83_FR_40645 83 FR 40487 - Air Plan Approval; Indiana; Attainment Plan for Indianapolis, Southwest Indiana, and Terre Haute SO2

83 FR 40487 - Air Plan Approval; Indiana; Attainment Plan for Indianapolis, Southwest Indiana, and Terre Haute SO2

ENVIRONMENTAL PROTECTION AGENCY

Federal Register Volume 83, Issue 158 (August 15, 2018)

Page Range40487-40498
FR Document2018-17582

The Environmental Protection Agency (EPA) is proposing to approve as a State Implementation Plan (SIP) revision an Indiana submission to EPA dated October 2, 2015. The submission addresses attainment of the 2010 sulfur dioxide (SO<INF>2</INF>) national ambient air quality standard (NAAQS) for the Indianapolis (Marion County), Southwest Indiana (Daviess and Pike Counties), and Terre Haute (Vigo County) areas. Indiana also submitted a SIP revision request for the Morgan County area. In this proposed action, EPA is not addressing the Morgan County portion of the SIP revision request, and will address it separately in a future action. This plan (herein called a ``nonattainment plan'') includes Indiana's attainment demonstration and other elements required under the Clean Air Act (CAA). In addition to an attainment demonstration, the nonattainment 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 emission inventories, enforceable emissions limitations and control measures, and contingency measures. EPA proposes to conclude that Indiana has appropriately demonstrated that the plan provisions provide for attainment of the 2010 SO<INF>2</INF> NAAQS in the Indianapolis, Southwest Indiana, and Terre Haute areas by the applicable attainment date and that the plan meets the other applicable requirements under the CAA.

Federal Register, Volume 83 Issue 158 (Wednesday, August 15, 2018)
[Federal Register Volume 83, Number 158 (Wednesday, August 15, 2018)]
[Proposed Rules]
[Pages 40487-40498]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2018-17582]


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ENVIRONMENTAL PROTECTION AGENCY

40 CFR Part 52

[EPA-R05-OAR-2015-0700; FRL-9982-28--Region 5]


Air Plan Approval; Indiana; Attainment Plan for Indianapolis, 
Southwest Indiana, and Terre Haute SO2 Nonattainment Areas

AGENCY: Environmental Protection Agency (EPA).

ACTION: Proposed rule.

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SUMMARY: The Environmental Protection Agency (EPA) is proposing to 
approve as a State Implementation Plan (SIP) revision an Indiana 
submission to EPA dated October 2, 2015. The submission addresses 
attainment of the 2010 sulfur dioxide (SO2) national ambient 
air quality standard (NAAQS) for the Indianapolis (Marion County), 
Southwest Indiana (Daviess and Pike Counties), and Terre Haute (Vigo 
County) areas. Indiana also submitted a SIP revision request for the 
Morgan County area. In this proposed action, EPA is not addressing the 
Morgan County portion of the SIP revision request, and will address it 
separately in a future action. This plan (herein called a 
``nonattainment plan'') includes Indiana's attainment demonstration and 
other elements required under the Clean Air Act (CAA). In addition to 
an attainment demonstration, the nonattainment 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 emission inventories, enforceable emissions limitations 
and control measures, and contingency measures. EPA proposes to 
conclude that Indiana has appropriately demonstrated that the plan 
provisions provide for attainment of the 2010 SO2 NAAQS in 
the Indianapolis, Southwest Indiana, and Terre Haute areas by the 
applicable attainment date and that the plan meets the other applicable 
requirements under the CAA.

DATES: Comments must be received on or before September 14, 2018.

ADDRESSES: Submit your comments, identified by Docket ID No. EPA-R05-
OAR-2015-0700 at http://www.regulations.gov, or via email to 
aburano.douglas@epa.gov. For comments submitted at Regulations.gov, 
follow the online instructions for submitting comments. Once submitted, 
comments cannot be edited or removed from Regulations.gov. For either 
manner of submission, 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, please contact the person 
identified in the For Further Information Contact section. For the full 
EPA public comment policy, information about CBI or multimedia 
submissions, and general guidance on making effective comments, please 
visit http://www2.epa.gov/dockets/commenting-epa-dockets.

FOR FURTHER INFORMATION CONTACT: Michelle Becker, Life Scientist, 
Attainment Planning and Maintenance Section, Air Programs Branch (AR-
18J), Environmental Protection Agency, Region 5, 77 West Jackson 
Boulevard, Chicago, Illinois 60604, (312) 886-3901, 
becker.michelle@epa.gov.

SUPPLEMENTARY INFORMATION: Throughout this document whenever ``we,'' 
``us,'' or ``our'' is used, we mean EPA. The following outline is 
provided to aid in locating information in this preamble.

Table of Contents

I. Why was Indiana required to submit an SO2 plan for 
Indianapolis, Southwest Indiana, and Terre Haute?
II. Requirements for SO2 Nonattainment Area Plans
III. Requirements for Attainment Demonstrations and Longer-Term 
Averaging
IV. Review of Indiana's Modeled Attainment Plans
    A. Model Selection
    B. Meteorological Data
    C. Emissions Data
    D. Emission Limits
    1. Enforceability
    2. Longer Term Average Limits
    E. Background Concentrations
    F. Comments Made During State Rulemaking
    G. Summary of Results
V. Review of Other Plan Requirements
    A. Emissions Inventory
    B. RACM/RACT
    C. New Source Review (NSR)
    D. RFP
    E. Contingency Measures
VI. EPA's Proposed Action
VII. Incorporation by Reference
VIII. Statutory and Executive Order Reviews

I. Why was Indiana required to submit an SO[bdi2] plan for 
Indianapolis, Southwest Indiana, and Terre Haute?

    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, including the 
Indianapolis (Marion County), Morgan County, Southwest Indiana (Daviess 
and Pike Counties), and Terre Haute (Vigo County) areas within Indiana. 
See 78 FR 47191, codified at 40 CFR part 81, subpart C. 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), the states are required to

[[Page 40488]]

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 response to the requirement for SO2 nonattainment 
plan submittals, Indiana submitted nonattainment plans for the 
Indianapolis, Morgan County, Southwest Indiana, and Terre Haute areas 
on October 2, 2015. EPA will address the Morgan County portion of the 
submittal in a future action. The remainder of this preamble describes 
the requirements that such plans must meet in order to obtain EPA 
approval, provides a review of the state's plans with respect to these 
requirements, and describes EPA's proposed action on the plans.

II. Requirements for SO[bdi2] Nonattainment Area Plans

    Nonattainment SIPs must meet the applicable requirements of the 
CAA, specifically CAA sections 110, 172, 191 and 192. 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 57 FR 13545-
13549, 13567-13568. On April 23, 2014, EPA issued guidance for meeting 
the statutory requirements in SO2 SIPs submitted under the 
2010 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. In this guidance EPA described 
the statutory requirements for a complete nonattainment area 
SO2 SIP, which includes: An accurate emissions inventory of 
current emissions for all sources of SO2 within the 
nonattainment area; an attainment demonstration; demonstration of RFP; 
implementation of RACM (including RACT); new source review (NSR); 
enforceable emissions limitations and control measures; and adequate 
contingency measures for the affected area. A synopsis of these 
requirements is also provided in the notice of proposed rulemaking on 
the Illinois SO2 nonattainment plans, published on October 
5, 2017 at 82 FR 46434.
    In order 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 ensures equivalent or greater emission 
reductions of such air pollutant.

