83_FR_30735 83 FR 30609 - Air Plan Approval; Tennessee; Attainment Plan for Sullivan County SO2

83 FR 30609 - Air Plan Approval; Tennessee; Attainment Plan for Sullivan County SO2

ENVIRONMENTAL PROTECTION AGENCY

Federal Register Volume 83, Issue 126 (June 29, 2018)

Page Range30609-30622
FR Document2018-14097

The Environmental Protection Agency (EPA) is proposing to approve a State Implementation Plan (SIP) revision submitted by the State of Tennessee, through the Tennessee Department of Environment and Conservation (TDEC), to EPA on May 12, 2017, for attaining the 2010 1- hour sulfur dioxide (SO<INF>2</INF>) primary national ambient air quality standard (NAAQS) for the Sullivan County SO<INF>2</INF> nonattainment area (hereafter referred to as the ``Sullivan County Area'' or ``Area''). The Sullivan County Area is comprised of a portion of Sullivan County in Tennessee surrounding the Eastman Chemical Company (hereafter referred to as ``Eastman''). This plan (herein called a ``nonattainment plan or SIP'' or ``attainment plan or SIP'') includes Tennessee's attainment demonstration and other elements required under the Clean Air Act (CAA or Act). In addition to an attainment demonstration, the plan addresses the requirement for meeting reasonable further progress (RFP) toward attainment of the NAAQS, reasonably available control measures and reasonably available control technology (RACM/RACT), base-year and projection-year emissions inventories, enforceable emissions limitations and control measures, and contingency measures. EPA proposes to conclude that Tennessee has appropriately demonstrated that the plan's provisions provide for attainment of the 2010 1-hour primary SO<INF>2</INF> NAAQS in the Sullivan County Area and that the plan meets the other applicable requirements under the CAA.

Federal Register, Volume 83 Issue 126 (Friday, June 29, 2018)
[Federal Register Volume 83, Number 126 (Friday, June 29, 2018)]
[Proposed Rules]
[Pages 30609-30622]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2018-14097]


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ENVIRONMENTAL PROTECTION AGENCY

40 CFR Part 52

[EPA-R04-OAR-2017-0626; FRL-9980-18-Region 4]


Air Plan Approval; Tennessee; Attainment Plan for Sullivan County 
SO2 Nonattainment Area

AGENCY: Environmental Protection Agency (EPA).

ACTION: Proposed rule.

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SUMMARY: The Environmental Protection Agency (EPA) is proposing to 
approve a State Implementation Plan (SIP) revision submitted by the 
State of Tennessee, through the Tennessee Department of Environment and 
Conservation (TDEC), to EPA on May 12, 2017, for attaining the 2010 1-
hour sulfur dioxide (SO2) primary national ambient air 
quality standard (NAAQS) for the Sullivan County SO2 
nonattainment area (hereafter referred to as the ``Sullivan County 
Area'' or ``Area''). The Sullivan County Area is comprised of a portion 
of Sullivan County in Tennessee surrounding the Eastman Chemical 
Company (hereafter referred to as ``Eastman''). This plan (herein 
called a ``nonattainment plan or SIP'' or ``attainment plan or SIP'') 
includes Tennessee's attainment demonstration and other elements 
required under the Clean Air Act (CAA or Act). In addition to an 
attainment demonstration, the plan addresses the requirement for 
meeting reasonable further progress (RFP) toward attainment of the 
NAAQS, reasonably available control measures and reasonably available 
control technology (RACM/RACT), base-year and projection-year emissions 
inventories, enforceable emissions limitations and control measures, 
and contingency measures. EPA proposes to conclude that Tennessee has 
appropriately demonstrated that the plan's provisions provide for 
attainment of the 2010 1-hour primary SO2 NAAQS in the 
Sullivan County Area and that the plan meets the other applicable 
requirements under the CAA.

DATES: Comments must be received on or before July 30, 2018.

ADDRESSES: Submit your comments, identified by Docket ID No. EPA-R04-
OAR-2017-0626 at http://www.regulations.gov. Follow the online 
instructions for submitting comments. Once submitted, comments cannot 
be edited or removed from Regulations.gov. 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. EPA will 
generally not consider comments or comment contents located outside of 
the primary submission (i.e., on the web, cloud, or other file sharing 
system). For additional submission methods, the full EPA public comment 
policy, information about CBI or multimedia submissions, and general 
guidance on making effective comments, please visit http://www2.epa.gov/dockets/commenting-epa-dockets.

FOR FURTHER INFORMATION CONTACT: D. Brad Akers, Air Regulatory 
Management Section, Air Planning and Implementation Branch, Air, 
Pesticides and Toxics Management Division, U.S. Environmental 
Protection Agency, Region 4, 61 Forsyth Street SW, Atlanta, Georgia 
30303-8960. Mr. Akers can be reached via telephone at (404) 562-9089 or 
via electronic mail at [email protected].

SUPPLEMENTARY INFORMATION:

I. Requirement for Tennessee to Submit an SO2 Attainment 
Plan for the Sullivan County Area

[[Page 30610]]

II. Requirements for SO2 Attainment Plans
III. Attainment Demonstration and Longer Term Averaging
IV. Review of Attainment Plan Requirements
    A. Emissions Inventory
    B. Attainment Modeling Demonstration
    1. Model Selection
    2. Meteorological Data
    3. Emissions Data
    4. Emission Limits
    i. Enforceability
    ii. Longer Term Average Limits
    5. Background Concentration
    6. Analysis of Multi-Stack Limit
    7. Summary of Modeling Results
    C. RACM/RACT
    D. New Source Review (NSR)
    E. Reasonable Further Progress (RFP)
    F. Contingency Measures
V. Additional Elements of Tennessee's Submittal
VI. Incorporation by Reference
VII. EPA's Proposed Action
VIII. Statutory and Executive Orders

I. Requirement for Tennessee To Submit an SO2 Attainment Plan for the 
Sullivan County Area

    On June 22, 2010, 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 daily maximum 1-hour average 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, EPA designated a first set of 29 areas of the country 
as nonattainment for the 2010 SO2 NAAQS. See 78 FR 47191, 
codified at 40 CFR part 81, subpart C. These designations included the 
Sullivan County Area, which encompasses the primary SO2 
emitting source Eastman and the nearby SO2 monitor (Air 
Quality Site ID: 47-163-0007). These area designations were effective 
October 4, 2013. Section 191(a) of the CAA directs states to submit 
SIPs for areas designated as nonattainment for the SO2 NAAQS 
to 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(a) 
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. 
In addition, sections 110(a) and 172(c), as well as EPA regulations at 
40 CFR part 51, set forth substantive elements each SIP must contain to 
be approved by EPA.
    For the Sullivan County Area (and many other areas), EPA published 
a notice on March 18, 2016, that Tennessee (and other pertinent states) 
had failed to submit the required SO2 nonattainment plan by 
this submittal deadline. See 81 FR 14736. This finding initiated a 
deadline under CAA section 179(a) for the potential imposition of new 
source review and highway funding sanctions. However, pursuant to 
Tennessee's submittal of May 12, 2017, and EPA's subsequent letter 
dated October 10, 2017, to Tennessee finding the submittal complete and 
noting the termination of these sanctions deadlines, these sanctions 
under section 179(a) will not be imposed as a result of Tennessee 
having missed the April 4, 2015 deadline. Under CAA section 110(c), the 
March 18, 2016 finding also triggered a requirement that EPA promulgate 
a federal implementation plan (FIP) within two years of the finding 
unless (a) the state has made the necessary complete submittal and (b) 
EPA has approved the submittal as meeting applicable requirements.

II. Requirements for SO2 Attainment Plans

    To be approved by EPA, nonattainment areas must provide SIPs 
meeting the applicable requirements of the CAA, and specifically CAA 
sections 110(a), 172, 191 and 192 for SO2. EPA's regulations 
governing nonattainment 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, 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, EPA issued recommended guidance for 
meeting the statutory requirements in SO2 SIPs under the 
2010 revised NAAQS, in a document entitled, ``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 (hereafter referred to as EPA's 
April 2014 SO2 guidance or guidance). In this guidance EPA 
described the statutory requirements for SO2 SIPs for 
nonattainment areas, 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); new source review (NSR); 
enforceable emissions limitations and control measures; and adequate 
contingency measures for the affected area.
    For 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, EPA may not approve a SIP that 
would interfere with any applicable requirement concerning NAAQS 
attainment and RFP, or any other applicable requirement, and 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 and Longer Term Averaging

    CAA sections 172(c)(1) and (6) direct 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 EPA has long 
required that all SIPs and control strategies reflect four fundamental 
principles of quantification, enforceability, replicability, and 
accountability. 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 
which 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

[[Page 30611]]

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).
    EPA's April 2014 SO2 guidance recommends that the 
emission limits be expressed as short-term average limits (e.g., 
addressing emissions averaged over one or three hours), but also 
describes the option to utilize emission limits with longer averaging 
times of up to 30 days so long as the state meets various suggested 
criteria. See EPA's April 2014 SO2 guidance, pp. 22 to 39. 
The guidance recommends that--should states and sources utilize longer 
averaging times--the longer term average limit should be set at an 
adjusted level that reflects a stringency comparable to the 1-hour 
average limit at the critical emission value (CEV) shown by modeling to 
provide for attainment that the plan otherwise would have set.
    EPA's April 2014 SO2 guidance provides an extensive 
discussion of EPA's rationale for concluding that appropriately set 
comparably stringent limitations based on averaging times as long as 30 
days can be found to provide for attainment of the 2010 SO2 
NAAQS. In evaluating this option, EPA considered the nature of the 
standard, conducted detailed analyses of the impact of use of 30-day 
average limits on the prospects for attaining the standard, and 
carefully reviewed how best to achieve an appropriate balance among the 
various factors that warrant consideration in judging whether a state's 
plan provides for attainment. Id. at pp. 22 to 39. See also id. at 
Appendices B, C, and D.
    As specified in 40 CFR 50.17(b), the 1-hour primary SO2 
NAAQS is met at an ambient air quality monitoring site when the 3-year 
average of the annual 99th percentile of daily maximum 1-hour average 
concentrations is less than or equal to 75 ppb. In a year with 365 days 
of valid monitoring data, the 99th percentile would be the fourth 
highest daily maximum 1-hour value. The 2010 SO2 NAAQS, 
including this form of determining compliance with the standard, was 
upheld by the U.S. Court of Appeals for the District of Columbia 
Circuit in Nat'l Envt'l Dev. Ass'n's Clean Air Project v. EPA, 686 F.3d 
803 (D.C. Cir. 2012). Because the standard has this form, a single 
hourly exceedance of the 75-ppb level does not create a violation of 
the standard. Instead, at issue is whether a source operating in 
compliance with a properly set longer term average could cause hourly 
exceedances of the NAAQS level, and if so the resulting frequency and 
magnitude of such exceedances, and in particular whether EPA can have 
reasonable confidence that a properly set longer term average limit 
will provide that the 3-year average of the annual fourth highest daily 
maximum 1-hour value will be at or below 75 ppb. A synopsis of how EPA 
judges whether such plans ``provide for attainment,'' based on modeling 
of projected allowable emissions and in light of the NAAQS's form for 
determining attainment at monitoring sites, follows.
    For SO2 plans that are based on 1-hour emission limits, 
the standard approach is to conduct modeling using fixed emission 
rates. The maximum emission rate that would be modeled to result in 
attainment (i.e., in an ``average year'' \1\ shows three, not four days 
with maximum hourly levels exceeding 75 ppb) is labeled the ``critical 
emission value.'' The modeling process for identifying this critical 
emissions value inherently considers the numerous variables that affect 
ambient concentrations of SO2, such as meteorological data, 
background concentrations, and topography. In the standard approach, 
the state would then provide for attainment by setting a continuously 
applicable 1-hour emission limit at this critical emission value.
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    \1\ An ``average year'' is used to mean a year with average air 
quality. While 40 CFR 50 appendix T provides for averaging three 
years of 99th percentile daily maximum hourly values (e.g., the 
fourth highest maximum daily hourly concentration in a year with 365 
days with valid data), this discussion and an example below uses a 
single ``average year'' to simplify the illustration of relevant 
principles.
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    EPA recognizes that some sources have highly variable emissions, 
for example due to variations in fuel sulfur content and operating 
rate, that can make it extremely difficult, even with a well-designed 
control strategy, to ensure in practice that emissions for any given 
hour do not exceed the critical emission value. EPA also acknowledges 
the concern that longer term emission limits can allow short periods 
with emissions above the ``critical emissions value,'' which, if 
coincident with meteorological conditions conducive to high 
SO2 concentrations, could in turn create the possibility of 
a NAAQS exceedance occurring on a day when an exceedance would not have 
occurred if emissions were continuously controlled at the level 
corresponding to the critical emission value. However, for several 
reasons, EPA believes that the approach recommended in its guidance 
document suitably addresses this concern. First, from a practical 
perspective, EPA expects the actual emission profile of a source 
subject to an appropriately set longer term average limit to be similar 
to the emission profile of a source subject to an analogous 1-hour 
average limit. EPA expects this similarity because it has recommended 
that the longer term average limit be set at a level that is comparably 
stringent to the otherwise applicable 1-hour limit (reflecting a 
downward adjustment from the critical emissions value) and that takes 
the source's emissions profile into account. As a result, EPA expects 
either form of emission limit to yield comparable air quality.
    Second, from a more theoretical perspective, EPA has compared the 
likely air quality with a source having maximum allowable emissions 
under an appropriately set longer term limit, as compared to the likely 
air quality with the source having maximum allowable emissions under 
the comparable 1-hour limit. In this comparison, in the 1-hour average 
limit scenario, the source is presumed at all times to emit at the 
critical emission level, and in the longer term average limit scenario 
the source is presumed to occasionally emit more than the critical 
emission value but on average, and presumably at most times, to emit 
well below the critical emission value. In an ``average year,'' 
compliance with the 1-hour limit is expected to result in three 
exceedance days (i.e., three days with hourly values above 75 ppb) and 
a fourth day with a maximum hourly value at 75 ppb. By comparison, with 
the source complying with a longer term limit, it is possible that 
additional exceedances would occur that would not occur in the 1-hour 
limit scenario (if emissions exceed the critical emission value at 
times when meteorology is conducive to poor air quality). However, this 
comparison must also factor in the likelihood that exceedances that 
would be expected in the 1-hour limit scenario would not occur in the 
longer term limit scenario. This result arises because the longer term 
limit requires lower emissions most of the time (because the limit is 
set well below the critical emission value), so a source complying with 
an appropriately set longer term limit is likely to have lower 
emissions at critical times than would be the case if the source were 
emitting as allowed with a 1-hour limit.
    As a hypothetical example to illustrate these points, suppose a 
source that always emits 1,000 pounds of SO2 per hour, which 
results in air quality at the level of the NAAQS (i.e., results in a 
design value of 75 ppb). Suppose further that in an ``average year,'' 
these emissions cause the 5-highest maximum

[[Page 30612]]

daily average 1-hour concentrations to be 100 ppb, 90 ppb, 80 ppb, 75 
ppb, and 70 ppb. Then suppose that the source becomes subject to a 30-
day average emission limit of 700 pounds per hour (lbs/hr). It is 
theoretically possible for a source meeting this limit to have 
emissions that occasionally exceed 1,000 pounds per hour, but with a 
typical emissions profile, emissions would much more commonly be 
between 600 and 800 lbs/hr. In this simplified example, assume a zero-
background concentration, which allows one to assume a linear 
relationship between emissions and air quality. (A nonzero background 
concentration would make the mathematics more difficult but would give 
similar results.) Air quality will depend on what emissions happen on 
what critical hours, but suppose that emissions at the relevant times 
on these 5 days are 800 lbs/hr, 1,100 lbs/hr, 500 lbs/hr, 900 lbs/hr, 
and 1,200 lbs/hr, respectively. (This is a conservative example because 
the average of these emissions, 900 lbs/hr, is well over the 30-day 
average emission limit.) These emissions would result in daily maximum 
1-hour concentrations of 80 ppb, 99 ppb, 40 ppb, 67.5 ppb, and 84 ppb. 
In this example, the fifth day would have an exceedance that would not 
otherwise have occurred, but the third and fourth days would not have 
exceedances that otherwise would have occurred. In this example, the 
fourth highest maximum daily concentration under the 30-day average 
would be 67.5 ppb.
    This simplified example illustrates the findings of a more 
complicated statistical analysis that EPA conducted using a range of 
scenarios using actual plant data. As described in Appendix B of EPA's 
April 2014 SO2 guidance, EPA found that the requirement for 
lower average emissions is highly likely to yield better air quality 
than is required with a comparably stringent 1-hour limit. Based on 
analyses described in appendix B of its 2014 guidance, EPA expects that 
an emission profile with maximum allowable emissions under an 
appropriately set comparably stringent 30-day average limit is likely 
to have the net effect of having a lower number of exceedances and 
better air quality than an emission profile with maximum allowable 
emissions under a 1-hour emission limit at the critical emission value. 
This result provides a compelling policy rationale for allowing the use 
of a longer averaging period, in appropriate circumstances where the 
facts indicate this result can be expected to occur.
    The question then becomes whether this approach--which is likely to 
produce a lower number of overall exceedances even though it may 
produce some unexpected exceedances above the critical emission value--
meets the requirements in sections 110(a)(1) and (2), 172(c)(1) and (6) 
for SIPs to contain enforceable emissions limitations and other control 
measures to ``provide for attainment'' of the NAAQS. For 
SO2, as for other pollutants, it is generally impossible to 
design a nonattainment plan in the present that will guarantee that 
attainment will occur in the future. A variety of factors can cause a 
well-designed attainment plan to fail and unexpectedly not result in 
attainment, for example if meteorology occurs that is more conducive to 
poor air quality than was anticipated in the plan. Therefore, in 
determining whether a plan meets the requirement to provide for 
attainment, EPA's task is commonly to judge not whether the plan 
provides absolute certainty that attainment will in fact occur, but 
rather whether the plan provides an adequate level of confidence of 
prospective NAAQS attainment. From this perspective, in evaluating use 
of a 30-day average limit, EPA must weigh the likely net effect on air 
quality. Such an evaluation must consider the risk that occasions with 
meteorology conducive to high concentrations will have elevated 
emissions leading to exceedances that would not otherwise have 
occurred, and must also weigh the likelihood that the requirement for 
lower emissions on average will result in days not having exceedances 
that would have been expected with emissions at the critical emissions 
value. Additional policy considerations, such as in this case the 
desirability of accommodating real world emissions variability without 
significant risk of violations, are also appropriate factors for EPA to 
weigh in judging whether a plan provides a reasonable degree of 
confidence that the plan will lead to attainment. Based on these 
considerations, especially given the high likelihood that a 
continuously enforceable limit averaged over as long as 30 days, 
determined in accordance with EPA's guidance, will result in 
attainment, EPA believes as a general matter that such limits, if 
appropriately determined, can reasonably be considered to provide for 
attainment of the 2010 SO2 NAAQS.
    The April 2014 SO2 guidance offers specific 
recommendations for determining an appropriate longer term average 
limit. The recommended method starts with determination of the 1-hour 
emission limit that would provide for attainment (i.e., the critical 
emission value), and applies an adjustment factor to determine the 
(lower) level of the longer term average emission limit that would be 
estimated to have a degree of stringency comparable to the otherwise 
necessary 1-hour emission limit. This method uses a database of 
continuous emission data reflecting the type of control that the source 
will be using to comply with the SIP emission limits, which (if 
compliance requires new controls) may require use of an emission 
database from another source. The recommended method involves using 
these data to compute a complete set of emission averages, computed 
according to the averaging time and averaging procedures of the 
prospective emission limitation. In this recommended method, the ratio 
of the 99th percentile among these long term averages to the 99th 
percentile of the 1-hour values represents an adjustment factor that 
may be multiplied by the candidate 1-hour emission limit to determine a 
longer term average emission limit that may be considered comparably 
stringent.\2\ The guidance also addresses a variety of related topics, 
such as the potential utility of setting supplemental emission limits, 
such as mass-based limits, to reduce the likelihood and/or magnitude of 
elevated emission levels that might occur under the longer term 
emission rate limit.
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    \2\ For example, if the critical emission value is 1,000 pounds 
of SO2 per hour, and a suitable adjustment factor is 
determined to be 70 percent, the recommended longer term average 
limit would be 700 lbs/hr.
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    Preferred air quality models for use in regulatory applications are 
described in Appendix A of EPA's Guideline on Air Quality Models (40 
CFR part 51, appendix W). In 2005, 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. Supplemental 
guidance on modeling for purposes of demonstrating attainment of the 
SO2 NAAQS is provided in appendix A to the April 2014 
SO2 guidance document referenced above. Appendix A provides 
extensive guidance on the modeling domain, the source inputs, assorted 
types of meteorological data, and background concentrations. 
Consistency with the recommendations in this guidance is generally 
necessary for the attainment demonstration to offer

[[Page 30613]]

adequately reliable assurance that the plan provides for attainment.
    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 (see appendix W to 40 CFR part 51) 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, EPA believes that 
dispersion modeling, using allowable emissions and addressing 
stationary sources in the affected area (and in some cases 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 AERMET. Estimated 
concentrations should include ambient background concentrations, should 
follow the form of the NAAQS, 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'' (U.S. EPA, 
2010a).

IV. Review of Attainment 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 
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).
    The primary SO2-emitting point source located within the 
Sullivan County Area is Eastman, which produces organic acids, 
aldehydes, esters, polymers, cellulose esters, specialty plastics, and 
acetate fibers. The facility also produces process steam and 
electricity for most of the operations, including hazardous waste 
combustion, and wastewater treatment. Eastman consists of three main 
SO2 emitting sources comprised of three powerhouses that 
include a total of 14 boilers and several smaller emitters:
     Powerhouse B-83 consists of Boilers 18-24, denoted B-18--
B-24, which fire coal to provide steam for facility operations. Each of 
the seven emissions units has the following capacities: Boilers B-18--
B-20 are rated at 246 million British thermal units per hour (MMBtu/
hr); Boilers B-21--B-22 have a rated capacity of 249 MMBtu/hr; and 
Boilers B-23--B-24 have a rated capacity of 501 MMBtu/hr. All seven B-
83 boilers have existing limits on SO2 emissions of 2.4 lbs/
MMBtu based on a 1-hour averaging period. Actual emissions from B-83 
were 5,686 tons per year (tpy) in 2011.
     Powerhouse B-253 consists of units B-25--B-29 which fire 
coal to provide steam for facility operations. Each emissions unit, B-
25--B-29 has a rated capacity of 655 MMBtu/hr and an existing limit on 
SO2 emissions of 2.4 lbs/MMBtu based on a 24-hour averaging 
period. The B-253 powerhouse is currently undergoing a multi-year 
project to convert the power generation from the coal-fired boilers to 
natural gas-fired boilers to comply with regional haze best available 
retrofit technology (BART). See section IV.B.4.i for additional BART 
discussion. The result will be that the emissions units B-25--B-29 will 
fire only natural gas as repowered units start up and for all units no 
later than the attainment date for the 1-hour SO2 NAAQS, 
October 4, 2018.\3\ Actual emissions from B-253 were 14,897 tpy in 
2011.
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    \3\ As mentioned elsewhere in this proposed action, four boilers 
have converted to exclusive use of natural gas for fuel combustion 
already. These repowered units have different heat capacities, and 
the fuel content is such that the actual emissions of SO2 
will always be much less than the formerly permitted rate.
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     Powerhouse B-325 consists of Boilers B-30 and B-31, which 
fire coal to provide steam for facility operations. Boiler B-30 has a 
rated capacity of 780 MMBtu/hr and an existing emission limit on 
SO2 emissions of 317 lbs/hr based on a 30-day averaging 
period, equivalent to 0.406 lbs/MMBtu. Boiler B-31 is rated at 880 
MMBtu/hr and has an existing limit on SO2 emissions of 293 
lbs/hr based on a 30-day averaging period, equivalent to 0.333 lbs/
MMBtu. Actual emissions from B-325 were 1,276 tpy in 2011.
     The B-248 unit consists of three hazardous waste 
combustors, one liquid chemical waste incinerator and two rotary kilns 
that can burn solid or liquid chemical waste, B-248-2, Vent A, and B-
248-1, Vents D and E, respectively. According to the attainment SIP 
submitted by TDEC in May 2017, each of these units is subject to an 
existing limit on SO2 emissions for an exhaust concentration 
of 1,000 parts per million by volume SO2, equivalent to 
1,109 tpy for B-248-2, Vent A, and 1,552 tpy each for 248-1, Vents D 
and E. Actual emissions from B-248 were 7.3 tpy in 2011. On February 1, 
2018, TDEC issued a revised title V permit (568496) that included 
additional SO2 limits of 20 tpy for Vent A and 40 tpy for 
Vents D and E, combined.
     Eastman has 31 other smaller emission units that provide 
various services to other parts of the facility, and these units 
account for 194.56 tpy of the allowable emissions across the facility. 
Actual emissions from the remaining units were 40.9 tpy in 2011. For 
more information on these miscellaneous units, see the May 12, 2017, 
submittal.
    The emissions at units for Eastman were recorded either by using 
data collected from CEMS or by material balances based on feed rates 
and other parameters and are quality-assured by TDEC.\4\
---------------------------------------------------------------------------

    \4\ As detailed in Section IV. of this proposed action, CEMS 
will be installed for Powerhouse B-83. Therefore, all subsequent 
emissions inventories and all compliance assessments will be based 
on CEMS measurements.
---------------------------------------------------------------------------

    The next largest SO2 source within the nonattainment 
area is the EnviraGlass, LLC glass manufacturing facility 
(EnviraGlass). SO2 emissions from EnviraGlass were 49.3 tons 
in 2011, as determined from material balances. The EnviraGlass 
Kingsport facility consists of one main SO2 emitter. The 
glass melting furnace #1 (GMF-1) fires natural gas and No. 2 fuel oil. 
The allowable permit limit for EnviraGlass of 39.6 lb/hr was included 
in the attainment modeling.
    The next largest SO2 source in Sullivan County is 
located just outside the Sullivan County Area boundary: Domtar Paper 
Company, LLC, Kingsport Paper Mill (Domtar). Domtar produces pulp and 
paper and is permitted to burn hog fuel, dry wood residue, engineered 
fuel, wastewater treatment plant sludge, fuel oil, and natural gas. 
SO2 emissions from this facility were 70.8 tons in 2011, as 
determined from material balances.

