82_FR_41136 82 FR 40970 - National Emission Standards for Hazardous Air Pollutants for Wool Fiberglass Manufacturing; Rotary Spin Lines Technology Review

82 FR 40970 - National Emission Standards for Hazardous Air Pollutants for Wool Fiberglass Manufacturing; Rotary Spin Lines Technology Review

ENVIRONMENTAL PROTECTION AGENCY

Federal Register Volume 82, Issue 166 (August 29, 2017)

Page Range40970-40981
FR Document2017-18211

In this action, the Environmental Protection Agency (EPA) is proposing amendments to previous proposals to the National Emission Standards for Hazardous Air Pollutants (NESHAP) for the Wool Fiberglass Manufacturing source category. In the July 29, 2015, final rulemaking, the EPA deferred action on previously proposed formaldehyde, methanol and phenol emission limits from rotary spin (RS) lines at wool fiberglass manufacturing facilities. In this action, the EPA is proposing to readopt the existing emission limits for formaldehyde, to establish emission limits for methanol, and to establish a work practice standard for phenol emissions from bonded RS lines at wool fiberglass manufacturing facilities. In addition, the EPA is proposing amendments to the emission limits promulgated on July 29, 2015, for formaldehyde, methanol, and phenol from flame attenuation (FA) lines at wool fiberglass manufacturing facilities. The EPA is only taking comments on the specific proposed requirements and revisions set forth in this proposed rulemaking, which are based on information contained in this proposal. The EPA is not taking comment on any aspect of previous rulemakings, including the November 25, 2011, April 15, 2013, and November 13, 2014, proposals.

Federal Register, Volume 82 Issue 166 (Tuesday, August 29, 2017)
[Federal Register Volume 82, Number 166 (Tuesday, August 29, 2017)]
[Proposed Rules]
[Pages 40970-40981]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2017-18211]


-----------------------------------------------------------------------

ENVIRONMENTAL PROTECTION AGENCY

40 CFR Part 63

[EPA-HQ-OAR-2010-1042; FRL-9967-01-OAR]
RIN 2060-AT13


National Emission Standards for Hazardous Air Pollutants for Wool 
Fiberglass Manufacturing; Rotary Spin Lines Technology Review

AGENCY: Environmental Protection Agency (EPA).

ACTION: Proposed rule.

-----------------------------------------------------------------------

SUMMARY: In this action, the Environmental Protection Agency (EPA) is 
proposing amendments to previous proposals to the National Emission 
Standards for Hazardous Air Pollutants (NESHAP) for the Wool Fiberglass 
Manufacturing source category. In the July 29, 2015, final rulemaking, 
the EPA deferred action on previously proposed formaldehyde, methanol 
and phenol emission limits from rotary spin (RS) lines at wool 
fiberglass manufacturing facilities. In this action, the EPA is 
proposing to readopt the existing emission limits for formaldehyde, to 
establish emission limits for methanol, and to establish a work 
practice standard for phenol emissions from bonded RS lines at wool 
fiberglass manufacturing facilities. In addition, the EPA is proposing 
amendments to the emission limits promulgated on July 29, 2015, for 
formaldehyde, methanol, and phenol from flame attenuation (FA) lines at 
wool fiberglass manufacturing facilities. The EPA is only taking 
comments on the specific proposed requirements and revisions set forth 
in this proposed rulemaking, which are based on information contained 
in this proposal. The EPA is not taking comment on any aspect of 
previous rulemakings, including the November 25, 2011, April 15, 2013, 
and November 13, 2014, proposals.

DATES: The EPA must receive written comments on this proposed rule on 
or before October 13, 2017.
    Public Hearing. If a public hearing is requested by September 5, 
2017, then we will hold a public hearing on September 13, 2017. The 
last day to pre-register in advance to speak at the public hearing will 
be September 11, 2017.

ADDRESSES: Submit your comments, identified by Docket ID No. EPA-HQ-
OAR-2010-1042, at http://www.regulations.gov. Follow the online 
instructions for submitting comments. Once submitted, comments cannot 
be edited or withdrawn from Regulations.gov. The EPA may publish any 
comment received to its public docket. Do not submit electronically any 
information you consider to be Confidential Business Information (CBI) 
or other information whose disclosure is restricted by statute. 
Multimedia submissions (audio, video, etc.) must be accompanied by a 
written comment. The written comment is considered the official comment 
and should include discussion of all points you wish to make. The EPA 
will generally not consider comments or comment contents located 
outside of the primary submission (i.e., on the Web, cloud, or other 
file sharing system). For additional submission methods, the full EPA 
public comment policy, information about CBI or multimedia submissions, 
and general guidance on making effective comments, please visit http://www2.epa.gov/dockets/commenting-epa-dockets.
    Public Hearing. If a hearing is requested, it will be held at the 
EPA WJC East Building, 1201 Constitution Avenue NW, Washington, DC 
20004. If a public hearing is requested, then we will provide 
additional details about the public hearing on our Web site at https://www.epa.gov/stationary-sources-air-pollution/wool-fiberglass-manufacturing-national-emissions-standards. To request a hearing, to 
register to speak at a hearing, or to inquire if a hearing will be 
held, please contact Aimee St. Clair at (919) 541-1063 or by email at 
[email protected]. The EPA does not intend to publish any future 
notices in the Federal Register regarding a public hearing on this 
proposed action and directs all inquiries regarding a hearing to the 
Web site and contact person identified above.

FOR FURTHER INFORMATION CONTACT: For questions about this proposed 
action, contact Mr. Brian Storey, Office of Air Quality Planning and 
Standards, Sector Policies and Programs Division (D243-04), 
Environmental Protection Agency, Research Triangle Park, NC 27711; 
telephone number: (919) 541-1103; fax number: (919) 541-5450; email 
address: [email protected].

SUPPLEMENTARY INFORMATION: Docket. The EPA has established a docket for 
this rulemaking under Docket ID No. EPA-HQ-OAR-2010-1042. All documents 
in the docket are listed in the 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 
https://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-
2010-1042. The EPA's policy is that all comments received will be 
included in the public docket without change and may be made available 
online at https://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 https://www.regulations.gov or email. The 
https://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 https://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

[[Page 40971]]

disk or CD-ROM 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 
not include 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 https://www.epa.gov/dockets.
    Public Hearing. If requested by September 5, 2017, a public hearing 
will be held on September 13, 2017 at the EPA WJC East Building, 1201 
Constitution Avenue NW, Washington, DC 20004. If a public hearing is 
requested, then we will provide additional details about the public 
hearing on our Web site at https://www.epa.gov/stationary-sources-air-pollution/wool-fiberglass-manufacturing-national-emissions-standards. 
In addition, you may contact Aimee St. Clair at (919) 541-1063 or email 
at [email protected] with public hearing inquiries. The last day to 
pre-register to speak at a hearing, if one is held, will be September 
11, 2017. Additionally, requests to speak will be taken the day of the 
hearing at the hearing registration desk, although preferences on 
speaking times may not be able to be fulfilled. Please note that 
registration requests received before the hearing will be confirmed by 
the EPA via email.
    The EPA will make every effort to accommodate all speakers who 
arrive and register. If the hearing is held at a U.S. governmental 
facility, individuals planning to attend the hearing should be prepared 
to show valid picture identification to the security staff to gain 
access to the meeting room. Please note that the REAL ID Act, passed by 
Congress in 2005, established new requirements for entering federal 
facilities. If your driver's license is issued by Alaska, American 
Samoa, California, Guam, Idaho, Illinois, Kentucky, Louisiana, Maine, 
Massachusetts, Michigan, Minnesota, Missouri, Montana, New Hampshire, 
New York, North Carolina, North Dakota, Northern Mariana Islands, 
Oklahoma, Oregon, Pennsylvania, Puerto Rico, Rhode Island, South 
Carolina, Texas, Virgin Islands, Virginia, or the state of Washington, 
you must present an additional form of identification to enter the 
federal building. Acceptable alternative forms of identification 
include: Federal employee badges, passports, enhanced driver's 
licenses, and military identification cards. In addition, you will need 
to obtain a property pass for any personal belongings you bring with 
you. Upon leaving the building, you will be required to return this 
property pass to the security desk. No large signs will be allowed in 
the building, cameras may only be used outside of the building and 
demonstrations will not be allowed on federal property for security 
reasons.
    Preamble Acronyms and Abbreviations. We use multiple acronyms and 
terms 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:

BACT best available control technology
CAA Clean Air Act
CBI Confidential Business Information
CD-ROM Compact Disc Read-Only Memory
CFR Code of Federal Regulations
EPA Environmental Protection Agency
FA lame attenuation
FR Federal Register
FTIR Fourier Transform Infrared
HAP hazardous air pollutants
ICR information collection request
LAER lowest achievable emission rate
lb/ton pounds per ton
MACT maximum achievable control technology
MIR maximum individual risk
NESHAP national emission standards for hazardous air pollutants
NRDC Natural Resource Defense Council
OAQPS Office of Air Quality Planning and Standards
OMB Office of Management and Budget
PF phenol-formaldehyde
PRA Paperwork Reduction Act
RFA Regulatory Flexibility Act
RS rotary spin
UMRA Unfunded Mandates Reform Act
NTTAA National Technology Transfer and Advancement Act
tpy tons per year

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

Table of Contents

I. General Information
    A. Does this action apply to me?
    B. Where can I get a copy of this document and other related 
information?
    C. What should I consider as I prepare my comments for the EPA?
II. Background
    A. What is the statutory authority for this action?
    B. What is the regulatory history for wool fiberglass 
manufacturing?
    C. What is the purpose of this proposal?
III. What are the proposed rule requirements for RS lines and what 
is our rationale?
    A. What are the proposed rule requirements for formaldehyde 
emissions from bonded RS lines?
    B. What are the proposed rule requirements for methanol 
emissions from bonded RS lines?
    C. What are the proposed rule requirements for phenol emissions 
from bonded RS lines?
IV. What are the proposed rule amendments resulting from our 
technology review and our proposed decisions?
    A. What are the results and proposed decisions for formaldehyde 
emissions from RS lines based on our technology review?
    B. What are the proposed requirements for methanol emissions 
from RS lines?
    C. What are the proposed requirements for phenol emissions from 
RS lines?
    D. What compliance dates are we proposing?
V. What other changes are we proposing to the NESHAP in this action?
VI. What are the proposed amendments applicable to FA lines?
VII. Summary of Cost, Environmental and Economic Impacts
    A. How many sources are affected?
    B. What are the air quality impacts?
    C. What are the cost impacts?
    D. What are the economic impacts?
    E. What are the benefits?
VIII. 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 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. Does this action apply to me?

    Table 1 of this preamble lists the NESHAP and associated regulated 
industrial source category that is the subject of this proposal. Table 
1 of this preamble is not intended to be exhaustive, but rather 
provides a guide for readers regarding the entities likely to be 
affected by this proposed action.

[[Page 40972]]



    Table 1--NESHAP and Industrial Source Categories Affected By This
                             Proposed Action
------------------------------------------------------------------------
         Source category                  NESHAP          NAICS code \1\
------------------------------------------------------------------------
Wool Fiberglass Manufacturing...  Subpart NNN...........          327993
------------------------------------------------------------------------
\1\ North American Industry Classification System.

    The proposed standards, once promulgated, will be directly 
applicable to the affected sources. Federal, state, local, and tribal 
government entities are not affected by this proposed action.
    In 1992, the EPA defined the Wool Fiberglass Manufacturing source 
category as any facility engaged in producing wool fiberglass from 
sand, feldspar, sodium sulfate, anhydrous borax, boric acid, or any 
other materials. In the wool fiberglass manufacturing process, molten 
glass is formed into fibers that are bonded with an organic resin to 
create a wool-like material that is used as thermal or acoustical 
insulation. The category includes, but is not limited to, the following 
processes: Glass-melting furnace, marble forming, refining, fiber 
forming, binder application, curing, and cooling. Facilities produce 
bonded building insulation using an RS manufacturing line, and bonded 
pipe insulation and other heavy-density products using an FA 
manufacturing line. If you have any questions regarding the 
applicability of the proposed amendments, contact the person listed in 
the preceding FOR FURTHER INFORMATION CONTACT section.

B. 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-2010-1042). Following publication in the Federal Register, the 
EPA will post the Federal Register version of the proposal and key 
technical documents at this same Web site. Information on the overall 
residual risk and technology review (RTR) program is available at 
https://www3.epa.gov/ttn/atw/rrisk/rtrpg.html.

C. What should I consider as I prepare my comments for the EPA?

    For comments on this proposal, do not submit information containing 
CBI to the EPA through https://www.regulations.gov or email. 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 that is claimed as 
CBI. In addition to one complete version of the comments that includes 
information claimed as CBI, you must submit a copy of the comments that 
does not contain the information claimed as CBI for inclusion in the 
public docket. If you submit a CD-ROM or disk that does not contain 
CBI, mark the outside of the disk or CD-ROM clearly that it does not 
contain CBI. Information not marked as CBI will be included in the 
public docket and the EPA's electronic public docket without prior 
notice. Information marked as CBI will not be disclosed except in 
accordance with procedures set forth in 40 Code of Federal Regulations 
(CFR) part 2. Send or deliver information identified as CBI only to the 
following address: OAQPS Document Control Officer (C404-02), OAQPS, 
U.S. Environmental Protection Agency, Research Triangle Park, North 
Carolina 27711, Attention Docket ID No. EPA-HQ-OAR-2010-1042.
    If you have any questions about CBI or the procedures for claiming 
CBI, please consult the person identified in the FOR FURTHER 
INFORMATION CONTACT section.

II. Background

A. What is the statutory authority for this action?

    The statutory authority for this action is provided by sections 112 
and 301 of the Clean Air Act (CAA), as amended (42 U.S.C. 7401 et 
seq.). Section 112 of the CAA establishes a comprehensive regulatory 
process to address emissions of hazardous air pollutants (HAP) from 
stationary sources. In the first stage, after the EPA has identified 
categories of sources emitting one or more of the HAP listed in CAA 
section 112(b), CAA section 112(d) requires us to promulgate 
technology-based NESHAP for those sources. ``Major sources'' are those 
that emit or have the potential to emit 10 tons per year (tpy) or more 
of a single HAP or 25 tpy or more of any combination of HAP. For major 
sources, the technology-based NESHAP must reflect the maximum degree of 
emission reductions of HAP achievable (after considering cost, energy 
requirements, and non-air quality health and environmental impacts) and 
are commonly referred to as maximum achievable control technology 
(MACT) standards. Additionally, CAA section 112(h) allows the agency to 
adopt a work practice standard in lieu of a numerical emission standard 
only if it is ``not feasible in the judgment of the Administrator to 
prescribe or enforce an emission standard for control of a hazardous 
air pollutant.'' This phrase is defined as applying where ``the 
Administrator determines that the application of measurement 
methodology to a particular class of sources is not practicable due to 
technological and economic limitations.'' CAA section 112(h)(1) and 
(2).
    The EPA is required to review the technology-based standards and 
revise them ``as necessary (taking into account developments in 
practices, processes, and control technologies)'' no less frequently 
than every 8 years. CAA section 112(d)(6). In conducting this review, 
the EPA is not required to recalculate the MACT floor. Natural 
Resources Defense Council (NRDC) v. EPA, 529 F.3d 1077, 1084 (D.C. Cir. 
2008). Association of Battery Recyclers, Inc. v. EPA, 716 F.3d 667 
(D.C. Cir. 2013).
    In this action, the EPA is proposing to complete a technology 
review for RS lines in accordance with section 112(d)(6) of the CAA. In 
addition, the EPA is proposing to amend certain emission limits 
promulgated on July 29, 2015, as part of the RTR for the standards for 
FA lines at wool fiberglass manufacturing facilities.

B. What is the regulatory history for wool fiberglass manufacturing?

    The EPA promulgated the Wool Fiberglass Manufacturing NESHAP on 
June 14, 1999 (62 FR 31695). The 1999 NESHAP, which is codified at 40 
CFR part 63, subpart NNN, includes emissions standards for formaldehyde 
emissions from new and existing RS lines. On July 29, 2015, we 
published the final rule amendments to the Wool Fiberglass 
Manufacturing NESHAP resulting from our completion of certain aspects 
of the CAA section 112(f)(2) residual risk review and the CAA section 
112(d)(6) technology review for that NESHAP RTR. 80 FR 45280.

[[Page 40973]]

Specifically, the July 29, 2015, final rule:
    (1) Established a chromium emissions limit for gas-fired, glass-
melting furnaces under CAA section 112(f)(2);
    (2) revised the particulate matter limit for gas-fired, glass-
melting furnaces at major sources under CAA section 112(d)(6);
    (3) established work practice standards for hydrogen chloride and 
hydrogen fluoride emissions from glass-melting furnaces at wool 
fiberglass manufacturing facilities under CAA section 112(h);
    (4) eliminated the use of formaldehyde as a surrogate and 
established revised limits for formaldehyde and first-time limits for 
methanol and phenol emitted from FA lines under CAA sections 112(d)(2) 
and (d)(3);
    (5) eliminated FA line subcategories;
    (6) removed the exemption for startup and shutdown periods and 
established work practice standards that apply during startup and 
shutdown periods; and
    (7) established a chromium emission limits for both new and 
existing gas-fired, glass-melting furnaces at area sources in the Wool 
Fiberglass Manufacturing source category under CAA section 112(d)(5).
    In the July 2015 rule, we did not finalize proposed emissions 
limits for formaldehyde, methanol, and phenol emissions from forming 
cooling and collection processes on bonded RS lines under CAA sections 
112(d)(2) and (3). We explained that this decision was based on 
comments we received on our various proposals indicating that the 
proposed limits likely relied on incorrect data. We explained that we 
had issued an Information Collection Request (ICR) under CAA section 
114 for purposes of obtaining the requisite data. 80 FR 45293. Since 
then, we have received and evaluated responses to the ICR. More 
recently, we have received new information and data from a facility 
that operates FA lines that cast doubts on information and data that 
the agency relied on in promulgating the July 2015 final rule emissions 
limits for FA lines.

