rule, and it is briefly summarized here.
    This proposed rule would require recordkeeping and reporting of 
occurrences when control devices used to comply with the storage tank 
provisions undergo planned routine maintenance. Reporting of such 
occurrences would be required to be disclosed in the Periodic Reports 
as specified at 40 CFR 63.1417.
    Respondents/affected entities: The respondents affected by the 
amendments to 40 CFR part 63, subpart OOO include, but are not limited 
to, facilities having a NAICS code 325211 (United States Standard 
Industrial Classification 2821). Facilities with a NAICS code of 325211 
are described as Plastics Material and Resin Manufacturing 
establishments, which includes facilities engaged in manufacturing 
amino resins and phenolic resins, as well as other plastic and resin 
types.
    Respondent's obligation to respond: Mandatory under sections 112 
and 114 of the CAA.
    Estimated number of respondents: 15.
    Frequency of response: Once or twice per year.
    Total estimated burden: 45 hours (per year). Burden is defined at 5 
CFR 1320.3(b).
    Total estimated cost: $2,600 (per year).
    An agency may not conduct or sponsor, and a person is not required 
to respond to, a collection of information unless it displays a 
currently valid OMB control number. The OMB control numbers for the 
EPA's regulations in 40 CFR are listed in 40 CFR part 9.
    Submit your comments on the Agency's need for this information, the 
accuracy of the provided burden estimates, and any suggested methods 
for minimizing respondent burden to the EPA using the docket identified 
at the beginning of this rule. You may also send your ICR-related 
comments to OMB's Office of Information and Regulatory Affairs via 
email to [email protected], Attention: Desk Officer for the 
EPA. Since OMB is required to make a decision concerning the ICR 
between 30 and 60 days after receipt, OMB must receive comments no 
later than September 25, 2017. The EPA will respond to any ICR-related 
comments in the final rule.

C. Regulatory Flexibility Act (RFA)

    I certify that this action will not have a significant economic 
impact on a substantial number of small entities under the RFA. This 
action will not impose any requirements on small entities. The EPA has 
identified no small entities that are subject to the requirements of 40 
CFR 63, subpart OOO.

D. Unfunded Mandates Reform Act (UMRA)

    This action does not contain an unfunded mandate of $100 million or 
more as described in UMRA, 2 U.S.C. 1531-1538, and does not 
significantly or uniquely affect small governments. The action imposes 
no enforceable duty on any state, local, or tribal governments or the 
private sector.

E. Executive Order 13132: Federalism

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

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

    This action does not have tribal implications as specified in 
Executive Order 13175. This action will not have substantial direct 
effects on tribal governments, on the relationship between the federal 
government and Indian tribes, or on the distribution of power and 
responsibilities between the federal government and Indian tribes, as 
specified in Executive Order 13175. Thus, Executive Order 13175 does 
not apply to this action.

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

    This action is not subject to Executive Order 13045 because it is 
not economically significant as defined in Executive Order 12866, and 
because the EPA does not believe the environmental health or safety 
risks addressed by this action present a disproportionate risk to 
children. The EPA's risk assessments for the 2014 final rule (Docket ID 
No. EPA-HQ-OAR-2012-0133) demonstrate that the current regulations are 
associated with an acceptable level of risk and provide an ample margin 
of safety to protect public health and prevent adverse environmental 
effects. This proposed action would not alter those conclusions.

H. Executive Order 13211: Actions Concerning Regulations That 
Significantly Affect Energy Supply, Distribution, or Use

    This action is not subject to Executive Order 13211 because it is 
not a significant regulatory action under Executive Order 12866.

I. National Technology Transfer and Advancement Act (NTTAA)

    This rulemaking does not involve technical standards.

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

    The EPA believes that this action does not have disproportionately 
high and adverse human health or environmental effects on minority 
populations, low-income populations, and/or indigenous peoples, as 
specified in Executive Order 12898 (59 FR 7629, February 16, 1994).
    In the 2014 final rule, the EPA determined that the current health 
risks posed by emissions from these source categories are acceptable 
and provide an ample margin of safety to protect public health and 
prevent adverse environmental effects. This proposed

[[Page 40114]]

action would not alter the conclusions made in the 2014 final rule 
regarding these analyses.

List of Subjects in 40 CFR Part 63

    Environmental protection, Administrative practice and procedure, 
Air pollution control, Hazardous substances, Intergovernmental 
relations, Reporting and recordkeeping requirements.

    Dated: August 7, 2017.
E. Scott Pruitt,
Administrator.

    For the reasons stated in the preamble, the Environmental 
Protection Agency is proposing to amend title 40, Chapter I, part 63 of 
the Code of Federal Regulations as follows:

PART 63--NATIONAL EMISSION STANDARDS FOR HAZARDOUS AIR POLLUTANTS 
FOR SOURCE CATEGORIES

0
1. The authority citation for part 63 continues to read as follows:

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

Subpart OOO--National Emission Standards for Hazardous Air 
Pollutant Emissions: Manufacture of Amino/Phenolic Resins

0
2. Section 63.1400 is amended by revising paragraph (b)(4) to read as 
follows:


Sec.  63.1400  Applicability and designation of affected sources.

* * * * *
    (b) * * *
    (4) Equipment that does not contain organic hazardous air 
pollutants (HAP) and is located within an APPU that is part of an 
affected source;
* * * * *
0
3. Section 63.1402 paragraph (b) is amended by:
0
a. Adding, in alphabetical order, definitions for ``Back-end continuous 
process vent'', ``Front-end continuous process vent'', ``Non-reactor 
process vent'', and ``Reactor process vent''; and
0
b. Removing the definitions for ``Non-reactor batch process vent'' and 
``Reactor batch process vent''
    The additions read as follows:


Sec.  63.1402  Definitions.

* * * * *
    (b) * * *
    Back-end continuous process vent means a continuous process vent 
for operations related to processing liquid resins into a dry form. 
Back-end process operations include, but are not limited to, flaking, 
grinding, blending, mixing, drying, pelletizing, and other finishing 
operations, as well as latex and crumb storage. Back-end does not 
include storage and loading of finished product or emission points that 
are regulated under Sec. Sec.  63.1404 or 63.1409 through 63.1411 of 
this subpart.
* * * * *
    Front-end continuous process vent means a continuous process vent 
for operations in an APPU related to producing liquid resins, including 
any product recovery, stripping and filtering operations, and prior to 
any flaking or drying operations.
* * * * *
    Non-reactor process vent means a batch or continuous process vent 
originating from a unit operation other than a reactor. Non-reactor 
process vents include, but are not limited to, process vents from 
filter presses, surge control vessels, bottoms receivers, weigh tanks, 
and distillation systems.
* * * * *
    Reactor process vent means a batch or continuous process vent 
originating from a reactor.
* * * * *
0
4. Section 63.1404 is amended by adding paragraph (c) to read as 
follow:


Sec.  63.1404  Storage vessel provisions.

* * * * *
    (c) Whenever gases or vapors containing HAP are routed from a tank 
through a closed-vent system connected to a control device used to 
comply with the requirements of paragraph (a) or (b) of this section, 
the control device must be operating except as provided for in 
paragraph (c)(1) or (2) of this section.
    (1) The control device may be bypassed for the purpose of 
performing planned routine maintenance of the control device. When the 
control device is bypassed, the owner or operator must comply with 
paragraphs (c)(1)(i) through (iii) of this section.
    (i) The control device may only be bypassed when the planned 
routine maintenance cannot be performed during periods that tank 
emissions are vented to the control device.
    (ii) On an annual basis, the total time that the closed-vent system 
or control device is bypassed to perform routine maintenance shall not 
exceed 240 hours per each calendar year.
    (iii) The level of material in the tank shall not be increased 
during periods that the closed-vent system or control device is 
bypassed to perform planned routine maintenance.
    (2) The gases or vapors containing HAP are routed from the tank 
through a closed-vent system connected to an alternate control device 
meeting the requirements of paragraph (a)(1) or the alterative standard 
in paragraph (b) of this section.
0
5. Section 63.1405 is amended by revising paragraphs (a) introductory 
text, paragraph (a)(2) introductory text, paragraph (b), and adding 
paragraph (c) to read as follows:


Sec.  63.1405  Continuous process vent provisions.

    (a) Emission standards for new affected sources. For each 
continuous process vent located at a new affected source with a Total 
Resource Effectiveness (TRE) index value, as determined following the 
procedures specified in Sec.  63.1412(j), less than or equal to 1.2, 
the owner or operator shall comply with either paragraph (a)(1) or (2) 
of this section. As an alternative to complying with paragraph (a) of 
this section, an owner or operator may comply with paragraph (c)(1) of 
this section.
* * * * *
    (2) Reduce emissions of total organic HAP by 85 weight-percent. 
Control shall be achieved by venting emissions through a closed vent 
system to any combination of control devices meeting the requirements 
of 40 CFR part 63, subpart SS (national emission standards for closed 
vent systems, control devices, recovery devices). When complying with 
the requirements of 40 CFR part 63, subpart SS, the following apply for 
purposes of this subpart:
* * * * *
    (b) Emission standards for existing affected sources. For each 
continuous process vent located at an existing affected source, the 
owner or operator shall comply with either paragraph (b)(1) or (2) of 
this section. As an alternative to complying with paragraph (b) of this 
section, an owner or operator may comply with paragraph (c)(2) of this 
section.
    (1) Vent all emissions of organic HAP to a flare.
    (2) The owner or operator of a back-end continuous process vent 
shall reduce total organic HAP emissions to less than or equal to 4.3 
kg of total organic HAP per megagram of resin produced (8.6 pounds of 
total organic HAP per ton of resin produced).
    (c) Alternative emission standards. As an alternative to complying 
with paragraph (a) or (b) of this section, an owner or operator may 
comply with paragraph (c)(1) or (2) of this section, as appropriate.
    (1) For each continuous process vent located at a new affected 
source, the owner or operator shall vent all organic HAP emissions from 
a continuous process vent meeting the TRE value specified in paragraph 
(a) of this section

[[Page 40115]]

to a non-flare combustion control device achieving an outlet organic 
HAP concentration of 20 ppmv or less or to a non-combustion control 
device achieving an outlet organic HAP concentration of 50 ppmv or 
less. Any continuous process vents that are not vented to a control 
device meeting these conditions shall be controlled in accordance with 
the provisions of paragraph (a)(1) or (2) of this section.
    (2) For each continuous process vent located at an existing 
affected source, the owner or operator shall vent all organic HAP 
emissions from a continuous process vent to a non-flare combustion 
control device achieving an outlet organic HAP concentration of 20 ppmv 
or less or to a non-combustion control device achieving an outlet 
organic HAP concentration of 50 ppmv or less. Any continuous process 
vents that are not vented to a control device meeting these conditions 
shall be controlled in accordance with the provisions of paragraph 
(b)(1) or (2) of this section.
0
6. Section 63.1412 is amended by revising paragraphs (a) and (k)(2) to 
read as follows:


Sec.  63.1412  Continuous process vent applicability assessment 
procedures and methods.

    (a) General. The provisions of this section provide procedures and 
methods for determining the applicability of the control requirements 
specified in Sec.  63.1405(a) to continuous process vents.
* * * * *
    (k) * * *
    (2) If the TRE index value calculated using engineering assessment 
is less than or equal to 4.0, the owner or operator is required either 
to perform the measurements specified in paragraphs (e) through (h) of 
this section for control applicability assessment or comply with the 
control requirements specified in Sec.  63.1405(a).
* * * * *
0
7. Section 63.1413 is amended by:
0
a. Revising paragraph (a) introductory text;
0
b. Adding paragraph (a)(1)(iii);
0
c. Revising paragraphs (a)(3) introductory text, (a)(4) introductory 
text, and paragraphs (c)(2), and (c)(4) through (6);
0
d. Adding paragraph (c)(7);
0
e. Revising paragraphs (f) and (h)(1);
0
f. Redesignating paragraph (h)(2) as (h)(3);
0
g. Adding new paragraph (h)(2);
0
h. Revising newly redesignated paragraph (h)(3) introductory text and 
paragraphs (h)(3)(i), (h)(3)(ii) introductory text, (h)(3)(ii)(B)(1) 
and (3), and (h)(3)(iii);
0
i. Adding paragraph (h)(4);
0
j. Revising paragraphs (i)(1)(iii) through (iv); and
0
k. Adding paragraph (i)(1)(v).
    The revisions and additions read as follows:


Sec.  63.1413  Compliance demonstration procedures.

    (a) General. For each emission point, the owner or operator shall 
meet three stages of compliance, with exceptions specified in this 
subpart. First, the owner or operator shall conduct a performance test 
or design evaluation to demonstrate either the performance of the 
control device or control technology being used or the uncontrolled 
total organic HAP emissions rate from a continuous process vent. 
Second, the owner or operator shall meet the requirements for 
demonstrating initial compliance (e.g., a demonstration that the 
required percent reduction or emissions limit is achieved). Third, the 
owner or operator shall meet the requirements for demonstrating 
continuous compliance through some form of monitoring (e.g., continuous 
monitoring of operating parameters).
* * * * *
    (1) * * *
    (iii) Uncontrolled continuous process vents. Owners or operators 
are required to conduct either a performance test or a design 
evaluation for continuous process vents that are not controlled through 
either a large or small control device.
* * * * *
    (3) Design evaluations. As provided in paragraph (a) of this 
section, a design evaluation may be conducted to demonstrate the 
organic HAP removal efficiency for a control device or control 
technology, or the uncontrolled total organic HAP emissions rate from a 
continuous process vent. As applicable, a design evaluation shall 
address the organic HAP emissions rate from uncontrolled continuous 
process vents, the composition and organic HAP concentration of the 
vent stream(s) entering a control device or control technology, the 
operating parameters of the emission point and any control device or 
control technology, and other conditions or parameters that reflect the 
performance of the control device or control technology or the organic 
HAP emission rate from a continuous process vent. A design evaluation 
also shall address other vent stream characteristics and control device 
operating parameters as specified in any one of paragraphs (a)(3)(i) 
through (vi) of this section, for controlled vent streams, depending on 
the type of control device that is used. If the vent stream(s) is not 
the only inlet to the control device, the efficiency demonstration also 
shall consider all other vapors, gases, and liquids, other than fuels, 
received by the control device.
* * * * *
    (4) Establishment of parameter monitoring levels. The owner or 
operator of a control device that has one or more parameter monitoring 
level requirements specified under this subpart, or specified under 
subparts referenced by this subpart, shall establish a maximum or 
minimum level, as denoted on Table 4 of this subpart, for each measured 
parameter using the procedures specified in paragraph (a)(4)(i) or (ii) 
of this section. Except as otherwise provided in this subpart, the 
owner or operator shall operate control devices such that the hourly 
average, daily average, batch cycle daily average, or block average of 
monitored parameters, established as specified in this paragraph, 
remains above the minimum level or below the maximum level, as 
appropriate.
* * * * *
    (c) * * *
    (2) Initial compliance with Sec.  63.1405(a)(1) or (b)(1) (venting 
of emissions to a flare) shall be demonstrated following the procedures 
specified in paragraph (g) of this section.
* * * * *
    (4) Continuous compliance with Sec.  63.1405(a)(1) or (b)(1) 
(venting of emissions to a flare) shall be demonstrated following the 
continuous monitoring procedures specified in Sec.  63.1415.
    (5) Initial and continuous compliance with the production-based 
emission limit specified in Sec.  63.1405(b)(2)(i) shall be 
demonstrated following the procedures in paragraph (h)(1) of this 
section.
    (6) Initial and continuous compliance with the emission rate limits 
specified in Sec.  63.1405(b)(2)(ii) and (iii) shall be demonstrated 
following the procedures of either paragraphs (c)(6)(i) or (ii) or this 
section.
    (i) Continuous process vents meeting the emission rate limit using 
a closed vent system and a control device or recovery device or by 
routing emissions to a fuel gas system or process shall follow the 
procedures in 40 CFR part 63, subpart SS. When complying with the 
requirements of 40 CFR part 63, subpart SS, the following apply for 
purposes of this subpart:
    (A) The requirements specified in of Sec.  63.1405 (a)(2)(i) 
through (viii).

[[Page 40116]]

    (B) When 40 CFR part 63, subpart SS refers to meeting a weight-
percent emission reduction or ppmv outlet concentration requirement, 
meeting an emission rate limit in terms of kilograms of total organic 
HAP per hour shall also apply.
    (ii) Continuous process vents meeting the emission rate limit by 
means other than those specified in paragraph (c)(6)(i) of this section 
shall follow the procedures specified in paragraph (h)(2) of this 
section.
    (7) Initial and continuous compliance with the alternative 
standards specified in Sec.  63.1405(c) shall be demonstrated following 
the procedures in paragraph (f) of this section.
* * * * *
    (f) Compliance with alternative standard. Initial and continuous 
compliance with the alternative standards in Sec. Sec.  63.1404(b), 
63.1405(c), 63.1406(b), 63.1407(b)(1), and 63.1408(b)(1) are 
demonstrated when the daily average outlet organic HAP concentration is 
20 ppmv or less when using a combustion control device or 50 ppmv or 
less when using a non-combustion control device. To demonstrate initial 
and continuous compliance, the owner or operator shall follow the test 
method specified in Sec.  63.1414(a)(6) and shall be in compliance with 
the monitoring provisions in Sec.  63.1415(e) no later than the initial 
compliance date and on each day thereafter.
* * * * *
    (h) * * *
    (1) Each owner or operator complying with the mass emission limit 
specified in Sec.  63.1405(b)(2)(i) shall determine initial compliance 
as specified in paragraph (h)(1)(i) of this section and continuous 
compliance as specified in paragraph (h)(1)(ii) of this section.
    (i) Initial compliance. Initial compliance shall be determined by 
comparing the results of the performance test or design evaluation as 
specified in paragraph (a)(1) of this section to the mass emission 
limit specified in Sec.  63.1405(b)(2)(i).
    (ii) Continuous compliance. Continuous compliance shall be based on 
the daily average emission rate calculated for each operating day. The 
first continuous compliance average daily emission rate shall be 
calculated using the first 24-hour period or otherwise-specified 
operating day after the compliance date. Continuous compliance shall be 
determined by comparing the daily average emission rate to the mass 
emission limit specified in Sec.  63.1405(b)(2)(i).
    (2) As required by paragraph (c)(6)(ii) of this section, each owner 
or operator complying with the emission rate limits specified in Sec.  
63.1405(b)(2)(ii) and (iii), as applicable, by means other than those 
specified in paragraph (c)(6)(i) of this section shall determine 
initial compliance as specified in paragraph (h)(2)(i) of this section 
and continuous compliance as specified in paragraph (h)(2)(ii) of this 
section.
    (i) Initial compliance. Initial compliance shall be determined by 
comparing the results of the performance test or design evaluation as 
specified in paragraph (a)(1) of this section to the emission rate 
limits specified in Sec.  63.1405(b)(2)(ii) and (iii), as applicable.
    (ii) Continuous compliance. Continuous compliance shall be based on 
the hourly average emission rate calculated for each operating day. The 
first continuous compliance average hourly emission rate shall be 
calculated using the first 24-hour period or otherwise-specified 
operating day after the compliance date. Continuous compliance shall be 
determined by comparing the average hourly emission rate to the 
emission rate limit specified in Sec.  63.1405(b)(2)(ii) or (iii), as 
applicable.
    (3) Procedures to determine continuous compliance with the mass 
emission limit specified in Sec.  63.1405(b)(2)(i). (i) The daily 
emission rate, kilograms of organic HAP per megagram of product, shall 
be determined for each operating day using Equation 5 of this section:
[GRAPHIC] [TIFF OMITTED] TP24AU17.000


Where:

ER = Emission rate of organic HAP from continuous process vent, kg 
of HAP/Mg product.
Ei = Emission rate of organic HAP from continuous process 
vent i as determined using the procedures specified in paragraph 
(h)(3)(ii) of this section, kg/day.
RPm = Amount of resin produced in one month as determined 
using the procedures specified in paragraph (h)(3)(iii) of this 
section, Mg/day.

