83_FR_17425 83 FR 17349 - Approval and Promulgation of Implementation Plans; Louisiana; Attainment Demonstration for the St. Bernard Parish 2010 SO2

83 FR 17349 - Approval and Promulgation of Implementation Plans; Louisiana; Attainment Demonstration for the St. Bernard Parish 2010 SO2

ENVIRONMENTAL PROTECTION AGENCY

Federal Register Volume 83, Issue 76 (April 19, 2018)

Page Range17349-17358
FR Document2018-08067

Pursuant to the Clean Air Act (the Act or CAA), the Environmental Protection Agency (EPA) is proposing to approve a State Implementation Plan (SIP) revision, as supplemented, for the St. Bernard Parish, Louisiana 2010 1-hour sulfur dioxide (SO<INF>2</INF>) Primary National Air Quality Standard (NAAQS) nonattainment area. EPA is proposing approval of the following CAA SIP elements: The attainment demonstration for the SO<INF>2</INF> NAAQS, which includes an Agreed Order on Consent (AOC) for the Rain CII Carbon, LLC. (Rain) facility; the reasonable further progress (RFP) plan; the reasonably available control measures (RACM) and reasonably available control technology (RACT) demonstration; the emission inventories; and the contingency measures. The State has demonstrated that its current Nonattainment New Source Review (NNSR) program covers this NAAQS; therefore, no revision to the SIP is required for the NNSR element.

Federal Register, Volume 83 Issue 76 (Thursday, April 19, 2018)
[Federal Register Volume 83, Number 76 (Thursday, April 19, 2018)]
[Proposed Rules]
[Pages 17349-17358]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2018-08067]


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ENVIRONMENTAL PROTECTION AGENCY

40 CFR Part 52

[EPA-R06-OAR-2017-0558; FRL-9976-51--Region 6]


Approval and Promulgation of Implementation Plans; Louisiana; 
Attainment Demonstration for the St. Bernard Parish 2010 SO2 Primary 
National Ambient Air Quality Standard Nonattainment Area

AGENCY: Environmental Protection Agency (EPA).

ACTION: Proposed rule.

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SUMMARY: Pursuant to the Clean Air Act (the Act or CAA), the 
Environmental Protection Agency (EPA) is proposing to approve a State 
Implementation Plan (SIP) revision, as supplemented, for the St. 
Bernard Parish, Louisiana 2010 1-hour sulfur dioxide (SO2) 
Primary National Air Quality Standard (NAAQS) nonattainment area. EPA 
is proposing approval of the following CAA SIP elements: The attainment 
demonstration for the SO2 NAAQS, which includes an Agreed 
Order on Consent (AOC) for the Rain CII Carbon, LLC. (Rain) facility; 
the reasonable further progress (RFP) plan; the reasonably available 
control measures (RACM) and reasonably available control technology 
(RACT) demonstration; the emission inventories; and the contingency 
measures. The State has demonstrated

[[Page 17350]]

that its current Nonattainment New Source Review (NNSR) program covers 
this NAAQS; therefore, no revision to the SIP is required for the NNSR 
element.

DATES: Written comments must be received on or before May 21, 2018.

ADDRESSES: Submit your comments, identified by Docket No. EPA-R06-OAR-
2017-0558, at http://www.regulations.gov. Follow the online 
instructions for submitting comments. Once submitted, comments cannot 
be edited or removed from Regulations.gov. The EPA may publish any 
comment received to its public docket. Do not submit electronically any 
information you consider to be Confidential Business Information (CBI) 
or other information whose disclosure is restricted by statute. 
Multimedia submissions (audio, video, etc.) must be accompanied by a 
written comment. The written comment is considered the official comment 
and should include discussion of all points you wish to make. The EPA 
will generally not consider comments or comment contents located 
outside of the primary submission (i.e., on the web, cloud, or other 
file sharing system). For additional submission methods, please contact 
Robert Imhoff, 214-665-7262, imhoff.robert@epa.gov. For 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.
    Docket: The index to the docket for this action is available 
electronically at www.regulations.gov and in hard copy at the EPA 
Region 6, 1445 Ross Avenue, Suite 700, Dallas, Texas. While all 
documents in the docket are listed in the index, some information may 
be publicly available only at the hard copy location (e.g., copyrighted 
material), and some may not be publicly available at either location 
(e.g., CBI).

FOR FURTHER INFORMATION CONTACT: Robert Imhoff, 214-665-7262, 
imhoff.robert@epa.gov. To inspect the hard copy materials, please 
schedule an appointment with Robert Imhoff or Mr. Bill Deese at 214-
665-7253.

SUPPLEMENTARY INFORMATION: Throughout this document whenever ``we,'' 
``us,'' or ``our'' is used, we mean the EPA.

Table of Contents

I. Why was Louisiana Required to Submit an SO2 Plan for 
St. Bernard Parish?
II. Requirements for SO2 Nonattainment Area Plans
III. Attainment Demonstration
IV. Review of Modeled Attainment Plan
    A. Model Selection
    B. Meteorological Data
    C. Emissions Data
    D. Receptor Grid
    E. Emission Limits
    F. Background Concentrations
    G. Summary of Results
V. Review of Other Plan Requirements
    A. Emissions Inventory
    B. RACM/RACT
    C. New Source Review (NSR)
    D. Reasonable Further Progress (RFP)
    E. Contingency Measures
VI. Conformity
VII. EPA's Proposed Action
VIII. Incorporation by Reference
XI. Statutory and Executive Order Reviews

I. Why was Louisiana required to submit an SO2 plan for the 
St. Bernard Parish?

    On June 22, 2010, the EPA promulgated a new 1-hour primary 
SO2 NAAQS of 75 parts per billion (ppb), which is met at an 
ambient air quality monitoring site when the 3-year average of the 
annual 99th percentile of 1-hour daily maximum concentrations does not 
exceed 75 ppb, as determined in accordance with appendix T of 40 CFR 
part 50. See 75 FR 35520, codified at 40 CFR 50.17(a)-(b). On August 5, 
2013, the EPA designated a first set of 29 areas of the country as 
nonattainment for the 2010 SO2 NAAQS, including the St. 
Bernard Parish Nonattainment Area \1\ within the State of Louisiana. 
See 78 FR 47191, codified at 40 CFR part 81, subpart C. These area 
designations were effective October 4, 2013. Section 191 of the CAA 
directs states to submit SIPs for areas designated as nonattainment for 
the SO2 NAAQS to the EPA within 18 months of the effective 
date of the designation, i.e., by no later than April 4, 2015, in this 
case. Under CAA section 192, these SIPs are required to demonstrate 
that their respective areas will attain the NAAQS as expeditiously as 
practicable, but no later than 5 years from the effective date of 
designation, which is October 4, 2018.
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    \1\ This designation was based on data from the Chalmette Vista 
monitoring site.
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    For a number of areas, including the St. Bernard Parish, the EPA 
published a final ``Findings of Failure to Submit State Implementation 
Plans Required for Attainment of the 2010 1-Hour Primary Sulfur Dioxide 
National Ambient Air Quality Standard (NAAQS)'' Federal Register notice 
on March 18, 2016, that found that Louisiana and other pertinent states 
had failed to submit the required SO2 nonattainment plan by 
the required CAA submittal deadline. See 81 FR 14736. This finding, 
effective on April 18, 2016, initiated 18-month and 24-month deadlines 
under CAA section 179(a) for the imposition of mandatory new source 
review and highway funding sanctions, respectively, unless by those 
deadlines the State had submitted a SIP revision deemed by the EPA to 
be complete. Additionally, under CAA section 110(c), the finding 
triggered a requirement that the EPA promulgate a federal 
implementation plan (FIP) within two years of the finding unless, by 
that time (a) the state has made the necessary complete submittal and 
(b) EPA has approved the submittal as meeting applicable requirements.
    On November 9, 2017, LDEQ submitted a 2010 SO2 
Nonattainment Area SIP revision for St. Bernard Parish to EPA. The LDEQ 
determined that as a part of the attainment area demonstration, it 
should include permanent and enforceable restrictions for 
SO2 emitted from the Rain CII Carbon, LLC. (Rain) facility. 
Such limits were originally memorialized into an Administrative Order 
on Consent (AOC) that was signed on November 9, 2017, and was included 
in the LDEQ's November 9, 2017, SIP submittal (also included in the 
docket to this action). In LDEQ's SIP submittal cover letter, dated 
November 9, 2017, LDEQ committed to ``work toward a SIP revision 
submittal concerning the pyroscrubber (EQT 004) at the Rain facility no 
later than March 1, 2018.'' In addition, in LDEQ's responses to 
comments, LDEQ committed to revise the Rain AOC to ``incorporate 
limits, monitoring, and recordkeeping requirements that are reflective 
of the information used in the modeling demonstration in an updated 
submittal.'' On February 8, 2018, LDEQ submitted a letter to the EPA, 
accompanied by a new AOC, dated February 2, 2018, executed between LDEQ 
and Rain, that includes new emissions limits for the Rain facility's 
cold stack and hot stack/pyroscrubber, as well as monitoring, testing 
and recordkeeping requirements. LDEQ submitted this as a source 
specific SIP revision and supplement to the SIP (included in the docket 
to this action). These emission limits include all operation regimes at 
the facility, with differing emission limits depending on the stage of 
operation of the Cold and Hot stacks during the Transitional regime.\2\ 
On February 26, 2018, EPA determined that the State's SO2 
Nonattainment Area SIP revision for St. Bernard Parish was complete 
under 40

[[Page 17351]]

CFR part 51, App. V.\3\ Consequently, the Act's section 179 sanctions 
that had or would have applied as a result of the State's previously 
not submitting a complete SIP no longer apply due to the determination 
of completeness. See the State's AOC and letter, included in the docket 
to this action, that serve as a supplement to the SIP, dated February 
2, 2018 and February 8, 2018, respectively.\4\
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    \2\ Operations at Rain can be divided into three scenarios: Cold 
stack operation, hot stack operation, and a transitional period with 
emissions through both stacks.
    \3\ February 26, 2018 Completeness Determination Letter from 
Wren Stinger, EPA Region 6 to Chuck Carr Brown, LDEQ.
    \4\ As noted above, in the ``Findings of Failure to Submit State 
Implementation Plans Required for Attainment of the 2010 1-Hour 
Primary Sulfur Dioxide National Ambient Air Quality Standard 
(NAAQS),'' the finding also triggered a requirement that the EPA 
promulgate FIP within two years of the finding unless, by that time 
(a) the state has made the necessary complete submittal and (b) EPA 
has approved the submittal as meeting applicable requirements.
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II. Requirements for SO2 Nonattainment Area Plans

    Nonattainment area SIPs must meet the applicable requirements of 
the CAA, and specifically CAA sections 110, 172, 191 and 192. The EPA's 
regulations governing nonattainment area SIPs are set forth at 40 CFR 
part 51, with specific procedural requirements and control strategy 
requirements residing at subparts F and G, respectively. Soon after 
Congress enacted the 1990 Amendments to the CAA, the EPA issued 
comprehensive guidance on SIPs, in a document entitled the ``General 
Preamble for the Implementation of Title I of the Clean Air Act 
Amendments of 1990,'' published at 57 FR 13498 (April 16, 1992) 
(General Preamble). Among other things, the General Preamble addressed 
SO2 SIPs and fundamental principles for SIP control 
strategies. Id., at 13545-49, 13567-68. On April 23, 2014, the EPA 
issued recommended guidance for meeting the statutory requirements in 
SO2 SIPs, in a document entitled, ``Guidance for 1-Hour 
SO2 Nonattainment Area SIP Submissions.'' \5\ In this 
guidance, the EPA described the statutory requirements for a complete 
nonattainment area SIP, which includes: an accurate emissions inventory 
of current emissions for all sources of SO2 within the 
nonattainment area, an attainment demonstration, demonstration of RFP, 
implementation of RACM (including RACT), an approvable NNSR program, 
enforceable emissions limitations, and adequate contingency measures 
for the affected area.
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    \5\ ``Guidance for 1-Hour SO2 Nonattainment Area SIP 
Submissions'' available at https://www.epa.gov/sites/production/files/2016-06/documents/20140423guidance_nonattainment_sip.pdf.
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    In order for the EPA to fully approve a SIP as meeting the 
requirements of CAA sections 110, 172 and 191-192 and EPA's regulations 
at 40 CFR part 51, the SIP for the affected area needs to demonstrate 
to EPA's satisfaction that each of the aforementioned requirements have 
been met. Under CAA sections 110(l) and 193, the EPA may not approve a 
SIP that would interfere with any applicable requirement concerning 
NAAQS attainment and RFP, or any other applicable requirement under the 
Act. Furthermore, no requirement in effect, or required to be adopted 
by an order, settlement, agreement, or plan in effect before November 
15, 1990, in any area which is a nonattainment area for any air 
pollutant, may be modified in any manner unless it insures equivalent 
or greater emission reductions of such air pollutant.

III. Attainment Demonstration

    The CAA section 172(c)(1) directs states with areas designated as 
nonattainment to demonstrate that the submitted plan provides for 
attainment of the NAAQS. 40 CFR part 51, subpart G further delineates 
the control strategy requirements that SIPs must meet, and the EPA has 
long required that all SIPs and control strategies reflect four 
fundamental principles of quantification, enforceability, 
replicability, and accountability. See General Preamble, at 13567-68. 
SO2 attainment plans must consist of two components: (1) 
Emission limits and other control measures that assure implementation 
of permanent, enforceable and necessary emission controls, and (2) a 
modeling analysis which meets the requirements of 40 CFR part 51, 
Appendix W (Guideline on Air Quality Models; ``the Guideline''), and 
demonstrates that these emission limits and control measures provide 
for timely attainment of the primary SO2 NAAQS as 
expeditiously as practicable, but by no later than the attainment date 
for the affected area. In all cases, the emission limits and control 
measures must be accompanied by appropriate methods and conditions to 
determine compliance with the respective emission limits and control 
measures and must be quantifiable (i.e., a specific amount of emission 
reduction can be ascribed to the measures), fully enforceable 
(specifying clear, unambiguous and measurable requirements for which 
compliance can be practicably determined), replicable (the procedures 
for determining compliance are sufficiently specific and non-subjective 
so that two independent entities applying the procedures would obtain 
the same result), and accountable (source specific limits must be 
permanent and must reflect the assumptions used in the SIP 
demonstrations).
    Preferred air quality models for use in regulatory applications are 
described in Appendix A of the EPA's Guideline on Air Quality Models 
(40 CFR part 51, Appendix W).\6\ In 2005, the EPA promulgated AERMOD as 
the Agency's preferred near-field dispersion modeling for a wide range 
of regulatory applications addressing stationary sources (for example 
in estimating SO2 concentrations) in all types of terrain 
based on extensive developmental and performance evaluation. On July 
29, 2015, EPA proposed in the Federal Register ``Revisions to the 
Guideline on Air Quality Models: Enhancements to the AERMOD Dispersion 
Modeling System and Incorporation of Approaches To Address Ozone and 
Fine Particulate Matter,'' (the Guideline), that provides for EPA's 
preferred models and other recommended techniques, as well as guidance 
for their use in estimating ambient concentrations of air 
pollutants.\7\ The Guideline provides additional regulatory options and 
updated methods or dispersion modeling with AERMOD; the final revisions 
to the Guideline were promulgated in a Federal Register action on 
January 17, 2017, and became effective on May 22, 2017.\8\ In addition 
to the Guideline, promulgated in 40 CFR part 51, Appendix W, EPA has 
issued supplemental guidance on modeling for purposes of demonstrating 
attainment of the 2010 SO2 standard (see our April 23, 2014 
SO2 nonattainment area SIP guidance document referenced 
above). Appendix A of the 2014 guidance titled ``Modeling Guidance for 
Nonattainment Areas,'' is based on and is consistent with the 
Guideline. Appendix A of the SO2 guidance memo follows and 
is consistent with the requirements in 40 CFR part 51 Appendix W. It 
also provides specific SO2 modeling guidance on the modeling 
domain, the source inputs, assorted types of meteorological data, and 
background concentrations. Consistency with the recommendations in the 
SO2 guidance is generally necessary for the attainment 
demonstration to offer adequately

[[Page 17352]]

reliable assurance that the plan provides for attainment.
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    \6\ The EPA published revisions to the Guideline on Air Quality 
Models on January 17, 2017. See 82 FR 5182 (January 17, 2017).
    \7\ 80 FR 45340 (July 29, 2015).
    \8\ 82 FR 5182 (January 17, 2017) and 82 FR 14324 (March 20, 
2017).
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    As stated previously, attainment demonstrations for the 2010 1-hour 
primary SO2 NAAQS must demonstrate future attainment and 
maintenance of the NAAQS in the entire area designated as nonattainment 
(i.e., not just at the violating monitor) by using air quality 
dispersion modeling in accordance with the Guideline and SO2 
guidance to show that the mix of sources and enforceable control 
measures and emission rates in an identified area will not lead to a 
violation of the SO2 NAAQS. For a short-term (i.e., 1-hour) 
standard, the EPA has stated that dispersion modeling, using allowable 
emissions and addressing stationary sources in the affected area (and 
in some cases those sources located outside the nonattainment area 
which may affect attainment in the area) is technically appropriate, 
efficient and effective in demonstrating attainment in nonattainment 
areas because it takes into consideration combinations of 
meteorological and emission source operating conditions that may 
contribute to peak ground-level concentrations of SO2.
    The meteorological data used in the analysis should generally be 
processed with the most recent version of AERMOD. Estimated 
concentrations should include ambient background concentrations, should 
follow the form of the standard, and should be calculated as described 
in section 2.6.1.2 of the August 23, 2010 clarification memo on 
``Applicability of Appendix W Modeling Guidance for the 1-hr 
SO2 National Ambient Air Quality Standard.'' \9\
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    \9\ Memorandum from Tyler Fox (EPA OAQPS) ``Applicability of 
Appendix W Modeling Guidance for the 1-hr SO2 National 
Ambient Air Quality Standard.'' August 23, 2010.
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IV. Review of Modeled Attainment Plan