C. What is the purpose of this proposal?

    This notice proposes the following amendments to the NESHAP for the 
Wool Fiberglass Manufacturing source category:
     Readopting formaldehyde emission limits from bonded RS 
lines under CAA section 112(d)(6);
     Establishing new emission limits for methanol from bonded 
RS lines under CAA section 112(d)(2) and (3);
     Establishing work practice standards for phenol from 
bonded RS lines under CAA section 112(h);
     Amending the incinerator operating limits to include 
cooling emissions from both RS and FA limits under CAA section 
112(d)(2) and (3);
     Establishing new subcategories of FA lines under CAA 
section 112(d)(1);
     Establishing new emission limits for formaldehyde, 
methanol, and phenol from most of the newly proposed FA line 
subcategories under CAA section 112(d)(2) and (3); and
     Setting work practice standards for phenol from one newly 
proposed FA line subcategory under CAA section 112(h).
    We are requesting comments on only the specific proposed revisions 
to the Wool Fiberglass Manufacturing NESHAP that are presented in this 
notice. We are not reopening or accepting comment on any other aspect 
of the 2015 final rule or prior proposals. Taking final action on the 
proposed revisions to the standards for RS lines would complete the 
required CAA section 112(d)(6) review for the Wool Fiberglass 
Manufacturing NESHAP.

III. What are the proposed rule requirements for RS lines and what is 
our rationale?

A. What are the proposed rule requirements for formaldehyde emissions 
from bonded RS lines?

    In the July 29, 2015, final rule, we did not finalize the proposed 
revisions to the formaldehyde, methanol, and phenol emissions limits 
from bonded RS lines based on comments indicating that emission data we 
relied on for the proposed limits were not representative of either 
contemporaneous operations or emissions from bonded RS lines. We 
explained that the proposals were based on emissions and process data 
available to the EPA at the time the various proposals were issued, and 
since that time, approximately 95 percent of RS lines had undergone 
process modifications that involved phasing out the use of a phenol-
formaldehyde (PF) binder and switching to HAP-free binders. We further 
explained that we had determined that the product lines continuing to 
operate using PF binders are not similar to the tested product lines in 
size, end use, production rate, or loss on ignition (LOI) percent. In 
sum, we posited that available data did not represent current industry 
conditions, most notably, the significant reduction in the use of PF 
binders in wool fiberglass manufacturing. We further explained that we 
had issued an ICR, pursuant to our authority under CAA section 114, to 
wool fiberglass facilities that operate bonded RS lines in order to 
obtain updated emissions, process, and control device data for existing 
RS manufacturing lines. 80 FR 45293. The first part of the ICR 
requested general information regarding RS line process equipment and 
control devices. ICR Part 1. Based on the information obtained under 
ICR Part 1, the EPA issued the second part of the ICR that required 
facilities to conduct emissions testing for formaldehyde, methanol, and 
phenol from bonded RS line processes. ICR Part 2. Specifically, ICR 
Part 2 required subject facilities to collect stack emissions data from 
RS lines during several testing events that represented operations 
during multiple seasonal ambient conditions. In response to ICR Part 2, 
the EPA received emissions test reports from the Johns Manville, Knauf 
Insulation, and Owens Corning facilities. Table 2 of this preamble 
summarizes the sampling program conducted under ICR Part 2.

                                    Table 2--Summary of RS Line Test Program
----------------------------------------------------------------------------------------------------------------
               Facility                       Bonded RS line         Test dates          Sampling locations
----------------------------------------------------------------------------------------------------------------
Johns Manville--Defiance, OH..........  Line 89..................      6/28/2016,  Collection Module A (Venturi
                                                                        8/24/2016   scrubber 1 outlet).
                                                                                   Cooling table (Venturi
                                                                                    scrubber 2 outlet).
                                                                                   Curing oven (regenerative
                                                                                    thermal oxidizer (RTO)
                                                                                    outlet).
Knauf Insulation--Shelbyville, IN.....  Lines 611, 612, 613, and       6/15/2016,  Combined exhaust from Lines
                                         614.                            8/2/2016   611-614 forming process and
                                                                                    Lines 613 and 614 cooling
                                                                                    process (wet electrostatic
                                                                                    precipitator outlet).
                                                                                   Curing oven (RTO outlet)
Owens Corning--Waxahachie, TX.........  Line V1..................    5/17-18/2016  Forming process (spray
                                                                                    chamber outlet).
                                                                                   Cooling (high-efficiency air
                                                                                    filter outlet).
                                                                                   Curing oven (incinerator
                                                                                    outlet).
----------------------------------------------------------------------------------------------------------------


[[Page 40974]]

    In reviewing and evaluating responses to the CAA section 114 ICR, 
we have now determined that there are currently three facilities 
operating six bonded RS lines, as compared to 54 RS manufacturing lines 
at the time of our November 2011 proposal (76 FR 72799). As shown in 
Table 2 of this preamble, we have also determined that all RS lines are 
equipped with air pollution control devices and, most importantly, that 
emissions from all RS lines are significantly lower than the existing 
MACT standards. Additionally, we were able to confirm the phase out or 
elimination of PF binders which facilities have achieved by switching 
to HAP-free binders in wool fiberglass manufacturing processes. This is 
consistent with our November 2011 proposal where we explained that 
``[d]ue to industry's efforts to replace phenol-formaldehyde binders 
more than 95 percent of formaldehyde, phenol and methanol emissions had 
been reduced (or will be by 2012).'' 76 FR 72803.
    As previously explained, CAA section 112(d)(6) requires us to 
``review, and revise as necessary (taking into account developments in 
practices, processes, and control technologies), emission standards 
promulgated under this section.'' We have interpreted CAA section 
112(d)(6) as providing us the authority ``to review the section 112(d) 
standards considering developments in practices, processes, and control 
technologies.'' 70 FR 2008, April 15, 2008. The agency previously 
promulgated a limit for formaldehyde emissions from RS lines under CAA 
112(d) and, thus, has decided that it is more appropriate to set limits 
for formaldehyde emissions from RS lines under CAA section 112(d)(6) 
instead of under CAA section 112(d)(2) and (3), as previously proposed.
    As also explained in our November 2011 proposal, our technology 
review, under CAA section 112(d)(6), focuses on the identification and 
evaluation of developments in practices, processes, and control 
technologies that have occurred since the 1999 NESHAP was promulgated. 
Where we identify developments to inform our decision of whether it is 
``necessary'' to revise the emissions standards, we analyze the 
technical feasibility of applying these developments and the estimated 
costs, energy implications, non-air environmental impacts, as well as 
considering the emission reductions. We also consider the 
appropriateness of applying controls to new sources versus retrofitting 
existing sources. Based on our analyses of the available data and 
information, we identified developments in practices, processes, and 
control technologies.
    For RS bonded lines, we considered any of the following to be a 
``development'':
     Any add-on control technology or other equipment that was 
not considered during development of the original MACT standards.
     Any improvements in the performance of any add-on control 
technology or other equipment (that were identified and considered 
during development of the original MACT standards) that could result in 
additional emissions reduction.
     Any work practice or operational procedure to reduce 
emissions that was not identified or considered during development of 
the original MACT standards.
     Any process changes or pollution prevention alternatives 
that could be broadly applied to the industry and that was not 
identified or considered during development of the original MACT 
standards.
     Any significant changes in the cost (including cost 
effectiveness) of applying controls (including controls the EPA 
considered during the development of the original MACT standards).
    In addition to reviewing the responses to the ICR, we reviewed 
facility operating permits and searched the EPA's RACT/BACT/LAER 
Clearinghouse (RBLC) in our investigation of developments in practices, 
processes, or control technologies for RS lines at wool fiberglass 
manufacturing facilities.\1\
---------------------------------------------------------------------------

    \1\ The EPA established the RBLC to provide a central database 
of air pollution technology information (including technologies 
required in source-specific permits) to promote the sharing of 
information on control technologies among regulatory agencies. The 
RBLC contains over 5,000 air pollution control permit determinations 
made by states, local, and tribal agencies. Control technologies, 
classified as Reasonably Available Control Technology (RACT), Best 
Available Control Technology (BACT), or Lowest Achievable Emission 
Rate (LAER) apply to stationary sources depending on whether the 
sources are existing or new, and on the size, age, and location of 
the facility. BACT and LAER (and sometimes RACT) are determined on a 
case-by-case basis, usually by state or local permitting agencies.
---------------------------------------------------------------------------

    As shown in Table 2 of this preamble above, various processes on RS 
lines are equipped with air pollution control devices as compared to at 
the time of the promulgation of the 1999 MACT. As also previously 
explained, current formaldehyde emissions are well below the 1999 
levels for two reasons:
    (1) Almost all bonded lines have replaced the older PF resins with 
non-PF resins. These reduced the source category formaldehyde emissions 
by approximately 95 percent:
    (2) Improvements in control technology being used have reduced 
emissions on the remaining lines that still use PF resins.
    In light of the most notably significant reduction of formaldehyde 
emissions, we are, thus, proposing to conclude that there are 
developments in practices, processes, and control technologies that 
warrant revisions to the MACT standards for RS lines under CAA section 
112(d)(6).

B. What are the proposed rule requirements for methanol emissions from 
bonded RS lines?

    We are proposing to establish emission standards for methanol 
emissions from combined fiber/collection, curing, and cooling processes 
on new and existing bonded RS lines at wool fiberglass manufacturing 
facilities based on our evaluation of the data submitted in response to 
the ICR discussed above. These proposed standards differ from the 
methanol limits proposed in April 2013 and November 2014 under CAA 
section 112(d)(2) and (3). As previously explained, we did not finalize 
those proposed standards based on comments we received on our various 
proposals, indicating that our proposals were premised on questionable 
data given industry changes since collection of the data. In addition, 
as previously explained, we issued and collected additional data that 
is representative of current industry operations under an ICR 
subsequent to promulgation of our July 29, 2015, final rule. The 
revised limits proposed in this action are based on data received in 
response to the recent ICR discussed above.

C. What are the proposed rule requirements for phenol emissions from 
bonded RS lines?

    We are proposing work practice standards for phenol emissions from 
combined fiber/collection, curing, and cooling processes on new and 
existing bonded RS lines at wool fiberglass manufacturing facilities 
under CAA section 112(h). In order to promulgate a work practice 
standard in lieu of an emission standard, the EPA must demonstrate that 
measurement of emissions is not practicable due to technological and 
economic limitations. In the case of bonded RS lines, our review of 
more recent CAA section 114 test data indicated that over 60 percent of 
the test results were values showing that phenol emissions in the 
exhaust gas stream were below the detection limit of EPA Method 318. 
This proposal represents a change from the standards for phenol 
emissions from bonded RS

[[Page 40975]]

lines that were proposed in April 2013 and November 2014.
    We regard situations where, as here, the majority of measurements 
are below detection limits as measurements that are not 
``technologically practicable'' within the meaning of CAA section 
112(h). We reasoned that ``application of measurement methodologies'' 
under CAA section 112(h) must also mean that a measurement has some 
reasonable relation to what the source is emitting (i.e., that the 
measurement yields a meaningful value). We further explained that 
unreliable measurements raise issues of practicability, feasibility, 
and enforceability. Additionally, we posited that the application of 
measurement methodology would also not be ``practicable due to . . . 
economic limitation'' within the meaning of CAA section 112(h) because 
it would result in cost expended to produce analytically suspect 
measurements. 78 FR 22387. This proposal to establish a work practice 
standard for phenol differs from previous proposals where emission 
limits were proposed for phenol because the EPA has concluded that the 
data that supported setting emission limits in previous proposals is no 
longer valid.
    We are seeking comments on only these issues or aspects of 
requirements that are being presented in this notice. We are not 
reopening any other aspects of the July 29, 2015, final rule and thus, 
are not soliciting comments on them.

IV. What are the proposed rule amendments resulting from our technology 
review and our proposed decisions?

A. What are the results and proposed decisions for formaldehyde 
emissions from RS lines based on our technology review?

    We are proposing to readopt the current 1.2 pound per ton (lb/ton) 
glass pulled emissions limits for formaldehyde from combined fiber/
collection, curing, and cooling processes on existing, new, and 
reconstructed bonded RS lines at wool fiberglass manufacturing 
facilities under CAA section 112(d)(6) as part of our technology 
review. Based on the technology review conducted for the bonded RS 
lines at wool fiberglass manufacturing facilities, we have determined 
that emissions are well controlled on bonded RS line processes. As 
previously explained, our evaluation of the ICR also led us to conclude 
that actual formaldehyde emissions from RS lines at all wool fiberglass 
manufacturing facilities are significantly lower than are allowed under 
the 1999 NESHAP. We believe that reductions in formaldehyde emissions 
since promulgation of the 1999 MACT rule are mainly directly related to 
improvements in two areas: (1) Improvements in control technology 
(e.g., improved bag materials, replacement of older baghouses) and (2) 
the use of electrostatic precipitators. We also note that total 
formaldehyde emissions have been significantly reduced (by 
approximately 95 percent) since promulgation of the 1999 NESHAP due 
primarily to the use of non-PF binders.
    Based on these data and new information, we evaluated what 
formaldehyde emission limit might be appropriate. The EPA's approach 
for developing the proposed formaldehyde emission limits for existing 
and new bonded RS lines sources under CAA section 112(d)(6) are 
explained in the memorandum titled ``Technology Review for Formaldehyde 
Emitted from Rotary Spin Lines,'' which is available in the docket for 
this proposed action. Data and information presented in this memorandum 
could support amended limits of 0.23 lb/ton glass pulled for existing 
sources and 0.24 lb/ton glass pulled for new sources. Further, 
according to the emissions data collected from the ICR, all wool 
fiberglass manufacturing facilities operating bonded RS lines would be 
able to meet these emission limits, given that the ICR suggests that 
the formaldehyde emissions from RS lines are much lower than the 
current MACT standard. Therefore, these limits would not require 
additional HAP emission controls or limits for other equipment or 
process. In addition, if adopted, regulated sources would not be 
expected to incur any additional costs.
    However, we are not proposing to lower the formaldehyde limits, and 
are instead proposing to readopt the current limits. This is because, 
as previously explained, the source category has already achieved 
approximately 95-percent reduction in formaldehyde emissions due to the 
replacement of the PF binders with non-PF binders, and which, as 
explained below, results in major sources becoming area sources. We 
also believe that the industry trend will likely result in the 
replacement of PF binders completely and, thus, view the lowering of 
standards as likely penalizing sources that have been slower in 
embracing the industry trend. As also previously explained, our review 
of the ICR indicated that all bonded RS lines are equipped with air 
pollution control devices as compared to the time of promulgation of 
the 1999 MACT standards, and that these various control technologies 
have resulted in significantly lower emissions than the existing MACT 
standards. We believe that sources will not uninstall these control 
technologies at this stage and, thus, that the lower emissions remain 
somewhat assured even without our lowering of the existing MACT 
standards.
    As part of the technology review, we also considered mandating the 
use of non-PF binders for lines currently using them, and/or mandating 
the use of non-PF binders for all bonded lines. We are not proposing 
this option, however, because, as explained in our April 15, 2013, 
proposal, facilities cease to be subject to the major source standards 
once they phase out the use of PF binders. ``A facility that does not 
use phenol-formaldehyde binders does not manufacture a bonded product, 
and therefore does not have a rotary spin manufacturing line or a flame 
attenuation manufacturing line as defined in the NESHAP. If the 
facility does not have a rotary spin manufacturing line or a flame 
attenuation manufacturing line it does not meet the definition of wool 
fiberglass manufacturing facility and therefore, would no longer be 
subject to the Wool Fiberglass Manufacturing NESHAP,'' 78 FR 22375, 
April 15, 2013. As also previously explained, industry continues to 
actively engage in the phase-out of PF binders and have achieved 
approximately 95-percent reduction in formaldehyde emissions as a 
result. We also believe this industry trend will continue given 
industry indications that non-PF binders are actually less expensive 
than PF binders. Therefore, cost considerations will move the industry 
in this direction without the need for regulation.
    We also note that for some products, customer specifications 
preclude the use of any currently available non-PF binders. If PF 
binders were banned, these products would likely no longer be produced.
    We are specifically requesting comment on the proposed readoption 
of the current formaldehyde limit rather than setting new limits based 
on information and data submitted under the ICR.

B. What are the proposed requirements for methanol emissions from RS 
lines?

    Based on the new information and data that the agency received 
pursuant to the ICR, we are proposing to establish limits for methanol 
emissions from combined fiber/collection, curing, and cooling processes 
on existing, new, and reconstructed bonded RS lines at wool fiberglass 
manufacturing facilities.

[[Page 40976]]

    To determine the MACT floor for methanol, we applied the 99-percent 
upper predictive limit (UPL) method to the best-performing five sources 
in the test data collected under Part 2 of the ICR. The UPL analysis is 
explained in the memorandum titled ``Development of Proposed Emission 
Limits for Methanol Emissions from Rotary Spin Lines in the Wool 
Fiberglass Manufacturing Source Category,'' which is available in the 
docket for this proposed action. We considered beyond-the-floor options 
for methanol for all combined collection and curing operation designs 
as required by CAA section 112(d)(2). However, we are not proposing any 
limits based on the beyond-the-floor analyses for methanol for these 
sources because of the potential adverse impacts of additional 
controls, including the cost of control devices, non-air environmental 
impacts, and energy implications associated with use of these 
additional controls. The beyond-the-floor analysis is presented in the 
memorandum titled ``Control Costs for Rotary Spin Lines,'' which is 
available in the docket for this proposed action. Table 3 of this 
preamble presents the proposed methanol emission limits for the 
combined fiber collection/formation, curing, and cooling processes on 
existing, new, and reconstructed RS lines at wool fiberglass 
manufacturing facilities.

 Table 3--Proposed Methanol Emission Limits (lb/ton of Glass Pulled) for
                                RS Lines
------------------------------------------------------------------------
                                                              New and
                    Existing sources                       reconstructed
                                                              sources
------------------------------------------------------------------------
1.06....................................................            0.65
------------------------------------------------------------------------

    The emission limits for methanol in this proposed action, if 
finalized, would codify the level of emissions currently being achieved 
on RS line processes by add-on control devices (e.g., gas scrubbers, 
thermal oxidizers).
    This proposal differs from and modifies our prior proposals. 
Details regarding previously proposed methanol emission limits can be 
found in the April 2013 (78 FR 22387) and November 2014 (79 FR 68029) 
proposals.