    (ii) The daily emission rate of organic HAP, in kilograms per day, 
from an individual continuous process vent (Ei) shall be 
determined. Once organic HAP emissions have been estimated, as 
specified in paragraph (h)(3)(ii)(A) of this section for uncontrolled 
continuous process vents or paragraphs (h)(3)(ii)(A) and (B) of this 
section for continuous process vents vented to a control device or 
control technology, the owner or operator may use the estimated organic 
HAP emissions (Ei) until the estimated organic HAP emissions 
are no longer representative due to a process change or other reason 
known to the owner or operator. If organic HAP emissions 
(Ei) are determined to no longer be representative, the 
owner or operator shall redetermine organic HAP emissions for the 
continuous process vent following the procedures in paragraph 
(h)(3)(ii)(A) of this section for uncontrolled continuous process vents 
or paragraphs (h)(3)(ii)(A) and (B) of this section for continuous 
process vents vented to a control device or control technology.
* * * * *
    (B) * * *
    (1) Uncontrolled organic HAP emissions shall be determined 
following the procedures in paragraph (h)(3)(ii)(A) of this section.
* * * * *
    (3) Controlled organic HAP emissions shall be determined by 
applying the control device or control technology efficiency, 
determined in paragraph (h)(3)(ii)(B)(2) of this section, to the 
uncontrolled organic HAP emissions, determined in paragraph 
(h)(3)(ii)(B)(1) of this section.
    (iii) The rate of resin produced, RPM (Mg/day), shall be 
determined based on production records certified by the owner or 
operator to represent actual production for the day. A sample of the 
records selected by the owner or operator for this purpose shall be 
provided to the Administrator in the Precompliance Report as required 
by Sec.  63.1417(d).
    (4) Procedures to determine continuous compliance with the emission 
rate limit specified in Sec.  63.1405(b)(2)(ii) or (iii).
    (i) The hourly emission rate, kilograms of organic HAP per hour, 
shall be determined for each hour during the operating day using 
Equation 6 of this section:
[GRAPHIC] [TIFF OMITTED] TP24AU17.001


Where:

EH = Hourly emission rate of organic HAP in the sample, 
kilograms per hour.
K2 = Constant, 2.494 x 10-\6\ (parts per 
million)-\1\ (gram-mole per standard cubic meter) 
(kilogram/gram) (minutes/hour), where standard temperature for 
(gram-mole per standard cubic meter) is 20 [deg]C.
n = Number of components in the sample.
CJ = Organic HAP concentration on a dry basis of organic 
compound j in parts per million as determined by the methods 
specified in paragraph (h)(4)(ii) of this section.
Mj = Molecular weight of organic compound j, gram/gram-
mole.
QS = Continuous process vent flow rate, dry standard 
cubic meter per minute, at a

[[Page 40117]]

temperature of 20 [deg]C, as determined by the methods specified in 
paragraph (h)(4)(ii) of this section.

    (ii) The average hourly emission rate, kilograms of organic HAP per 
hour, shall be determined for each operating day using Equation 7 of 
this section:
[GRAPHIC] [TIFF OMITTED] TP24AU17.002


Where:

AE = Average hourly emission rate per operating day, kilograms per 
hour.
n = Number of hours in the operating day.

    (ii) Continuous process vent flow rate and organic HAP 
concentration shall be determined using the procedures specified in 
Sec.  63.1414(a), or by using the engineering assessment procedures in 
paragraph (h)(4)(iii) of this section.
    (iii) Engineering assessment. For the purposes of determining 
continuous compliance with the emission rate limit specified in Sec.  
63.1405(b)(2)(ii) or (iii) using Equations 6 and 7, engineering 
assessments may be used to determine continuous process vent flow rate 
and organic HAP concentration. An engineering assessment includes, but 
is not limited to, the following examples:
    (A) Previous test results, provided the tests are representative of 
current operating practices.
    (B) Bench-scale or pilot-scale test data representative of the 
process under representative operating conditions.
    (C) Maximum volumetric flow rate or organic HAP concentration 
specified or implied within a permit limit applicable to the continuous 
process vent.
    (D) Design analysis based on accepted chemical engineering 
principles, measurable process parameters, or physical or chemical laws 
or properties. Examples of analytical methods include, but are not 
limited to, the following:
    (1) Estimation of maximum organic HAP concentrations based on 
process stoichiometry material balances or saturation conditions; and
    (2) Estimation of maximum volumetric flow rate based on physical 
equipment design such as pump or blower capacities.
* * * * *
    (i) * * *
    (1) * * *
    (iii) Exceedance of the mass emission limit (i.e., having an 
average value higher than the specified limit) monitored according to 
the provisions of paragraph (e)(2) of this section for batch process 
vents and according to the provisions of paragraph (h)(1) of this 
section for continuous process vents;
    (iv) Exceedance of the organic HAP outlet concentration limit 
(i.e., having an average value higher than the specified limit) 
monitored according to the provisions of Sec.  63.1415(e); and
    (v) Exceedance of the emission rate limit (i.e., having an average 
value higher than the specified limit) determined according to the 
provisions of paragraph (h)(2) of this section.
* * * * *
0
8. Section 63.1415 is amended by revising paragraph (e) to read as 
follows:


Sec.  63.1415  Monitoring requirements.

* * * * *
    (e) Monitoring for the alternative standards. For control devices 
that are used to comply with the provisions of Sec. Sec.  63.1404(b), 
63.1405(c), 63.1406(b), 63.1407(b), or 63.1408(b), the owner or 
operator shall conduct continuous monitoring of the outlet organic HAP 
concentration whenever emissions are vented to the control device. 
Continuous monitoring of outlet organic HAP concentration shall be 
accomplished using an FTIR instrument following Method PS-15 of 40 CFR 
part 60, appendix B. The owner or operator shall calculate a daily 
average outlet organic HAP concentration.
0
9. Section 63.1416 is amended by:
0
a. Revising paragraphs (f)(1), (3), (5) introductory text, and (5)(ii);
0
b. Adding paragraph (f)(5)(iii);
0
e. Redesignating paragraph (f)(6) as (f)(7);
0
f. Adding new paragraph (f)(6); and
0
g. Revising newly redesignated paragraph (f)(7) introductory text and 
paragraph (g)(5)(v)(E).
    The revisions and additions read as follows:


Sec.  63.1416   Recordkeeping requirements.

* * * * *
    (f) * * * (1) TRE index value records. Each owner or operator of a 
continuous process vent at a new affected source shall maintain records 
of measurements, engineering assessments, and calculations performed 
according to the procedures of Sec.  63.1412(j) to determine the TRE 
index value. Documentation of engineering assessments, described in 
Sec.  63.1412(k), shall include all data, assumptions, and procedures 
used for the engineering assessments.
* * * * *
    (3) Organic HAP concentration records. Each owner or operator shall 
record the organic HAP concentration as measured using the sampling 
site and organic HAP concentration determination procedures (if 
applicable) specified in Sec.  63.1412(b) and (e), or determined 
through engineering assessment as specified in Sec.  63.1412(k).
* * * * *
    (5) If a continuous process vent is seeking to demonstrate 
compliance with the mass emission limit specified in Sec.  
63.1405(b)(2)(i), keep records specified in paragraphs (f)(5)(i) 
through (iii) of this section.
* * * * *
    (ii) Identification of the period of time that represents an 
operating day.
    (iii) The daily organic HAP emissions from the continuous process 
vent determined as specified in Sec.  63.1413(h)(3).
    (6) If a continuous process vent is seeking to demonstrate 
compliance with the emission rate limits specified in Sec.  
63.1405(b)(2)(ii) or (iii), keep records specified in paragraphs 
(f)(6)(i) through (iii) of this section.
    (i) The results of the initial compliance demonstration specified 
in Sec.  63.1413(h)(2)(i).
    (ii) Identification of the period of time that represents an 
operating day.
    (iii) The average hourly organic HAP emissions from the continuous 
process vent determined as specified in Sec.  63.1413(h)(4).
    (7) When using a flare to comply with Sec.  63.1405(a)(1) or 
(b)(1), keep the records specified in paragraphs (f)(7)(i) through 
(f)(7)(iii) of this section.
* * * * *
    (g) * * *
    (5) * * *
    (v) * * *
    (E) The measures adopted to prevent future such pressure releases.
* * * * *
0
10. Section 63.1417 is amended by:
0
a. Revising paragraphs (d) introductory text, (d)(8), (e)(1) 
introductory text, (f) introductory text, and (f)(1), (2), (5) 
introductory text and (12)(ii);
0
b. Adding paragraphs (f)(14) and (15); and
0
c. Revising paragraph (h)(7) introductory text.
    The revisions and additions read as follows:


Sec.  63.1417  Reporting requirements.

* * * * *
    (d) Precompliance Report. Owners or operators of affected sources 
requesting an extension for compliance; requesting approval to use 
alternative monitoring parameters, alternative continuous monitoring 
and recordkeeping, or alternative controls; requesting approval to use 
engineering assessment to estimate organic HAP emissions from a batch 
emissions episode as described in Sec.  63.1414(d)(6)(i)(C); wishing to 
establish parameter monitoring levels according to the procedures 
contained in Sec.  63.1413(a)(4)(ii); establishing parameter monitoring 
levels based on a design evaluation as specified in

[[Page 40118]]

Sec.  63.1413(a)(3); or following the procedures in Sec.  
63.1413(e)(2); or following the procedures in Sec.  63.1413(h)(3), 
shall submit a Precompliance Report according to the schedule described 
in paragraph (d)(1) of this section. The Precompliance Report shall 
contain the information specified in paragraphs (d)(2) through (11) of 
this section, as appropriate.
* * * * *
    (8) If an owner or operator is complying with the mass emission 
limit specified in Sec.  63.1405(b)(2)(i), the sample of production 
records specified in Sec.  63.1413(h)(3) shall be submitted in the 
Precompliance Report.
* * * * *
    (e) * * *
    (1) The results of any emission point applicability determinations, 
performance tests, design evaluations, inspections, continuous 
monitoring system performance evaluations, any other information used 
to demonstrate compliance, and any other information, as appropriate, 
required to be included in the Notification of Compliance Status under 
40 CFR part 63, subpart SS and subpart WW, as referred to in Sec.  
63.1404 for storage vessels; under 40 CFR part 63, subpart SS, as 
referred to in Sec.  63.1405 for continuous process vents; under Sec.  
63.1416(f)(1) through (3), (5)(i) and (ii), and (6)(i) and (ii) for 
continuous process vents; under Sec.  63.1416(d)(1) for batch process 
vents; and under Sec.  63.1416(e)(1) for aggregate batch vent streams. 
In addition, each owner or operator shall comply with paragraphs 
(e)(1)(i) and (ii) of this section.
* * * * *
    (f) Periodic Reports. Except as specified in paragraph (f)(12) of 
this section, a report containing the information in paragraph (f)(2) 
of this section or containing the information in paragraphs (f)(3) 
through (11) and (13) through (15) of this section, as appropriate, 
shall be submitted semiannually no later than 60 days after the end of 
each 180 day period. In addition, for equipment leaks subject to Sec.  
63.1410, the owner or operator shall submit the information specified 
in 40 CFR part 63, subpart UU, and for heat exchange systems subject to 
Sec.  63.1409, the owner or operator shall submit the information 
specified in Sec.  63.1409. Section 63.1415 shall govern the use of 
monitoring data to determine compliance for emissions points required 
to apply controls by the provisions of this subpart.
    (1) Except as specified in paragraph (f)(12) of this section, a 
report containing the information in paragraph (f)(2) of this section 
or containing the information in paragraphs (f)(3) through (11) and 
(13) through (15) of this section, as appropriate, shall be submitted 
semiannually no later than 60 days after the end of each 180 day 
period. The first report shall be submitted no later than 240 days 
after the date the Notification of Compliance Status is due and shall 
cover the 6-month period beginning on the date the Notification of 
Compliance Status is due. Subsequent reports shall cover each preceding 
6-month period.
    (2) If none of the compliance exceptions specified in paragraphs 
(f)(3) through (11) and (13) through (15) of this section occurred 
during the 6-month period, the Periodic Report required by paragraph 
(f)(1) of this section shall be a statement that the affected source 
was in compliance for the preceding 6-month period and no activities 
specified in paragraphs (f)(3) through (11) and (13) through (15) of 
this section occurred during the preceding 6-month period.
* * * * *
    (5) If there is a deviation from the mass emission limit specified 
in Sec.  63.1406(a)(1)(iii) or (a)(2)(iii), Sec.  63.1407(b)(2), or 
Sec.  63.1408(b)(2), the following information, as appropriate, shall 
be included:
* * * * *
    (12) * * *
    (ii) The quarterly reports shall include all information specified 
in paragraphs (f)(3) through (11) and (13) through (15) of this section 
applicable to the emission point for which quarterly reporting is 
required under paragraph (f)(12)(i) of this section. Information 
applicable to other emission points within the affected source shall be 
submitted in the semiannual reports required under paragraph (f)(1) of 
this section.
* * * * *
    (14) If there is a deviation from the mass emission limit specified 
in Sec.  63.1405(b)(2)(i), the report shall include the daily average 
emission rate calculated for each operating day for which a deviation 
occurred.
    (15) If there is a deviation from the emission rate limit specified 
in Sec.  63.1405(b)(2)(ii) or (iii), the report shall include the 
following information for each operating day for which a deviation 
occurred:
    (i) The calculated average hourly emission rate.
    (ii) The individual hourly emission rate data points making up the 
average hourly emission rate.
* * * * *
    (h) * * *
    (7) Whenever a continuous process vent becomes subject to control 
requirements under Sec.  63.1405, as a result of a process change, the 
owner or operator shall submit a report within 60 days after the 
performance test or applicability assessment, whichever is sooner. The 
report may be submitted as part of the next Periodic Report required by 
paragraph (f) of this section.
* * * * *
[FR Doc. 2017-17514 Filed 8-23-17; 8:45 am]
 BILLING CODE 6560-50-P



                                                                            Federal Register / Vol. 82, No. 163 / Thursday, August 24, 2017 / Proposed Rules                                                 40103

                                                                                          EPA-APPROVED IOWA SOURCE-SPECIFIC ORDERS/PERMITS—Continued
                                                                                                                            State effective
                                                           Name of source                        Order/permit No.                                       EPA approval date                     Explanation
                                                                                                                                 date

                                                    (165) Muscatine Power and               Permit No. 74–A–175–S4 ..                 3/2/16    [date of final publication in     2010 1-hr SO2 NAAQ Nonattain-
                                                      Water.                                                                                      the Federal Register]             ment Plan; Condition 6 of the per-
                                                                                                                                                  and [Federal Register             mit is not part of the SIP; EPA–
                                                                                                                                                  citation].                        R07–OAR–2017–0416;          FRL–
                                                                                                                                                                                    XXXX–Region 7].
                                                    (166) Muscatine Power and               Permit No. 95–A–373–P3 ..                 3/2/16    [date of final publication in     2010 1-hr SO2 NAAQ Nonattain-
                                                      Water.                                                                                      the Federal Register]             ment Plan; Condition 6 of the per-
                                                                                                                                                  and [Federal Register             mit is not part of the SIP; EPA–
                                                                                                                                                  citation].                        R07–OAR–2017–0416;          FRL–
                                                                                                                                                                                    XXXX–Region 7].
                                                    (167) Muscatine Power and               Permit No. 80–A–191–P3 ..                 3/2/16    [date of final publication in     2010 1-hr SO2 NAAQ Nonattain-
                                                      Water.                                                                                      the Federal Register]             ment Plan; Condition 6 of the per-
                                                                                                                                                  and [Federal Register             mit is not part of the SIP; EPA–
                                                                                                                                                  citation].                        R07–OAR–2017–0416;          FRL–
                                                                                                                                                                                    XXXX–Region 7].
                                                    (168) Monsanto ....................     Permit No. 82–A–092–P11                  5/13/15    [date of final publication in     2010 1-hr SO2 NAAQ Nonattain-
                                                                                                                                                  the Federal Register]             ment Plan; Condition 6 of the per-
                                                                                                                                                  and [Federal Register             mit is not part of the SIP; EPA–
                                                                                                                                                  citation].                        R07–OAR–2017–0416;          FRL–
                                                                                                                                                                                    XXXX–Region 7].
                                                    (169) Monsanto ....................     Permit No. 88–A–001–S3 ..                5/13/15    [date of final publication in     2010 1-hr SO2 NAAQ Nonattain-
                                                                                                                                                  the Federal Register]             ment Plan; Condition 6 of the per-
                                                                                                                                                  and [Federal Register             mit is not part of the SIP; EPA–
                                                                                                                                                  citation].                        R07–OAR–2017–0416;          FRL–
                                                                                                                                                                                    XXXX–Region 7].



                                                        (e)* * *

                                                                                                      EPA-APPROVED IOWA NONREGULATORY PROVISIONS
                                                     Name of nonregulatory SIP               Applicable geographic or       State submittal             EPA approval date                     Explanation
                                                             provision                         nonattainment area                date


                                                             *                   *                  *                                   *                       *                     *               *
                                                    (47) 2010 1-hr SO2 National A portion of Muscatine                               5/26/16    [date of final publication in     EPA–R07–OAR–2017–0416;        FRL–
                                                      Ambient Air Quality Stand-   County.                                                        the Federal Register]            XXXX–Region 7].
                                                      ard Nonattainment Plan.                                                                     and [Federal Register
                                                                                                                                                  citation].