III. Requirements for Attainment Demonstrations and Longer-Term 
Averaging

    CAA sections 172(c)(1), 172(c)(6) and 192(a) direct states with 
SO2 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 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 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 2014 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 shown to provide 
for attainment that the plan otherwise would have set.
    The April 2014 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 parts per billion. 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, and if so the resulting frequency and magnitude of

[[Page 40489]]

such exceedances, and in particular whether EPA can have reasonable 
confidence that a properly set longer term average limit will provide 
that the three-year average of the annual fourth highest daily maximum 
hourly 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' form for 
determining attainment at monitoring sites, follows.
    For plans for SO2 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 values (e.g., the fourth 
highest maximum daily concentration in a year with 365 days with 
valid data), this discussion and an example below uses a single 
``average year'' in order 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 occasionally to 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 1000 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 daily 1-hour average 
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/hour). It is theoretically possible 
for a source meeting this limit to have emissions that occasionally 
exceed 1000 lbs/hour, but with a typical emissions profile emissions 
would much more commonly be between 600 and 800 lbs/hour. 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 pounds/hour, 
1,100 lbs/hour, 500 lbs/hour, 900 lbs/hour, and 1,200 lbs/hour, 
respectively. (This is a conservative example because the average of 
these emissions, 900 lbs/hour, 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 day would not have an exceedance 
that otherwise would have occurred, and the fourth day would have had a 
concentration below, rather than at 75 ppb. 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 nonattainment planning 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.

[[Page 40490]]

    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 requirement in sections 110(a)(1), 172(c)(1), 172(c)(6) and 
192(a) for SIPs to contain emissions limitations and 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 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 
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 1000 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 pounds per hour.
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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).\3\ 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 standard is provided in appendix A to the April 23, 2014 
SO2 nonattainment area SIP 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 adequately reliable assurance that the plan provides for 
attainment.
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    \3\ EPA published revisions to the Guideline on Air Quality 
Models (40 CFR part 51, appendix W) on January 17, 2017.
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    As stated previously, attainment demonstrations for the 2010 
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 those sources located outside the 
nonattainment area which may affect attainment in the area) is 
technically appropriate, efficient and effective in demonstrating 
attainment in nonattainment areas because it takes into consideration 
combinations of meteorological and emission source operating conditions 
that may contribute to peak ground-level concentrations of 
SO2.
    The meteorological data used in the analysis should generally be 
processed with the most recent version of AERMET. Estimated 
concentrations should include ambient background concentrations, should 
follow the form of the standard, and should be calculated as described 
in section 2.6.1.2 of the August 23, 2010 clarification memo on 
``Applicability of Appendix W Modeling Guidance for the 1-hr 
SO2 National Ambient Air Quality Standard'' (EPA, 2010a).

IV. Review of Indiana's Modeled Attainment Plans

    The following discussion evaluates various features of the modeling 
that Indiana used in its attainment demonstrations.

A. Model Selection

    Indiana's attainment demonstrations used AERMOD, the preferred 
model for these applications as identified in appendix W to CFR part 
51. Indiana used version 14134 of this model, utilizing the regulatory 
default mode for all air quality modeling runs. This version of AERMOD 
was the most recent version at the time the state conducted its 
nonattainment planning; and, in any case, the results of this version 
are likely to be similar to those that more recent versions would 
provide. Therefore, EPA finds the use of this version of AERMOD 
acceptable.

[[Page 40491]]

    The receptor grids and modeling domain followed the recommended 
approaches from appendix W, Guidelines on Air Quality Models. Receptor 
spacing for each modeled facility fence line was every 50 meters with 
100-meter spacing of receptors out to a distance of 500 meters beyond 
each facility. The distances between modeled facilities contained 
receptors which were spaced at 100-meter intervals. The 100-meter 
spacing receptor grid contained in excess of several thousand receptors 
for each modeled nonattainment area. The above receptor spacing and 
facility fence line receptors brought the total modeled receptors for 
Marion County to 17,925 receptors, including two additional receptors 
placed at the Marion County SO2 monitor locations; Vigo 
County to 7,111 receptors, including two receptors at each of the Vigo 
County SO2 monitors; and Daviess and Pike to 5,354 
receptors, including two located at Daviess and Pike County 
SO2 monitors.
    Indiana did not assess impacts within any one facility's property 
from the emissions from other facilities. EPA reviewed Indiana's 
modeling results to assess whether any further modeling was warranted 
to evaluate impacts within of other facilities on any plant's property. 
For Southwest Indiana, peak impacts from the two facilities were well 
off any plant property, and therefore insufficient to cause a violation 
within each other's property. For the Terre Haute area, since the Duke 
Wabash River Power Plant and sgSolutions sources were adjacent, EPA 
conducted additional modeling that demonstrated that neither plant 
contributed to a violation within the other plant's property. Finally, 
in Indianapolis, EPA conducted additional modeling for the Vertellus 
and Rolls Royce facilities due to their proximity to one another and 
due to peak concentrations for both facilities occurring at their 
property boundaries. The analysis showed that collective impacts at on-
property receptors from the other source and from other sources in 
Marion County were below the NAAQS. Further description of EPA's review 
is provided in the technical support document available in the docket 
for this rulemaking.\4\ EPA finds that Indiana's receptor grids, 
supplemented with the results of EPA's additional analysis, are 
adequate for assessing whether the adopted limits provide for 
attainment throughout the respective areas.
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    \4\ June 27, 2018 Technical Support Document--``Evaluation of 
Concentrations on Facility Property Attributable to Nearby 
Sources''.
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    The appropriate rural or urban land classifications were selected 
by Indiana, with only the Indianapolis SO2 area being 
classified as urban. The remaining 1-hour SO2 nonattainment 
areas addressed in this action, in Southwest Indiana and Terre Haute, 
were modeled as rural. While Indiana's submittal does not discuss the 
rationale for these determinations, EPA agrees that these selections 
appropriately characterize these areas. The Indianapolis area has 
historically been modeled using ``urban dispersion.'' This combined 
statistical area includes 2.3 million people, including Marion County, 
with just under 1 million people. The population density for Marion 
County is 917 people per square kilometer, and the modeled area is a 
relatively urban portion of the county, thus meeting the criterion in 
appendix W that areas with at least 750 people per square kilometer may 
be treated as urban. Conversely, Vigo, Pike, and Daviess Counties have 
population densities of 102, 13, and 42 people per square mile, 
respectively. Examination of satellite imagery for these areas confirms 
that a land use analysis of these areas would be expected to yield the 
same character of Indianapolis as urban and the other areas as rural. 
For Indianapolis, a population of 1,000,000 (reflecting the approximate 
population of Marion County) was used in AERMOD to characterize the 
strength of the urban heat island effect. The use of urban dispersion 
with a 1,000,000 population is appropriate for this modeling. For these 
reasons, EPA finds it appropriate to model these areas using the land 
classifications identified by Indiana.

B. Meteorological Data

    Indiana used the Indianapolis National Weather Service (NWS) 
surface data and the Lincoln, Illinois upper air station (WBAN#048233) 
data for Indianapolis and Terre Haute, and the Evansville NWS for 
surface data and the Lincoln upper air station data for Southwest 
Indiana. These are the closest National Weather Service surface 
stations to each respective area. The State determined these stations 
to be the most representative for the respective modeling domains. The 
upper air stations were chosen on the basis of regional 
representativeness. EPA finds Indiana's choices of surface and upper 
air meteorological stations appropriate based on: (1) The suitability 
of meteorological data for the study area; and (2) the actual 
similarity of surface conditions and surroundings at the emissions 
source/receptor impact area compared to the locations of the 
meteorological instrumentation towers.