    The following discussion evaluates various features of the modeling 
that Louisiana used in the attainment demonstration, as well as a 
discussion of the EPA's additional modeling that was conducted as part 
of the review of the State's SIP. LDEQ submitted modeling at the time 
of the SIP submittal. However, the state's modeling did not include 
modeling for all operating scenarios at Rain. In addition, subsequent 
to the State's modeling, Rain provided updated estimates for stack 
parameters for the hot stack. LDEQ submitted additional modeling, as 
noted in the February 8, 2018 letter, that incorporated the updated 
stack parameters for the hot stack. The 1-hour SO2 emission 
limits contained in the February 2, 2018 AOC were designed to ensure 
compliance with the SO2 NAAQS. The EPA undertook an 
additional modeling analysis which also incorporated the amended stack 
parameters, and utilized more recent allowable emission rates from 
other contributing sources, an expanded receptor grid, and covered all 
operating scenarios. The EPA's additional modeling used a more recent 
version of AERMOD and utilized LDEQ's meteorology, modeling options, 
land use characterization, building downwash inputs, background 
concentrations, and source inventory. For the updated modeling, the EPA 
worked in collaboration with the LDEQ to identify updated emissions 
rates for the contributing sources based on current permitted limits. 
The State reviewed EPA's modeling files and agrees with its 
accuracy.\10\ Additional, more detailed discussion of the State's 
modeling and EPA's modeling is contained in the Technical Support 
Document (TSD) for this proposed action.
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    \10\ Email from Vennetta.Hayes@la.gov to Snyder.Erik@epa.gov et 
al., February 21, 2018, 1:53 p.m., included in the docket to this 
action.
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A. Model Selection

    Louisiana's attainment demonstration modeling used the Guideline 
preferred model, AERMOD (version 15181 of AERMOD) with default options 
(e.g., without use of the ADJ_U* option) and rural dispersion 
coefficients for this application. We note that since LDEQ originally 
started their modeling, the AERMOD system has been updated to version 
16216r, which is the current preferred version of AERMOD. Based on the 
parameters and options chosen by LDEQ, and considering the information 
in the the Model Change Bulletin,\11\ we do not expect significant 
changes to modeled concentration values due to the difference in AERMOD 
versions. We did not rerun the AERMET meteorological processor data 
even though the version also changed from 14134 to 16216. The EPA made 
changes to AERMET in the updated version (16216) to add an additional 
option (ADJ_U*) to be used in certain situations but that option is not 
required and was not used by LDEQ.\12\ The other changes between AERMET 
version 14134 and 16216 are minimal and would not result in discernable 
changes to LDEQ's SIP modeled concentrations.\13\
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    \11\ https://www3.epa.gov/ttn/scram/models/aermod/aermod_mcb12_v16216.pdf.
    \12\ ADJ_U* is an option to adjust friction velocity during 
light winds in the nighttime and was not an issue in this modeling 
that needed to be utilized as maximum concentrations were during 
other time of day and meteorological conditions.
    \13\ When the EPA updated AERMET there were model change 
bulletins and other information that describe the exact changes. See 
https://www.epa.gov/scram/meteorological-processors-and-accessory-programs#aermet. The EPA provided sensitivity runs to identify 
results from the differences in files under the Test Cases section 
at http://www.epaarchive.cc/node/164075.html.
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    LDEQ used building information (height, width, and length) to 
analyze potential building downwash in their modeling, and also chose 
to use rural characterization instead of urban characterization for 
vertical mixing and boundary layer calculations. The EPA reviewed the 
building downwash analysis and concurs with the choice of rural setting 
for the dispersion. Our review indicates that the modeling options and 
settings are acceptable and appropriate in the modeling submitted and 
EPA's modeling (see the TSD for more detail).

B. Meteorological Data

    The modeling utilized surface meteorological data obtained from the 
New Orleans International Airport and upper air data from the Slidell 
National Weather Station from 2011-2015. The New Orleans International 
Airport is the closest National Weather Service site, 27 km distant 
from the Vista monitor, and is representative of the meteorology in the 
St. Bernard Parish due to the proximity and the similarity of the 
terrain. The data was processed using the meteorological processing 
tools, AERMINUTE (14347) and AERMET (14134). Newer versions of the 
processing programs are available, but based on the changes that the 
EPA made in AERMINUTE and AERMET (discussed above) we would not expect 
to see any significant changes even if the data was processed with the 
latest version of AERMINUTE (v15272) and AERMET (v16216). Therefore, 
the EPA finds the selection and processing of this data to be 
acceptable.

C. Emissions Data

    There are three major sources of SO2 emissions located 
in relative close proximity to the Chalmette-Vista monitor, which is 
the monitor that recorded SO2 NAAQS violations on which the 
2013 nonattainment designation of the area was based. These sources are 
located in St. Bernard Parish: Valero Refining, Chalmette Refining, and 
Rain. Through analysis of air permit data for facilities within 20 
kilometers (km) of the violating monitor, LDEQ determined that these 
three major

[[Page 17353]]

sources in the area were the main sources of concern accounting for 
over 99% of the point source allowable SO2 emissions in the 
parish. This is confirmed by review of all SO2 sources in 
St. Bernard Parish provided by LDEQ in their emission inventory 
analysis part of their submittal. LDEQ also evaluated major sources 
(greater than 100 tpy of SO2) in the 20-50 km area 
surrounding the violating monitor and determined that most are located 
to the north in St. Charles Parish and to the west in Jefferson Parish 
and not in the predominant wind direction that generates exceedances at 
the monitor nor at the preliminary modeling maximum area to the west of 
Rain. LDEQ determined that there are no other major sources within 20 
km of the monitor based on the 2014 NEI inventory of actual emissions 
(See TSD for additional information). Two additional facilities, 
ConocoPhillips and New Orleans Sewer Treatment, were determined to have 
possible impacts somewhere in St. Bernard Parish and may not have been 
fully represented by the background monitoring values, so they were 
modeled explicitly. Maximum allowable emissions and federally 
enforceable permit limits were used for all modeled sources within St. 
Bernard Parish. LDEQ included many small sources of SO2 in 
the modeling, 12 sources were included with allowable emission rates of 
less than 1 tpy with the smallest being 0.005 tpy. Emergency equipment 
and other very small sources were omitted. Intermittent engines were 
modeled with annualized emissions based on the ratio of the operating 
hours to 8760 hours. The remainder of the sources are captured by the 
background concentrations. The inclusion of these sources assures that 
Louisiana incorporated all sources in the modeling that are considered 
to possibly create concentrations and/or concentration gradients in St. 
Bernard Parish that are not represented by the background monitoring 
data.
    LDEQ used site specific building and stack data and modeled all 
stacks at the lesser of their actual stack height, or Good Engineering 
Practice (GEP) stack height as determined by the BPIP PRIME 
preprocessor. Building downwash influences obtained from the BPIP PRIME 
output were included in the modeling. For a more detailed analysis and 
conclusions on what sources were included in the modeling, and how they 
were modeled see the TSD.
    As discussed in the TSD, Rain was identified as the primary 
contributor to exceedances at the Vista monitor. Louisiana and EPA 
modeling support the establishment of additional emission limits for 
Rain. Rain is a coke calcining operation that includes a waste heat 
recovery boiler. During normal operations, the exhaust from the 
calining operation is routed through the recovery boiler and then 
through a scrubber and finally to the atmosphere through what is termed 
the ``cold stack.'' During start up and times when the recovery boiler 
is down, emissions are routed to the atmosphere through what is known 
as the ``hot stack.'' The modeling covers three operation scenarios: 
Cold stack operation, hot stack operation, and a transitional period 
with emissions through both stacks. This third operation scenario was 
further divided into four stages based on flow and temperatures through 
the cold stack. Because of the wide range of emission rates and plume 
buoyancy during the startup this approach enabled the determination of 
emission rates for each stage that were shown through the modeling to 
be consistent with attainment of the NAAQS. The modeling includes 
current conditions reflecting the operation of the scrubber and the new 
cold stack for estimating the impacts of emissions through the cold 
stack. The 1-hour SO2 emission limits contained in the 
February 2, 2018 AOC were designed to ensure compliance with the 
SO2 NAAQS. This AOC also incorporated updated information 
from Rain concerning the hot stack flow rates and temperatures that 
required additional modeling and refinement of the AOC SO2 
emission limits for the transitional modeling. The modeling also 
included the two other major sources in St. Bernard Parish (Chalmette 
Refinery and Valero Refinery) modeled at their short-term 
SO2 emission allowables in their existing permits.\14\ See 
below for further details on the emission rates in the State's and 
EPA's attainment modeling.
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    \14\ Permit No 2500-00001-V16 for Chalmette Refining in the 
docket as 8-10-17 Valero-Meraux Refinery-permit 2500-0001-V16.pdf 
(Note the Permit No 2500-0001-V9 included reductions in 
SO2 from a Consent Decree); Chalmette Refining Permits 
(No. 2500-0005-V5, 2933-V6, 2822-V2, 3004-V7, 3011-V3, 3015-V3, 
3016-V3, 3017-V5, 3018-V5 30222-V7, 3023-V7) in the docket as 
Chalmette Refining-Final Permits.pdf
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    Except for the emission points addressed in the February 2, 2018 
AOC, the emission limits for the other relevant sources inside St. 
Bernard Parish, as outlined in Louisiana's attainment demonstration and 
supplement to the SIP, correspond to the sulfur limitations on a 1-hour 
basis found in their permits. The emission limits for Rain are all on a 
1-hour average basis; and equal the modeled emissions rates. The EPA 
finds Louisiana's choice of included sources to be appropriate. 
However, EPA found that the modeled emission rates utilized by LDEQ in 
their modeling for several sources reflected permit limits that have 
been modified. For EPA's modeling, we used the updated emission rates. 
The State reviewed the emission \15\ rates used by EPA and determined 
that they were either accurate or slightly conservative.
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    \15\ Email from Vennetta.Hayes@la.gov to Snyder.Erik@epa.gov et 
al., February 21 2018 1:53PM, included in the docket to this action.
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D. Receptor Grid

    Within AERMOD, air quality concentration results are calculated at 
discrete locations identified by the user; these locations are called 
receptors. LDEQ placed receptors within St. Bernard Parish with 100 
meter (m) spacing extending 2 km from the fence line of the three major 
facilities in St. Bernard Parish; spacing is 250 m from 2-7 km; 500 m 
interval from 7-11 km; and 1,000 m interval from 11-50 km and beyond. 
In addition, receptors were placed along facility fence lines for the 
three major facilities, which define the ambient air boundary for a 
particular source. A receptor grid extends approximately 50 km to the 
east of the Valero refinery (easternmost large source of SO2 
in St Bernard Parish), but does not go all the way to the eastern edge 
of the Parish as there are no point sources of SO2 in that 
area and the modeled design value isopleths were declining and had 
declined to less than half the level of the NAAQS. EPA conducted 
modeling with an expanded receptor grid to ensure that the receptor 
grid is large enough to capture all areas of concern that may be near 
the 1-hour SO2 NAAQS in and near St. Bernard Parish. The EPA 
modeling analysis also included some receptors to the south of Rain and 
the Chalmette refinery area in Orleans Parish and Plaquemines Parish. 
EPA also placed receptors to confirm that no violations would occur on 
the properties of the three major source facilities if all emissions 
were modeled except for emissions from that facility (e.g. for the 
Chalmette Refinery property with all emissions except those from the 
Chalmette Refinery sources). See the TSD for additional information. 
The expanded modeling domain and receptor network are sufficient to 
identify maximum impacts from the modeled sources, and detect 
significant concentration gradients, and are adequate for demonstrating 
attainment in the nonattainment area and the surrounding area.

[[Page 17354]]

E. Emission Limits

    An important prerequisite for approval of an attainment plan is 
that the emission limits that provide for attainment be quantifiable, 
fully enforceable, replicable, and accountable. See General Preamble at 
13567-68.
    Louisiana entered an AOC with Rain on November 9, 2017, and a new 
AOC on February 2, 2018, pursuant to the Louisiana Environmental 
Quality Act (La. R.S. 30:2001, et seq.). Both AOCs were submitted to 
EPA as part of the State's SIP revision submittal as a source-specific 
SIP revision. Louisiana issued a permit to Rain on October 27, 2017 
(Permit No. 2500-00006-V3) \16\ that included the previous November 9, 
2017, AOC limits, but has not yet issued a revised permit to include 
the new AOC limits that are now included in the February 2, 2018, AOC. 
In its February 2, 2018 AOC, LDEQ has committed to modify the permit to 
include all federally enforceable applicable limits listed in the AOC. 
Louisiana issued the new AOC (February 2, 2018) to incorporate emission 
limits, monitoring, and recordkeeping requirements that are reflective 
of the information used in the modeling demonstration. The new AOC also 
incorporated updated information from Rain concerning the hot stack 
flow rates and temperatures that required additional modeling and 
refinement of the AOC SO2 emission limits for the 
transitional modeling. We are proposing to approve the February 2, 
2018, Rain AOC as a source-specific SIP revision to make it permanent 
and federally enforceable. The limits in the table below are hourly 
limits and compliance with the limits is determined using 1-hour 
average data.
---------------------------------------------------------------------------

    \16\ See docket to this action at 10-27-17 NSR-Title V Rain v3 
Final.pdf.
---------------------------------------------------------------------------

    The emissions limits relied upon in the modeling for the other two 
major sources within the area that could contribute to nonattainment in 
the area already are federally enforceable because they are reside in 
NSR SIP permits Valero No. 1500-00001-V16 and Chalmette has 11 
permits.\17\ The February 2, 2018 AOC for Rain will become federally 
enforceable as a source-specific revision to the Louisiana SIP if EPA 
finalizes this proposed approval. The AOC has a compliance date of May 
3, 2018.
---------------------------------------------------------------------------

    \17\ Permit No 2500-00001-V16 for Chalmette Refining in the 
docket as 8-10-17 Valero-MerauxRefinery-permit 2500-0001-V16.pdf 
(Note the Permit No 2500-0001-V9 included reductions in 
SO2 from a Consent Decree); Chalmette Refining Permits 
(No. 2500-0005-V5, 2933-V6, 2822-V2, 3004-V7, 3011- V3, 3015-V3, 
3016-V3, 3017-V5, 3018-V5 30222-V7, 3023-V7) in the docket as 
ChalmetteRefining-Final Permits.pdf

                        AOC Emission Limitations
------------------------------------------------------------------------
    Source ID      Source description      Sulfur dioxide (SO2) limit
------------------------------------------------------------------------
EQT 0003........  Waste Heat Boiler/   During normal, steady-state
                   Baghouse.            operations, with no emissions
                                        through the Pyroscrubber Stack
                                        (EQT 0004), SO2 emissions shall
                                        be <=510 lb/hr when stack flow
                                        rate >=110,000 SCFM and stack
                                        temperature >=220[square]F. If
                                        stack flow rate >=70,000 SCFM
                                        and <110,000 SCFM and
                                        Temperature is >=220 [deg]F, SO2
                                        emissions shall be <=380 lb/hr.
EQT 0003........  Waste Heat Boiler/   Stage 1: when the flue gas flow
                   Baghouse.            rate <40,000 SCFM or Temperature
                                        <90 [deg]F as measured by the
                                        CEMS, SO2 emissions shall be
                                        <=10 lb/hr.
EQT 0003........  Waste Heat Boiler/   Stage 2: when the flue gas flow
                   Baghouse.            rate >=40,000 SCFM and <70,000
                                        SCFM:
                                        Temperature >=0 [deg]F
                                        and <110 [deg]F as measured by
                                        the CEMS, SO2 emissions shall be
                                        <=75 lb/hr.
                                        Temperature >=110 [deg]F
                                        and <150 [deg]F as measured by
                                        the CEMS, SO2 emissions shall be
                                        <=75 lb/hr.
                                        Temperature >=150 [deg]F
                                        and <220 [deg]F as measured by
                                        the CEMS, SO2 emissions shall be
                                        <=75 lb/hr.
EQT 0003........  Waste Heat Boiler/   Stage 3: when the flue gas flow
                   Baghouse.            rate >=70,000 SCFM and <110,000
                                        SCFM:
                                        Temperature >= 110
                                        [deg]F and <150 [deg]F as
                                        measured by the CEMS, SO2
                                        emissions shall be <=90 lb/hr.
                                        Temperature >=150 [deg]F
                                        and <=220 [deg]F as measured by
                                        the CEMS, SO2 emissions shall be
                                        <=90 lb/hr.
EQT 0003........  Waste Heat Boiler/   Stage 4: when the flue gas flow
                   Baghouse.            rate >=110,000 SCFM and
                                        Temperature >=220 [deg]F as
                                        measured by the CEMS, SO2
                                        emissions shall be <=50 lb/hr.
EQT 0004........  Pyroscrubber Stack.  Non-transition operations: No
                                        flow through EQT 0003, SO2
                                        emissions shall be <=2020 lb/hr.
EQT 0004........  Pyroscrubber Stack.  Transition Stage 1: EQT 0003 flow
                                        rate <40,000 SCFM, SO2 emissions
                                        shall be <=1,000 lb/hr.
EQT 0004........  Pyroscrubber Stack.  Transition Stage 2: 40,000 SCFM
                                        <=EQT 0003 flow rate <70,000
                                        SCFM, SO2 emissions shall be
                                        <=650 lb/hr.
EQT 0004........  Pyroscrubber Stack.  Transition Stage 3: 70,000 SCFM
                                        <=EQT 0003 flow rate 110,000
                                        SCFM, SO2 emissions shall be
                                        <=650 lb/hr.
EQT 0004........  Pyroscrubber Stack.  Transition Stage 4: EQT 0003 flow
                                        rate >=110,000 SCFM, SO2
                                        emissions shall be <=400 lb/hr
                                        and temperature >=1,000 [deg]F.
------------------------------------------------------------------------
SCFM in Table is wet flow at standard conditions of 20C and standard
  atmospheric pressure (1,013.25 millibars).