[[Page 30614]]

The permitted allowable SO2 emissions limit for the main 
SO2 emissions unit at Domtar, the HFB1-1 biomass boiler, was 
included in the attainment modeling (264 lb/hr = 33.26 g/s). TDEC 
determined that the other SO2 emissions units at Domtar did 
not need to be explicitly modeled because of their smaller emissions 
levels. Therefore, these sources were accounted for using the 
background concentration discussed in section IV.B.5 of this notice.
    TDEC utilized EPA's 2011 National Emissions Inventory (NEI), 
Version 2 as the starting point for compiling point source emissions 
for the base year emissions inventory. The hazardous waste incinerators 
at Eastman in B-248 were erroneously reported as 20 tpy each for B-248-
1 and B-248-2. TDEC corrected this information from the 2011 NEI with 
information submitted by Eastman.\5\ EnviraGlass, formerly Heritage 
Glass, did not report emissions for the 2011 NEI, so TDEC used 
semiannual compliance reports pursuant to the title V operating permit 
for the facility to determine emissions.
---------------------------------------------------------------------------

    \5\ For more information on this correction to the 2011 NEI, 
Version 2 emissions, see Attachment A of Tennessee's May 12, 2017, 
submittal.
---------------------------------------------------------------------------

    TDEC also used the 2011 NEI, Version 2 to obtain estimates of the 
area and nonroad sources. For onroad mobile source emissions, TDEC 
utilized EPA's Motor Vehicle Emissions Simulator (MOVES2014). A more 
detailed discussion of the emissions inventory development for the 
Sullivan County Area can be found in Tennessee's May 12, 2017, 
submittal.
    Table 1 below shows the level of emissions, expressed in tpy, in 
the Sullivan County Area for the 2011 base year by emissions source 
category. The point source category includes all sources within the 
nonattainment area.

                                        Table 1--2011 Base Year Emissions Inventory for the Sullivan County Area
                                                                          [tpy]
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                Year                                      Point            Onroad          Nonroad            Area            Total
--------------------------------------------------------------------------------------------------------------------------------------------------------
2011...............................................................        21,956.5             1.62             0.16             10.6        21,968.88
--------------------------------------------------------------------------------------------------------------------------------------------------------

    Domtar is not included in the base year inventory for the Sullivan 
County Area because it is outside of the boundary of the nonattainment 
area. However, TDEC evaluated 2011 emissions from this facility to 
evaluate its impact on the area. Domtar's emissions were reported for 
the 2011 NEI, but TDEC determined that emissions from HFB1-1, the 
biomass boiler, were initially reported in error as 2.06 tons. Actual 
emissions were determined from fuel usage data supplied by Domtar, 
leading to 44.1 tpy SO2 emitted in 2011 from HFB1-1 and 
total facility-wide emissions of 70.8 tpy.\6\
---------------------------------------------------------------------------

    \6\ For more information on this correction to the 2011 NEI, 
Version 2 emissions, see Table 3-8 of the May 12, 2017, submittal.
---------------------------------------------------------------------------

    EPA has evaluated Tennessee's 2011 base year emissions inventory 
for the Sullivan County Area and has made the preliminary determination 
that this inventory was developed consistent with EPA's guidance. 
Therefore, pursuant to section 172(c)(3), EPA is proposing to approve 
Tennessee's 2011 base year emissions inventory for the Sullivan County 
Area.
    The attainment demonstration also provides for a projected 
attainment year inventory that includes estimated emissions for all 
emission sources of SO2 which are determined to impact the 
nonattainment area for the year in which the area is expected to attain 
the standard. This inventory must address any future growth in the 
Area. Growth means any potential increases in emissions of the 
pollutant for which the Sullivan County Area is nonattainment 
(SO2) due to the construction and operation of new major 
sources, major modifications to existing sources, or increased minor 
source activity. TDEC included a statement in its May 12, 2017 
submittal declaring that the air agency assumes no growth of major 
sources in the Sullivan County Area, and that minor source growth 
should not significantly impact the Area. TDEC cites to its ``Growth 
Policy'' found at Tennessee Air Pollution Control Regulations (TAPCR) 
1200-03-09-.01(5), which includes the nonattainment new source review 
(NNSR) program and the requirement for minor sources and minor 
modifications proposing to construct in a nonattainment area to apply 
BACT, approved into the SIP and last updated on July 30, 2012 (see 77 
FR 44481). The NNSR program includes lowest achievable emissions rate, 
offsets, and public hearing requirements for major stationary sources 
and major modifications.
    TDEC provided a future year projected emissions inventory for all 
known sources included in the 2011 base year inventory, discussed 
above, that were determined to impact the Sullivan County Area. The 
projected emissions are set to be accurate beyond October 1, 2018, when 
the control strategy for the attainment demonstration will be fully 
implemented. Therefore, as an annual future year inventory, the point 
source portion is accurate beyond October 1, 2018, and would represent 
an annual inventory for 2019 or beyond. The projected emissions in 
Table 2 are estimated actual emissions, representing a 67.6 percent 
reduction from the base year SO2 emissions. The point source 
emissions were estimated by taking credit for the control strategy to 
repower the boilers at B-253 and assuming actual emissions at other 
Eastman units would remain the same as in 2011. Additionally, 
EnviraGlass has not operated in recent years, and TDEC includes a 
statement in its May 12, 2017 submittal that as of February 2017, the 
source had not resumed its operations. Therefore, EnviraGlass emissions 
were projected as zero tpy. If this source began operation again, 
actual emissions would be much less than those from Eastman (~50 tpy), 
and would be reported in future inventories.
    Per EPA's April 2014 SO2 guidance, the existing 
allowable emissions limits and the new 30-day, combined emission limit 
(see section IV.B.4) that TDEC is requesting EPA approve into the SIP, 
were modeled to show attainment. These projected actual emissions 
included in the future year inventory are less than the allowable 
emission limits, and therefore offer a greater level of certainty that 
the NAAQS will be protected under all operating scenarios. Emissions 
estimates for onroad sources were re-estimated with MOVES2014. The 
nonroad emissions were projected using national growth factors, and 
area source emissions were scaled based on emission factors developed 
using the Annual Energy Outlook 2014 for consumption and production 
forecasts. Both categories were then apportioned to the nonattainment 
area based on

[[Page 30615]]

population in the nonattainment area relative to that of Sullivan 
County.\7\
---------------------------------------------------------------------------

    \7\ For more information, see Attachments A-D of the May 12, 
2017, submittal.

                  Table 2--Projected 2018 SO2 Emissions Inventory for the Sullivan County Area
                                                      [tpy]
----------------------------------------------------------------------------------------------------------------
              Year                     Point          Onroad          Nonroad          Area            Total
----------------------------------------------------------------------------------------------------------------
2011............................        21,956.5            1.62            0.16            10.6       21,968.88
2019............................         7,104.5            0.64           0.006          10.521        7,115.67
----------------------------------------------------------------------------------------------------------------

B. Attainment Modeling Demonstration

    Eastman operates a large manufacturing facility in Kingsport that 
includes major SO2 sources with the potential to emit 
greater than 100 tons per year (tpy) of SO2. The 
SO2 emissions come from three main boiler groups B-83, B-253 
and B-325. Powerhouse B-253 serves five boilers (Boilers 25-29), each 
with an individual stack, that provide steam and electricity to the 
facility. Powerhouse B-325 serves two coal-fired boilers that vent to a 
single stack (Boiler 30 and Boiler 31). Boiler 30 is equipped with a 
spray dryer absorber and electrostatic precipitator to control 
particulate matter and acid gases. Boiler 31 is equipped with a spray 
dryer absorber and fabric filter to control particulate matter and acid 
gases. Powerhouse B-83 serves seven boilers; five coal-fired boilers 
(Boilers 18-22) venting to a single stack, and two coal-fired boilers 
(Boilers 23 and 24) that also burn wastewater treatment sludge, venting 
to a single stack.
    These boilers, along with three other backup natural gas-fired 
boilers with minimal SO2 emissions (B-423), provide process 
steam and most of the electrical power needed to supply Eastman's 
operations. The combination of boilers and boiler operating loads at 
any given time depends on manufacturing demands along with availability 
of boilers, as each boiler has annual scheduled shutdowns. The 
following discussion evaluates various features of the modeling that 
Tennessee used in its attainment demonstration.
1. Model Selection
    Tennessee's attainment demonstration used AERMOD, the preferred 
model for this application, and the associated pre-processor modeling 
programs. The State used the 16216r version of AERMOD with regulatory 
default options and urban dispersion coefficients.\8\ Receptor 
elevations and hill heights required by AERMOD were determined using 
the AERMAP terrain preprocessor version 11103. The meteorological data 
was processed using AERMET version 16216 with the regulatory adjusted 
U* option. The surface characteristics around the meteorological 
surface station were determined using AERSURFACE version 13016 and 
building downwash was assessed with the BPIP processor (version 04274). 
EPA proposes to find these model selections appropriate for the 
attainment demonstration.
---------------------------------------------------------------------------

    \8\ Tennessee and Eastman determined that urban dispersion 
coefficients are appropriate for the modeling analysis based upon an 
assessment of land use within a 3-kilometer radius of the Eastman 
boiler stacks using the Auer technique contained in Section 
7.2.1.1.b.i of 40 CFR part 51, appendix W. The analysis resulted in 
52.4 percent of the area being classified as urban land use 
categories, which is above the 50 percent criteria for using urban 
dispersion coefficients. Additionally, Tennessee and Eastman 
performed an analysis to estimate an effective population for the 
urban option to account for the large industrial heat release at the 
Eastman facility. The results of this analysis yield an effective 
population of 200,000, which is approximately four times the 
approximate 50,000 population of Kingsport, Tennessee. The complete 
details of Tennessee and Eastman's analysis are discussed in Section 
4.1 of Attachment G1, ``NAAQS Attainment Demonstration Modeling 
Analysis,'' in Tennessee's final SIP submittal. EPA preliminarily 
agrees that urban dispersion coefficients with an effective 
population of 200,000 is appropriate for the modeling, and believes 
the procedures to estimate the effective population are appropriate.
---------------------------------------------------------------------------

2. Meteorological Data
    The Sullivan County nonattainment area is in a wide valley 
surrounded by complex terrain ridges. Eastman evaluated available 
surface meteorological data in the area and determined that none of 
nearby National Weather Surface (NWS) stations in area were 
representative of the site-specific winds that occur in the 
nonattainment area valley. Therefore, Eastman installed and operated a 
site-specific 100-meter meteorological data tower and Doppler SODAR 
system to collect profiles of meteorological data (wind speed, wind 
direction, temperature). One year of site-specific data was collected 
from April 1, 2012 through March 31, 2013.\9\ EPA has reviewed the 
site-specific meteorological data and has preliminarily determined that 
the data meets the quality assurance criteria and the 1-year of data is 
appropriate for the modeling analysis. Site-specific turbulence 
parameters (sigma-theta and sigma-w) were also collected. However, as 
recommended in the December 2016 final revisions to the EPA's Guideline 
on Air Quality Models, contained in 40 CFR part 51, appendix W 
(Appendix W), since Eastman chose to use the adjusted U* (surface 
friction velocity) regulatory option in AERMET, the site-specific 
turbulence parameters were not used. The data from the 100-meter tower 
and Doppler SODAR were merged with concurrent additional NWS surface 
data parameters needed by AERMOD (e.g., cloud cover data) from the Tri-
City Regional Airport National Weather Station (13877) and upper air 
data from Nashville, TN (13897).
---------------------------------------------------------------------------

    \9\ Pursuant to Section 8.4.2.e of 40 CFR part 51, appendix W, 
if site-specific meteorology is used for the modeling analysis, at 
least 1-year of site-specific data should be collected. The data 
should meet the quality assurance criteria in EPA's 2000 
``Meteorological Monitoring Guidance for Regulatory Modeling 
Applications.'' Publication No. EPA-454/R-99-005. Office of Air 
Quality Planning and Standards, Research Triangle Park, NC. (NTIS 
No. PB 2001-103606).
---------------------------------------------------------------------------

    The surface roughness (zo), albedo (r), and Bowen ratio (Bo) 
required surface parameters were determined for the area around the 
site-specific meteorological surface station using AERSURFACE version 
13016. Eastman processed the meteorological data and surface parameters 
into AERMOD-ready files using AERMET version 16216 with the regulatory 
adjusted U* option. Complete details of the meteorological data 
collection and processing are available in sections 3.1-3.8 of 
Attachment G1, ``NAAQS Attainment Demonstration Modeling Analysis,'' in 
Tennessee's final SIP submittal. EPA preliminarily finds that the 
meteorological data collection and processing is appropriate for the 
modeled attainment demonstration.
3. Emissions Data
    The emission inputs to Tennessee's attainment demonstration 
modeling reflect 1-hour emissions that correspond to allowable 
emissions from sulfur dioxide emission units at the Eastman facility 
and other nearby emissions sources located within and outside the

[[Page 30616]]

Sullivan County nonattainment area. Eastman's modeled emissions sources 
include nine coal-fired boilers, five natural gas boilers that were 
converted from coal-fired to natural gas-fired units, and a tail-gas 
incineration unit. Although the limit on emissions from Eastman governs 
the 30-day average sum of emissions from all nine coal-fired boilers, 
Tennessee conducted modeling using a constant hourly rate (the 1,905 
lb/hr 1-hour CEV), as recommended by EPA's April 2014 SO2 
guidance. As discussed in more detail in section IV.B.6 below, 
Tennessee has conducted 34 modeling runs using a full range of emission 
distributions, to show that the limit ensures attainment, regardless of 
how emissions are distributed among the various boilers within this 
limit. In addition, Tennessee used the statistical procedures 
recommended in Appendix C of EPA's guidance to establish an adjustment 
factor that it applied to determine the limit it would otherwise have 
set.
    Two additional SO2 emissions sources, EnviraGlass, 
located within the nonattainment area, and Domtar Paper, located just 
outside the nonattainment area, were also included in Tennessee's 
attainment demonstration modeling, modeled at their hourly emission 
limits. Additional details regarding the emissions units are included 
in the Emissions Inventory, section IV.A., of this proposed rule and 
section 2 of Attachment G1, ``NAAQS Attainment Demonstration Modeling 
Analysis,'' in Tennessee's final SIP submittal. EPA proposes to find 
that the emissions sources included in the modeling are appropriate for 
the attainment demonstration. All other sources not explicitly included 
in the modeling were addressed using the background concentration 
discussed in section IV.B.5 of this notice.
4. 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. Some of the limits that Tennessee's plan relies on are 
expressed as 30-day average limits. Therefore, part of the review of 
Tennessee's attainment plan must address the use of these limits, both 
with respect to the general suitability of using such limits for this 
purpose and with respect to whether the limits included in the plan 
have been suitably demonstrated to provide for attainment. The first 
subsection that follows addresses the enforceability of the limits in 
the plan, and the second subsection that follows addresses the 
combined, 30-day emission limit for Boilers 18-24, 30 and 31. Sections 
IV.B.6 and 7 discuss the modeling conducted to demonstrate that the 
limit of combined emissions of these boilers suitably provides for 
attainment.
i. Enforceability
    Section 172(c)(6) provides that emission limits and other control 
measures in the attainment SIP shall be enforceable. Tennessee's 
attainment SIP for the Sullivan County nonattainment area relies on 
control measures and enforceable emission limits for Powerhouses B-253, 
B-83 and B-325 (for more discussion on these boilers, please refer to 
section IV.A above). These emission reduction measures were accounted 
for in the attainment modeling for the Eastman facility which 
demonstrates attainment for the 2010 NAAQS.
    Tennessee's control strategy for B-253 relies on compliance with 
the State's Regional Haze SIP to install BART for SO2 and 
other pollutants that impair visibility at Class I areas. TDEC's 
original April 4, 2008, regional haze SIP identified B-253 (Boilers 25-
29) at Eastman Chemical as BART-eligible units.\10\ Tennessee 
subsequently amended its regional haze SIP (May 14, 2012 and May 25, 
2012) to establish BART requirements for Eastman including an 
alternative BART option to repower (convert coal-fired boilers to 
natural gas) Boilers 25-29 at B-253 by December 31, 2018.\11\ The 
alternative BART measure became federally-enforceable through the 
issuance of BART permit 066116H on May 9, 2012, and an amendment on May 
22, 2012, which changed the conversion completion date to align with 
the 1-hour SO2 NAAQS compliance deadline of October 4, 2018 
(Condition 4(f)).\12\ Tennessee issued construction permit 966859F on 
June 15, 2013, authorizing construction of the B-253 boilers conversion 
to natural gas. Condition 6 of Permit 966859F establishes a natural gas 
fuel restriction after conversion is complete for each boiler.
---------------------------------------------------------------------------

    \10\ A BART-eligible source is an emission source that has the 
potential to emit 250 tons or more of a visibility-impairing 
pollutant, was constructed between August 7, 1962 and August 7, 
1977, and whose operations fall within one or more of 26 listed 
source categories. The Clean Air Act requires BART for any BART-
eligible source that a State determines ``emits any air pollutant 
which may reasonably be anticipated to cause or contribute to any 
impairment of visibility in any such area.'' EPA finalized a limited 
approval/limited disapproval of portions of Tennessee's April 4, 
2008, regional haze SIP on April 24, 2012 (77 FR 24392). The April 
4, 2008, SIP established the State's plan to comply with federal 
requirements to ensure natural visibility conditions at Class I 
areas by requiring affected sources to install BART for 
SO2 and other visibility-impairing pollutants.
    \11\ Tennessee's initial Eastman BART determination required 
Eastman to reduce SO2 emissions at Boilers 25-29 either 
by 92 percent or comply with a limit of 0.20 lbs/MMBtu established 
through the BART permit (066116H). EPA approved Eastman's BART 
determination, the alternative BART option and permit 066116H on 
November 27, 2012 (77 FR 70689).
    \12\ Condition 4(f) also prohibits operation of any B-253 boiler 
not converted after the October 2018 SO2 NAAQS compliance 
date until repowered to natural gas.
---------------------------------------------------------------------------

    In conjunction with the natural gas conversion control strategy at 
B-253, Tennessee also established a 30-day combined SO2 
emission limit for nine coal-fired boilers at B-83 (seven boilers) and 
B-325 (two boilers) pursuant to EPA's April 2014 SO2 
guidance on longer term average limits (see section IV.B.4.ii below). 
Tennessee established a single, combined 30-day rolling average of 
1,753 lbs/hr SO2 emission limit through Permit 070072F on 
May 10, 2017, for Boilers 18-24 at B-83 and Boilers 30-31 at B-325. 
Boilers 30 and 31 at B-325 also have existing individual SO2 
emission limits of 317 lbs/hr and 293 lbs/hr, respectively, based on a 
30-calendar day rolling average.\13\ Eastman must comply with the 
combined 30-day limit for the 30-day period ending on October 31, 2018 
\14\ and each 30-day period thereafter. Therefore, Eastman must begin 
to comply with the new limit no later than October 2, 2018. Compliance 
will be determined based on continuous emission monitoring system 
(CEMS) data for all nine boilers. EPA provides additional details, 
section IV.B.4.ii below, regarding how the combined 30-day 
SO2 emission limit was derived. The enforceable emission 
limit and compliance parameter ensure control measures will achieve the 
necessary incremental SO2 emissions reductions necessary to 
attain the NAAQS as expeditiously as practicable. Based on

[[Page 30617]]

the attainment modeling of B-253 repowering combined with the 30-day 
SO2 emission limits for B-83 and B-325, the area is 
projected to begin showing attaining monitoring design values.
---------------------------------------------------------------------------

    \13\ Established in construction Permit 955272F, Boiler 30 has a 
317 lbs/hr 30-day SO2 limit and Boiler 31 has a 293 lbs/
hr 30-day SO2 limit, giving B-325 an allowable limit of 
610 lbs/hr on a 30-day average.
    \14\ EPA's April 2014 SO2 guidance recommends that 
attainment plans provide for compliance at least one calendar year 
prior to the attainment deadline, to facilitate collection of air 
quality monitoring data reflecting attainment plan implementation. 
This air quality data would indicate whether the attainment plan is 
in fact successfully providing for attainment. Nevertheless, the 
guidance also notes that EPA has the discretion to approve plans 
that are judged to provide for attainment by the statutory 
attainment deadline, even if the monitoring data collected prior to 
the attainment deadline are judged to indicate that that plan has 
not yielded timely attainment. EPA believes that Tennessee's 
attainment plan provides for attainment, notwithstanding the 
possibility that subsequent review of available monitoring data may 
support a conclusion that the plan did not in fact provide for 
timely attainment.
---------------------------------------------------------------------------

    Tennessee's May 11, 2017, attainment SIP requests EPA approve into 
the SIP the authorization for alternative BART repowering of Boilers 
25-29 at B-253 at Condition 4(f) of Regional Haze permit 066116H \15\ 
(approved into Tennessee's regional haze SIP on November 12, 2012), 
natural gas fuel restriction for Boilers 25-29 (after each natural gas 
conversion) at Condition 6 of PSD construction permit 966859F, and the 
30-day rolling single, combined SO2 emission limit of 1,753 
lbs/hr for boilers at B-83 and B-325 at Conditions 1 through 4 \16\ of 
permit 070072F, which also include compliance parameters (monitoring, 
recordkeeping and reporting). The accountability of the SO2 
emission limit is established through TDEC's inclusion in the 
nonattainment SIP and in the attainment modeling demonstration to 
ensure permanent and enforceable emission limitations as necessary to 
provide for attainment of the 2010 SO2 NAAQS.
---------------------------------------------------------------------------