C. Emissions Data

    Indiana modeled 14 sources in the three nonattainment areas of 
Indianapolis (6 sources), Southwest Indiana (2 sources), and Terre 
Haute (6 sources). The sources were physically located within the 
nonattainment area; Indiana excluded facilities that emitted less than 
ten tons per year, and Indiana found no sources outside the 
nonattainment areas with sufficient likely concentration gradient in 
the modeled area to warrant modeling explicitly. The emission limits 
used for the model for 12 of the sources correspond to the revised 
sulfur dioxide limitations on a 1-hour basis and are found in Indiana 
Administrative Code (IAC) Part 326, Article 7, and have been included 
by Indiana in this submission for SIP approval. The applicable emission 
limits for sgSolutions in Vigo County (Terre Haute) and IPL--Petersburg 
in Daviess County (Southwest Indiana) are established on a 30-day 
average basis and are lower than the modeled 1-hour attainment emission 
rates (the critical emission values) by virtue of application of 
adjustment factors determined and applied in accordance with the 2014 
SO2 Guidance. These limits are established and made 
enforceable in 326 IAC 7. EPA finds Indiana's choice of included 
sources appropriate, and finds that the modeled emission levels 
appropriately correspond to the limits given in 326 IAC 7, in the case 
of IPL--Petersburg and sgSolutions by modeling the 1-hour emission 
level that corresponds (before adjustment) to the 30-day average limit 
established in 326 IAC 7. Further discussion of the 30-day average 
limits is provided below.

D. 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 Indiana's plan relies on are 
expressed as 30-day average limits. Therefore, part of the review of 
Indiana'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 particular 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,

[[Page 40492]]

and the second subsection that follows addresses the 30-day average 
limits.
1. Enforceability
    In preparing its plans, Indiana adopted revisions to a previously 
approved state regulation governing emissions of SO2. These 
rule revisions were adopted by the Indiana Environmental Rules Board 
following established, appropriate public review procedures. In 
addition, the rule revisions provide unambiguous, permanent emission 
limits, expressed in lbs/hour of allowable SO2 emissions, 
that, if exceeded by a source, would be clear grounds for an 
enforcement action.
    The revised limits for significant contributing sources have a 
compliance date of January 1, 2017 and are codified in 326 IAC 7, 
titled ``Sulfur Dioxide Rules.'' Specifically, the list of rules is 
``Compliance date'' (326 IAC 7-1.1-3), ``Reporting requirements; 
methods to determine compliance'' (7-2-1), ``Marion County sulfur 
dioxide emission limitations'' (7-4-2.1), ``Vigo County sulfur dioxide 
emission limitations'' (7-4-3.1), and ``Pike County sulfur dioxide 
emission limitations'' (7-4-15). The rules also include associated 
monitoring, testing, and recordkeeping and reporting requirements. For 
example, continuous emission monitoring will be conducted for assessing 
compliance with the 30-day average limits. Specifically, 326 IAC 7-1-9 
is being replaced by 7-4-2.1 for Marion County and 326 IAC 7-1-10.1 is 
being replaced by 326 IAC 7-4-15 for Vigo County. EPA finds these 
limits to be enforceable. A summary of the limits is shown in Table 1.
    As shown in this table, the emission limits for sgSolutions Tail 
Gas Incinerator Stack EP1 and IPL-Petersburg Units 1-4 are expressed as 
30-day average limits. Other limits in the rule are expressed as 1-hour 
average limits. The limits are expressed as lbs/hour or pounds per 
million British Thermal Units (MMBTU). EPA's review of Indiana's 
nonattainment plan addresses the use of these limits, both with respect 
to the general suitability of using such limits in attainment 
demonstrations, and whether Indiana has demonstrated that the 
particular limits included in the plan provide for attainment. EPA 
addresses Indiana's use of a 30-day average emission limits below.

                               Table 1--Emission Limits in Submitted Indiana Rules
----------------------------------------------------------------------------------------------------------------
                                                                       Emission limit (lbs/hour)  Emission limit
                 Source                    Emission unit description     or other requirements      (lbs/MMBTU)
----------------------------------------------------------------------------------------------------------------
                        Marion County sulfur dioxide emission limitations 326 IAC 7-4-2.1
----------------------------------------------------------------------------------------------------------------
Citizens Thermal--Perry K Source ID No.   (A) Boiler 11.............  73.6......................             0.2
 00034.                                   (B) Boiler 13.............  80.6......................             0.2
                                          (C) Boiler 14.............  80.6......................             0.2
                                          (D) Boilers 12, 15, and 16  Burn natural gas..........  ..............
                                          (E) Boiler 17.............  72.6......................             0.3
                                          (F) Boiler 18.............  72.6......................             0.3
Belmont Advanced Wastewater Treatment     Incinerator 1, Incinerator  Comply with SO2 limit in    ..............
 Plant Source ID No. 00032.                2, Incinerator 3, and       40 CFR 60, subpart MMMM *
                                           Incinerator 4.              or 40 CFR 60, subpart
                                                                       LLLL *.
Rolls-Royce Source ID No. 00311.........  (A) Boiler 0070-58........  0.07......................          0.0015
                                          (B) Boiler 0070-59........  0.07......................          0.0015
                                          (C) Boiler 0070-62........  0.37......................          0.0015
                                          (D) Boiler 0070-63........  0.37......................          0.0015
                                          (E) Boilers 0070-64.......  Burn natural gas or                   0.01
                                                                       landfill gas.
                                          (F) Boiler 0070-65........  Burn natural gas or                   0.01
                                                                       landfill gas.
                                          (G) Generating Turbine      Burn natural gas or                   0.01
                                           0070-80.                    landfill gas.
                                          (H) 2 Gas Turbine Engines   ..........................             0.1
                                           0070-66.
                                          (I) 12 Gas Turbine Engines  ..........................            0.05
                                           0070-67.
                                          (J) 3 Gas Turbine Engines   ..........................            0.05
                                           0070-68c, 0070-68d, and
                                           0070-68e.
                                          (K) 2 Gas Turbine Engines   Burn natural gas..........  ..............
                                           0070-68a and 0070-68b.
                                          (L) 3 Gas Turbine Engines   ..........................            0.05
                                           0070-69.
                                          (M) Three Shack Heaters     Burn natural gas..........  ..............
                                           0070-70.
                                          (N) Rental Generators.....  ..........................          0.0015
                                          (O) Engine Test Cells       ..........................            0.05
                                           Plant 5.
                                          (P) Engine Test Cell Plant  ..........................             0.1
                                           8.
                                          (Q) Engine Test Cell N20..  18 foot vertical stack, if  ..............
                                                                       operating.
                                          (R) Engine Test Cell N21..  20 foot vertical stack, if  ..............
                                                                       operating.
                                          (S) Engine Test Cell N23..  30 foot vertical stack, if  ..............
                                                                       operating.
                                          (T) Engine Test Cell N24..  20 foot vertical stack, if  ..............
                                                                       operating.
Vertellus Agriculture and Nutrition       (A) 70K Boiler 70-2722W...  18.4......................            0.20
 Specialties Source ID No. 00315.         (B) 30K Boiler 30-2726S...  9.8.......................            0.25
                                          (C) 28K Boiler 28-186N....  9.9.......................            0.27
                                          (D) Boiler CB-70K.........  Burn natural gas..........  ..............
                                          (E) BM Furnace BM2724W....  1.1.......................            0.05
                                          (F) Box Furnace BX2707V...  0.8.......................            0.05
                                          (G) DAB Furnace 732714....  2.8.......................            0.05
                                          (H) Born Heater 722804....  0.34......................            0.05
                                          (I) Born Heater Furnace     0.3.......................            0.05
                                           BXS2706Q.
                                          (J) EP Furnace EP2729Q....  0.15......................            0.05
                                          (K) CB20 CB600-300 Boiler.  2.3.......................            0.09
                                          (L) 50K CN5-400 Boiler....  5.5.......................            0.09
                                          (M) BD Furnace BD2714V....  0.75......................            0.05

[[Page 40493]]