    The two other facilities that are located outside of St. Bernard 
Parish that were included in the modeling are not located in a 
direction such that they can contribute to the maximum concentrations 
in St. Bernard Parish (not upwind) so would have a negligable impact on 
maximum modeled concentrations within St. Bernard Parish. Therefore, 
LDEQ did not require new SO2 emission limits on these 
facilities (ConocoPhillips, and New Orleans Sewer Treatment). EPA has 
reviewed the facilities' data and notes that the ConocoPhillips 
facility is 27 km away from the Vista monitor and neither 
ConocoPhillips nor the New Orleans facility (less than 3 tons per year 
emissions) are upwind of the maximum modeled concentrations and thus 
are not critical to demonstrating attainment in the area. EPA agrees 
with LDEQ's decision not to establish emission limits for these 
facilities in this SIP.

F. Background Concentrations

    To develop background concentrations for the nonattainment area, 
Louisiana relied on 2012-2014 SO2 data from the Meraux 
monitor and

[[Page 17355]]

meteorological data from the Vista monitor (no meteorological data are 
collected at Meraux). The Meraux and Chalmette Vista (Vista) sites are 
located only 5 km apart and in similar topography; therefore, 
meteorological conditions at the Vista monitor are representative of 
those at Meraux.\18\ In determining the monitored background 
concentration, LDEQ excluded monitored data when the major sources 
(Rain, Chalmette Refinery and Valero Refinery) were impacting the 
monitor. A 68-degree sector containing all three sources was identified 
and hourly SO2 values corresponding to hours when the wind 
direction was from within that 68-degree arc and wind speeds were 
greater than 2 miles per hour were excluded. The 2nd highest value for 
each season and hour of day was determined for each of the three years 
2012-2014. These values were averaged and the resulting set of values 
were utilized as background. LDEQ also examined more recent monitoring 
data and determined that subsequent years had lower design values.
---------------------------------------------------------------------------

    \18\ We note that the meteorological data collected at the Vista 
monitor do not meet all the requirements for use as input for air 
quality modeling. See Section IV. B. for a discussion of the 
meteorological data used for modeling.
---------------------------------------------------------------------------

    These background values are representative of the contribution due 
to other sources within the St. Bernard Parish and surrounding areas 
that were not explicitly modeled. See the TSD for additional 
information. Using this approach, the EPA finds the State's treatment 
of SO2 background levels to be suitable for the modeled 
attainment demonstration.

G. Summary of Results

    The modeling analysis including the February 2, 2018 AOC emission 
limits for the Rain facility resulted in concentrations below the level 
of the 1-hour primary SO2 NAAQS. The EPA has reviewed 
Louisiana's attainment demonstration, conducted additional modeling 
runs and agrees that Louisiana's submittal and supplemental materials, 
along with the new AOC limits (February 2, 2018), result in 
demonstrating attainment of the 1-hour SO2 NAAQS before the 
attainment deadline of October 4, 2018. LDEQ reviewed EPA's modeling 
files and has affirmed that they are accurate and representative.\19\
---------------------------------------------------------------------------

    \19\ Email from Vivian.ucoin@LA.gov to Snyder.Erik@epa.gov et 
al. March 27, 2018 1:28PM included in docket to this action.

Table 1--Summary of EPA Model Results With Number of Operating Scenarios
                      Modeled, if Greater Than One
------------------------------------------------------------------------
                                                           Design value
                   Operational status                        [mu]g/m3
------------------------------------------------------------------------
Cold Stack Normal Operations (Two Scenarios)............           192.4
Hot Stack Normal Operations.............................           171.3
Transition (Seven Scenarios)............................           190.0
Rain Property...........................................           146.4
Valero Property.........................................           125.5
Chalmette Refinery Property.............................           148.3
------------------------------------------------------------------------

    We therefore propose to determine that Louisiana's plan provides 
for attainment of the 2010 primary SO2 NAAQS in the St. 
Bernard Parish nonattainment area prior to October 4, 2018.

V. Review of Other Plan Requirements

A. Emissions Inventory

    The emissions inventory and source emission rate data for an area 
serve as the foundation for air quality modeling and other analyses 
that enable states to: (1) Estimate the degree to which different 
sources within a nonattainment area contribute to violations within the 
affected area; and (2) assess the expected improvement in air quality 
within the nonattainment area due to the adoption and implementation of 
control measures. As noted above, the state must develop and submit to 
the EPA a comprehensive, accurate and current inventory of actual 
emissions from all sources of SO2 emissions in each 
nonattainment area, as well as any sources located outside the 
nonattainment area which may affect attainment in the area. See CAA 
section 172(c)(3).
    In its submittal, Louisiana included a current emissions inventory 
for the St. Bernard Parish nonattainment area based on the 2011-2015 
period. Two other sources outside St. Bernard Parish were also included 
in the modeling, but were not critical to the modeling and thus further 
emission reductions (or including existing limits in this SIP) were not 
necessary for these two sources (ConocoPhillips and New Orleans Sewer 
Treatment).
    The State principally relied on 2011 as the most complete and 
representative record of annual SO2 emissions because it 
coincided with the EPA's National Emissions Inventory (NEI), which 
includes a comprehensive inventory of all source types (point, nonpoint 
and onroad and off-road mobile sources). Changes to the methodology for 
the NEI for off-road sources made the 2014 NEI values incomparable to 
the previous years, but additional emissions information was provided 
to supplement the 2011 NEI data.
    The state of Louisiana compiles a statewide EI in accordance with 
the CAA Amendments of 1990, LAC 33:III.918 and 919 (Recordkeeping and 
Annual Reporting and Emissions Inventory). Louisiana supplemented the 
2011 NEI data with their 2013 point source EI in the SIP submittal as 
shown in the following table: \20\
---------------------------------------------------------------------------

    \20\ The EPA reviewed more recent inventories (2014-2016) and 
confirmed that emissions were similar with Rain emissions being 
slightly higher on average and the two refineries (Valero and 
Chalmette) were lower in more recent years. See St. Bernard EI 2014-
2016.xlsx in the docket.

        2013 St. Bernard Parish Point Source Emissions Inventory
------------------------------------------------------------------------
                                                           Tons per year
------------------------------------------------------------------------
Rain Chalmette Coke Plant...............................         3061.88
Chalmette Refinery......................................          255.46
Valero Refinery.........................................          200.74
TOCA Gas Processing Plant...............................            3.27
Chalmette Cane Sugar Refinery...........................            0.76
ELOI Bay Platform No. 1.................................            0.41
Southern Natural Gas Co.--Toca Compressor Station.......            0.17
2013 Point Source Totals................................         3522.69
------------------------------------------------------------------------

    In addition, the State further supplemented the emissions inventory 
information and SIP submittal with newer, more specific emissions 
information for Rain in the February 2, 2018 AOC, which included 
revised emission limits and operating parameters utilized in the 
attainment demonstration modeling.
    Louisiana also developed SO2 emissions projections for 
the 2018 attainment year. Nonpoint and mobile emissions data was taken 
from the NEI database. Emissions projections for nonpoint and mobile 
sources are based on the reductions established in 2005, 2008, and 
2011. The emissions estimate for 2018 point sources is based on FY 2013 
emissions.
    Because St. Bernard Parish is currently an SO2 
nonattainment area, nonattainment new source review (NNSR) requires 
SO2 increases from new major sources and major modifications 
to be offset at > 1 to 1, therefore, the emissions estimate for 2018 
point sources is based on FY 2013 emissions at 3,523 tons per year 
(tpy). Nonpoint and mobile emissions data was taken from the NEI 
database. The combined emissions estimate for 2018 nonpoint and mobile 
sources is approximately 625 tpy, approximately the same as current 
emissions, almost all of which are from nonpoint sources.

[[Page 17356]]

    The EPA agrees that the State's emissions inventories for point, 
nonpoint and mobile sources are appropriate because they rely on well-
established and vetted estimates of emissions for the current period 
and attainment year, respectively.

B. RACM/RACT

    To be approved by the EPA, the SIP must provide for attainment of 
the standard based on SO2 emission reductions from control 
measures that are permanent and enforceable. At a minimum, states must 
consider all RACM and RACT measures that can be implemented in light of 
the attainment needs for the affected area, and include all necessary 
measures in order to attain the NAAQS. The definition for RACT is that 
control technology which is necessary to achieve the NAAQS (see 40 CFR 
51. 100(o)). Since SO2 RACT is already defined as the 
technology necessary to achieve NAAQS, control technology which failed 
to achieve the SO2 NAAQS would, by definition, fail to be 
SO2 RACT. See General Preamble at 57 FR 13498, 13547.\21\ 
Louisiana's submittal and supplement meets this requirement for the 1-
hour SO2 NAAQS in the St. Bernard Parish nonattainment area 
as the control measures implemented in the plan have been shown to 
achieve attainment.
---------------------------------------------------------------------------

    \21\ See CAA section 110(a)(2)(A) and CAA 172(c)(1) that 
provides that ``[s]uch plan shall provide for the implementation of 
all reasonably available control measures as expeditiously as 
practicable (including such reductions in emissions from existing 
sources in the area as may be obtained through the adoption, at a 
minimum, of reasonably available control technology) and shall 
provide for attainment of the national primary ambient air quality 
standards.''
---------------------------------------------------------------------------

    The plan relies on ambient SO2 concentration reductions 
achieved by implementation of an AOCand permitted limits at Rain and 
permitted limits at Valero and Chalmette Refining. Rain achieved 
reductions by replacing the existing stack for the Waste Heat Boiler/
Baghouse (EQT003) with a new stack with a height of approximately 199 
feet; \22\ and replacing the lime injection system with an 
SO2 scrubber and baghouse.\23\ The Waste Heat Boiler/
Baghouse began venting through the new stack on October 10, 2013. The 
SO2 scrubbing system was operational before February 29, 
2016. The impact of these measures had an apparent positive impact on 
the measured SO2 concentrations at the relevant (Chalmette 
Vista) SO2 monitor based on the recent reduction in observed 
concentrations.
---------------------------------------------------------------------------

    \22\ Pursuant to an AOC, entered into by LDEQ and Rain, Rain was 
to replace the stack with a new stack of approximately 199 feet. The 
new stack was in operation prior to December 31, 2013. Enforcement 
Tracking No. AE-AOA-13-00490, effective June 20, 2013.
    \23\ Rain CII Chalmette NSR Title V Permit October 27 2017, in 
docket as 10-27-17 NSR-Title V Rain v3 Final.pdf
---------------------------------------------------------------------------

    Further improvements will be achieved through the implementation of 
the February 2, 2018 AOC that sets operating parameters and emission 
limits for all three operating states: 1) Emit through Hot Stack; 2) 
Emit through Cold Stack; and 3) Transition between the two states 
during which emissions are through both stacks. It also further reduced 
the emission limits for the cold stack providing for an additional 57-
78% reduction in cold stack emissions.
    The final emission limitations as included in the February 2, 2018 
AOC are provided in Section IV.E. Emission Limitations above.
    Valero Refining completed SO2 reductions and revised 
their permit to incorporate the lowering of flare emissions due to the 
installation of a flare gas recovery system in Permit No. 2500-00001-
V12 issued March 9, 2016. The Chalmette Refinery made all the consent 
decree SO2 reductions with the last requirements met by 
December 31, 2016, with a flare management plan (Permit No. 3016-V4). 
Rain has installed controls to help reduce its impacts, e.g., the 
installation and venting through a taller stack by October 10, 2013, 
and the installation and operation of a SO2 scrubber by 
February 29, 2016.
    Motor Vehicles in the general area have reduced SO2 
emissions through the implementation of federal programs, such as Tier 
3 vehicle emission and fuel standards that have begun in 2017. Tier 3 
sets new vehicle emissions standards and lowers the sulfur content of 
gasoline, considering the vehicle and its fuel as an integrated system. 
Specifically, Federal gasoline will not contain more than 10 parts per 
million (ppm) of sulfur on an annual average basis by January 1, 2017.
    Louisiana has determined that these measures for Rain in addition 
to the permitted limits at Valero Refining, and Chalmette Refining, 
provide for timely attainment and meet the RACT requirements.\24\ The 
EPA concurs and proposes to conclude that the state has satisfied the 
requirement in section 172(c)(1) to adopt and submit all RACM, 
including RACT, as needed to attain the standards as expeditiously as 
practicable.
---------------------------------------------------------------------------

    \24\ Permit No 2500-00001-V16 for Chalmette Refining in the 
docket as 8-10-17 Valero-MerauxRefinery-permit 2500-0001-V16.pdf 
(Note the Permit No 2500-0001-V9 included reductions in 
SO2 from a Consent Decree); Chalmette Refining Permits 
(No. 2500-0005-V5, 2933-V6, 2822-V2, 3004-V7, 3011- V3, 3015-V3, 
3016-V3, 3017-V5, 3018-V5 30222-V7, 3023-V7) in the docket as 
ChalmetteRefining-Final Permits.pdf.
---------------------------------------------------------------------------

C. New Source Review (NSR)

    The EPA has approved both Louisiana's NNSR and Emission Reduction 
Credits (ERC) banking programs. (LAC 33:111.504 was approved on 
September 30, 2002 (67 FR 61270); LAC 33:III.Chapter 6 was approved on 
September 27, 2002 (67 FR 60877)). Note that per a rule revision 
promulgated November 20, 2012 (AQ 327), (See App. D to SIP), revisions 
to LDEQ's ERC banking program (LAC 33:III.Chapter 6) were made such 
that creditable SO2 reductions could be banked and traded as 
ERC. No further revisions to LAC 33:III.504 or Chapter 6 are required 
to implement the NNSR program in St. Bernard Parish. These rules 
provide for appropriate new source review for SO2 major 
sources undergoing construction or major modification in St. Bernard 
Parish without need for modification of the approved rules. Therefore, 
the EPA concludes that this requirement has already been met for this 
area.

D. Reasonable Further Progress (RFP)

    Section 171(1) of the CAA defines RFP as ``such annual incremental 
reductions in emissions of the relevant air pollutant as are required 
by part D or may reasonably be required by EPA for the purpose of 
ensuring attainment of the applicable NAAQS by the applicable 
attainment date.'' This definition is most appropriate for pollutants 
that are emitted by numerous and diverse sources, where the 
relationship between any individual source and the overall air quality 
is not explicitly quantified, and where the emission reductions 
necessary to attain the NAAQS are inventory-wide. See April 2014 
SO2 Guidance memo, page 40.\25\ EPA has also previously 
explained that the definition is generally less pertinent to pollutants 
like SO2 that usually have a limited number of sources 
affecting areas of air quality that are relatively well defined, and 
emissions control measures for such sources result in swift and 
dramatic improvement in air quality.\26\ For SO2, there is 
usually a single ``step'' between

[[Page 17357]]

pre-control nonattainment and post-control attainment. Therefore, for 
SO2, with its discernible relationship between emissions and 
air quality, and significant and immediate air quality improvements, 
RFP is best construed as ``adherence to an ambitious compliance 
schedule.'' See General Preamble at 74 FR 13547 (April l6, 1992). This 
means that the State must ensure that affected sources implement 
appropriate control measures as expeditiously as practicable in order 
to ensure attainment of the standard by the applicable attainment date.
---------------------------------------------------------------------------

    \25\ April 23, 2014 Guidance for 1-Hour SO2 
Nonattinment Area SIP Submissions which can be found at: https://www.epa.gov/sites/production/files/2016-06/documents/20140423guidance_nonattainment_sip.pdf.
    \26\ See SO2 Guideline Document, U.S. Environmental 
Protection Agency, Office of Air Quality Planning and Standards, 
Research Triangle Park, N.C. 27711, EPA-452/R-94[middot]008, 
February 1994. (See https://nepis.epa.gov/Exe/ZyPDF.cgi/2000H22J.PDF?Dockey=2000H22J.PDF).
---------------------------------------------------------------------------

    In its submittal and supplement, the LDEQ provided its rationale 
for concluding that the plan met the requirement for RFP in accordance 
with EPA guidance. Specifically, LDEQ's rationale is based on the 
General Preamble and EPA 2014 SO2 guidance interpreting the 
RFP requirement being satisfied for SO2 if the plan requires 
``adherence to an ambitious compliance schedule'' that ``implement[s] 
appropriate control measures as expeditiously as practicable.'' The 
submittal and supplement provide for attainment as expeditiously as 
practicable, i.e., by the attainment date of October 4, 2018, and 
thereby satisfy the requirement for RFP. As noted previously, there are 
three major sources in the area that are the main sources of concern: 
Valero Refining, Chalmette Refining, and Rain. The two point sources 
(Valero and Chalmette) are subject to emissions reductions from consent 
decrees that have been included in NSR SIP permits. Valero Refining 
completed all the consent decree's SO2 reductions and 
revised their permit to incorporate the lowering of flare emissions due 
to the flare gas recovery system in Permit No. 2500-00001-V12 issued 
March 9, 2016. The Chalmette Refinery made all the consent decree's 
SO2 reductions with the last requirements met by December 
31, 2016, with a flare management plan (Permit No. 3016-V4). Rain 
entered into a February 2. 2018, AOC that requires compliance by May 3, 
2018, and if finalized as a SIP revision, will become federally 
enforceable. Therefore, Louisiana concluded that its SIP submittal and 
supplement provide for RFP in accordance with the approach to RFP 
described in the EPA's SO2 guidance and the Preamble. The 
EPA concurs and proposes to conclude that the SIP submittal and 
supplement provides for RFP.