                                                    *      *       *       *      *                            Pollutants (NESHAP) for the                            sources during periods when an
                                                    [FR Doc. 2017–17736 Filed 8–23–17; 8:45 am]                Manufacture of Amino/Phenolic Resins                   emission control system used to control
                                                    BILLING CODE 6560–50–P
                                                                                                               (APR). Subsequently, the EPA received                  vents on fixed roof tanks is undergoing
                                                                                                               three petitions for reconsideration of the             planned routine maintenance. The EPA
                                                                                                               final rule. The EPA is reconsidering and               is seeking comments only on the four
                                                    ENVIRONMENTAL PROTECTION                                   requesting public comment on issues                    issues specifically addressed in this
                                                    AGENCY                                                     related to the maximum achievable                      notice: proposed revised back-end CPV
                                                                                                               control technology (MACT) standards                    MACT standards for existing sources,
                                                    40 CFR Part 63                                             for continuous process vents (CPVs) at                 whether the EPA should modify the
                                                    [EPA–HQ–OAR–2012–0133, FRL–9966–26–
                                                                                                               existing affected sources. The EPA is                  front-end CPV MACT standards for
                                                    OAR]                                                       proposing to revise the MACT standard                  existing sources, whether the EPA
                                                                                                               for back-end CPVs at existing affected                 should extend the compliance date for
                                                    RIN 2060–AS79                                              sources based on hazardous air                         the proposed revised back-end CPV
                                                                                                               pollutant (HAP) emissions test data for                MACT standards for existing sources,
                                                    National Emission Standards for                            back-end CPVs at existing sources for                  and the proposed work practice
                                                    Hazardous Air Pollutants: Manufacture                      this source category submitted by                      standards for storage vessels during
                                                    of Amino/Phenolic Resins                                   petitioners. The EPA is also soliciting                planned routine maintenance of
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                                                    AGENCY:  Environmental Protection                          comments regarding the need to revise                  emission control systems. In this
                                                    Agency (EPA).                                              the standard for front-end CPVs at                     rulemaking, the EPA is not reopening or
                                                    ACTION: Proposed rule.                                     existing sources, and to extend the                    requesting comment on any other
                                                                                                               compliance date for the proposed                       aspects of the 2014 final amendments to
                                                    SUMMARY:   On October 8, 2014, the                         revised emission limit for back-end                    the NESHAP for the Manufacture of
                                                    Environmental Protection Agency (EPA)                      CPVs at existing sources. Additionally,                APR, including other issues raised in
                                                    finalized amendments to the National                       the EPA is proposing requirements for                  petitions for reconsideration of the 2014
                                                    Emission Standards for Hazardous Air                       storage vessels at new and existing                    rule. The EPA estimates this proposal, if


                                               VerDate Sep<11>2014     16:24 Aug 23, 2017    Jkt 241001   PO 00000   Frm 00027   Fmt 4702   Sfmt 4702    E:\FR\FM\24AUP1.SGM    24AUP1


                                                    40104                 Federal Register / Vol. 82, No. 163 / Thursday, August 24, 2017 / Proposed Rules

                                                    finalized as proposed, would reduce                     01), Office of Air Quality Planning and               0133. Clearly mark the part or all of the
                                                    compliance costs to this industry by                    Standards, U.S. Environmental                         information that you claim to be CBI.
                                                    $2.1 million per year, compared to a                    Protection Agency, Research Triangle                  For CBI information on a disk or CD–
                                                    revised cost estimate of the MACT                       Park, North Carolina 27711; telephone                 ROM that you mail to the EPA, mark the
                                                    standard as amended in 2014.                            number: (919) 541–1185; fax number:                   outside of the disk or CD–ROM as CBI
                                                    DATES:                                                  (919) 541–0246; email address:                        and then identify electronically within
                                                       Comments. Comments must be                           diem.art@epa.gov. For information                     the disk or CD–ROM the specific
                                                    received on or before October 23, 2017.                 about the applicability of the NESHAP                 information you claim as CBI. In
                                                       Public Hearing. If a public hearing is               to a particular entity, contact Maria                 addition to one complete version of the
                                                    requested by September 7, 2017, then                    Malave, Office of Enforcement and                     comment that includes information
                                                    we will hold a public hearing on                        Compliance Assurance, U.S.                            claimed as CBI, you must submit a copy
                                                    September 25, 2017 at EPA                               Environmental Protection Agency, EPA                  of the comment that does not contain
                                                    Headquarters, William Jefferson Clinton                 WJC South Building, Mail Code 2227A,                  the information claimed as CBI for
                                                    East Building, 1201 Constitution                        1200 Pennsylvania Avenue NW.,                         inclusion in the public docket.
                                                    Avenue NW., Washington, DC 20004. If                    Washington DC 20460; telephone                        Information so marked will not be
                                                    a public hearing is requested, then we                  number: (202) 564–7027; fax number:                   disclosed except in accordance with
                                                    will provide details about the public                   (202) 564–0050; and email address:                    procedures set forth in the Code of
                                                    hearing on our Web site at: https://                    malave.maria@epa.gov.                                 Federal Regulations (CFR) at 40 CFR
                                                    www.epa.gov/stationary-sources-air-                     SUPPLEMENTARY INFORMATION:
                                                                                                                                                                  part 2.
                                                    pollution/manufacture-aminophenolic-                                                                             The http://www.regulations.gov Web
                                                                                                               Docket. The EPA has established a
                                                    resins-national-emission-standards. The                                                                       site is an ‘‘anonymous access’’ system,
                                                                                                            docket for this rulemaking under Docket
                                                    EPA does not intend to publish another                                                                        which means the EPA will not know
                                                                                                            ID No. EPA–HQ–OAR–2012–0133. All
                                                    notice in the Federal Register                                                                                your identity or contact information
                                                                                                            documents in the docket are listed in
                                                    announcing any updates on the request                                                                         unless you provide it in the body of
                                                                                                            the http://www.regulations.gov index.
                                                    for a public hearing. Please contact Ms.                                                                      your comment. If you send an email
                                                                                                            Although listed in the index, some
                                                    Virginia Hunt at (919) 541–0832 or by                                                                         comment directly to the EPA without
                                                                                                            information is not publicly available,
                                                    email at hunt.virginia@epa.gov to                                                                             going through http://
                                                                                                            e.g., CBI or other information whose
                                                    request a public hearing, to register to                                                                      www.regulations.gov, your email
                                                                                                            disclosure is restricted by statute.
                                                    speak at the public hearing, or to inquire                                                                    address will be automatically captured
                                                                                                            Certain other material, such as
                                                    as to whether a public hearing will be                                                                        and included as part of the comment
                                                                                                            copyrighted material, is not placed on
                                                    held. The last day to pre-register in                                                                         that is placed in the public docket and
                                                                                                            the Internet and will be publicly
                                                    advance to speak at the public hearing                                                                        made available on the Internet. If you
                                                                                                            available only in hard copy. Publicly
                                                    will be September 21, 2017.                                                                                   submit an electronic comment, the EPA
                                                                                                            available docket materials are available
                                                    ADDRESSES: Comments. Submit your
                                                                                                                                                                  recommends that you include your
                                                                                                            either electronically at http://
                                                    comments, identified by Docket ID No.                                                                         name and other contact information in
                                                                                                            www.regulations.gov or in hard copy at
                                                    EPA–HQ–OAR–2012–0133 at http://                                                                               the body of your comment and with any
                                                                                                            the EPA Docket Center, Room 3334,
                                                    www.regulations.gov. Follow the online                                                                        electronic storage media you submit. If
                                                                                                            EPA WJC West Building, 1301
                                                    instructions for submitting comments.                                                                         the EPA cannot read your comment due
                                                                                                            Constitution Avenue NW, Washington,
                                                    Once submitted, comments cannot be                                                                            to technical difficulties and cannot
                                                                                                            DC. The Public Reading Room is open
                                                    edited or removed from http://                                                                                contact you for clarification, the EPA
                                                                                                            from 8:30 a.m. to 4:30 p.m., Monday
                                                    www.regulations.gov. The EPA may                                                                              may not be able to consider your
                                                                                                            through Friday, excluding legal
                                                    publish any comment received to its                                                                           comment. Electronic files should avoid
                                                                                                            holidays. The telephone number for the
                                                    public docket. Do not submit                                                                                  the use of special characters or any form
                                                                                                            Public Reading Room is (202) 566–1744,
                                                    electronically any information you                                                                            of encryption and be free of any defects
                                                                                                            and the telephone number for the EPA
                                                    consider to be Confidential Business                                                                          or viruses. For additional information
                                                                                                            Docket Center is (202) 566–1742.
                                                    Information (CBI) or other information                                                                        about the EPA’s public docket, visit the
                                                                                                               Instructions: Direct your comments to
                                                    whose disclosure is restricted by statute.                                                                    EPA Docket Center homepage at http://
                                                                                                            Docket ID No. EPA–HQ–OAR–2012–
                                                    Multimedia submissions (audio, video,                                                                         www.epa.gov/dockets.
                                                                                                            0133. The EPA’s policy is that all                       Preamble Acronyms and
                                                    etc.) must be accompanied by a written                  comments received will be included in                 Abbreviations. Multiple acronyms and
                                                    comment. The written comment is                         the public docket without change and                  terms are used in this preamble. While
                                                    considered the official comment and                     will be made available online at http://              this list may not be exhaustive, to ease
                                                    should include discussion of all points                 www.regulations.gov, including any                    the reading of this preamble and for
                                                    you wish to make. The EPA will                          personal information provided, unless                 reference purposes, the EPA defines the
                                                    generally not consider comments or                      the comment includes information                      following terms and acronyms here:
                                                    comment contents located outside of the                 claimed to be CBI or other information
                                                    primary submission (i.e., on the Web,                   whose disclosure is restricted by statute.            APR Amino/phenolic resin
                                                    cloud, or other file sharing system). For                                                                     CAA Clean Air Act
                                                                                                            Do not submit information that you                    CBI Confidential Business Information
                                                    additional submission methods, the full                 consider to be CBI or otherwise                       CFR Code of Federal Regulations
                                                    EPA public comment policy,                              protected through http://                             CPV Continuous process vent
                                                    information about CBI or multimedia                     www.regulations.gov or email. Send or                 EPA Environmental Protection Agency
mstockstill on DSK30JT082PROD with PROPOSALS




                                                    submissions, and general guidance on                    deliver information identified as CBI                 FR Federal Register
                                                    making effective comments, please visit                 only to the following address: OAQPS                  HAP Hazardous air pollutants
                                                    http://www.epa.gov/dockets/                             Document Control Officer (C404–02),                   HON Hazardous Organic NESHAP
                                                    commenting-epa-dockets.                                 Office of Air Quality Planning and                    ICR Information collection request
                                                                                                                                                                  lb Pound
                                                    FOR FURTHER INFORMATION CONTACT: For                    Standards, U.S. Environmental                         MACT Maximum achievable control
                                                    questions about this proposed action,                   Protection Agency, Research Triangle                    technology
                                                    please contact Mr. Art Diem, Sector                     Park, North Carolina 27711, Attention                 NESHAP National emissions standards for
                                                    Policies and Programs Division (E143–                   Docket ID No. EPA–HQ–OAR–2012–                          hazardous air pollutants



                                               VerDate Sep<11>2014   16:24 Aug 23, 2017   Jkt 241001   PO 00000   Frm 00028   Fmt 4702   Sfmt 4702   E:\FR\FM\24AUP1.SGM   24AUP1


                                                                          Federal Register / Vol. 82, No. 163 / Thursday, August 24, 2017 / Proposed Rules                                                  40105

                                                    OAQPS Office of Air Quality Planning and                      Minority Populations and Low-Income             20, 2000, APR MACT standards (65 FR
                                                      Standards                                                   Populations                                     3276), and published its final rule
                                                    OMB Office of Management and Budget                                                                           amending the NESHAP for the APR
                                                    PRD Pressure relief device                              I. General Information
                                                                                                                                                                  Production source category at 40 CFR
                                                    ppmv Parts per million by volume                        A. What is the source of authority for
                                                    RTO Regenerative thermal oxidizer                                                                             part 63, subpart OOO. That action also
                                                    RTR Residual risk and technology review
                                                                                                            the reconsideration action?                           amended the NESHAP for the Acrylic
                                                    UFC Urea formaldehyde concentrate                          The statutory authority for this action            and Modacrylic Fibers Production
                                                    UPL Upper predictive limit                              is provided by sections 112 and                       source category and the Polycarbonate
                                                      Organization of this Document. The                    307(d)(7)(B) of the Clean Air Act (CAA)               Production source category at 40 CFR
                                                    information in this preamble is                         (42 U.S.C. 7412 and 7607(d)(7)(B)).                   part 63, subpart YY (79 FR 60898). The
                                                    organized as follows:                                                                                         2014 final rule established MACT
                                                                                                            B. Does this action apply to me?                      standards for the first time for CPVs at
                                                    I. General Information                                     Categories and entities potentially                existing affected sources in the APR
                                                       A. What is the source of authority for the
                                                          reconsideration action?                           regulated by this action include, but are             Production source category. The 2014
                                                       B. Does this action apply to me?                     not limited to, facilities having a North             final rule also removed exemptions for
                                                       C. Where can I get a copy of this document           American Industry Classification                      periods of startup, shutdown, and
                                                          and other related information?                    System (NAICS) code 325211. Facilities                malfunction; clarified provisions
                                                    II. Background                                          with this NAICS code are described as                 pertaining to open-ended valves and
                                                       A. Why is the EPA issuing this proposed              plastics material and resin                           lines; added monitoring requirements
                                                          reconsideration action?                           manufacturing establishments, which                   for pressure relief devices (PRDs); and
                                                       B. What are the issues raised by petitioners         includes facilities engaged in                        added requirements for electronic
                                                          about the standards for CPVs at existing
                                                          affected sources?                                 manufacturing amino resins and                        reporting of performance test results.
                                                    III. Proposed Emissions Standards for Back-             phenolic resins, as well as other plastic                The October 2014 amendments to 40
                                                          End CPVs at Existing Sources                      and resin types.                                      CFR part 63, subpart OOO, promulgated
                                                       A. What data were collected for back-end                To determine whether your facility is              emissions limits for previously
                                                          CPVs on resin spray dryers?                       affected, you should examine the                      unregulated HAP emissions from CPVs
                                                       B. What analyses were conducted for back-            applicability criteria in 40 CFR 63.1400              at existing affected sources, without
                                                          end CPVs?                                         of subpart OOO. If you have any                       distinguishing between back-end and
                                                       C. Should the EPA provide facilities more            questions regarding the applicability of              front-end CPVs. The standard of 0.95
                                                          time to comply with the proposed revised                                                                kilograms of organic HAP per megagram
                                                          back-end CPV standards?
                                                                                                            any aspect of the NESHAP, please
                                                    IV. What other changes or issues does this              contact the appropriate person listed in              (1.9 pounds (lb) of total organic HAP per
                                                          action address?                                   the preceding FOR FURTHER INFORMATION                 ton) of resin produced is codified at 40
                                                       A. Should the EPA promulgate a separate              CONTACT section of this preamble.                     CFR 63.1405(a)(3) and currently applies
                                                          standard for front-end CPVs at existing                                                                 to existing affected source back-end and
                                                          sources?
                                                                                                            C. Where can I get a copy of this                     front-end CPVs.
                                                       B. Proposed work practice standards for              document and other related                               Following promulgation of the
                                                          storage vessels at new and existing               information?                                          October 8, 2014, final rule, the EPA
                                                          sources during planned routine                       In addition to being available in the              received three petitions for
                                                          maintenance of emission control systems           docket, an electronic copy of this action             reconsideration pursuant to section
                                                    V. Summary of Cost, Environmental, and
                                                                                                            is available on the Internet. A redline               307(d)(7)(B) of the CAA. The petitions
                                                          Economic Impacts
                                                       A. What are the affected sources?                    version of the regulatory language that               were submitted by the Sierra Club,
                                                       B. What are the air quality impacts?                 incorporates the proposed changes in                  Tembec BTLSR (‘‘Tembec’’), and
                                                       C. What are the cost impacts?                        this action is available in the docket for            Georgia-Pacific LLC (‘‘Georgia-Pacific’’).
                                                       D. What are the economic impacts?                    this action (Docket ID No. EPA–HQ–                    The petitions are available for review in
                                                       E. What are the benefits?                            OAR–2012–0133). Following signature                   the rulemaking docket (see Docket
                                                    VI. Solicitation of Public Comment and                  by the EPA Administrator, the EPA will                Document ID Nos. EPA–HQ–OAR–
                                                          Participation                                     post a copy of this proposed action at:               2012–0133–0077, EPA–HQ–OAR–2012–
                                                    VII. Statutory and Executive Order Reviews              https://www.epa.gov/stationary-sources-               0133–0076, and EPA–HQ–OAR–2012–
                                                       A. Executive Order 12866: Regulatory
                                                                                                            air-pollution/manufacture-                            0133–0072, respectively). On March 27,
                                                          Planning and Review and Executive
                                                          Order 13563: Improving Regulation and             aminophenolic-resins-national-                        2015, the EPA issued letters to the
                                                          Regulatory Review                                 emission-standards. Following                         petitioners granting reconsideration of
                                                       B. Paperwork Reduction Act (PRA)                     publication in the Federal Register, the              the final rule to address at least the
                                                       C. Regulatory Flexibility Act (RFA)                  EPA will post the Federal Register                    following petitioners’ claims: that the
                                                       D. Unfunded Mandates Reform Act                      version of this proposal at this same                 public was not afforded a reasonable
                                                          (UMRA)                                            Web site. Other key technical                         opportunity to comment on the MACT
                                                       E. Executive Order 13132: Federalism                 documents related to this proposal will               floor analysis, supporting data and
                                                       F. Executive Order 13175: Consultation               be available in the docket when the                   resulting emission standards for CPVs at
                                                          and Coordination with Indian Tribal
                                                                                                            Federal Register version of the proposal              existing sources; and that the
                                                          Governments
                                                       G. Executive Order 13045: Protection of              is posted to the docket. Only the version             requirements associated with emissions
                                                          Children from Environmental Health                as published in the Federal Register                  from PRDs should be reconsidered.1
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                                                          Risks and Safety Risks                            will represent the official EPA proposal.
                                                                                                                                                                    1 A petitioner requested another change in the
                                                       H. Executive Order 13211: Actions
                                                                                                            II. Background                                        rule language regarding planned routine
                                                          Concerning Regulations that
                                                          Significantly Affect Energy Supply,                                                                     maintenance of emission control systems used to
                                                                                                            A. Why is the EPA issuing this proposed               reduce HAP emissions from storage vessels.
                                                          Distribution, or Use                              reconsideration action?                               Although this issue was not addressed in the March
                                                       I. National Technology Transfer and                                                                        2015 letters granting reconsideration, the EPA has
                                                          Advancement Act (NTTAA)                             On October 8, 2014, the EPA                         reconsidered the storage vessel requirements and is
                                                       J. Executive Order 12898: Federal Actions            completed the residual risk and                       addressing these requirements in this proposal. See
                                                          to Address Environmental Justice in               technology review (RTR) of the January                section IV of this preamble for more details.