 
                                          (N) Heater BS2740Q........  0.3.......................            0.05
                                          (O) Heater BT2728S........  0.3.......................            0.05
                                          (P) Furnace HW-925.001....  12.25.....................            1.25
                                          (Q) CS Kettle Born Heater.  Burn natural gas..........  ..............
                                          (R) CS Still Born Heater..  Burn natural gas..........  ..............
                                          (S) Born Hot Oil Furnace    Burn natural gas..........  ..............
                                           (Process Heater) Unit
                                           2607T.
Quemetco Source ID No. 00079............  WESP Stack................  52.0......................  ..............
Indianapolis Power & Light Co.--Harding   (A) Boiler 9..............  Do not operate............  ..............
 Street Generating Station Source ID No.  (B) Boiler 10.............  Do not operate............  ..............
 00033.                                   (C) Boiler 50.............  Burn natural gas..........  ..............
                                          (D) Boiler 60.............  Burn natural gas..........  ..............
                                          (E) Boiler 70.............  Burn natural gas..........  ..............
                                          (F) Gas Turbine 1.........  29.9......................             0.1
                                          (G) Gas Turbine 2.........  29.9......................             0.1
                                          (H) Gas Turbine 4.........  87.5......................             0.1
                                          (I) Gas Turbine 5.........  86.7......................             0.1
                                          (J) Gas Turbine 6.........  Burn natural gas..........  ..............
                                          (K) Emergency Generator...  500 hour calendar year      ..............
                                                                       operating limit.
----------------------------------------------------------------------------------------------------------------
                            Vigo County sulfur dioxide limitations (326 IAC 7-4-3.1)
----------------------------------------------------------------------------------------------------------------
Wabash River Combined Cycle Source ID     Combustion Turbine Unit 1A  333.76....................           0.195
 No. 00147.
sgSolutions Source ID No. 00091.........  (A) Tail Gas Incinerator    230.6 *...................  ..............
                                           Stack EP1.
                                          (B) Process Flare Unit 2..  500 hour calendar year      ..............
                                                                       operating limit on coal/
                                                                       syngas.
SONY Digital Audio Disc Source ID No.     (A) #1 Kewanee Boiler.....  ..........................            0.05
 00032.                                   (B) #2 Kewanee Boiler.....  ..........................            0.05
                                          (C) Unit 3 Burnham Boiler.  ..........................            0.05
                                          (D) Unit 4 Burnham Boiler.  ..........................            0.05
                                          (E) Unit 5 Superior Boiler  ..........................            0.05
                                          (F) Unit 6 Superior Boiler  ..........................            0.05
                                          (G) Unit 18 Boiler........  ..........................            0.05
Taghleef Industries Source ID No. 00045.  (A) Clayton Boiler          0.03......................          0.0015
                                           (Standby).                 0.05......................          0.0015
                                          (B) Nebraska Boiler.......
                                          (C) Nebraska-D Boiler.....  Burn natural gas..........  ..............
Terre Haute Regional Hospital Source ID   (A) #1 Boiler.............  ..........................            0.45
 No. 00046.                               (B) New #2 Boiler.........  ..........................            0.45
Union Hospital Source ID No. 00047......  2 Keeler Boilers..........  ..........................            0.36
Duke Energy--Wabash River Generating      (A) Boiler 6..............  1,499.5...................             0.5
 Station Source ID No. 00021.             (B) Diesel Generators 7A,   500 hour calendar year                0.05
                                           7B, and 7C.                 operating limit (each).
----------------------------------------------------------------------------------------------------------------
                             Pike County sulfur dioxide limitations (326 IAC 7-4-15)
----------------------------------------------------------------------------------------------------------------
Hoosier Energy--Ratts Source ID No.       (A) Boiler 1..............  58........................            0.05
 00001.                                   (B) Boiler 2..............  58........................            0.05
                                          (C) No. 2 Auxiliary Boiler  1.0.......................            0.05
Indianapolis Power & Light--Petersburg    (A) Unit 1................  263.0 *...................          0.12 *
 Generating Station Source ID No. 00002.  (B) Unit 2................  495.4 *...................          0.12 *
                                          (C) Unit 3................  1,633.7 *.................          0.29 *
                                          (D) Unit 4................  1,548.2 *.................          0.28 *
                                          (E) Diesel Generators PB-   500 hour calendar year      ..............
                                           2, PB-3, and PB-4.          operating limit (each).
Indianapolis Power & Light--Petersburg    (A) Unit 1................  330.0.....................            0.15
 Generating Station Source ID No. 00002.  (B) Unit 2................  621.6.....................            0.15
                                          (C) Unit 3................  2,049.8...................            0.37
                                          (D) Unit 4................  1,942.5...................            0.35
                                          (E) Diesel Generators PB-   500 hour calendar year      ..............
                                           2, PB-3, and PB-4.          operating limit (each).
----------------------------------------------------------------------------------------------------------------
* Indicates emission limit for the unit is expressed as a 30-day average limit.

2. Longer Term Average Limits
    As noted above, the 2014 SO2 Guidance discusses the 
option to establish limits with averaging times up to 30 days in length 
that are comparably stringent to the 1-hour average limit that would 
otherwise have been set, and recommends a detailed procedure for 
determining such a comparably stringent limit. The Guidance also notes 
that it might be appropriate to establish supplemental limits in order 
to limit the

[[Page 40494]]