E. Contingency Measures

    As discussed in our 2014 SO2 guidance, Section 172(c)(9) 
of the CAA defines contingency measures as such measures in a SIP that 
are to be implemented in the event that an area fails to make RFP, or 
fails to attain the NAAQS, by the applicable attainment date. 
Contingency measures are to become effective without further action by 
the state or the EPA, where the area has failed to (1) achieve RFP or 
(2) attain the NAAQS by the statutory attainment date for the affected 
area. These control measures are to consist of other available control 
measures that are not included in the control strategy for the 
nonattainment area SIP. EPA guidance describes special features of 
SO2 planning that influence the suitability of alternative 
means of addressing the requirement in section 172(c)(9) for 
contingency measures for SO2. Because SO2 control 
measures are by definition based on what is directly and quantifiably 
necessary emissions controls, any violations of the NAAQS are likely 
related to source violations of a source's permit or agreed order 
terms. Therefore, an appropriate means of satisfying this requirement 
for SO2 is for the state to have a comprehensive enforcement 
program that identifies sources of violations of the SO2 
NAAQS and to undertake an aggressive follow-up for compliance and 
enforcement.
    For its contingency program, Louisiana proposed to operate a 
comprehensive program to identify sources of violations of the 
SO2 NAAQS and undertake aggressive compliance and 
enforcement actions. Louisiana has regulatory authority to implement 
emergency rules for cause which may include violations of the NAAQS. 
More specifically, Louisiana proposed an analysis to determine the 
cause of any violation of the SO2 NAAQS, followed by 
identification and implementation of appropriate control measures at 
major SO2 sources through the use of emergency rules and/or 
administrative orders. Because the LDEQ has the ability to issue 
administrative orders and/or emergency rules that do not require public 
notice or comment and would use that process, as needed, to quickly 
implement measures to protect public health, the EPA believes that this 
approach continues to be a valid approach for the implementation of 
contingency measures to address the 2010 SO2 NAAQS.
    As noted above, EPA guidance describes special features of 
SO2 planning that influence the suitability of alternative 
means of addressing the requirement in section 172(c)(9) for 
contingency measures for SO2, such that in particular an 
appropriate means of satisfying this requirement is for the state to 
have a comprehensive enforcement program that identifies sources of 
violations of the SO2 NAAQS and to undertake an aggressive 
follow-up for compliance and enforcement. Louisiana's plan provides for 
satisfying the contingency measure requirement in this manner. The EPA 
concurs and proposes to approve Louisiana's plan for meeting the 
contingency measure requirement in this manner.

VI. Conformity

    Generally, as set forth in section 176(c) of the CAA, conformity 
requires that actions by federal agencies do not cause new air quality 
violations, worsen existing violations, or delay timely attainment of 
the relevant NAAQS. General conformity applies to federal actions, 
other than certain highway and transportation projects, if the action 
takes place in a nonattainment area or maintenance area (i.e., an area 
which submitted a maintenance plan that meets the requirements of 
section 175A of the CAA and has been redesignated to attainment) for 
ozone, particulate matter, nitrogen dioxide, carbon monoxide, lead, or 
SO2. EPA's General Conformity Rule (40 CFR 93.150 to 93.165) 
establishes the criteria and procedures for determining if a federal 
action conforms to the SIP. With respect to the 2010 SO2 
NAAQS, federal agencies are expected to continue to estimate emissions 
for conformity analyses in the same manner as they estimated emissions 
for conformity analyses under the previous NAAQS for SO2. 
EPA's General Conformity Rule includes the basic requirement that a 
federal agency's general conformity analysis be based on the latest and 
most accurate emission estimation techniques available (40 CFR 
93.159(b)). When updated and improved emissions estimation techniques 
become available, EPA expects the federal agency to use these 
techniques.
    Transportation conformity determinations are not required in 
SO2 nonattainment and maintenance areas. EPA concluded in 
its 1993 transportation conformity rule that highway and transit 
vehicles are not significant sources of SO2. Therefore, 
transportation plans, transportation improvement programs and projects 
are presumed to conform to applicable implementation plans for 
SO2. (See 58 FR 3776, January 11, 1993.)

VII. EPA's Proposed Action

    The EPA is proposing to approve Louisiana's SIP submission, which 
the State submitted to EPA on November 9, 2017, and supplemented on 
February 8, 2018, as meeting the requirements for attainment as 
expeditiously as practicable but no later than October 4,

[[Page 17358]]

2018, and other nonattainment area planning requirements for the St. 
Bernard Parish Nonattainment Area. This 2010 1-hour SO2 SIP 
submittal includes Louisiana's attainment demonstration for the St. 
Bernard Parish Nonattainment Area, including a new February 2, 2018 AOC 
for Rain that serves as a source-specific SIP revision, and the other 
CAA required elements including RFP, a RACT/RACM demonstration, base-
year and projection-year emission inventories, and contingency 
measures. We are proposing to approve the February 2, 2018, Rain AOC as 
a source-specific revision to the SIP. Louisiana also demonstrated it 
met the requirements regarding NNSR for SO2 and the EPA 
approved this program.
    The EPA has determined that Louisiana's SO2 attainment 
plan meets applicable requirements of the sections 110, 172, 173, 191, 
and 192 of the CAA. EPA's analysis is discussed in this proposed 
rulemaking and in our TSD that is available on-line at 
www.regulations.gov, Docket No. EPA-R06-OAR-2017-0558. The TSD provides 
additional explanation of the EPA's analysis supporting this proposal.

VIII. Incorporation by Reference

    In this action, we are proposing to include in a final rule 
regulatory text that includes incorporation by reference. In accordance 
with the requirements of 1 CFR 51.5, we are proposing to incorporate by 
reference revisions to the Louisiana source-specific requirements as 
described in the Proposed Action section above. We have made, and will 
continue to make, these documents generally available electronically 
through www.regulations.gov and in hard copy at the EPA Region 6 office 
(please contact Robert Imhoff, 214-665-7262, imhoff.robert@epa.gov for 
more information).

IX. Statutory and Executive Order Reviews

    Under the CAA, the Administrator is required to approve a SIP 
submission that complies with the provisions of the Act and applicable 
Federal regulations. 42 U.S.C. 7410(k); 40 CFR 52.02(a). Thus, in 
reviewing SIP submissions, EPA's role is to approve state choices, 
provided that they meet the criteria of the CAA. Accordingly, this 
action merely proposes to approve state law as meeting Federal 
requirements and does not impose additional requirements beyond those 
imposed by state law. For that reason, this proposed action:
     Is not a ``significant regulatory action'' subject to 
review by the Office of Management and Budget under Executive Order 
12866 58 FR 51735, October 4, 1993) and 13563 (76 FR 3821, January 21, 
2011);
     Is not an Executive Order 13771 (82 FR 9339, February 2, 
2017) regulatory action because SIP approvals are exempted under 
Executive Order 12866;
     Does not impose an information collection burden under the 
provisions of the Paperwork Reduction Act (44 U.S.C. 3501 et seq.);
     Is certified as not having a significant economic impact 
on a substantial number of small entities under the Regulatory 
Flexibility Act (5 U.S.C. 601 et seq.);
     Does not contain any unfunded mandate or significantly or 
uniquely affect small governments, as described in the Unfunded 
Mandates Reform Act of 1995 (Public Law 104-4);
     Does not have Federalism implications as specified in 
Executive Order 13132 (64 FR 43255, August 10, 1999);
     Is not an economically significant regulatory action based 
on health or safety risks subject to Executive Order 13045 (62 FR 
19885, April 23, 1997);
     Is not a significant regulatory action subject to 
Executive Order 13211 (66 FR 28355, May 22, 2001);
     Is not subject to requirements of Section 12(d) of the 
National Technology Transfer and Advancement Act of 1995 (15 U.S.C. 272 
note) because application of those requirements would be inconsistent 
with the CAA; and
     Does not provide EPA with the discretionary authority to 
address, as appropriate, disproportionate human health or environmental 
effects, using practicable and legally permissible methods, under 
Executive Order 12898 (59 FR 7629, February 16, 1994).
    In addition, the SIP is not approved to apply on any Indian 
reservation land or in any other area where EPA or an Indian tribe has 
demonstrated that a tribe has jurisdiction. In those areas of Indian 
country, the rule does not have tribal implications and will not impose 
substantial direct costs on tribal governments or preempt tribal law as 
specified by Executive Order 13175 (65 FR 67249, November 9, 2000).

List of Subjects in 40 CFR Part 52

    Environmental protection, Air pollution control, Incorporation by 
reference, Intergovernmental relations, Reporting and recordkeeping 
requirements, Sulfur oxides.

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

    Dated: April 12, 2018.
Anne Idsal,
Regional Administrator, Region 6.
[FR Doc. 2018-08067 Filed 4-18-18; 8:45 am]
 BILLING CODE 6560-50-P



                                                                            Federal Register / Vol. 83, No. 76 / Thursday, April 19, 2018 / Proposed Rules                                               17349

                                                                                                                   TABLE 165.929—Continued
                                                                    Event                                                        Location 1                                        Enforcement date and time 2

                                                 (18) Milwaukee Open Water Swim                Milwaukee, WI. All waters on Lake Michigan in the Milwaukee River,             The second Saturday of August; 6
                                                                                                 between the Milwaukee River and Kinnickinnic River convergence,                a.m. to 9 a.m.
                                                                                                 starting at 43°1′31.908″ N, 87°54′10.900″ W, going north under the
                                                                                                 I–794 overpass to 43°2′9.2184″ N, 87°54′35.8128″ W, and return-
                                                                                                 ing to the starting point.

                                                                                                                     (g) September Safety Zones

                                                 (1) ISAF Nations Cup Grand Final              Sheboygan, WI. All waters of Lake Michigan and Sheboygan Harbor,               September 13; 7:45 p.m. to 8:45
                                                   Fireworks Display.                            in the vicinity of the south pier in Sheboygan Wisconsin, within a             p.m.
                                                                                                 500 foot radius from the fireworks launch site located on land in
                                                                                                 position 43°44.917′ N, 087°41.850′ W.
                                                 (2) Sister Bay Marinafest Ski Show            Sister Bay, WI. All waters of Sister Bay within an 800-foot radius of          September 3; 1 p.m. to 3:15 p.m.
                                                                                                 position 45°11.585′ N, 087°07.392′ W.
                                                 (3) Sister Bay Marinafest Fireworks           Sister Bay, WI. All waters of Sister Bay within an 800-foot radius of          September 3 and 4; 8:15 p.m. to
                                                                                                 the launch vessel in approximate position 45°11.585′ N,                        10 p.m.
                                                                                                 087°07.392′ W.
                                                 (4) Harborfest Boat Parade .............      Milwaukee, WI. All waters of Lake Michigan within Milwaukee River              The second Saturday of Sep-
                                                                                                 and Kinnickinnic River including the Municipal Mooring Basin be-               tember; 10 a.m. to 2 p.m.
                                                                                                 ginning at Milwaukee River at 43°3.284′ N, 087°54.2673′ W, then
                                                                                                 south on the Milwaukee River to 43°1.524′ N, 087°54.173′ W, then
                                                                                                 south on the Kinnickinnic River and ending in the Municipal Moor-
                                                                                                 ing Basin at 43°0.8291′ N, 087°54.0751′ W.

                                                                                                                      (h) October Safety Zones

                                                 (1) Corn Festival Fireworks .............     Morris, IL. All waters of the Illinois River within a 560 foot radius from     The first Saturday of October; 8:15
                                                                                                approximate launch position at 41°21.173′ N, 088°25.101′ W.                     p.m. to 9:15 p.m.

                                                                                                                     (i) November Safety Zones

                                                 (1) Downtown Milwaukee Fireworks              Milwaukee, WI. All waters of the Milwaukee River in the vicinity of the        The third Thursday of November;
                                                                                                 State Street Bridge within the arc of a circle with a 300-foot radius          6 p.m. to 8 p.m.
                                                                                                 from a center point fireworks launch site in approximate position
                                                                                                 43°02.559′ N, 087°54.749′ W.
                                                 (2) Magnificent Mile Fireworks Dis-           Chicago, IL. All waters and adjacent shoreline of the Chicago River            The third weekend in November;
                                                   play.                                         bounded by the arc of the circle with a 210-foot radius from the               sunset to termination of display.
                                                                                                 fireworks launch site with its center in approximate position of
                                                                                                 41°53.350′ N, 087°37.400′ W.

                                                                                                                      (j) December Safety Zones

                                                 (1) New Years Eve Fireworks .........         Chicago, IL. All waters of Monroe Harbor and Lake Michigan within              December 31; 11 p.m. to January
                                                                                                 the arc of a circle with a 1,000-foot radius from the fireworks                1 at 1 a.m.
                                                                                                 launch site located on a barge in approximate position 41°52.683′
                                                                                                 N, 087°36.617′ W.
                                                    1 All   coordinates listed in Table 165.929 reference Datum NAD 1983.
                                                    2 As    noted in paragraph (a)(3) of this section, the enforcement dates and times for each of the listed safety zones are subject to change.