C. What are the proposed requirements for phenol emissions from RS 
lines?

    We are proposing to establish work practice standards for phenol 
emissions from combined fiber/collection, curing, and cooling processes 
on existing, new, and reconstructed bonded RS lines at wool fiberglass 
manufacturing facilities under CAA section 112(h). The EPA's review of 
the test data collected under Part 2 of the ICR identified that 
approximately 60 percent of the concentration values were reported as 
below the detection limit of EPA Method 318 (Extractive Fourier 
Transform Infrared (FTIR) Method for Measurement of Emissions from the 
Mineral Wool and Wool Fiberglass Industries). Considering statistical 
validity, we concluded that, in cases where at least 55 percent of the 
test data are below the detection limit of the respective test method, 
it is not feasible to prescribe or enforce an emission standard for 
phenol from RS lines. Under CAA section 112(h), we are instead 
proposing a work practice that represents MACT.
    To identify an appropriate work practice standard for phenol, the 
EPA reviewed the current NESHAP requirements regarding testing, 
monitoring, and recordkeeping of resins and binders used in 
manufacturing wool fiberglass products. The EPA also discussed possible 
phenol work practice standards with industry representatives.
    Because of difficulties in measuring phenol, we cannot develop 
numerical emission limits; however, we believe that a requirement to 
establish the free-phenol content of the binder resin used during the 
compliance demonstration for formaldehyde and methanol and the 
associated recordkeeping requirements for resin shipments and binder 
formulations represents MACT for phenol. Consequently, we are proposing 
to require owners or operators to establish the free-phenol content of 
the binder resin used during the formaldehyde and methanol compliance 
demonstration based on vendor specifications, and to require 
recordkeeping of the free-phenol contents of each resin shipment 
received and each resin used in binder formulation. We are also 
proposing to revise the emission standards specified in 40 CFR 
63.1382(c)(9) to require that owners or operators must not use a resin 
in binder formulations that contains a higher free-phenol content than 
they established during the initial or 5-year compliance demonstrations 
for formaldehyde and methanol.
    This proposal differs from and modifies our prior proposals. 
Details regarding previously proposed phenol emission limits can be 
found in the April 2013 (78 FR 22387) and November 2014 (79 FR 68029) 
proposals.

D. What compliance dates are we proposing?

    We are proposing that wool fiberglass manufacturing facilities that 
operate bonded RS lines that commenced construction or reconstruction 
on or before August 29, 2017 must demonstrate compliance with the 
requirements of this subpart no later than 2 years after the effective 
date of this rule. Affected sources that commenced construction or 
reconstruction after August 29, 2017 must demonstrate compliance with 
the requirements of this subpart no later than the effective date of 
the rule or upon start-up, whichever is later. CAA section 112(i)(3) 
requires that existing sources must comply as expeditiously as 
practicable, but no later than 3 years after promulgation of standards 
under CAA section 112(d). (``Section 112(i)(3)'s three-year maximum 
compliance period applies generally to any emissions standard . . . 
promulgated under [section 112].'' Ass'n of Battery Recyclers v. EPA, 
716 F.3d 667, 672 (D.C. Cir. 2013)). This proposal reflects our belief 
that sources would need this amount of time to comply with the various 
proposed requirements and is a result of our review of the more recent 
information and data that these proposed requirements are based on. For 
instance, the proposed work practice standards for phenol, which call 
for vendor specifications, would likely require vendor bids and 
selections as well as time to establish the free-phenol content of 
binder resin and the likely institution of new practices to address the 
record keeping requirements when finalized.

V. What other changes are we proposing to the NESHAP in this action?

    In this action, we are also proposing amendments to the incinerator 
operating limits specified in 40 CFR 63.1382(c)(6) to clearly indicate 
that the subsection applies to cooling emissions. Incinerators would be 
required to control the final formaldehyde, methanol, and, where 
applicable, phenol emissions from forming, curing, and cooling 
processes on both FA and bonded RS lines.
    We are proposing to allow owners or operators that conducted 
emissions tests in 2016 in response to the EPA's ICR to submit those 
performance test results to demonstrate initial compliance with the new 
methanol emission limits for RS lines, rather than conducting 
additional tests.

VI. What are the proposed amendments applicable to FA lines?

    We are proposing the following three subcategories for FA lines 
based on recent information indicating that there are technical or 
design differences that distinguish sources that utilize FA lines:

[[Page 40977]]

(1) Aerospace and Air Filtration (Aerospace); (2) Heating, Ventilation, 
and Air Conditioning (HVAC); and (3) Original Equipment Manufacturer 
(OEM). (In establishing standards under CAA section 112(d), the EPA may 
``distinguish among classes, types, and sizes of sources within a 
category or sub-category.'' CAA section 112(d)(1). NRDC v. EPA, 489 
F.3d 1364 (D.C. Cir. 2007)). We are also proposing revisions to the 
July 2015 final rule formaldehyde, methanol, and phenol limits to 
reflect these new subcategories.\2\
---------------------------------------------------------------------------

    \2\ On July 27, 2017, the EPA published a direct final rule to 
extend the compliance date for the FA lines in order to provide time 
for the EPA to review new emissions data and revise the standards 
where appropriate.
---------------------------------------------------------------------------

    In March 2017, the EPA received notification from Johns Manville 
that several of the emission test reports the company submitted to the 
EPA to support development of the 2015 NESHAP emission limits for FA 
lines contained errors in the analytical results for formaldehyde, 
methanol, and phenol. According to Johns Manville and their testing 
contractor, the errors caused the test run-level values for pollutant 
mass to be biased low, particularly for methanol and phenol (i.e., 
actual pollutant emissions were higher than reported). Johns Manville 
provided the corrected reports for the facilities affected by the 
miscalculations to the EPA after promulgation of the July 29, 2015, 
final rule. Upon further review of the data, including the rationale 
for setting the 2015 NESHAP emission limits, the EPA has determined 
that there are several technical questions regarding the 2015 NESHAP 
emission limits that cannot be resolved using the corrected reports 
provided by Johns Manville. Consequently, in May 2017 Johns Manville 
provided the EPA with more recent test data for FA lines that were 
collected in 2016 and 2017.
    The EPA's review of the new test data confirmed that all FA line 
emissions points at each facility were sampled and pollutant 
concentrations were measured using test methods allowed by 40 CFR 63, 
subpart NNN (EPA Methods 316 and 318 for formaldehyde, EPA Methods 308 
and 318 for methanol, and EPA Method 318 for phenol). However, the EPA 
identified that the phenol emissions from certain FA lines were 1 to 2 
orders of magnitude higher than the phenol emissions from other FA 
lines. The EPA discussed this observation with Johns Manville 
representatives who acknowledged that they use different binder 
formulations on certain FA lines to manufacture specific types of wool 
fiberglass products, and that the different binder formulations result 
in higher or lower phenol emissions, depending on the composition of 
the binder. As previously explained, in cases where we identify 
differences in size, class, or type that significantly affect emissions 
levels, we may create subcategories when setting emission limits. This 
is the case here, where the phenol content of the resins is different 
based on the product type. The industry identified three types of FA 
line products: (1) Aerospace; (2) HVAC; and (3) OEM. The type of 
product determines the phenol content of the resin and, ultimately, the 
level of phenol emissions.
    Based on the EPA's review of the new emissions data, the EPA is 
proposing standards for the three subcategories of FA line products as 
shown in Table 4.

                                 Table 4--Proposed Emission Limits for FA Lines
                                                    [lb/ton]
----------------------------------------------------------------------------------------------------------------
                                                                                                      New and
                  Subcategory                               Pollutant                Existing      reconstructed
                                                                                      sources         sources
----------------------------------------------------------------------------------------------------------------
Aerospace.....................................  Formaldehyde....................           26.25           16.83
                                                Methanol........................            8.69            3.98
HVAC..........................................  Formaldehyde....................            2.81            2.38
                                                Methanol........................            7.29            1.44
                                                Phenol..........................            0.38            0.38
OEM...........................................  Formaldehyde....................            4.66            2.60
                                                Methanol........................            5.32            0.98
                                                Phenol..........................           27.19           20.69
----------------------------------------------------------------------------------------------------------------

    For the Aerospace subcategory, we are proposing a work practice 
standard that represents MACT for phenol because approximately 80 
percent of the available phenol data are below the detection limit of 
the respective test method. Consistent with our proposed work practice 
for phenol emissions from RS lines, we are proposing to require owners 
or operators to establish the free-phenol content of the binder resin 
used during the formaldehyde and methanol compliance demonstration for 
the Aerospace subcategory, based on vendor specifications, and to 
require recordkeeping of the free-phenol contents of each resin 
shipment received and each resin used in binder formulation. We are 
also proposing to revise the emission standards specified in 40 CFR 
63.1382(c)(9) to require that owners or operators must not use a resin 
in binder formulations that contain a higher free-phenol content than 
they established during the initial or 5-year compliance demonstrations 
for formaldehyde and methanol.
    We are specifically requesting comments and supporting process and 
emissions data related to the proposed revisions to the promulgated 
emissions limits for FA lines.

VII. Summary of Cost, Environmental and Economic Impacts

A. How many sources are affected?

    Based on the responses to the 2016 ICR, only three wool fiberglass 
manufacturing facilities continue to use RS lines to manufacture a 
bonded product. These three facilities operate six bonded RS lines that 
would be affected by the revised emission limits. The EPA is not 
currently aware of any planned or potential new or reconstructed bonded 
RS lines.

B. What are the air quality impacts?

    The proposed standards codify and maintain the emissions reductions 
achieved by the industry due primarily to the phase-out of PF binders 
since promulgation of the 1999 NESHAP. Based on the test data received 
in response to the CAA section 114 ICR, all facilities with bonded RS 
lines currently meet the proposed emission limits for formaldehyde and 
methanol. Therefore, the proposed emission limits for

[[Page 40978]]

formaldehyde and methanol will not result in further HAP emissions 
reductions. Also, we do not anticipate secondary environmental impacts 
from the proposed amendments to the Wool Fiberglass Manufacturing 
NESHAP because owners or operators will not need to install additional 
control devices to meet the proposed standards.

C. What are the cost impacts?

    Because the existing facilities will not need to install add-on 
control devices or implement process modifications to comply with the 
proposed emissions standards, and because the EPA is allowing 
facilities to use the test reports submitted in response to the ICR 
Part 2 to demonstrate initial compliance with the proposed emission 
limits, the three facilities subject to the proposed emission limits 
will not incur increased costs for installing or upgrading emissions 
control systems. However, the three facilities subject to this proposal 
will each incur costs ($4,377/year/facility, 2016 dollars) related to 
the submission of initial notifications and notifications of compliance 
status for the formaldehyde and methanol emission limits, and 
additional monitoring and recordkeeping activities related to the 
phenol work practice standard.

D. What are the economic impacts?

    Economic impact analyses evaluate changes in market prices and 
output levels. If changes in market prices and output levels in the 
directly affected markets are significant, impacts on other markets are 
also examined. Both the magnitude of costs needed to comply with the 
rule and the distribution of these costs among affected facilities can 
have a role in determining how the market will change in response to a 
rule.
    The proposed standards for RS lines at wool fiberglass facilities 
do not impose control costs or additional testing costs on affected 
facilities. However, affected facilities will have reporting 
requirements (i.e., an initial notification and a notification of 
compliance status) associated with the proposed formaldehyde and 
methanol emission limits and monitoring and recordkeeping requirements 
associated with the phenol work practice standard. We estimate that the 
total annual burden for each facility associated with the proposed 
monitoring, reporting, and recordkeeping requirements to be 
approximately $4,377/year/facility, and the total annual cost of this 
proposal is approximately $13,131/year (2016 dollars). The economic 
impacts associated with the costs of this proposal are quite low; each 
affected firm is estimated to experience an impact of less than 0.01 
percent of their revenues.

E. What are the benefits?

    Based on the data collected under ICR Part 2, the actual 
formaldehyde emissions from all bonded RS lines are lower than the 
level allowed under the 1999 NESHAP. Although the proposed standards do 
not achieve further emissions reductions, the proposed emission limits 
for formaldehyde and methanol ensure that the emissions reductions that 
have been achieved since promulgation of the original 40 CFR 63, 
subpart NNN in 1999 will persist into the future and that emissions 
will not increase.

VIII. 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 proposed 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)

    This action does not impose any new information collection burden 
under the PRA. OMB has previously approved the information collection 
activities contained in the existing regulations and has assigned OMB 
control number 1160.10. This action does not change the information 
collection requirements.

C. Regulatory Flexibility Act (RFA)

    I certify that this proposed 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. 
None of the three entities affected by this proposal are small 
entities, using the Small Business Administration definition of small 
business for the affected NAICS code (327993), which is 1,500 employees 
for the ultimate parent company.

D. Unfunded Mandates Reform Act (UMRA)

    This proposed action does not contain any 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 proposed action 
imposes no enforceable duty on any state, local, or tribal governments 
or the private sector.

E. Executive Order 13132: Federalism

    This proposed 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 proposed action does not have tribal implications, as 
specified in Executive Order 13175. This proposed action would revise 
the existing emissions limit for formaldehyde and establish new 
emission limits for methanol and a work practice standard for phenol 
emissions. Thus, Executive Order 13175 does not apply to this proposed 
action.

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

    The EPA interprets Executive Order 13045 as applying only to those 
regulatory actions that concern environmental health or safety risks 
that the EPA has reason to believe may disproportionately affect 
children, per the definition of ``covered regulatory action'' in 
section 2-202 of the Executive Order. This proposed action is not 
subject to Executive Order 13045 because it does not concern an 
environmental health risk or safety risk.

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

    This proposed 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 proposed action involves technical standards. Therefore, the 
EPA conducted searches for the Wool Fiberglass Manufacturing Area 
Source NESHAP through the Enhanced National Standards Systems Network 
(NSSN) Database managed by the American National Standards Institute 
(ANSI). We also contacted voluntary consensus standards (VCS) 
organizations and accessed and searched their databases.
    As discussed in the November 2014 supplemental proposal (79 FR 
68029), under 40 CFR part 63, subpart NNN, we conducted searches for 
EPA Methods 5,

[[Page 40979]]

318, 320, 29, and 0061 of 40 CFR part 60, Appendix A. These searches 
did not identify any VCS that were potentially applicable for this rule 
in lieu of EPA reference methods.

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). It 
does not establish an environmental health or safety standard. This 
action would make corrections and updates to an existing protocol for 
assessing the precision and accuracy of alternative test methods to 
ensure they are comparable to the methods otherwise required; thus, it 
does not modify or affect the impacts to human health or the 
environment of any standards for which it may be used.

List of Subjects in 40 CFR Part 63

    Environmental protection, Administrative practice and procedures, 
Air pollution control, Hazardous substances, Reporting and 
recordkeeping requirements, Wool fiberglass manufacturing.

    Dated: August 18, 2017.
E. Scott Pruitt,
Administrator.

    For the reasons stated in the preamble, the EPA proposes to amend 
title 40, chapter I, part 63 of the Code of the 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 NNN--National Emission Standards for Hazardous Air 
Pollutants for Wool Fiberglass Manufacturing

0
2. Section 63.1381 is amended by adding the definitions, in 
alphabetical order, for ``Aerospace and Air Filtration Products,'' 
``Heating, Ventilation, and Air Conditioning (HVAC) Products,'' and 
``Original Equipment Manufacturer (OEM) Products'' to read as follows:


Sec.  63.1381   Definitions.

* * * * *
    Aerospace and air filtration products means bonded wool fiberglass 
insulation manufactured for the thermal and acoustical insulation of 
aircraft and/or the air filtration markets.
* * * * *
    Heating, ventilation, and air conditioning (HVAC) products means 
bonded wool fiberglass insulation manufactured for use in HVAC systems 
for the distribution of air or for thermal and acoustical insulation of 
HVAC distribution lines.
* * * * *
    Original equipment manufacturer (OEM) products means bonded wool 
fiberglass insulation manufactured for OEM entities that fabricate the 
insulation into parts used as thermal or acoustical insulation in 
products including, but not limited to, appliances, refrigeration 
units, and office interior equipment.
* * * * *
0
3. Section 63.1382 is amended by revising paragraphs (c)(6), (c)(8)(i), 
and (c)(9) to read as follows:


Sec.  63.1382  Emission standards.

* * * * *
    (c) * * *
    (6) The owner or operator must operate each incinerator used to 
comply with the emissions limits for rotary spin or flame attenuation 
lines specified in Table 2 to this subpart such that any 3-hour block 
average temperature in the firebox does not fall below the average 
established during the performance test as specified in Sec.  63.1384.
* * * * *
    (8) * * *
    (i) The owner or operator must initiate corrective action within 1 
hour when the monitored process parameter level(s) is outside the 
limit(s) established during the performance test as specified in Sec.  
63.1384 for the process modification(s) used to comply with the 
emissions limits for rotary spin or flame attenuation lines specified 
in Table 2 to this subpart, and complete corrective actions in a timely 
manner according to the procedures in the operations, maintenance, and 
monitoring plan.
* * * * *
    (9) The owner or operator must use a resin in the formulation of 
binder such that the free-formaldehyde and free-phenol contents of the 
resin used do not exceed the respective ranges contained in the 
specification for the resin used during the performance test as 
specified in Sec.  63.1384.
* * * * *
0
4. Section 63.1383 is amended by revising paragraphs (g)(1), (h), 
(i)(1), and (j) to read as follows:


Sec.  63.1383  Monitoring requirements.

* * * * *
    (g) * * *
    (1) The owner or operator who uses an incinerator to comply with 
the emissions limits for rotary spin or flame attenuation lines 
specified in Table 2 to this subpart shall install, calibrate, 
maintain, and operate a monitoring device that continuously measures 
and records the operating temperature in the firebox of each 
incinerator.
* * * * *
    (h) The owner or operator who uses a wet scrubbing control device 
to control formaldehyde and methanol emissions must install, calibrate, 
maintain, and operate monitoring devices that continuously monitor and 
record the gas pressure drop across each scrubber and the scrubbing 
liquid flow rate to each scrubber according to the procedures in the 
operations, maintenance, and monitoring plan. The pressure drop monitor 
must be certified by its manufacturer to be accurate within 250 pascals (1 inch water gauge) over its operating 
range, and the flow rate monitor must be certified by its manufacturer 
to be accurate within 5 percent over its operating range. 
The owner or operator must also continuously monitor and record the 
feed rate of any chemical(s) added to the scrubbing liquid.
* * * * *
    (i) * * *
    (1) The owner or operator who uses process modifications to control 
formaldehyde and methanol emissions must establish a correlation 
between formaldehyde and methanol emissions and the process 
parameter(s) to be monitored.
* * * * *
    (j) The owner or operator must monitor and record the free-
formaldehyde and free-phenol content of each resin shipment received 
and of each resin used in the formulation of binder.
* * * * *
0
5. Section 63.1384 is amended by revising introductory paragraph (a), 
(a)(3), (a)(9), and introductory paragraph (c) to read as follows:


Sec.  63.1384  Performance test requirements.