magnitude and/or frequency of elevated emissions, as a means of further 
reducing the likelihood of elevated emissions occurring on those 
occasions when the meteorology is conducive to high concentrations of 
SO2.
    For both IPL-Petersburg and sgSolutions, Indiana closely followed 
the six-step recommendation of the 2014 SO2 Guidance in 
determining an appropriate level for the 30-day average limits. As a 
first step in each case, Indiana conducted modeling which determined 
the 1-hour emission limit that would provide for attainment. Indiana 
conducted a series of modeling runs identifying baseline allowable air 
quality (in absence of emission reductions), evaluating the air quality 
consequences of feasible emission reductions, and ultimately 
identifying a set of reduced allowable emission levels that would 
provide for attainment. For IPL-Petersburg, these quantities were 
expressed in lbs/MMBTU, and may be termed the critical emissions rates. 
The critical emission rates were 0.15, 0.15, 0.37, and 0.35 lbs/MMBTU, 
for IPL-Petersburg Units 1-4 respectively. For sgSolutions, Indiana 
determined a critical emission level of 527 lbs/hour.
    For the second step of the process, for IPL-Petersburg, Indiana 
compiled representative emissions data sets from the IPL-Petersburg 
Unit 2 Flue Gas Desulfurization stack, which is the same control 
technology IPL-Petersburg will use for Units 1,3, and 4 in order to 
meet the emission limits associated with attaining the 2010 
SO2 NAAQS. Indiana used data compiled from 2006-2010 for the 
stack. For sgSolutions, Indiana used the data from the Tail Gas 
Incinerator from 2009-2014 scaled to fewer operating hours to create 
the emissions data set.
    The third step was calculating the 30-day rolling averages. The 
analysis for IPL-Petersburg assessed the variability of the emission 
rate. The 30-day average rate was calculated by summing the pounds 
SO2 per hour values over the previous 720 hours (30 days) 
and dividing by the sum of the MMBTU per hour over the past 720 hours, 
yielding a separate 30-day average pounds of SO2 per MMBTU 
for each successive ending hour. Using this calculation ensured that 
any hours showing zero emissions did not affect the calculations. This 
calculation is consistent with the procedures used in determining 
compliance with the Mercury and Air Toxics Standard (MATS) rule, as 
recommended in appendix C of the 2014 EPA SO2 Guidance. The 
analysis for sgSolutions used statistics on the hourly mass emission 
rate and the corresponding 720-hour average hourly emission rate.
    The fourth step determined 99th percentile values for the 1-hour 
values and 30-day average values. The 1-hour values were determined by 
compiling the values in step 2 over the five-year period. The result 
for the 99th percentile 30-day average was determined from the 
calculations in step 3. For IPL-Petersburg, the 99th percentile of 1-
hour values was 0.233 lbs/MMBTU, and the 99th percentile of 30-day 
average values was 0.185 lbs/MMBTU. For sgSolutions, the 99th 
percentile values were 139 and 60.7 lbs/hour among 1-hour and 30-day 
average values, respectively. In the fifth step the ratio of the values 
was calculated by dividing the 99th percentile values for the 30-day 
rolling data and the 1-hour data identified in the fourth step. For 
IPL-Petersburg the result was an adjustment factor of 79.7 percent, and 
for sgSolutions the result was an adjustment factor of 43.6 percent. 
The final step multiplied the modeled critical emissions values 
calculated in the first step by the adjustment factors calculated in 
the fifth step. This resulted in 30-day average limits of 0.12, 0.12, 
0.29, and 0.35 lbs/MMBTU for IPL-Petersburg Units 1-4 respectively and 
230.6 lbs/hr for sgSolutions.
    Based on a review of the state's submittal, these limits provide a 
reasonable alternative to establishing a per hour 1-hour average 
emission limit for this source. The state used an appropriate database 
and then 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 are higher than the level that would be allowed under 
the 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 noted above, the April 2014 Guidance recommends that 30-day 
average limits be accompanied by supplemental limits that help serve to 
minimize the frequency and/or magnitude of occasions with elevated 
emissions. Indiana did not use supplemental limits. Therefore, EPA 
examined available emissions data at IPL-Petersburg and at sgSolutions 
to evaluate the likely frequency and magnitude of spikes in emissions 
above the critical emission value while nevertheless complying with the 
30-day average limit. The most pertinent data for IPL-Petersburg are 
for Unit 2, addressing a five-year time period before the relevant 
limit became effective. Approximately seven percent of available 30-day 
average values in this data set exceeded the 30-day average limit of 
0.12 lbs/MMBTU. In this data set, approximately six percent of the 
hourly emissions values exceeded the critical emission rate of 0.15 
lbs/MMBTU; these elevated values on average were approximately 34 
percent above 0.15 lbs/MMBTU. Reduction of emissions sufficient to meet 
the 0.12 lbs/MMBTU limit consistently would reduce the frequency and 
magnitude of hourly emissions values above the 0.15 lbs/MMBTU critical 
emissions rate, although the precise levels are difficult to predict. 
For sgSolutions, over a six-year period, in a data set with no 
exceedances of the 30-day average limit of 230.6 lbs/hour (in which, in 
fact, only one day had daily average emissions above 230.6 lbs/hour), 
only seven hours (approximately 0.02 percent of the hours) exceeded the 
critical emission value of 527 lbs/hour, and the magnitude of these 
exceedances on average was only nine percent above the critical 
emission value. Based on these data, EPA finds that the 30-day average 
limit without supplemental limits should suffice in these cases to 
provide adequate assurance of attainment.
    For IPL-Petersburg, Indiana's rule identifies both a set of 30-day 
average limits and a corresponding set of 1-hour limits (the latter set 
at the critical emission value) for the four units of this facility. 
Indiana's rule specifies, ``Indianapolis Power & Light shall notify the 
department prior to [January 1, 2017] to indicate if compliance . . . 
will be determined using [the specified 1-hour limits or the specified 
30-day average limits] and prior to switching [which set of limits 
applies].'' Given this potential under Indiana's rules for IPL to 
choose to switch back and forth between a set of 30-day average limits 
and a set of 1-hour limits, EPA conducted additional review of the 
enforceability of the limits and of whether the potential to switch 
limits might adversely affect the degree to which these limits assure 
attainment.
    Regarding enforceability, the primary question is whether at any 
time the applicable requirements are unequivocally clear, such that the 
occurrence of emissions above the specified level unquestionably 
constitutes noncompliance. Since the limits themselves are clearly 
specified in Indiana's rule, the pertinent question is whether the 
choice of limits is clear, i.e. whether it is always clear whether the 
30-day average limits or the 1-hour

[[Page 40495]]

limits apply. As noted above, Indiana's rule requires IPL-Petersburg to 
notify the state of its initial choice of applicable limits and to 
notify the state of any choice IPL makes to switch applicable limits. 
Thus, pursuant to the requirements of the rule, the applicable set of 
limits is always specified, Indiana always knows which set of limits 
applies, and this information is available to EPA and any other 
interested party upon request to Indiana.
    EPA also evaluated whether the option to switch applicable limits 
might yield less air quality protection than permanently imposing 30-
day average limits or permanently imposing 1-hour limits. At any given 
time, IPL is subject to a single set of limits; IPL cannot excuse 
noncompliance with the applicable limits even if it is meeting the 
alternative limits. Therefore, IPL does not have the option to choose 
limits contemporaneously according to a short-term judgment as to which 
set of limits is less stringent for that time period. Instead, IPL must 
design its control strategy to meet the limits with the chosen 
averaging time rather than to aim simply to meet whichever set of 
limits might be less stringent for any particular period.
    A further question about switching limits is whether applying 1-
hour limits for part of a year and longer-term limits for another part 
of the year provides as much air quality protection as applying a 
single set of limits for the entire year. Use of long term average 
limits creates the potential for periods with elevated emissions that 
may yield additional, unmodeled exceedances (i.e., exceedances beyond 
those identified in modeling of constant emissions), but also creates a 
compensating likelihood of avoiding some of the modeled exceedances 
because the downward adjusted long-term average limit requires 
emissions to be lower most of the time. At issue here is the risk that 
in a year when both types of limits apply, the periods subject to 30-
day average limits might have additional, unmodeled exceedances while 
the periods subject to 1-hour limits might not avoid any of the 
exceedances found in constant emissions modeling.
    For several reasons, EPA believes that this concern does not apply 
in this case. Indiana's rule requires IPL to notify Indiana before any 
change in limits and, in the case of a switch from 30-day average 
limits to one-hour limits, to complete a 30-day period in compliance 
with the 30-day average limits before the one-hour limits take effect. 
IPL cannot change the applicable limits retroactively. While IPL may 
change the prospective applicable set of limits if it anticipates 
significant changes in operations, the experience to date is that IPL 
has made no switches in the selection since electing the 30-day average 
in January 2017, and nothing in the record suggests that IPL is likely 
to switch which limits apply in the future. For these reasons, EPA 
believes that Indiana's limits for IPL are an appropriate part of an 
attainment plan for Southwest Indiana that provide for attainment, most 
likely by requiring compliance with an appropriately adjusted set of 
30-day average limits.
    The issue of switching limits does not apply to sgSolutions; this 
source is permanently subject to a 30-day average limit. EPA believes 
that the 30-day average limits for IPL-Petersburg and sgSolutions are 
appropriate elements of Indiana's attainment plans for the applicable 
areas.

E. Background Concentrations

    Indiana determined background concentrations by selecting the 99th 
percentile of a monitoring data set that excluded values from emission 
sources where the upwind SO2 concentration exceeded 10 ppb. 
For Indianapolis, the background concentration was generated using the 
hourly concentrations from the Harding Street monitor (18-097-0057). At 
the time Indiana conducted its analysis this was the only suitable 
background monitor. The monitor is sited about four kilometers 
northeast of the Indianapolis Power and Light-Harding Station source. 
For the determination of a background value Harding Station Power Plant 
was considered a nearby source and was expressly included in the 
modeling analysis, and so Indiana determined the Indianapolis 
background concentration from a Harding Street data set that excluded 
values during hours with winds from the south and southwest. The 
resulting background concentration was 22.5 micrograms per cubic meter 
([micro]g/m\3\) (8.6 ppb).
    In the Southwest Indiana area there are two monitors, one located 
in each of Pike and Daviess counties. The monitor with the highest 
background concentration is the Arda Lane monitor located in Pike 
County (18-125-0005) with a value of 25.9 [micro]g/m\3\ (9.9 ppb). The 
monitor is sited about 1 kilometer to the south of IPL-Petersburg 
source and about 1.5 kilometers east of the Hoosier Plant. Indiana 
considered these two sources nearby, and determined a background 
concentration from a data set that excluded data when winds were from 
the northwest. There are two monitors located in the Terre Haute 
nonattainment area, both in Vigo County.
    For the Vigo County analysis, the controlling monitor (i.e., 
highest design value over the 2011-2013 period), Harrison Road monitor 
(18-125-0005) was used. The monitor is sited approximately 2.5 
kilometers southeast of the Duke Energy-Wabash River facility, which 
Indiana considered nearby, so Indiana determined background 
concentrations from a data set that excluded data when winds were from 
the northwest. The result was a background concentration of 23.0 
[micro]g/m\3\ (8.8 ppb). EPA has reviewed these background 
concentrations and finds these values appropriate as model inputs.