    \15\ EPA notes condition 4(f) was approved into Tennessee's SIP 
on November 12, 2012 as part of the State's Regional Haze SIP. See77 
FR 70689.
    \16\ In Tennessee's SO2 attainment SIP (page 33) the 
state requested EPA approve Conditions 1-5 from Permit 070072F 
however, EPA notes only four conditions were included in the final 
issued permit.
---------------------------------------------------------------------------

ii. Longer Term Average Limits
    Tennessee has developed a single, combined emission limit of 1,753 
lbs/hr of SO2 emissions on a 30-day average basis. This 
emission limit applies to nine coal-fired boilers, which emit 
SO2 from three separate stacks from powerhouses B-83 and B-
325. These nine coal-fired boilers help provide both steam and 
electricity for the Eastman facility and Boilers 23 and 24 (at B-83) 
also burn wastewater treatment sludge. Based on the unique, 
interconnected operations and the steam demand for the Eastman 
facility, Tennessee elected to establish a single, combined emission 
limit governing the sum of emissions from these nine boilers. Tennessee 
concluded that the NAAQS will be attained so long as total hourly 
emissions from these nine boilers are at or below 1,905 lbs/hr. 
Tennessee based this conclusion on a set of 34 modeling runs, which 
encompassed several ``worst-case'' emissions scenarios. These scenarios 
and the modeling results are described in detail in section IV.B.6 of 
this notice. EPA ordinarily uses the term critical emissions value 
(CEV) to mean the 1-hour emission rate for an individual stack that, in 
combination with the other CEVs for other relevant stacks, the state 
shows through proper modeling to yield attainment. However, in this 
case, EPA is using the term CEV to mean the total emissions from all 
nine Eastman coal-fired boilers emitting from three stacks that 
Tennessee has shown to yield attainment, reflecting Tennessee's 
approach of evaluating an appropriate limit on the sum of these 
emissions.
    After establishment of this combined-source CEV, Tennessee used the 
procedures recommended in Appendix C of EPA's April 2014 SO2 
guidance to determine an adjustment factor with which to establish a 
single, combined emission limit with a longer term averaging time (30-
day). Tennessee analyzed three years of historical hourly emissions 
data (2013-2015) from the nine boilers in question. Tennessee used the 
sum of emissions from the nine boilers in this analysis, determining a 
99th percentile of the 1-hour total emissions values and a 99th 
percentile of the 30-day average total emission values. The ratio of 
these 99th percentile values yielded an adjustment factor of 0.92. 
Multiplication of this adjustment factor times the collective CEV 
yielded a 30-day average limit of 1,753 lbs/hr. EPA believes that 
Tennessee, by following the approach recommended in Appendix C of the 
April 2014 SO2 guidance, has justified a conclusion that 
this 1,753 lbs/hour limit (governing the sum of emissions from the nine 
boilers) may be considered comparably stringent to a 1-hour limit of 
1,905 lbs/hr (again governing the sum of emissions from the nine 
boilers). Since the emission limit being established for these nine 
boilers is a single, combined limit, EPA believes it is appropriate for 
the adjustment factor also to be computed based on the total combined 
emissions from the nine boilers. Therefore, EPA proposes to agree that 
the adjustment factor of 0.92 is appropriate in this case.
    EPA's April 2014 SO2 guidance further states, ``The 
second important factor in assessing whether a longer term average 
limit provides appropriate protection against NAAQS violations is 
whether the source can be expected to comply with a longer term average 
limit in a manner that minimizes the frequency of occasions with 
elevated emissions and magnitude of emissions on those occasions.'' The 
guidance advises that the establishment of supplemental limits to 
provide direct constraints on the frequency and/or magnitude of 
emissions exceeding the CEV can be valuable, but the guidance also 
acknowledges the possibility that occasions of emissions exceeding the 
CEV may be rare and modest in magnitude even without supplemental 
enforceable limitations. Tennessee concluded that occasions of 
emissions exceeding the critical emissions would be infrequent and 
modest in magnitude even without adoption of supplemental limits. EPA 
conducted its own evaluation of whether this element of the guidance is 
satisfied, such that compliance with Tennessee's 30-day average 
emission limit would provide adequate confidence that the area will 
attain the standard.
    The historical emissions data do not provide a direct measure of 
the frequency and magnitude of elevated emissions to expect once 
Eastman complies with the 30-day limit. The historical Eastman 
emissions data that Tennessee used is from a period in which emissions 
frequently were higher than the new limit. During the 2013 to 2015 
period, Eastman's total emissions exceeded the subsequently adopted 
limit (1,753 lbs/hr) in approximately 32.4 percent of 30-day averages, 
and exceeded the 1-hour CEV (1,905 lbs/hr) in approximately 21.5 
percent of hours. Thus, Eastman will be required to make emission 
reductions sufficient to comply with the new 30-day limit (1,753 lb/
hr), which would both eliminate the occasions of 30-day average 
emissions above 1,753 lbs/hr and reduce the number and possibly 
eliminate the occasions when 1-hour emission levels exceed 1,905 lbs/
hr. The question then is how frequently and with what associated 
emission levels can 1-hour emissions levels be expected to exceed the 
CEV once Eastman complies with the 30-day average limit.
    Since Tennessee has permitted a combined, multi-stack emission 
limit (1,753 lb/hr) for the nine coal-fired boilers, there are multiple 
compliance scenarios possible. Consequently, there is also a range of 
frequencies that the hourly emissions can exceed the CEV while still 
meeting the 30-day permit limit. To forecast the frequency and 
magnitude of emissions of occasions with emissions above the CEV, EPA 
asked Tennessee for information regarding how Eastman expects to comply 
with the new limit. Tennessee responded \17\ that Eastman's compliance 
strategy will likely be to modify the order of dispatch of the nine 
boilers in question, dispatching Boilers 18 through 22 from Powerhouse 
B-83 less often in the future, in particular by reducing the 
dispatching of the smaller coal-fired boilers (Boilers 18, 19, and 20) 
in favor

[[Page 30618]]

of greater operation of the larger boilers that are being converted to 
burn natural gas.\18\ These smaller boilers are the oldest and least 
efficient boilers of the nine and provide only low pressure steam to 
the facility. EPA used this information provided by Tennessee and the 
less efficient nature of these boilers and further analyzed the 
historical (2013 to 2015) emissions. Given the order of preference in 
boiler dispatch provided by Tennessee and efficiency considerations, 
EPA expects that three boilers (B-18 to B-20) may be operated at 
approximately 20 percent of their historical rates. This level of 
operation for these boilers would yield compliance with the new limit 
and allow Eastman to meet its steam generation needs. With that level 
of operation of those boilers, the number of occasions of total plant 
emissions exceeding the CEV was found to be 1.1 percent of the hours, 
with these hours on average being 4.4 percent above the CEV.\19\ During 
EPA's analyses, we found that the frequency of emissions over the CEV 
could range from 1 to 10 percent of the time, depending on the 
operational scenario used to comply with the 30-day limit. While EPA 
acknowledges the uncertainty in forecasting the frequency of elevated 
emissions and the magnitude of emissions on those occasions, based on 
the information received from Tennessee and our own analysis, EPA 
believes that emissions at Eastman are unlikely to exceed the CEV more 
than a few percent of the hours, at levels generally only a modest 
percent over the CEV. Compliance with the 30-day limit will be ensured 
using a CEMS and appropriate monitoring, recordkeeping and reporting 
requirements. Consequently, EPA proposes to conclude that the second 
criterion for use of longer term average limits is satisfied, even 
without supplemental limits to constrain the frequency and emissions 
level of occasions when emissions exceed the CEV.
---------------------------------------------------------------------------

    \17\ See emails from TDEC to EPA Region 4 dated January 26 and 
February 8, 2018.
    \18\ Tennessee's analysis in the February 8 email confirmed 
that, under the new combined limit, there should be adequate 
capacity available at natural gas boilers at B-253 and B-423, 
without the need to revise existing permit limits for these 
individual units.
    \19\ The email correspondence with TDEC and supporting 
documentation (including Tennessee's spreadsheet data and EPA's 
spreadsheet used for these calculations) are in the docket (ID: EPA-
R04-OAR-2017-0626) for this proposed rule.
---------------------------------------------------------------------------

    Based on a review of the State's submittal, EPA believes that the 
single, combined 30-day average limit for the nine boilers in 
Powerhouses B-83 and B-325, in conjunction with the existing individual 
30-day average limits for Boilers B-30 and B-31, provides a suitable 
alternative to establishing a 1-hour average emission limit for each 
unit or for the collected units at this source. Further discussion of 
Tennessee's modeling analysis of its set of limits, along with 
discussion of pertinent considerations in applying the procedures of 
Appendix C of EPA's guidance in determining appropriate longer term 
limits, is provided in section IV.B.6 below. In summary, EPA believes 
that the State has used a suitable data base in an appropriate manner 
and has thereby applied an appropriate adjustment, yielding an emission 
limit that has comparable stringency to the 1-hour average limit that 
the State determined would otherwise have been necessary to provide for 
attainment. While the 30-day average limit allows for occasions in 
which emissions may be higher than the level that would be allowed with 
the combined-unit 1-hour limit, the State's limit compensates by 
requiring average emissions to be lower than the level that would 
otherwise have been required by a 1-hour average limit. As described 
above in this section, in section III and explained in more detail in 
EPA's April 2014 SO2 guidance for nonattainment plans, EPA 
believes that appropriately set longer term average limits provide a 
reasonable basis by which nonattainment plans may provide for 
attainment. Based on the general information provided in this guidance 
document as well as the information in Tennessee's attainment SIP, EPA 
proposes to find that the 30-day average limit for Eastman's nine 
boilers in combination with other limitations in the State's plan will 
provide for attainment of the NAAQS.
5. Background Concentration
    In accordance with section 8.3 of 40 CFR part 51, appendix W, 
Tennessee's attainment demonstration addresses the impacts from all 
SO2 emissions sources not explicitly included in the AERMOD 
modeling analysis by adding representative background concentrations to 
the impacts from the modeled sources. The State and Eastman chose to 
use 2013-2015 ambient monitoring data from a sulfur dioxide monitor 
located at Mammoth Cave National Park in Kentucky (AQS ID 21-061-0501) 
to develop ``seasonal by hour of the day'' background concentrations. 
The hourly concentrations range from 2.79 to 18.51 micrograms per cubic 
meter ([micro]g/m\3\). The complete details of the background 
concentrations are described in section 3.9 of Attachment G1 of the 
Tennessee's Attainment Demonstration submittal. EPA preliminarily finds 
use of the Mammoth Cave background data is appropriate for the 
attainment modeling analysis.
6. Analysis of Multi-Stack Limit
    The use of a limit governing the sum of emissions from multiple 
stacks, in lieu of individual limits for each stack, calls for a 
demonstration that the worst-case distribution of these emissions 
provides for attainment. To provide this demonstration, Tennessee 
conducted thirty-four (34) AERMOD modeling runs using varying 
combinations of boiler load and emissions scenarios for the nine coal-
fired boilers to verify that the modeling includes the worst-case 
operational scenarios allowed under the single, thirty-day rolling 
average, emissions limit of 1,753 lbs/hr for the nine coal-fired 
boilers. The 34 modeling scenarios were performed to derive the single, 
combined 1,905 lbs/hr CEV for the nine coal-fired boilers (two stacks 
at the B-83 Powerhouse and one stack at the B-325 Powerhouse) that 
results in modeled attainment of the NAAQS. As defined in EPA's April 
2014 SO2 guidance, the CEV is the level of emissions that 
results in modeled concentrations that are just below the level of the 
NAAQS; as noted above, this term is being applied to the combination of 
emissions from the nine coal-fired boilers referenced earlier in the 
notice.
    With these 34 AERMOD modeling runs, Tennessee and Eastman evaluated 
a wide range of future potential operational scenarios, considering 
boiler steam load demands for Eastman's production processes and boiler 
load-shifting that is projected to occur once the conversion of the 
five coal-fired boilers at B-253 (Boilers 25-29) from burning coal to 
natural gas is completed by October 2018. Based upon this evaluation, 
34 operational scenarios were selected by Tennessee and Eastman for the 
CEV modeling analysis. Four of these 34 operation scenarios reflected 
all of the SO2 being emitted from a single stack, including 
two scenarios where all of the 1,905 lbs/hr is released from one or the 
other of the two B-83 stacks individually, one scenario where the B-325 
stack emitted 726 lbs/hr \20\ (which is the one hour equivalent to the 
current permitted, federally enforceable allowable

[[Page 30619]]

emissions limit for B-325), and one scenario where the B-325 stack 
emitted 1,800 lbs/hr to simulate a B-325 worst-case emissions scenario. 
The modeled predicted concentrations from the three single-stack 
scenarios with permissible emission levels ranged from 89.08 [micro]g/
m\3\ to 182.7 [micro]g/m\3\; the scenario with B-325 emitting 1,800 
lbs/hr, well above its permissible level, yielded an estimated highest 
concentration of 190.8 [micro]g/m\3\. Nine modeling scenarios were 
performed to evaluate emissions from various combinations when two of 
the three stacks are in operation. For these scenarios, the 1,905 lbs/
hr CEV rate was divided between the two stacks in multiple combinations 
to represent reasonable potential worst-case future operations. The 
modeled predicted concentrations from the nine two-stack scenarios 
range from 171.6 [micro]g/m\3\ to 190.5 [micro]g/m\3\, with the highest 
value of 190.5 [micro]g/m\3\ resulting from a scenario when the Boilers 
18-22 B-83 stack was emitting at the highest level near its maximum 
capacity (1,039 lbs/hr), the Boilers 23-24 B-83 stack was emitting near 
its average rate (866 lbs/hr), and Boilers 30-31 were not operating (0 
lb/hr). Twenty-one modeling scenarios were performed to evaluate 
simultaneous operation of all three stacks. As with the two-stack 
scenarios, the 1,905 lbs/hr critical value emissions rate was divided 
among the three stacks in multiple combinations to represent reasonable 
potential worst-case future operations. The modeled predicted 
concentrations from the twenty-one three-stack scenarios range from 
186.0 [micro]g/m\3\ to 195.37 [micro]g/m\3\. The maximum model 
predicted concentration from the three-stack scenarios, which is also 
the maximum for all 34 scenarios, 195.37 [micro]g/m\3\, occurred in the 
three-stack operational scenario that assumes the majority of the 
emissions came from the Boilers 18-22 B-83 stack emitting near its 
maximum capacity (1,133 lbs/hr), emissions were slightly below normal 
from the Boilers 23-24 B-83 stack (719 lbs/hr), and emissions were low 
from the B-325 stack (53 lbs/hr, as Boiler 30 was assumed to not be 
operating and Boiler 31 operating under minimal load). Tables which 
summarize the emissions and modeling input parameters for each of the 
34 scenarios and additional details about the full range of scenarios 
are contained in the State's modeling analysis in sections 7.11 and 
7.12 of the State's Attainment Demonstration Submittal and section 5 of 
Attachment G1, ``NAAQS Attainment Demonstration Modeling Analysis,'' in 
Tennessee's final SIP submittal.
---------------------------------------------------------------------------

    \20\ Established in PSD Permit 955272F, Boiler 30 has a 317 lbs/
hr 30-day SO2 limit and Boiler 31 has a 293 lbs/hr 30-day 
SO2 limit, giving B-325 an allowable limit of 610 lbs/hr 
on a 30-day average. For the purposes of modeling, Eastman 
calculated an adjustment factor specific to the B-325 stack in 
accordance with the methods of Appendix C of EPA's guidance. Eastman 
calculated an adjustment factor of 0.84, which yielded a 
corresponding one-hour emission rate of 726 lbs/hr.
---------------------------------------------------------------------------

    As noted earlier, in calculating the adjustment factor to multiply 
times the collective CEV (the 1-hour sum of emissions providing for 
attainment in the full range of distribution of the emissions) to 
determine a comparably stringent collective 30-day emission limit, 
Tennessee used statistics for the sum of emissions from all the stacks 
governed by this limit. EPA's guidance does not expressly recommend how 
to address comparable stringency for limits that address the sum of 
emissions across multiple stacks. However, EPA's guidance at page 32 
states:

    The selection of data handling procedures influences the longer 
term averages that are computed and thus influences the relationship 
between a 1-hour limit and a comparably stringent longer term 
average limit. Therefore, . . . all analyses for determining 
comparably stringent longer term average limits should then apply 
those data handling procedures.

This suggests that the computation of adjustment factors for a limit 
governing the sum of emissions from multiple stacks should be based on 
statistical analysis of the variability of the sum of emissions from 
the multiple stacks, irrespective of the variability of emissions from 
the individual stacks. In the case of Eastman, while the facility 
shifts load among its various boilers, resulting in relatively variable 
emissions at any boiler, the total load is relatively steady, resulting 
in only modest variability of total emissions. As a result, use of a 
30-day limit makes less difference in the control measure needed to 
meet the limit, and so less adjustment is needed to establish a 30-day 
limit that is comparably stringent to the corresponding 1-hour limit. 
Given the demonstration that the full range of potential distributions 
of 1,905 lb/hr provides for attainment, EPA also believes that a 30-day 
average limit of 1,753 lb/hr provides suitable assurance that 
attainment would result under the full range of distribution of these 
allowable emissions.
7. Summary of Modeling Results
    The AERMOD modeling analysis contained in Tennessee's Attainment 
Demonstration submittal resulted in a maximum modeled design value of 
195.37 [micro]g/m\3\, including the background concentration, which is 
less than the 196.4 [micro]g/m\3\ (75 ppb) 1-hour sulfur dioxide NAAQS.
    EPA has evaluated the modeling procedures, inputs and results and 
proposes to find that the results of the State's modeling analysis 
demonstrate that there are no modeled violations of the NAAQS within 
the nonattainment area when the combined emissions from the nine coal-
fired boilers are no greater that the 1,905 lbs/hr CEV. Additionally, 
EPA proposes to find that the 34 modeling scenarios are adequate to 
address the range of possible future operating scenarios of the boilers 
at the Eastman facility and, therefore, support that the 1,905 lbs/hr 
combined CEV is appropriate. Section IV.B.4.ii. of this notice explains 
how Tennessee and Eastman developed the 1,753 lbs/hr 30-day rolling 
average permit limit following the procedures in EPA's April 2014 
SO2 guidance.

C. RACM/RACT

    CAA section 172(c)(1) requires that each attainment plan provide 
for the implementation of all RACM 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 RACT) 
and shall provide for attainment of the NAAQS. EPA interprets RACM, 
including RACT, under section 172, as measures that a state determines 
to be reasonably available and which contribute to attainment as 
expeditiously as practicable for existing sources in the area.
    Tennessee's plan for attaining the 1-hour SO2 NAAQS in 
the Sullivan County SO2 nonattainment area is based on 
several measures, including repowering the B-253 boilers from coal to 
natural gas operation. Tennessee's plan requires compliance with these 
measures by October 1, 2018. This date is consistent with Tennessee's 
Regional Haze SIP, which was amended on May 9, 2012. The amended SIP 
allowed Eastman to implement BART no later than April 30, 2017, or an 
alternative BART option (repowering of the boilers from coal to natural 
gas) by December 31, 2018. The alternative BART option became federally 
enforceable with the issuance of BART permit 066116H on May 9, 2012. A 
prevention of significant deterioration (PSD) construction permit 
(966859F), which authorizes construction for the boiler repowering, was 
issued June 5, 2013. Condition 4(f) of permit 066116H requires the 
repowering of B-253 to be completed no later than the compliance 
deadline for the one-hour SO2 NAAQS. Also, Tennessee 
evaluated B-325 Boiler 31, and determined that the spray dryer 
absorber/fabric filter baghouse combination already in place 
constitutes RACT, and that therefore no further analysis is required.
    Tennessee considered various other measures for the remaining B-83 
and B-325 boilers. The State evaluated a range of measures to reduce 
SO2 emissions,

[[Page 30620]]

including switching to low-sulfur coal, upgraded or additional control 
equipment, conversion of existing coal-fired boilers to natural gas, 
and replacing existing coal-fired boilers with natural gas boilers. 
Tennessee determined that these other measures are not reasonable for a 
variety reasons, including infeasibility and cost, and that they were 
not needed to attain the NAAQS and would not advance the attainment 
date. See Table 5-2 in the submittal for additional details on the 
measures analyzed. In addition, Tennessee evaluated other operations at 
Eastman as well as additional sources within and adjacent to the 
nonattainment area and determined that no additional controls were 
required as RACT.
    Tennessee has determined that repowering B-253 to natural gas 
constitutes RACT and EPA proposes to concur with the state's RACT 
analysis. Based on the attainment modeling, described herein, for the 
B-253 control measures combined with the 30-day SO2 emission 
limit for B-83 and B-325, the area is projected to show attainment of 
the 1-hour SO2 standard. EPA believes the attainment plan 
provides for attainment through the adoption and implementation of 
Tennessee's RACT/RACM emission control strategy. Therefore, EPA 
proposes to conclude that the state has satisfied the requirement in 
section 172(c)(1) to adopt and submit all RACM as needed to attain the 
standards as expeditiously as practicable.

D. New Source Review (NSR)

    Tennessee's SIP-approved NSR rules for nonattainment areas (NNSR) 
are at TAPCR 1200-03-09-.01(5), last approved by EPA on July 30, 2012. 
See 77 FR 44481. These rules provide for appropriate NSR for 
SO2 sources undergoing construction or major modification in 
the Sullivan County Area without need for modification of the approved 
rules. Therefore, EPA proposes to conclude that this requirement is met 
for this Area through Tennessee's existing NSR rules.

E. Reasonable Further Progress (RFP)

    The CAA section 172(c)(2) requires the SIP provide reasonable 
further progress towards attainment of the applicable NAAQS. Regarding 
part D nonattainment plans, section 171(1) of the CAA defines RFP as 
the annual incremental reduction in emissions of the relevant pollutant 
as are required for the purpose of ensuring attainment of the 
applicable NAAQS by the applicable date. As discussed above, 
Tennessee's 2008 regional haze SIP required Eastman implement BART at 
B-253 (Boilers 25-29). The State revised its SIP to establish an 
alternative BART option to repower/convert all five coal-fired boilers 
at B-253 to natural gas units and changed the compliance deadline to 
the 1-hour SO2 NAAQS attainment date or October 4, 2018.\21\ 
TDEC and Eastman indicated that the size and complexity of the 
repowering required additional time to ensure the conversion was 
technically feasible. Tennessee's control strategy to reduce 
SO2 emission and attain the 2010 standard as expeditiously 
as practicable include the repowering of the five coal-fired boilers at 
B-253 and imposing an SO2 emission limit for the nine coal-
fired boilers for B-83 and B-325. Eastman established a repowering 
timeline for B-253 listed in Table 3 below and in Tennessee' 
SO2 attainment SIP.
---------------------------------------------------------------------------

    \21\ Tennessee's attainment SIP mistakenly states that the 1-
hour SO2 attainment date is October 5, 2018 instead of 
October 4, 2018.