    (a) The owner or operator subject to the provisions of this subpart 
shall conduct a performance test to demonstrate compliance with the 
applicable emission limits in Sec.  63.1382. Compliance is demonstrated 
when the emission rate of the pollutant is equal to or less than each 
of the applicable emission limits in Sec.  63.1382. The owner or 
operator shall conduct the

[[Page 40980]]

performance test according to the procedures in 40 CFR part 63, subpart 
A and in this section. If the owner or operator conducted an emissions 
test in 2016 according to the procedures specified in Sec.  
63.1384(a)(9) and Sec.  63.1385 in response to the EPA's Information 
Collection Request, the owner or operator can use the results of the 
emissions test to demonstrate initial compliance with the emission 
limits for rotary spin lines specified in Table 2 to this subpart.
* * * * *
    (3) During each performance test, the owner or operator must 
monitor and record the glass pull rate for each glass-melting furnace 
and, if different, the glass pull rate for each rotary spin 
manufacturing line and flame attenuation manufacturing line. Record the 
glass pull rate every 15 minutes during any performance test required 
by this subpart and determine the arithmetic average of the recorded 
measurements for each test run and calculate the average of the three 
test runs. If a rotary spin or flame attenuation line shares one or 
more emissions points with another rotary spin or flame attenuation 
line(s), owners or operators can conduct the performance test while 
each of the process lines with the shared emissions point(s) is 
operating as specified in paragraph (a)(8) of this section, rather than 
testing each of the shared lines separately. In these cases, owners or 
operators must use the combined glass pull rate for the process lines 
with the shared emissions point(s) to demonstrate compliance with the 
emissions limits specified in Table 2 to this subpart.
* * * * *
    (9) The owner or operator of each rotary spin manufacturing line 
and flame attenuation manufacturing line regulated by this subpart must 
conduct performance tests using the resin with the highest free-
formaldehyde content. During the performance test of each rotary spin 
manufacturing line and flame attenuation manufacturing line regulated 
by this subpart, the owner or operator shall monitor and record the 
free-formaldehyde and free-phenol contents of the resin, the binder 
formulation used, and the product LOI and density.
* * * * *
    (c) To determine compliance with the emission limits specified in 
Table 2 to this subpart, for formaldehyde and methanol for RS 
manufacturing lines; formaldehyde, phenol, and methanol for FA 
manufacturing lines; and chromium compounds for gas-fired glass-melting 
furnaces, use the following equation:
* * * * *
0
6. Section 63.1385 is amended by revising paragraph (a)(8) as follows:


Sec.  63.1385  Test methods and procedures.

    (a) * * *
    (8) Method contained in appendix B of this subpart for the 
determination of the free-formaldehyde content of resin. The owner or 
operator shall use vendor specifications to determine the free-phenol 
content of resin.
* * * * *
0
7. Section 63.1386 is amended by revising paragraph (d)(2)(v) to read 
as follows:


Sec.  63.1386  Notification, recordkeeping, and reporting requirements

* * * * *
    (d) * * *
    (2) * * *
    (v) The free-formaldehyde and free-phenol contents of each binder 
batch and the LOI and density for each product manufactured on a rotary 
spin manufacturing line or flame attenuation manufacturing line subject 
to the provisions of this subpart, and the free-formaldehyde and free-
phenol contents of each resin shipment received and of each resin used 
in the binder formulation;
* * * * *
0
8. Table 2 to subpart NNN of part 63 is amended by:
0
 a. Revising entries 7 and 8;
0
b. Redesignating entries 9 through 13 as entries 11 through 15;
0
c. Adding new entries 9 and 10;
0
d. Revising newly redesignated entries 13 through 15;
0
e. Adding new entries 16 through 19; and
0
 g. Adding new footnote 5.
    The revisions and additions read as follows:

                    Table 2 to Subpart NNN of Part 63--Emissions Limits and Compliance Dates
----------------------------------------------------------------------------------------------------------------
                                          And you commenced       Your emission limits   And you must comply by:
         If your source is a:               construction:               are: \1\                   \2\
----------------------------------------------------------------------------------------------------------------
 
                                                  * * * * * * *
7. Rotary spin manufacturing line....  On or before March 31,   1.2 lb formaldehyde per  June 14, 2002.
                                        1997.                    ton of glass pulled
                                                                 \5\.
8. Rotary spin manufacturing line....  After March 31, 1997...  0.8 lb formaldehyde per  June 14, 1999.
                                                                 ton of glass pulled
                                                                 \5\.
9. Rotary spin manufacturing line....  On or before November    0.32 lb formaldehyde     Date 3 years after
                                        25, 2011.                per ton of glass         publication of the
                                                                 pulled.                  final rule.
                                                                1.06 lb methanol per
                                                                 ton of glass pulled.
10. Rotary spin manufacturing line...  After November 25, 2011  0.24 lb formaldehyde     Date of publication of
                                                                 per ton of glass         the final rule.\4\
                                                                 pulled.
                                                                0.65 lb methanol per
                                                                 ton of glass pulled.
11. Flame attenuation line             After March 31, 1997     7.8 lb formaldehyde per  June 14, 1999.
 manufacturing a heavy-density          but on or before         ton of glass pulled
 product.                               November 25, 2011.       \5\.
12. Flame attenuation line             On or before March 31,   6.8 lb formaldehyde per  June 14, 2002.
 manufacturing a pipe product.          1997.                    ton of glass pulled
                                                                 \5\.
13. Flame attenuation line             After March 31, 1997     6.8 lb formaldehyde per  June 14, 1999.
 manufacturing a pipe product.          but before November      ton of glass pulled
                                        25, 2011.                \5\.
14. Flame attenuation line             On or before November    26.25 lb formaldehyde    Date 1 year after
 manufacturing an Aerospace product.    25, 2011.                per ton of glass         publication of the
                                                                 pulled.                  final rule.
                                                                8.69 lb methanol per
                                                                 ton of glass pulled.

[[Page 40981]]

 
15. Flame attenuation line             After November 25, 2011  16.83 lb formaldehyde    Date of publication of
 manufacturing an Aerospace product.                             per ton of glass         the final rule.\4\
                                                                 pulled.
                                                                3.98 lb methanol per
                                                                 ton of glass pulled.
16. Flame attenuation line             On or before November    2.81 lb formaldehyde     Date 1 year after
 manufacturing an HVAC product.         25, 2011.                per ton of glass         publication of the
                                                                 pulled.                  final rule.
                                                                7.29 lb methanol per
                                                                 ton of glass pulled.
                                                                0.38 lb phenol per ton
                                                                 of glass pulled.
17. Flame attenuation line             After November 25, 2011  2.38 lb formaldehyde     Date of publication of
 manufacturing an HVAC product.                                  per ton of glass         the final rule.\4\
                                                                 pulled.
                                                                1.44 lb methanol per
                                                                 ton of glass pulled.
                                                                0.38 lb phenol per ton
                                                                 of glass pulled.
18. Flame attenuation line             On or before November    4.66 lb formaldehyde     Date 1 year after
 manufacturing an OEM product.          25, 2011.                per ton of glass         publication of the
                                                                 pulled.                  final rule.
                                                                5.32 lb methanol per
                                                                 ton of glass pulled.
                                                                27.19 lb phenol per ton
                                                                 of glass pulled.
19. Flame attenuation line             After November 25, 2011  2.60 lb formaldehyde     Date of publication of
 manufacturing an OEM product.                                   per ton of glass         the final rule.\4\
                                                                 pulled.
                                                                0.98 lb methanol per
                                                                 ton of glass pulled.
                                                                20.69 lb phenol per ton
                                                                 of glass pulled.
----------------------------------------------------------------------------------------------------------------
\5\ This limit does not apply after date 3 years after publication of the final rule.

* * * * *
[FR Doc. 2017-18211 Filed 8-28-17; 8:45 am]
BILLING CODE 6560-50-P



                                                    40970                  Federal Register / Vol. 82, No. 166 / Tuesday, August 29, 2017 / Proposed Rules

                                                    preempt tribal law. Thus Executive                      comment on any aspect of previous                     FOR FURTHER INFORMATION CONTACT:      For
                                                    Order 13175 does not apply to this                      rulemakings, including the November                   questions about this proposed action,
                                                    action.                                                 25, 2011, April 15, 2013, and November                contact Mr. Brian Storey, Office of Air
                                                                                                            13, 2014, proposals.                                  Quality Planning and Standards, Sector
                                                    List of Subjects in 40 CFR Part 52
                                                                                                            DATES:  The EPA must receive written                  Policies and Programs Division (D243–
                                                      Environmental protection,                                                                                   04), Environmental Protection Agency,
                                                    Administrative practice and procedure,                  comments on this proposed rule on or
                                                                                                            before October 13, 2017.                              Research Triangle Park, NC 27711;
                                                    Air pollution control, Incorporation by                                                                       telephone number: (919) 541–1103; fax
                                                    reference, Intergovernmental relations,                   Public Hearing. If a public hearing is
                                                                                                                                                                  number: (919) 541–5450; email address:
                                                    Nitrogen Dioxide, Ozone, Particulate                    requested by September 5, 2017, then
                                                                                                                                                                  storey.brian@epa.gov.
                                                    matter, Reporting and recordkeeping                     we will hold a public hearing on
                                                                                                            September 13, 2017. The last day to pre-              SUPPLEMENTARY INFORMATION: Docket.
                                                    requirements, Sulfur oxides.                                                                                  The EPA has established a docket for
                                                                                                            register in advance to speak at the
                                                       Authority: 42 U.S.C. 7401 et seq.                                                                          this rulemaking under Docket ID No.
                                                                                                            public hearing will be September 11,
                                                      Dated: August 18, 2017.                               2017.                                                 EPA–HQ–OAR–2010–1042. All
                                                    Catherine R. McCabe,                                                                                          documents in the docket are listed in
                                                                                                            ADDRESSES:    Submit your comments,                   the Regulations.gov index. Although
                                                    Acting Regional Administrator, Region 2.
                                                                                                            identified by Docket ID No. EPA–HQ–                   listed in the index, some information is
                                                    [FR Doc. 2017–18290 Filed 8–28–17; 8:45 am]
                                                                                                            OAR–2010–1042, at http://                             not publicly available, e.g., CBI or other
                                                    BILLING CODE 6560–50–P                                  www.regulations.gov. Follow the online                information whose disclosure is
                                                                                                            instructions for submitting comments.                 restricted by statute. Certain other
                                                                                                            Once submitted, comments cannot be                    material, such as copyrighted material,
                                                    ENVIRONMENTAL PROTECTION
                                                                                                            edited or withdrawn from                              is not placed on the Internet and will be
                                                    AGENCY
                                                                                                            Regulations.gov. The EPA may publish                  publicly available only in hard copy.
                                                    40 CFR Part 63                                          any comment received to its public                    Publicly available docket materials are
                                                                                                            docket. Do not submit electronically any              available either electronically at https://
                                                    [EPA–HQ–OAR–2010–1042; FRL–9967–01–                     information you consider to be                        www.regulations.gov or in hard copy at
                                                    OAR]                                                    Confidential Business Information (CBI)               the EPA Docket Center, Room 3334,
                                                    RIN 2060–AT13                                           or other information whose disclosure is              EPA WJC West Building, 1301
                                                                                                            restricted by statute. Multimedia                     Constitution Avenue NW, Washington,
                                                    National Emission Standards for                         submissions (audio, video, etc.) must be              DC. The Public Reading Room is open
                                                    Hazardous Air Pollutants for Wool                       accompanied by a written comment.                     from 8:30 a.m. to 4:30 p.m., Monday
                                                    Fiberglass Manufacturing; Rotary Spin                   The written comment is considered the                 through Friday, excluding legal
                                                    Lines Technology Review                                 official comment and should include                   holidays. The telephone number for the
                                                    AGENCY:  Environmental Protection                       discussion of all points you wish to                  Public Reading Room is (202) 566–1744,
                                                    Agency (EPA).                                           make. The EPA will generally not                      and the telephone number for the EPA
                                                                                                            consider comments or comment                          Docket Center is (202) 566–1742.
                                                    ACTION: Proposed rule.
                                                                                                            contents located outside of the primary                  Instructions. Direct your comments to
                                                    SUMMARY: In this action, the                            submission (i.e., on the Web, cloud, or               Docket ID No. EPA–HQ–OAR–2010–
                                                    Environmental Protection Agency (EPA)                   other file sharing system). For                       1042. The EPA’s policy is that all
                                                    is proposing amendments to previous                     additional submission methods, the full               comments received will be included in
                                                    proposals to the National Emission                      EPA public comment policy,                            the public docket without change and
                                                    Standards for Hazardous Air Pollutants                  information about CBI or multimedia                   may be made available online at https://
                                                    (NESHAP) for the Wool Fiberglass                        submissions, and general guidance on                  www.regulations.gov, including any
                                                    Manufacturing source category. In the                   making effective comments, please visit               personal information provided, unless
                                                    July 29, 2015, final rulemaking, the EPA                http://www2.epa.gov/dockets/                          the comment includes information
                                                    deferred action on previously proposed                  commenting-epa-dockets.                               claimed to be CBI or other information
                                                    formaldehyde, methanol and phenol                         Public Hearing. If a hearing is                     whose disclosure is restricted by statute.
                                                    emission limits from rotary spin (RS)                   requested, it will be held at the EPA                 Do not submit information that you
                                                    lines at wool fiberglass manufacturing                  WJC East Building, 1201 Constitution                  consider to be CBI or otherwise
                                                    facilities. In this action, the EPA is                  Avenue NW, Washington, DC 20004. If                   protected through https://
                                                    proposing to readopt the existing                       a public hearing is requested, then we                www.regulations.gov or email. The
                                                    emission limits for formaldehyde, to                    will provide additional details about the             https://www.regulations.gov Web site is
                                                    establish emission limits for methanol,                 public hearing on our Web site at                     an ‘‘anonymous access’’ system, which
                                                    and to establish a work practice                        https://www.epa.gov/stationary-sources-               means the EPA will not know your
                                                    standard for phenol emissions from                      air-pollution/wool-fiberglass-                        identity or contact information unless
                                                    bonded RS lines at wool fiberglass                      manufacturing-national-emissions-                     you provide it in the body of your
                                                    manufacturing facilities. In addition, the              standards. To request a hearing, to                   comment. If you send an email
                                                    EPA is proposing amendments to the                      register to speak at a hearing, or to                 comment directly to the EPA without
                                                    emission limits promulgated on July 29,                 inquire if a hearing will be held, please             going through https://
                                                    2015, for formaldehyde, methanol, and                   contact Aimee St. Clair at (919) 541–                 www.regulations.gov, your email
jstallworth on DSKBBY8HB2PROD with PROPOSALS




                                                    phenol from flame attenuation (FA)                      1063 or by email at stclair.aimee@                    address will be automatically captured
                                                    lines at wool fiberglass manufacturing                  epa.gov. The EPA does not intend to                   and included as part of the comment
                                                    facilities. The EPA is only taking                      publish any future notices in the                     that is placed in the public docket and
                                                    comments on the specific proposed                       Federal Register regarding a public                   made available on the Internet. If you
                                                    requirements and revisions set forth in                 hearing on this proposed action and                   submit an electronic comment, the EPA
                                                    this proposed rulemaking, which are                     directs all inquiries regarding a hearing             recommends that you include your
                                                    based on information contained in this                  to the Web site and contact person                    name and other contact information in
                                                    proposal. The EPA is not taking                         identified above.                                     the body of your comment and with any


                                               VerDate Sep<11>2014   15:07 Aug 28, 2017   Jkt 241001   PO 00000   Frm 00008   Fmt 4702   Sfmt 4702   E:\FR\FM\29AUP1.SGM   29AUP1


                                                                           Federal Register / Vol. 82, No. 166 / Tuesday, August 29, 2017 / Proposed Rules                                            40971