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                                                    40106                 Federal Register / Vol. 82, No. 163 / Thursday, August 24, 2017 / Proposed Rules

                                                    These letters are also available in the                 that the EPA should calculate                         not account for all HAP emitted,
                                                    rulemaking docket (see Docket                           uncontrolled production-based emission                including methanol and formaldehyde.
                                                    Document ID Nos. EPA–HQ–OAR–                            rates based on 5 years of production,                 Therefore, petitioners stated that the
                                                    2012–0133–0075, EPA–HQ–OAR–2012–                        taking variability in emissions between               EPA underestimated the total HAP
                                                    0133–0073, and EPA–HQ–OAR–2012–                         resin types into account. Commenters                  emissions from these back-end CPVs,
                                                    0133–0074, respectively).                               provided the EPA with HAP emissions                   resulting in an unreasonably stringent
                                                       The Agency is now proposing revised                  data and resin production data for the                production-based total HAP emissions
                                                    emissions standards for back-end CPVs                   previous 5 years during the comment                   standard for existing affected sources.
                                                    at existing affected sources and is                     period.                                                 Georgia-Pacific stated in its petition
                                                    proposing alternative work practice                       The EPA considered the additional                   that the EPA made three errors in
                                                    standards for storage vessels during                    data submitted during the comment                     calculating the production-based HAP
                                                    periods of planned routine maintenance                  period in calculating the MACT floor,                 limits for CPVs at existing affected
                                                    of emission control systems on fixed                    and determined that it was appropriate                sources. First, the petitioner claimed
                                                    roof tanks at new and existing affected                 to finalize a production-based limit of               that the promulgated emissions
                                                    APR production sources. The EPA is                      1.9 lb of HAP per ton of resin produced               standard does not adequately account
                                                    requesting public comments on these                     for CPVs at existing affected sources (see            for variability in emissions from back-
                                                    proposed standards. The EPA is also                     40 CFR 63.1405(a)(3)). The EPA                        end CPVs. The commenter noted that
                                                    asking for comments on whether it is                    discussed the determination of the                    the EPA calculated the emission rate for
                                                    necessary to establish a new compliance                 MACT floor in a memorandum available                  each CPV by dividing the 5-year total
                                                    date for the proposed revised back-end                  in the rulemaking docket (Docket                      emissions by the 5-year total amount of
                                                    CPV limits at existing sources (if they                 Document ID No. EPA–HQ–OAR–2012–                      resin produced by the corresponding
                                                    are promulgated), and on whether                        0133–0053). The final rule was                        resin unit. The petitioner stated that to
                                                    revisions are needed to the existing                    promulgated on October 8, 2014 (79 FR                 account for short-term variability, the
                                                    source CPV limits as they apply to front-               60898).                                               EPA should have based the standard on
                                                    end CPVs. At this time, the EPA is not                    Petitioners Tembec and Georgia-                     the maximum 1-year production-based
                                                    proposing any actions pertaining to its                 Pacific each own resin spray dryers                   HAP emissions rate for each CPV.
                                                    grant of reconsideration on the PRD                     (back-end CPVs) regulated by the                      Georgia-Pacific also stated that another
                                                    issues raised in the petitions for                      NESHAP for existing affected sources.                 approach the EPA could have used to
                                                    reconsideration. The EPA intends to                     The back-end CPVs are currently subject               account for variability in the data when
                                                    address those issues separately in a                    to the finalized limit of 1.9 lb of HAP               calculating the production-based HAP
                                                    future action and is not requesting or                  per ton of resin produced. Tembec’s and               emissions limit is the application of a
                                                    accepting comment on issues related to                  Georgia-Pacific’s petitions claim they                99-percent upper prediction limit (UPL).
                                                    PRDs.                                                   did not have an opportunity to comment                Second, Georgia-Pacific disagreed with
                                                                                                            on the MACT floor analysis and                        the EPA’s interpretation of ‘‘average’’ as
                                                    B. What are the issues raised by                        emissions standard in the final rule.                 the median rather than the arithmetic
                                                    petitioners about the standards for CPVs                While they stated in the petitions that               mean of the production-based HAP
                                                    at existing affected sources?                           they believe a production-based limit is              emissions, although it acknowledged
                                                                                                            appropriate, they claimed they did not                the EPA’s long-standing interpretation
                                                    1. Opportunity To Comment on Final
                                                                                                            get an opportunity to comment on how                  that ‘‘average’’ could mean arithmetic
                                                    Production-Based Standards for CPVs at
                                                                                                            the EPA would use the data they                       mean, median, or mode. The petitioner
                                                    Existing Affected Sources
                                                                                                            provided in analyses conducted to                     stated that using the arithmetic mean
                                                       During the review of the APR                         determine the MACT floor level of                     would better reflect the performance of
                                                    NESHAP, the EPA determined that there                   control.                                              Georgia-Pacific’s back-end CPVs,
                                                    were no applicable MACT standards for                                                                         whereas the median produced an
                                                    CPVs located at existing affected                       2. MACT Floor Determination for Back-
                                                                                                                                                                  emissions limit that is not
                                                    sources, and, therefore, in the January 9,              End CPVs at Existing Affected Sources
                                                                                                                                                                  representative of two of the five best-
                                                    2014 (79 FR 1676), RTR proposal for the                    The Tembec and Georgia-Pacific                     performing back-end CPVs (with the
                                                    category, the EPA proposed first-time                   petitions stated that the production-                 noted two being Georgia-Pacific CPVs).
                                                    MACT standards, based on the MACT                       based emissions limit in the 2014 final               Third, Georgia-Pacific stated that the
                                                    floor, for those CPVs as follows:                       rule of 1.9 lb of HAP per ton of resin                EPA’s emissions calculations do not
                                                       • Reduce organic HAP by 85 percent                   produced was not achievable for back-                 account for a change in particulate
                                                    or more; or                                             end CPVs, and they expressed concern                  control technology for one of Tembec’s
                                                       • Limit the concentration of organic                 over the data and calculation                         back-end CPVs that occurred prior to
                                                    HAP to 20 parts per million by volume                   methodology used to set the HAP                       the 2014 final rule. Georgia-Pacific
                                                    (ppmv) when using a combustion                          emissions standard for CPVs at existing               asserted that HAP emissions from this
                                                    control device; or                                      affected sources. Specifically, Tembec                CPV are now higher with the change in
                                                       • Limit the concentration of organic                 stated that even though its back-end                  particulate control technology, and the
                                                    HAP to 50 ppmv when using a non-                        CPVs are identified as the best-                      EPA should not have used data from a
                                                    combustion control device.                              performing units, these units do not                  period with the previous control
                                                       During the comment period on the                     meet the 1.9 lb of HAP per ton of resin               technology in place when determining
                                                    proposal, commenters provided the EPA                   produced standard for existing source                 production-based HAP emissions from
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                                                    with information showing that, rather                   CPVs.                                                 the five best-performing CPVs at
                                                    than the two existing affected sources in                  Tembec and Georgia-Pacific further                 existing affected sources.
                                                    the category with CPVs (specifically,                   stated that the emissions data the EPA                  Georgia-Pacific also suggested in its
                                                    CPVs on resin spray dryers) that the                    used to represent Tembec’s back-end                   petition for reconsideration that the EPA
                                                    EPA had identified at proposal, there                   CPVs were incomplete. According to                    should explore subcategorizing the
                                                    are four existing affected sources with a               Tembec and Georgia-Pacific, Tembec’s                  existing source CPVs between those at
                                                    total of six CPVs (all on resin spray                   back-end CPV HAP emissions data used                  Tembec and those at Georgia-Pacific to
                                                    dryers). In addition, commenters stated                 in the final rule MACT floor analysis do              account for fundamental differences in


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                                                                          Federal Register / Vol. 82, No. 163 / Thursday, August 24, 2017 / Proposed Rules                                                40107

                                                    equipment and processes, including                      emissions are not responsible for                     have identified six existing source
                                                    dryer size and/or type of resin                         driving risks is not a relevant reason for            dryers in the APR source category, we
                                                    produced. Georgia-Pacific’s resin spray                 such an exclusion.                                    determined the MACT floor-level of
                                                    dryers are substantially larger than                      Following the EPA’s issuance of the                 control based on the best-performing
                                                    Tembec’s resin spray dryers. Also,                      March 27, 2015, letters granting                      five sources. The MACT floor analysis
                                                    Tembec produces urea-formaldehyde                       reconsideration on petitioners’ issues                involved determining the UPL emission
                                                    resins, whereas Georgia-Pacific                         pertaining to CPVs, petitioners Tembec                rate for each dryer CPV, based on the
                                                    produces phenolic resins.                               and Georgia-Pacific conducted HAP                     emissions test results for the resin type
                                                       Tembec stated in its petition that the               emissions testing on the back-end CPVs                generating the highest HAP emissions
                                                    EPA did not consider information                        located on their resin dryers at their four           (where multiple resin types were
                                                    Tembec submitted to the EPA in the                      existing affected sources. The data from              tested). This UPL value takes into
                                                    development of the MACT standard for                    that testing are discussed in section III.A           account production variability and
                                                    back-end CPVs at existing sources.                      of this preamble.                                     estimates the upper bound of future
                                                    Specifically, Tembec stated that 2006                                                                         values, based on present or past
                                                                                                            III. Proposed Emissions Standards for
                                                    engineering test data for one of its CPVs                                                                     samples. The resulting UPL emission
                                                                                                            Back-End CPVs at Existing Sources
                                                    were submitted to the EPA and could                                                                           rate values for the six dryers were
                                                    have been used to better estimate the                   A. What data were collected for back-                 ranked, and the five lowest values were
                                                    HAP emissions from its three CPVs.                      end CPVs on resin spray dryers?                       averaged to produce the MACT floor
                                                    Tembec also stated that it supports the                   Georgia-Pacific and Tembec                          value.
                                                    Georgia-Pacific petition.                               conducted HAP emissions testing in                       The EPA considered the petitioner’s
                                                       In a comment letter from Georgia-                    April 2015 and June 2015 on all six                   claim that the arithmetic average rather
                                                    Pacific dated March 10, 2014 (Docket                    back-end CPVs located on their resin                  than the median value should be used
                                                    Document ID No. EPA–HQ–OAR–2012–                        spray dryers, and they submitted the                  in determining the MACT floor. Given
                                                    0133–0046), on the January 9, 2014,                     results of that testing to the EPA.                   the distribution of the data from these
                                                    proposal, Georgia Pacific identified an                 Georgia-Pacific separately tested                     sources, the EPA interprets the
                                                    additional CPV at its Crossett, Arkansas,               emissions during production of three                  arithmetic mean to be the better
                                                    facility. This newly identified CPV is                  types of resins at its Conway, North                  interpretation of ‘‘average’’ for this set of
                                                    not on the resin spray dryers. Whereas                  Carolina, facility; two types of resins at            data. If the distribution of the emission
                                                    the resin spray dryers are on the back-                 the Taylorsville, Mississippi, facility;              rates from each of the dryers had
                                                    end of the resin manufacturing process,                 and one type of resin at the Crossett,                extreme variation or extreme skewness,
                                                    this additional CPV is associated with a                Arkansas, facility. Tembec tested                     then the median might be a better
                                                    reactor used to produce urea-                           emissions from one spray dryer CPV                    indicator of the central tendency or
                                                    formaldehyde concentrate (UFC), which                   while producing one type of resin and                 average of the data set. However, given
                                                    is located in the front-end of the resin                tested emissions during production of                 that the data set consists of only five
                                                    manufacturing process, ahead of the                     two types of resins from the other two                values (i.e., the UPL of the performance
                                                    resin spray dryers. Due to a lack of                    resin spray dryer CPVs. The companies                 testing results for each of the five best-
                                                    reliable emissions data for this CPV at                 followed a testing protocol approved in               performing dryers 2) and given that there
                                                    the time of the 2014 final rule, the EPA                advance by the EPA, and both                          is only a slight positive skew of this
                                                    did not include emissions from this CPV                 companies conducted six 1-hour runs of                dataset, there is not enough skewness or
                                                    when it set the MACT floor for CPVs.                    the back-end CPVs on each resin spray                 variation in this dataset to conclude the
                                                    The Sierra Club raised concerns in its                                                                        median would be a better description of
                                                                                                            dryer, where possible, yielding a total of
                                                    petition for reconsideration regarding                                                                        the average over the arithmetic mean.
                                                                                                            64 runs. The test data indicate that the
                                                    the exclusion of HAP emissions data                                                                              The EPA also considered how to best
                                                                                                            major HAP present were methanol and
                                                    from that front-end CPV, stating that the                                                                     account for variability in emissions rates
                                                                                                            formaldehyde. Complete information on
                                                    EPA did not adequately explain why the                                                                        in the MACT floor determination. As
                                                                                                            the spray dryer back-end CPV exhaust
                                                    UFC CPV HAP emissions data were not                                                                           each of these sources may produce
                                                                                                            emission testing, including process and
                                                    included in the analysis to calculate the                                                                     multiple types (or recipes) of APR
                                                                                                            operation information, testing protocol
                                                    MACT floor for CPVs and asserting that                                                                        (without restriction and without
                                                                                                            and methodology, quality assurance/
                                                    the EPA must include all existing                                                                             needing any physical modification to
                                                                                                            quality control, and detailed test results
                                                    sources in the MACT floor analysis.                                                                           the sources), to establish a standard that
                                                    Sierra Club argued that if the EPA had                  are available in the rulemaking docket.               represents the emissions limit achieved
                                                    included Georgia-Pacific’s UFC front-                   B. What analyses were conducted for                   in practice by the best-performing
                                                    end CPV, the HAP emissions standard                     back-end CPVs?                                        sources, our calculations of the MACT
                                                    for CPVs would have been more                                                                                 floor are based on the resin resulting in
                                                    stringent.                                              1. MACT Floor Analysis for Back-End                   the highest HAP emissions at each of
                                                       Sierra Club asserted in its petition                 CPVs                                                  the best-performing sources and the
                                                    that all the CPVs are in the same source                   We performed a MACT floor analysis                 calculated UPL emission rate for
                                                    category and that the EPA cannot                        for back-end CPVs using the 2015 test                 production of that highest-HAP
                                                    subcategorize based on the controls that                data provided by Georgia-Pacific and                  emission generating resin at each dryer.
                                                    are in place. Sierra Club further noted                 Tembec. In determining the MACT floor                 In determining the MACT floor for
                                                    that although the EPA stated that the                   for existing sources, CAA section                     existing sources, the EPA may exercise
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                                                    HAP emissions data from this front-end                  112(d)(3) specifies that the emissions                its judgment, based on an evaluation of
                                                    CPV were not reliable, such a statement                 limits cannot be less stringent than the              the relevant factors and available data,
                                                    is insufficient to explain ignoring the                 average emission limitation achieved by
                                                    HAP emissions from this CPV when                        the best-performing 12 percent of                        2 See Table 3 of the memorandum titled

                                                    setting the MACT standard for CPVs.                     existing sources in the category or                   ‘‘Proposed Revised MACT Floor and Beyond-the-
                                                                                                                                                                  Floor Analysis for Back-End Continuous Process
                                                    Lastly, Sierra Club stated that excluding               subcategory (or the best-performing five              Vents at Existing Sources in the Amino and
                                                    the UFC front-end CPV in the MACT                       sources for categories or subcategories               Phenolic Resins Production Source Category’’ in
                                                    floor analysis because its HAP                          with fewer than 30 sources). Since we                 this docket.



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                                                    40108                       Federal Register / Vol. 82, No. 163 / Thursday, August 24, 2017 / Proposed Rules

                                                    to determine the level of performance                           2. Beyond-the-Floor Analysis for Back-                  installed controls to comply with the
                                                    that has been achieved by the average of                        End CPVs                                                CPV requirements in the 2014 final rule,
                                                    the best-performing sources (in this                               When establishing an emission                        and since we are aware that at least
                                                    case, five sources) under variable                              standard pursuant to section 112(d) of                  three of the facilities have obtained an
                                                    conditions. The Court has recognized                            the CAA, the EPA also determines                        additional year to comply from their
                                                    that the EPA may consider variability in                        whether to control emissions to a more                  permitting authorities pursuant to 40
                                                    estimating the degree of emissions                              stringent level ‘‘beyond-the-floor,’’ after             CFR 63.6(i), we believe it is appropriate
                                                    reduction achieved by the best-                                 considering the costs, non-air quality                  to compare the impacts of the MACT
                                                    performing sources and in setting                               health and environmental impacts, and                   floor and the beyond-the-floor option
                                                    MACT floors, holding the EPA may                                energy requirements of such more                        identified to the 2000 rule compliance
                                                    consider emission variability in                                stringent control. As part of the beyond-               baseline. In addition, as explained
                                                    estimating performance achieved by                              the-floor analysis for existing source                  previously, because the data used to set
                                                    best-performing sources and may set the                         back-end CPVs, control options that are                 the production-based HAP emissions
                                                                                                                    more stringent than the MACT floor                      limit in the 2014 final rule did not
                                                    floor at a level that best-performing
                                                                                                                    were considered. We identified one                      account for all HAP, the cost and
                                                    sources can expect to meet ‘‘every day
                                                                                                                    such option for back-end CPVs at                        emissions impacts determined at the
                                                    and under all operating conditions.’’ 3
                                                                                                                    existing sources, a 98-percent emissions                time the EPA issued the 2014 final rule
                                                    As a result of its analysis, the EPA has                                                                                would not be an appropriate basis of
                                                                                                                    reduction requirement. For this option,
                                                    determined that an appropriate MACT                                                                                     comparison. However, we note that
                                                                                                                    we assumed that regenerative thermal
                                                    floor for back-end CPVs s 8.6 lb of HAP                         oxidizers (RTOs) would need to be used                  using the more complete HAP emissions
                                                    per ton of resin produced. See the                              to achieve this control level at all                    data now available, the cost and
                                                    memorandum titled ‘‘Proposed Revised                            existing APR sources with back-end                      emissions impacts of the 2014 final rule
                                                    MACT Floor and Beyond-the-Floor                                 CPVs. While we project that two                         for back-end CPVs would be
                                                    Analysis for Back-End Continuous                                facilities would already need to install                approximately the same as the cost and
                                                    Process Vents at Existing Sources in the                        RTOs on their back-end CPVs to meet                     emissions impacts of the beyond-the-
                                                    Amino and Phenolic Resins Production                            the proposed revised MACT floor                         floor option for back-end CPVs
                                                    Source Category’’ for more details on                           emissions limit, for this beyond-the-                   presented in Table 1 because we now
                                                    this analysis.                                                  floor analysis, we evaluated the                        project that all four facilities would
                                                       The EPA explored Georgia-Pacific’s                           potential additional installation of RTOs               need to install RTOs to comply with the
                                                    request in its petition regarding                               at the other two facilities—one facility                2014 final rule for back-end CPVs. More
                                                    subcategorizing the dryer standards                             would install an RTO to control the                     information on how the capital and
                                                    based on dryer size and/or type of resin                        back-end CPV on one resin spray dryer                   annualized costs and costs per ton were
                                                                                                                    and the other facility would install an                 calculated is available in the
                                                    produced. However, we found no
                                                                                                                    RTO to control the back-end CPVs on                     memorandum titled ‘‘National Impacts
                                                    compelling dryer size threshold nor
                                                                                                                    three resin spray dryers.                               Associated with Proposed Existing
                                                    resin type attribution that would
                                                                                                                       Table 1 presents the impacts for the                 Source Standards for CPVs and Storage
                                                    provide a suitable rationale for                                MACT floor and the beyond-the-floor                     Tanks in the Amino and Phenolic
                                                    subcategorization of a MACT floor for a                         options evaluated. Since we are not                     Resins Production Source Category,’’
                                                    back-end CPV standard.                                          aware that any of the four facilities have              available in the rulemaking docket.
                                                        TABLE 1—NATIONWIDE EMISSIONS REDUCTION AND COST IMPACTS OF CONTROL OPTIONS FOR BACK-END CPVS AT
                                                                                             EXISTING APR FACILITIES
                                                                                                               HAP emissions                                                                                Incremental cost
                                                                                                                  reduction                                                         Cost effectiveness
                                                                                                                                        Capital cost          Annualized cost                                 effectiveness
                                                                  Regulatory options                             compared to                                                           ($/ton HAP
                                                                                                                                         (million $)              ($/yr)                                       ($/ton HAP
                                                                                                                  2000 rule                                                             removed)                removed)
                                                                                                               (tons per year)