                                                   Dated: March 22, 2018.                                  ENVIRONMENTAL PROTECTION                               Protection Agency (EPA) is proposing to
                                                 Thomas J. Stuhlreyer,                                     AGENCY                                                 approve a State Implementation Plan
                                                 Captain, U.S. Coast Guard, Captain of the                                                                        (SIP) revision, as supplemented, for the
                                                 Port Lake Michigan.                                       40 CFR Part 52                                         St. Bernard Parish, Louisiana 2010 1-
                                                 [FR Doc. 2018–08228 Filed 4–18–18; 8:45 am]               [EPA–R06–OAR–2017–0558; FRL–9976–                      hour sulfur dioxide (SO2) Primary
                                                 BILLING CODE 9110–04–P                                    51—Region 6]                                           National Air Quality Standard (NAAQS)
                                                                                                                                                                  nonattainment area. EPA is proposing
                                                                                                           Approval and Promulgation of                           approval of the following CAA SIP
                                                                                                           Implementation Plans; Louisiana;                       elements: The attainment demonstration
                                                                                                           Attainment Demonstration for the St.                   for the SO2 NAAQS, which includes an
                                                                                                           Bernard Parish 2010 SO2 Primary                        Agreed Order on Consent (AOC) for the
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                                                                                                           National Ambient Air Quality Standard                  Rain CII Carbon, LLC. (Rain) facility; the
                                                                                                           Nonattainment Area                                     reasonable further progress (RFP) plan;
                                                                                                           AGENCY:  Environmental Protection                      the reasonably available control
                                                                                                           Agency (EPA).                                          measures (RACM) and reasonably
                                                                                                           ACTION: Proposed rule.
                                                                                                                                                                  available control technology (RACT)
                                                                                                                                                                  demonstration; the emission
                                                                                                           SUMMARY:   Pursuant to the Clean Air Act               inventories; and the contingency
                                                                                                           (the Act or CAA), the Environmental                    measures. The State has demonstrated


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                                                 17350                   Federal Register / Vol. 83, No. 76 / Thursday, April 19, 2018 / Proposed Rules

                                                 that its current Nonattainment New                      IV. Review of Modeled Attainment Plan                  179(a) for the imposition of mandatory
                                                 Source Review (NNSR) program covers                       A. Model Selection                                   new source review and highway
                                                 this NAAQS; therefore, no revision to                     B. Meteorological Data                               funding sanctions, respectively, unless
                                                                                                           C. Emissions Data
                                                 the SIP is required for the NNSR                          D. Receptor Grid                                     by those deadlines the State had
                                                 element.                                                  E. Emission Limits                                   submitted a SIP revision deemed by the
                                                 DATES: Written comments must be                           F. Background Concentrations                         EPA to be complete. Additionally,
                                                 received on or before May 21, 2018.                       G. Summary of Results                                under CAA section 110(c), the finding
                                                                                                         V. Review of Other Plan Requirements                   triggered a requirement that the EPA
                                                 ADDRESSES: Submit your comments,                          A. Emissions Inventory
                                                 identified by Docket No. EPA–R06–                                                                              promulgate a federal implementation
                                                                                                           B. RACM/RACT                                         plan (FIP) within two years of the
                                                 OAR–2017–0558, at http://                                 C. New Source Review (NSR)
                                                 www.regulations.gov. Follow the online                    D. Reasonable Further Progress (RFP)                 finding unless, by that time (a) the state
                                                 instructions for submitting comments.                     E. Contingency Measures                              has made the necessary complete
                                                 Once submitted, comments cannot be                      VI. Conformity                                         submittal and (b) EPA has approved the
                                                 edited or removed from Regulations.gov.                 VII. EPA’s Proposed Action                             submittal as meeting applicable
                                                                                                         VIII. Incorporation by Reference                       requirements.
                                                 The EPA may publish any comment                         XI. Statutory and Executive Order Reviews
                                                 received to its public docket. Do not                                                                             On November 9, 2017, LDEQ
                                                 submit electronically any information                   I. Why was Louisiana required to                       submitted a 2010 SO2 Nonattainment
                                                 you consider to be Confidential                         submit an SO2 plan for the St. Bernard                 Area SIP revision for St. Bernard Parish
                                                 Business Information (CBI) or other                     Parish?                                                to EPA. The LDEQ determined that as a
                                                 information whose disclosure is                            On June 22, 2010, the EPA                           part of the attainment area
                                                 restricted by statute. Multimedia                       promulgated a new 1-hour primary SO2                   demonstration, it should include
                                                 submissions (audio, video, etc.) must be                NAAQS of 75 parts per billion (ppb),                   permanent and enforceable restrictions
                                                 accompanied by a written comment.                       which is met at an ambient air quality                 for SO2 emitted from the Rain CII
                                                 The written comment is considered the                   monitoring site when the 3-year average                Carbon, LLC. (Rain) facility. Such limits
                                                 official comment and should include                     of the annual 99th percentile of 1-hour                were originally memorialized into an
                                                 discussion of all points you wish to                    daily maximum concentrations does not                  Administrative Order on Consent (AOC)
                                                 make. The EPA will generally not                        exceed 75 ppb, as determined in                        that was signed on November 9, 2017,
                                                 consider comments or comment                            accordance with appendix T of 40 CFR                   and was included in the LDEQ’s
                                                 contents located outside of the primary                 part 50. See 75 FR 35520, codified at 40               November 9, 2017, SIP submittal (also
                                                 submission (i.e., on the web, cloud, or                 CFR 50.17(a)–(b). On August 5, 2013,                   included in the docket to this action). In
                                                 other file sharing system). For                         the EPA designated a first set of 29 areas             LDEQ’s SIP submittal cover letter, dated
                                                 additional submission methods, please                   of the country as nonattainment for the                November 9, 2017, LDEQ committed to
                                                 contact Robert Imhoff, 214–665–7262,                    2010 SO2 NAAQS, including the St.                      ‘‘work toward a SIP revision submittal
                                                 imhoff.robert@epa.gov. For the full EPA                 Bernard Parish Nonattainment Area 1                    concerning the pyroscrubber (EQT 004)
                                                 public comment policy, information                      within the State of Louisiana. See 78 FR               at the Rain facility no later than March
                                                 about CBI or multimedia submissions,                    47191, codified at 40 CFR part 81,                     1, 2018.’’ In addition, in LDEQ’s
                                                 and general guidance on making                          subpart C. These area designations were                responses to comments, LDEQ
                                                 effective comments, please visit http://                effective October 4, 2013. Section 191 of              committed to revise the Rain AOC to
                                                 www2.epa.gov/dockets/commenting-                        the CAA directs states to submit SIPs for              ‘‘incorporate limits, monitoring, and
                                                 epa-dockets.                                            areas designated as nonattainment for                  recordkeeping requirements that are
                                                    Docket: The index to the docket for                  the SO2 NAAQS to the EPA within 18                     reflective of the information used in the
                                                 this action is available electronically at              months of the effective date of the                    modeling demonstration in an updated
                                                 www.regulations.gov and in hard copy                    designation, i.e., by no later than April              submittal.’’ On February 8, 2018, LDEQ
                                                 at the EPA Region 6, 1445 Ross Avenue,                  4, 2015, in this case. Under CAA section               submitted a letter to the EPA,
                                                 Suite 700, Dallas, Texas. While all                     192, these SIPs are required to                        accompanied by a new AOC, dated
                                                 documents in the docket are listed in                   demonstrate that their respective areas                February 2, 2018, executed between
                                                 the index, some information may be                      will attain the NAAQS as expeditiously                 LDEQ and Rain, that includes new
                                                 publicly available only at the hard copy                as practicable, but no later than 5 years              emissions limits for the Rain facility’s
                                                 location (e.g., copyrighted material), and              from the effective date of designation,                cold stack and hot stack/pyroscrubber,
                                                 some may not be publicly available at                   which is October 4, 2018.                              as well as monitoring, testing and
                                                 either location (e.g., CBI).                               For a number of areas, including the                recordkeeping requirements. LDEQ
                                                 FOR FURTHER INFORMATION CONTACT:                        St. Bernard Parish, the EPA published a                submitted this as a source specific SIP
                                                 Robert Imhoff, 214–665–7262,                            final ‘‘Findings of Failure to Submit                  revision and supplement to the SIP
                                                 imhoff.robert@epa.gov. To inspect the                   State Implementation Plans Required for                (included in the docket to this action).
                                                 hard copy materials, please schedule an                 Attainment of the 2010 1-Hour Primary                  These emission limits include all
                                                 appointment with Robert Imhoff or Mr.                   Sulfur Dioxide National Ambient Air                    operation regimes at the facility, with
                                                 Bill Deese at 214–665–7253.                             Quality Standard (NAAQS)’’ Federal                     differing emission limits depending on
                                                 SUPPLEMENTARY INFORMATION:                              Register notice on March 18, 2016, that                the stage of operation of the Cold and
                                                 Throughout this document whenever                       found that Louisiana and other                         Hot stacks during the Transitional
                                                 ‘‘we,’’ ‘‘us,’’ or ‘‘our’’ is used, we mean             pertinent states had failed to submit the              regime.2 On February 26, 2018, EPA
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                                                 the EPA.                                                required SO2 nonattainment plan by the                 determined that the State’s SO2
                                                                                                         required CAA submittal deadline. See                   Nonattainment Area SIP revision for St.
                                                 Table of Contents                                       81 FR 14736. This finding, effective on                Bernard Parish was complete under 40
                                                 I. Why was Louisiana Required to Submit an              April 18, 2016, initiated 18-month and
                                                       SO2 Plan for St. Bernard Parish?                  24-month deadlines under CAA section                     2 Operations at Rain can be divided into three
                                                 II. Requirements for SO2 Nonattainment Area                                                                    scenarios: Cold stack operation, hot stack operation,
                                                       Plans                                               1 This designation was based on data from the        and a transitional period with emissions through
                                                 III. Attainment Demonstration                           Chalmette Vista monitoring site.                       both stacks.



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                                                                         Federal Register / Vol. 83, No. 76 / Thursday, April 19, 2018 / Proposed Rules                                                  17351

                                                 CFR part 51, App. V.3 Consequently, the                 contingency measures for the affected                  so that two independent entities
                                                 Act’s section 179 sanctions that had or                 area.                                                  applying the procedures would obtain
                                                 would have applied as a result of the                      In order for the EPA to fully approve               the same result), and accountable
                                                 State’s previously not submitting a                     a SIP as meeting the requirements of                   (source specific limits must be
                                                 complete SIP no longer apply due to the                 CAA sections 110, 172 and 191–192 and                  permanent and must reflect the
                                                 determination of completeness. See the                  EPA’s regulations at 40 CFR part 51, the               assumptions used in the SIP
                                                 State’s AOC and letter, included in the                 SIP for the affected area needs to                     demonstrations).
                                                 docket to this action, that serve as a                  demonstrate to EPA’s satisfaction that
                                                                                                                                                                   Preferred air quality models for use in
                                                 supplement to the SIP, dated February                   each of the aforementioned
                                                                                                                                                                regulatory applications are described in
                                                 2, 2018 and February 8, 2018,                           requirements have been met. Under
                                                                                                         CAA sections 110(l) and 193, the EPA                   Appendix A of the EPA’s Guideline on
                                                 respectively.4                                                                                                 Air Quality Models (40 CFR part 51,
                                                                                                         may not approve a SIP that would
                                                 II. Requirements for SO2                                interfere with any applicable                          Appendix W).6 In 2005, the EPA
                                                 Nonattainment Area Plans                                requirement concerning NAAQS                           promulgated AERMOD as the Agency’s
                                                                                                         attainment and RFP, or any other                       preferred near-field dispersion modeling
                                                    Nonattainment area SIPs must meet                    applicable requirement under the Act.                  for a wide range of regulatory
                                                 the applicable requirements of the CAA,                 Furthermore, no requirement in effect,                 applications addressing stationary
                                                 and specifically CAA sections 110, 172,                 or required to be adopted by an order,                 sources (for example in estimating SO2
                                                 191 and 192. The EPA’s regulations                      settlement, agreement, or plan in effect               concentrations) in all types of terrain
                                                 governing nonattainment area SIPs are                   before November 15, 1990, in any area                  based on extensive developmental and
                                                 set forth at 40 CFR part 51, with specific              which is a nonattainment area for any                  performance evaluation. On July 29,
                                                 procedural requirements and control                     air pollutant, may be modified in any                  2015, EPA proposed in the Federal
                                                 strategy requirements residing at                       manner unless it insures equivalent or                 Register ‘‘Revisions to the Guideline on
                                                 subparts F and G, respectively. Soon                    greater emission reductions of such air                Air Quality Models: Enhancements to
                                                 after Congress enacted the 1990                         pollutant.                                             the AERMOD Dispersion Modeling
                                                 Amendments to the CAA, the EPA                                                                                 System and Incorporation of
                                                                                                         III. Attainment Demonstration                          Approaches To Address Ozone and Fine
                                                 issued comprehensive guidance on SIPs,
                                                 in a document entitled the ‘‘General                       The CAA section 172(c)(1) directs                   Particulate Matter,’’ (the Guideline), that
                                                 Preamble for the Implementation of                      states with areas designated as                        provides for EPA’s preferred models and
                                                 Title I of the Clean Air Act Amendments                 nonattainment to demonstrate that the                  other recommended techniques, as well
                                                 of 1990,’’ published at 57 FR 13498                     submitted plan provides for attainment                 as guidance for their use in estimating
                                                 (April 16, 1992) (General Preamble).                    of the NAAQS. 40 CFR part 51, subpart                  ambient concentrations of air
                                                 Among other things, the General                         G further delineates the control strategy              pollutants.7 The Guideline provides
                                                 Preamble addressed SO2 SIPs and                         requirements that SIPs must meet, and                  additional regulatory options and
                                                                                                         the EPA has long required that all SIPs                updated methods or dispersion
                                                 fundamental principles for SIP control
                                                                                                         and control strategies reflect four                    modeling with AERMOD; the final
                                                 strategies. Id., at 13545–49, 13567–68.
                                                                                                         fundamental principles of                              revisions to the Guideline were
                                                 On April 23, 2014, the EPA issued                       quantification, enforceability,
                                                 recommended guidance for meeting the                                                                           promulgated in a Federal Register
                                                                                                         replicability, and accountability. See                 action on January 17, 2017, and became
                                                 statutory requirements in SO2 SIPs, in a                General Preamble, at 13567–68. SO2
                                                 document entitled, ‘‘Guidance for 1-                                                                           effective on May 22, 2017.8 In addition
                                                                                                         attainment plans must consist of two                   to the Guideline, promulgated in 40 CFR
                                                 Hour SO2 Nonattainment Area SIP                         components: (1) Emission limits and
                                                 Submissions.’’ 5 In this guidance, the                                                                         part 51, Appendix W, EPA has issued
                                                                                                         other control measures that assure                     supplemental guidance on modeling for
                                                 EPA described the statutory                             implementation of permanent,
                                                 requirements for a complete                                                                                    purposes of demonstrating attainment of
                                                                                                         enforceable and necessary emission                     the 2010 SO2 standard (see our April 23,
                                                 nonattainment area SIP, which includes:                 controls, and (2) a modeling analysis
                                                 an accurate emissions inventory of                                                                             2014 SO2 nonattainment area SIP
                                                                                                         which meets the requirements of 40 CFR
                                                 current emissions for all sources of SO2                                                                       guidance document referenced above).
                                                                                                         part 51, Appendix W (Guideline on Air
                                                 within the nonattainment area, an                                                                              Appendix A of the 2014 guidance titled
                                                                                                         Quality Models; ‘‘the Guideline’’), and
                                                 attainment demonstration,                                                                                      ‘‘Modeling Guidance for Nonattainment
                                                                                                         demonstrates that these emission limits
                                                 demonstration of RFP, implementation                                                                           Areas,’’ is based on and is consistent
                                                                                                         and control measures provide for timely
                                                 of RACM (including RACT), an                                                                                   with the Guideline. Appendix A of the
                                                                                                         attainment of the primary SO2 NAAQS
                                                 approvable NNSR program, enforceable                    as expeditiously as practicable, but by                SO2 guidance memo follows and is
                                                 emissions limitations, and adequate                     no later than the attainment date for the              consistent with the requirements in 40
                                                                                                         affected area. In all cases, the emission              CFR part 51 Appendix W. It also
                                                    3 February 26, 2018 Completeness Determination       limits and control measures must be                    provides specific SO2 modeling
                                                 Letter from Wren Stinger, EPA Region 6 to Chuck         accompanied by appropriate methods                     guidance on the modeling domain, the
                                                 Carr Brown, LDEQ.
                                                                                                         and conditions to determine compliance                 source inputs, assorted types of
                                                    4 As noted above, in the ‘‘Findings of Failure to
                                                                                                         with the respective emission limits and                meteorological data, and background
                                                 Submit State Implementation Plans Required for
                                                 Attainment of the 2010 1-Hour Primary Sulfur            control measures and must be                           concentrations. Consistency with the
                                                 Dioxide National Ambient Air Quality Standard           quantifiable (i.e., a specific amount of               recommendations in the SO2 guidance
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                                                 (NAAQS),’’ the finding also triggered a requirement     emission reduction can be ascribed to                  is generally necessary for the attainment
                                                 that the EPA promulgate FIP within two years of the                                                            demonstration to offer adequately
                                                 finding unless, by that time (a) the state has made     the measures), fully enforceable
                                                 the necessary complete submittal and (b) EPA has        (specifying clear, unambiguous and
                                                                                                                                                                  6 The EPA published revisions to the Guideline
                                                 approved the submittal as meeting applicable            measurable requirements for which
                                                 requirements.                                                                                                  on Air Quality Models on January 17, 2017. See 82
                                                    5 ‘‘Guidance for 1-Hour SO Nonattainment Area
                                                                                                         compliance can be practicably                          FR 5182 (January 17, 2017).
                                                                                2
                                                 SIP Submissions’’ available at https://www.epa.gov/
                                                                                                         determined), replicable (the procedures                  7 80 FR 45340 (July 29, 2015).

                                                 sites/production/files/2016-06/documents/               for determining compliance are                           8 82 FR 5182 (January 17, 2017) and 82 FR 14324

                                                 20140423guidance_nonattainment_sip.pdf.                 sufficiently specific and non-subjective               (March 20, 2017).