                                                    disk or CD–ROM you submit. If the EPA                   employee badges, passports, enhanced                    A. What are the proposed rule
                                                    cannot read your comment due to                         driver’s licenses, and military                            requirements for formaldehyde
                                                    technical difficulties and cannot contact               identification cards. In addition, you                     emissions from bonded RS lines?
                                                    you for clarification, the EPA may not                  will need to obtain a property pass for                 B. What are the proposed rule
                                                    be able to consider your comment.                                                                                  requirements for methanol emissions
                                                                                                            any personal belongings you bring with
                                                                                                                                                                       from bonded RS lines?
                                                    Electronic files should not include                     you. Upon leaving the building, you                     C. What are the proposed rule
                                                    special characters or any form of                       will be required to return this property                   requirements for phenol emissions from
                                                    encryption and be free of any defects or                pass to the security desk. No large signs                  bonded RS lines?
                                                    viruses. For additional information                     will be allowed in the building, cameras              IV. What are the proposed rule amendments
                                                    about the EPA’s public docket, visit the                may only be used outside of the                            resulting from our technology review
                                                    EPA Docket Center homepage at https://                  building and demonstrations will not be                    and our proposed decisions?
                                                    www.epa.gov/dockets.                                    allowed on federal property for security                A. What are the results and proposed
                                                       Public Hearing. If requested by                      reasons.                                                   decisions for formaldehyde emissions
                                                    September 5, 2017, a public hearing will                   Preamble Acronyms and                                   from RS lines based on our technology
                                                    be held on September 13, 2017 at the                    Abbreviations. We use multiple                             review?
                                                    EPA WJC East Building, 1201                             acronyms and terms in this preamble.                    B. What are the proposed requirements for
                                                    Constitution Avenue NW, Washington,                                                                                methanol emissions from RS lines?
                                                                                                            While this list may not be exhaustive, to
                                                    DC 20004. If a public hearing is                                                                                C. What are the proposed requirements for
                                                                                                            ease the reading of this preamble and for                  phenol emissions from RS lines?
                                                    requested, then we will provide                         reference purposes, the EPA defines the                 D. What compliance dates are we
                                                    additional details about the public                     following terms and acronyms here:                         proposing?
                                                    hearing on our Web site at https://                     BACT best available control technology                V. What other changes are we proposing to
                                                    www.epa.gov/stationary-sources-air-                     CAA Clean Air Act                                          the NESHAP in this action?
                                                    pollution/wool-fiberglass-                              CBI Confidential Business Information                 VI. What are the proposed amendments
                                                    manufacturing-national-emissions-                       CD–ROM Compact Disc Read-Only Memory                       applicable to FA lines?
                                                    standards. In addition, you may contact                 CFR Code of Federal Regulations                       VII. Summary of Cost, Environmental and
                                                    Aimee St. Clair at (919) 541–1063 or                    EPA Environmental Protection Agency                        Economic Impacts
                                                    email at stclair.aimee@epa.gov with                     FA lame attenuation                                     A. How many sources are affected?
                                                                                                            FR Federal Register                                     B. What are the air quality impacts?
                                                    public hearing inquiries. The last day to
                                                                                                            FTIR Fourier Transform Infrared                         C. What are the cost impacts?
                                                    pre-register to speak at a hearing, if one              HAP hazardous air pollutants                            D. What are the economic impacts?
                                                    is held, will be September 11, 2017.                    ICR information collection request                      E. What are the benefits?
                                                    Additionally, requests to speak will be                 LAER lowest achievable emission rate                  VIII. Statutory and Executive Order Reviews
                                                    taken the day of the hearing at the                     lb/ton pounds per ton                                   A. Executive Order 12866: Regulatory
                                                    hearing registration desk, although                     MACT maximum achievable control                            Planning and Review and Executive
                                                    preferences on speaking times may not                     technology                                               Order 13563: Improving Regulation and
                                                    be able to be fulfilled. Please note that               MIR maximum individual risk                                Regulatory Review
                                                                                                            NESHAP national emission standards for                  B. Paperwork Reduction Act (PRA)
                                                    registration requests received before the
                                                                                                              hazardous air pollutants                              C. Regulatory Flexibility Act (RFA)
                                                    hearing will be confirmed by the EPA                    NRDC Natural Resource Defense Council
                                                    via email.                                                                                                      D. Unfunded Mandates Reform Act
                                                                                                            OAQPS Office of Air Quality Planning and                   (UMRA)
                                                       The EPA will make every effort to                      Standards
                                                    accommodate all speakers who arrive                                                                             E. Executive Order 13132: Federalism
                                                                                                            OMB Office of Management and Budget
                                                                                                                                                                    F. Executive Order 13175: Consultation
                                                    and register. If the hearing is held at a               PF phenol-formaldehyde
                                                                                                                                                                       and Coordination with Indian Tribal
                                                    U.S. governmental facility, individuals                 PRA Paperwork Reduction Act
                                                                                                                                                                       Governments
                                                    planning to attend the hearing should be                RFA Regulatory Flexibility Act
                                                                                                                                                                    G. Executive Order 13045: Protection of
                                                    prepared to show valid picture                          RS rotary spin
                                                                                                            UMRA Unfunded Mandates Reform Act                          Children from Environmental Health
                                                    identification to the security staff to gain            NTTAA National Technology Transfer and                     Risks and Safety Risks
                                                    access to the meeting room. Please note                   Advancement Act                                       H. Executive Order 13211: Actions that
                                                    that the REAL ID Act, passed by                         tpy tons per year                                          Significantly Affect Energy Supply,
                                                    Congress in 2005, established new                                                                                  Distribution, or Use
                                                                                                              Organization of this Document. The                    I. National Technology Transfer and
                                                    requirements for entering federal
                                                                                                            information in this preamble is                            Advancement Act (NTTAA)
                                                    facilities. If your driver’s license is
                                                                                                            organized as follows:                                   J. Executive Order 12898: Federal Actions
                                                    issued by Alaska, American Samoa,                                                                                  to Address Environmental Justice in
                                                    California, Guam, Idaho, Illinois,                      Table of Contents                                          Minority Populations and Low-Income
                                                    Kentucky, Louisiana, Maine,                             I. General Information                                     Populations
                                                    Massachusetts, Michigan, Minnesota,                        A. Does this action apply to me?
                                                    Missouri, Montana, New Hampshire,                          B. Where can I get a copy of this document
                                                                                                                                                                  I. General Information
                                                    New York, North Carolina, North                              and other related information?                   A. Does this action apply to me?
                                                    Dakota, Northern Mariana Islands,                          C. What should I consider as I prepare my
                                                    Oklahoma, Oregon, Pennsylvania,                              comments for the EPA?                              Table 1 of this preamble lists the
                                                    Puerto Rico, Rhode Island, South                        II. Background                                        NESHAP and associated regulated
                                                    Carolina, Texas, Virgin Islands, Virginia,                 A. What is the statutory authority for this        industrial source category that is the
                                                                                                                 action?
jstallworth on DSKBBY8HB2PROD with PROPOSALS




                                                    or the state of Washington, you must                       B. What is the regulatory history for wool
                                                                                                                                                                  subject of this proposal. Table 1 of this
                                                    present an additional form of                                fiberglass manufacturing?                        preamble is not intended to be
                                                    identification to enter the federal                        C. What is the purpose of this proposal?           exhaustive, but rather provides a guide
                                                    building. Acceptable alternative forms                  III. What are the proposed rule requirements          for readers regarding the entities likely
                                                    of identification include: Federal                           for RS lines and what is our rationale?          to be affected by this proposed action.




                                               VerDate Sep<11>2014   15:07 Aug 28, 2017   Jkt 241001   PO 00000   Frm 00009   Fmt 4702   Sfmt 4702   E:\FR\FM\29AUP1.SGM   29AUP1


                                                    40972                        Federal Register / Vol. 82, No. 166 / Tuesday, August 29, 2017 / Proposed Rules

                                                                       TABLE 1—NESHAP AND INDUSTRIAL SOURCE CATEGORIES AFFECTED BY THIS PROPOSED ACTION
                                                                                                                      Source category                                                                                 NESHAP      NAICS code 1

                                                    Wool Fiberglass Manufacturing ...............................................................................................................................   Subpart NNN         327993
                                                       1   North American Industry Classification System.


                                                       The proposed standards, once                                      of the disk or CD–ROM as CBI and then                                 environmental impacts) and are
                                                    promulgated, will be directly applicable                             identify electronically within the disk or                            commonly referred to as maximum
                                                    to the affected sources. Federal, state,                             CD–ROM the specific information that                                  achievable control technology (MACT)
                                                    local, and tribal government entities are                            is claimed as CBI. In addition to one                                 standards. Additionally, CAA section
                                                    not affected by this proposed action.                                complete version of the comments that                                 112(h) allows the agency to adopt a
                                                       In 1992, the EPA defined the Wool                                 includes information claimed as CBI,                                  work practice standard in lieu of a
                                                    Fiberglass Manufacturing source                                      you must submit a copy of the                                         numerical emission standard only if it is
                                                    category as any facility engaged in                                  comments that does not contain the                                    ‘‘not feasible in the judgment of the
                                                    producing wool fiberglass from sand,                                 information claimed as CBI for                                        Administrator to prescribe or enforce an
                                                    feldspar, sodium sulfate, anhydrous                                  inclusion in the public docket. If you                                emission standard for control of a
                                                    borax, boric acid, or any other materials.                           submit a CD–ROM or disk that does not                                 hazardous air pollutant.’’ This phrase is
                                                    In the wool fiberglass manufacturing                                 contain CBI, mark the outside of the                                  defined as applying where ‘‘the
                                                    process, molten glass is formed into                                 disk or CD–ROM clearly that it does not                               Administrator determines that the
                                                    fibers that are bonded with an organic                               contain CBI. Information not marked as                                application of measurement
                                                    resin to create a wool-like material that                            CBI will be included in the public                                    methodology to a particular class of
                                                    is used as thermal or acoustical                                     docket and the EPA’s electronic public                                sources is not practicable due to
                                                    insulation. The category includes, but is                            docket without prior notice. Information                              technological and economic
                                                    not limited to, the following processes:                             marked as CBI will not be disclosed                                   limitations.’’ CAA section 112(h)(1) and
                                                    Glass-melting furnace, marble forming,                               except in accordance with procedures                                  (2).
                                                    refining, fiber forming, binder                                      set forth in 40 Code of Federal                                          The EPA is required to review the
                                                    application, curing, and cooling.                                    Regulations (CFR) part 2. Send or                                     technology-based standards and revise
                                                    Facilities produce bonded building                                   deliver information identified as CBI                                 them ‘‘as necessary (taking into account
                                                    insulation using an RS manufacturing                                 only to the following address: OAQPS                                  developments in practices, processes,
                                                    line, and bonded pipe insulation and                                 Document Control Officer (C404–02),                                   and control technologies)’’ no less
                                                    other heavy-density products using an                                OAQPS, U.S. Environmental Protection                                  frequently than every 8 years. CAA
                                                    FA manufacturing line. If you have any                               Agency, Research Triangle Park, North                                 section 112(d)(6). In conducting this
                                                    questions regarding the applicability of                             Carolina 27711, Attention Docket ID No.                               review, the EPA is not required to
                                                    the proposed amendments, contact the                                 EPA–HQ–OAR–2010–1042.                                                 recalculate the MACT floor. Natural
                                                    person listed in the preceding FOR                                      If you have any questions about CBI                                Resources Defense Council (NRDC) v.
                                                    FURTHER INFORMATION CONTACT section.                                 or the procedures for claiming CBI,                                   EPA, 529 F.3d 1077, 1084 (D.C. Cir.
                                                    B. Where can I get a copy of this                                    please consult the person identified in                               2008). Association of Battery Recyclers,
                                                    document and other related                                           the FOR FURTHER INFORMATION CONTACT                                   Inc. v. EPA, 716 F.3d 667 (D.C. Cir.
                                                    information?                                                         section.                                                              2013).
                                                       In addition to being available in the                             II. Background                                                           In this action, the EPA is proposing to
                                                    docket, an electronic copy of this action                                                                                                  complete a technology review for RS
                                                                                                                         A. What is the statutory authority for                                lines in accordance with section
                                                    is available on the Internet. A redline
                                                                                                                         this action?                                                          112(d)(6) of the CAA. In addition, the
                                                    version of the regulatory language that
                                                    incorporates the proposed changes in                                    The statutory authority for this action                            EPA is proposing to amend certain
                                                    this action is available in the docket for                           is provided by sections 112 and 301 of                                emission limits promulgated on July 29,
                                                    this action (Docket ID No. EPA–HQ–                                   the Clean Air Act (CAA), as amended                                   2015, as part of the RTR for the
                                                    OAR–2010–1042). Following                                            (42 U.S.C. 7401 et seq.). Section 112 of                              standards for FA lines at wool fiberglass
                                                    publication in the Federal Register, the                             the CAA establishes a comprehensive                                   manufacturing facilities.
                                                    EPA will post the Federal Register                                   regulatory process to address emissions
                                                                                                                                                                                               B. What is the regulatory history for
                                                    version of the proposal and key                                      of hazardous air pollutants (HAP) from
                                                                                                                                                                                               wool fiberglass manufacturing?
                                                    technical documents at this same Web                                 stationary sources. In the first stage,
                                                    site. Information on the overall residual                            after the EPA has identified categories of                               The EPA promulgated the Wool
                                                    risk and technology review (RTR)                                     sources emitting one or more of the HAP                               Fiberglass Manufacturing NESHAP on
                                                    program is available at https://                                     listed in CAA section 112(b), CAA                                     June 14, 1999 (62 FR 31695). The 1999
                                                    www3.epa.gov/ttn/atw/rrisk/rtrpg.html.                               section 112(d) requires us to promulgate                              NESHAP, which is codified at 40 CFR
                                                                                                                         technology-based NESHAP for those                                     part 63, subpart NNN, includes
                                                    C. What should I consider as I prepare                               sources. ‘‘Major sources’’ are those that                             emissions standards for formaldehyde
                                                    my comments for the EPA?                                             emit or have the potential to emit 10                                 emissions from new and existing RS
jstallworth on DSKBBY8HB2PROD with PROPOSALS




                                                      For comments on this proposal, do                                  tons per year (tpy) or more of a single                               lines. On July 29, 2015, we published
                                                    not submit information containing CBI                                HAP or 25 tpy or more of any                                          the final rule amendments to the Wool
                                                    to the EPA through https://                                          combination of HAP. For major sources,                                Fiberglass Manufacturing NESHAP
                                                    www.regulations.gov or email. Clearly                                the technology-based NESHAP must                                      resulting from our completion of certain
                                                    mark the part or all of the information                              reflect the maximum degree of emission                                aspects of the CAA section 112(f)(2)
                                                    that you claim to be CBI. For CBI                                    reductions of HAP achievable (after                                   residual risk review and the CAA
                                                    information on a disk or CD–ROM that                                 considering cost, energy requirements,                                section 112(d)(6) technology review for
                                                    you mail to the EPA, mark the outside                                and non-air quality health and                                        that NESHAP RTR. 80 FR 45280.


                                               VerDate Sep<11>2014       15:07 Aug 28, 2017       Jkt 241001      PO 00000      Frm 00010      Fmt 4702      Sfmt 4702      E:\FR\FM\29AUP1.SGM           29AUP1


                                                                            Federal Register / Vol. 82, No. 166 / Tuesday, August 29, 2017 / Proposed Rules                                                       40973

                                                    Specifically, the July 29, 2015, final                      relied on in promulgating the July 2015                       phenol emissions limits from bonded
                                                    rule:                                                       final rule emissions limits for FA lines.                     RS lines based on comments indicating
                                                       (1) Established a chromium emissions                                                                                   that emission data we relied on for the
                                                                                                                C. What is the purpose of this proposal?
                                                    limit for gas-fired, glass-melting                                                                                        proposed limits were not representative
                                                    furnaces under CAA section 112(f)(2);                          This notice proposes the following                         of either contemporaneous operations or
                                                       (2) revised the particulate matter limit                 amendments to the NESHAP for the                              emissions from bonded RS lines. We
                                                    for gas-fired, glass-melting furnaces at                    Wool Fiberglass Manufacturing source                          explained that the proposals were based
                                                    major sources under CAA section                             category:                                                     on emissions and process data available
                                                    112(d)(6);                                                     • Readopting formaldehyde emission                         to the EPA at the time the various
                                                       (3) established work practice                            limits from bonded RS lines under CAA                         proposals were issued, and since that
                                                    standards for hydrogen chloride and                         section 112(d)(6);                                            time, approximately 95 percent of RS
                                                    hydrogen fluoride emissions from glass-                        • Establishing new emission limits                         lines had undergone process
                                                    melting furnaces at wool fiberglass                         for methanol from bonded RS lines                             modifications that involved phasing out
                                                    manufacturing facilities under CAA                          under CAA section 112(d)(2) and (3);                          the use of a phenol-formaldehyde (PF)
                                                    section 112(h);                                                • Establishing work practice                               binder and switching to HAP-free
                                                       (4) eliminated the use of                                standards for phenol from bonded RS                           binders. We further explained that we
                                                    formaldehyde as a surrogate and                             lines under CAA section 112(h);                               had determined that the product lines
                                                    established revised limits for                                 • Amending the incinerator operating                       continuing to operate using PF binders
                                                    formaldehyde and first-time limits for                      limits to include cooling emissions from                      are not similar to the tested product
                                                    methanol and phenol emitted from FA                         both RS and FA limits under CAA                               lines in size, end use, production rate,
                                                    lines under CAA sections 112(d)(2) and                      section 112(d)(2) and (3);                                    or loss on ignition (LOI) percent. In
                                                    (d)(3);                                                        • Establishing new subcategories of                        sum, we posited that available data did
                                                       (5) eliminated FA line subcategories;                    FA lines under CAA section 112(d)(1);                         not represent current industry
                                                       (6) removed the exemption for startup                       • Establishing new emission limits                         conditions, most notably, the significant
                                                    and shutdown periods and established                        for formaldehyde, methanol, and phenol                        reduction in the use of PF binders in
                                                    work practice standards that apply                          from most of the newly proposed FA                            wool fiberglass manufacturing. We
                                                    during startup and shutdown periods;                        line subcategories under CAA section                          further explained that we had issued an
                                                    and                                                         112(d)(2) and (3); and                                        ICR, pursuant to our authority under
                                                       (7) established a chromium emission                         • Setting work practice standards for                      CAA section 114, to wool fiberglass
                                                    limits for both new and existing gas-                       phenol from one newly proposed FA                             facilities that operate bonded RS lines in
                                                    fired, glass-melting furnaces at area                       line subcategory under CAA section                            order to obtain updated emissions,
                                                    sources in the Wool Fiberglass                              112(h).                                                       process, and control device data for
                                                    Manufacturing source category under                            We are requesting comments on only                         existing RS manufacturing lines. 80 FR
                                                    CAA section 112(d)(5).                                      the specific proposed revisions to the                        45293. The first part of the ICR
                                                       In the July 2015 rule, we did not                        Wool Fiberglass Manufacturing                                 requested general information regarding
                                                    finalize proposed emissions limits for                      NESHAP that are presented in this                             RS line process equipment and control
                                                    formaldehyde, methanol, and phenol                          notice. We are not reopening or                               devices. ICR Part 1. Based on the
                                                    emissions from forming cooling and                          accepting comment on any other aspect                         information obtained under ICR Part 1,
                                                    collection processes on bonded RS lines                     of the 2015 final rule or prior proposals.                    the EPA issued the second part of the
                                                    under CAA sections 112(d)(2) and (3).                       Taking final action on the proposed                           ICR that required facilities to conduct
                                                    We explained that this decision was                         revisions to the standards for RS lines                       emissions testing for formaldehyde,
                                                    based on comments we received on our                        would complete the required CAA                               methanol, and phenol from bonded RS
                                                    various proposals indicating that the                       section 112(d)(6) review for the Wool                         line processes. ICR Part 2. Specifically,
                                                    proposed limits likely relied on                            Fiberglass Manufacturing NESHAP.                              ICR Part 2 required subject facilities to
                                                    incorrect data. We explained that we                        III. What are the proposed rule                               collect stack emissions data from RS
                                                    had issued an Information Collection                        requirements for RS lines and what is                         lines during several testing events that
                                                    Request (ICR) under CAA section 114                         our rationale?                                                represented operations during multiple
                                                    for purposes of obtaining the requisite                                                                                   seasonal ambient conditions. In
                                                    data. 80 FR 45293. Since then, we have                      A. What are the proposed rule                                 response to ICR Part 2, the EPA received
                                                    received and evaluated responses to the                     requirements for formaldehyde                                 emissions test reports from the Johns
                                                    ICR. More recently, we have received                        emissions from bonded RS lines?                               Manville, Knauf Insulation, and Owens
                                                    new information and data from a facility                      In the July 29, 2015, final rule, we did                    Corning facilities. Table 2 of this
                                                    that operates FA lines that cast doubts                     not finalize the proposed revisions to                        preamble summarizes the sampling
                                                    on information and data that the agency                     the formaldehyde, methanol, and                               program conducted under ICR Part 2.