                                                    MACT floor .............................................                 207                       4.8                   2.1                10,400     ..............................
                                                    Beyond-the-floor 4 ..................................                    271                       9.6                   4.2                15,500                        33,000



                                                      Essentially, the beyond-the-floor                             emission limits for back-end CPVs at                    the characteristics of the resins passing
                                                    option reflects a doubling of capital and                       existing APR production sources, at the                 through the dryers where the back-end
                                                    annualized costs compared to the                                level we have now determined is the                     CPVs are located can vary at a facility.
                                                    MACT floor option, while obtaining an                           correct MACT floor (i.e., 8.6 lb of HAP                 In order to ensure that APR sources
                                                    additional HAP reduction of only 31-                            per ton of resin produced).                             monitor operating parameters at a level
                                                    percent beyond the MACT floor option.                           3. Proposed Amendments to                               that ensures continuous compliance
                                                    Based on this analysis, we do not                               Compliance Demonstration Procedures                     with the proposed MACT standards for
                                                    consider the beyond-the-floor option to                                                                                 back-end CPVs under any and all
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                                                                                                                       Facilities in the APR Production
                                                    be cost effective. Therefore, we are not                        source category produce a wide variety                  operating conditions, we are also
                                                    proposing any beyond-the-floor                                  of resin recipes as needed to meet the                  proposing to amend 40 CFR 63.1413 to
                                                    standards. Instead, we are proposing to                         specifications of various products in                   require sources to conduct the
                                                    establish production-based HAP                                  which these resins are used. As a result,               performance testing using the resin

                                                      3 Mossville Environmental Action Now v. EPA,                    4 Beyond-the-floor would be essentially the same      based on the 2015 test data of back-end CPVs at
                                                    370 F.3d 1232, (D.C. Cir. 2004).                                level of control as the 2014 final rule, with revised   existing sources.
                                                                                                                    estimates of the costs and HAP emissions reduction



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                                                                          Federal Register / Vol. 82, No. 163 / Thursday, August 24, 2017 / Proposed Rules                                          40109

                                                    recipes anticipated to have the highest                 comply, if necessary, to install controls             Pacific has a front-end reactor CPV that
                                                    HAP content in the liquid resin.                        to meet a standard. We anticipate that                handles air streams originating from the
                                                                                                            two existing facilities would need to                 reactor associated with the manufacture
                                                    4. Consideration of Risk Review
                                                                                                            install control devices to comply with                of UFC. This front-end CPV is
                                                       In the risk assessment for the 2014                  the proposed revised back-end CPV                     controlled with an RTO that achieves a
                                                    final rule, we determined that the APR                  emissions standards. Industry has                     HAP control efficiency of 95 percent or
                                                    MACT standards promulgated in                           indicated that at least 18 months would               more and also controls HAP emissions
                                                    January 2000 provide an ample margin                    be needed to install controls, once the               from other processes at the facility. The
                                                    of safety to protect public health                      proposed rule is finalized, and a 1-year              EPA became aware of this front-end
                                                    (including the then-uncontrolled                        extension of the October 9, 2017,                     CPV through comments on the 2014
                                                    emissions from CPVs at existing                         compliance date, if granted, would                    proposed rulemaking, but had limited
                                                    sources). See Residual Risk Assessment                  require compliance in less than 18                    information about this front-end CPV at
                                                    for the Amino/Phenolic Resins                           months from any promulgation date of                  the time of the final rule. INEOS
                                                    Production Source Category, Docket                      the revised back-end CPV standards                    Melamines has a front-end non-reactor
                                                    Document ID No. EPA–HQ–OAR–2012–                        (given the date of this proposal). We are             CPV that handles air streams from the
                                                    0133–0065. Although the data set used                   soliciting comments on whether to                     formaldehyde recovery process
                                                    to establish the MACT production-based                  maintain the current compliance date,                 associated with their amino resins
                                                    emission limits for CPVs at existing                    anticipating that case-by-case extension              production process. This front-end CPV
                                                    sources in the 2014 final rule did not                  requests may be made, or if the                       is routed to a scrubber, which was
                                                    include data on all HAP, the risk                       compliance date should be established                 installed primarily for control of
                                                    assessment modeling input files for the                 for another date. If it is appropriate to             particulate matter emissions. The EPA
                                                    2014 final rule show that emissions of                  establish a different compliance date,                was not aware of this front-end CPV
                                                    all HAP, including methanol and                         we are soliciting comments on an                      unit during the 2014 rulemaking, but
                                                    formaldehyde, from the CPVs at the                      appropriate date, such as a date 18                   learned of it in 2015 from
                                                    existing sources were accounted for,                    months after promulgation of the                      communications with the Massachusetts
                                                    except for the non-reactor front-end CPV                revised standards, the date 18 months                 Department of Environmental
                                                    at the INEOS Melamines facility. At the                 beyond the original October 9, 2017,                  Protection. We are not aware of any
                                                    INEOS Melamines facility, the 2014 risk                 compliance date, or some other date.                  other front-end CPVs at any of the other
                                                    modeling estimates a maximum                                                                                  existing sources in the APR Production
                                                    individual risk of 0.4-in-1 million                     IV. What other changes or issues does
                                                                                                                                                                  source category.
                                                    attributable to the APR source at the                   this action address?
                                                    INEOS facility, with the risk driver                                                                             Since the air emission streams from
                                                                                                            A. Should the EPA promulgate a                        these two front-end CPVs have different
                                                    identified as formaldehyde, and the risk                separate standard for front-end CPVs at
                                                    modeling input files include 0.375 tons                                                                       characteristics, such as different flow
                                                                                                            existing sources?                                     rates and HAP concentrations, and are
                                                    per year of formaldehyde emissions.
                                                    The information collected from INEOS                       In the APR Production source                       vents for dissimilar types of equipment
                                                    regarding its non-reactor front-end CPV                 category, CPVs are found in both the                  and would likely require different
                                                    indicates annual emissions of                           back-end and front-end of the resins                  control approaches, we are soliciting
                                                    formaldehyde at less than 0.03 tons per                 production process. Back-end CPVs are                 comments on, but not yet proposing,
                                                    year. Given the low risk estimate for the               associated with APR production                        whether standards for these front-end
                                                    facility, we consider this small increase               operations related to processing liquid               CPVs should be revised from the
                                                    in emissions to be insignificant, and the               resins into a dry form. Back-end process              currently applicable CPV standard of 1.9
                                                    estimated facility risk would be about                  operations include, but are not limited               lb of HAP per ton of resin produced and
                                                    the same (less than 1-in-1 million).                    to, flaking, grinding, blending, mixing,              subcategorized into two types—reactor
                                                    Thus, we would not anticipate the                       drying, pelletizing, and other finishing              and non-reactor front-end CPVs.
                                                    inclusion of a revised emissions                        operations, as well as latex and crumb                Separate standards for the two types of
                                                    estimate for the INEOS facility would                   storage. Front-end CPVs are associated                front-end CPVs would be consistent
                                                    change the 2014 risk assessment results                 with the part of an APR process unit                  with how reactor and non-reactor vents
                                                    for the facility or the APR Production                  related to producing liquid resins,                   have been regulated by the EPA for
                                                    source category, and we have                            including any product recovery,                       batch processes for the APR Production
                                                    determined that additional quantitative                 stripping, and filtering operations.                  source category—see 40 CFR 63.1406
                                                    risk analyses are not necessary.                        Front-end CPVs can be further                         Reactor Batch Process Vent Provisions
                                                                                                            distinguished as being reactor CPVs or                and 40 CFR 63.1407 Non-reactor Batch
                                                    C. Should the EPA provide facilities                    non-reactor CPVs. A reactor front-end                 Process Vent Provisions. We are not
                                                    more time to comply with the proposed                   CPV receives air streams originating                  proposing separate standards for front-
                                                    revised back-end CPV standards?                         from a reactor, whereas a non-reactor                 end CPVs on reactors and non-reactors
                                                       We are soliciting comments on                        front-end CPV receives air streams                    at this time because we are uncertain as
                                                    whether existing facilities would need                  originating from a unit operation other               to whether we have identified the only
                                                    additional time to comply with the                      than a reactor. Examples of non-reactor               two front-end CPVs in the source
                                                    proposed revised back-end CPV                           front-end CPV unit operations include                 category or whether the data for these
                                                    standards, if the revisions to those                    filter presses, surge control vessels,                two CPVs would be appropriate to
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                                                    standards are promulgated. The current                  bottoms receivers, weigh tanks, holding               revise the currently applicable CPV
                                                    compliance date in the 2014 final rule                  tanks, and distillation systems.                      standards and establish front-end CPV
                                                    is October 9, 2017. The APR NESHAP                         The EPA has identified two APR                     standards for the source category if there
                                                    at 40 CFR 63.1401(d) provides the                       Production existing sources that have                 are other front-end CPVs at existing
                                                    opportunity for existing facilities, on a               front-end CPVs. One is Georgia-Pacific’s              affected sources. Therefore, we are
                                                    case-by-case basis, to request an                       facility in Crossett, Arkansas, and the               seeking comment on whether there are
                                                    extension from their permitting                         other is an INEOS Melamines facility in               other reactor or non-reactor front-end
                                                    authorities for up to 1 additional year to              Springfield, Massachusetts. Georgia-                  CPVs at existing affected sources. For


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                                                    40110                 Federal Register / Vol. 82, No. 163 / Thursday, August 24, 2017 / Proposed Rules

                                                    any such front-end CPVs, we are further                 2. MACT Floor and Beyond-the-Floor                     we have not identified any other
                                                    seeking information regarding current                   Analysis for Front-End CPVs                            technology that would perform better.
                                                    HAP emissions, emissions controls, and                     We performed separate MACT floor                    Therefore, there is no beyond-the-floor
                                                    control costs. If there are no other                    analyses for reactor and non-reactor                   option to evaluate.
                                                    reactor or non-reactor front-end CPVs at                front-end CPVs at existing sources using                 For front-end non-reactor CPVs at
                                                    existing affected sources or if no                      the 2016 CAA section 114 survey data                   existing sources, the CPV at the INEOS
                                                    additional data are provided for any                    provided by Georgia-Pacific and INEOS                  Melamines facility is currently
                                                    such CPVs, it is possible that the EPA                  Melamines.                                             controlled with a scrubber, and we
                                                    would consider, in lieu of leaving front-                  For front-end reactor CPVs at existing              assumed carbon adsorption would be a
                                                    end CPVs at existing sources subject to                 sources, we are aware of one major                     technically feasible control technology
                                                                                                            source facility with a front-end reactor               that would reduce HAP emissions. We
                                                    the currently applicable CPV standards,
                                                                                                            CPV subject to the APR NESHAP, which                   estimated the total annualized costs of
                                                    adopting final revised standards that
                                                                                                            is a Georgia Pacific facility in Crossett,             adding carbon adsorption to be
                                                    could apply to front-end CPVs at                                                                               approximately $9,000 per year and the
                                                    existing sources, as discussed below.                   Arkansas. Georgia-Pacific also
                                                                                                            submitted data for a facility in                       control would achieve an additional
                                                       Based on the analyses presented                      Columbus, Ohio, which is a synthetic                   reduction of 0.04 tons of HAP per year,
                                                    below, we could establish separate                      area source and is not subject to the                  resulting in a cost of approximately
                                                    existing APR Production source                          APR NESHAP. Consistent with the                        $225,000 per ton of HAP removed
                                                    standards for front-end CPVs on reactors                EPA’s longstanding policy and with                     beyond the MACT floor level of control.
                                                    and for front-end CPVs on non-reactors,                 prior rulemakings where the EPA has                    Based on the high costs and low
                                                    based on the MACT floor. We are                         included data from synthetic area                      additional emissions reduction possible
                                                    soliciting comments on whether the                      sources in MACT floor calculations,5                   with this control, we have determined
                                                    EPA should maintain the 2014 final rule                 data for the front-end CPVs at both the                that this beyond-the-floor option is not
                                                    CPV emissions standards that currently                  synthetic area source and the major                    reasonable. More information on these
                                                    apply to front-end CPVs (1.9 lb of HAP                  source were included in the MACT floor                 MACT floor and beyond-the-floor
                                                    per ton of resin produced), whether the                 calculations for reactor front-end CPVs.               analyses are available in the
                                                    EPA should replace these standards for                  Based on our analysis of the data                      memorandum titled ‘‘MACT Floor and
                                                    front-end CPVs with standards specific                  provided by Georgia Pacific for these                  Beyond-the-Floor Analyses for Front-
                                                    to front-end CPVs as discussed in this                  facilities, we have determined that the                End Continuous Process Vents at
                                                                                                            MACT floor for front-end reactor CPVs                  Existing Sources in the Amino and
                                                    section, or whether the EPA should set
                                                                                                            at existing sources would be 0.61 lb of                Phenolic Resins Production Source
                                                    different revised front-end CPV
                                                                                                            HAP per hour.6                                         Category’’ in the rulemaking docket.
                                                    standards based on additional
                                                    information about additional front-end                     For front-end non-reactor CPVs at                   B. Proposed Work Practice Standards
                                                    CPVs that the EPA has not yet obtained.                 existing sources, we are aware of one                  for Storage Vessels at New and Existing
                                                                                                            major source facility with a front-end                 Sources During Planned Routine
                                                    1. Data Collected for Front-End CPVs                    non-reactor CPV subject to the APR                     Maintenance of Emission Control
                                                                                                            NESHAP, which is INEOS Melamines in                    Systems
                                                       On November 30, 2015, the EPA                        Springfield, Massachusetts. As there is
                                                    requested process information and                       only one front-end CPV in this                            In the 2014 final rule, we removed the
                                                    emissions data for front-end CPVs at                    subcategory, the emissions level                       exemption from emissions standards for
                                                    Georgia-Pacific’s Crossett and INEOS                    currently being achieved by this CPV                   periods of startup, shutdown and
                                                    Melamines’ resin production facilities                  represents the MACT floor for the                      malfunction in accordance with a
                                                    via a CAA section 114 survey. Georgia-                  subcategory. Based on our analysis of                  decision of the United States Court of
                                                    Pacific has another formaldehyde and                    the data provided by INEOS Melamines                   Appeals for the District of Columbia
                                                    resin manufacturing facility located in                 for this front-end CPV, we have                        Circuit, Sierra Club v. EPA, 551 F.3d
                                                    Columbus, Ohio, for which Georgia-                      determined that the MACT floor for                     1019 (D.C. Cir. 2008), cert. denied, 130
                                                                                                            front-end non-reactor CPVs at existing                 S. Ct. 1735 (U.S. 2010). This decision
                                                    Pacific also provided information in
                                                                                                            sources would be 0.022 lb of HAP per                   stated that the EPA must have standards
                                                    their survey submittal. Although the
                                                                                                                                                                   in place at all times, even during
                                                    Columbus facility is an area source not                 hour.7
                                                                                                               We also conducted a beyond-the-floor                periods of startup, shutdown and
                                                    subject to the APR MACT standards,
                                                                                                            analysis for reactor and non-reactor                   malfunction. As a result, the storage
                                                    Georgia-Pacific provided the data to                                                                           vessel provisions in the APR NESHAP
                                                    help clarify emissions that would be                    front-end CPVs at existing sources using
                                                                                                            the 2016 CAA section 114 survey data.                  at 40 CFR 63.1404 apply at all times. In
                                                    expected from the front-end CPV due to                                                                         their petition for reconsideration,
                                                    APR production at the Georgia-Pacific                   For front-end reactor CPVs, HAP
                                                                                                            emissions from the CPVs at both                        Georgia-Pacific requested that the EPA
                                                    facility in Crossett, Arkansas, where the                                                                      reconsider the applicability of the
                                                    front-end CPV at this facility handles                  facilities are controlled with RTOs, and
                                                                                                                                                                   storage vessel HAP emissions standards
                                                    streams from both APR and non-APR                         5 See, e.g., NESHAP for Municipal Solid Waste        when the emission control system for
                                                    production sources, since the Columbus                  Landfills, 68 FR 2227, 2232 (January 16, 2003);        the vent on a fixed roof storage vessel
                                                    and Crossett resin manufacturing                        NESHAP for Brick and Structural Clay Products          is shut down for planned routine
                                                    operations are similar. The EPA                         Manufacturing and NESHAP for Clay Ceramics             maintenance.
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                                                    received responses from Georgia-Pacific                 Manufacturing, 68 FR 26690, 26697 (May 16, 2003);
                                                                                                            NESHAP for Polyvinyl Chloride and Copolymers
                                                                                                                                                                      In the 2014 final rule, we established
                                                    on February 9, 2016, and responses from                 Production, 77 FR 22848, 22876 (April 17, 2012).       storage vessel capacity and vapor
                                                    INEOS Melamines on January 11, 2016,                      6 The EPA did not select a production-based          pressure applicability thresholds for
                                                    with additional information on May 23,                  format for the MACT floor because front-end            storage vessels at new and existing
                                                    2016. The CAA section 114 survey and                    equipment may not produce finished resin products      sources, consistent with the thresholds
                                                                                                            and relating the output of front-end equipment to
                                                    the survey responses received from                      tons of finished resin produced may be difficult for   established for the chemical industry
                                                    Georgia-Pacific and INEOS Melamines                     compliance purposes.                                   regulated by the Hazardous Organic
                                                    can be found in the rulemaking docket.                    7 See footnote 5.                                    NESHAP for Synthetic Organic


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                                                                          Federal Register / Vol. 82, No. 163 / Thursday, August 24, 2017 / Proposed Rules                                          40111