       Table 3--Estimated Compliance Schedule for B-253 Repowering
------------------------------------------------------------------------
           Boiler                Date \22\              Activity
------------------------------------------------------------------------
25..........................  1st              Complete; startup date
                               Quarter(Q1),     was April 23, 2014.
                               2014.
27..........................  1st and 2nd      Equipment mobilization,
                               Quarter in       six-week conversion and
                               2016.            demobilization; pre-
                                                outage construction
                                                conducted 4th quarter of
                                                2017 thru the 1st
                                                quarter in 2018.
                                               Conversion Complete--
                                                start-up date was April
                                                23, 2016.
28..........................  2nd and 3rd      Equipment mobilization,
                               Quarter in       six-week conversion and
                               2016.            demobilization; pre-
                                                outage construction
                                                conducted 4th quarter of
                                                2017 thru the 1st
                                                quarter in 2018.
                                               Conversion Complete--
                                                start-up date was
                                                October 2, 2016.
29..........................  1st and 2nd      Equipment mobilization,
                               Quarter in       six-week conversion and
                               2018.            demobilization; pre-
                                                outage construction
                                                conducted 4th quarter of
                                                2017 thru the 1st
                                                quarter in 2018.
                                               Conversion Complete--
                                                start-up date was March
                                                30, 2018.
26..........................  3rd Quarter in   Equipment mobilization,
                               2018.            six-week conversion and
                                                demobilization; pre-
                                                outage construction
                                                conducted 4th quarter of
                                                2017 thru the 1st
                                                quarter in 2018.
------------------------------------------------------------------------

    Based on this projected timeline, Eastman intends to complete 
conversion of B-253 by the 3rd quarter of 2018 just before the October 
4, 2018 attainment date. At the time of this proposed rulemaking, four 
of the five coal-fired boilers at B-253 (B-25, 27, 28, and 29) have 
been converted, are fully operational and currently subject to the 
natural gas fuel restriction established in Permit 966859F. According 
to Eastman, this compliance schedule was the most practicable to meet 
the BART requirements and attain the SO2 NAAQS to maintain 
the necessary steam and electricity for manufacturing operations. This 
is also due, in part, to the state required (Tennessee Code Section 68-
122-110) annual boiler safety inspection and maintenance of all 17 
boilers at Eastman (including B-253) while ensuring necessary boiler 
capacity to sustain facility operations.\23\ According to Eastman, to 
complete the conversion of a boiler to natural gas the normal safety 
inspection is extended to 6 weeks. Because of extended inspections and 
boiler shutdowns in 2017, Eastman did not convert any boilers at B-253 
in 2017. As indicated in Table 3, the final boiler (B-26) is scheduled 
for conversion in the 3rd quarter of 2018.
---------------------------------------------------------------------------

    \22\ According to TDEC, Eastman did not schedule the conversion 
of any boilers in 2015 or 2017 due to legally required annual boiler 
safety inspections and maintenance to ensure facility steam and 
electricity reliability. The necessary engineering work for the 
conversion of Boilers 27 and 28 in 2016 was performed in 2015 and 
2017 for Boilers 26 and 29. For additional information, please refer 
to Tennessee's Attainment SIP Narrative located in the docket (ID: 
EPA-R04-OAR-2017-0626).
    \23\ The Tennessee Boiler and Unfired Pressure Vessel inspection 
law (Tennessee Code Section 68-122-110) requires annual inspection 
and maintenance of Eastman's 17 power boilers. According to Eastman, 
only one boiler at a time is taken off-line to ensure the necessary 
steam and electricity reliability for manufacturing operations. The 
duration of each inspection depends on the size and maintenance 
cycle of the boiler components. Eastman has stated it takes 46-48 of 
the 52 weeks to complete the scheduled inspections and boiler 
maintenance. Eastman also indicated that it is not practicable for 
the facility to schedule more than two extended inspections per 
calendar year without potential risk meeting production demands.

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

[[Page 30621]]

    Tennessee's May 2017 attainment SIP also provides estimated 
incremental emission reductions during the conversion of all five 
boilers at B-253. Table 6-2 in TDEC's submittal \24\ provides for 
projected change in actual emissions at Eastman over the duration of 
the repowering at B-253 and post-control after the attainment date. 
TDEC compared the pre-control emission rates for all boilers at B-83, 
B-325 and B-253 for the period of April 1, 2012 through March 31, 2013 
over the course of the conversion (interim years 2015 and 2017) to 
post-control emissions (after October 4, 2018). Projected emission 
reductions after the completion of B-253 conversion and compliance with 
the SO2 emission limit for B-83 and B-325, are expected to 
be 66 percent compared to pre-control levels (with estimated 
incremental emission reductions of 11 percent and 39 percent in 2015 
and 2017 respectively (after complete conversion of B-25 in 2014 and B-
27 and 28 in 2016). The average pre-control emissions from each B-253 
boiler was 677 pounds per hour (or 2,965 tpy). TDEC estimates that each 
boiler conversion will reduce emissions by 2,960 tpy.
---------------------------------------------------------------------------

    \24\ EPA notes the second note to Table 6-2 list 1,794 lbs/hr as 
the combined 30-day average allowable emission rate for B-83 and B-
325 boilers, however, the correct emission rate is 1,753 lbs/hr.
---------------------------------------------------------------------------

    The control measures for attainment of the 2010 SO2 
NAAQS included in the State's submittal have been modeled to achieve 
attainment of the 1-hour SO2 NAAQS. The adoption of new 
emissions limits, and compliance parameters and a natural gas 
restriction (for repowered B-253 boilers) require these control 
measures to achieve emissions reductions. Tennessee finds that the 
attainment plan requires the affected sources to implement control 
measures as expeditiously as practicable to ensure attainment of the 1-
hour standard and therefore concludes that the attainment plan provides 
for RFP in accordance with the approach to RFP described in EPA's 
guidance. EPA believes Tennessee's SIP provides for incremental 
reduction in emissions to ensure reasonable further progress towards 
attainment of the standard and therefore concurs and proposes to 
preliminary conclude that the plan provides for RFP and therefore 
satisfies the requirements of CAA section 172(c)(2).

F. Contingency Measures

    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. Tennessee's plan provides for 
satisfying the contingency measure requirement in this manner.
    Specifically, upon notification by Tennessee that a reference 
monitor for the Area has registered four validated ambient 
SO2 concentrations in excess of the NAAQS during calendar 
years 2019 or 2020, or that a monitored SO2 NAAQS violation 
based on the design value occurred during calendar years 2021 and 
beyond, Eastman will, without any further action by Tennessee or EPA, 
undertake a full system audit of all emission units subject to emission 
limits under this plan and submit a written system audit report to 
Tennessee within 30 days of the notification. Upon receipt of the 
system audit report, Tennessee will immediately begin a 30-day 
evaluation period to diagnose the cause of the monitored exceedance. 
This evaluation will be followed by a 30-day consultation period with 
Eastman to develop and implement operational changes necessary to 
prevent future monitored violations of the NAAQS. These changes may 
include fuel switching to reduce or eliminate the use of sulfur-
containing fuels, physical or operational reduction of production 
capacity, or other changes as appropriate. If a permit modification is 
deemed necessary, Tennessee would issue a final permit within the 
statutory timeframes required in Tennessee Comprehensive Rules and 
Regulations 1200-03-09, and any new emissions limits required by such a 
permit would be submitted to EPA as a SIP revision. EPA concurs and 
proposes to approve Tennessee's plan for meeting the contingency 
measure requirement in this manner.

V. Additional Elements of Tennessee's Submittal

    To verify that the 30-day limit is resulting in continued 
attainment of the 1-hour SO2 standard in the Sullivan County 
area, Tennessee is establishing an additional safeguard within the 
nonattainment area by upgrading its existing SO2 ambient air 
monitoring network in the Sullivan County area. TDEC has committed to 
deploy additional ambient air monitors within the nonattainment area 
\25\ to characterize expected areas of maximum 1-hour SO2 
concentrations near the Eastman Chemical Plant. The State intends to 
designate the monitors as State/Local air monitoring stations in 
accordance with 40 CFR part 58 and locate the monitors as close as 
possible to the areas of expected maximum concentration. These monitors 
will be submitted for approval by EPA as part of the state's annual 
ambient air monitoring network plan.
---------------------------------------------------------------------------

    \25\ See email from TDEC to EPA Region 4, Air, Pesticides and 
Toxic Management Division, Air Director Beverly Banister on June 6, 
2018 included in the docket for this proposal (ID: EPA-R04-OAR-2017-
0626).
---------------------------------------------------------------------------

VI. Incorporation by Reference

    EPA is proposing to include in a final EPA rule regulatory text 
that includes incorporation by reference. In accordance with 
requirements of 1 CFR 51.5, EPA is proposing to incorporate by 
reference into Tennessee's SIP a natural gas fuel restriction, a new 
SO2 emission limit and specified compliance conditions 
established in permits 966859F and 070072F for monitoring, 
recordkeeping and reporting parameters for emissions units at Eastman 
Chemical Company. Specifically, EPA is proposing to incorporate into 
the Tennessee SIP, a new 1,753 lbs/hr 30-day SO2 emission 
limit and operating, monitoring, recordkeeping and reporting parameters 
all established at Conditions 1 thru 4 in Permit 070072F for Boilers 
18-24 at B-83 and Boilers 30-31 at B-325 and, a natural gas fuel 
restriction for Boilers 25-29 at B-253 (after each natural gas 
conversion) established at Condition 6 in Permit 966859F. The 
SO2 emission standards specified in each permit are the 
basis for the SO2 attainment demonstration in the SIP. EPA 
has made, and will continue to make, these materials generally 
available through www.regulations.gov and at EPA Region 4 office 
(please contact the person identified in the For FURTHER INFORMATION 
CONTACT section of this preamble for more information).

VII. EPA's Proposed Action

    EPA is proposing to approve Tennessee's SO2 
nonattainment SIP submission, which the State submitted to EPA on May 
11, 2017, for attaining the 2010 1-hour SO2 NAAQS for the 
Sullivan County Area and for meeting other nonattainment area planning 
requirements. EPA has preliminarily determined that Tennessee's 
nonattainment SIP meets the applicable requirements of sections 110(a), 
172, 191 and 192 of the CAA and regulatory requirements at 40 CFR part 
51. This

[[Page 30622]]

SO2 nonattainment SIP includes Tennessee's attainment 
demonstration for the Sullivan County Area and other nonattainment 
requirements for a RFP, RACT/RACM, NNSR, base-year and projection-year 
emission inventories, enforceable emission limits and compliance 
parameters and contingency measures. Specifically, EPA is proposing to 
approve into the Tennessee SIP, Eastman Chemical's enforceable 
SO2 emission limit and compliance parameters (monitoring, 
recordkeeping and reporting) from PSD construction permit 966859F 
(condition 6) and Permit No. 070072F (conditions 1-4) (see section 
IV.B.4.1).

VIII. 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. See 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. 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 Orders 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 (Pub. L. 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).
    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 as specified by Executive Order 13175 (65 
FR 67249, November 9, 2000), nor will it impose substantial direct 
costs on tribal governments or preempt tribal law.

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: June 19, 2018.
Onis ``Trey'' Glenn, III,
Regional Administrator, Region 4.
[FR Doc. 2018-14097 Filed 6-28-18; 8:45 am]
 BILLING CODE 6560-50-P



                                                                            Federal Register / Vol. 83, No. 126 / Friday, June 29, 2018 / Proposed Rules                                             30609

                                                    EPA is soliciting public comments on                  appropriate, disproportionate human                    demonstration and other elements
                                                  the issues discussed in this proposal or                health or environmental effects, using                 required under the Clean Air Act (CAA
                                                  on other relevant matters. These                        practicable and legally permissible                    or Act). In addition to an attainment
                                                  comments will be considered before                      methods, under Executive Order 12898                   demonstration, the plan addresses the
                                                  EPA takes final action. Interested parties              (59 FR 7629, February 16, 1994).                       requirement for meeting reasonable
                                                  may participate in the Federal                             In addition, the SIP is not approved                further progress (RFP) toward
                                                  rulemaking procedure by submitting                      to apply on any Indian reservation land                attainment of the NAAQS, reasonably
                                                  comments to this proposed rule by                       or in any other area where EPA or an                   available control measures and
                                                  following the instructions listed in the                Indian tribe has demonstrated that a                   reasonably available control technology
                                                  ADDRESSES section of this Federal                       tribe has jurisdiction. In those areas of              (RACM/RACT), base-year and
                                                  Register.                                               Indian country, the rule does not have                 projection-year emissions inventories,
                                                                                                          tribal implications and will not impose                enforceable emissions limitations and
                                                  V. Statutory and Executive Order                        substantial direct costs on tribal                     control measures, and contingency
                                                  Reviews                                                 governments or preempt tribal law as                   measures. EPA proposes to conclude
                                                     Under the Clean Air Act, the                         specified by Executive Order 13175 (65                 that Tennessee has appropriately
                                                  Administrator is required to approve a                  FR 67249, November 9, 2000).                           demonstrated that the plan’s provisions
                                                  SIP submission that complies with the                                                                          provide for attainment of the 2010 1-
                                                                                                          List of Subjects in 40 CFR Part 52
                                                  provisions of the Act and applicable                                                                           hour primary SO2 NAAQS in the
                                                  Federal regulations. 42 U.S.C. 7410(k);                   Environmental protection, Air                        Sullivan County Area and that the plan
                                                  40 CFR 52.02(a). Thus, in reviewing SIP                 pollution control, Carbon monoxide,                    meets the other applicable requirements
                                                  submissions, EPA’s role is to approve                   Incorporation by reference,                            under the CAA.
                                                  state choices, provided that they meet                  Intergovernmental relations, Lead,                     DATES: Comments must be received on
                                                  the criteria of the Clean Air Act.                      Nitrogen dioxide, Ozone, Particulate                   or before July 30, 2018.
                                                  Accordingly, this proposed action                       matter, Reporting and recordkeeping                    ADDRESSES: Submit your comments,
                                                  merely approves state law as meeting                    requirements, Sulfur oxides, Volatile                  identified by Docket ID No. EPA–R04–
                                                  Federal requirements and does not                       organic compounds.                                     OAR–2017–0626 at http://
                                                  impose additional requirements beyond                     Dated: June 22, 2018.                                www.regulations.gov. Follow the online
                                                  those imposed by state law. For that                    Alexandra Dunn,                                        instructions for submitting comments.
                                                  reason, this proposed action:                           Regional Administrator, EPA Region 1.                  Once submitted, comments cannot be
                                                     • Is not a significant regulatory action             [FR Doc. 2018–14068 Filed 6–28–18; 8:45 am]            edited or removed from Regulations.gov.
                                                  subject to review by the Office of                                                                             EPA may publish any comment received
                                                                                                          BILLING CODE 6560–50–P
                                                  Management and Budget under                                                                                    to its public docket. Do not submit
                                                  Executive Orders 12866 (58 FR 51735,                                                                           electronically any information you
                                                  October 4, 1993) and 13563 (76 FR 3821,                 ENVIRONMENTAL PROTECTION                               consider to be Confidential Business
                                                  January 21, 2011);                                      AGENCY                                                 Information (CBI) or other information
                                                     • Does not impose an information                                                                            whose disclosure is restricted by statute.
                                                  collection burden under the provisions                  40 CFR Part 52                                         Multimedia submissions (audio, video,
                                                  of the Paperwork Reduction Act (44                                                                             etc.) must be accompanied by a written
                                                                                                          [EPA–R04–OAR–2017–0626; FRL–9980–18–
                                                  U.S.C. 3501 et seq.);                                                                                          comment. The written comment is
                                                                                                          Region 4]
                                                     • Is certified as not having a                                                                              considered the official comment and
                                                  significant economic impact on a                        Air Plan Approval; Tennessee;                          should include discussion of all points
                                                  substantial number of small entities                    Attainment Plan for Sullivan County                    you wish to make. EPA will generally
                                                  under the Regulatory Flexibility Act (5                 SO2 Nonattainment Area                                 not consider comments or comment
                                                  U.S.C. 601 et seq.);                                                                                           contents located outside of the primary
                                                     • Does not contain any unfunded                      AGENCY:  Environmental Protection                      submission (i.e., on the web, cloud, or
                                                  mandate or significantly or uniquely                    Agency (EPA).                                          other file sharing system). For
                                                  affect small governments, as described                  ACTION: Proposed rule.                                 additional submission methods, the full
                                                  in the Unfunded Mandates Reform Act                                                                            EPA public comment policy,
                                                  of 1995 (Pub. L. 104–4);                                SUMMARY:    The Environmental Protection
                                                                                                          Agency (EPA) is proposing to approve a                 information about CBI or multimedia
                                                     • Does not have Federalism                                                                                  submissions, and general guidance on
                                                  implications as specified in Executive                  State Implementation Plan (SIP)
                                                                                                          revision submitted by the State of                     making effective comments, please visit
                                                  Order 13132 (64 FR 43255, August 10,                                                                           http://www2.epa.gov/dockets/
                                                  1999);                                                  Tennessee, through the Tennessee
                                                                                                                                                                 commenting-epa-dockets.
                                                     • Is not an economically significant                 Department of Environment and
                                                                                                          Conservation (TDEC), to EPA on May                     FOR FURTHER INFORMATION CONTACT: D.
                                                  regulatory action based on health or                                                                           Brad Akers, Air Regulatory Management
                                                  safety risks subject to Executive Order                 12, 2017, for attaining the 2010 1-hour
                                                                                                          sulfur dioxide (SO2) primary national                  Section, Air Planning and
                                                  13045 (62 FR 19885, April 23, 1997);                                                                           Implementation Branch, Air, Pesticides
                                                     • Is not a significant regulatory action             ambient air quality standard (NAAQS)
                                                                                                          for the Sullivan County SO2                            and Toxics Management Division, U.S.
                                                  subject to Executive Order 13211 (66 FR
                                                                                                          nonattainment area (hereafter referred to              Environmental Protection Agency,
                                                  28355, May 22, 2001);
                                                     • Is not subject to requirements of                  as the ‘‘Sullivan County Area’’ or                     Region 4, 61 Forsyth Street SW, Atlanta,
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                                                  Section 12(d) of the National                           ‘‘Area’’). The Sullivan County Area is                 Georgia 30303–8960. Mr. Akers can be
                                                  Technology Transfer and Advancement                     comprised of a portion of Sullivan                     reached via telephone at (404) 562–9089
                                                  Act of 1995 (15 U.S.C. 272 note) because                County in Tennessee surrounding the                    or via electronic mail at akers.brad@
                                                  application of those requirements would                 Eastman Chemical Company (hereafter                    epa.gov.
                                                  be inconsistent with the Clean Air Act;                 referred to as ‘‘Eastman’’). This plan                 SUPPLEMENTARY INFORMATION:
                                                  and                                                     (herein called a ‘‘nonattainment plan or               I. Requirement for Tennessee to Submit an
                                                     • Does not provide EPA with the                      SIP’’ or ‘‘attainment plan or SIP’’)                        SO2 Attainment Plan for the Sullivan
                                                  discretionary authority to address, as                  includes Tennessee’s attainment                             County Area



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                                                  30610                     Federal Register / Vol. 83, No. 126 / Friday, June 29, 2018 / Proposed Rules

                                                  II. Requirements for SO2 Attainment Plans               nonattainment plan by this submittal                   review (NSR); enforceable emissions
                                                  III. Attainment Demonstration and Longer                deadline. See 81 FR 14736. This finding                limitations and control measures; and
                                                        Term Averaging                                    initiated a deadline under CAA section                 adequate contingency measures for the
                                                  IV. Review of Attainment Plan Requirements
                                                                                                          179(a) for the potential imposition of                 affected area.
                                                     A. Emissions Inventory
                                                                                                          new source review and highway                             For EPA to fully approve a SIP as
                                                     B. Attainment Modeling Demonstration
                                                     1. Model Selection                                   funding sanctions. However, pursuant                   meeting the requirements of CAA
                                                     2. Meteorological Data                               to Tennessee’s submittal of May 12,                    sections 110, 172 and 191–192, and
                                                     3. Emissions Data                                    2017, and EPA’s subsequent letter dated                EPA’s regulations at 40 CFR part 51, the
                                                     4. Emission Limits                                   October 10, 2017, to Tennessee finding                 SIP for the affected area needs to
                                                     i. Enforceability                                    the submittal complete and noting the                  demonstrate to EPA’s satisfaction that
                                                     ii. Longer Term Average Limits                       termination of these sanctions                         each of the aforementioned
                                                     5. Background Concentration                          deadlines, these sanctions under section               requirements have been met. Under
                                                     6. Analysis of Multi-Stack Limit                                                                            CAA sections 110(l) and 193, EPA may
                                                                                                          179(a) will not be imposed as a result
                                                     7. Summary of Modeling Results
                                                                                                          of Tennessee having missed the April 4,                not approve a SIP that would interfere
                                                     C. RACM/RACT
                                                     D. New Source Review (NSR)                           2015 deadline. Under CAA section                       with any applicable requirement
                                                     E. Reasonable Further Progress (RFP)                 110(c), the March 18, 2016 finding also                concerning NAAQS attainment and
                                                     F. Contingency Measures                              triggered a requirement that EPA                       RFP, or any other applicable
                                                  V. Additional Elements of Tennessee’s                   promulgate a federal implementation                    requirement, and no requirement in
                                                        Submittal                                         plan (FIP) within two years of the                     effect (or required to be adopted by an
                                                  VI. Incorporation by Reference                          finding unless (a) the state has made the              order, settlement, agreement, or plan in
                                                  VII. EPA’s Proposed Action                              necessary complete submittal and (b)                   effect before November 15, 1990) in any
                                                  VIII. Statutory and Executive Orders                    EPA has approved the submittal as                      area which is a nonattainment area for
                                                  I. Requirement for Tennessee To                         meeting applicable requirements.                       any air pollutant, may be modified in
                                                  Submit an SO2 Attainment Plan for the                                                                          any manner unless it insures equivalent
                                                                                                          II. Requirements for SO2 Attainment                    or greater emission reductions of such
                                                  Sullivan County Area                                    Plans                                                  air pollutant.
                                                     On June 22, 2010, EPA promulgated a                     To be approved by EPA,
                                                  new 1-hour primary SO2 NAAQS of 75                      nonattainment areas must provide SIPs                  III. Attainment Demonstration and
                                                  parts per billion (ppb), which is met at                meeting the applicable requirements of                 Longer Term Averaging
                                                  an ambient air quality monitoring site                  the CAA, and specifically CAA sections                    CAA sections 172(c)(1) and (6) direct
                                                  when the 3-year average of the annual                   110(a), 172, 191 and 192 for SO2. EPA’s                states with areas designated as
                                                  99th percentile of daily maximum 1-                     regulations governing nonattainment                    nonattainment to demonstrate that the
                                                  hour average concentrations does not                    SIPs are set forth at 40 CFR part 51, with             submitted plan provides for attainment
                                                  exceed 75 ppb, as determined in                         specific procedural requirements and                   of the NAAQS. 40 CFR part 51, subpart
                                                  accordance with appendix T of 40 CFR                    control strategy requirements residing at              G further delineates the control strategy
                                                  part 50. See 75 FR 35520, codified at 40                subparts F and G, respectively. Soon                   requirements that SIPs must meet, and
                                                  CFR 50.17(a)–(b). On August 5, 2013,                    after Congress enacted the 1990                        EPA has long required that all SIPs and
                                                  EPA designated a first set of 29 areas of               Amendments to the CAA, EPA issued                      control strategies reflect four
                                                  the country as nonattainment for the                    comprehensive guidance on SIPs, in a                   fundamental principles of
                                                  2010 SO2 NAAQS. See 78 FR 47191,                        document entitled the ‘‘General                        quantification, enforceability,
                                                  codified at 40 CFR part 81, subpart C.                  Preamble for the Implementation of                     replicability, and accountability.
                                                  These designations included the                         Title I of the Clean Air Act Amendments                General Preamble, at 13567–68. SO2
                                                  Sullivan County Area, which                             of 1990,’’ published at 57 FR 13498                    attainment plans must consist of two
                                                  encompasses the primary SO2 emitting                    (April 16, 1992) (General Preamble).                   components: (1) Emission limits and
                                                  source Eastman and the nearby SO2                       Among other things, the General                        other control measures that assure
                                                  monitor (Air Quality Site ID: 47–163–                   Preamble addressed SO2 SIPs and                        implementation of permanent,
                                                  0007). These area designations were                     fundamental principles for SIP control                 enforceable and necessary emission
                                                  effective October 4, 2013. Section 191(a)               strategies. Id., at 13545–49, 13567–68.                controls, and (2) a modeling analysis
                                                  of the CAA directs states to submit SIPs                On April 23, 2014, EPA issued                          which meets the requirements of 40 CFR
                                                  for areas designated as nonattainment                   recommended guidance for meeting the                   part 51, appendix W which
                                                  for the SO2 NAAQS to EPA within 18                      statutory requirements in SO2 SIPs                     demonstrates that these emission limits
                                                  months of the effective date of the                     under the 2010 revised NAAQS, in a                     and control measures provide for timely
                                                  designation, i.e., by no later than April               document entitled, ‘‘Guidance for 1-                   attainment of the primary SO2 NAAQS
                                                  4, 2015 in this case. Under CAA section                 Hour SO2 Nonattainment Area SIP                        as expeditiously as practicable, but by
                                                  192(a) these SIPs are required to                       Submissions,’’ available at https://                   no later than the attainment date for the
                                                  demonstrate that their respective areas                 www.epa.gov/sites/production/files/                    affected area. In all cases, the emission
                                                  will attain the NAAQS as expeditiously                  2016-06/documents/20140423guidance_                    limits and control measures must be
                                                  as practicable, but no later than 5 years               nonattainment_sip.pdf (hereafter                       accompanied by appropriate methods
                                                  from the effective date of designation,                 referred to as EPA’s April 2014 SO2                    and conditions to determine compliance
                                                  which is October 4, 2018. In addition,                  guidance or guidance). In this guidance                with the respective emission limits and
                                                  sections 110(a) and 172(c), as well as                  EPA described the statutory                            control measures and must be
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                                                  EPA regulations at 40 CFR part 51, set                  requirements for SO2 SIPs for                          quantifiable (i.e., a specific amount of
                                                  forth substantive elements each SIP                     nonattainment areas, which includes:                   emission reduction can be ascribed to
                                                  must contain to be approved by EPA.                     An accurate emissions inventory of                     the measures), fully-enforceable
                                                     For the Sullivan County Area (and                    current emissions for all sources of SO2               (specifying clear, unambiguous and
                                                  many other areas), EPA published a                      within the nonattainment area; an                      measurable requirements for which
                                                  notice on March 18, 2016, that                          attainment demonstration;                              compliance can be practicably
                                                  Tennessee (and other pertinent states)                  demonstration of RFP; implementation                   determined), replicable (the procedures
                                                  had failed to submit the required SO2                   of RACM (including RACT); new source                   for determining compliance are