F. Comments Made During State Rulemaking

    During the preparation of its nonattainment plans, Indiana received 
and responded to a number of comments by, among others, EPA and the 
Sierra Club that EPA believes warrant further discussion in this 
action.
    The first comment from EPA to Indiana pertained to the IPL-
Petersburg facility having a choice between hourly and 30-day average 
limits in the Pike county emission limit rules, and requesting that 
Indiana assure clarity as to which limits apply, by including explicit 
requirements for reporting and recordkeeping to which limits apply.
    Indiana responded to the comment by adding language at 326 IAC 7-4-
15(e) requiring the source to notify IDEM when switching from one set 
of limits to the other. For any switch from the 1-hour limits to the 
30-day average limits, IDEM's final rule requires compliance with the 
1-hour limit until the first 30-day average emission rate is calculated 
so that there is no gap in compliance. EPA agrees that this change in 
the rulemaking ensures clear compliance requirements and establishes 
the 30-day average limit (when applicable) in a manner (consistently 
requiring a reduced level of emissions) that provides the full 
protection against violations recommended in EPA's guidance.
    Sierra Club expressed concerns about the Duke Energy facility in 
Gibson County (``Gibson''), commenting that Indiana should have modeled 
Gibson explicitly. Indiana responded that emissions reductions from the 
sources located within Pike and Daviess County nonattainment area were 
the most responsible for bringing the area into attainment. Other 
SO2 sources in surrounding counties are accounted for within 
the representative 1-hour SO2

[[Page 40496]]

background concentration. EPA notes that the criterion recommended in 
appendix W of 40 CFR 51 for sources to be modeled explicitly are those 
nearby sources that are not adequately represented by ambient 
monitoring data, such as sources that cause a significant concentration 
gradient in the vicinity of the area of interest. Gibson is about 46 
kilometers southwest of the Southwest Indiana nonattainment area. At 
this distance, concentration gradients may be presumed to be quite 
small, and the impacts of Gibson may reasonably be considered accounted 
for in the background concentration for the Southwest Indiana 
nonattainment area. Thus, EPA agrees with Indiana's conclusion that any 
impact from Gibson on the Southwest Indiana nonattainment area is 
appropriately captured in the background concentration for the 
Southwest Indiana nonattainment area, such that explicit modeling of 
this facility is unnecessary.
    In a related comment, Sierra Club commented that Indiana needed to 
impose SO2 limits on the Duke Energy facility in order to 
ensure that the Southwest Indiana nonattainment area (Daviess and Pike 
counties) attained the standard. Indiana's attainment demonstration for 
the Southwest Indiana nonattainment area did not depend on emission 
limits for Gibson. Appendix W specifies the recommended consideration 
of emission limits for sources that are required to be explicitly 
modeled in the attainment demonstration. Sources such as Gibson that 
are accounted for as part of the monitored background concentration 
need not be modeled explicitly (as noted above) and in particular need 
not be considered on the basis of allowable emissions. That is, 
Appendix W advises consideration of distant sources such as Gibson on 
the basis of available monitoring data, irrespective of any limits on 
Gibson emissions that may apply. Indiana's modeling analysis, in 
accordance with appendix W, demonstrates that the Southwest Indiana 
nonattainment area can be expected to attain the standard without 
regard to whether emission limits for Gibson are established. Thus, 
Indiana's SIP submission is approvable without limits for Gibson.
    Also, several utility groups commented that Indiana should use a 
compliance date of October 1, 2017, which would allow for twelve months 
of data to demonstrate attainment of the standard prior to the October 
2018 attainment deadline. Indiana chose instead to adopt its proposed 
compliance date of January 1, 2017. This compliance date was 
recommended in the 2014 EPA Guidance because monitoring site data are 
certified annually on a calendar year, not a 12-month time span, so 
compliance by January 1, 2017 is recommended to provide for a calendar 
year of data for later informing whether timely attainment has 
occurred. EPA supports the decision made by Indiana to require 
compliance with the new limits by January 1, 2017.

G. Summary of Results

    The final dispersion modeling results submitted by Indiana show 
design values, as provided in Table 2 below, that are less than 75 ppb. 
Therefore, Indiana's modeling analysis demonstrates attainment of the 
2010 SO2 NAAQS for the Indianapolis, Southwest Indiana, and 
Terre Haute areas. EPA believes that Indiana's modeling appropriately 
reflects allowable emissions in these areas, including, for sources 
subject to 30-day average limits, the 1-hour emission rates that upon 
appropriate adjustment correspond to the 30-day average limits that 
Indiana has adopted. EPA has reviewed Indiana's attainment 
demonstrations, agrees with Indiana's submitted results, and proposes 
to determine that the enforceable measures in Indiana's plans provide 
for attainment of the 2010 primary SO2 NAAQS in the 
Indianapolis, Southwest Indiana, and Terre Haute nonattainment areas.

                                 Table 2--1-Hour SO2 Dispersion Modeling Results
----------------------------------------------------------------------------------------------------------------
                                                                                     Southwest
                            Area name                              Indianapolis       Indiana       Terre Haute
----------------------------------------------------------------------------------------------------------------
Modeled Concentration (ppb).....................................            64.4            64.9            63.8
Background Concentration (ppb)..................................             8.6             9.9             8.8
                                                                 -----------------------------------------------
    Total Concentration (ppb)...................................              73            74.8            72.6
----------------------------------------------------------------------------------------------------------------

V. Review of Other Plan Requirements

A. Emissions Inventory

    The emissions inventory and source emission rate data for an area 
serve as the foundation for air quality modeling and other analyses 
that enable states to: (1) Estimate the degree to which different 
sources within a nonattainment area contribute to violations within the 
affected area; and (2) assess the expected improvement in air quality 
within the nonattainment area due to the adoption and implementation of 
control measures. As noted above, the state must develop and submit to 
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).
    Indiana provided a comprehensive, accurate, and current inventory 
of SO2 emissions for Marion (Indianapolis), Daviess and Pike 
(Southwest Indiana), and Vigo counties (Terre Haute). The following 
source categories were included: Electric-generating units (EGUs), non-
EGUs (point), non-point (area), non-road, and on-road sources of 
SO2 and are summarized in Table 3. Indiana uploads point 
source emissions to the National Emissions Inventory (NEI) annually. 
For the 2011 base year inventory, emissions from EGU and non-EGUs are 
actual reported emissions. Data for airport, area, non-road, and on-
road emissions were compiled from the EPA Emissions Modeling 
Clearinghouse (SO2 NAAQS Emissions Modeling platform 2007/
2007v5) for the 2008 NEI and the 2018 projected inventory year. Data 
were interpolated between 2008 and 2014 to determine the airport, area, 
non-road, and on-road emissions 2011 inventory and between 2014-2020 
for 2018. As noted above, these inventories addressed sources within 
each nonattainment county and can be found in appendix H of the 
submitted attainment demonstration. Indiana also provided modeling 
inputs that include a listing of the individual sources with sufficient 
proximity to and impact on the nonattainment areas to warrant being 
explicitly included in the modeling analysis.