                                                                                                       TABLE 2—SUMMARY OF RS LINE TEST PROGRAM
                                                                 Facility                           Bonded RS line                           Test dates                               Sampling locations

                                                    Johns Manville—Defiance, OH           Line 89 ....................................         6/28/2016,       Collection Module A (Venturi scrubber 1 outlet).
jstallworth on DSKBBY8HB2PROD with PROPOSALS




                                                                                                                                               8/24/2016        Cooling table (Venturi scrubber 2 outlet).
                                                                                                                                                                Curing oven (regenerative thermal oxidizer (RTO) outlet).
                                                    Knauf Insulation—Shelbyville,         Lines 611, 612, 613, and 614                         6/15/2016,       Combined exhaust from Lines 611–614 forming process and
                                                      IN.                                                                                        8/2/2016         Lines 613 and 614 cooling process (wet electrostatic pre-
                                                                                                                                                                  cipitator outlet).
                                                                                                                                                                Curing oven (RTO outlet)
                                                    Owens Corning—Waxahachie,             Line V1 ....................................      5/17–18/2016        Forming process (spray chamber outlet).
                                                     TX.                                                                                                        Cooling (high-efficiency air filter outlet).
                                                                                                                                                                Curing oven (incinerator outlet).



                                               VerDate Sep<11>2014   15:07 Aug 28, 2017   Jkt 241001    PO 00000       Frm 00011         Fmt 4702   Sfmt 4702   E:\FR\FM\29AUP1.SGM   29AUP1


                                                    40974                  Federal Register / Vol. 82, No. 166 / Tuesday, August 29, 2017 / Proposed Rules

                                                       In reviewing and evaluating responses                developments in practices, processes,                    (2) Improvements in control
                                                    to the CAA section 114 ICR, we have                     and control technologies.                             technology being used have reduced
                                                    now determined that there are currently                    For RS bonded lines, we considered                 emissions on the remaining lines that
                                                    three facilities operating six bonded RS                any of the following to be a                          still use PF resins.
                                                    lines, as compared to 54 RS                             ‘‘development’’:                                         In light of the most notably significant
                                                    manufacturing lines at the time of our                     • Any add-on control technology or                 reduction of formaldehyde emissions,
                                                    November 2011 proposal (76 FR 72799).                   other equipment that was not                          we are, thus, proposing to conclude that
                                                    As shown in Table 2 of this preamble,                   considered during development of the                  there are developments in practices,
                                                    we have also determined that all RS                     original MACT standards.                              processes, and control technologies that
                                                    lines are equipped with air pollution                      • Any improvements in the                          warrant revisions to the MACT
                                                    control devices and, most importantly,                  performance of any add-on control                     standards for RS lines under CAA
                                                    that emissions from all RS lines are                    technology or other equipment (that                   section 112(d)(6).
                                                    significantly lower than the existing                   were identified and considered during
                                                                                                            development of the original MACT                      B. What are the proposed rule
                                                    MACT standards. Additionally, we were                                                                         requirements for methanol emissions
                                                    able to confirm the phase out or                        standards) that could result in
                                                                                                            additional emissions reduction.                       from bonded RS lines?
                                                    elimination of PF binders which
                                                    facilities have achieved by switching to                   • Any work practice or operational                    We are proposing to establish
                                                                                                            procedure to reduce emissions that was                emission standards for methanol
                                                    HAP-free binders in wool fiberglass
                                                                                                            not identified or considered during                   emissions from combined fiber/
                                                    manufacturing processes. This is
                                                                                                            development of the original MACT                      collection, curing, and cooling processes
                                                    consistent with our November 2011
                                                                                                            standards.                                            on new and existing bonded RS lines at
                                                    proposal where we explained that                           • Any process changes or pollution
                                                    ‘‘[d]ue to industry’s efforts to replace                                                                      wool fiberglass manufacturing facilities
                                                                                                            prevention alternatives that could be                 based on our evaluation of the data
                                                    phenol-formaldehyde binders more than                   broadly applied to the industry and that              submitted in response to the ICR
                                                    95 percent of formaldehyde, phenol and                  was not identified or considered during               discussed above. These proposed
                                                    methanol emissions had been reduced                     development of the original MACT                      standards differ from the methanol
                                                    (or will be by 2012).’’ 76 FR 72803.                    standards.                                            limits proposed in April 2013 and
                                                       As previously explained, CAA section                    • Any significant changes in the cost              November 2014 under CAA section
                                                    112(d)(6) requires us to ‘‘review, and                  (including cost effectiveness) of                     112(d)(2) and (3). As previously
                                                    revise as necessary (taking into account                applying controls (including controls                 explained, we did not finalize those
                                                    developments in practices, processes,                   the EPA considered during the                         proposed standards based on comments
                                                    and control technologies), emission                     development of the original MACT                      we received on our various proposals,
                                                    standards promulgated under this                        standards).                                           indicating that our proposals were
                                                    section.’’ We have interpreted CAA                         In addition to reviewing the responses             premised on questionable data given
                                                    section 112(d)(6) as providing us the                   to the ICR, we reviewed facility                      industry changes since collection of the
                                                    authority ‘‘to review the section 112(d)                operating permits and searched the                    data. In addition, as previously
                                                    standards considering developments in                   EPA’s RACT/BACT/LAER                                  explained, we issued and collected
                                                    practices, processes, and control                       Clearinghouse (RBLC) in our                           additional data that is representative of
                                                    technologies.’’ 70 FR 2008, April 15,                   investigation of developments in                      current industry operations under an
                                                    2008. The agency previously                             practices, processes, or control                      ICR subsequent to promulgation of our
                                                    promulgated a limit for formaldehyde                    technologies for RS lines at wool                     July 29, 2015, final rule. The revised
                                                    emissions from RS lines under CAA                       fiberglass manufacturing facilities.1                 limits proposed in this action are based
                                                    112(d) and, thus, has decided that it is                   As shown in Table 2 of this preamble               on data received in response to the
                                                    more appropriate to set limits for                      above, various processes on RS lines are              recent ICR discussed above.
                                                    formaldehyde emissions from RS lines                    equipped with air pollution control
                                                    under CAA section 112(d)(6) instead of                  devices as compared to at the time of                 C. What are the proposed rule
                                                    under CAA section 112(d)(2) and (3), as                 the promulgation of the 1999 MACT. As                 requirements for phenol emissions from
                                                    previously proposed.                                    also previously explained, current                    bonded RS lines?
                                                       As also explained in our November                    formaldehyde emissions are well below                    We are proposing work practice
                                                    2011 proposal, our technology review,                   the 1999 levels for two reasons:                      standards for phenol emissions from
                                                    under CAA section 112(d)(6), focuses on                    (1) Almost all bonded lines have                   combined fiber/collection, curing, and
                                                    the identification and evaluation of                    replaced the older PF resins with non-                cooling processes on new and existing
                                                    developments in practices, processes,                   PF resins. These reduced the source                   bonded RS lines at wool fiberglass
                                                    and control technologies that have                      category formaldehyde emissions by                    manufacturing facilities under CAA
                                                    occurred since the 1999 NESHAP was                      approximately 95 percent:                             section 112(h). In order to promulgate a
                                                    promulgated. Where we identify                            1 The EPA established the RBLC to provide a
                                                                                                                                                                  work practice standard in lieu of an
                                                    developments to inform our decision of                  central database of air pollution technology          emission standard, the EPA must
                                                    whether it is ‘‘necessary’’ to revise the               information (including technologies required in       demonstrate that measurement of
                                                    emissions standards, we analyze the                     source-specific permits) to promote the sharing of    emissions is not practicable due to
                                                                                                            information on control technologies among
                                                    technical feasibility of applying these                 regulatory agencies. The RBLC contains over 5,000
                                                                                                                                                                  technological and economic limitations.
                                                    developments and the estimated costs,                                                                         In the case of bonded RS lines, our
jstallworth on DSKBBY8HB2PROD with PROPOSALS




                                                                                                            air pollution control permit determinations made
                                                    energy implications, non-air                            by states, local, and tribal agencies. Control        review of more recent CAA section 114
                                                    environmental impacts, as well as                       technologies, classified as Reasonably Available      test data indicated that over 60 percent
                                                                                                            Control Technology (RACT), Best Available Control
                                                    considering the emission reductions.                    Technology (BACT), or Lowest Achievable               of the test results were values showing
                                                    We also consider the appropriateness of                 Emission Rate (LAER) apply to stationary sources      that phenol emissions in the exhaust gas
                                                    applying controls to new sources versus                 depending on whether the sources are existing or      stream were below the detection limit of
                                                    retrofitting existing sources. Based on                 new, and on the size, age, and location of the        EPA Method 318. This proposal
                                                                                                            facility. BACT and LAER (and sometimes RACT)
                                                    our analyses of the available data and                  are determined on a case-by-case basis, usually by    represents a change from the standards
                                                    information, we identified                              state or local permitting agencies.                   for phenol emissions from bonded RS


                                               VerDate Sep<11>2014   15:07 Aug 28, 2017   Jkt 241001   PO 00000   Frm 00012   Fmt 4702   Sfmt 4702   E:\FR\FM\29AUP1.SGM   29AUP1


                                                                           Federal Register / Vol. 82, No. 166 / Tuesday, August 29, 2017 / Proposed Rules                                         40975

                                                    lines that were proposed in April 2013                  formaldehyde emissions since                          significantly lower emissions than the
                                                    and November 2014.                                      promulgation of the 1999 MACT rule                    existing MACT standards. We believe
                                                       We regard situations where, as here,                 are mainly directly related to                        that sources will not uninstall these
                                                    the majority of measurements are below                  improvements in two areas: (1)                        control technologies at this stage and,
                                                    detection limits as measurements that                   Improvements in control technology                    thus, that the lower emissions remain
                                                    are not ‘‘technologically practicable’’                 (e.g., improved bag materials,                        somewhat assured even without our
                                                    within the meaning of CAA section                       replacement of older baghouses) and (2)               lowering of the existing MACT
                                                    112(h). We reasoned that ‘‘application of               the use of electrostatic precipitators. We            standards.
                                                    measurement methodologies’’ under                       also note that total formaldehyde                        As part of the technology review, we
                                                    CAA section 112(h) must also mean that                  emissions have been significantly                     also considered mandating the use of
                                                    a measurement has some reasonable                       reduced (by approximately 95 percent)                 non-PF binders for lines currently using
                                                    relation to what the source is emitting                 since promulgation of the 1999                        them, and/or mandating the use of non-
                                                    (i.e., that the measurement yields a                    NESHAP due primarily to the use of                    PF binders for all bonded lines. We are
                                                    meaningful value). We further explained                 non-PF binders.                                       not proposing this option, however,
                                                    that unreliable measurements raise                         Based on these data and new                        because, as explained in our April 15,
                                                    issues of practicability, feasibility, and              information, we evaluated what                        2013, proposal, facilities cease to be
                                                    enforceability. Additionally, we posited                formaldehyde emission limit might be                  subject to the major source standards
                                                    that the application of measurement                     appropriate. The EPA’s approach for                   once they phase out the use of PF
                                                    methodology would also not be                           developing the proposed formaldehyde                  binders. ‘‘A facility that does not use
                                                    ‘‘practicable due to . . . economic                     emission limits for existing and new                  phenol-formaldehyde binders does not
                                                    limitation’’ within the meaning of CAA                  bonded RS lines sources under CAA                     manufacture a bonded product, and
                                                    section 112(h) because it would result in               section 112(d)(6) are explained in the                therefore does not have a rotary spin
                                                    cost expended to produce analytically                   memorandum titled ‘‘Technology                        manufacturing line or a flame
                                                    suspect measurements. 78 FR 22387.                      Review for Formaldehyde Emitted from                  attenuation manufacturing line as
                                                    This proposal to establish a work                       Rotary Spin Lines,’’ which is available               defined in the NESHAP. If the facility
                                                    practice standard for phenol differs from               in the docket for this proposed action.               does not have a rotary spin
                                                    previous proposals where emission                       Data and information presented in this                manufacturing line or a flame
                                                    limits were proposed for phenol because                 memorandum could support amended                      attenuation manufacturing line it does
                                                    the EPA has concluded that the data                     limits of 0.23 lb/ton glass pulled for                not meet the definition of wool
                                                    that supported setting emission limits in               existing sources and 0.24 lb/ton glass                fiberglass manufacturing facility and
                                                    previous proposals is no longer valid.                  pulled for new sources. Further,                      therefore, would no longer be subject to
                                                       We are seeking comments on only                      according to the emissions data
                                                                                                                                                                  the Wool Fiberglass Manufacturing
                                                    these issues or aspects of requirements                 collected from the ICR, all wool
                                                                                                                                                                  NESHAP,’’ 78 FR 22375, April 15, 2013.
                                                    that are being presented in this notice.                fiberglass manufacturing facilities
                                                                                                                                                                  As also previously explained, industry
                                                    We are not reopening any other aspects                  operating bonded RS lines would be
                                                                                                                                                                  continues to actively engage in the
                                                    of the July 29, 2015, final rule and thus,              able to meet these emission limits, given
                                                                                                                                                                  phase-out of PF binders and have
                                                    are not soliciting comments on them.                    that the ICR suggests that the
                                                                                                                                                                  achieved approximately 95-percent
                                                                                                            formaldehyde emissions from RS lines
                                                    IV. What are the proposed rule                                                                                reduction in formaldehyde emissions as
                                                                                                            are much lower than the current MACT
                                                    amendments resulting from our                                                                                 a result. We also believe this industry
                                                                                                            standard. Therefore, these limits would
                                                    technology review and our proposed                                                                            trend will continue given industry
                                                                                                            not require additional HAP emission
                                                    decisions?                                              controls or limits for other equipment or             indications that non-PF binders are
                                                                                                            process. In addition, if adopted,                     actually less expensive than PF binders.
                                                    A. What are the results and proposed                                                                          Therefore, cost considerations will
                                                    decisions for formaldehyde emissions                    regulated sources would not be
                                                                                                            expected to incur any additional costs.               move the industry in this direction
                                                    from RS lines based on our technology                                                                         without the need for regulation.
                                                                                                               However, we are not proposing to
                                                    review?                                                                                                          We also note that for some products,
                                                                                                            lower the formaldehyde limits, and are
                                                       We are proposing to readopt the                      instead proposing to readopt the current              customer specifications preclude the
                                                    current 1.2 pound per ton (lb/ton) glass                limits. This is because, as previously                use of any currently available non-PF
                                                    pulled emissions limits for                             explained, the source category has                    binders. If PF binders were banned,
                                                    formaldehyde from combined fiber/                       already achieved approximately 95-                    these products would likely no longer
                                                    collection, curing, and cooling processes               percent reduction in formaldehyde                     be produced.
                                                    on existing, new, and reconstructed                     emissions due to the replacement of the                  We are specifically requesting
                                                    bonded RS lines at wool fiberglass                      PF binders with non-PF binders, and                   comment on the proposed readoption of
                                                    manufacturing facilities under CAA                      which, as explained below, results in                 the current formaldehyde limit rather
                                                    section 112(d)(6) as part of our                        major sources becoming area sources.                  than setting new limits based on
                                                    technology review. Based on the                         We also believe that the industry trend               information and data submitted under
                                                    technology review conducted for the                     will likely result in the replacement of              the ICR.
                                                    bonded RS lines at wool fiberglass                      PF binders completely and, thus, view                 B. What are the proposed requirements
                                                    manufacturing facilities, we have                       the lowering of standards as likely
                                                                                                                                                                  for methanol emissions from RS lines?
                                                    determined that emissions are well                      penalizing sources that have been
jstallworth on DSKBBY8HB2PROD with PROPOSALS




                                                    controlled on bonded RS line processes.                 slower in embracing the industry trend.                  Based on the new information and
                                                    As previously explained, our evaluation                 As also previously explained, our                     data that the agency received pursuant
                                                    of the ICR also led us to conclude that                 review of the ICR indicated that all                  to the ICR, we are proposing to establish
                                                    actual formaldehyde emissions from RS                   bonded RS lines are equipped with air                 limits for methanol emissions from
                                                    lines at all wool fiberglass                            pollution control devices as compared                 combined fiber/collection, curing, and
                                                    manufacturing facilities are significantly              to the time of promulgation of the 1999               cooling processes on existing, new, and
                                                    lower than are allowed under the 1999                   MACT standards, and that these various                reconstructed bonded RS lines at wool
                                                    NESHAP. We believe that reductions in                   control technologies have resulted in                 fiberglass manufacturing facilities.