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                                                 17352                   Federal Register / Vol. 83, No. 76 / Thursday, April 19, 2018 / Proposed Rules

                                                 reliable assurance that the plan provides               updated stack parameters for the hot                    14134 and 16216 are minimal and
                                                 for attainment.                                         stack. The 1-hour SO2 emission limits                   would not result in discernable changes
                                                    As stated previously, attainment                     contained in the February 2, 2018 AOC                   to LDEQ’s SIP modeled
                                                 demonstrations for the 2010 1-hour                      were designed to ensure compliance                      concentrations.13
                                                 primary SO2 NAAQS must demonstrate                      with the SO2 NAAQS. The EPA                               LDEQ used building information
                                                 future attainment and maintenance of                    undertook an additional modeling                        (height, width, and length) to analyze
                                                 the NAAQS in the entire area                            analysis which also incorporated the                    potential building downwash in their
                                                 designated as nonattainment (i.e., not                  amended stack parameters, and utilized                  modeling, and also chose to use rural
                                                 just at the violating monitor) by using                 more recent allowable emission rates                    characterization instead of urban
                                                 air quality dispersion modeling in                      from other contributing sources, an                     characterization for vertical mixing and
                                                 accordance with the Guideline and SO2                   expanded receptor grid, and covered all                 boundary layer calculations. The EPA
                                                 guidance to show that the mix of                        operating scenarios. The EPA’s                          reviewed the building downwash
                                                 sources and enforceable control                         additional modeling used a more recent                  analysis and concurs with the choice of
                                                 measures and emission rates in an                       version of AERMOD and utilized                          rural setting for the dispersion. Our
                                                 identified area will not lead to a                      LDEQ’s meteorology, modeling options,                   review indicates that the modeling
                                                 violation of the SO2 NAAQS. For a                       land use characterization, building                     options and settings are acceptable and
                                                 short-term (i.e., 1-hour) standard, the                 downwash inputs, background                             appropriate in the modeling submitted
                                                 EPA has stated that dispersion                          concentrations, and source inventory.                   and EPA’s modeling (see the TSD for
                                                 modeling, using allowable emissions                     For the updated modeling, the EPA                       more detail).
                                                 and addressing stationary sources in the                worked in collaboration with the LDEQ
                                                                                                                                                                 B. Meteorological Data
                                                 affected area (and in some cases those                  to identify updated emissions rates for
                                                 sources located outside the                             the contributing sources based on                          The modeling utilized surface
                                                 nonattainment area which may affect                     current permitted limits. The State                     meteorological data obtained from the
                                                 attainment in the area) is technically                  reviewed EPA’s modeling files and                       New Orleans International Airport and
                                                 appropriate, efficient and effective in                 agrees with its accuracy.10 Additional,                 upper air data from the Slidell National
                                                 demonstrating attainment in                             more detailed discussion of the State’s                 Weather Station from 2011–2015. The
                                                 nonattainment areas because it takes                    modeling and EPA’s modeling is                          New Orleans International Airport is the
                                                 into consideration combinations of                      contained in the Technical Support                      closest National Weather Service site, 27
                                                 meteorological and emission source                      Document (TSD) for this proposed                        km distant from the Vista monitor, and
                                                 operating conditions that may                           action.                                                 is representative of the meteorology in
                                                 contribute to peak ground-level                                                                                 the St. Bernard Parish due to the
                                                                                                         A. Model Selection                                      proximity and the similarity of the
                                                 concentrations of SO2.
                                                    The meteorological data used in the                     Louisiana’s attainment demonstration                 terrain. The data was processed using
                                                 analysis should generally be processed                  modeling used the Guideline preferred                   the meteorological processing tools,
                                                 with the most recent version of                         model, AERMOD (version 15181 of                         AERMINUTE (14347) and AERMET
                                                 AERMOD. Estimated concentrations                        AERMOD) with default options (e.g.,                     (14134). Newer versions of the
                                                 should include ambient background                       without use of the ADJ_U* option) and                   processing programs are available, but
                                                 concentrations, should follow the form                  rural dispersion coefficients for this                  based on the changes that the EPA made
                                                 of the standard, and should be                          application. We note that since LDEQ                    in AERMINUTE and AERMET
                                                 calculated as described in section                      originally started their modeling, the                  (discussed above) we would not expect
                                                 2.6.1.2 of the August 23, 2010                          AERMOD system has been updated to                       to see any significant changes even if
                                                 clarification memo on ‘‘Applicability of                version 16216r, which is the current                    the data was processed with the latest
                                                 Appendix W Modeling Guidance for the                    preferred version of AERMOD. Based on                   version of AERMINUTE (v15272) and
                                                 1-hr SO2 National Ambient Air Quality                   the parameters and options chosen by                    AERMET (v16216). Therefore, the EPA
                                                 Standard.’’ 9                                           LDEQ, and considering the information                   finds the selection and processing of
                                                                                                         in the the Model Change Bulletin,11 we                  this data to be acceptable.
                                                 IV. Review of Modeled Attainment Plan                   do not expect significant changes to                    C. Emissions Data
                                                    The following discussion evaluates                   modeled concentration values due to
                                                 various features of the modeling that                   the difference in AERMOD versions. We                     There are three major sources of SO2
                                                 Louisiana used in the attainment                        did not rerun the AERMET                                emissions located in relative close
                                                 demonstration, as well as a discussion                  meteorological processor data even                      proximity to the Chalmette-Vista
                                                 of the EPA’s additional modeling that                   though the version also changed from                    monitor, which is the monitor that
                                                 was conducted as part of the review of                  14134 to 16216. The EPA made changes                    recorded SO2 NAAQS violations on
                                                 the State’s SIP. LDEQ submitted                         to AERMET in the updated version                        which the 2013 nonattainment
                                                 modeling at the time of the SIP                         (16216) to add an additional option                     designation of the area was based. These
                                                 submittal. However, the state’s                         (ADJ_U*) to be used in certain                          sources are located in St. Bernard
                                                 modeling did not include modeling for                   situations but that option is not required              Parish: Valero Refining, Chalmette
                                                 all operating scenarios at Rain. In                     and was not used by LDEQ.12 The other                   Refining, and Rain. Through analysis of
                                                 addition, subsequent to the State’s                     changes between AERMET version                          air permit data for facilities within 20
                                                 modeling, Rain provided updated                                                                                 kilometers (km) of the violating monitor,
                                                                                                                                                                 LDEQ determined that these three major
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                                                 estimates for stack parameters for the                     10 Email from Vennetta.Hayes@la.gov to

                                                 hot stack. LDEQ submitted additional                    Snyder.Erik@epa.gov et al., February 21, 2018, 1:53
                                                                                                         p.m., included in the docket to this action.              13 When the EPA updated AERMET there were
                                                 modeling, as noted in the February 8,                      11 https://www3.epa.gov/ttn/scram/models/
                                                                                                                                                                 model change bulletins and other information that
                                                 2018 letter, that incorporated the                      aermod/aermod_mcb12_v16216.pdf.                         describe the exact changes. See https://
                                                                                                            12 ADJ_U* is an option to adjust friction velocity   www.epa.gov/scram/meteorological-processors-
                                                    9 Memorandum from Tyler Fox (EPA OAQPS)              during light winds in the nighttime and was not an      and-accessory-programs#aermet. The EPA provided
                                                 ‘‘Applicability of Appendix W Modeling Guidance         issue in this modeling that needed to be utilized as    sensitivity runs to identify results from the
                                                 for the 1-hr SO2 National Ambient Air Quality           maximum concentrations were during other time of        differences in files under the Test Cases section at
                                                 Standard.’’ August 23, 2010.                            day and meteorological conditions.                      http://www.epaarchive.cc/node/164075.html.



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                                                                         Federal Register / Vol. 83, No. 76 / Thursday, April 19, 2018 / Proposed Rules                                                    17353

                                                 sources in the area were the main                       the establishment of additional emission               emissions rates. The EPA finds
                                                 sources of concern accounting for over                  limits for Rain. Rain is a coke calcining              Louisiana’s choice of included sources
                                                 99% of the point source allowable SO2                   operation that includes a waste heat                   to be appropriate. However, EPA found
                                                 emissions in the parish. This is                        recovery boiler. During normal                         that the modeled emission rates utilized
                                                 confirmed by review of all SO2 sources                  operations, the exhaust from the                       by LDEQ in their modeling for several
                                                 in St. Bernard Parish provided by LDEQ                  calining operation is routed through the               sources reflected permit limits that have
                                                 in their emission inventory analysis part               recovery boiler and then through a                     been modified. For EPA’s modeling, we
                                                 of their submittal. LDEQ also evaluated                 scrubber and finally to the atmosphere                 used the updated emission rates. The
                                                 major sources (greater than 100 tpy of                  through what is termed the ‘‘cold                      State reviewed the emission 15 rates
                                                 SO2) in the 20–50 km area surrounding                   stack.’’ During start up and times when                used by EPA and determined that they
                                                 the violating monitor and determined                    the recovery boiler is down, emissions                 were either accurate or slightly
                                                 that most are located to the north in St.               are routed to the atmosphere through                   conservative.
                                                 Charles Parish and to the west in                       what is known as the ‘‘hot stack.’’ The                D. Receptor Grid
                                                 Jefferson Parish and not in the                         modeling covers three operation
                                                 predominant wind direction that                         scenarios: Cold stack operation, hot                      Within AERMOD, air quality
                                                 generates exceedances at the monitor                    stack operation, and a transitional                    concentration results are calculated at
                                                 nor at the preliminary modeling                         period with emissions through both                     discrete locations identified by the user;
                                                 maximum area to the west of Rain.                       stacks. This third operation scenario                  these locations are called receptors.
                                                 LDEQ determined that there are no                       was further divided into four stages                   LDEQ placed receptors within St.
                                                 other major sources within 20 km of the                 based on flow and temperatures through                 Bernard Parish with 100 meter (m)
                                                 monitor based on the 2014 NEI                           the cold stack. Because of the wide                    spacing extending 2 km from the fence
                                                 inventory of actual emissions (See TSD                  range of emission rates and plume                      line of the three major facilities in St.
                                                 for additional information). Two                        buoyancy during the startup this                       Bernard Parish; spacing is 250 m from
                                                 additional facilities, ConocoPhillips and               approach enabled the determination of                  2–7 km; 500 m interval from 7–11 km;
                                                 New Orleans Sewer Treatment, were                       emission rates for each stage that were                and 1,000 m interval from 11–50 km
                                                 determined to have possible impacts                     shown through the modeling to be                       and beyond. In addition, receptors were
                                                 somewhere in St. Bernard Parish and                     consistent with attainment of the                      placed along facility fence lines for the
                                                 may not have been fully represented by                  NAAQS. The modeling includes current                   three major facilities, which define the
                                                 the background monitoring values, so                    conditions reflecting the operation of                 ambient air boundary for a particular
                                                 they were modeled explicitly.                           the scrubber and the new cold stack for                source. A receptor grid extends
                                                 Maximum allowable emissions and                         estimating the impacts of emissions                    approximately 50 km to the east of the
                                                 federally enforceable permit limits were                through the cold stack. The 1-hour SO2                 Valero refinery (easternmost large
                                                 used for all modeled sources within St.                 emission limits contained in the                       source of SO2 in St Bernard Parish), but
                                                 Bernard Parish. LDEQ included many                      February 2, 2018 AOC were designed to                  does not go all the way to the eastern
                                                 small sources of SO2 in the modeling, 12                ensure compliance with the SO2                         edge of the Parish as there are no point
                                                 sources were included with allowable                    NAAQS. This AOC also incorporated                      sources of SO2 in that area and the
                                                 emission rates of less than 1 tpy with                  updated information from Rain                          modeled design value isopleths were
                                                 the smallest being 0.005 tpy. Emergency                 concerning the hot stack flow rates and                declining and had declined to less than
                                                 equipment and other very small sources                  temperatures that required additional                  half the level of the NAAQS. EPA
                                                 were omitted. Intermittent engines were                 modeling and refinement of the AOC                     conducted modeling with an expanded
                                                 modeled with annualized emissions                       SO2 emission limits for the transitional               receptor grid to ensure that the receptor
                                                 based on the ratio of the operating hours               modeling. The modeling also included                   grid is large enough to capture all areas
                                                 to 8760 hours. The remainder of the                     the two other major sources in St.                     of concern that may be near the 1-hour
                                                 sources are captured by the background                  Bernard Parish (Chalmette Refinery and                 SO2 NAAQS in and near St. Bernard
                                                 concentrations. The inclusion of these                  Valero Refinery) modeled at their short-               Parish. The EPA modeling analysis also
                                                 sources assures that Louisiana                          term SO2 emission allowables in their                  included some receptors to the south of
                                                 incorporated all sources in the modeling                existing permits.14 See below for further              Rain and the Chalmette refinery area in
                                                 that are considered to possibly create                  details on the emission rates in the                   Orleans Parish and Plaquemines Parish.
                                                 concentrations and/or concentration                     State’s and EPA’s attainment modeling.                 EPA also placed receptors to confirm
                                                 gradients in St. Bernard Parish that are                   Except for the emission points                      that no violations would occur on the
                                                 not represented by the background                       addressed in the February 2, 2018 AOC,                 properties of the three major source
                                                 monitoring data.                                        the emission limits for the other                      facilities if all emissions were modeled
                                                    LDEQ used site specific building and                 relevant sources inside St. Bernard                    except for emissions from that facility
                                                 stack data and modeled all stacks at the                Parish, as outlined in Louisiana’s                     (e.g. for the Chalmette Refinery property
                                                 lesser of their actual stack height, or                                                                        with all emissions except those from the
                                                                                                         attainment demonstration and
                                                 Good Engineering Practice (GEP) stack                                                                          Chalmette Refinery sources). See the
                                                                                                         supplement to the SIP, correspond to
                                                 height as determined by the BPIP                                                                               TSD for additional information. The
                                                                                                         the sulfur limitations on a 1-hour basis
                                                 PRIME preprocessor. Building                                                                                   expanded modeling domain and
                                                                                                         found in their permits. The emission
                                                 downwash influences obtained from the                                                                          receptor network are sufficient to
                                                                                                         limits for Rain are all on a 1-hour
                                                 BPIP PRIME output were included in                                                                             identify maximum impacts from the
                                                                                                         average basis; and equal the modeled
                                                 the modeling. For a more detailed                                                                              modeled sources, and detect significant
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                                                 analysis and conclusions on what                          14 Permit No 2500–00001–V16 for Chalmette            concentration gradients, and are
                                                 sources were included in the modeling,                  Refining in the docket as 8–10–17 Valero-Meraux        adequate for demonstrating attainment
                                                 and how they were modeled see the                       Refinery-permit 2500–0001–V16.pdf (Note the            in the nonattainment area and the
                                                 TSD.                                                    Permit No 2500–0001–V9 included reductions in
                                                                                                                                                                surrounding area.
                                                    As discussed in the TSD, Rain was                    SO2 from a Consent Decree); Chalmette Refining
                                                                                                         Permits (No. 2500–0005–V5, 2933–V6, 2822–V2,
                                                 identified as the primary contributor to                3004–V7, 3011–V3, 3015–V3, 3016–V3, 3017–V5,             15 Email from Vennetta.Hayes@la.gov to
                                                 exceedances at the Vista monitor.                       3018–V5 30222–V7, 3023–V7) in the docket as            Snyder.Erik@epa.gov et al., February 21 2018
                                                 Louisiana and EPA modeling support                      Chalmette Refining-Final Permits.pdf                   1:53PM, included in the docket to this action.



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                                                 17354                     Federal Register / Vol. 83, No. 76 / Thursday, April 19, 2018 / Proposed Rules

                                                 E. Emission Limits                                        2017, AOC limits, but has not yet issued               AOC as a source-specific SIP revision to
                                                                                                           a revised permit to include the new                    make it permanent and federally
                                                    An important prerequisite for                          AOC limits that are now included in the                enforceable. The limits in the table
                                                 approval of an attainment plan is that                    February 2, 2018, AOC. In its February                 below are hourly limits and compliance
                                                 the emission limits that provide for                      2, 2018 AOC, LDEQ has committed to                     with the limits is determined using 1-
                                                 attainment be quantifiable, fully                         modify the permit to include all                       hour average data.
                                                 enforceable, replicable, and                              federally enforceable applicable limits                  The emissions limits relied upon in
                                                 accountable. See General Preamble at                      listed in the AOC. Louisiana issued the                the modeling for the other two major
                                                 13567–68.                                                 new AOC (February 2, 2018) to                          sources within the area that could
                                                    Louisiana entered an AOC with Rain                     incorporate emission limits, monitoring,               contribute to nonattainment in the area
                                                 on November 9, 2017, and a new AOC                        and recordkeeping requirements that are                already are federally enforceable
                                                 on February 2, 2018, pursuant to the                      reflective of the information used in the              because they are reside in NSR SIP
                                                 Louisiana Environmental Quality Act                       modeling demonstration. The new AOC                    permits Valero No. 1500–00001–V16
                                                 (La. R.S. 30:2001, et seq.). Both AOCs                    also incorporated updated information                  and Chalmette has 11 permits.17 The
                                                 were submitted to EPA as part of the                      from Rain concerning the hot stack flow                February 2, 2018 AOC for Rain will
                                                 State’s SIP revision submittal as a                       rates and temperatures that required                   become federally enforceable as a
                                                 source-specific SIP revision. Louisiana                   additional modeling and refinement of                  source-specific revision to the Louisiana
                                                 issued a permit to Rain on October 27,                    the AOC SO2 emission limits for the                    SIP if EPA finalizes this proposed
                                                 2017 (Permit No. 2500–00006–V3) 16                        transitional modeling. We are proposing                approval. The AOC has a compliance
                                                 that included the previous November 9,                    to approve the February 2, 2018, Rain                  date of May 3, 2018.