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                                                                            Federal Register / Vol. 83, No. 126 / Friday, June 29, 2018 / Proposed Rules                                            30611

                                                  sufficiently specific and non-subjective                term average could cause hourly                         from a practical perspective, EPA
                                                  so that two independent entities                        exceedances of the NAAQS level, and if                  expects the actual emission profile of a
                                                  applying the procedures would obtain                    so the resulting frequency and                          source subject to an appropriately set
                                                  the same result), and accountable                       magnitude of such exceedances, and in                   longer term average limit to be similar
                                                  (source specific limits must be                         particular whether EPA can have                         to the emission profile of a source
                                                  permanent and must reflect the                          reasonable confidence that a properly                   subject to an analogous 1-hour average
                                                  assumptions used in the SIP                             set longer term average limit will                      limit. EPA expects this similarity
                                                  demonstrations).                                        provide that the 3-year average of the                  because it has recommended that the
                                                     EPA’s April 2014 SO2 guidance                        annual fourth highest daily maximum 1-                  longer term average limit be set at a
                                                  recommends that the emission limits be                  hour value will be at or below 75 ppb.                  level that is comparably stringent to the
                                                  expressed as short-term average limits                  A synopsis of how EPA judges whether                    otherwise applicable 1-hour limit
                                                  (e.g., addressing emissions averaged                    such plans ‘‘provide for attainment,’’                  (reflecting a downward adjustment from
                                                  over one or three hours), but also                      based on modeling of projected                          the critical emissions value) and that
                                                  describes the option to utilize emission                allowable emissions and in light of the                 takes the source’s emissions profile into
                                                  limits with longer averaging times of up                NAAQS’s form for determining                            account. As a result, EPA expects either
                                                  to 30 days so long as the state meets                   attainment at monitoring sites, follows.                form of emission limit to yield
                                                  various suggested criteria. See EPA’s                      For SO2 plans that are based on 1-                   comparable air quality.
                                                  April 2014 SO2 guidance, pp. 22 to 39.                  hour emission limits, the standard                         Second, from a more theoretical
                                                  The guidance recommends that—should                     approach is to conduct modeling using                   perspective, EPA has compared the
                                                  states and sources utilize longer                       fixed emission rates. The maximum                       likely air quality with a source having
                                                  averaging times—the longer term                         emission rate that would be modeled to                  maximum allowable emissions under an
                                                  average limit should be set at an                       result in attainment (i.e., in an ‘‘average             appropriately set longer term limit, as
                                                  adjusted level that reflects a stringency               year’’ 1 shows three, not four days with                compared to the likely air quality with
                                                  comparable to the 1-hour average limit                  maximum hourly levels exceeding 75                      the source having maximum allowable
                                                  at the critical emission value (CEV)                    ppb) is labeled the ‘‘critical emission                 emissions under the comparable 1-hour
                                                  shown by modeling to provide for                        value.’’ The modeling process for                       limit. In this comparison, in the 1-hour
                                                  attainment that the plan otherwise                      identifying this critical emissions value               average limit scenario, the source is
                                                  would have set.                                         inherently considers the numerous                       presumed at all times to emit at the
                                                     EPA’s April 2014 SO2 guidance                        variables that affect ambient                           critical emission level, and in the longer
                                                  provides an extensive discussion of                     concentrations of SO2, such as                          term average limit scenario the source is
                                                  EPA’s rationale for concluding that                     meteorological data, background                         presumed to occasionally emit more
                                                  appropriately set comparably stringent                  concentrations, and topography. In the                  than the critical emission value but on
                                                  limitations based on averaging times as                 standard approach, the state would then                 average, and presumably at most times,
                                                  long as 30 days can be found to provide                 provide for attainment by setting a                     to emit well below the critical emission
                                                  for attainment of the 2010 SO2 NAAQS.                   continuously applicable 1-hour                          value. In an ‘‘average year,’’ compliance
                                                  In evaluating this option, EPA                          emission limit at this critical emission                with the 1-hour limit is expected to
                                                  considered the nature of the standard,                  value.                                                  result in three exceedance days (i.e.,
                                                  conducted detailed analyses of the                         EPA recognizes that some sources                     three days with hourly values above 75
                                                  impact of use of 30-day average limits                  have highly variable emissions, for                     ppb) and a fourth day with a maximum
                                                  on the prospects for attaining the                      example due to variations in fuel sulfur                hourly value at 75 ppb. By comparison,
                                                  standard, and carefully reviewed how                    content and operating rate, that can                    with the source complying with a longer
                                                  best to achieve an appropriate balance                  make it extremely difficult, even with a                term limit, it is possible that additional
                                                  among the various factors that warrant                  well-designed control strategy, to ensure               exceedances would occur that would
                                                  consideration in judging whether a                      in practice that emissions for any given                not occur in the 1-hour limit scenario (if
                                                  state’s plan provides for attainment. Id.               hour do not exceed the critical emission                emissions exceed the critical emission
                                                  at pp. 22 to 39. See also id. at                        value. EPA also acknowledges the                        value at times when meteorology is
                                                  Appendices B, C, and D.                                 concern that longer term emission limits                conducive to poor air quality). However,
                                                     As specified in 40 CFR 50.17(b), the                 can allow short periods with emissions                  this comparison must also factor in the
                                                  1-hour primary SO2 NAAQS is met at an                   above the ‘‘critical emissions value,’’                 likelihood that exceedances that would
                                                  ambient air quality monitoring site                     which, if coincident with                               be expected in the 1-hour limit scenario
                                                  when the 3-year average of the annual                   meteorological conditions conducive to                  would not occur in the longer term limit
                                                  99th percentile of daily maximum 1-                     high SO2 concentrations, could in turn                  scenario. This result arises because the
                                                  hour average concentrations is less than                create the possibility of a NAAQS                       longer term limit requires lower
                                                  or equal to 75 ppb. In a year with 365                  exceedance occurring on a day when an                   emissions most of the time (because the
                                                  days of valid monitoring data, the 99th                 exceedance would not have occurred if                   limit is set well below the critical
                                                  percentile would be the fourth highest                  emissions were continuously controlled                  emission value), so a source complying
                                                  daily maximum 1-hour value. The 2010                    at the level corresponding to the critical              with an appropriately set longer term
                                                  SO2 NAAQS, including this form of                       emission value. However, for several                    limit is likely to have lower emissions
                                                  determining compliance with the                         reasons, EPA believes that the approach                 at critical times than would be the case
                                                  standard, was upheld by the U.S. Court                  recommended in its guidance document                    if the source were emitting as allowed
                                                  of Appeals for the District of Columbia                                                                         with a 1-hour limit.
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                                                                                                          suitably addresses this concern. First,
                                                  Circuit in Nat’l Envt’l Dev. Ass’n’s Clean                                                                         As a hypothetical example to
                                                  Air Project v. EPA, 686 F.3d 803 (D.C.                    1 An ‘‘average year’’ is used to mean a year with     illustrate these points, suppose a source
                                                  Cir. 2012). Because the standard has this               average air quality. While 40 CFR 50 appendix T         that always emits 1,000 pounds of SO2
                                                  form, a single hourly exceedance of the                 provides for averaging three years of 99th percentile   per hour, which results in air quality at
                                                  75-ppb level does not create a violation                daily maximum hourly values (e.g., the fourth           the level of the NAAQS (i.e., results in
                                                                                                          highest maximum daily hourly concentration in a
                                                  of the standard. Instead, at issue is                   year with 365 days with valid data), this discussion
                                                                                                                                                                  a design value of 75 ppb). Suppose
                                                  whether a source operating in                           and an example below uses a single ‘‘average year’’     further that in an ‘‘average year,’’ these
                                                  compliance with a properly set longer                   to simplify the illustration of relevant principles.    emissions cause the 5-highest maximum


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                                                  30612                     Federal Register / Vol. 83, No. 126 / Friday, June 29, 2018 / Proposed Rules

                                                  daily average 1-hour concentrations to                     The question then becomes whether                   1-hour emission limit that would
                                                  be 100 ppb, 90 ppb, 80 ppb, 75 ppb, and                 this approach—which is likely to                       provide for attainment (i.e., the critical
                                                  70 ppb. Then suppose that the source                    produce a lower number of overall                      emission value), and applies an
                                                  becomes subject to a 30-day average                     exceedances even though it may                         adjustment factor to determine the
                                                  emission limit of 700 pounds per hour                   produce some unexpected exceedances                    (lower) level of the longer term average
                                                  (lbs/hr). It is theoretically possible for a            above the critical emission value—                     emission limit that would be estimated
                                                  source meeting this limit to have                       meets the requirements in sections                     to have a degree of stringency
                                                  emissions that occasionally exceed                      110(a)(1) and (2), 172(c)(1) and (6) for               comparable to the otherwise necessary
                                                  1,000 pounds per hour, but with a                       SIPs to contain enforceable emissions                  1-hour emission limit. This method uses
                                                  typical emissions profile, emissions                    limitations and other control measures                 a database of continuous emission data
                                                  would much more commonly be                             to ‘‘provide for attainment’’ of the                   reflecting the type of control that the
                                                  between 600 and 800 lbs/hr. In this                     NAAQS. For SO2, as for other                           source will be using to comply with the
                                                  simplified example, assume a zero-                      pollutants, it is generally impossible to              SIP emission limits, which (if
                                                  background concentration, which                         design a nonattainment plan in the                     compliance requires new controls) may
                                                  allows one to assume a linear                           present that will guarantee that                       require use of an emission database
                                                  relationship between emissions and air                  attainment will occur in the future. A                 from another source. The recommended
                                                  quality. (A nonzero background                          variety of factors can cause a well-                   method involves using these data to
                                                  concentration would make the                            designed attainment plan to fail and                   compute a complete set of emission
                                                  mathematics more difficult but would                    unexpectedly not result in attainment,                 averages, computed according to the
                                                  give similar results.) Air quality will                 for example if meteorology occurs that                 averaging time and averaging
                                                  depend on what emissions happen on                      is more conducive to poor air quality                  procedures of the prospective emission
                                                  what critical hours, but suppose that                   than was anticipated in the plan.                      limitation. In this recommended
                                                  emissions at the relevant times on these                Therefore, in determining whether a                    method, the ratio of the 99th percentile
                                                  5 days are 800 lbs/hr, 1,100 lbs/hr, 500                plan meets the requirement to provide                  among these long term averages to the
                                                  lbs/hr, 900 lbs/hr, and 1,200 lbs/hr,                   for attainment, EPA’s task is commonly                 99th percentile of the 1-hour values
                                                  respectively. (This is a conservative                   to judge not whether the plan provides                 represents an adjustment factor that may
                                                  example because the average of these                    absolute certainty that attainment will                be multiplied by the candidate 1-hour
                                                  emissions, 900 lbs/hr, is well over the                 in fact occur, but rather whether the                  emission limit to determine a longer
                                                  30-day average emission limit.) These                   plan provides an adequate level of                     term average emission limit that may be
                                                  emissions would result in daily                         confidence of prospective NAAQS                        considered comparably stringent.2 The
                                                  maximum 1-hour concentrations of 80                     attainment. From this perspective, in                  guidance also addresses a variety of
                                                  ppb, 99 ppb, 40 ppb, 67.5 ppb, and 84                   evaluating use of a 30-day average limit,              related topics, such as the potential
                                                  ppb. In this example, the fifth day                     EPA must weigh the likely net effect on                utility of setting supplemental emission
                                                  would have an exceedance that would                     air quality. Such an evaluation must                   limits, such as mass-based limits, to
                                                  not otherwise have occurred, but the                    consider the risk that occasions with                  reduce the likelihood and/or magnitude
                                                  third and fourth days would not have                    meteorology conducive to high                          of elevated emission levels that might
                                                  exceedances that otherwise would have                   concentrations will have elevated                      occur under the longer term emission
                                                  occurred. In this example, the fourth                   emissions leading to exceedances that                  rate limit.
                                                  highest maximum daily concentration                     would not otherwise have occurred, and                    Preferred air quality models for use in
                                                  under the 30-day average would be 67.5                  must also weigh the likelihood that the                regulatory applications are described in
                                                  ppb.                                                    requirement for lower emissions on                     Appendix A of EPA’s Guideline on Air
                                                     This simplified example illustrates                  average will result in days not having                 Quality Models (40 CFR part 51,
                                                  the findings of a more complicated                      exceedances that would have been                       appendix W). In 2005, EPA promulgated
                                                  statistical analysis that EPA conducted                 expected with emissions at the critical                AERMOD as the Agency’s preferred
                                                  using a range of scenarios using actual                 emissions value. Additional policy                     near-field dispersion modeling for a
                                                  plant data. As described in Appendix B                  considerations, such as in this case the               wide range of regulatory applications
                                                  of EPA’s April 2014 SO2 guidance, EPA                   desirability of accommodating real                     addressing stationary sources (for
                                                  found that the requirement for lower                    world emissions variability without                    example in estimating SO2
                                                  average emissions is highly likely to                   significant risk of violations, are also               concentrations) in all types of terrain
                                                  yield better air quality than is required               appropriate factors for EPA to weigh in                based on extensive developmental and
                                                  with a comparably stringent 1-hour                      judging whether a plan provides a                      performance evaluation. Supplemental
                                                  limit. Based on analyses described in                   reasonable degree of confidence that the               guidance on modeling for purposes of
                                                  appendix B of its 2014 guidance, EPA                    plan will lead to attainment. Based on                 demonstrating attainment of the SO2
                                                  expects that an emission profile with                   these considerations, especially given                 NAAQS is provided in appendix A to
                                                  maximum allowable emissions under an                    the high likelihood that a continuously                the April 2014 SO2 guidance document
                                                  appropriately set comparably stringent                  enforceable limit averaged over as long                referenced above. Appendix A provides
                                                  30-day average limit is likely to have the              as 30 days, determined in accordance                   extensive guidance on the modeling
                                                  net effect of having a lower number of                  with EPA’s guidance, will result in                    domain, the source inputs, assorted
                                                  exceedances and better air quality than                 attainment, EPA believes as a general                  types of meteorological data, and
                                                  an emission profile with maximum                        matter that such limits, if appropriately              background concentrations. Consistency
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                                                  allowable emissions under a 1-hour                      determined, can reasonably be                          with the recommendations in this
                                                  emission limit at the critical emission                 considered to provide for attainment of                guidance is generally necessary for the
                                                  value. This result provides a compelling                the 2010 SO2 NAAQS.                                    attainment demonstration to offer
                                                  policy rationale for allowing the use of                   The April 2014 SO2 guidance offers
                                                                                                                                                                   2 For example, if the critical emission value is
                                                  a longer averaging period, in                           specific recommendations for
                                                                                                                                                                 1,000 pounds of SO2 per hour, and a suitable
                                                  appropriate circumstances where the                     determining an appropriate longer term                 adjustment factor is determined to be 70 percent,
                                                  facts indicate this result can be expected              average limit. The recommended                         the recommended longer term average limit would
                                                  to occur.                                               method starts with determination of the                be 700 lbs/hr.



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                                                                            Federal Register / Vol. 83, No. 126 / Friday, June 29, 2018 / Proposed Rules                                                   30613

                                                  adequately reliable assurance that the                     The primary SO2-emitting point                      293 lbs/hr based on a 30-day averaging
                                                  plan provides for attainment.                           source located within the Sullivan                     period, equivalent to 0.333 lbs/MMBtu.
                                                     As stated previously, attainment                     County Area is Eastman, which                          Actual emissions from B–325 were
                                                  demonstrations for the 2010 1-hour                      produces organic acids, aldehydes,                     1,276 tpy in 2011.
                                                  primary SO2 NAAQS must demonstrate                      esters, polymers, cellulose esters,                       • The B–248 unit consists of three
                                                  future attainment and maintenance of                    specialty plastics, and acetate fibers.                hazardous waste combustors, one liquid
                                                  the NAAQS in the entire area                            The facility also produces process steam               chemical waste incinerator and two
                                                  designated as nonattainment (i.e., not                  and electricity for most of the                        rotary kilns that can burn solid or liquid
                                                  just at the violating monitor) by using                 operations, including hazardous waste                  chemical waste, B–248–2, Vent A, and
                                                  air quality dispersion modeling (see                    combustion, and wastewater treatment.                  B–248–1, Vents D and E, respectively.
                                                  appendix W to 40 CFR part 51) to show                   Eastman consists of three main SO2                     According to the attainment SIP
                                                  that the mix of sources and enforceable                 emitting sources comprised of three                    submitted by TDEC in May 2017, each
                                                  control measures and emission rates in                  powerhouses that include a total of 14                 of these units is subject to an existing
                                                  an identified area will not lead to a                   boilers and several smaller emitters:                  limit on SO2 emissions for an exhaust
                                                  violation of the SO2 NAAQS. For a                          • Powerhouse B–83 consists of                       concentration of 1,000 parts per million
                                                  short-term (i.e., 1-hour) standard, EPA                 Boilers 18–24, denoted B–18—B–24,                      by volume SO2, equivalent to 1,109 tpy
                                                  believes that dispersion modeling, using                which fire coal to provide steam for                   for B–248–2, Vent A, and 1,552 tpy each
                                                  allowable emissions and addressing                      facility operations. Each of the seven                 for 248–1, Vents D and E. Actual
                                                  stationary sources in the affected area                 emissions units has the following                      emissions from B–248 were 7.3 tpy in
                                                  (and in some cases sources located                      capacities: Boilers B–18—B–20 are rated                2011. On February 1, 2018, TDEC issued
                                                  outside the nonattainment area which                    at 246 million British thermal units per               a revised title V permit (568496) that
                                                  may affect attainment in the area) is                   hour (MMBtu/hr); Boilers B–21—B–22                     included additional SO2 limits of 20 tpy
                                                  technically appropriate, efficient and                  have a rated capacity of 249 MMBtu/hr;                 for Vent A and 40 tpy for Vents D and
                                                  effective in demonstrating attainment in                and Boilers B–23—B–24 have a rated                     E, combined.
                                                  nonattainment areas because it takes                    capacity of 501 MMBtu/hr. All seven B–                    • Eastman has 31 other smaller
                                                  into consideration combinations of                      83 boilers have existing limits on SO2                 emission units that provide various
                                                  meteorological and emission source                      emissions of 2.4 lbs/MMBtu based on a                  services to other parts of the facility,
                                                  operating conditions that may                           1-hour averaging period. Actual                        and these units account for 194.56 tpy
                                                  contribute to peak ground-level                         emissions from B–83 were 5,686 tons                    of the allowable emissions across the
                                                  concentrations of SO2.                                  per year (tpy) in 2011.                                facility. Actual emissions from the
                                                     The meteorological data used in the                     • Powerhouse B–253 consists of units                remaining units were 40.9 tpy in 2011.
                                                  analysis should generally be processed                  B–25—B–29 which fire coal to provide                   For more information on these
                                                  with the most recent version of                         steam for facility operations. Each                    miscellaneous units, see the May 12,
                                                  AERMET. Estimated concentrations                        emissions unit, B–25—B–29 has a rated                  2017, submittal.
                                                  should include ambient background                       capacity of 655 MMBtu/hr and an                           The emissions at units for Eastman
                                                  concentrations, should follow the form                  existing limit on SO2 emissions of 2.4                 were recorded either by using data
                                                  of the NAAQS, and should be calculated                  lbs/MMBtu based on a 24-hour                           collected from CEMS or by material
                                                  as described in section 2.6.1.2 of the                  averaging period. The B–253                            balances based on feed rates and other
                                                  August 23, 2010 clarification memo on                   powerhouse is currently undergoing a                   parameters and are quality-assured by
                                                                                                          multi-year project to convert the power                TDEC.4
                                                  ‘‘Applicability of appendix W Modeling
                                                                                                          generation from the coal-fired boilers to                 The next largest SO2 source within
                                                  Guidance for the 1-hr SO2 National
                                                                                                          natural gas-fired boilers to comply with               the nonattainment area is the
                                                  Ambient Air Quality Standard’’ (U.S.                                                                           EnviraGlass, LLC glass manufacturing
                                                  EPA, 2010a).                                            regional haze best available retrofit
                                                                                                          technology (BART). See section IV.B.4.i                facility (EnviraGlass). SO2 emissions
                                                  IV. Review of Attainment Plan                           for additional BART discussion. The                    from EnviraGlass were 49.3 tons in
                                                  Requirements                                            result will be that the emissions units                2011, as determined from material
                                                                                                          B–25—B–29 will fire only natural gas as                balances. The EnviraGlass Kingsport
                                                  A. Emissions Inventory                                                                                         facility consists of one main SO2
                                                                                                          repowered units start up and for all
                                                     The emissions inventory and source                   units no later than the attainment date                emitter. The glass melting furnace #1
                                                  emission rate data for an area serve as                 for the 1-hour SO2 NAAQS, October 4,                   (GMF–1) fires natural gas and No. 2 fuel
                                                  the foundation for air quality modeling                 2018.3 Actual emissions from B–253                     oil. The allowable permit limit for
                                                  and other analyses that enable states to:               were 14,897 tpy in 2011.                               EnviraGlass of 39.6 lb/hr was included
                                                  (1) Estimate the degree to which                           • Powerhouse B–325 consists of                      in the attainment modeling.
                                                  different sources within a                              Boilers B–30 and B–31, which fire coal                    The next largest SO2 source in
                                                  nonattainment area contribute to                        to provide steam for facility operations.              Sullivan County is located just outside
                                                  violations within the affected area; and                Boiler B–30 has a rated capacity of 780                the Sullivan County Area boundary:
                                                  (2) assess the expected improvement in                  MMBtu/hr and an existing emission                      Domtar Paper Company, LLC, Kingsport
                                                  air quality within the nonattainment                    limit on SO2 emissions of 317 lbs/hr                   Paper Mill (Domtar). Domtar produces
                                                  area due to the adoption and                            based on a 30-day averaging period,                    pulp and paper and is permitted to burn
                                                  implementation of control measures. As                  equivalent to 0.406 lbs/MMBtu. Boiler                  hog fuel, dry wood residue, engineered
                                                  noted above, the State must develop and                                                                        fuel, wastewater treatment plant sludge,
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                                                                                                          B–31 is rated at 880 MMBtu/hr and has
                                                  submit to EPA a comprehensive,                          an existing limit on SO2 emissions of                  fuel oil, and natural gas. SO2 emissions
                                                  accurate and current inventory of actual                                                                       from this facility were 70.8 tons in 2011,
                                                  emissions from all sources of SO2                         3 As mentioned elsewhere in this proposed            as determined from material balances.
                                                  emissions in each nonattainment area,                   action, four boilers have converted to exclusive use
                                                  as well as any sources located outside                  of natural gas for fuel combustion already. These        4 As detailed in Section IV. of this proposed

                                                                                                          repowered units have different heat capacities, and    action, CEMS will be installed for Powerhouse B–
                                                  the nonattainment area which may                        the fuel content is such that the actual emissions     83. Therefore, all subsequent emissions inventories
                                                  affect attainment in the area. See CAA                  of SO2 will always be much less than the formerly      and all compliance assessments will be based on
                                                  section 172(c)(3).                                      permitted rate.                                        CEMS measurements.