                                               VerDate Sep<11>2014   15:07 Aug 28, 2017   Jkt 241001   PO 00000   Frm 00013   Fmt 4702   Sfmt 4702   E:\FR\FM\29AUP1.SGM   29AUP1


                                                    40976                  Federal Register / Vol. 82, No. 166 / Tuesday, August 29, 2017 / Proposed Rules

                                                       To determine the MACT floor for                          review of the test data collected under           construction or reconstruction on or
                                                    methanol, we applied the 99-percent                         Part 2 of the ICR identified that                 before August 29, 2017 must
                                                    upper predictive limit (UPL) method to                      approximately 60 percent of the                   demonstrate compliance with the
                                                    the best-performing five sources in the                     concentration values were reported as             requirements of this subpart no later
                                                    test data collected under Part 2 of the                     below the detection limit of EPA                  than 2 years after the effective date of
                                                    ICR. The UPL analysis is explained in                       Method 318 (Extractive Fourier                    this rule. Affected sources that
                                                    the memorandum titled ‘‘Development                         Transform Infrared (FTIR) Method for              commenced construction or
                                                    of Proposed Emission Limits for                             Measurement of Emissions from the                 reconstruction after August 29, 2017
                                                    Methanol Emissions from Rotary Spin                         Mineral Wool and Wool Fiberglass                  must demonstrate compliance with the
                                                    Lines in the Wool Fiberglass                                Industries). Considering statistical              requirements of this subpart no later
                                                    Manufacturing Source Category,’’ which                      validity, we concluded that, in cases             than the effective date of the rule or
                                                    is available in the docket for this                         where at least 55 percent of the test data        upon start-up, whichever is later. CAA
                                                    proposed action. We considered                              are below the detection limit of the              section 112(i)(3) requires that existing
                                                    beyond-the-floor options for methanol                       respective test method, it is not feasible        sources must comply as expeditiously
                                                    for all combined collection and curing                      to prescribe or enforce an emission               as practicable, but no later than 3 years
                                                    operation designs as required by CAA                        standard for phenol from RS lines.                after promulgation of standards under
                                                    section 112(d)(2). However, we are not                      Under CAA section 112(h), we are                  CAA section 112(d). (‘‘Section
                                                    proposing any limits based on the                           instead proposing a work practice that            112(i)(3)’s three-year maximum
                                                    beyond-the-floor analyses for methanol                      represents MACT.                                  compliance period applies generally to
                                                    for these sources because of the                               To identify an appropriate work                any emissions standard . . .
                                                    potential adverse impacts of additional                     practice standard for phenol, the EPA             promulgated under [section 112].’’ Ass’n
                                                    controls, including the cost of control                     reviewed the current NESHAP                       of Battery Recyclers v. EPA, 716 F.3d
                                                    devices, non-air environmental impacts,                     requirements regarding testing,                   667, 672 (D.C. Cir. 2013)). This proposal
                                                    and energy implications associated with                     monitoring, and recordkeeping of resins           reflects our belief that sources would
                                                    use of these additional controls. The                       and binders used in manufacturing wool            need this amount of time to comply
                                                    beyond-the-floor analysis is presented                      fiberglass products. The EPA also                 with the various proposed requirements
                                                    in the memorandum titled ‘‘Control                          discussed possible phenol work practice           and is a result of our review of the more
                                                    Costs for Rotary Spin Lines,’’ which is                     standards with industry representatives.          recent information and data that these
                                                    available in the docket for this proposed                      Because of difficulties in measuring           proposed requirements are based on.
                                                    action. Table 3 of this preamble presents                   phenol, we cannot develop numerical               For instance, the proposed work
                                                    the proposed methanol emission limits                       emission limits; however, we believe              practice standards for phenol, which
                                                    for the combined fiber collection/                          that a requirement to establish the free-         call for vendor specifications, would
                                                                                                                phenol content of the binder resin used           likely require vendor bids and
                                                    formation, curing, and cooling processes
                                                                                                                during the compliance demonstration               selections as well as time to establish
                                                    on existing, new, and reconstructed RS
                                                                                                                for formaldehyde and methanol and the             the free-phenol content of binder resin
                                                    lines at wool fiberglass manufacturing
                                                                                                                associated recordkeeping requirements             and the likely institution of new
                                                    facilities.
                                                                                                                for resin shipments and binder                    practices to address the record keeping
                                                                                                                formulations represents MACT for                  requirements when finalized.
                                                        TABLE 3—PROPOSED METHANOL                               phenol. Consequently, we are proposing
                                                       EMISSION LIMITS (lb/ton OF GLASS to require owners or operators to                                         V. What other changes are we
                                                       PULLED) FOR RS LINES                                     establish the free-phenol content of the          proposing to the NESHAP in this
                                                                                                                binder resin used during the                      action?
                                                                                                   New and      formaldehyde and methanol compliance                 In this action, we are also proposing
                                                           Existing sources                      reconstructed
                                                                                                    sources     demonstration based on vendor                     amendments to the incinerator
                                                                                                                specifications, and to require                    operating limits specified in 40 CFR
                                                    1.06 .......................................           0.65 recordkeeping of the free-phenol                  63.1382(c)(6) to clearly indicate that the
                                                                                                                contents of each resin shipment                   subsection applies to cooling emissions.
                                                       The emission limits for methanol in                      received and each resin used in binder            Incinerators would be required to
                                                    this proposed action, if finalized, would formulation. We are also proposing to                               control the final formaldehyde,
                                                    codify the level of emissions currently                     revise the emission standards specified           methanol, and, where applicable,
                                                    being achieved on RS line processes by                      in 40 CFR 63.1382(c)(9) to require that           phenol emissions from forming, curing,
                                                    add-on control devices (e.g., gas                           owners or operators must not use a resin          and cooling processes on both FA and
                                                    scrubbers, thermal oxidizers).                              in binder formulations that contains a            bonded RS lines.
                                                       This proposal differs from and                           higher free-phenol content than they                 We are proposing to allow owners or
                                                    modifies our prior proposals. Details                       established during the initial or 5-year          operators that conducted emissions tests
                                                    regarding previously proposed methanol compliance demonstrations for                                          in 2016 in response to the EPA’s ICR to
                                                    emission limits can be found in the                         formaldehyde and methanol.                        submit those performance test results to
                                                    April 2013 (78 FR 22387) and November                          This proposal differs from and                 demonstrate initial compliance with the
                                                    2014 (79 FR 68029) proposals.                               modifies our prior proposals. Details             new methanol emission limits for RS
                                                    C. What are the proposed requirements                       regarding previously proposed phenol              lines, rather than conducting additional
jstallworth on DSKBBY8HB2PROD with PROPOSALS




                                                    for phenol emissions from RS lines?                         emission limits can be found in the               tests.
                                                                                                                April 2013 (78 FR 22387) and November
                                                       We are proposing to establish work                                                                         VI. What are the proposed amendments
                                                                                                                2014 (79 FR 68029) proposals.
                                                    practice standards for phenol emissions                                                                       applicable to FA lines?
                                                    from combined fiber/collection, curing,                     D. What compliance dates are we                     We are proposing the following three
                                                    and cooling processes on existing, new,                     proposing?                                        subcategories for FA lines based on
                                                    and reconstructed bonded RS lines at                           We are proposing that wool fiberglass          recent information indicating that there
                                                    wool fiberglass manufacturing facilities                    manufacturing facilities that operate             are technical or design differences that
                                                    under CAA section 112(h). The EPA’s                         bonded RS lines that commenced                    distinguish sources that utilize FA lines:


                                               VerDate Sep<11>2014   15:07 Aug 28, 2017   Jkt 241001   PO 00000   Frm 00014   Fmt 4702   Sfmt 4702   E:\FR\FM\29AUP1.SGM   29AUP1


                                                                                   Federal Register / Vol. 82, No. 166 / Tuesday, August 29, 2017 / Proposed Rules                                                                              40977

                                                    (1) Aerospace and Air Filtration                                          provided the corrected reports for the                                    discussed this observation with Johns
                                                    (Aerospace); (2) Heating, Ventilation,                                    facilities affected by the miscalculations                                Manville representatives who
                                                    and Air Conditioning (HVAC); and (3)                                      to the EPA after promulgation of the                                      acknowledged that they use different
                                                    Original Equipment Manufacturer                                           July 29, 2015, final rule. Upon further                                   binder formulations on certain FA lines
                                                    (OEM). (In establishing standards under                                   review of the data, including the                                         to manufacture specific types of wool
                                                    CAA section 112(d), the EPA may                                           rationale for setting the 2015 NESHAP                                     fiberglass products, and that the
                                                    ‘‘distinguish among classes, types, and                                   emission limits, the EPA has                                              different binder formulations result in
                                                    sizes of sources within a category or                                     determined that there are several                                         higher or lower phenol emissions,
                                                    sub-category.’’ CAA section 112(d)(1).                                    technical questions regarding the 2015                                    depending on the composition of the
                                                    NRDC v. EPA, 489 F.3d 1364 (D.C. Cir.                                     NESHAP emission limits that cannot be
                                                                                                                                                                                                        binder. As previously explained, in
                                                    2007)). We are also proposing revisions                                   resolved using the corrected reports
                                                                                                                                                                                                        cases where we identify differences in
                                                    to the July 2015 final rule formaldehyde,                                 provided by Johns Manville.
                                                    methanol, and phenol limits to reflect                                    Consequently, in May 2017 Johns                                           size, class, or type that significantly
                                                    these new subcategories.2                                                 Manville provided the EPA with more                                       affect emissions levels, we may create
                                                       In March 2017, the EPA received                                        recent test data for FA lines that were                                   subcategories when setting emission
                                                    notification from Johns Manville that                                     collected in 2016 and 2017.                                               limits. This is the case here, where the
                                                    several of the emission test reports the                                     The EPA’s review of the new test data                                  phenol content of the resins is different
                                                    company submitted to the EPA to                                           confirmed that all FA line emissions                                      based on the product type. The industry
                                                    support development of the 2015                                           points at each facility were sampled and                                  identified three types of FA line
                                                    NESHAP emission limits for FA lines                                       pollutant concentrations were measured                                    products: (1) Aerospace; (2) HVAC; and
                                                    contained errors in the analytical results                                using test methods allowed by 40 CFR                                      (3) OEM. The type of product
                                                    for formaldehyde, methanol, and                                           63, subpart NNN (EPA Methods 316 and                                      determines the phenol content of the
                                                    phenol. According to Johns Manville                                       318 for formaldehyde, EPA Methods 308                                     resin and, ultimately, the level of
                                                    and their testing contractor, the errors                                  and 318 for methanol, and EPA Method                                      phenol emissions.
                                                    caused the test run-level values for                                      318 for phenol). However, the EPA
                                                                                                                                                                                                           Based on the EPA’s review of the new
                                                    pollutant mass to be biased low,                                          identified that the phenol emissions
                                                    particularly for methanol and phenol                                      from certain FA lines were 1 to 2 orders                                  emissions data, the EPA is proposing
                                                    (i.e., actual pollutant emissions were                                    of magnitude higher than the phenol                                       standards for the three subcategories of
                                                    higher than reported). Johns Manville                                     emissions from other FA lines. The EPA                                    FA line products as shown in Table 4.

                                                                                                                 TABLE 4—PROPOSED EMISSION LIMITS FOR FA LINES
                                                                                                                                                            [lb/ton]

                                                                                                                                                                                                                                             New and
                                                                                                                                                                                                                              Existing
                                                                                   Subcategory                                                                             Pollutant                                                       reconstructed
                                                                                                                                                                                                                              sources         sources

                                                    Aerospace .....................................................................      Formaldehyde ...............................................................              26.25            16.83
                                                                                                                                         Methanol .......................................................................           8.69             3.98
                                                    HVAC ............................................................................    Formaldehyde ...............................................................               2.81             2.38
                                                                                                                                         Methanol .......................................................................           7.29             1.44
                                                                                                                                         Phenol ...........................................................................         0.38             0.38
                                                    OEM ..............................................................................   Formaldehyde ...............................................................               4.66             2.60
                                                                                                                                         Methanol .......................................................................           5.32             0.98
                                                                                                                                         Phenol ...........................................................................        27.19            20.69



                                                      For the Aerospace subcategory, we are                                   in 40 CFR 63.1382(c)(9) to require that                                   RS lines to manufacture a bonded
                                                    proposing a work practice standard that                                   owners or operators must not use a resin                                  product. These three facilities operate
                                                    represents MACT for phenol because                                        in binder formulations that contain a                                     six bonded RS lines that would be
                                                    approximately 80 percent of the                                           higher free-phenol content than they                                      affected by the revised emission limits.
                                                    available phenol data are below the                                       established during the initial or 5-year                                  The EPA is not currently aware of any
                                                    detection limit of the respective test                                    compliance demonstrations for                                             planned or potential new or
                                                    method. Consistent with our proposed                                      formaldehyde and methanol.                                                reconstructed bonded RS lines.
                                                    work practice for phenol emissions from                                     We are specifically requesting                                          B. What are the air quality impacts?
                                                    RS lines, we are proposing to require                                     comments and supporting process and
                                                    owners or operators to establish the free-                                emissions data related to the proposed                                      The proposed standards codify and
                                                    phenol content of the binder resin used                                   revisions to the promulgated emissions                                    maintain the emissions reductions
                                                    during the formaldehyde and methanol                                      limits for FA lines.                                                      achieved by the industry due primarily
                                                    compliance demonstration for the                                                                                                                    to the phase-out of PF binders since
                                                    Aerospace subcategory, based on vendor                                    VII. Summary of Cost, Environmental                                       promulgation of the 1999 NESHAP.
                                                                                                                              and Economic Impacts
jstallworth on DSKBBY8HB2PROD with PROPOSALS




                                                    specifications, and to require                                                                                                                      Based on the test data received in
                                                    recordkeeping of the free-phenol                                          A. How many sources are affected?                                         response to the CAA section 114 ICR, all
                                                    contents of each resin shipment                                                                                                                     facilities with bonded RS lines currently
                                                    received and each resin used in binder                                      Based on the responses to the 2016                                      meet the proposed emission limits for
                                                    formulation. We are also proposing to                                     ICR, only three wool fiberglass                                           formaldehyde and methanol. Therefore,
                                                    revise the emission standards specified                                   manufacturing facilities continue to use                                  the proposed emission limits for
                                                       2 On July 27, 2017, the EPA published a direct                         lines in order to provide time for the EPA to review                      new emissions data and revise the standards where
                                                    final rule to extend the compliance date for the FA                                                                                                 appropriate.



                                               VerDate Sep<11>2014         15:07 Aug 28, 2017         Jkt 241001      PO 00000       Frm 00015       Fmt 4702      Sfmt 4702       E:\FR\FM\29AUP1.SGM             29AUP1


                                                    40978                  Federal Register / Vol. 82, No. 166 / Tuesday, August 29, 2017 / Proposed Rules

                                                    formaldehyde and methanol will not                      firm is estimated to experience an                    duty on any state, local, or tribal
                                                    result in further HAP emissions                         impact of less than 0.01 percent of their             governments or the private sector.
                                                    reductions. Also, we do not anticipate                  revenues.
                                                                                                                                                                  E. Executive Order 13132: Federalism
                                                    secondary environmental impacts from
                                                                                                            E. What are the benefits?                               This proposed action does not have
                                                    the proposed amendments to the Wool
                                                    Fiberglass Manufacturing NESHAP                           Based on the data collected under ICR               federalism implications. It will not have
                                                    because owners or operators will not                    Part 2, the actual formaldehyde                       substantial direct effects on the states,
                                                    need to install additional control                      emissions from all bonded RS lines are                on the relationship between the national
                                                    devices to meet the proposed standards.                 lower than the level allowed under the                government and the states, or on the
                                                                                                            1999 NESHAP. Although the proposed                    distribution of power and
                                                    C. What are the cost impacts?                                                                                 responsibilities among the various
                                                                                                            standards do not achieve further
                                                       Because the existing facilities will not             emissions reductions, the proposed                    levels of government.
                                                    need to install add-on control devices or               emission limits for formaldehyde and
                                                    implement process modifications to                                                                            F. Executive Order 13175: Consultation
                                                                                                            methanol ensure that the emissions
                                                    comply with the proposed emissions                                                                            and Coordination With Indian Tribal
                                                                                                            reductions that have been achieved
                                                    standards, and because the EPA is                                                                             Governments
                                                                                                            since promulgation of the original 40
                                                    allowing facilities to use the test reports             CFR 63, subpart NNN in 1999 will                         This proposed action does not have
                                                    submitted in response to the ICR Part 2                 persist into the future and that                      tribal implications, as specified in
                                                    to demonstrate initial compliance with                  emissions will not increase.                          Executive Order 13175. This proposed
                                                    the proposed emission limits, the three                                                                       action would revise the existing
                                                    facilities subject to the proposed                      VIII. Statutory and Executive Order                   emissions limit for formaldehyde and
                                                    emission limits will not incur increased                Reviews                                               establish new emission limits for
                                                    costs for installing or upgrading                         Additional information about these                  methanol and a work practice standard
                                                    emissions control systems. However, the                 statutes and Executive Orders can be                  for phenol emissions. Thus, Executive
                                                    three facilities subject to this proposal               found at https://www.epa.gov/laws-                    Order 13175 does not apply to this
                                                    will each incur costs ($4,377/year/                     regulations/laws-and-executive-orders.                proposed action.
                                                    facility, 2016 dollars) related to the
                                                    submission of initial notifications and                 A. Executive Order 12866: Regulatory                  G. Executive Order 13045: Protection of
                                                    notifications of compliance status for                  Planning and Review and Executive                     Children From Environmental Health
                                                    the formaldehyde and methanol                           Order 13563: Improving Regulation and                 Risks and Safety Risks
                                                    emission limits, and additional                         Regulatory Review                                        The EPA interprets Executive Order
                                                    monitoring and recordkeeping activities                   This proposed action is not a                       13045 as applying only to those
                                                    related to the phenol work practice                     significant regulatory action and was,                regulatory actions that concern
                                                    standard.                                               therefore, not submitted to the Office of             environmental health or safety risks that
                                                    D. What are the economic impacts?                       Management and Budget (OMB) for                       the EPA has reason to believe may
                                                                                                            review.                                               disproportionately affect children, per
                                                       Economic impact analyses evaluate                                                                          the definition of ‘‘covered regulatory
                                                    changes in market prices and output                     B. Paperwork Reduction Act (PRA)
                                                                                                                                                                  action’’ in section 2–202 of the
                                                    levels. If changes in market prices and                   This action does not impose any new                 Executive Order. This proposed action
                                                    output levels in the directly affected                  information collection burden under the               is not subject to Executive Order 13045
                                                    markets are significant, impacts on other               PRA. OMB has previously approved the                  because it does not concern an
                                                    markets are also examined. Both the                     information collection activities                     environmental health risk or safety risk.
                                                    magnitude of costs needed to comply                     contained in the existing regulations
                                                    with the rule and the distribution of                   and has assigned OMB control number                   H. Executive Order 13211: Actions That
                                                    these costs among affected facilities can               1160.10. This action does not change                  Significantly Affect Energy Supply,
                                                    have a role in determining how the                      the information collection requirements.              Distribution, or Use
                                                    market will change in response to a rule.                                                                        This proposed action is not subject to
                                                       The proposed standards for RS lines                  C. Regulatory Flexibility Act (RFA)                   Executive Order 13211 because it is not
                                                    at wool fiberglass facilities do not                       I certify that this proposed action will           a significant regulatory action under
                                                    impose control costs or additional                      not have a significant economic impact                Executive Order 12866.
                                                    testing costs on affected facilities.                   on a substantial number of small entities
                                                    However, affected facilities will have                  under the RFA. This action will not                   I. National Technology Transfer and
                                                    reporting requirements (i.e., an initial                impose any requirements on small                      Advancement Act (NTTAA)
                                                    notification and a notification of                      entities. None of the three entities                     This proposed action involves
                                                    compliance status) associated with the                  affected by this proposal are small                   technical standards. Therefore, the EPA
                                                    proposed formaldehyde and methanol                      entities, using the Small Business                    conducted searches for the Wool
                                                    emission limits and monitoring and                      Administration definition of small                    Fiberglass Manufacturing Area Source
                                                    recordkeeping requirements associated                   business for the affected NAICS code                  NESHAP through the Enhanced
                                                    with the phenol work practice standard.                 (327993), which is 1,500 employees for                National Standards Systems Network
                                                    We estimate that the total annual                       the ultimate parent company.                          (NSSN) Database managed by the
                                                    burden for each facility associated with                                                                      American National Standards Institute
jstallworth on DSKBBY8HB2PROD with PROPOSALS




                                                    the proposed monitoring, reporting, and                 D. Unfunded Mandates Reform Act                       (ANSI). We also contacted voluntary
                                                    recordkeeping requirements to be                        (UMRA)                                                consensus standards (VCS)
                                                    approximately $4,377/year/facility, and                   This proposed action does not contain               organizations and accessed and
                                                    the total annual cost of this proposal is               any unfunded mandate of $100 million                  searched their databases.
                                                    approximately $13,131/year (2016                        or more as described in UMRA, 2 U.S.C.                   As discussed in the November 2014
                                                    dollars). The economic impacts                          1531–1538, and does not significantly or              supplemental proposal (79 FR 68029),
                                                    associated with the costs of this                       uniquely affect small governments. The                under 40 CFR part 63, subpart NNN, we
                                                    proposal are quite low; each affected                   proposed action imposes no enforceable                conducted searches for EPA Methods 5,