                                                                                                                   AOC EMISSION LIMITATIONS
                                                  Source ID               Source description                                                        Sulfur dioxide (SO2) limit

                                                 EQT 0003         Waste Heat Boiler/Baghouse ....          During normal, steady-state operations, with no emissions through the Pyroscrubber Stack (EQT
                                                                                                             0004), SO2 emissions shall be ≤510 lb/hr when stack flow rate ≥110,000 SCFM and stack
                                                                                                             temperature ≥220bF. If stack flow rate ≥70,000 SCFM and <110,000 SCFM and Temperature
                                                                                                             is ≥220 °F, SO2 emissions shall be ≤380 lb/hr.
                                                 EQT 0003         Waste Heat Boiler/Baghouse ....          Stage 1: when the flue gas flow rate <40,000 SCFM or Temperature <90 °F as measured by the
                                                                                                             CEMS, SO2 emissions shall be ≤10 lb/hr.
                                                 EQT 0003         Waste Heat Boiler/Baghouse ....          Stage 2: when the flue gas flow rate ≥40,000 SCFM and <70,000 SCFM:
                                                                                                           • Temperature ≥0 °F and <110 °F as measured by the CEMS, SO2 emissions shall be ≤75 lb/
                                                                                                             hr.
                                                                                                           • Temperature ≥110 °F and <150 °F as measured by the CEMS, SO2 emissions shall be ≤75 lb/
                                                                                                             hr.
                                                                                                           • Temperature ≥150 °F and <220 °F as measured by the CEMS, SO2 emissions shall be ≤75 lb/
                                                                                                             hr.
                                                 EQT 0003         Waste Heat Boiler/Baghouse ....          Stage 3: when the flue gas flow rate ≥70,000 SCFM and <110,000 SCFM:
                                                                                                           • Temperature ≥ 110 °F and <150 °F as measured by the CEMS, SO2 emissions shall be ≤90
                                                                                                             lb/hr.
                                                                                                           • Temperature ≥150 °F and ≤220 °F as measured by the CEMS, SO2 emissions shall be ≤90 lb/
                                                                                                             hr.
                                                 EQT 0003         Waste Heat Boiler/Baghouse ....          Stage 4: when the flue gas flow rate ≥110,000 SCFM and Temperature ≥220 °F as measured by
                                                                                                             the CEMS, SO2 emissions shall be ≤50 lb/hr.
                                                 EQT 0004         Pyroscrubber Stack ...................   Non-transition operations: No flow through EQT 0003, SO2 emissions shall be ≤2020 lb/hr.
                                                 EQT 0004         Pyroscrubber Stack ...................   Transition Stage 1: EQT 0003 flow rate <40,000 SCFM, SO2 emissions shall be ≤1,000 lb/hr.
                                                 EQT 0004         Pyroscrubber Stack ...................   Transition Stage 2: 40,000 SCFM ≤EQT 0003 flow rate <70,000 SCFM, SO2 emissions shall be
                                                                                                             ≤650 lb/hr.
                                                 EQT 0004         Pyroscrubber Stack ...................   Transition Stage 3: 70,000 SCFM ≤EQT 0003 flow rate 110,000 SCFM, SO2 emissions shall be
                                                                                                             ≤650 lb/hr.
                                                 EQT 0004         Pyroscrubber Stack ...................   Transition Stage 4: EQT 0003 flow rate ≥110,000 SCFM, SO2 emissions shall be ≤400 lb/hr and
                                                                                                             temperature ≥1,000 °F.
                                                    SCFM in Table is wet flow at standard conditions of 20C and standard atmospheric pressure (1,013.25 millibars).


                                                   The two other facilities that are                       not require new SO2 emission limits on                 thus are not critical to demonstrating
                                                 located outside of St. Bernard Parish                     these facilities (ConocoPhillips, and                  attainment in the area. EPA agrees with
                                                 that were included in the modeling are                    New Orleans Sewer Treatment). EPA                      LDEQ’s decision not to establish
                                                 not located in a direction such that they                 has reviewed the facilities’ data and                  emission limits for these facilities in
                                                 can contribute to the maximum                             notes that the ConocoPhillips facility is              this SIP.
                                                 concentrations in St. Bernard Parish                      27 km away from the Vista monitor and                  F. Background Concentrations
                                                 (not upwind) so would have a                              neither ConocoPhillips nor the New
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                                                 negligable impact on maximum                              Orleans facility (less than 3 tons per                   To develop background
                                                 modeled concentrations within St.                         year emissions) are upwind of the                      concentrations for the nonattainment
                                                                                                                                                                  area, Louisiana relied on 2012–2014 SO2
                                                 Bernard Parish. Therefore, LDEQ did                       maximum modeled concentrations and
                                                                                                                                                                  data from the Meraux monitor and
                                                   16 See docket to this action at 10–27–17 NSR-Title      MerauxRefinery-permit 2500–0001–V16.pdf (Note          3004–V7, 3011- V3, 3015–V3, 3016–V3, 3017–V5,
                                                 V Rain v3 Final.pdf.                                      the Permit No 2500–0001–V9 included reductions         3018–V5 30222–V7, 3023–V7) in the docket as
                                                   17 Permit No 2500–00001–V16 for Chalmette               in SO2 from a Consent Decree); Chalmette Refining      ChalmetteRefining-Final Permits.pdf
                                                 Refining in the docket as 8–10–17 Valero-                 Permits (No. 2500–0005–V5, 2933–V6, 2822–V2,



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                                                                          Federal Register / Vol. 83, No. 76 / Thursday, April 19, 2018 / Proposed Rules                                                            17355

                                                 meteorological data from the Vista                        TABLE 1—SUMMARY OF EPA MODEL                           years, but additional emissions
                                                 monitor (no meteorological data are                        RESULTS WITH NUMBER OF OPER-                          information was provided to
                                                 collected at Meraux). The Meraux and                       ATING SCENARIOS MODELED, IF                           supplement the 2011 NEI data.
                                                 Chalmette Vista (Vista) sites are located                                                                          The state of Louisiana compiles a
                                                                                                            GREATER THAN ONE                                      statewide EI in accordance with the
                                                 only 5 km apart and in similar
                                                 topography; therefore, meteorological                                                            Design value    CAA Amendments of 1990, LAC
                                                                                                                Operational status                                33:III.918 and 919 (Recordkeeping and
                                                 conditions at the Vista monitor are                                                                μg/m3
                                                 representative of those at Meraux.18 In                                                                          Annual Reporting and Emissions
                                                                                                         Cold Stack Normal Oper-                                  Inventory). Louisiana supplemented the
                                                 determining the monitored background                      ations (Two Scenarios) .....                   192.4   2011 NEI data with their 2013 point
                                                 concentration, LDEQ excluded                            Hot Stack Normal Operations                      171.3   source EI in the SIP submittal as shown
                                                 monitored data when the major sources                   Transition (Seven Scenarios)                     190.0   in the following table: 20
                                                 (Rain, Chalmette Refinery and Valero                    Rain Property ........................           146.4
                                                 Refinery) were impacting the monitor. A                 Valero Property .....................            125.5
                                                                                                         Chalmette Refinery Property                      148.3       2013 ST. BERNARD PARISH POINT
                                                 68-degree sector containing all three                                                                                 SOURCE EMISSIONS INVENTORY
                                                 sources was identified and hourly SO2
                                                                                                            We therefore propose to determine
                                                 values corresponding to hours when the                  that Louisiana’s plan provides for                                                                    Tons per year
                                                 wind direction was from within that 68-                 attainment of the 2010 primary SO2
                                                 degree arc and wind speeds were greater                                                                          Rain Chalmette Coke Plant ..                      3061.88
                                                                                                         NAAQS in the St. Bernard Parish                          Chalmette Refinery ...............                 255.46
                                                 than 2 miles per hour were excluded.                    nonattainment area prior to October 4,                   Valero Refinery .....................              200.74
                                                 The 2nd highest value for each season                   2018.                                                    TOCA Gas Processing Plant                            3.27
                                                 and hour of day was determined for                                                                               Chalmette Cane Sugar Re-
                                                 each of the three years 2012–2014.                      V. Review of Other Plan Requirements                       finery .................................            0.76
                                                 These values were averaged and the                      A. Emissions Inventory                                   ELOI Bay Platform No. 1 ......                        0.41
                                                 resulting set of values were utilized as                                                                         Southern Natural Gas Co.—
                                                                                                            The emissions inventory and source                      Toca Compressor Station                            0.17
                                                 background. LDEQ also examined more                     emission rate data for an area serve as                  2013 Point Source Totals .....                    3522.69
                                                 recent monitoring data and determined                   the foundation for air quality modeling
                                                 that subsequent years had lower design                  and other analyses that enable states to:                   In addition, the State further
                                                 values.                                                 (1) Estimate the degree to which                         supplemented the emissions inventory
                                                    These background values are                          different sources within a                               information and SIP submittal with
                                                 representative of the contribution due to               nonattainment area contribute to                         newer, more specific emissions
                                                 other sources within the St. Bernard                    violations within the affected area; and                 information for Rain in the February 2,
                                                 Parish and surrounding areas that were                  (2) assess the expected improvement in                   2018 AOC, which included revised
                                                 not explicitly modeled. See the TSD for                 air quality within the nonattainment                     emission limits and operating
                                                 additional information. Using this                      area due to the adoption and                             parameters utilized in the attainment
                                                 approach, the EPA finds the State’s                     implementation of control measures. As                   demonstration modeling.
                                                 treatment of SO2 background levels to                   noted above, the state must develop and                     Louisiana also developed SO2
                                                 be suitable for the modeled attainment                  submit to the EPA a comprehensive,                       emissions projections for the 2018
                                                                                                         accurate and current inventory of actual                 attainment year. Nonpoint and mobile
                                                 demonstration.
                                                                                                         emissions from all sources of SO2                        emissions data was taken from the NEI
                                                 G. Summary of Results                                   emissions in each nonattainment area,                    database. Emissions projections for
                                                                                                         as well as any sources located outside                   nonpoint and mobile sources are based
                                                    The modeling analysis including the                  the nonattainment area which may                         on the reductions established in 2005,
                                                 February 2, 2018 AOC emission limits                    affect attainment in the area. See CAA                   2008, and 2011. The emissions estimate
                                                 for the Rain facility resulted in                       section 172(c)(3).                                       for 2018 point sources is based on FY
                                                 concentrations below the level of the 1-                   In its submittal, Louisiana included a                2013 emissions.
                                                 hour primary SO2 NAAQS. The EPA has                     current emissions inventory for the St.                     Because St. Bernard Parish is
                                                 reviewed Louisiana’s attainment                         Bernard Parish nonattainment area                        currently an SO2 nonattainment area,
                                                 demonstration, conducted additional                     based on the 2011–2015 period. Two                       nonattainment new source review
                                                 modeling runs and agrees that                           other sources outside St. Bernard Parish                 (NNSR) requires SO2 increases from
                                                 Louisiana’s submittal and supplemental                  were also included in the modeling, but                  new major sources and major
                                                 materials, along with the new AOC                       were not critical to the modeling and                    modifications to be offset at > 1 to 1,
                                                 limits (February 2, 2018), result in                    thus further emission reductions (or                     therefore, the emissions estimate for
                                                 demonstrating attainment of the 1-hour                  including existing limits in this SIP)                   2018 point sources is based on FY 2013
                                                 SO2 NAAQS before the attainment                         were not necessary for these two sources                 emissions at 3,523 tons per year (tpy).
                                                 deadline of October 4, 2018. LDEQ                       (ConocoPhillips and New Orleans                          Nonpoint and mobile emissions data
                                                 reviewed EPA’s modeling files and has                   Sewer Treatment).                                        was taken from the NEI database. The
                                                                                                            The State principally relied on 2011                  combined emissions estimate for 2018
                                                 affirmed that they are accurate and
                                                                                                         as the most complete and representative                  nonpoint and mobile sources is
                                                 representative.19
                                                                                                         record of annual SO2 emissions because                   approximately 625 tpy, approximately
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                                                                                                         it coincided with the EPA’s National                     the same as current emissions, almost
                                                    18 We note that the meteorological data collected
                                                                                                         Emissions Inventory (NEI), which                         all of which are from nonpoint sources.
                                                 at the Vista monitor do not meet all the                includes a comprehensive inventory of
                                                 requirements for use as input for air quality
                                                 modeling. See Section IV. B. for a discussion of the
                                                                                                         all source types (point, nonpoint and                      20 The EPA reviewed more recent inventories

                                                                                                         onroad and off-road mobile sources).                     (2014–2016) and confirmed that emissions were
                                                 meteorological data used for modeling.                                                                           similar with Rain emissions being slightly higher on
                                                    19 Email from Vivian.ucoin@LA.gov to                 Changes to the methodology for the NEI                   average and the two refineries (Valero and
                                                 Snyder.Erik@epa.gov et al. March 27, 2018 1:28PM        for off-road sources made the 2014 NEI                   Chalmette) were lower in more recent years. See St.
                                                 included in docket to this action.                      values incomparable to the previous                      Bernard EI 2014–2016.xlsx in the docket.



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                                                 17356                   Federal Register / Vol. 83, No. 76 / Thursday, April 19, 2018 / Proposed Rules

                                                    The EPA agrees that the State’s                      impact on the measured SO2                             including RACT, as needed to attain the
                                                 emissions inventories for point,                        concentrations at the relevant                         standards as expeditiously as
                                                 nonpoint and mobile sources are                         (Chalmette Vista) SO2 monitor based on                 practicable.
                                                 appropriate because they rely on well-                  the recent reduction in observed
                                                                                                                                                                C. New Source Review (NSR)
                                                 established and vetted estimates of                     concentrations.
                                                 emissions for the current period and                       Further improvements will be                          The EPA has approved both
                                                 attainment year, respectively.                          achieved through the implementation of                 Louisiana’s NNSR and Emission
                                                                                                         the February 2, 2018 AOC that sets                     Reduction Credits (ERC) banking
                                                 B. RACM/RACT                                                                                                   programs. (LAC 33:111.504 was
                                                                                                         operating parameters and emission
                                                    To be approved by the EPA, the SIP                   limits for all three operating states: 1)              approved on September 30, 2002 (67 FR
                                                 must provide for attainment of the                      Emit through Hot Stack; 2) Emit through                61270); LAC 33:III.Chapter 6 was
                                                 standard based on SO2 emission                          Cold Stack; and 3) Transition between                  approved on September 27, 2002 (67 FR
                                                 reductions from control measures that                   the two states during which emissions                  60877)). Note that per a rule revision
                                                 are permanent and enforceable. At a                     are through both stacks. It also further               promulgated November 20, 2012 (AQ
                                                 minimum, states must consider all                       reduced the emission limits for the cold               327), (See App. D to SIP), revisions to
                                                 RACM and RACT measures that can be                      stack providing for an additional 57–                  LDEQ’s ERC banking program (LAC
                                                 implemented in light of the attainment                  78% reduction in cold stack emissions.                 33:III.Chapter 6) were made such that
                                                 needs for the affected area, and include                   The final emission limitations as                   creditable SO2 reductions could be
                                                 all necessary measures in order to attain               included in the February 2, 2018 AOC                   banked and traded as ERC. No further
                                                 the NAAQS. The definition for RACT is                   are provided in Section IV.E. Emission                 revisions to LAC 33:III.504 or Chapter 6
                                                 that control technology which is                        Limitations above.                                     are required to implement the NNSR
                                                 necessary to achieve the NAAQS (see 40                     Valero Refining completed SO2                       program in St. Bernard Parish. These
                                                 CFR 51. 100(o)). Since SO2 RACT is                      reductions and revised their permit to                 rules provide for appropriate new
                                                 already defined as the technology                       incorporate the lowering of flare                      source review for SO2 major sources
                                                 necessary to achieve NAAQS, control                     emissions due to the installation of a                 undergoing construction or major
                                                 technology which failed to achieve the                  flare gas recovery system in Permit No.                modification in St. Bernard Parish
                                                 SO2 NAAQS would, by definition, fail                    2500–00001–V12 issued March 9, 2016.                   without need for modification of the
                                                 to be SO2 RACT. See General Preamble                    The Chalmette Refinery made all the                    approved rules. Therefore, the EPA
                                                 at 57 FR 13498, 13547.21 Louisiana’s                    consent decree SO2 reductions with the                 concludes that this requirement has
                                                 submittal and supplement meets this                     last requirements met by December 31,                  already been met for this area.
                                                 requirement for the 1-hour SO2 NAAQS                    2016, with a flare management plan                     D. Reasonable Further Progress (RFP)
                                                 in the St. Bernard Parish nonattainment                 (Permit No. 3016–V4). Rain has
                                                 area as the control measures                                                                                     Section 171(1) of the CAA defines
                                                                                                         installed controls to help reduce its                  RFP as ‘‘such annual incremental
                                                 implemented in the plan have been                       impacts, e.g., the installation and
                                                 shown to achieve attainment.                                                                                   reductions in emissions of the relevant
                                                                                                         venting through a taller stack by October              air pollutant as are required by part D
                                                    The plan relies on ambient SO2                       10, 2013, and the installation and
                                                 concentration reductions achieved by                                                                           or may reasonably be required by EPA
                                                                                                         operation of a SO2 scrubber by February                for the purpose of ensuring attainment
                                                 implementation of an AOCand                             29, 2016.
                                                 permitted limits at Rain and permitted                                                                         of the applicable NAAQS by the
                                                                                                            Motor Vehicles in the general area                  applicable attainment date.’’ This
                                                 limits at Valero and Chalmette Refining.                have reduced SO2 emissions through the
                                                 Rain achieved reductions by replacing                                                                          definition is most appropriate for
                                                                                                         implementation of federal programs,                    pollutants that are emitted by numerous
                                                 the existing stack for the Waste Heat                   such as Tier 3 vehicle emission and fuel
                                                 Boiler/Baghouse (EQT003) with a new                                                                            and diverse sources, where the
                                                                                                         standards that have begun in 2017. Tier                relationship between any individual
                                                 stack with a height of approximately                    3 sets new vehicle emissions standards
                                                 199 feet; 22 and replacing the lime                                                                            source and the overall air quality is not
                                                                                                         and lowers the sulfur content of                       explicitly quantified, and where the
                                                 injection system with an SO2 scrubber                   gasoline, considering the vehicle and its
                                                 and baghouse.23 The Waste Heat Boiler/                                                                         emission reductions necessary to attain
                                                                                                         fuel as an integrated system.                          the NAAQS are inventory-wide. See
                                                 Baghouse began venting through the                      Specifically, Federal gasoline will not                April 2014 SO2 Guidance memo, page
                                                 new stack on October 10, 2013. The SO2                  contain more than 10 parts per million                 40.25 EPA has also previously explained
                                                 scrubbing system was operational before                 (ppm) of sulfur on an annual average                   that the definition is generally less
                                                 February 29, 2016. The impact of these                  basis by January 1, 2017.                              pertinent to pollutants like SO2 that
                                                 measures had an apparent positive                          Louisiana has determined that these                 usually have a limited number of
                                                                                                         measures for Rain in addition to the                   sources affecting areas of air quality that
                                                    21 See CAA section 110(a)(2)(A) and CAA
                                                                                                         permitted limits at Valero Refining, and               are relatively well defined, and
                                                 172(c)(1) that provides that ‘‘[s]uch plan shall
                                                 provide for the implementation of all reasonably        Chalmette Refining, provide for timely                 emissions control measures for such
                                                 available control measures as expeditiously as          attainment and meet the RACT                           sources result in swift and dramatic
                                                 practicable (including such reductions in emissions     requirements.24 The EPA concurs and                    improvement in air quality.26 For SO2,
                                                 from existing sources in the area as may be obtained    proposes to conclude that the state has
                                                 through the adoption, at a minimum, of reasonably                                                              there is usually a single ‘‘step’’ between
                                                 available control technology) and shall provide for     satisfied the requirement in section
                                                 attainment of the national primary ambient air          172(c)(1) to adopt and submit all RACM,                   25 April 23, 2014 Guidance for 1-Hour SO
                                                                                                                                                                                                            2
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                                                 quality standards.’’                                                                                           Nonattinment Area SIP Submissions which can be
                                                    22 Pursuant to an AOC, entered into by LDEQ and        24 Permit No 2500–00001–V16 for Chalmette            found at: https://www.epa.gov/sites/production/
                                                 Rain, Rain was to replace the stack with a new stack    Refining in the docket as 8–10–17 Valero-              files/2016-06/documents/20140423guidance_
                                                 of approximately 199 feet. The new stack was in         MerauxRefinery-permit 2500–0001–V16.pdf (Note          nonattainment_sip.pdf.
                                                 operation prior to December 31, 2013. Enforcement       the Permit No 2500–0001–V9 included reductions            26 See SO Guideline Document, U.S.
                                                                                                                                                                             2
                                                 Tracking No. AE–AOA–13–00490, effective June 20,        in SO2 from a Consent Decree); Chalmette Refining      Environmental Protection Agency, Office of Air
                                                 2013.                                                   Permits (No. 2500–0005–V5, 2933–V6, 2822–V2,           Quality Planning and Standards, Research Triangle
                                                    23 Rain CII Chalmette NSR Title V Permit October     3004–V7, 3011- V3, 3015–V3, 3016–V3, 3017–V5,          Park, N.C. 27711, EPA–452/R–94·008, February
                                                 27 2017, in docket as 10–27–17 NSR-Title V Rain         3018–V5 30222–V7, 3023–V7) in the docket as            1994. (See https://nepis.epa.gov/Exe/ZyPDF.cgi/
                                                 v3 Final.pdf                                            ChalmetteRefining-Final Permits.pdf.                   2000H22J.PDF?Dockey=2000H22J.PDF).