                                                    Chemical Manufacturing Industry                         storage vessels. From the review of these                Based on this analysis, we are
                                                    (HON). Georgia Pacific stated in its                    NESHAP, we found that the HON and                     proposing amendments to the currently
                                                    petition for reconsideration of the 2014                several other NESHAP, including, but                  applicable storage vessel work practice
                                                    final rule that to meet the goal of being               not limited to, those for Group I                     standard provisions for new and
                                                    wholly consistent with the HON storage                  Polymers and Resins, Group IV                         existing affected sources that would
                                                    vessel standards, the EPA also should                   Polymers and Resins, Off-Site Waste                   establish separate work practice
                                                    include the HON storage vessel                          and Recovery Operations,                              standards for periods of planned routine
                                                    allowance for routine maintenance of an                 Pharmaceuticals Production, and                       maintenance of an emission control
                                                    emission control system in the rule. The                Pesticide Active Ingredient Production                system that is used to comply with HAP
                                                    HON includes provisions at 40 CFR                       with similar vapor pressure and                       emissions standards for vents on fixed
                                                    63.119(e)(3) and (f)(3) that allow an                   threshold capacities had provisions that              roof tanks. The proposed amendments
                                                    affected source to bypass the storage                   minimized HAP emissions during                        would permit owners and operators of
                                                    vessel emission control system for up to                periods of planned routine                            fixed roof tanks at new and existing
                                                    240 hours per year to perform planned                   maintenance. Provisions minimized                     affected APR sources to bypass the
                                                    routine maintenance of the emission                     HAP emissions by limiting the duration                emission control system for up to 240
                                                    control system. The emission control                    of the planned routine maintenance to                 hours per year during planned routine
                                                    system could be an emission control                     240 hours per year. The                               maintenance of the emission control
                                                    device, fuel gas system, or process. The                Pharmaceuticals Production and                        system, provided that there are no
                                                    petitioner stated that these provisions                 Pesticide Active Ingredient Production                working losses from the fixed roof tank.
                                                    would ensure consistency and are                        NESHAP allow a facility to request an                 To prevent HAP emissions from
                                                    needed because the effort to empty and                  extension of up to an additional 120                  working losses, owners/operators would
                                                    degas a tank to perform this                            hours per year on the condition that no               not be permitted to add material to the
                                                    maintenance could result in greater                     material is added to the tank during                  tank during these planned routine
                                                    HAP emissions than would occur if a                     such requested extension period. Based                maintenance periods. Under this
                                                    limited allowance or exception were                     on our review of these permits and                    provision, the storage vessel would emit
                                                    provided.                                               NESHAP, we have determined that a                     HAP to the atmosphere for a limited
                                                       To determine whether separate MACT                   separate work practice standard that                  amount of time due to breathing losses
                                                    standards should be established for                     allows owners/operators up to 240                     only, which we expect to be a much
                                                    periods of planned routine maintenance                  hours per year during planned routine                 lower HAP emission rate than if there
                                                    of the emission control system for the                  maintenance of the emission control                   were also working losses resulting from
                                                    vent on a fixed roof tank at a new or                   system, provided that there are no                    filling the vessel. The proposed separate
                                                    existing source, we reviewed the title V                working losses from the vessel,                       work practice standards for periods of
                                                    permits for each facility subject to the                represents the MACT floor level of                    planned routine maintenance of the
                                                    APR NESHAP. In this review, we                          control for fixed roof tank vents at new              emission control system would result in
                                                    searched for facilities that had storage                and existing APR sources.                             slightly higher HAP emissions
                                                    vessels subject to the emissions                                                                              (approximately 0.013 tons per year per
                                                    standards of the APR NESHAP and for                        We evaluated the 2014 final rule’s
                                                                                                            requirement that the storage vessel work              facility) than would occur under the
                                                    any permit requirements pertaining to                                                                         current work practice standards for
                                                    periods of routine maintenance of a                     practice standard at new and existing
                                                                                                            APR sources apply at all times (with no               storage vessels in the 2014 final rule and
                                                    control device for a storage vessel. From                                                                     would reduce annualized costs of
                                                    the review, several facilities were found               separate work practice standards for
                                                                                                            periods of planned routine maintenance                approximately $830 per year per
                                                    to have storage vessels subject to the
                                                                                                            of the emission control system) as a                  facility.
                                                    APR NESHAP emission standards, and                                                                               We are soliciting comments on these
                                                    two facilities had permit conditions for                beyond-the-floor control option. To
                                                                                                            comply with this option (i.e., the current            proposed work practice standards for
                                                    periods of time when the storage vessel                                                                       storage vessels at new and existing APR
                                                    control device was not operating. One                   rule’s storage tank requirements), we
                                                                                                            anticipate that backup controls would                 sources and whether they represent
                                                    facility had requirements that emissions                                                                      practices by the best-performing sources
                                                    be routed to a different control device,                likely be installed to ensure compliance
                                                                                                            with the storage vessel requirements                  in the APR Production source category.
                                                    which normally operates at the facility
                                                                                                            during periods of planned routine                     We are soliciting comments on whether
                                                    for other processes, during planned
                                                                                                            maintenance of the primary emission                   there are other practices that should be
                                                    outages of the primary control device for
                                                                                                            control system. We estimate that there                considered in establishing the work
                                                    the storage vessel. At this facility, when
                                                                                                            are one to 15 sources in the category                 practice standards for periods of
                                                    both control devices are not operating,
                                                                                                            that would need to control one or more                planned routine maintenance of the
                                                    there are requirements that the storage
                                                                                                            storage vessels during periods when the               emission control system for storage
                                                    vessels not be filled during these times,
                                                                                                            primary emission control system is                    vessels at existing and new APR
                                                    eliminating working loss emissions. The
                                                                                                            undergoing planned routine                            sources. We are also soliciting
                                                    other facility had requirements for one
                                                                                                            maintenance. We estimate that carbon                  comments on whether we have
                                                    storage vessel that specify it could not
                                                    be filled when its emission control                     canisters would be the emission control               accurately estimated the HAP emissions
                                                    system was not operating. The reviewed                  devices used for two storage vessels at               and costs compared to the work practice
                                                    title V permits also indicate that some                 each facility. We estimate these control              standards for storage vessels at new and
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                                                    APR facilities are co-located with                      devices would have an annualized cost                 existing sources in the 2014 final rule.
                                                    storage vessels subject to the HON (or                  of $830 per year per facility and would               V. Summary of Cost, Environmental,
                                                    have storage vessels that serve both APR                reduce 240 hours of breathing losses of               and Economic Impacts
                                                    and HON operations, but are subject to                  0.013 tons of HAP per year per facility,
                                                    the HON due to predominant use).                        at a cost of $62,400 per ton of HAP                   A. What are the affected sources?
                                                       We also reviewed other chemical                      emissions reduced. We view the costs of                 We estimate that four to 15 existing
                                                    production NESHAP to determine                          this beyond-the-floor option as not                   sources would be affected by one or
                                                    requirements that apply to similar                      being cost effective.                                 more of the revised requirements being


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                                                    40112                 Federal Register / Vol. 82, No. 163 / Thursday, August 24, 2017 / Proposed Rules

                                                    proposed in this action. We expect four                 C. What are the cost impacts?                         approximately 0.002 percent of sales.
                                                    existing sources to be affected by the                     For back-end CPVs at existing affected             Accordingly, we do not project that this
                                                    proposed revised back-end CPV                           sources, we are proposing a revised                   proposed rule would have a significant
                                                    requirements. We expect one to 15                       standard of 8.6 lb of HAP per ton of                  economic impact on the affected
                                                    existing affected sources to be affected                resin produced. We project that back-                 entities.
                                                    by the proposed work practice standards                                                                         The estimated total annualized cost of
                                                                                                            end CPVs at two existing affected
                                                    for periods of planned routine                                                                                this proposal can also be compared to
                                                                                                            sources would require emissions
                                                    maintenance of an emission control                                                                            the estimated cost for the industry to
                                                                                                            controls to meet the proposed revised
                                                    system that is used to comply with                                                                            comply with the 2014 final rule. Based
                                                                                                            standard. For cost purposes, we
                                                    emissions standards for vents on fixed                                                                        on information received since the 2014
                                                                                                            assumed that each facility would install
                                                    roof tanks. We anticipate that some of                                                                        rule was finalized, we developed a
                                                                                                            an RTO. Based on discussions with
                                                    these existing affected sources could be                                                                      revised estimate of the cost to comply
                                                                                                            Georgia-Pacific and Tembec, we
                                                    affected by more than one of the                                                                              with the 2014 final rule. We estimate
                                                                                                            understand that the facilities are
                                                    proposed requirements.                                                                                        the revised annualized cost of
                                                                                                            exploring other options, such as process              complying with the 2014 final rule to be
                                                    B. What are the air quality impacts?                    changes, that may be more cost                        $4.2 million per year.10 Compared to
                                                       We are proposing a revised standard                  effective. However, the technical                     this revised estimate of the cost of
                                                    of 8.6 lb of HAP per ton of resin                       feasibility and potential costs of these              compliance with the 2014 final rule,
                                                    produced for back-end CPVs at existing                  options are currently unknown, and our                this proposal would provide regulatory
                                                    sources. We project that the proposed                   estimate of compliance costs, assuming                relief by reducing annualized
                                                    standard would result in an estimated                   the use of RTOs, is based on the best                 compliance costs by $2.1 million.
                                                    reduction of 207 tons of HAP per year                   information available. We estimate the                  More information and details of this
                                                    beyond the January 2000, APR MACT                       nationwide capital costs to be $4.8                   analysis, including the conclusions
                                                    standards. As discussed previously in                   million and annualized costs to be $2.1               stated above, are provided in the
                                                    section III.B.2 of this preamble, the                   million per year. These costs are                     technical document, ‘‘Economic Impact
                                                    production-based emissions limit for                    additional to the 2000 rule, which did                Analysis for the Proposed Amendments
                                                    existing source CPVs in the 2014 final                  not regulate CPVs at existing sources.                to the NESHAP for Amino/Phenolic
                                                    rule was established based on                           Compared to our revised estimate of the               Resins,’’ which is available in the
                                                    incomplete HAP emissions data.                          2014 final rule costs of $9.6 million in              rulemaking docket.
                                                    However, if facilities were to comply                   capital costs and annualized costs of
                                                                                                            $4.2 million,8 the proposed revised                   E. What are the benefits?
                                                    with that 2014 final rule, we estimate a
                                                    reduction of 271 tons per year of HAP                   standard represents an approximate 50-                   We estimate that this proposed rule
                                                    emissions using the revised HAP                         percent reduction in industry-wide                    would result in an annual reduction of
                                                    emissions estimates based upon the                      costs.                                                207 tons of HAP, compared to the pre-
                                                    2015 test data.                                            We estimated the nationwide                        2014 baseline. These avoided emissions
                                                       In the 2014 final rule, we removed the               annualized cost reductions associated                 will result in improvements in air
                                                    exemptions from standards that applied                  with the proposed work practice                       quality and reduced negative health
                                                    during periods of startup, shutdown,                    standard for periods of planned routine               effects associated with exposure to air
                                                    and malfunction. In the absence of                      maintenance of an emission control                    pollution of these emissions; however,
                                                    separate work practice standards that                   system that is used to comply with                    we have not quantified or monetized the
                                                    would apply during these times,                         emissions standards for vents on fixed                benefits of reducing these emissions for
                                                    affected sources are now required to                    roof tanks. Compared to our revised                   this rulemaking. See section V.B of this
                                                    meet the storage vessel work practice                   estimate of the 2014 final rule costs,9 the           preamble for discussion of existing
                                                    standards during periods when the                       proposed storage vessel work practice                 source CPV HAP emissions under this
                                                    emission control system for the vent on                 standards result in an annualized cost                proposed rule compared to the 2014
                                                    a fixed roof storage tank is shut down                  reduction for each facility of $830 per               final rule.
                                                    for planned routine maintenance by                      year, which includes capital cost                     VI. Solicitation of Public Comment and
                                                    routing storage vessel vents to a back-up               reduction of $1,600. We estimate the                  Participation
                                                    control device, resulting in an estimated               nationwide annualized cost reduction to
                                                    decrease of 0.013 tons of HAP per year                  be up to $12,450 per year based on an                   The EPA seeks public comments on
                                                    per facility beyond the January 2000                    estimated 15 facilities.                              the issues addressed in this proposed
                                                    APR MACT standards. The proposed                                                                              rule, as described in this notice. We are
                                                    work practice standards we are                          D. What are the economic impacts?                     soliciting comments on the proposed
                                                    proposing in this action would preclude                   We performed a national economic                    emission standards for back-end CPVs at
                                                    the need to install back-up controls for                impact analysis for APR production                    existing affected sources, whether to
                                                    these vessels. We anticipate that the                   facilities affected by this proposed rule.            extend the compliance date for the
                                                    proposed revised work practice                          We anticipate that two existing affected              proposed revised emission standards for
                                                    standards would reduce HAP emissions                    sources would install RTOs to comply                  back-end CPVs at existing affected
                                                    from those allowed under the January                    with this proposed rule at a total                    sources, whether to promulgate separate
                                                    2000 APR MACT standards as a result                     annualized cost of $2.1 million (in                   emissions standards for reactor front-
                                                    of preventing working losses by not                     2014$) per year compared to the 2000                  end CPVs and non-reactor front-end
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                                                    filling the tank during planned routine                 rule. These total annualized costs of                 CPVs at existing affected sources in lieu
                                                    maintenance of the control device and                   compliance are estimated to be                        of leaving them subject to the current
                                                    as a result of limiting the annual                                                                            CPV standards, and on the information
                                                    duration of the maintenance period;                       8 See memorandum ‘‘National Impacts Associated

                                                    however, the HAP emissions reduction                    with Proposed Standards for CPVs and Storage             10 See Table 3 and Table 4, Memorandum
                                                                                                            Tanks in the Amino and Phenolic Resins                ‘‘National Impacts Associated with Proposed
                                                    may be slightly less than the 0.08 tons                 Production Source Category,’’ which is available in   Standards for CPVs and Storage Tanks in the Amino
                                                    of HAP per year projected under the                     the rulemaking docket.                                and Phenolic Resins Production Source Category,’’
                                                    2014 final rule.                                          9 Same as footnote 8.                               which is available in the rulemaking docket.



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                                                                          Federal Register / Vol. 82, No. 163 / Thursday, August 24, 2017 / Proposed Rules                                         40113

                                                    available to the EPA to establish                          Respondent’s obligation to respond:                F. Executive Order 13175: Consultation
                                                    emission standards for front-end CPVs                   Mandatory under sections 112 and 114                  and Coordination With Indian Tribal
                                                    at existing affected sources. We also                   of the CAA.                                           Governments
                                                    request comments on the proposed work                      Estimated number of respondents: 15.                 This action does not have tribal
                                                    practice standards for storage vessels at                  Frequency of response: Once or twice               implications as specified in Executive
                                                    new and existing APR sources during                     per year.                                             Order 13175. This action will not have
                                                    periods when an emission control                           Total estimated burden: 45 hours (per              substantial direct effects on tribal
                                                    system for a fixed roof tank vent is                    year). Burden is defined at 5 CFR                     governments, on the relationship
                                                    undergoing planned routine                              1320.3(b).                                            between the federal government and
                                                    maintenance. We are not soliciting and                     Total estimated cost: $2,600 (per                  Indian tribes, or on the distribution of
                                                    will not respond to comments                            year).                                                power and responsibilities between the
                                                    addressing any other issues or other                       An agency may not conduct or                       federal government and Indian tribes, as
                                                    provisions of the 2014 final rule or any                sponsor, and a person is not required to              specified in Executive Order 13175.
                                                    other rule, including other issues raised               respond to, a collection of information               Thus, Executive Order 13175 does not
                                                    in the petitions for reconsideration of                 unless it displays a currently valid OMB              apply to this action.
                                                    the 2014 final rule. Those issues will be               control number. The OMB control
                                                    addressed, as appropriate, in a separate,                                                                     G. Executive Order 13045: Protection of
                                                                                                            numbers for the EPA’s regulations in 40               Children From Environmental Health
                                                    future action.                                          CFR are listed in 40 CFR part 9.                      Risks and Safety Risks
                                                    VII. Statutory and Executive Order                         Submit your comments on the
                                                                                                            Agency’s need for this information, the                 This action is not subject to Executive
                                                    Reviews
                                                                                                            accuracy of the provided burden                       Order 13045 because it is not
                                                      Additional information about these                    estimates, and any suggested methods                  economically significant as defined in
                                                    statutes and Executive Orders can be                    for minimizing respondent burden to                   Executive Order 12866, and because the
                                                    found at https://www.epa.gov/laws-                      the EPA using the docket identified at                EPA does not believe the environmental
                                                    regulations/laws-and-executive-orders.                  the beginning of this rule. You may also              health or safety risks addressed by this
                                                                                                            send your ICR-related comments to                     action present a disproportionate risk to
                                                    A. Executive Order 12866: Regulatory                                                                          children. The EPA’s risk assessments for
                                                    Planning and Review and Executive                       OMB’s Office of Information and
                                                                                                                                                                  the 2014 final rule (Docket ID No. EPA–
                                                    Order 13563: Improving Regulation and                   Regulatory Affairs via email to OIRA_
                                                                                                                                                                  HQ–OAR–2012–0133) demonstrate that
                                                    Regulatory Review                                       submission@omb.eop.gov, Attention:
                                                                                                                                                                  the current regulations are associated
                                                                                                            Desk Officer for the EPA. Since OMB is
                                                      This action is not a significant                                                                            with an acceptable level of risk and
                                                                                                            required to make a decision concerning
                                                    regulatory action and was, therefore, not                                                                     provide an ample margin of safety to
                                                                                                            the ICR between 30 and 60 days after
                                                    submitted to the Office of Management                                                                         protect public health and prevent
                                                                                                            receipt, OMB must receive comments no
                                                    and Budget (OMB) for review.                                                                                  adverse environmental effects. This
                                                                                                            later than September 25, 2017. The EPA
                                                                                                                                                                  proposed action would not alter those
                                                    B. Paperwork Reduction Act (PRA)                        will respond to any ICR-related
                                                                                                                                                                  conclusions.
                                                                                                            comments in the final rule.
                                                       The information collection activities                                                                      H. Executive Order 13211: Actions
                                                    in this proposed rule have been                         C. Regulatory Flexibility Act (RFA)
                                                                                                                                                                  Concerning Regulations That
                                                    submitted for approval to OMB under                        I certify that this action will not have           Significantly Affect Energy Supply,
                                                    the PRA. The Information Collection                     a significant economic impact on a                    Distribution, or Use
                                                    Request (ICR) document that the EPA                     substantial number of small entities
                                                    prepared has been assigned EPA ICR                                                                              This action is not subject to Executive
                                                                                                            under the RFA. This action will not                   Order 13211 because it is not a
                                                    number 1869.08. You can find a copy of                  impose any requirements on small
                                                    the ICR in the docket for this rule, and                                                                      significant regulatory action under
                                                                                                            entities. The EPA has identified no                   Executive Order 12866.
                                                    it is briefly summarized here.                          small entities that are subject to the
                                                       This proposed rule would require                     requirements of 40 CFR 63, subpart                    I. National Technology Transfer and
                                                    recordkeeping and reporting of                          OOO.                                                  Advancement Act (NTTAA)
                                                    occurrences when control devices used                                                                            This rulemaking does not involve
                                                    to comply with the storage tank                         D. Unfunded Mandates Reform Act
                                                                                                            (UMRA)                                                technical standards.
                                                    provisions undergo planned routine
                                                    maintenance. Reporting of such                            This action does not contain an                     J. Executive Order 12898: Federal
                                                    occurrences would be required to be                     unfunded mandate of $100 million or                   Actions To Address Environmental
                                                    disclosed in the Periodic Reports as                    more as described in UMRA, 2 U.S.C.                   Justice in Minority Populations and
                                                    specified at 40 CFR 63.1417.                            1531–1538, and does not significantly or              Low-Income Populations
                                                       Respondents/affected entities: The                   uniquely affect small governments. The                   The EPA believes that this action does
                                                    respondents affected by the                             action imposes no enforceable duty on                 not have disproportionately high and
                                                    amendments to 40 CFR part 63, subpart                   any state, local, or tribal governments or            adverse human health or environmental
                                                    OOO include, but are not limited to,                    the private sector.                                   effects on minority populations, low-
                                                    facilities having a NAICS code 325211                                                                         income populations, and/or indigenous
                                                                                                            E. Executive Order 13132: Federalism
                                                    (United States Standard Industrial                                                                            peoples, as specified in Executive Order
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                                                    Classification 2821). Facilities with a                   This action does not have federalism                12898 (59 FR 7629, February 16, 1994).
                                                    NAICS code of 325211 are described as                   implications. It will not have substantial               In the 2014 final rule, the EPA
                                                    Plastics Material and Resin                             direct effects on the states, on the                  determined that the current health risks
                                                    Manufacturing establishments, which                     relationship between the national                     posed by emissions from these source
                                                    includes facilities engaged in                          government and the states, or on the                  categories are acceptable and provide an
                                                    manufacturing amino resins and                          distribution of power and                             ample margin of safety to protect public
                                                    phenolic resins, as well as other plastic               responsibilities among the various                    health and prevent adverse
                                                    and resin types.                                        levels of government.                                 environmental effects. This proposed