                                               VerDate Sep<11>2014   15:07 Aug 28, 2017   Jkt 241001   PO 00000   Frm 00016   Fmt 4702   Sfmt 4702   E:\FR\FM\29AUP1.SGM   29AUP1


                                                                           Federal Register / Vol. 82, No. 166 / Tuesday, August 29, 2017 / Proposed Rules                                           40979

                                                    318, 320, 29, and 0061 of 40 CFR part                   insulation manufactured for the thermal               § 63.1383   Monitoring requirements.
                                                    60, Appendix A. These searches did not                  and acoustical insulation of aircraft and/            *      *     *     *     *
                                                    identify any VCS that were potentially                  or the air filtration markets.                           (g) * * *
                                                    applicable for this rule in lieu of EPA                 *      *     *      *   *                                (1) The owner or operator who uses
                                                    reference methods.                                         Heating, ventilation, and air                      an incinerator to comply with the
                                                                                                            conditioning (HVAC) products means                    emissions limits for rotary spin or flame
                                                    J. Executive Order 12898: Federal
                                                                                                            bonded wool fiberglass insulation                     attenuation lines specified in Table 2 to
                                                    Actions To Address Environmental
                                                                                                            manufactured for use in HVAC systems                  this subpart shall install, calibrate,
                                                    Justice in Minority Populations and
                                                                                                            for the distribution of air or for thermal            maintain, and operate a monitoring
                                                    Low-Income Populations
                                                                                                            and acoustical insulation of HVAC                     device that continuously measures and
                                                       The EPA believes that this action does                                                                     records the operating temperature in the
                                                    not have disproportionately high and                    distribution lines.
                                                                                                                                                                  firebox of each incinerator.
                                                    adverse human health or environmental                   *      *     *      *   *
                                                                                                                                                                  *      *     *     *     *
                                                    effects on minority populations, low-                      Original equipment manufacturer                       (h) The owner or operator who uses
                                                    income populations, and/or indigenous                   (OEM) products means bonded wool                      a wet scrubbing control device to
                                                    peoples, as specified in Executive Order                fiberglass insulation manufactured for                control formaldehyde and methanol
                                                    12898 (59 FR 7629, February 16, 1994).                  OEM entities that fabricate the                       emissions must install, calibrate,
                                                    It does not establish an environmental                  insulation into parts used as thermal or              maintain, and operate monitoring
                                                    health or safety standard. This action                  acoustical insulation in products                     devices that continuously monitor and
                                                    would make corrections and updates to                   including, but not limited to,                        record the gas pressure drop across each
                                                    an existing protocol for assessing the                  appliances, refrigeration units, and                  scrubber and the scrubbing liquid flow
                                                    precision and accuracy of alternative                   office interior equipment.                            rate to each scrubber according to the
                                                    test methods to ensure they are                         *      *     *      *   *                             procedures in the operations,
                                                    comparable to the methods otherwise                     ■ 3. Section 63.1382 is amended by                    maintenance, and monitoring plan. The
                                                    required; thus, it does not modify or                   revising paragraphs (c)(6), (c)(8)(i), and            pressure drop monitor must be certified
                                                    affect the impacts to human health or                   (c)(9) to read as follows:                            by its manufacturer to be accurate
                                                    the environment of any standards for                                                                          within ±250 pascals (±1 inch water
                                                    which it may be used.                                   § 63.1382    Emission standards.
                                                                                                                                                                  gauge) over its operating range, and the
                                                    List of Subjects in 40 CFR Part 63                      *      *     *     *    *                             flow rate monitor must be certified by
                                                                                                               (c) * * *                                          its manufacturer to be accurate within
                                                       Environmental protection,
                                                                                                               (6) The owner or operator must                     ±5 percent over its operating range. The
                                                    Administrative practice and procedures,
                                                                                                            operate each incinerator used to comply               owner or operator must also
                                                    Air pollution control, Hazardous
                                                                                                            with the emissions limits for rotary spin             continuously monitor and record the
                                                    substances, Reporting and
                                                                                                            or flame attenuation lines specified in               feed rate of any chemical(s) added to the
                                                    recordkeeping requirements, Wool
                                                                                                            Table 2 to this subpart such that any 3-              scrubbing liquid.
                                                    fiberglass manufacturing.
                                                                                                            hour block average temperature in the                 *      *     *     *     *
                                                      Dated: August 18, 2017.                               firebox does not fall below the average                  (i) * * *
                                                    E. Scott Pruitt,                                        established during the performance test                  (1) The owner or operator who uses
                                                    Administrator.                                          as specified in § 63.1384.                            process modifications to control
                                                       For the reasons stated in the                        *      *     *     *    *                             formaldehyde and methanol emissions
                                                    preamble, the EPA proposes to amend                        (8) * * *                                          must establish a correlation between
                                                    title 40, chapter I, part 63 of the Code                   (i) The owner or operator must initiate            formaldehyde and methanol emissions
                                                    of the Federal Regulations as follows:                  corrective action within 1 hour when                  and the process parameter(s) to be
                                                                                                            the monitored process parameter                       monitored.
                                                    PART 63—NATIONAL EMISSION                               level(s) is outside the limit(s)                      *      *     *     *     *
                                                    STANDARDS FOR HAZARDOUS AIR                             established during the performance test                  (j) The owner or operator must
                                                    POLLUTANTS FOR SOURCE                                   as specified in § 63.1384 for the process             monitor and record the free-
                                                    CATEGORIES                                              modification(s) used to comply with the               formaldehyde and free-phenol content
                                                                                                            emissions limits for rotary spin or flame             of each resin shipment received and of
                                                    ■ 1. The authority citation for part 63                                                                       each resin used in the formulation of
                                                    continues to read as follows:                           attenuation lines specified in Table 2 to
                                                                                                            this subpart, and complete corrective                 binder.
                                                        Authority: 42 U.S.C. 7401 et seq.                   actions in a timely manner according to               *      *     *     *     *
                                                                                                            the procedures in the operations,                     ■ 5. Section 63.1384 is amended by
                                                    Subpart NNN—National Emission
                                                                                                            maintenance, and monitoring plan.                     revising introductory paragraph (a),
                                                    Standards for Hazardous Air Pollutants
                                                                                                            *      *     *     *    *                             (a)(3), (a)(9), and introductory paragraph
                                                    for Wool Fiberglass Manufacturing
                                                                                                               (9) The owner or operator must use a               (c) to read as follows:
                                                    ■ 2. Section 63.1381 is amended by                      resin in the formulation of binder such               § 63.1384   Performance test requirements.
                                                    adding the definitions, in alphabetical                 that the free-formaldehyde and free-
                                                    order, for ‘‘Aerospace and Air Filtration                                                                       (a) The owner or operator subject to
                                                                                                            phenol contents of the resin used do not              the provisions of this subpart shall
jstallworth on DSKBBY8HB2PROD with PROPOSALS




                                                    Products,’’ ‘‘Heating, Ventilation, and                 exceed the respective ranges contained
                                                    Air Conditioning (HVAC) Products,’’                                                                           conduct a performance test to
                                                                                                            in the specification for the resin used               demonstrate compliance with the
                                                    and ‘‘Original Equipment Manufacturer                   during the performance test as specified
                                                    (OEM) Products’’ to read as follows:                                                                          applicable emission limits in § 63.1382.
                                                                                                            in § 63.1384.                                         Compliance is demonstrated when the
                                                    § 63.1381    Definitions.                               *      *     *     *    *                             emission rate of the pollutant is equal to
                                                    *   *    *    *     *                                   ■ 4. Section 63.1383 is amended by                    or less than each of the applicable
                                                     Aerospace and air filtration products                  revising paragraphs (g)(1), (h), (i)(1), and          emission limits in § 63.1382. The owner
                                                    means bonded wool fiberglass                            (j) to read as follows:                               or operator shall conduct the


                                               VerDate Sep<11>2014   15:07 Aug 28, 2017   Jkt 241001   PO 00000   Frm 00017   Fmt 4702   Sfmt 4702   E:\FR\FM\29AUP1.SGM   29AUP1


                                                    40980                  Federal Register / Vol. 82, No. 166 / Tuesday, August 29, 2017 / Proposed Rules

                                                    performance test according to the                       pull rate for the process lines with the              The owner or operator shall use vendor
                                                    procedures in 40 CFR part 63, subpart                   shared emissions point(s) to                          specifications to determine the free-
                                                    A and in this section. If the owner or                  demonstrate compliance with the                       phenol content of resin.
                                                    operator conducted an emissions test in                 emissions limits specified in Table 2 to              *     *     *    *     *
                                                    2016 according to the procedures                        this subpart.                                         ■ 7. Section 63.1386 is amended by
                                                    specified in § 63.1384(a)(9) and                        *      *    *     *     *                             revising paragraph (d)(2)(v) to read as
                                                    § 63.1385 in response to the EPA’s                         (9) The owner or operator of each                  follows:
                                                    Information Collection Request, the                     rotary spin manufacturing line and
                                                    owner or operator can use the results of                flame attenuation manufacturing line                  § 63.1386 Notification, recordkeeping, and
                                                    the emissions test to demonstrate initial               regulated by this subpart must conduct                reporting requirements
                                                    compliance with the emission limits for                 performance tests using the resin with                *      *    *     *     *
                                                    rotary spin lines specified in Table 2 to               the highest free-formaldehyde content.                   (d) * * *
                                                    this subpart.                                           During the performance test of each                      (2) * * *
                                                    *      *     *     *    *                               rotary spin manufacturing line and                       (v) The free-formaldehyde and free-
                                                       (3) During each performance test, the                flame attenuation manufacturing line                  phenol contents of each binder batch
                                                    owner or operator must monitor and                      regulated by this subpart, the owner or               and the LOI and density for each
                                                    record the glass pull rate for each glass-              operator shall monitor and record the                 product manufactured on a rotary spin
                                                    melting furnace and, if different, the                  free-formaldehyde and free-phenol                     manufacturing line or flame attenuation
                                                    glass pull rate for each rotary spin                    contents of the resin, the binder                     manufacturing line subject to the
                                                    manufacturing line and flame                            formulation used, and the product LOI                 provisions of this subpart, and the free-
                                                    attenuation manufacturing line. Record                  and density.                                          formaldehyde and free-phenol contents
                                                    the glass pull rate every 15 minutes                    *      *    *     *     *                             of each resin shipment received and of
                                                    during any performance test required by                    (c) To determine compliance with the               each resin used in the binder
                                                    this subpart and determine the                          emission limits specified in Table 2 to               formulation;
                                                    arithmetic average of the recorded                      this subpart, for formaldehyde and                    *      *    *     *     *
                                                    measurements for each test run and                      methanol for RS manufacturing lines;                  ■ 8. Table 2 to subpart NNN of part 63
                                                    calculate the average of the three test                 formaldehyde, phenol, and methanol for                is amended by:
                                                    runs. If a rotary spin or flame                         FA manufacturing lines; and chromium                  ■ a. Revising entries 7 and 8;
                                                    attenuation line shares one or more                     compounds for gas-fired glass-melting
                                                    emissions points with another rotary                                                                          ■ b. Redesignating entries 9 through 13
                                                                                                            furnaces, use the following equation:                 as entries 11 through 15;
                                                    spin or flame attenuation line(s), owners               *      *    *     *     *
                                                    or operators can conduct the                                                                                  ■ c. Adding new entries 9 and 10;
                                                                                                            ■ 6. Section 63.1385 is amended by
                                                    performance test while each of the                                                                            ■ d. Revising newly redesignated entries
                                                                                                            revising paragraph (a)(8) as follows:                 13 through 15;
                                                    process lines with the shared emissions
                                                    point(s) is operating as specified in                   § 63.1385    Test methods and procedures.             ■ e. Adding new entries 16 through 19;
                                                    paragraph (a)(8) of this section, rather                  (a) * * *                                           and
                                                    than testing each of the shared lines                     (8) Method contained in appendix B                  ■ g. Adding new footnote 5.
                                                    separately. In these cases, owners or                   of this subpart for the determination of                 The revisions and additions read as
                                                    operators must use the combined glass                   the free-formaldehyde content of resin.               follows:

                                                                           TABLE 2 TO SUBPART NNN OF PART 63—EMISSIONS LIMITS AND COMPLIANCE DATES
                                                    If your source is a:                      And you commenced construction:            Your emission limits are: 1           And you must comply by: 2


                                                             *                    *                         *                          *                   *                      *                   *
                                                    7. Rotary spin manufacturing line         On or before March 31, 1997 ....... 1.2 lb formaldehyde per ton of               June 14, 2002.
                                                                                                                                           glass pulled 5.
                                                    8. Rotary spin manufacturing line         After March 31, 1997 .................... 0.8 lb formaldehyde per ton of         June 14, 1999.
                                                                                                                                           glass pulled 5.
                                                    9. Rotary spin manufacturing line         On or before November 25, 2011             0.32 lb formaldehyde per ton of       Date 3 years after publication of
                                                                                                                                           glass pulled.                         the final rule.
                                                                                                                                         1.06 lb methanol per ton of glass
                                                                                                                                           pulled.
                                                    10. Rotary spin manufacturing line        After November 25, 2011 ............. 0.24 lb formaldehyde per ton of            Date of publication of the final
                                                                                                                                           glass pulled.                         rule.4
                                                                                                                                         0.65 lb methanol per ton of glass
                                                                                                                                           pulled.
                                                    11. Flame     attenuation line manu-      After March 31, 1997 but on or 7.8 lb formaldehyde per ton of                    June 14, 1999.
                                                      facturing   a heavy-density prod-         before November 25, 2011.                  glass pulled 5.
                                                      uct.
jstallworth on DSKBBY8HB2PROD with PROPOSALS




                                                    12. Flame     attenuation line manu-      On or before March 31, 1997 .......        6.8 lb formaldehyde per ton of        June 14, 2002.
                                                      facturing   a pipe product.                                                          glass pulled 5.
                                                    13. Flame     attenuation line manu-      After March 31, 1997 but before            6.8 lb formaldehyde per ton of        June 14, 1999.
                                                      facturing   a pipe product.               November 25, 2011.                         glass pulled 5.
                                                    14. Flame     attenuation line manu-      On or before November 25, 2011             26.25 lb formaldehyde per ton of      Date 1 year after publication of
                                                      facturing   an Aerospace product.                                                    glass pulled .                        the final rule.
                                                                                                                                         8.69 lb methanol per ton of glass
                                                                                                                                           pulled.




                                               VerDate Sep<11>2014   15:07 Aug 28, 2017   Jkt 241001   PO 00000   Frm 00018   Fmt 4702   Sfmt 4702   E:\FR\FM\29AUP1.SGM   29AUP1


                                                                                 Federal Register / Vol. 82, No. 166 / Tuesday, August 29, 2017 / Proposed Rules                                           40981

                                                                      TABLE 2 TO SUBPART NNN OF PART 63—EMISSIONS LIMITS AND COMPLIANCE DATES—Continued
                                                    If your source is a:                          And you commenced construction:            Your emission limits are: 1           And you must comply by: 2

                                                    15. Flame attenuation line manu-              After November 25, 2011 .............      16.83 lb formaldehyde per ton of      Date of publication of the final
                                                      facturing an Aerospace product.                                                          glass pulled .                        rule.4
                                                                                                                                             3.98 lb methanol per ton of glass
                                                                                                                                               pulled.
                                                    16. Flame attenuation line manu-              On or before November 25, 2011             2.81 lb formaldehyde per ton of       Date 1 year after publication of
                                                      facturing an HVAC product.                                                               glass pulled .                        the final rule.
                                                                                                                                             7.29 lb methanol per ton of glass
                                                                                                                                               pulled .
                                                                                                                                             0.38 lb phenol per ton of glass
                                                                                                                                               pulled.
                                                    17. Flame attenuation line manu-              After November 25, 2011 .............      2.38 lb formaldehyde per ton of       Date of publication of the final
                                                      facturing an HVAC product.                                                               glass pulled.                         rule.4
                                                                                                                                             1.44 lb methanol per ton of glass
                                                                                                                                               pulled.
                                                                                                                                             0.38 lb phenol per ton of glass
                                                                                                                                               pulled.
                                                    18. Flame attenuation line manu-              On or before November 25, 2011             4.66 lb formaldehyde per ton of       Date 1 year after publication of
                                                      facturing an OEM product.                                                                glass pulled.                         the final rule.
                                                                                                                                             5.32 lb methanol per ton of glass
                                                                                                                                               pulled.
                                                                                                                                             27.19 lb phenol per ton of glass
                                                                                                                                               pulled.
                                                    19. Flame attenuation line manu-              After November 25, 2011 .............      2.60 lb formaldehyde per ton of       Date of publication of the final
                                                      facturing an OEM product.                                                                glass pulled.                         rule.4
                                                                                                                                             0.98 lb methanol per ton of glass
                                                                                                                                               pulled.
                                                                                                                                             20.69 lb phenol per ton of glass
                                                                                                                                               pulled.
                                                        5 This   limit does not apply after date 3 years after publication of the final rule.


                                                    *       *        *       *      *
                                                    [FR Doc. 2017–18211 Filed 8–28–17; 8:45 am]
                                                    BILLING CODE 6560–50–P
jstallworth on DSKBBY8HB2PROD with PROPOSALS




                                               VerDate Sep<11>2014       15:07 Aug 28, 2017   Jkt 241001   PO 00000   Frm 00019   Fmt 4702   Sfmt 9990   E:\FR\FM\29AUP1.SGM   29AUP1



Document Created: 2017-08-29 01:57:54
Document Modified: 2017-08-29 01:57:54
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.
DatesThe EPA must receive written comments on this proposed rule on or before October 13, 2017.
ContactFor questions about this proposed action, contact Mr. Brian Storey, Office of Air Quality Planning and Standards, Sector Policies and Programs Division (D243-04), Environmental Protection Agency, Research Triangle Park, NC 27711; telephone number: (919) 541-1103; fax number: (919) 541-5450; email
FR Citation82 FR 40970 
RIN Number2060-AT13
CFR AssociatedEnvironmental Protection; Administrative Practice and Procedures; Air Pollution Control; Hazardous Substances; Reporting and Recordkeeping Requirements and Wool Fiberglass Manufacturing

2025 Federal Register | Disclaimer | Privacy Policy
USC | CFR | eCFR