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                                                  30614                               Federal Register / Vol. 83, No. 126 / Friday, June 29, 2018 / Proposed Rules

                                                  The permitted allowable SO2 emissions                                      source emissions for the base year                      nonroad sources. For onroad mobile
                                                  limit for the main SO2 emissions unit at                                   emissions inventory. The hazardous                      source emissions, TDEC utilized EPA’s
                                                  Domtar, the HFB1–1 biomass boiler, was                                     waste incinerators at Eastman in B–248                  Motor Vehicle Emissions Simulator
                                                  included in the attainment modeling                                        were erroneously reported as 20 tpy                     (MOVES2014). A more detailed
                                                  (264 lb/hr = 33.26 g/s). TDEC                                              each for B–248–1 and B–248–2. TDEC                      discussion of the emissions inventory
                                                  determined that the other SO2 emissions                                    corrected this information from the 2011                development for the Sullivan County
                                                  units at Domtar did not need to be                                         NEI with information submitted by                       Area can be found in Tennessee’s May
                                                  explicitly modeled because of their                                        Eastman.5 EnviraGlass, formerly                         12, 2017, submittal.
                                                  smaller emissions levels. Therefore,                                       Heritage Glass, did not report emissions
                                                  these sources were accounted for using                                     for the 2011 NEI, so TDEC used                            Table 1 below shows the level of
                                                  the background concentration discussed                                     semiannual compliance reports                           emissions, expressed in tpy, in the
                                                  in section IV.B.5 of this notice.                                          pursuant to the title V operating permit                Sullivan County Area for the 2011 base
                                                    TDEC utilized EPA’s 2011 National                                        for the facility to determine emissions.                year by emissions source category. The
                                                  Emissions Inventory (NEI), Version 2 as                                       TDEC also used the 2011 NEI, Version                 point source category includes all
                                                  the starting point for compiling point                                     2 to obtain estimates of the area and                   sources within the nonattainment area.

                                                                                  TABLE 1—2011 BASE YEAR EMISSIONS INVENTORY FOR THE SULLIVAN COUNTY AREA
                                                                                                                                                      [tpy]

                                                                                           Year                                                  Point             Onroad            Nonroad           Area            Total

                                                  2011 .....................................................................................    21,956.5               1.62            0.16            10.6         21,968.88



                                                     Domtar is not included in the base                                      modifications to existing sources, or                   a 67.6 percent reduction from the base
                                                  year inventory for the Sullivan County                                     increased minor source activity. TDEC                   year SO2 emissions. The point source
                                                  Area because it is outside of the                                          included a statement in its May 12, 2017                emissions were estimated by taking
                                                  boundary of the nonattainment area.                                        submittal declaring that the air agency                 credit for the control strategy to repower
                                                  However, TDEC evaluated 2011                                               assumes no growth of major sources in                   the boilers at B–253 and assuming
                                                  emissions from this facility to evaluate                                   the Sullivan County Area, and that                      actual emissions at other Eastman units
                                                  its impact on the area. Domtar’s                                           minor source growth should not                          would remain the same as in 2011.
                                                  emissions were reported for the 2011                                       significantly impact the Area. TDEC                     Additionally, EnviraGlass has not
                                                  NEI, but TDEC determined that                                              cites to its ‘‘Growth Policy’’ found at                 operated in recent years, and TDEC
                                                  emissions from HFB1–1, the biomass                                         Tennessee Air Pollution Control                         includes a statement in its May 12, 2017
                                                  boiler, were initially reported in error as                                Regulations (TAPCR) 1200–03–09–                         submittal that as of February 2017, the
                                                  2.06 tons. Actual emissions were                                           .01(5), which includes the                              source had not resumed its operations.
                                                  determined from fuel usage data                                            nonattainment new source review                         Therefore, EnviraGlass emissions were
                                                  supplied by Domtar, leading to 44.1 tpy                                    (NNSR) program and the requirement                      projected as zero tpy. If this source
                                                  SO2 emitted in 2011 from HFB1–1 and                                        for minor sources and minor                             began operation again, actual emissions
                                                  total facility-wide emissions of 70.8                                      modifications proposing to construct in                 would be much less than those from
                                                  tpy.6                                                                      a nonattainment area to apply BACT,                     Eastman (∼50 tpy), and would be
                                                     EPA has evaluated Tennessee’s 2011                                      approved into the SIP and last updated                  reported in future inventories.
                                                  base year emissions inventory for the                                      on July 30, 2012 (see 77 FR 44481). The
                                                  Sullivan County Area and has made the                                      NNSR program includes lowest                              Per EPA’s April 2014 SO2 guidance,
                                                  preliminary determination that this                                        achievable emissions rate, offsets, and                 the existing allowable emissions limits
                                                  inventory was developed consistent                                         public hearing requirements for major                   and the new 30-day, combined emission
                                                  with EPA’s guidance. Therefore,                                            stationary sources and major                            limit (see section IV.B.4) that TDEC is
                                                  pursuant to section 172(c)(3), EPA is                                      modifications.                                          requesting EPA approve into the SIP,
                                                  proposing to approve Tennessee’s 2011                                         TDEC provided a future year                          were modeled to show attainment.
                                                  base year emissions inventory for the                                      projected emissions inventory for all                   These projected actual emissions
                                                  Sullivan County Area.                                                      known sources included in the 2011                      included in the future year inventory
                                                     The attainment demonstration also                                       base year inventory, discussed above,                   are less than the allowable emission
                                                  provides for a projected attainment year                                   that were determined to impact the                      limits, and therefore offer a greater level
                                                  inventory that includes estimated                                          Sullivan County Area. The projected                     of certainty that the NAAQS will be
                                                  emissions for all emission sources of                                      emissions are set to be accurate beyond                 protected under all operating scenarios.
                                                  SO2 which are determined to impact the                                     October 1, 2018, when the control                       Emissions estimates for onroad sources
                                                  nonattainment area for the year in                                         strategy for the attainment                             were re-estimated with MOVES2014.
                                                  which the area is expected to attain the                                   demonstration will be fully                             The nonroad emissions were projected
                                                  standard. This inventory must address                                      implemented. Therefore, as an annual                    using national growth factors, and area
                                                  any future growth in the Area. Growth                                      future year inventory, the point source                 source emissions were scaled based on
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                                                  means any potential increases in                                           portion is accurate beyond October 1,                   emission factors developed using the
                                                  emissions of the pollutant for which the                                   2018, and would represent an annual                     Annual Energy Outlook 2014 for
                                                  Sullivan County Area is nonattainment                                      inventory for 2019 or beyond. The                       consumption and production forecasts.
                                                  (SO2) due to the construction and                                          projected emissions in Table 2 are                      Both categories were then apportioned
                                                  operation of new major sources, major                                      estimated actual emissions, representing                to the nonattainment area based on
                                                    5 For more information on this correction to the                           6 For more information on this correction to the

                                                  2011 NEI, Version 2 emissions, see Attachment A                            2011 NEI, Version 2 emissions, see Table 3–8 of the
                                                  of Tennessee’s May 12, 2017, submittal.                                    May 12, 2017, submittal.



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                                                                                      Federal Register / Vol. 83, No. 126 / Friday, June 29, 2018 / Proposed Rules                                                                30615

                                                  population in the nonattainment area
                                                  relative to that of Sullivan County.7

                                                                             TABLE 2—PROJECTED 2018 SO2 EMISSIONS INVENTORY FOR THE SULLIVAN COUNTY AREA
                                                                                                                                                      [tpy]

                                                                                           Year                                                  Point             Onroad            Nonroad                Area                Total

                                                  2011 .....................................................................................       21,956.5                1.62               0.16               10.6           21,968.88
                                                  2019 .....................................................................................        7,104.5                0.64              0.006             10.521            7,115.67



                                                  B. Attainment Modeling Demonstration                                       processor modeling programs. The State                  as recommended in the December 2016
                                                     Eastman operates a large                                                used the 16216r version of AERMOD                       final revisions to the EPA’s Guideline
                                                  manufacturing facility in Kingsport that                                   with regulatory default options and                     on Air Quality Models, contained in 40
                                                  includes major SO2 sources with the                                        urban dispersion coefficients.8 Receptor                CFR part 51, appendix W (Appendix
                                                  potential to emit greater than 100 tons                                    elevations and hill heights required by                 W), since Eastman chose to use the
                                                  per year (tpy) of SO2. The SO2 emissions                                   AERMOD were determined using the                        adjusted U* (surface friction velocity)
                                                  come from three main boiler groups B–                                      AERMAP terrain preprocessor version                     regulatory option in AERMET, the site-
                                                  83, B–253 and B–325. Powerhouse B–                                         11103. The meteorological data was                      specific turbulence parameters were not
                                                  253 serves five boilers (Boilers 25–29),                                   processed using AERMET version 16216                    used. The data from the 100-meter tower
                                                  each with an individual stack, that                                        with the regulatory adjusted U* option.                 and Doppler SODAR were merged with
                                                  provide steam and electricity to the                                       The surface characteristics around the                  concurrent additional NWS surface data
                                                  facility. Powerhouse B–325 serves two                                      meteorological surface station were                     parameters needed by AERMOD (e.g.,
                                                  coal-fired boilers that vent to a single                                   determined using AERSURFACE                             cloud cover data) from the Tri-City
                                                  stack (Boiler 30 and Boiler 31). Boiler 30                                 version 13016 and building downwash                     Regional Airport National Weather
                                                  is equipped with a spray dryer absorber                                    was assessed with the BPIP processor                    Station (13877) and upper air data from
                                                  and electrostatic precipitator to control                                  (version 04274). EPA proposes to find                   Nashville, TN (13897).
                                                  particulate matter and acid gases. Boiler                                  these model selections appropriate for                     The surface roughness (zo), albedo (r),
                                                  31 is equipped with a spray dryer                                          the attainment demonstration.                           and Bowen ratio (Bo) required surface
                                                  absorber and fabric filter to control                                                                                              parameters were determined for the area
                                                                                                                             2. Meteorological Data
                                                  particulate matter and acid gases.                                                                                                 around the site-specific meteorological
                                                  Powerhouse B–83 serves seven boilers;                                        The Sullivan County nonattainment                     surface station using AERSURFACE
                                                  five coal-fired boilers (Boilers 18–22)                                    area is in a wide valley surrounded by                  version 13016. Eastman processed the
                                                  venting to a single stack, and two coal-                                   complex terrain ridges. Eastman                         meteorological data and surface
                                                  fired boilers (Boilers 23 and 24) that also                                evaluated available surface                             parameters into AERMOD-ready files
                                                  burn wastewater treatment sludge,                                          meteorological data in the area and                     using AERMET version 16216 with the
                                                  venting to a single stack.                                                 determined that none of nearby National                 regulatory adjusted U* option. Complete
                                                     These boilers, along with three other                                   Weather Surface (NWS) stations in area                  details of the meteorological data
                                                  backup natural gas-fired boilers with                                      were representative of the site-specific                collection and processing are available
                                                  minimal SO2 emissions (B–423),                                             winds that occur in the nonattainment                   in sections 3.1–3.8 of Attachment G1,
                                                  provide process steam and most of the                                      area valley. Therefore, Eastman installed               ‘‘NAAQS Attainment Demonstration
                                                  electrical power needed to supply                                          and operated a site-specific 100-meter                  Modeling Analysis,’’ in Tennessee’s
                                                  Eastman’s operations. The combination                                      meteorological data tower and Doppler                   final SIP submittal. EPA preliminarily
                                                  of boilers and boiler operating loads at                                   SODAR system to collect profiles of                     finds that the meteorological data
                                                  any given time depends on                                                  meteorological data (wind speed, wind                   collection and processing is appropriate
                                                  manufacturing demands along with                                           direction, temperature). One year of site-              for the modeled attainment
                                                  availability of boilers, as each boiler has                                specific data was collected from April 1,               demonstration.
                                                  annual scheduled shutdowns. The                                            2012 through March 31, 2013.9 EPA has
                                                                                                                             reviewed the site-specific                              3. Emissions Data
                                                  following discussion evaluates various
                                                  features of the modeling that Tennessee                                    meteorological data and has                                The emission inputs to Tennessee’s
                                                  used in its attainment demonstration.                                      preliminarily determined that the data                  attainment demonstration modeling
                                                                                                                             meets the quality assurance criteria and                reflect 1-hour emissions that correspond
                                                  1. Model Selection                                                         the 1-year of data is appropriate for the               to allowable emissions from sulfur
                                                     Tennessee’s attainment demonstration                                    modeling analysis. Site-specific                        dioxide emission units at the Eastman
                                                  used AERMOD, the preferred model for                                       turbulence parameters (sigma-theta and                  facility and other nearby emissions
                                                  this application, and the associated pre-                                  sigma-w) were also collected. However,                  sources located within and outside the
                                                     7 For more information, see Attachments A–D of                          effective population for the urban option to account    procedures to estimate the effective population are
                                                  the May 12, 2017, submittal.                                               for the large industrial heat release at the Eastman    appropriate.
                                                                                                                             facility. The results of this analysis yield an
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                                                     8 Tennessee and Eastman determined that urban                                                                                     9 Pursuant to Section 8.4.2.e of 40 CFR part 51,
                                                  dispersion coefficients are appropriate for the                            effective population of 200,000, which is               appendix W, if site-specific meteorology is used for
                                                  modeling analysis based upon an assessment of                              approximately four times the approximate 50,000
                                                                                                                                                                                     the modeling analysis, at least 1-year of site-specific
                                                  land use within a 3-kilometer radius of the Eastman                        population of Kingsport, Tennessee. The complete
                                                                                                                                                                                     data should be collected. The data should meet the
                                                  boiler stacks using the Auer technique contained in                        details of Tennessee and Eastman’s analysis are
                                                  Section 7.2.1.1.b.i of 40 CFR part 51, appendix W.                         discussed in Section 4.1 of Attachment G1,              quality assurance criteria in EPA’s 2000
                                                  The analysis resulted in 52.4 percent of the area                          ‘‘NAAQS Attainment Demonstration Modeling               ‘‘Meteorological Monitoring Guidance for
                                                  being classified as urban land use categories, which                       Analysis,’’ in Tennessee’s final SIP submittal. EPA     Regulatory Modeling Applications.’’ Publication
                                                  is above the 50 percent criteria for using urban                           preliminarily agrees that urban dispersion              No. EPA–454/R–99–005. Office of Air Quality
                                                  dispersion coefficients. Additionally, Tennessee                           coefficients with an effective population of 200,000    Planning and Standards, Research Triangle Park,
                                                  and Eastman performed an analysis to estimate an                           is appropriate for the modeling, and believes the       NC. (NTIS No. PB 2001–103606).



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                                                  30616                     Federal Register / Vol. 83, No. 126 / Friday, June 29, 2018 / Proposed Rules

                                                  Sullivan County nonattainment area.                     subsection that follows addresses the                  October 4, 2018 (Condition 4(f)).12
                                                  Eastman’s modeled emissions sources                     combined, 30-day emission limit for                    Tennessee issued construction permit
                                                  include nine coal-fired boilers, five                   Boilers 18–24, 30 and 31. Sections                     966859F on June 15, 2013, authorizing
                                                  natural gas boilers that were converted                 IV.B.6 and 7 discuss the modeling                      construction of the B–253 boilers
                                                  from coal-fired to natural gas-fired units,             conducted to demonstrate that the limit                conversion to natural gas. Condition 6 of
                                                  and a tail-gas incineration unit.                       of combined emissions of these boilers                 Permit 966859F establishes a natural gas
                                                  Although the limit on emissions from                    suitably provides for attainment.                      fuel restriction after conversion is
                                                  Eastman governs the 30-day average                                                                             complete for each boiler.
                                                                                                          i. Enforceability                                         In conjunction with the natural gas
                                                  sum of emissions from all nine coal-
                                                  fired boilers, Tennessee conducted                         Section 172(c)(6) provides that                     conversion control strategy at B–253,
                                                  modeling using a constant hourly rate                   emission limits and other control                      Tennessee also established a 30-day
                                                  (the 1,905 lb/hr 1-hour CEV), as                        measures in the attainment SIP shall be                combined SO2 emission limit for nine
                                                  recommended by EPA’s April 2014 SO2                     enforceable. Tennessee’s attainment SIP                coal-fired boilers at B–83 (seven boilers)
                                                  guidance. As discussed in more detail in                for the Sullivan County nonattainment                  and B–325 (two boilers) pursuant to
                                                  section IV.B.6 below, Tennessee has                     area relies on control measures and                    EPA’s April 2014 SO2 guidance on
                                                  conducted 34 modeling runs using a full                 enforceable emission limits for                        longer term average limits (see section
                                                  range of emission distributions, to show                Powerhouses B–253, B–83 and B–325                      IV.B.4.ii below). Tennessee established
                                                  that the limit ensures attainment,                      (for more discussion on these boilers,                 a single, combined 30-day rolling
                                                  regardless of how emissions are                         please refer to section IV.A above).                   average of 1,753 lbs/hr SO2 emission
                                                  distributed among the various boilers                   These emission reduction measures                      limit through Permit 070072F on May
                                                  within this limit. In addition, Tennessee               were accounted for in the attainment                   10, 2017, for Boilers 18–24 at B–83 and
                                                  used the statistical procedures                         modeling for the Eastman facility which                Boilers 30–31 at B–325. Boilers 30 and
                                                  recommended in Appendix C of EPA’s                      demonstrates attainment for the 2010                   31 at B–325 also have existing
                                                  guidance to establish an adjustment                     NAAQS.                                                 individual SO2 emission limits of 317
                                                  factor that it applied to determine the                    Tennessee’s control strategy for B–253              lbs/hr and 293 lbs/hr, respectively,
                                                  limit it would otherwise have set.                      relies on compliance with the State’s                  based on a 30-calendar day rolling
                                                     Two additional SO2 emissions                         Regional Haze SIP to install BART for                  average.13 Eastman must comply with
                                                  sources, EnviraGlass, located within the                SO2 and other pollutants that impair                   the combined 30-day limit for the 30-
                                                  nonattainment area, and Domtar Paper,                   visibility at Class I areas. TDEC’s                    day period ending on October 31,
                                                  located just outside the nonattainment                  original April 4, 2008, regional haze SIP              2018 14 and each 30-day period
                                                  area, were also included in Tennessee’s                 identified B–253 (Boilers 25–29) at                    thereafter. Therefore, Eastman must
                                                  attainment demonstration modeling,                      Eastman Chemical as BART-eligible                      begin to comply with the new limit no
                                                  modeled at their hourly emission limits.                units.10 Tennessee subsequently                        later than October 2, 2018. Compliance
                                                  Additional details regarding the                        amended its regional haze SIP (May 14,                 will be determined based on continuous
                                                  emissions units are included in the                     2012 and May 25, 2012) to establish                    emission monitoring system (CEMS)
                                                  Emissions Inventory, section IV.A., of                  BART requirements for Eastman                          data for all nine boilers. EPA provides
                                                  this proposed rule and section 2 of                     including an alternative BART option to                additional details, section IV.B.4.ii
                                                  Attachment G1, ‘‘NAAQS Attainment                       repower (convert coal-fired boilers to                 below, regarding how the combined 30-
                                                  Demonstration Modeling Analysis,’’ in                   natural gas) Boilers 25–29 at B–253 by                 day SO2 emission limit was derived.
                                                  Tennessee’s final SIP submittal. EPA                    December 31, 2018.11 The alternative                   The enforceable emission limit and
                                                  proposes to find that the emissions                     BART measure became federally-                         compliance parameter ensure control
                                                  sources included in the modeling are                    enforceable through the issuance of                    measures will achieve the necessary
                                                  appropriate for the attainment                          BART permit 066116H on May 9, 2012,                    incremental SO2 emissions reductions
                                                  demonstration. All other sources not                    and an amendment on May 22, 2012,                      necessary to attain the NAAQS as
                                                  explicitly included in the modeling                     which changed the conversion                           expeditiously as practicable. Based on
                                                  were addressed using the background                     completion date to align with the 1-hour
                                                  concentration discussed in section                      SO2 NAAQS compliance deadline of                          12 Condition 4(f) also prohibits operation of any

                                                  IV.B.5 of this notice.                                                                                         B–253 boiler not converted after the October 2018
                                                                                                             10 A BART-eligible source is an emission source     SO2 NAAQS compliance date until repowered to
                                                  4. Emission Limits                                      that has the potential to emit 250 tons or more of     natural gas.
                                                                                                                                                                    13 Established in construction Permit 955272F,
                                                                                                          a visibility-impairing pollutant, was constructed
                                                     An important prerequisite for                        between August 7, 1962 and August 7, 1977, and         Boiler 30 has a 317 lbs/hr 30-day SO2 limit and
                                                  approval of an attainment plan is that                  whose operations fall within one or more of 26         Boiler 31 has a 293 lbs/hr 30-day SO2 limit, giving
                                                  the emission limits that provide for                    listed source categories. The Clean Air Act requires   B–325 an allowable limit of 610 lbs/hr on a 30-day
                                                  attainment be quantifiable, fully                       BART for any BART-eligible source that a State         average.
                                                                                                          determines ‘‘emits any air pollutant which may            14 EPA’s April 2014 SO guidance recommends
                                                  enforceable, replicable, and                            reasonably be anticipated to cause or contribute to
                                                                                                                                                                                             2
                                                                                                                                                                 that attainment plans provide for compliance at
                                                  accountable. See General Preamble at                    any impairment of visibility in any such area.’’ EPA   least one calendar year prior to the attainment
                                                  13567–68. Some of the limits that                       finalized a limited approval/limited disapproval of    deadline, to facilitate collection of air quality
                                                  Tennessee’s plan relies on are expressed                portions of Tennessee’s April 4, 2008, regional haze   monitoring data reflecting attainment plan
                                                                                                          SIP on April 24, 2012 (77 FR 24392). The April 4,      implementation. This air quality data would
                                                  as 30-day average limits. Therefore, part               2008, SIP established the State’s plan to comply       indicate whether the attainment plan is in fact
                                                  of the review of Tennessee’s attainment                 with federal requirements to ensure natural            successfully providing for attainment. Nevertheless,
                                                  plan must address the use of these                      visibility conditions at Class I areas by requiring    the guidance also notes that EPA has the discretion
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                                                  limits, both with respect to the general                affected sources to install BART for SO2 and other     to approve plans that are judged to provide for
                                                                                                          visibility-impairing pollutants.                       attainment by the statutory attainment deadline,
                                                  suitability of using such limits for this                  11 Tennessee’s initial Eastman BART                 even if the monitoring data collected prior to the
                                                  purpose and with respect to whether the                 determination required Eastman to reduce SO2           attainment deadline are judged to indicate that that
                                                  limits included in the plan have been                   emissions at Boilers 25–29 either by 92 percent or     plan has not yielded timely attainment. EPA
                                                  suitably demonstrated to provide for                    comply with a limit of 0.20 lbs/MMBtu established      believes that Tennessee’s attainment plan provides
                                                                                                          through the BART permit (066116H). EPA approved        for attainment, notwithstanding the possibility that
                                                  attainment. The first subsection that                   Eastman’s BART determination, the alternative          subsequent review of available monitoring data may
                                                  follows addresses the enforceability of                 BART option and permit 066116H on November 27,         support a conclusion that the plan did not in fact
                                                  the limits in the plan, and the second                  2012 (77 FR 70689).                                    provide for timely attainment.