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                                                    40114                 Federal Register / Vol. 82, No. 163 / Thursday, August 24, 2017 / Proposed Rules

                                                    action would not alter the conclusions                  operations, as well as latex and crumb                alterative standard in paragraph (b) of
                                                    made in the 2014 final rule regarding                   storage. Back-end does not include                    this section.
                                                    these analyses.                                         storage and loading of finished product               ■ 5. Section 63.1405 is amended by
                                                                                                            or emission points that are regulated                 revising paragraphs (a) introductory
                                                    List of Subjects in 40 CFR Part 63                                                                            text, paragraph (a)(2) introductory text,
                                                                                                            under §§ 63.1404 or 63.1409 through
                                                      Environmental protection,                             63.1411 of this subpart.                              paragraph (b), and adding paragraph (c)
                                                    Administrative practice and procedure,                  *     *    *      *    *                              to read as follows:
                                                    Air pollution control, Hazardous                          Front-end continuous process vent
                                                    substances, Intergovernmental relations,                                                                      § 63.1405 Continuous process vent
                                                                                                            means a continuous process vent for                   provisions.
                                                    Reporting and recordkeeping                             operations in an APPU related to
                                                    requirements.                                                                                                    (a) Emission standards for new
                                                                                                            producing liquid resins, including any                affected sources. For each continuous
                                                      Dated: August 7, 2017.                                product recovery, stripping and filtering             process vent located at a new affected
                                                    E. Scott Pruitt,                                        operations, and prior to any flaking or               source with a Total Resource
                                                    Administrator.                                          drying operations.                                    Effectiveness (TRE) index value, as
                                                      For the reasons stated in the                         *     *    *      *    *                              determined following the procedures
                                                                                                              Non-reactor process vent means a                    specified in § 63.1412(j), less than or
                                                    preamble, the Environmental Protection
                                                                                                            batch or continuous process vent                      equal to 1.2, the owner or operator shall
                                                    Agency is proposing to amend title 40,
                                                                                                            originating from a unit operation other               comply with either paragraph (a)(1) or
                                                    Chapter I, part 63 of the Code of Federal
                                                                                                            than a reactor. Non-reactor process                   (2) of this section. As an alternative to
                                                    Regulations as follows:
                                                                                                            vents include, but are not limited to,                complying with paragraph (a) of this
                                                    PART 63—NATIONAL EMISSION                               process vents from filter presses, surge              section, an owner or operator may
                                                    STANDARDS FOR HAZARDOUS AIR                             control vessels, bottoms receivers,                   comply with paragraph (c)(1) of this
                                                    POLLUTANTS FOR SOURCE                                   weigh tanks, and distillation systems.                section.
                                                    CATEGORIES                                              *     *    *      *    *                              *      *     *     *     *
                                                                                                              Reactor process vent means a batch or                  (2) Reduce emissions of total organic
                                                    ■ 1. The authority citation for part 63                 continuous process vent originating                   HAP by 85 weight-percent. Control shall
                                                    continues to read as follows:                           from a reactor.                                       be achieved by venting emissions
                                                        Authority: 42 U.S.C. 7401 et seq.                   *     *    *      *    *                              through a closed vent system to any
                                                                                                            ■ 4. Section 63.1404 is amended by                    combination of control devices meeting
                                                    Subpart OOO—National Emission                           adding paragraph (c) to read as follow:               the requirements of 40 CFR part 63,
                                                    Standards for Hazardous Air Pollutant                                                                         subpart SS (national emission standards
                                                    Emissions: Manufacture of Amino/                        § 63.1404    Storage vessel provisions.               for closed vent systems, control devices,
                                                    Phenolic Resins                                         *       *    *     *    *                             recovery devices). When complying
                                                                                                               (c) Whenever gases or vapors                       with the requirements of 40 CFR part
                                                    ■ 2. Section 63.1400 is amended by                      containing HAP are routed from a tank                 63, subpart SS, the following apply for
                                                    revising paragraph (b)(4) to read as                    through a closed-vent system connected                purposes of this subpart:
                                                    follows:                                                to a control device used to comply with               *      *     *     *     *
                                                    § 63.1400 Applicability and designation of              the requirements of paragraph (a) or (b)                 (b) Emission standards for existing
                                                    affected sources.                                       of this section, the control device must              affected sources. For each continuous
                                                    *      *    *     *     *                               be operating except as provided for in                process vent located at an existing
                                                       (b) * * *                                            paragraph (c)(1) or (2) of this section.              affected source, the owner or operator
                                                       (4) Equipment that does not contain                     (1) The control device may be                      shall comply with either paragraph
                                                    organic hazardous air pollutants (HAP)                  bypassed for the purpose of performing                (b)(1) or (2) of this section. As an
                                                    and is located within an APPU that is                   planned routine maintenance of the                    alternative to complying with paragraph
                                                    part of an affected source;                             control device. When the control device               (b) of this section, an owner or operator
                                                    *      *    *     *     *                               is bypassed, the owner or operator must               may comply with paragraph (c)(2) of
                                                    ■ 3. Section 63.1402 paragraph (b) is                   comply with paragraphs (c)(1)(i)                      this section.
                                                    amended by:                                             through (iii) of this section.                           (1) Vent all emissions of organic HAP
                                                    ■ a. Adding, in alphabetical order,                        (i) The control device may only be                 to a flare.
                                                    definitions for ‘‘Back-end continuous                   bypassed when the planned routine                        (2) The owner or operator of a back-
                                                    process vent’’, ‘‘Front-end continuous                  maintenance cannot be performed                       end continuous process vent shall
                                                    process vent’’, ‘‘Non-reactor process                   during periods that tank emissions are                reduce total organic HAP emissions to
                                                    vent’’, and ‘‘Reactor process vent’’; and               vented to the control device.                         less than or equal to 4.3 kg of total
                                                    ■ b. Removing the definitions for ‘‘Non-                   (ii) On an annual basis, the total time            organic HAP per megagram of resin
                                                    reactor batch process vent’’ and                        that the closed-vent system or control                produced (8.6 pounds of total organic
                                                    ‘‘Reactor batch process vent’’                          device is bypassed to perform routine                 HAP per ton of resin produced).
                                                       The additions read as follows:                       maintenance shall not exceed 240 hours                   (c) Alternative emission standards. As
                                                                                                            per each calendar year.                               an alternative to complying with
                                                    § 63.1402    Definitions.                                  (iii) The level of material in the tank            paragraph (a) or (b) of this section, an
                                                    *      *     *    *     *                               shall not be increased during periods                 owner or operator may comply with
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                                                      (b) * * *                                             that the closed-vent system or control                paragraph (c)(1) or (2) of this section, as
                                                      Back-end continuous process vent                      device is bypassed to perform planned                 appropriate.
                                                    means a continuous process vent for                     routine maintenance.                                     (1) For each continuous process vent
                                                    operations related to processing liquid                    (2) The gases or vapors containing                 located at a new affected source, the
                                                    resins into a dry form. Back-end process                HAP are routed from the tank through                  owner or operator shall vent all organic
                                                    operations include, but are not limited                 a closed-vent system connected to an                  HAP emissions from a continuous
                                                    to, flaking, grinding, blending, mixing,                alternate control device meeting the                  process vent meeting the TRE value
                                                    drying, pelletizing, and other finishing                requirements of paragraph (a)(1) or the               specified in paragraph (a) of this section


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                                                                          Federal Register / Vol. 82, No. 163 / Thursday, August 24, 2017 / Proposed Rules                                            40115

                                                    to a non-flare combustion control device                introductory text, (h)(3)(ii)(B)(1) and (3),          the type of control device that is used.
                                                    achieving an outlet organic HAP                         and (h)(3)(iii);                                      If the vent stream(s) is not the only inlet
                                                    concentration of 20 ppmv or less or to                  ■ i. Adding paragraph (h)(4);                         to the control device, the efficiency
                                                    a non-combustion control device                         ■ j. Revising paragraphs (i)(1)(iii)                  demonstration also shall consider all
                                                    achieving an outlet organic HAP                         through (iv); and                                     other vapors, gases, and liquids, other
                                                    concentration of 50 ppmv or less. Any                   ■ k. Adding paragraph (i)(1)(v).                      than fuels, received by the control
                                                    continuous process vents that are not                     The revisions and additions read as                 device.
                                                    vented to a control device meeting these                follows:
                                                                                                                                                                  *      *      *      *     *
                                                    conditions shall be controlled in                       § 63.1413 Compliance demonstration                       (4) Establishment of parameter
                                                    accordance with the provisions of                       procedures.                                           monitoring levels. The owner or
                                                    paragraph (a)(1) or (2) of this section.                  (a) General. For each emission point,               operator of a control device that has one
                                                      (2) For each continuous process vent                  the owner or operator shall meet three                or more parameter monitoring level
                                                    located at an existing affected source,                 stages of compliance, with exceptions                 requirements specified under this
                                                    the owner or operator shall vent all                    specified in this subpart. First, the                 subpart, or specified under subparts
                                                    organic HAP emissions from a                            owner or operator shall conduct a                     referenced by this subpart, shall
                                                    continuous process vent to a non-flare                  performance test or design evaluation to              establish a maximum or minimum level,
                                                    combustion control device achieving an                  demonstrate either the performance of                 as denoted on Table 4 of this subpart,
                                                    outlet organic HAP concentration of 20                  the control device or control technology              for each measured parameter using the
                                                    ppmv or less or to a non-combustion                     being used or the uncontrolled total                  procedures specified in paragraph
                                                    control device achieving an outlet                      organic HAP emissions rate from a                     (a)(4)(i) or (ii) of this section. Except as
                                                    organic HAP concentration of 50 ppmv                    continuous process vent. Second, the                  otherwise provided in this subpart, the
                                                    or less. Any continuous process vents                   owner or operator shall meet the                      owner or operator shall operate control
                                                    that are not vented to a control device                 requirements for demonstrating initial                devices such that the hourly average,
                                                    meeting these conditions shall be                       compliance (e.g., a demonstration that                daily average, batch cycle daily average,
                                                    controlled in accordance with the                       the required percent reduction or                     or block average of monitored
                                                    provisions of paragraph (b)(1) or (2) of                emissions limit is achieved). Third, the              parameters, established as specified in
                                                    this section.                                           owner or operator shall meet the                      this paragraph, remains above the
                                                    ■ 6. Section 63.1412 is amended by                      requirements for demonstrating                        minimum level or below the maximum
                                                    revising paragraphs (a) and (k)(2) to read              continuous compliance through some                    level, as appropriate.
                                                    as follows:                                             form of monitoring (e.g., continuous                  *      *      *      *     *
                                                                                                            monitoring of operating parameters).                     (c) * * *
                                                    § 63.1412 Continuous process vent
                                                    applicability assessment procedures and                 *       *    *    *      *                               (2) Initial compliance with
                                                    methods.                                                   (1) * * *                                          § 63.1405(a)(1) or (b)(1) (venting of
                                                                                                               (iii) Uncontrolled continuous process              emissions to a flare) shall be
                                                      (a) General. The provisions of this                   vents. Owners or operators are required
                                                    section provide procedures and                                                                                demonstrated following the procedures
                                                                                                            to conduct either a performance test or               specified in paragraph (g) of this
                                                    methods for determining the                             a design evaluation for continuous
                                                    applicability of the control requirements                                                                     section.
                                                                                                            process vents that are not controlled                 *      *      *      *     *
                                                    specified in § 63.1405(a) to continuous                 through either a large or small control
                                                    process vents.                                                                                                   (4) Continuous compliance with
                                                                                                            device.                                               § 63.1405(a)(1) or (b)(1) (venting of
                                                    *      *     *    *     *                               *       *    *    *      *                            emissions to a flare) shall be
                                                      (k) * * *                                                (3) Design evaluations. As provided in             demonstrated following the continuous
                                                      (2) If the TRE index value calculated                 paragraph (a) of this section, a design               monitoring procedures specified in
                                                    using engineering assessment is less                    evaluation may be conducted to                        § 63.1415.
                                                    than or equal to 4.0, the owner or                      demonstrate the organic HAP removal                      (5) Initial and continuous compliance
                                                    operator is required either to perform                  efficiency for a control device or control            with the production-based emission
                                                    the measurements specified in                           technology, or the uncontrolled total                 limit specified in § 63.1405(b)(2)(i) shall
                                                    paragraphs (e) through (h) of this section              organic HAP emissions rate from a                     be demonstrated following the
                                                    for control applicability assessment or                 continuous process vent. As applicable,               procedures in paragraph (h)(1) of this
                                                    comply with the control requirements                    a design evaluation shall address the                 section.
                                                    specified in § 63.1405(a).                              organic HAP emissions rate from                          (6) Initial and continuous compliance
                                                    *      *     *    *     *                               uncontrolled continuous process vents,                with the emission rate limits specified
                                                    ■ 7. Section 63.1413 is amended by:                     the composition and organic HAP                       in § 63.1405(b)(2)(ii) and (iii) shall be
                                                    ■ a. Revising paragraph (a) introductory                concentration of the vent stream(s)                   demonstrated following the procedures
                                                    text;                                                   entering a control device or control                  of either paragraphs (c)(6)(i) or (ii) or
                                                    ■ b. Adding paragraph (a)(1)(iii);                      technology, the operating parameters of               this section.
                                                    ■ c. Revising paragraphs (a)(3)                         the emission point and any control                       (i) Continuous process vents meeting
                                                    introductory text, (a)(4) introductory                  device or control technology, and other               the emission rate limit using a closed
                                                    text, and paragraphs (c)(2), and (c)(4)                 conditions or parameters that reflect the             vent system and a control device or
                                                    through (6);                                            performance of the control device or                  recovery device or by routing emissions
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                                                    ■ d. Adding paragraph (c)(7);                           control technology or the organic HAP                 to a fuel gas system or process shall
                                                    ■ e. Revising paragraphs (f) and (h)(1);                emission rate from a continuous process               follow the procedures in 40 CFR part 63,
                                                    ■ f. Redesignating paragraph (h)(2) as                  vent. A design evaluation also shall                  subpart SS. When complying with the
                                                    (h)(3);                                                 address other vent stream characteristics             requirements of 40 CFR part 63, subpart
                                                    ■ g. Adding new paragraph (h)(2);                       and control device operating parameters               SS, the following apply for purposes of
                                                    ■ h. Revising newly redesignated                        as specified in any one of paragraphs                 this subpart:
                                                    paragraph (h)(3) introductory text and                  (a)(3)(i) through (vi) of this section, for              (A) The requirements specified in of
                                                    paragraphs (h)(3)(i), (h)(3)(ii)                        controlled vent streams, depending on                 § 63.1405 (a)(2)(i) through (viii).


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                                                    40116                 Federal Register / Vol. 82, No. 163 / Thursday, August 24, 2017 / Proposed Rules

                                                       (B) When 40 CFR part 63, subpart SS                  complying with the emission rate limits               representative due to a process change
                                                    refers to meeting a weight-percent                      specified in § 63.1405(b)(2)(ii) and (iii),           or other reason known to the owner or
                                                    emission reduction or ppmv outlet                       as applicable, by means other than those              operator. If organic HAP emissions (Ei)
                                                    concentration requirement, meeting an                   specified in paragraph (c)(6)(i) of this              are determined to no longer be
                                                    emission rate limit in terms of kilograms               section shall determine initial                       representative, the owner or operator
                                                    of total organic HAP per hour shall also                compliance as specified in paragraph                  shall redetermine organic HAP
                                                    apply.                                                  (h)(2)(i) of this section and continuous              emissions for the continuous process
                                                       (ii) Continuous process vents meeting                compliance as specified in paragraph                  vent following the procedures in
                                                    the emission rate limit by means other                  (h)(2)(ii) of this section.                           paragraph (h)(3)(ii)(A) of this section for
                                                    than those specified in paragraph                          (i) Initial compliance. Initial                    uncontrolled continuous process vents
                                                    (c)(6)(i) of this section shall follow the              compliance shall be determined by                     or paragraphs (h)(3)(ii)(A) and (B) of this
                                                    procedures specified in paragraph (h)(2)                comparing the results of the                          section for continuous process vents
                                                    of this section.                                        performance test or design evaluation as              vented to a control device or control
                                                       (7) Initial and continuous compliance                specified in paragraph (a)(1) of this                 technology.
                                                    with the alternative standards specified                section to the emission rate limits                   *       *    *     *      *
                                                    in § 63.1405(c) shall be demonstrated                   specified in § 63.1405(b)(2)(ii) and (iii),              (B) * * *
                                                    following the procedures in paragraph                   as applicable.                                           (1) Uncontrolled organic HAP
                                                    (f) of this section.                                       (ii) Continuous compliance.                        emissions shall be determined following
                                                    *       *     *     *    *                              Continuous compliance shall be based                  the procedures in paragraph (h)(3)(ii)(A)
                                                       (f) Compliance with alternative                      on the hourly average emission rate                   of this section.
                                                    standard. Initial and continuous                        calculated for each operating day. The                *       *    *     *      *
                                                    compliance with the alternative                         first continuous compliance average                      (3) Controlled organic HAP emissions
                                                    standards in §§ 63.1404(b), 63.1405(c),                 hourly emission rate shall be calculated              shall be determined by applying the
                                                    63.1406(b), 63.1407(b)(1), and                          using the first 24-hour period or                     control device or control technology
                                                    63.1408(b)(1) are demonstrated when                     otherwise-specified operating day after               efficiency, determined in paragraph
                                                    the daily average outlet organic HAP                    the compliance date. Continuous                       (h)(3)(ii)(B)(2) of this section, to the
                                                    concentration is 20 ppmv or less when                   compliance shall be determined by                     uncontrolled organic HAP emissions,
                                                    using a combustion control device or 50                 comparing the average hourly emission                 determined in paragraph (h)(3)(ii)(B)(1)
                                                    ppmv or less when using a non-                          rate to the emission rate limit specified             of this section.
                                                    combustion control device. To                           in § 63.1405(b)(2)(ii) or (iii), as                      (iii) The rate of resin produced, RPM
                                                    demonstrate initial and continuous                      applicable.                                           (Mg/day), shall be determined based on
                                                    compliance, the owner or operator shall                    (3) Procedures to determine                        production records certified by the
                                                    follow the test method specified in                     continuous compliance with the mass                   owner or operator to represent actual
                                                    § 63.1414(a)(6) and shall be in                         emission limit specified in                           production for the day. A sample of the
                                                    compliance with the monitoring                          § 63.1405(b)(2)(i). (i) The daily emission            records selected by the owner or
                                                    provisions in § 63.1415(e) no later than                rate, kilograms of organic HAP per                    operator for this purpose shall be
                                                    the initial compliance date and on each                 megagram of product, shall be                         provided to the Administrator in the
                                                    day thereafter.                                         determined for each operating day using               Precompliance Report as required by
                                                    *       *     *     *    *                              Equation 5 of this section:                           § 63.1417(d).
                                                       (h) * * *                                                                                                     (4) Procedures to determine
                                                       (1) Each owner or operator complying                                                                       continuous compliance with the
                                                    with the mass emission limit specified                                                                        emission rate limit specified in
                                                    in § 63.1405(b)(2)(i) shall determine                   Where:                                                § 63.1405(b)(2)(ii) or (iii).
                                                    initial compliance as specified in                      ER = Emission rate of organic HAP from                   (i) The hourly emission rate,
                                                    paragraph (h)(1)(i) of this section and                      continuous process vent, kg of HAP/Mg            kilograms of organic HAP per hour,
                                                    continuous compliance as specified in                        product.                                         shall be determined for each hour
                                                    paragraph (h)(1)(ii) of this section.                   Ei = Emission rate of organic HAP from                during the operating day using Equation
                                                       (i) Initial compliance. Initial                           continuous process vent i as determined          6 of this section:
                                                    compliance shall be determined by                            using the procedures specified in
                                                    comparing the results of the                                 paragraph (h)(3)(ii) of this section, kg/
                                                    performance test or design evaluation as                     day.
                                                    specified in paragraph (a)(1) of this                   RPm = Amount of resin produced in one
                                                                                                                 month as determined using the                    Where:
                                                    section to the mass emission limit
                                                                                                                 procedures specified in paragraph                EH = Hourly emission rate of organic HAP in
                                                    specified in § 63.1405(b)(2)(i).                             (h)(3)(iii) of this section, Mg/day.
                                                       (ii) Continuous compliance.                                                                                     the sample, kilograms per hour.
                                                                                                              (ii) The daily emission rate of organic             K2 = Constant, 2.494 × 10¥6 (parts per
                                                    Continuous compliance shall be based                                                                               million)¥1 (gram-mole per standard
                                                    on the daily average emission rate                      HAP, in kilograms per day, from an                         cubic meter) (kilogram/gram) (minutes/
                                                    calculated for each operating day. The                  individual continuous process vent (Ei)                    hour), where standard temperature for
                                                    first continuous compliance average                     shall be determined. Once organic HAP                      (gram-mole per standard cubic meter) is
                                                    daily emission rate shall be calculated                 emissions have been estimated, as                          20 °C.
                                                    using the first 24-hour period or                       specified in paragraph (h)(3)(ii)(A) of               n = Number of components in the sample.
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                                                    otherwise-specified operating day after                 this section for uncontrolled continuous              CJ = Organic HAP concentration on a dry
                                                    the compliance date. Continuous                         process vents or paragraphs (h)(3)(ii)(A)                  basis of organic compound j in parts per
                                                                                                            and (B) of this section for continuous                     million as determined by the methods
                                                    compliance shall be determined by
                                                                                                                                                                                                                   EP24AU17.001</GPH>