[[Page 40497]]



                                    Table 3--2011 Actual Emissions Inventory
----------------------------------------------------------------------------------------------------------------
                                                   Marion          Daviess
                                               (Indianapolis)     (southwest    Pike (southwest    Vigo (Haute
                                                   (tpy)        Indiana) (tpy)   Indiana) (tpy)    Terre) (tpy)
----------------------------------------------------------------------------------------------------------------
EGU.........................................        18,998.02                0        34,728.99        55,782.42
Point.......................................         4,582.46             8.39             2.74           102.79
Area........................................           193.21            55.63            13.60            32.51
Non-road....................................           125.37             1.23             1.38             9.42
On-road.....................................           121.88             3.14             1.85            13.72
----------------------------------------------------------------------------------------------------------------

    By providing a comprehensive, accurate, and current inventory of 
SO2 emissions for Marion, Pike, Daviess, and Vigo counties, 
Indiana has met the emission inventory requirement of CAA section 
172(c)(3) for the Indianapolis, Southwest Indiana, and Terre Haute 
areas. This inventory represents emissions in 2011, a time when the 
areas were violating the standard. While section 172(c)(3) does not 
have a formal requirement for an attainment year inventory, the state 
did include allowable attainment year emissions in its modeling 
analysis.

B. RACM/RACT

    In its submission, Indiana discusses its rationale for concluding 
that the nonattainment plans meet the RACM/RACT requirements in 
accordance with EPA guidance. For most criteria pollutants, RACT is 
control technology as needed to meet the NAAQS that is reasonably 
available considering technological and economic feasibility. However, 
Indiana cites EPA guidance that the definition of RACT for 
SO2 is, simply, ``that control technology which is necessary 
to achieve the NAAQS (40 CFR 51.1 00(o))''. Indiana in fact requires 
the control technology that modeling shows to be necessary to ensure 
attainment of the SO2 NAAQS by the applicable attainment 
date.
    Additionally, the Indiana submission includes limits for the 
individual units in the nonattainment areas. The limits are established 
in the attainment demonstration, and made permanent and enforceable in 
SIP rule 326 IAC 7, Sulfur Dioxide Rules.
    Indiana has determined that these measures suffice to provide for 
timely attainment. EPA concurs and proposes to conclude that the state 
has satisfied the requirements in sections 172(c)(1) and (6) to adopt 
and submit all RACT/RACM and emission limitations and control measures 
as needed to attain the standards as expeditiously as practicable.

C. New Source Review (NSR)

    EPA approved Indiana's nonattainment new source review rules on 
October 7, 1994 (94 FR 24838). These rules provide for appropriate new 
source review for SO2 sources undergoing construction or 
major modification in the Indianapolis, Southwest Indiana, and Terre 
Haute without need for modification of the approved rules. Therefore, 
EPA concludes that this requirement has already been met for these 
areas.

D. RFP

    Indiana's adopted rules in 326 IAC 7 require that control measures 
be implemented no later than January 1, 2017. Indiana has concluded 
that this plan requires that affected sources implement appropriate 
control measures as expeditiously as practicable in order to ensure 
attainment of the standard by the applicable attainment date. Indiana 
concludes that this plan therefore provides for RFP in accordance with 
the approach to RFP described in EPA's guidance. EPA concurs and 
proposes to conclude that the plan provides for RFP.

E. Contingency Measures

    In its November 15, 2017 clarification memo, Indiana explained its 
rationale for concluding that the plans met the requirement for 
contingency measures in accordance with EPA guidance. Specifically, 
Indiana relies on EPA's guidance, noting the special circumstances that 
apply to SO2 (as discussed above), and explaining on that 
basis why the contingency requirement in CAA section 172(c)(9) is met 
for SO2 by having a comprehensive program to identify 
sources of violations of the SO2 NAAQS and to undertake an 
aggressive follow-up for compliance and enforcement of applicable 
emissions limitations. Indiana stated that it has such an enforcement 
program as codified in Indiana Code Title 13, Articles 14 and 15, 
identifying violators and taking prompt, appropriate enforcement 
action. On this basis, EPA concludes that Indiana's nonattainment plans 
satisfy contingency measure requirements for the Indianapolis, 
Southwest Indiana, and Terre Haute nonattainment areas.
    Indiana's rules also provide for additional contingency measures as 
necessary, following a review of any air quality problems that become 
identified and following a review of options for mitigating the 
problems that arise. However, Indiana is not relying on these 
provisions to satisfy the requirements for contingency measures.

VI. EPA's Proposed Action

    EPA is proposing to approve Indiana's SIP submission, which the 
state submitted to EPA on October 2, 2015, for attaining the 2010 1-
hour SO2 NAAQS for the Indianapolis, Southwest Indiana, and 
Terre Haute areas.
    These SO2 nonattainment plans include Indiana's 
attainment demonstration for the Indianapolis, Southwest Indiana, and 
Terre Haute SO2 nonattainment areas. These nonattainment 
plans also address requirements for emission inventories, RACT/RACM, 
RFP, and contingency measures. Indiana has previously addressed 
requirements regarding nonattainment area NSR. EPA has determined that 
Indiana's SO2 nonattainment plans for Indianapolis, 
Southwest Indiana, and Terre Haute meet the applicable requirements of 
CAA sections 110, 172, 191, and 192. EPA is taking no action at this 
time on Indiana's submittal with respect to Morgan County.
    EPA is taking public comments for thirty days following the 
publication of this proposed action in the Federal Register. We will 
take all comments into consideration in our final action.

VII. Incorporation by Reference

    In this rule, 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 Indiana Administrative Code, Title 326, Article 7, 
``Compliance date'' (326 IAC 7-1.1-3), ``Reporting requirements; 
methods to determine compliance'' (7-2-1), ``Marion County sulfur 
dioxide emission limitations'' (7-4-2.1), ``Vigo County sulfur dioxide 
emission

[[Page 40498]]

limitations'' (7-4-3.1), and ``Pike County sulfur dioxide emission 
limitations'' (7-4-15), effective January 1, 2107. EPA has made, and 
will continue to make, these documents generally available through 
www.regulations.gov, and at the EPA Region 5 Office. (Please contact 
the person identified in the For Further Information Contact section of 
this preamble for more information.)

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. 42 U.S.C. 7410(k); 40 CFR 52.02(a). Thus, in 
reviewing SIP submissions, EPA's role is to approve state choices, 
provided that they meet the criteria of the CAA. Accordingly, this 
proposed action merely approves state law as meeting Federal 
requirements and does not impose additional requirements beyond those 
imposed by state law. For that reason, this proposed action:
     Is not a ``significant regulatory action'' subject to 
review by the Office of Management and Budget under Executive Order 
12866 58 FR 51735, October 4, 1993) and 13563 (76 FR 3821, January 21, 
2011);
     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).
    In addition, the SIP is not approved to apply on any Indian 
reservation land or in any other area where EPA or an Indian tribe has 
demonstrated that a tribe has jurisdiction. In those areas of Indian 
country, the rule does not have tribal implications and will not impose 
substantial direct costs on tribal governments or preempt tribal law as 
specified by Executive Order 13175 (65 FR 67249, November 9, 2000).