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                                                                            Federal Register / Vol. 83, No. 126 / Friday, June 29, 2018 / Proposed Rules                                                 30617

                                                  the attainment modeling of B–253                        individual stack that, in combination                  occasions of emissions exceeding the
                                                  repowering combined with the 30-day                     with the other CEVs for other relevant                 CEV may be rare and modest in
                                                  SO2 emission limits for B–83 and B–                     stacks, the state shows through proper                 magnitude even without supplemental
                                                  325, the area is projected to begin                     modeling to yield attainment. However,                 enforceable limitations. Tennessee
                                                  showing attaining monitoring design                     in this case, EPA is using the term CEV                concluded that occasions of emissions
                                                  values.                                                 to mean the total emissions from all                   exceeding the critical emissions would
                                                     Tennessee’s May 11, 2017, attainment                 nine Eastman coal-fired boilers emitting               be infrequent and modest in magnitude
                                                  SIP requests EPA approve into the SIP                   from three stacks that Tennessee has                   even without adoption of supplemental
                                                  the authorization for alternative BART                  shown to yield attainment, reflecting                  limits. EPA conducted its own
                                                  repowering of Boilers 25–29 at B–253 at                 Tennessee’s approach of evaluating an                  evaluation of whether this element of
                                                  Condition 4(f) of Regional Haze permit                  appropriate limit on the sum of these                  the guidance is satisfied, such that
                                                  066116H 15 (approved into Tennessee’s                   emissions.                                             compliance with Tennessee’s 30-day
                                                  regional haze SIP on November 12,                          After establishment of this combined-               average emission limit would provide
                                                  2012), natural gas fuel restriction for                 source CEV, Tennessee used the                         adequate confidence that the area will
                                                  Boilers 25–29 (after each natural gas                   procedures recommended in Appendix                     attain the standard.
                                                  conversion) at Condition 6 of PSD                       C of EPA’s April 2014 SO2 guidance to                     The historical emissions data do not
                                                  construction permit 966859F, and the                    determine an adjustment factor with                    provide a direct measure of the
                                                  30-day rolling single, combined SO2                     which to establish a single, combined                  frequency and magnitude of elevated
                                                  emission limit of 1,753 lbs/hr for boilers              emission limit with a longer term                      emissions to expect once Eastman
                                                  at B–83 and B–325 at Conditions 1                       averaging time (30-day). Tennessee                     complies with the 30-day limit. The
                                                  through 4 16 of permit 070072F, which                   analyzed three years of historical hourly              historical Eastman emissions data that
                                                  also include compliance parameters                      emissions data (2013–2015) from the                    Tennessee used is from a period in
                                                  (monitoring, recordkeeping and                          nine boilers in question. Tennessee used               which emissions frequently were higher
                                                  reporting). The accountability of the SO2               the sum of emissions from the nine                     than the new limit. During the 2013 to
                                                  emission limit is established through                   boilers in this analysis, determining a                2015 period, Eastman’s total emissions
                                                  TDEC’s inclusion in the nonattainment                   99th percentile of the 1-hour total                    exceeded the subsequently adopted
                                                  SIP and in the attainment modeling                      emissions values and a 99th percentile                 limit (1,753 lbs/hr) in approximately
                                                  demonstration to ensure permanent and                   of the 30-day average total emission                   32.4 percent of 30-day averages, and
                                                  enforceable emission limitations as                     values. The ratio of these 99th                        exceeded the 1-hour CEV (1,905 lbs/hr)
                                                  necessary to provide for attainment of                  percentile values yielded an adjustment                in approximately 21.5 percent of hours.
                                                  the 2010 SO2 NAAQS.                                     factor of 0.92. Multiplication of this                 Thus, Eastman will be required to make
                                                                                                          adjustment factor times the collective                 emission reductions sufficient to
                                                  ii. Longer Term Average Limits
                                                                                                          CEV yielded a 30-day average limit of                  comply with the new 30-day limit
                                                     Tennessee has developed a single,                    1,753 lbs/hr. EPA believes that                        (1,753 lb/hr), which would both
                                                  combined emission limit of 1,753 lbs/hr                 Tennessee, by following the approach                   eliminate the occasions of 30-day
                                                  of SO2 emissions on a 30-day average                    recommended in Appendix C of the                       average emissions above 1,753 lbs/hr
                                                  basis. This emission limit applies to                   April 2014 SO2 guidance, has justified                 and reduce the number and possibly
                                                  nine coal-fired boilers, which emit SO2                 a conclusion that this 1,753 lbs/hour                  eliminate the occasions when 1-hour
                                                  from three separate stacks from                         limit (governing the sum of emissions                  emission levels exceed 1,905 lbs/hr. The
                                                  powerhouses B–83 and B–325. These                       from the nine boilers) may be                          question then is how frequently and
                                                  nine coal-fired boilers help provide both               considered comparably stringent to a 1-                with what associated emission levels
                                                  steam and electricity for the Eastman                   hour limit of 1,905 lbs/hr (again                      can 1-hour emissions levels be expected
                                                  facility and Boilers 23 and 24 (at B–83)                governing the sum of emissions from the                to exceed the CEV once Eastman
                                                  also burn wastewater treatment sludge.                  nine boilers). Since the emission limit                complies with the 30-day average limit.
                                                  Based on the unique, interconnected                     being established for these nine boilers                  Since Tennessee has permitted a
                                                  operations and the steam demand for                     is a single, combined limit, EPA                       combined, multi-stack emission limit
                                                  the Eastman facility, Tennessee elected                 believes it is appropriate for the                     (1,753 lb/hr) for the nine coal-fired
                                                  to establish a single, combined emission                adjustment factor also to be computed                  boilers, there are multiple compliance
                                                  limit governing the sum of emissions                    based on the total combined emissions                  scenarios possible. Consequently, there
                                                  from these nine boilers. Tennessee                      from the nine boilers. Therefore, EPA                  is also a range of frequencies that the
                                                  concluded that the NAAQS will be                        proposes to agree that the adjustment                  hourly emissions can exceed the CEV
                                                  attained so long as total hourly                        factor of 0.92 is appropriate in this case.            while still meeting the 30-day permit
                                                  emissions from these nine boilers are at                   EPA’s April 2014 SO2 guidance                       limit. To forecast the frequency and
                                                  or below 1,905 lbs/hr. Tennessee based                  further states, ‘‘The second important                 magnitude of emissions of occasions
                                                  this conclusion on a set of 34 modeling                 factor in assessing whether a longer                   with emissions above the CEV, EPA
                                                  runs, which encompassed several                         term average limit provides appropriate                asked Tennessee for information
                                                  ‘‘worst-case’’ emissions scenarios. These               protection against NAAQS violations is                 regarding how Eastman expects to
                                                  scenarios and the modeling results are                  whether the source can be expected to                  comply with the new limit. Tennessee
                                                  described in detail in section IV.B.6 of                comply with a longer term average limit                responded 17 that Eastman’s compliance
                                                  this notice. EPA ordinarily uses the term               in a manner that minimizes the                         strategy will likely be to modify the
                                                  critical emissions value (CEV) to mean                  frequency of occasions with elevated
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                                                                                                                                                                 order of dispatch of the nine boilers in
                                                  the 1-hour emission rate for an                         emissions and magnitude of emissions                   question, dispatching Boilers 18 through
                                                                                                          on those occasions.’’ The guidance                     22 from Powerhouse B–83 less often in
                                                    15 EPA notes condition 4(f) was approved into         advises that the establishment of                      the future, in particular by reducing the
                                                  Tennessee’s SIP on November 12, 2012 as part of         supplemental limits to provide direct                  dispatching of the smaller coal-fired
                                                  the State’s Regional Haze SIP. See77 FR 70689.          constraints on the frequency and/or
                                                    16 In Tennessee’s SO attainment SIP (page 33) the                                                            boilers (Boilers 18, 19, and 20) in favor
                                                                         2
                                                  state requested EPA approve Conditions 1–5 from
                                                                                                          magnitude of emissions exceeding the
                                                  Permit 070072F however, EPA notes only four             CEV can be valuable, but the guidance                    17 See emails from TDEC to EPA Region 4 dated

                                                  conditions were included in the final issued permit.    also acknowledges the possibility that                 January 26 and February 8, 2018.



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                                                  30618                     Federal Register / Vol. 83, No. 126 / Friday, June 29, 2018 / Proposed Rules

                                                  of greater operation of the larger boilers              suitable alternative to establishing a 1-              Mammoth Cave background data is
                                                  that are being converted to burn natural                hour average emission limit for each                   appropriate for the attainment modeling
                                                  gas.18 These smaller boilers are the                    unit or for the collected units at this                analysis.
                                                  oldest and least efficient boilers of the               source. Further discussion of
                                                                                                                                                                 6. Analysis of Multi-Stack Limit
                                                  nine and provide only low pressure                      Tennessee’s modeling analysis of its set
                                                  steam to the facility. EPA used this                    of limits, along with discussion of                       The use of a limit governing the sum
                                                  information provided by Tennessee and                   pertinent considerations in applying the               of emissions from multiple stacks, in
                                                  the less efficient nature of these boilers              procedures of Appendix C of EPA’s                      lieu of individual limits for each stack,
                                                  and further analyzed the historical                     guidance in determining appropriate                    calls for a demonstration that the worst-
                                                  (2013 to 2015) emissions. Given the                     longer term limits, is provided in                     case distribution of these emissions
                                                  order of preference in boiler dispatch                  section IV.B.6 below. In summary, EPA                  provides for attainment. To provide this
                                                  provided by Tennessee and efficiency                    believes that the State has used a                     demonstration, Tennessee conducted
                                                  considerations, EPA expects that three                  suitable data base in an appropriate                   thirty-four (34) AERMOD modeling runs
                                                  boilers (B–18 to B–20) may be operated                  manner and has thereby applied an                      using varying combinations of boiler
                                                  at approximately 20 percent of their                    appropriate adjustment, yielding an                    load and emissions scenarios for the
                                                  historical rates. This level of operation               emission limit that has comparable                     nine coal-fired boilers to verify that the
                                                  for these boilers would yield                           stringency to the 1-hour average limit                 modeling includes the worst-case
                                                  compliance with the new limit and                       that the State determined would                        operational scenarios allowed under the
                                                  allow Eastman to meet its steam                         otherwise have been necessary to                       single, thirty-day rolling average,
                                                  generation needs. With that level of                    provide for attainment. While the 30-                  emissions limit of 1,753 lbs/hr for the
                                                  operation of those boilers, the number of               day average limit allows for occasions in              nine coal-fired boilers. The 34 modeling
                                                  occasions of total plant emissions                      which emissions may be higher than the                 scenarios were performed to derive the
                                                  exceeding the CEV was found to be 1.1                   level that would be allowed with the                   single, combined 1,905 lbs/hr CEV for
                                                  percent of the hours, with these hours                  combined-unit 1-hour limit, the State’s                the nine coal-fired boilers (two stacks at
                                                  on average being 4.4 percent above the                  limit compensates by requiring average                 the B–83 Powerhouse and one stack at
                                                  CEV.19 During EPA’s analyses, we found                  emissions to be lower than the level that              the B–325 Powerhouse) that results in
                                                  that the frequency of emissions over the                would otherwise have been required by                  modeled attainment of the NAAQS. As
                                                  CEV could range from 1 to 10 percent                    a 1-hour average limit. As described                   defined in EPA’s April 2014 SO2
                                                  of the time, depending on the                           above in this section, in section III and              guidance, the CEV is the level of
                                                  operational scenario used to comply                     explained in more detail in EPA’s April                emissions that results in modeled
                                                  with the 30-day limit. While EPA                        2014 SO2 guidance for nonattainment                    concentrations that are just below the
                                                  acknowledges the uncertainty in                         plans, EPA believes that appropriately                 level of the NAAQS; as noted above,
                                                  forecasting the frequency of elevated                   set longer term average limits provide a               this term is being applied to the
                                                  emissions and the magnitude of                          reasonable basis by which                              combination of emissions from the nine
                                                  emissions on those occasions, based on                  nonattainment plans may provide for                    coal-fired boilers referenced earlier in
                                                  the information received from                           attainment. Based on the general                       the notice.
                                                  Tennessee and our own analysis, EPA                     information provided in this guidance                     With these 34 AERMOD modeling
                                                  believes that emissions at Eastman are                  document as well as the information in                 runs, Tennessee and Eastman evaluated
                                                  unlikely to exceed the CEV more than                    Tennessee’s attainment SIP, EPA                        a wide range of future potential
                                                  a few percent of the hours, at levels                   proposes to find that the 30-day average               operational scenarios, considering boiler
                                                  generally only a modest percent over the                limit for Eastman’s nine boilers in                    steam load demands for Eastman’s
                                                  CEV. Compliance with the 30-day limit                   combination with other limitations in                  production processes and boiler load-
                                                  will be ensured using a CEMS and                        the State’s plan will provide for                      shifting that is projected to occur once
                                                  appropriate monitoring, recordkeeping                   attainment of the NAAQS.                               the conversion of the five coal-fired
                                                  and reporting requirements.                                                                                    boilers at B–253 (Boilers 25–29) from
                                                                                                          5. Background Concentration                            burning coal to natural gas is completed
                                                  Consequently, EPA proposes to
                                                  conclude that the second criterion for                     In accordance with section 8.3 of 40                by October 2018. Based upon this
                                                  use of longer term average limits is                    CFR part 51, appendix W, Tennessee’s                   evaluation, 34 operational scenarios
                                                  satisfied, even without supplemental                    attainment demonstration addresses the                 were selected by Tennessee and
                                                  limits to constrain the frequency and                   impacts from all SO2 emissions sources                 Eastman for the CEV modeling analysis.
                                                  emissions level of occasions when                       not explicitly included in the AERMOD                  Four of these 34 operation scenarios
                                                  emissions exceed the CEV.                               modeling analysis by adding                            reflected all of the SO2 being emitted
                                                     Based on a review of the State’s                     representative background                              from a single stack, including two
                                                  submittal, EPA believes that the single,                concentrations to the impacts from the                 scenarios where all of the 1,905 lbs/hr
                                                  combined 30-day average limit for the                   modeled sources. The State and                         is released from one or the other of the
                                                  nine boilers in Powerhouses B–83 and                    Eastman chose to use 2013–2015                         two B–83 stacks individually, one
                                                  B–325, in conjunction with the existing                 ambient monitoring data from a sulfur                  scenario where the B–325 stack emitted
                                                  individual 30-day average limits for                    dioxide monitor located at Mammoth                     726 lbs/hr 20 (which is the one hour
                                                  Boilers B–30 and B–31, provides a                       Cave National Park in Kentucky (AQS                    equivalent to the current permitted,
                                                                                                          ID 21–061–0501) to develop ‘‘seasonal                  federally enforceable allowable
                                                                                                          by hour of the day’’ background
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                                                    18 Tennessee’s analysis in the February 8 email

                                                  confirmed that, under the new combined limit,           concentrations. The hourly                                20 Established in PSD Permit 955272F, Boiler 30

                                                  there should be adequate capacity available at                                                                 has a 317 lbs/hr 30-day SO2 limit and Boiler 31 has
                                                  natural gas boilers at B–253 and B–423, without the
                                                                                                          concentrations range from 2.79 to 18.51
                                                                                                                                                                 a 293 lbs/hr 30-day SO2 limit, giving B–325 an
                                                  need to revise existing permit limits for these         micrograms per cubic meter (mg/m3).                    allowable limit of 610 lbs/hr on a 30-day average.
                                                  individual units.                                       The complete details of the background                 For the purposes of modeling, Eastman calculated
                                                    19 The email correspondence with TDEC and
                                                                                                          concentrations are described in section                an adjustment factor specific to the B–325 stack in
                                                  supporting documentation (including Tennessee’s                                                                accordance with the methods of Appendix C of
                                                  spreadsheet data and EPA’s spreadsheet used for
                                                                                                          3.9 of Attachment G1 of the Tennessee’s                EPA’s guidance. Eastman calculated an adjustment
                                                  these calculations) are in the docket (ID: EPA–R04–     Attainment Demonstration submittal.                    factor of 0.84, which yielded a corresponding one-
                                                  OAR–2017–0626) for this proposed rule.                  EPA preliminarily finds use of the                     hour emission rate of 726 lbs/hr.



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                                                                            Federal Register / Vol. 83, No. 126 / Friday, June 29, 2018 / Proposed Rules                                           30619

                                                  emissions limit for B–325), and one                        As noted earlier, in calculating the                the nine coal-fired boilers are no greater
                                                  scenario where the B–325 stack emitted                  adjustment factor to multiply times the                that the 1,905 lbs/hr CEV. Additionally,
                                                  1,800 lbs/hr to simulate a B–325 worst-                 collective CEV (the 1-hour sum of                      EPA proposes to find that the 34
                                                  case emissions scenario. The modeled                    emissions providing for attainment in                  modeling scenarios are adequate to
                                                  predicted concentrations from the three                 the full range of distribution of the                  address the range of possible future
                                                  single-stack scenarios with permissible                 emissions) to determine a comparably                   operating scenarios of the boilers at the
                                                  emission levels ranged from 89.08 mg/                   stringent collective 30-day emission                   Eastman facility and, therefore, support
                                                  m3 to 182.7 mg/m3; the scenario with B–                 limit, Tennessee used statistics for the               that the 1,905 lbs/hr combined CEV is
                                                  325 emitting 1,800 lbs/hr, well above its               sum of emissions from all the stacks                   appropriate. Section IV.B.4.ii. of this
                                                  permissible level, yielded an estimated                 governed by this limit. EPA’s guidance                 notice explains how Tennessee and
                                                  highest concentration of 190.8 mg/m3.                   does not expressly recommend how to                    Eastman developed the 1,753 lbs/hr 30-
                                                  Nine modeling scenarios were                            address comparable stringency for limits               day rolling average permit limit
                                                  performed to evaluate emissions from                    that address the sum of emissions across               following the procedures in EPA’s April
                                                  various combinations when two of the                    multiple stacks. However, EPA’s                        2014 SO2 guidance.
                                                  three stacks are in operation. For these                guidance at page 32 states:
                                                                                                                                                                 C. RACM/RACT
                                                  scenarios, the 1,905 lbs/hr CEV rate was                  The selection of data handling procedures
                                                                                                          influences the longer term averages that are              CAA section 172(c)(1) requires that
                                                  divided between the two stacks in                                                                              each attainment plan provide for the
                                                                                                          computed and thus influences the
                                                  multiple combinations to represent                      relationship between a 1-hour limit and a              implementation of all RACM as
                                                  reasonable potential worst-case future                  comparably stringent longer term average               expeditiously as practicable (including
                                                  operations. The modeled predicted                       limit. Therefore, . . . all analyses for               such reductions in emissions from
                                                  concentrations from the nine two-stack                  determining comparably stringent longer                existing sources in the area as may be
                                                  scenarios range from 171.6 mg/m3 to                     term average limits should then apply those            obtained through the adoption, at a
                                                  190.5 mg/m3, with the highest value of                  data handling procedures.
                                                                                                                                                                 minimum, of RACT) and shall provide
                                                  190.5 mg/m3 resulting from a scenario                   This suggests that the computation of                  for attainment of the NAAQS. EPA
                                                  when the Boilers 18–22 B–83 stack was                   adjustment factors for a limit governing               interprets RACM, including RACT,
                                                  emitting at the highest level near its                  the sum of emissions from multiple                     under section 172, as measures that a
                                                  maximum capacity (1,039 lbs/hr), the                    stacks should be based on statistical                  state determines to be reasonably
                                                  Boilers 23–24 B–83 stack was emitting                   analysis of the variability of the sum of              available and which contribute to
                                                  near its average rate (866 lbs/hr), and                 emissions from the multiple stacks,                    attainment as expeditiously as
                                                  Boilers 30–31 were not operating (0 lb/                 irrespective of the variability of                     practicable for existing sources in the
                                                  hr). Twenty-one modeling scenarios                      emissions from the individual stacks. In               area.
                                                  were performed to evaluate                              the case of Eastman, while the facility                   Tennessee’s plan for attaining the 1-
                                                  simultaneous operation of all three                     shifts load among its various boilers,                 hour SO2 NAAQS in the Sullivan
                                                  stacks. As with the two-stack scenarios,                resulting in relatively variable emissions             County SO2 nonattainment area is based
                                                  the 1,905 lbs/hr critical value emissions               at any boiler, the total load is relatively            on several measures, including
                                                  rate was divided among the three stacks                 steady, resulting in only modest                       repowering the B–253 boilers from coal
                                                  in multiple combinations to represent                   variability of total emissions. As a                   to natural gas operation. Tennessee’s
                                                  reasonable potential worst-case future                  result, use of a 30-day limit makes less               plan requires compliance with these
                                                  operations. The modeled predicted                       difference in the control measure                      measures by October 1, 2018. This date
                                                  concentrations from the twenty-one                      needed to meet the limit, and so less                  is consistent with Tennessee’s Regional
                                                  three-stack scenarios range from 186.0                  adjustment is needed to establish a 30-                Haze SIP, which was amended on May
                                                                                                          day limit that is comparably stringent to              9, 2012. The amended SIP allowed
                                                  mg/m3 to 195.37 mg/m3. The maximum
                                                                                                          the corresponding 1-hour limit. Given                  Eastman to implement BART no later
                                                  model predicted concentration from the
                                                                                                          the demonstration that the full range of               than April 30, 2017, or an alternative
                                                  three-stack scenarios, which is also the
                                                                                                          potential distributions of 1,905 lb/hr                 BART option (repowering of the boilers
                                                  maximum for all 34 scenarios, 195.37                                                                           from coal to natural gas) by December
                                                  mg/m3, occurred in the three-stack                      provides for attainment, EPA also
                                                                                                          believes that a 30-day average limit of                31, 2018. The alternative BART option
                                                  operational scenario that assumes the                                                                          became federally enforceable with the
                                                                                                          1,753 lb/hr provides suitable assurance
                                                  majority of the emissions came from the                                                                        issuance of BART permit 066116H on
                                                                                                          that attainment would result under the
                                                  Boilers 18–22 B–83 stack emitting near                                                                         May 9, 2012. A prevention of significant
                                                                                                          full range of distribution of these
                                                  its maximum capacity (1,133 lbs/hr),                                                                           deterioration (PSD) construction permit
                                                                                                          allowable emissions.
                                                  emissions were slightly below normal                                                                           (966859F), which authorizes
                                                  from the Boilers 23–24 B–83 stack (719                  7. Summary of Modeling Results                         construction for the boiler repowering,
                                                  lbs/hr), and emissions were low from                       The AERMOD modeling analysis                        was issued June 5, 2013. Condition 4(f)
                                                  the B–325 stack (53 lbs/hr, as Boiler 30                contained in Tennessee’s Attainment                    of permit 066116H requires the
                                                  was assumed to not be operating and                     Demonstration submittal resulted in a                  repowering of B–253 to be completed no
                                                  Boiler 31 operating under minimal                       maximum modeled design value of                        later than the compliance deadline for
                                                  load). Tables which summarize the                       195.37 mg/m3, including the background                 the one-hour SO2 NAAQS. Also,
                                                  emissions and modeling input                            concentration, which is less than the                  Tennessee evaluated B–325 Boiler 31,
                                                  parameters for each of the 34 scenarios                 196.4 mg/m3 (75 ppb) 1-hour sulfur                     and determined that the spray dryer
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                                                  and additional details about the full                   dioxide NAAQS.                                         absorber/fabric filter baghouse
                                                  range of scenarios are contained in the                    EPA has evaluated the modeling                      combination already in place constitutes
                                                  State’s modeling analysis in sections                   procedures, inputs and results and                     RACT, and that therefore no further
                                                  7.11 and 7.12 of the State’s Attainment                 proposes to find that the results of the               analysis is required.
                                                  Demonstration Submittal and section 5                   State’s modeling analysis demonstrate                     Tennessee considered various other
                                                  of Attachment G1, ‘‘NAAQS Attainment                    that there are no modeled violations of                measures for the remaining B–83 and B–
                                                  Demonstration Modeling Analysis,’’ in                   the NAAQS within the nonattainment                     325 boilers. The State evaluated a range
                                                  Tennessee’s final SIP submittal.                        area when the combined emissions from                  of measures to reduce SO2 emissions,


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                                                  30620                            Federal Register / Vol. 83, No. 126 / Friday, June 29, 2018 / Proposed Rules

                                                  including switching to low-sulfur coal,                         the attainment plan provides for                        nonattainment plans, section 171(1) of
                                                  upgraded or additional control                                  attainment through the adoption and                     the CAA defines RFP as the annual
                                                  equipment, conversion of existing coal-                         implementation of Tennessee’s RACT/                     incremental reduction in emissions of
                                                  fired boilers to natural gas, and                               RACM emission control strategy.                         the relevant pollutant as are required for
                                                  replacing existing coal-fired boilers with                      Therefore, EPA proposes to conclude                     the purpose of ensuring attainment of
                                                  natural gas boilers. Tennessee                                  that the state has satisfied the                        the applicable NAAQS by the applicable
                                                  determined that these other measures                            requirement in section 172(c)(1) to                     date. As discussed above, Tennessee’s
                                                  are not reasonable for a variety reasons,                       adopt and submit all RACM as needed                     2008 regional haze SIP required
                                                  including infeasibility and cost, and that                      to attain the standards as expeditiously                Eastman implement BART at B–253
                                                  they were not needed to attain the                              as practicable.                                         (Boilers 25–29). The State revised its SIP
                                                  NAAQS and would not advance the                                 D. New Source Review (NSR)                              to establish an alternative BART option
                                                  attainment date. See Table 5–2 in the                                                                                   to repower/convert all five coal-fired
                                                  submittal for additional details on the                           Tennessee’s SIP-approved NSR rules
                                                                                                                                                                          boilers at B–253 to natural gas units and
                                                  measures analyzed. In addition,                                 for nonattainment areas (NNSR) are at
                                                                                                                                                                          changed the compliance deadline to the
                                                  Tennessee evaluated other operations at                         TAPCR 1200–03–09–.01(5), last
                                                                                                                  approved by EPA on July 30, 2012. See                   1-hour SO2 NAAQS attainment date or
                                                  Eastman as well as additional sources                                                                                   October 4, 2018.21 TDEC and Eastman
                                                  within and adjacent to the                                      77 FR 44481. These rules provide for
                                                                                                                  appropriate NSR for SO2 sources                         indicated that the size and complexity
                                                  nonattainment area and determined that                                                                                  of the repowering required additional
                                                  no additional controls were required as                         undergoing construction or major
                                                                                                                  modification in the Sullivan County                     time to ensure the conversion was
                                                  RACT.                                                                                                                   technically feasible. Tennessee’s control
                                                                                                                  Area without need for modification of
                                                     Tennessee has determined that                                the approved rules. Therefore, EPA                      strategy to reduce SO2 emission and
                                                  repowering B–253 to natural gas                                 proposes to conclude that this                          attain the 2010 standard as
                                                  constitutes RACT and EPA proposes to                            requirement is met for this Area through                expeditiously as practicable include the
                                                  concur with the state’s RACT analysis.                          Tennessee’s existing NSR rules.                         repowering of the five coal-fired boilers
                                                  Based on the attainment modeling,                                                                                       at B–253 and imposing an SO2 emission
                                                  described herein, for the B–253 control                         E. Reasonable Further Progress (RFP)                    limit for the nine coal-fired boilers for
                                                  measures combined with the 30-day SO2                             The CAA section 172(c)(2) requires                    B–83 and B–325. Eastman established a
                                                  emission limit for B–83 and B–325, the                          the SIP provide reasonable further                      repowering timeline for B–253 listed in
                                                  area is projected to show attainment of                         progress towards attainment of the                      Table 3 below and in Tennessee’ SO2
                                                  the 1-hour SO2 standard. EPA believes                           applicable NAAQS. Regarding part D                      attainment SIP.