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                                                                         Federal Register / Vol. 83, No. 76 / Thursday, April 19, 2018 / Proposed Rules                                          17357

                                                 pre-control nonattainment and post-                     measures in a SIP that are to be                       sources of violations of the SO2 NAAQS
                                                 control attainment. Therefore, for SO2,                 implemented in the event that an area                  and to undertake an aggressive follow-
                                                 with its discernible relationship                       fails to make RFP, or fails to attain the              up for compliance and enforcement.
                                                 between emissions and air quality, and                  NAAQS, by the applicable attainment                    Louisiana’s plan provides for satisfying
                                                 significant and immediate air quality                   date. Contingency measures are to                      the contingency measure requirement in
                                                 improvements, RFP is best construed as                  become effective without further action                this manner. The EPA concurs and
                                                 ‘‘adherence to an ambitious compliance                  by the state or the EPA, where the area                proposes to approve Louisiana’s plan for
                                                 schedule.’’ See General Preamble at 74                  has failed to (1) achieve RFP or (2) attain            meeting the contingency measure
                                                 FR 13547 (April l6, 1992). This means                   the NAAQS by the statutory attainment                  requirement in this manner.
                                                 that the State must ensure that affected                date for the affected area. These control
                                                                                                                                                                VI. Conformity
                                                 sources implement appropriate control                   measures are to consist of other
                                                 measures as expeditiously as practicable                available control measures that are not                   Generally, as set forth in section
                                                 in order to ensure attainment of the                    included in the control strategy for the               176(c) of the CAA, conformity requires
                                                 standard by the applicable attainment                   nonattainment area SIP. EPA guidance                   that actions by federal agencies do not
                                                 date.                                                   describes special features of SO2                      cause new air quality violations, worsen
                                                    In its submittal and supplement, the                 planning that influence the suitability of             existing violations, or delay timely
                                                 LDEQ provided its rationale for                         alternative means of addressing the                    attainment of the relevant NAAQS.
                                                 concluding that the plan met the                        requirement in section 172(c)(9) for                   General conformity applies to federal
                                                 requirement for RFP in accordance with                  contingency measures for SO2. Because                  actions, other than certain highway and
                                                 EPA guidance. Specifically, LDEQ’s                      SO2 control measures are by definition                 transportation projects, if the action
                                                 rationale is based on the General                       based on what is directly and                          takes place in a nonattainment area or
                                                 Preamble and EPA 2014 SO2 guidance                      quantifiably necessary emissions                       maintenance area (i.e., an area which
                                                 interpreting the RFP requirement being                  controls, any violations of the NAAQS                  submitted a maintenance plan that
                                                 satisfied for SO2 if the plan requires                  are likely related to source violations of             meets the requirements of section 175A
                                                 ‘‘adherence to an ambitious compliance                  a source’s permit or agreed order terms.               of the CAA and has been redesignated
                                                 schedule’’ that ‘‘implement[s]                          Therefore, an appropriate means of                     to attainment) for ozone, particulate
                                                 appropriate control measures as                         satisfying this requirement for SO2 is for             matter, nitrogen dioxide, carbon
                                                 expeditiously as practicable.’’ The                     the state to have a comprehensive                      monoxide, lead, or SO2. EPA’s General
                                                 submittal and supplement provide for                    enforcement program that identifies                    Conformity Rule (40 CFR 93.150 to
                                                 attainment as expeditiously as                          sources of violations of the SO2 NAAQS                 93.165) establishes the criteria and
                                                 practicable, i.e., by the attainment date               and to undertake an aggressive follow-                 procedures for determining if a federal
                                                 of October 4, 2018, and thereby satisfy                 up for compliance and enforcement.                     action conforms to the SIP. With respect
                                                 the requirement for RFP. As noted                          For its contingency program,                        to the 2010 SO2 NAAQS, federal
                                                 previously, there are three major sources               Louisiana proposed to operate a                        agencies are expected to continue to
                                                 in the area that are the main sources of                comprehensive program to identify                      estimate emissions for conformity
                                                 concern: Valero Refining, Chalmette                     sources of violations of the SO2 NAAQS                 analyses in the same manner as they
                                                 Refining, and Rain. The two point                       and undertake aggressive compliance                    estimated emissions for conformity
                                                 sources (Valero and Chalmette) are                      and enforcement actions. Louisiana has                 analyses under the previous NAAQS for
                                                 subject to emissions reductions from                    regulatory authority to implement                      SO2. EPA’s General Conformity Rule
                                                 consent decrees that have been included                 emergency rules for cause which may                    includes the basic requirement that a
                                                 in NSR SIP permits. Valero Refining                     include violations of the NAAQS. More                  federal agency’s general conformity
                                                 completed all the consent decree’s SO2                  specifically, Louisiana proposed an                    analysis be based on the latest and most
                                                 reductions and revised their permit to                  analysis to determine the cause of any                 accurate emission estimation techniques
                                                 incorporate the lowering of flare                       violation of the SO2 NAAQS, followed                   available (40 CFR 93.159(b)). When
                                                 emissions due to the flare gas recovery                 by identification and implementation of                updated and improved emissions
                                                 system in Permit No. 2500–00001–V12                     appropriate control measures at major                  estimation techniques become available,
                                                 issued March 9, 2016. The Chalmette                     SO2 sources through the use of                         EPA expects the federal agency to use
                                                 Refinery made all the consent decree’s                  emergency rules and/or administrative                  these techniques.
                                                 SO2 reductions with the last                            orders. Because the LDEQ has the ability                  Transportation conformity
                                                 requirements met by December 31,                        to issue administrative orders and/or                  determinations are not required in SO2
                                                 2016, with a flare management plan                      emergency rules that do not require                    nonattainment and maintenance areas.
                                                 (Permit No. 3016–V4). Rain entered into                 public notice or comment and would                     EPA concluded in its 1993
                                                 a February 2. 2018, AOC that requires                   use that process, as needed, to quickly                transportation conformity rule that
                                                 compliance by May 3, 2018, and if                       implement measures to protect public                   highway and transit vehicles are not
                                                 finalized as a SIP revision, will become                health, the EPA believes that this                     significant sources of SO2. Therefore,
                                                 federally enforceable. Therefore,                       approach continues to be a valid                       transportation plans, transportation
                                                 Louisiana concluded that its SIP                        approach for the implementation of                     improvement programs and projects are
                                                 submittal and supplement provide for                    contingency measures to address the                    presumed to conform to applicable
                                                 RFP in accordance with the approach to                  2010 SO2 NAAQS.                                        implementation plans for SO2. (See 58
                                                 RFP described in the EPA’s SO2                             As noted above, EPA guidance                        FR 3776, January 11, 1993.)
                                                 guidance and the Preamble. The EPA                      describes special features of SO2
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                                                                                                         planning that influence the suitability of             VII. EPA’s Proposed Action
                                                 concurs and proposes to conclude that
                                                 the SIP submittal and supplement                        alternative means of addressing the                       The EPA is proposing to approve
                                                 provides for RFP.                                       requirement in section 172(c)(9) for                   Louisiana’s SIP submission, which the
                                                                                                         contingency measures for SO2, such that                State submitted to EPA on November 9,
                                                 E. Contingency Measures                                 in particular an appropriate means of                  2017, and supplemented on February 8,
                                                   As discussed in our 2014 SO2                          satisfying this requirement is for the                 2018, as meeting the requirements for
                                                 guidance, Section 172(c)(9) of the CAA                  state to have a comprehensive                          attainment as expeditiously as
                                                 defines contingency measures as such                    enforcement program that identifies                    practicable but no later than October 4,


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                                                 17358                   Federal Register / Vol. 83, No. 76 / Thursday, April 19, 2018 / Proposed Rules

                                                 2018, and other nonattainment area                      contact Robert Imhoff, 214–665–7262,                      • Is not an economically significant
                                                 planning requirements for the St.                       imhoff.robert@epa.gov for more                         regulatory action based on health or
                                                 Bernard Parish Nonattainment Area.                      information).                                          safety risks subject to Executive Order
                                                 This 2010 1-hour SO2 SIP submittal                                                                             13045 (62 FR 19885, April 23, 1997);
                                                                                                         IX. Statutory and Executive Order
                                                 includes Louisiana’s attainment                         Reviews                                                   • Is not a significant regulatory action
                                                 demonstration for the St. Bernard Parish                                                                       subject to Executive Order 13211 (66 FR
                                                 Nonattainment Area, including a new                        Under the CAA, the Administrator is
                                                                                                         required to approve a SIP submission                   28355, May 22, 2001);
                                                 February 2, 2018 AOC for Rain that
                                                 serves as a source-specific SIP revision,               that complies with the provisions of the                  • Is not subject to requirements of
                                                 and the other CAA required elements                     Act and applicable Federal regulations.                Section 12(d) of the National
                                                 including RFP, a RACT/RACM                              42 U.S.C. 7410(k); 40 CFR 52.02(a).                    Technology Transfer and Advancement
                                                 demonstration, base-year and                            Thus, in reviewing SIP submissions,                    Act of 1995 (15 U.S.C. 272 note) because
                                                 projection-year emission inventories,                   EPA’s role is to approve state choices,                application of those requirements would
                                                 and contingency measures. We are                        provided that they meet the criteria of                be inconsistent with the CAA; and
                                                 proposing to approve the February 2,                    the CAA. Accordingly, this action                         • Does not provide EPA with the
                                                 2018, Rain AOC as a source-specific                     merely proposes to approve state law as                discretionary authority to address, as
                                                 revision to the SIP. Louisiana also                     meeting Federal requirements and does                  appropriate, disproportionate human
                                                 demonstrated it met the requirements                    not impose additional requirements                     health or environmental effects, using
                                                 regarding NNSR for SO2 and the EPA                      beyond those imposed by state law. For                 practicable and legally permissible
                                                 approved this program.                                  that reason, this proposed action:                     methods, under Executive Order 12898
                                                                                                            • Is not a ‘‘significant regulatory                 (59 FR 7629, February 16, 1994).
                                                   The EPA has determined that
                                                                                                         action’’ subject to review by the Office
                                                 Louisiana’s SO2 attainment plan meets                                                                             In addition, the SIP is not approved
                                                                                                         of Management and Budget under
                                                 applicable requirements of the sections                                                                        to apply on any Indian reservation land
                                                                                                         Executive Order 12866 58 FR 51735,
                                                 110, 172, 173, 191, and 192 of the CAA.                                                                        or in any other area where EPA or an
                                                                                                         October 4, 1993) and 13563 (76 FR 3821,
                                                 EPA’s analysis is discussed in this                                                                            Indian tribe has demonstrated that a
                                                                                                         January 21, 2011);
                                                 proposed rulemaking and in our TSD                         • Is not an Executive Order 13771 (82               tribe has jurisdiction. In those areas of
                                                 that is available on-line at                            FR 9339, February 2, 2017) regulatory                  Indian country, the rule does not have
                                                 www.regulations.gov, Docket No. EPA–                    action because SIP approvals are                       tribal implications and will not impose
                                                 R06–OAR–2017–0558. The TSD                              exempted under Executive Order 12866;                  substantial direct costs on tribal
                                                 provides additional explanation of the                     • Does not impose an information                    governments or preempt tribal law as
                                                 EPA’s analysis supporting this proposal.                collection burden under the provisions                 specified by Executive Order 13175 (65
                                                 VIII. Incorporation by Reference                        of the Paperwork Reduction Act (44                     FR 67249, November 9, 2000).
                                                                                                         U.S.C. 3501 et seq.);
                                                    In this action, we are proposing to                     • Is certified as not having a                      List of Subjects in 40 CFR Part 52
                                                 include in a final rule regulatory text                 significant economic impact on a
                                                 that includes incorporation by                                                                                   Environmental protection, Air
                                                                                                         substantial number of small entities                   pollution control, Incorporation by
                                                 reference. In accordance with the                       under the Regulatory Flexibility Act (5
                                                 requirements of 1 CFR 51.5, we are                                                                             reference, Intergovernmental relations,
                                                                                                         U.S.C. 601 et seq.);                                   Reporting and recordkeeping
                                                 proposing to incorporate by reference                      • Does not contain any unfunded
                                                 revisions to the Louisiana source-                                                                             requirements, Sulfur oxides.
                                                                                                         mandate or significantly or uniquely
                                                 specific requirements as described in                   affect small governments, as described                   Authority: 42 U.S.C. 7401 et seq.
                                                 the Proposed Action section above. We                   in the Unfunded Mandates Reform Act                      Dated: April 12, 2018.
                                                 have made, and will continue to make,                   of 1995 (Public Law 104–4);
                                                                                                                                                                Anne Idsal,
                                                 these documents generally available                        • Does not have Federalism
                                                 electronically through                                  implications as specified in Executive                 Regional Administrator, Region 6.
                                                 www.regulations.gov and in hard copy                    Order 13132 (64 FR 43255, August 10,                   [FR Doc. 2018–08067 Filed 4–18–18; 8:45 am]
                                                 at the EPA Region 6 office (please                      1999);                                                 BILLING CODE 6560–50–P
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Document Created: 2018-04-19 00:40:35
Document Modified: 2018-04-19 00:40:35
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionProposed Rules
ActionProposed rule.
DatesWritten comments must be received on or before May 21, 2018.
ContactRobert Imhoff, 214-665-7262, [email protected] To inspect the hard copy materials, please schedule an appointment with Robert Imhoff or Mr. Bill Deese at 214- 665-7253.
FR Citation83 FR 17349 
CFR AssociatedEnvironmental Protection; Air Pollution Control; Incorporation by Reference; Intergovernmental Relations; Reporting and Recordkeeping Requirements and Sulfur Oxides

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