                                                                                                                                                                       specified in paragraph (h)(4)(ii) of this
                                                    comparing the daily average emission                    process vents vented to a control device                   section.
                                                    rate to the mass emission limit specified               or control technology, the owner or                   Mj = Molecular weight of organic compound
                                                    in § 63.1405(b)(2)(i).                                  operator may use the estimated organic                     j, gram/gram-mole.
                                                       (2) As required by paragraph (c)(6)(ii)              HAP emissions (Ei) until the estimated                QS = Continuous process vent flow rate, dry
                                                                                                                                                                                                                   EP24AU17.000</GPH>




                                                    of this section, each owner or operator                 organic HAP emissions are no longer                        standard cubic meter per minute, at a



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                                                                          Federal Register / Vol. 82, No. 163 / Thursday, August 24, 2017 / Proposed Rules                                              40117

                                                         temperature of 20 °C, as determined by             specified limit) monitored according to               the mass emission limit specified in
                                                         the methods specified in paragraph                 the provisions of § 63.1415(e); and                   § 63.1405(b)(2)(i), keep records specified
                                                         (h)(4)(ii) of this section.                          (v) Exceedance of the emission rate                 in paragraphs (f)(5)(i) through (iii) of
                                                      (ii) The average hourly emission rate,                limit (i.e., having an average value                  this section.
                                                    kilograms of organic HAP per hour,                      higher than the specified limit)                      *       *     *     *     *
                                                    shall be determined for each operating                  determined according to the provisions                   (ii) Identification of the period of time
                                                    day using Equation 7 of this section:                   of paragraph (h)(2) of this section.                  that represents an operating day.
                                                                                                            *     *       *   *     *                                (iii) The daily organic HAP emissions
                                                                                                            ■ 8. Section 63.1415 is amended by                    from the continuous process vent
                                                                                                            revising paragraph (e) to read as follows:            determined as specified in
                                                    Where:                                                                                                        § 63.1413(h)(3).
                                                                                                            § 63.1415    Monitoring requirements.
                                                    AE = Average hourly emission rate per                                                                            (6) If a continuous process vent is
                                                        operating day, kilograms per hour.                  *       *   *     *     *                             seeking to demonstrate compliance with
                                                    n = Number of hours in the operating day.                  (e) Monitoring for the alternative                 the emission rate limits specified in
                                                                                                            standards. For control devices that are               § 63.1405(b)(2)(ii) or (iii), keep records
                                                      (ii) Continuous process vent flow rate                used to comply with the provisions of
                                                    and organic HAP concentration shall be                                                                        specified in paragraphs (f)(6)(i) through
                                                                                                            §§ 63.1404(b), 63.1405(c), 63.1406(b),                (iii) of this section.
                                                    determined using the procedures                         63.1407(b), or 63.1408(b), the owner or
                                                    specified in § 63.1414(a), or by using the                                                                       (i) The results of the initial
                                                                                                            operator shall conduct continuous                     compliance demonstration specified in
                                                    engineering assessment procedures in                    monitoring of the outlet organic HAP
                                                    paragraph (h)(4)(iii) of this section.                                                                        § 63.1413(h)(2)(i).
                                                                                                            concentration whenever emissions are                     (ii) Identification of the period of time
                                                      (iii) Engineering assessment. For the                 vented to the control device.
                                                    purposes of determining continuous                                                                            that represents an operating day.
                                                                                                            Continuous monitoring of outlet organic                  (iii) The average hourly organic HAP
                                                    compliance with the emission rate limit                 HAP concentration shall be
                                                    specified in § 63.1405(b)(2)(ii) or (iii)                                                                     emissions from the continuous process
                                                                                                            accomplished using an FTIR instrument                 vent determined as specified in
                                                    using Equations 6 and 7, engineering                    following Method PS–15 of 40 CFR part
                                                    assessments may be used to determine                                                                          § 63.1413(h)(4).
                                                                                                            60, appendix B. The owner or operator                    (7) When using a flare to comply with
                                                    continuous process vent flow rate and                   shall calculate a daily average outlet
                                                    organic HAP concentration. An                                                                                 § 63.1405(a)(1) or (b)(1), keep the
                                                                                                            organic HAP concentration.                            records specified in paragraphs (f)(7)(i)
                                                    engineering assessment includes, but is                 ■ 9. Section 63.1416 is amended by:
                                                    not limited to, the following examples:                                                                       through (f)(7)(iii) of this section.
                                                                                                            ■ a. Revising paragraphs (f)(1), (3), (5)
                                                      (A) Previous test results, provided the               introductory text, and (5)(ii);                       *       *     *     *     *
                                                    tests are representative of current                     ■ b. Adding paragraph (f)(5)(iii);                       (g) * * *
                                                    operating practices.                                    ■ e. Redesignating paragraph (f)(6) as                   (5) * * *
                                                      (B) Bench-scale or pilot-scale test data              (f)(7);                                                  (v) * * *
                                                    representative of the process under                     ■ f. Adding new paragraph (f)(6); and                    (E) The measures adopted to prevent
                                                    representative operating conditions.                    ■ g. Revising newly redesignated                      future such pressure releases.
                                                      (C) Maximum volumetric flow rate or                   paragraph (f)(7) introductory text and                *       *     *     *     *
                                                    organic HAP concentration specified or                  paragraph (g)(5)(v)(E).                               ■ 10. Section 63.1417 is amended by:
                                                    implied within a permit limit applicable                   The revisions and additions read as                ■ a. Revising paragraphs (d)
                                                    to the continuous process vent.                         follows:                                              introductory text, (d)(8), (e)(1)
                                                      (D) Design analysis based on accepted                                                                       introductory text, (f) introductory text,
                                                                                                            § 63.1416    Recordkeeping requirements.
                                                    chemical engineering principles,                                                                              and (f)(1), (2), (5) introductory text and
                                                    measurable process parameters, or                       *     *      *    *    *                              (12)(ii);
                                                    physical or chemical laws or properties.                  (f) * * * (1) TRE index value records.
                                                                                                                                                                  ■ b. Adding paragraphs (f)(14) and (15);
                                                    Examples of analytical methods include,                 Each owner or operator of a continuous
                                                                                                                                                                  and
                                                    but are not limited to, the following:                  process vent at a new affected source
                                                                                                                                                                  ■ c. Revising paragraph (h)(7)
                                                      (1) Estimation of maximum organic                     shall maintain records of measurements,
                                                                                                                                                                  introductory text.
                                                    HAP concentrations based on process                     engineering assessments, and
                                                                                                                                                                     The revisions and additions read as
                                                    stoichiometry material balances or                      calculations performed according to the
                                                                                                                                                                  follows:
                                                    saturation conditions; and                              procedures of § 63.1412(j) to determine
                                                      (2) Estimation of maximum                             the TRE index value. Documentation of                 § 63.1417   Reporting requirements.
                                                    volumetric flow rate based on physical                  engineering assessments, described in                 *      *    *    *       *
                                                    equipment design such as pump or                        § 63.1412(k), shall include all data,                    (d) Precompliance Report. Owners or
                                                    blower capacities.                                      assumptions, and procedures used for                  operators of affected sources requesting
                                                    *      *      *   *     *                               the engineering assessments.                          an extension for compliance; requesting
                                                      (i) * * *                                             *     *      *    *    *                              approval to use alternative monitoring
                                                      (1) * * *                                               (3) Organic HAP concentration                       parameters, alternative continuous
                                                      (iii) Exceedance of the mass emission                 records. Each owner or operator shall                 monitoring and recordkeeping, or
                                                    limit (i.e., having an average value                    record the organic HAP concentration as               alternative controls; requesting approval
                                                    higher than the specified limit)                        measured using the sampling site and                  to use engineering assessment to
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                                                    monitored according to the provisions                   organic HAP concentration                             estimate organic HAP emissions from a
                                                    of paragraph (e)(2) of this section for                 determination procedures (if applicable)              batch emissions episode as described in
                                                    batch process vents and according to the                specified in § 63.1412(b) and (e), or                 § 63.1414(d)(6)(i)(C); wishing to
                                                    provisions of paragraph (h)(1) of this                  determined through engineering                        establish parameter monitoring levels
                                                    section for continuous process vents;                   assessment as specified in § 63.1412(k).              according to the procedures contained
                                                      (iv) Exceedance of the organic HAP                    *     *      *    *    *                              in § 63.1413(a)(4)(ii); establishing
                                                    outlet concentration limit (i.e., having                  (5) If a continuous process vent is                 parameter monitoring levels based on a
                                                                                                                                                                                                                 EP24AU17.002</GPH>




                                                    an average value higher than the                        seeking to demonstrate compliance with                design evaluation as specified in


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                                                    40118                 Federal Register / Vol. 82, No. 163 / Thursday, August 24, 2017 / Proposed Rules

                                                    § 63.1413(a)(3); or following the                       (f)(2) of this section or containing the                (7) Whenever a continuous process
                                                    procedures in § 63.1413(e)(2); or                       information in paragraphs (f)(3) through              vent becomes subject to control
                                                    following the procedures in                             (11) and (13) through (15) of this                    requirements under § 63.1405, as a
                                                    § 63.1413(h)(3), shall submit a                         section, as appropriate, shall be                     result of a process change, the owner or
                                                    Precompliance Report according to the                   submitted semiannually no later than 60               operator shall submit a report within 60
                                                    schedule described in paragraph (d)(1)                  days after the end of each 180 day                    days after the performance test or
                                                    of this section. The Precompliance                      period. The first report shall be                     applicability assessment, whichever is
                                                    Report shall contain the information                    submitted no later than 240 days after                sooner. The report may be submitted as
                                                    specified in paragraphs (d)(2) through                  the date the Notification of Compliance               part of the next Periodic Report required
                                                    (11) of this section, as appropriate.                   Status is due and shall cover the 6-                  by paragraph (f) of this section.
                                                    *      *     *     *     *                              month period beginning on the date the                *     *     *     *    *
                                                       (8) If an owner or operator is                       Notification of Compliance Status is                  [FR Doc. 2017–17514 Filed 8–23–17; 8:45 am]
                                                    complying with the mass emission limit                  due. Subsequent reports shall cover                   BILLING CODE 6560–50–P
                                                    specified in § 63.1405(b)(2)(i), the                    each preceding 6-month period.
                                                    sample of production records specified                     (2) If none of the compliance
                                                    in § 63.1413(h)(3) shall be submitted in                exceptions specified in paragraphs (f)(3)             FEDERAL COMMUNICATIONS
                                                    the Precompliance Report.                               through (11) and (13) through (15) of                 COMMISSION
                                                    *      *     *     *     *                              this section occurred during the 6-
                                                       (e) * * *                                            month period, the Periodic Report                     47 CFR Parts 1, 20 and 43
                                                       (1) The results of any emission point                required by paragraph (f)(1) of this                  [WC Docket No. 11–10; FCC 17–103]
                                                    applicability determinations,                           section shall be a statement that the
                                                    performance tests, design evaluations,                  affected source was in compliance for                 Modernizing the FCC Form 477 Data
                                                    inspections, continuous monitoring                      the preceding 6-month period and no                   Program
                                                    system performance evaluations, any                     activities specified in paragraphs (f)(3)
                                                                                                            through (11) and (13) through (15) of                 AGENCY:  Federal Communications
                                                    other information used to demonstrate
                                                                                                            this section occurred during the                      Commission.
                                                    compliance, and any other information,
                                                                                                            preceding 6-month period.                             ACTION: Proposed rule.
                                                    as appropriate, required to be included
                                                    in the Notification of Compliance Status                *       *    *      *     *                           SUMMARY:    In this document, the Federal
                                                    under 40 CFR part 63, subpart SS and                       (5) If there is a deviation from the               Communications Commission
                                                    subpart WW, as referred to in § 63.1404                 mass emission limit specified in                      (Commission) seeks comment on how to
                                                    for storage vessels; under 40 CFR part                  § 63.1406(a)(1)(iii) or (a)(2)(iii),                  revise the current FCC Form 477
                                                    63, subpart SS, as referred to in                       § 63.1407(b)(2), or § 63.1408(b)(2), the              collection of voice and broadband
                                                    § 63.1405 for continuous process vents;                 following information, as appropriate,                subscription and deployment data to
                                                    under § 63.1416(f)(1) through (3), (5)(i)               shall be included:                                    increase its usefulness to the
                                                    and (ii), and (6)(i) and (ii) for                       *       *    *      *     *                           Commission, Congress, the industry,
                                                    continuous process vents; under                            (12) * * *                                         and the public.
                                                    § 63.1416(d)(1) for batch process vents;                   (ii) The quarterly reports shall include           DATES: Comments are due on or before
                                                    and under § 63.1416(e)(1) for aggregate                 all information specified in paragraphs               September 25, 2017 and reply
                                                    batch vent streams. In addition, each                   (f)(3) through (11) and (13) through (15)             comments are due on or before October
                                                    owner or operator shall comply with                     of this section applicable to the                     10, 2017. If you anticipate that you will
                                                    paragraphs (e)(1)(i) and (ii) of this                   emission point for which quarterly                    be submitting comments, but find it
                                                    section.                                                reporting is required under paragraph                 difficult to do so within the period of
                                                    *      *     *     *     *                              (f)(12)(i) of this section. Information               time allowed by this document, you
                                                       (f) Periodic Reports. Except as                      applicable to other emission points                   should advise the contact listed below
                                                    specified in paragraph (f)(12) of this                  within the affected source shall be                   as soon as possible.
                                                    section, a report containing the                        submitted in the semiannual reports                   ADDRESSES: You may submit comments,
                                                    information in paragraph (f)(2) of this                 required under paragraph (f)(1) of this               identified by WC Docket No. 11–10, by
                                                    section or containing the information in                section.                                              any of the following methods:
                                                    paragraphs (f)(3) through (11) and (13)                 *       *    *      *     *                              • Federal eRulemaking Portal: http://
                                                    through (15) of this section, as                           (14) If there is a deviation from the              www.regulations.gov. Follow the
                                                    appropriate, shall be submitted                         mass emission limit specified in                      instructions for submitting comments.
                                                    semiannually no later than 60 days after                § 63.1405(b)(2)(i), the report shall                     • Federal Communications
                                                    the end of each 180 day period. In                      include the daily average emission rate               Commission’s Web site: http://
                                                    addition, for equipment leaks subject to                calculated for each operating day for                 fjallfoss.fcc.gov/ecfs2/. Electronic Filers:
                                                    § 63.1410, the owner or operator shall                  which a deviation occurred.                           Comments may be filed electronically
                                                    submit the information specified in 40                     (15) If there is a deviation from the              using the Internet by accessing the
                                                    CFR part 63, subpart UU, and for heat                   emission rate limit specified in                      ECFS: http://fjallfoss.fcc.gov/ecfs2/.
                                                    exchange systems subject to § 63.1409,                  § 63.1405(b)(2)(ii) or (iii), the report                 D Paper Filers: Parties who choose to
                                                    the owner or operator shall submit the                  shall include the following information               file by paper must file an original and
                                                    information specified in § 63.1409.                     for each operating day for which a                    one copy of each filing.
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                                                    Section 63.1415 shall govern the use of                 deviation occurred:                                      • Filings can be sent by hand or
                                                    monitoring data to determine                               (i) The calculated average hourly                  messenger delivery, by commercial
                                                    compliance for emissions points                         emission rate.                                        overnight courier, or by first-class or
                                                    required to apply controls by the                          (ii) The individual hourly emission                overnight U.S. Postal Service mail. All
                                                    provisions of this subpart.                             rate data points making up the average                filings must be addressed to the
                                                       (1) Except as specified in paragraph                 hourly emission rate.                                 Commission’s Secretary, Office of the
                                                    (f)(12) of this section, a report                       *       *    *      *     *                           Secretary, Federal Communications
                                                    containing the information in paragraph                    (h) * * *                                          Commission.


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Document Created: 2018-10-24 12:38:46
Document Modified: 2018-10-24 12:38:46
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. Comments must be received on or before October 23, 2017.
ContactFor questions about this proposed action, please contact Mr. Art Diem, Sector Policies and Programs Division (E143-01), Office of Air Quality Planning and Standards, U.S. Environmental Protection Agency, Research Triangle Park, North Carolina 27711; telephone number: (919) 541-1185; fax number: (919) 541-0246;
FR Citation82 FR 40103 
RIN Number2060-AS79
CFR AssociatedEnvironmental Protection; Administrative Practice and Procedure; Air Pollution Control; Hazardous Substances; Intergovernmental Relations and Reporting and Recordkeeping Requirements

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