                                                                                          TABLE 3—ESTIMATED COMPLIANCE SCHEDULE FOR B–253 REPOWERING
                                                           Boiler                                Date 22                                                                  Activity

                                                  25 ........................   1st Quarter(Q1), 2014 ...................     Complete; startup date was April 23, 2014.
                                                  27 ........................   1st and 2nd Quarter in 2016 .........         Equipment mobilization, six-week conversion and demobilization;           pre-outage construc-
                                                                                                                                tion conducted 4th quarter of 2017 thru the 1st quarter in 2018.
                                                                                                                              Conversion Complete—start-up date was April 23, 2016.
                                                  28 ........................   2nd and 3rd Quarter in 2016 .........         Equipment mobilization, six-week conversion and demobilization;           pre-outage construc-
                                                                                                                                tion conducted 4th quarter of 2017 thru the 1st quarter in 2018.
                                                                                                                              Conversion Complete—start-up date was October 2, 2016.
                                                  29 ........................   1st and 2nd Quarter in 2018 .........         Equipment mobilization, six-week conversion and demobilization;           pre-outage construc-
                                                                                                                                tion conducted 4th quarter of 2017 thru the 1st quarter in 2018.
                                                                                                                              Conversion Complete—start-up date was March 30, 2018.
                                                  26 ........................   3rd Quarter in 2018 .......................   Equipment mobilization, six-week conversion and demobilization;           pre-outage construc-
                                                                                                                                tion conducted 4th quarter of 2017 thru the 1st quarter in 2018.



                                                    Based on this projected timeline,                             Eastman, this compliance schedule was                   to sustain facility operations.23
                                                  Eastman intends to complete conversion                          the most practicable to meet the BART                   According to Eastman, to complete the
                                                  of B–253 by the 3rd quarter of 2018 just                        requirements and attain the SO2                         conversion of a boiler to natural gas the
                                                  before the October 4, 2018 attainment                           NAAQS to maintain the necessary steam                   normal safety inspection is extended to
                                                  date. At the time of this proposed                              and electricity for manufacturing                       6 weeks. Because of extended
                                                  rulemaking, four of the five coal-fired                         operations. This is also due, in part, to               inspections and boiler shutdowns in
                                                  boilers at B–253 (B–25, 27, 28, and 29)                         the state required (Tennessee Code                      2017, Eastman did not convert any
                                                  have been converted, are fully                                  Section 68–122–110) annual boiler                       boilers at B–253 in 2017. As indicated
                                                  operational and currently subject to the                        safety inspection and maintenance of all                in Table 3, the final boiler (B–26) is
                                                  natural gas fuel restriction established                        17 boilers at Eastman (including B–253)                 scheduled for conversion in the 3rd
                                                  in Permit 966859F. According to                                 while ensuring necessary boiler capacity                quarter of 2018.
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                                                    21 Tennessee’s attainment SIP mistakenly states               26 and 29. For additional information, please refer     The duration of each inspection depends on the
                                                  that the 1-hour SO2 attainment date is October 5,               to Tennessee’s Attainment SIP Narrative located in      size and maintenance cycle of the boiler
                                                  2018 instead of October 4, 2018.                                the docket (ID: EPA–R04–OAR–2017–0626).                 components. Eastman has stated it takes 46–48 of
                                                    22 According to TDEC, Eastman did not schedule                  23 The Tennessee Boiler and Unfired Pressure
                                                                                                                                                                          the 52 weeks to complete the scheduled inspections
                                                  the conversion of any boilers in 2015 or 2017 due               Vessel inspection law (Tennessee Code Section 68–       and boiler maintenance. Eastman also indicated
                                                  to legally required annual boiler safety inspections            122–110) requires annual inspection and
                                                                                                                                                                          that it is not practicable for the facility to schedule
                                                  and maintenance to ensure facility steam and                    maintenance of Eastman’s 17 power boilers.
                                                  electricity reliability. The necessary engineering              According to Eastman, only one boiler at a time is      more than two extended inspections per calendar
                                                  work for the conversion of Boilers 27 and 28 in                 taken off-line to ensure the necessary steam and        year without potential risk meeting production
                                                  2016 was performed in 2015 and 2017 for Boilers                 electricity reliability for manufacturing operations.   demands.



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                                                                            Federal Register / Vol. 83, No. 126 / Friday, June 29, 2018 / Proposed Rules                                                  30621

                                                     Tennessee’s May 2017 attainment SIP                  requirement in section 172(c)(9) for                   the nonattainment area 25 to characterize
                                                  also provides estimated incremental                     contingency measures for SO2, such that                expected areas of maximum 1-hour SO2
                                                  emission reductions during the                          in particular an appropriate means of                  concentrations near the Eastman
                                                  conversion of all five boilers at B–253.                satisfying this requirement is for the                 Chemical Plant. The State intends to
                                                  Table 6–2 in TDEC’s submittal 24                        state to have a comprehensive                          designate the monitors as State/Local air
                                                  provides for projected change in actual                 enforcement program that identifies                    monitoring stations in accordance with
                                                  emissions at Eastman over the duration                  sources of violations of the SO2 NAAQS                 40 CFR part 58 and locate the monitors
                                                  of the repowering at B–253 and post-                    and to undertake an aggressive follow-                 as close as possible to the areas of
                                                  control after the attainment date. TDEC                 up for compliance and enforcement.                     expected maximum concentration.
                                                  compared the pre-control emission rates                 Tennessee’s plan provides for satisfying               These monitors will be submitted for
                                                  for all boilers at B–83, B–325 and B–253                the contingency measure requirement in                 approval by EPA as part of the state’s
                                                  for the period of April 1, 2012 through                 this manner.                                           annual ambient air monitoring network
                                                  March 31, 2013 over the course of the                                                                          plan.
                                                                                                             Specifically, upon notification by
                                                  conversion (interim years 2015 and                      Tennessee that a reference monitor for                 VI. Incorporation by Reference
                                                  2017) to post-control emissions (after                  the Area has registered four validated
                                                  October 4, 2018). Projected emission                                                                              EPA is proposing to include in a final
                                                                                                          ambient SO2 concentrations in excess of                EPA rule regulatory text that includes
                                                  reductions after the completion of B–
                                                                                                          the NAAQS during calendar years 2019                   incorporation by reference. In
                                                  253 conversion and compliance with
                                                                                                          or 2020, or that a monitored SO2                       accordance with requirements of 1 CFR
                                                  the SO2 emission limit for B–83 and B–
                                                                                                          NAAQS violation based on the design                    51.5, EPA is proposing to incorporate by
                                                  325, are expected to be 66 percent
                                                                                                          value occurred during calendar years                   reference into Tennessee’s SIP a natural
                                                  compared to pre-control levels (with
                                                                                                          2021 and beyond, Eastman will, without                 gas fuel restriction, a new SO2 emission
                                                  estimated incremental emission
                                                                                                          any further action by Tennessee or EPA,                limit and specified compliance
                                                  reductions of 11 percent and 39 percent
                                                                                                          undertake a full system audit of all                   conditions established in permits
                                                  in 2015 and 2017 respectively (after
                                                                                                          emission units subject to emission                     966859F and 070072F for monitoring,
                                                  complete conversion of B–25 in 2014
                                                                                                          limits under this plan and submit a                    recordkeeping and reporting parameters
                                                  and B–27 and 28 in 2016). The average
                                                  pre-control emissions from each B–253                   written system audit report to                         for emissions units at Eastman Chemical
                                                  boiler was 677 pounds per hour (or                      Tennessee within 30 days of the                        Company. Specifically, EPA is
                                                  2,965 tpy). TDEC estimates that each                    notification. Upon receipt of the system               proposing to incorporate into the
                                                                                                          audit report, Tennessee will                           Tennessee SIP, a new 1,753 lbs/hr 30-
                                                  boiler conversion will reduce emissions
                                                                                                          immediately begin a 30-day evaluation                  day SO2 emission limit and operating,
                                                  by 2,960 tpy.
                                                                                                          period to diagnose the cause of the                    monitoring, recordkeeping and
                                                     The control measures for attainment
                                                                                                          monitored exceedance. This evaluation                  reporting parameters all established at
                                                  of the 2010 SO2 NAAQS included in the
                                                                                                          will be followed by a 30-day                           Conditions 1 thru 4 in Permit 070072F
                                                  State’s submittal have been modeled to
                                                                                                          consultation period with Eastman to                    for Boilers 18–24 at B–83 and Boilers
                                                  achieve attainment of the 1-hour SO2
                                                                                                          develop and implement operational                      30–31 at B–325 and, a natural gas fuel
                                                  NAAQS. The adoption of new emissions
                                                                                                          changes necessary to prevent future                    restriction for Boilers 25–29 at B–253
                                                  limits, and compliance parameters and
                                                                                                          monitored violations of the NAAQS.                     (after each natural gas conversion)
                                                  a natural gas restriction (for repowered
                                                                                                          These changes may include fuel                         established at Condition 6 in Permit
                                                  B–253 boilers) require these control                                                                           966859F. The SO2 emission standards
                                                  measures to achieve emissions                           switching to reduce or eliminate the use
                                                                                                          of sulfur-containing fuels, physical or                specified in each permit are the basis for
                                                  reductions. Tennessee finds that the                                                                           the SO2 attainment demonstration in the
                                                  attainment plan requires the affected                   operational reduction of production
                                                                                                          capacity, or other changes as                          SIP. EPA has made, and will continue
                                                  sources to implement control measures                                                                          to make, these materials generally
                                                  as expeditiously as practicable to ensure               appropriate. If a permit modification is
                                                                                                          deemed necessary, Tennessee would                      available through www.regulations.gov
                                                  attainment of the 1-hour standard and                                                                          and at EPA Region 4 office (please
                                                  therefore concludes that the attainment                 issue a final permit within the statutory
                                                                                                          timeframes required in Tennessee                       contact the person identified in the For
                                                  plan provides for RFP in accordance                                                                            FURTHER INFORMATION CONTACT section of
                                                  with the approach to RFP described in                   Comprehensive Rules and Regulations
                                                                                                          1200–03–09, and any new emissions                      this preamble for more information).
                                                  EPA’s guidance. EPA believes
                                                  Tennessee’s SIP provides for                            limits required by such a permit would                 VII. EPA’s Proposed Action
                                                  incremental reduction in emissions to                   be submitted to EPA as a SIP revision.
                                                                                                                                                                   EPA is proposing to approve
                                                  ensure reasonable further progress                      EPA concurs and proposes to approve                    Tennessee’s SO2 nonattainment SIP
                                                  towards attainment of the standard and                  Tennessee’s plan for meeting the                       submission, which the State submitted
                                                  therefore concurs and proposes to                       contingency measure requirement in                     to EPA on May 11, 2017, for attaining
                                                  preliminary conclude that the plan                      this manner.                                           the 2010 1-hour SO2 NAAQS for the
                                                  provides for RFP and therefore satisfies                V. Additional Elements of Tennessee’s                  Sullivan County Area and for meeting
                                                  the requirements of CAA section                         Submittal                                              other nonattainment area planning
                                                  172(c)(2).                                                                                                     requirements. EPA has preliminarily
                                                                                                            To verify that the 30-day limit is                   determined that Tennessee’s
                                                  F. Contingency Measures
                                                                                                          resulting in continued attainment of the               nonattainment SIP meets the applicable
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                                                     As noted above, EPA guidance                         1-hour SO2 standard in the Sullivan                    requirements of sections 110(a), 172,
                                                  describes special features of SO2                       County area, Tennessee is establishing                 191 and 192 of the CAA and regulatory
                                                  planning that influence the suitability of              an additional safeguard within the                     requirements at 40 CFR part 51. This
                                                  alternative means of addressing the                     nonattainment area by upgrading its
                                                                                                          existing SO2 ambient air monitoring                      25 See email from TDEC to EPA Region 4, Air,
                                                    24 EPA notes the second note to Table 6–2 list                                                               Pesticides and Toxic Management Division, Air
                                                                                                          network in the Sullivan County area.
                                                  1,794 lbs/hr as the combined 30-day average                                                                    Director Beverly Banister on June 6, 2018 included
                                                  allowable emission rate for B–83 and B–325 boilers,
                                                                                                          TDEC has committed to deploy                           in the docket for this proposal (ID: EPA–R04–OAR–
                                                  however, the correct emission rate is 1,753 lbs/hr.     additional ambient air monitors within                 2017–0626).



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                                                  30622                     Federal Register / Vol. 83, No. 126 / Friday, June 29, 2018 / Proposed Rules

                                                  SO2 nonattainment SIP includes                            • Is not subject to requirements of                  (NAAQS) in other states. EPA is
                                                  Tennessee’s attainment demonstration                    section 12(d) of the National                          proposing to determine that emissions
                                                  for the Sullivan County Area and other                  Technology Transfer and Advancement                    from Arkansas sources do not contribute
                                                  nonattainment requirements for a RFP,                   Act of 1995 (15 U.S.C. 272 note) because               significantly to nonattainment in, or
                                                  RACT/RACM, NNSR, base-year and                          application of those requirements would                interfere with maintenance by, any
                                                  projection-year emission inventories,                   be inconsistent with the CAA; and                      other state with regard to the 2012 PM2.5
                                                  enforceable emission limits and                           • Does not provide EPA with the                      NAAQS. The EPA is also proposing to
                                                  compliance parameters and contingency                   discretionary authority to address, as                 approve a revision to update
                                                  measures. Specifically, EPA is                          appropriate, disproportionate human                    incorporation by reference of NAAQS
                                                  proposing to approve into the Tennessee                 health or environmental effects, using                 germane to this proposed action.
                                                  SIP, Eastman Chemical’s enforceable                     practicable and legally permissible                    DATES: Written comments must be
                                                  SO2 emission limit and compliance                       methods, under Executive Order 12898                   received on or before July 30, 2018.
                                                  parameters (monitoring, recordkeeping                   (59 FR 7629, February 16, 1994).
                                                                                                                                                                 ADDRESSES: Submit your comments,
                                                  and reporting) from PSD construction                      The SIP is not approved to apply on
                                                  permit 966859F (condition 6) and                        any Indian reservation land or in any                  identified by Docket Number EPA–R06–
                                                  Permit No. 070072F (conditions 1–4)                     other area where EPA or an Indian tribe                OAR–2017–0435, at http://
                                                  (see section IV.B.4.1).                                 has demonstrated that a tribe has                      www.regulations.gov or via email to
                                                                                                          jurisdiction. In those areas of Indian                 fuerst.sherry@epa.gov. Follow the
                                                  VIII. Statutory and Executive Order                                                                            online instructions for submitting
                                                                                                          country, the rule does not have tribal
                                                  Reviews                                                                                                        comments. Once submitted, comments
                                                                                                          implications as specified by Executive
                                                     Under the CAA, the Administrator is                  Order 13175 (65 FR 67249, November 9,                  cannot be edited or removed from
                                                  required to approve a SIP submission                    2000), nor will it impose substantial                  Regulations.gov. The EPA may publish
                                                  that complies with the provisions of the                direct costs on tribal governments or                  any comment received to its public
                                                  Act and applicable Federal regulations.                 preempt tribal law.                                    docket. Do not submit electronically any
                                                  See 42 U.S.C. 7410(k); 40 CFR 52.02(a).                                                                        information you consider to be
                                                  Thus, in reviewing SIP submissions,                     List of Subjects in 40 CFR Part 52                     Confidential Business Information (CBI)
                                                  EPA’s role is to approve state choices,                   Environmental protection, Air                        or other information whose disclosure is
                                                  provided that they meet the criteria of                 pollution control, Incorporation by                    restricted by statute. Multimedia
                                                  the CAA. This action merely proposes to                 Reference, Intergovernmental relations,                submissions (audio, video, etc.) must be
                                                  approve state law as meeting Federal                    Reporting and recordkeeping                            accompanied by a written comment.
                                                  requirements and does not impose                        requirements, Sulfur oxides.                           The written comment is considered the
                                                  additional requirements beyond those                                                                           official comment and should include
                                                                                                            Authority: 42 U.S.C. 7401 et seq.                    discussion of all points you wish to
                                                  imposed by state law. For that reason,
                                                  this proposed action:                                     Dated: June 19, 2018.                                make. The EPA will generally not
                                                     • Is not a significant regulatory action             Onis ‘‘Trey’’ Glenn, III,                              consider comments or comment
                                                  subject to review by the Office of                      Regional Administrator, Region 4.                      contents located outside of the primary
                                                  Management and Budget under                             [FR Doc. 2018–14097 Filed 6–28–18; 8:45 am]            submission (i.e. on the web, cloud, or
                                                  Executive Orders 12866 (58 FR 51735,                    BILLING CODE 6560–50–P
                                                                                                                                                                 other file sharing system). For
                                                  October 4, 1993) and 13563 (76 FR 3821,                                                                        additional submission methods, please
                                                  January 21, 2011);                                                                                             contact Sherry Fuerst, 214–665–6454,
                                                     • Is not an Executive Order 13771 (82                ENVIRONMENTAL PROTECTION                               fuerst.sherry@epa.gov. For the full EPA
                                                  FR 9339, February 2, 2017) regulatory                   AGENCY                                                 public comment policy, information
                                                  action because SIP approvals are                                                                               about CBI or multimedia submissions,
                                                  exempted under Executive Order 12866;                   40 CFR Part 52                                         and general guidance on making
                                                     • Does not impose an information                     [EPA–R06–OAR–2017–0435; FRL–9979–25–
                                                                                                                                                                 effective comments, please visit http://
                                                  collection burden under the provisions                  Region 6]                                              www2.epa.gov/dockets/commenting-
                                                  of the Paperwork Reduction Act (44                                                                             epa-dockets.
                                                  U.S.C. 3501 et seq.);                                   Approval and Promulgation of                              Docket: The index to the docket for
                                                     • Is certified as not having a                       Implementation Plans; Arkansas;                        this action is available electronically at
                                                  significant economic impact on a                        Interstate Transport Requirements for                  www.regulations.gov and in hard copy
                                                  substantial number of small entities                    the 2012 PM2.5 NAAQS and Definition                    at the EPA Region 6, 1445 Ross Avenue,
                                                  under the Regulatory Flexibility Act (5                 Update                                                 Suite 700, Dallas, Texas. While all
                                                  U.S.C. 601 et seq.);                                                                                           documents in the docket are listed in
                                                     • Does not contain any unfunded                      AGENCY:  Environmental Protection                      the index, some information may be
                                                  mandate or significantly or uniquely                    Agency (EPA).                                          publicly available only at the hard copy
                                                  affect small governments, as described                  ACTION: Proposed rule.                                 location (e.g., copyrighted material), and
                                                  in the Unfunded Mandates Reform Act                                                                            some may not be publicly available at
                                                  of 1995 (Pub. L. 104–4);                                SUMMARY:   Pursuant to the Clean Air Act               either location (e.g., CBI).
                                                     • Does not have Federalism                           (CAA or Act), the Environmental
                                                                                                          Protection Agency (EPA) is proposing to                FOR FURTHER INFORMATION CONTACT:
                                                  implications as specified in Executive
                                                  Order 13132 (64 FR 43255, August 10,                    approve portions of the Arkansas State                 Sherry Fuerst, 214–665–6454,
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                                                  1999);                                                  Implementation Plan (SIP) submittal                    fuerst.sherry@epa.gov. To inspect the
                                                     • Is not an economically significant                 addressing the CAA requirement that                    hard copy materials, please schedule an
                                                  regulatory action based on health or                    SIPs address the potential for interstate              appointment with Ms. Fuerst or Mr. Bill
                                                  safety risks subject to Executive Order                 transport of air pollution to significantly            Deese at 214–665–7253.
                                                  13045 (62 FR 19885, April 23, 1997);                    contribute to nonattainment or interfere               SUPPLEMENTARY INFORMATION:
                                                     • Is not a significant regulatory action             with maintenance of the 2012 fine                      Throughout this document wherever
                                                  subject to Executive Order 13211 (66 FR                 particulate matter (PM2.5) National                    ‘‘we,’’ ‘‘us,’’ or ‘‘our’’ is used, we mean
                                                  28355, May 22, 2001);                                   Ambient Air Quality Standards                          the EPA.


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Document Created: 2018-06-29 01:14:05
Document Modified: 2018-06-29 01:14:05
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionProposed Rules
ActionProposed rule.
DatesComments must be received on or before July 30, 2018.
ContactD. Brad Akers, Air Regulatory Management Section, Air Planning and Implementation Branch, Air, Pesticides and Toxics Management Division, U.S. Environmental Protection Agency, Region 4, 61 Forsyth Street SW, Atlanta, Georgia 30303-8960. Mr. Akers can be reached via telephone at (404) 562-9089 or via electronic mail at [email protected]
FR Citation83 FR 30609 
CFR AssociatedEnvironmental Protection; Air Pollution Control; Incorporation by Reference; Intergovernmental Relations; Reporting and Recordkeeping Requirements and Sulfur Oxides

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