List of Subjects in 40 CFR Part 52

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

    Dated: August 2, 2018.
Cathy Stepp,
Regional Administrator, Region 5.
[FR Doc. 2018-17582 Filed 8-14-18; 8:45 am]
 BILLING CODE 6560-50-P



                                                                     Federal Register / Vol. 83, No. 158 / Wednesday, August 15, 2018 / Proposed Rules                                            40487

                                                 obtained. Additional information                        Indiana’s attainment demonstration and                Chicago, Illinois 60604, (312) 886–3901,
                                                 regarding how to submit comments                        other elements required under the Clean               becker.michelle@epa.gov.
                                                 online can be found at: http://                         Air Act (CAA). In addition to an                      SUPPLEMENTARY INFORMATION:
                                                 www.prc.gov/how-to-participate. All                     attainment demonstration, the                         Throughout this document whenever
                                                 comments accepted will be made                          nonattainment plan addresses the                      ‘‘we,’’ ‘‘us,’’ or ‘‘our’’ is used, we mean
                                                 available on the Commission’s website,                  requirement for meeting reasonable                    EPA. The following outline is provided
                                                 http://www.prc.gov.                                     further progress (RFP) toward                         to aid in locating information in this
                                                    Pursuant to 39 U.S.C. 505, Kenneth E.                attainment of the NAAQS, reasonably                   preamble.
                                                 Richardson is designated as an officer of               available control measures and
                                                 the Commission (Public Representative)                  reasonably available control technology               Table of Contents
                                                 to represent the interests of the general               (RACM/RACT), base-year and                            I. Why was Indiana required to submit an
                                                 public in this proceeding.                              projection-year emission inventories,                       SO2 plan for Indianapolis, Southwest
                                                    It is ordered:                                       enforceable emissions limitations and                       Indiana, and Terre Haute?
                                                    1. Interested persons may submit                     control measures, and contingency                     II. Requirements for SO2 Nonattainment Area
                                                 initial comments no later than 60 days                  measures. EPA proposes to conclude                          Plans
                                                 from the date of the publication of this                that Indiana has appropriately                        III. Requirements for Attainment
                                                                                                                                                                     Demonstrations and Longer-Term
                                                 document in the Federal Register.                       demonstrated that the plan provisions                       Averaging
                                                    2. Pursuant to 39 U.S.C. 505, the                    provide for attainment of the 2010 SO2                IV. Review of Indiana’s Modeled Attainment
                                                 Commission appoints Kenneth R.                          NAAQS in the Indianapolis, Southwest                        Plans
                                                 Moeller to serve as an officer of the                   Indiana, and Terre Haute areas by the                    A. Model Selection
                                                 Commission (Public Representative) to                   applicable attainment date and that the                  B. Meteorological Data
                                                 represent the interests of the general                  plan meets the other applicable                          C. Emissions Data
                                                 public in this docket.                                  requirements under the CAA.                              D. Emission Limits
                                                    3. The Secretary shall arrange for                                                                            1. Enforceability
                                                                                                         DATES: Comments must be received on                      2. Longer Term Average Limits
                                                 publication of this Order in the Federal
                                                                                                         or before September 14, 2018.                            E. Background Concentrations
                                                 Register.
                                                                                                                                                                  F. Comments Made During State
                                                                                                         ADDRESSES:   Submit your comments,
                                                   By the Commission.                                                                                                Rulemaking
                                                                                                         identified by Docket ID No. EPA–R05–                     G. Summary of Results
                                                 Stacy L. Ruble,
                                                                                                         OAR–2015–0700 at http://                              V. Review of Other Plan Requirements
                                                 Secretary.                                              www.regulations.gov, or via email to                     A. Emissions Inventory
                                                 [FR Doc. 2018–17498 Filed 8–14–18; 8:45 am]             aburano.douglas@epa.gov. For                             B. RACM/RACT
                                                 BILLING CODE 7710–FW–P                                  comments submitted at Regulations.gov,                   C. New Source Review (NSR)
                                                                                                         follow the online instructions for                       D. RFP
                                                                                                         submitting comments. Once submitted,                     E. Contingency Measures
                                                 ENVIRONMENTAL PROTECTION                                comments cannot be edited or removed                  VI. EPA’s Proposed Action
                                                 AGENCY                                                  from Regulations.gov. For either manner               VII. Incorporation by Reference
                                                                                                                                                               VIII. Statutory and Executive Order Reviews
                                                                                                         of submission, EPA may publish any
                                                 40 CFR Part 52                                          comment received to its public docket.                I. Why was Indiana required to submit
                                                 [EPA–R05–OAR–2015–0700; FRL–9982–                       Do not submit electronically any                      an SO2 plan for Indianapolis,
                                                 28—Region 5]                                            information you consider to be                        Southwest Indiana, and Terre Haute?
                                                                                                         Confidential Business Information (CBI)                  On June 22, 2010, EPA promulgated a
                                                 Air Plan Approval; Indiana; Attainment                  or other information whose disclosure is              new 1-hour primary SO2 NAAQS of 75
                                                 Plan for Indianapolis, Southwest                        restricted by statute. Multimedia                     parts per billion (ppb), which is met at
                                                 Indiana, and Terre Haute SO2                            submissions (audio, video, etc.) must be              an ambient air quality monitoring site
                                                 Nonattainment Areas                                     accompanied by a written comment.                     when the 3-year average of the annual
                                                                                                         The written comment is considered the                 99th percentile of daily maximum 1-
                                                 AGENCY:  Environmental Protection
                                                                                                         official comment and should include                   hour average concentrations does not
                                                 Agency (EPA).
                                                                                                         discussion of all points you wish to                  exceed 75 ppb, as determined in
                                                 ACTION: Proposed rule.                                  make. EPA will generally not consider                 accordance with appendix T of 40 CFR
                                                 SUMMARY:    The Environmental Protection                comments or comment contents located                  part 50. See 75 FR 35520, codified at 40
                                                 Agency (EPA) is proposing to approve                    outside of the primary submission (i.e.               CFR 50.17(a)–(b). On August 5, 2013,
                                                 as a State Implementation Plan (SIP)                    on the web, cloud, or other file sharing              EPA designated a first set of 29 areas of
                                                 revision an Indiana submission to EPA                   system). For additional submission                    the country as nonattainment for the
                                                 dated October 2, 2015. The submission                   methods, please contact the person                    2010 SO2 NAAQS, including the
                                                 addresses attainment of the 2010 sulfur                 identified in the FOR FURTHER                         Indianapolis (Marion County), Morgan
                                                                                                         INFORMATION CONTACT section. For the
                                                 dioxide (SO2) national ambient air                                                                            County, Southwest Indiana (Daviess and
                                                 quality standard (NAAQS) for the                        full EPA public comment policy,                       Pike Counties), and Terre Haute (Vigo
                                                 Indianapolis (Marion County),                           information about CBI or multimedia                   County) areas within Indiana. See 78 FR
                                                 Southwest Indiana (Daviess and Pike                     submissions, and general guidance on                  47191, codified at 40 CFR part 81,
                                                 Counties), and Terre Haute (Vigo                        making effective comments, please visit               subpart C. These area designations were
                                                                                                         http://www2.epa.gov/dockets/
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                                                 County) areas. Indiana also submitted a                                                                       effective October 4, 2013. Section 191(a)
                                                 SIP revision request for the Morgan                     commenting-epa-dockets.                               of the CAA directs states to submit SIPs
                                                 County area. In this proposed action,                   FOR FURTHER INFORMATION CONTACT:                      for areas designated as nonattainment
                                                 EPA is not addressing the Morgan                        Michelle Becker, Life Scientist,                      for the SO2 NAAQS to EPA within 18
                                                 County portion of the SIP revision                      Attainment Planning and Maintenance                   months of the effective date of the
                                                 request, and will address it separately in              Section, Air Programs Branch (AR–18J),                designation, i.e., by no later than April
                                                 a future action. This plan (herein called               Environmental Protection Agency,                      4, 2015 in this case. Under CAA section
                                                 a ‘‘nonattainment plan’’) includes                      Region 5, 77 West Jackson Boulevard,                  192(a), the states are required to


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                                                 40488               Federal Register / Vol. 83, No. 158 / Wednesday, August 15, 2018 / Proposed Rules

                                                 demonstrate that their respective areas                 nonattainment plans, published on                     sufficiently specific and non-subjective
                                                 will attain the NAAQS as expeditiously                  October 5, 2017 at 82 FR 46434.                       so that two independent entities
                                                 as practicable, but no later than 5 years                  In order for EPA to fully approve a                applying the procedures would obtain
                                                 from the effective date of designation,                 SIP as meeting the requirements of CAA                the same result), and accountable
                                                 which is October 4, 2018.                               sections 110, 172 and 191–192 and                     (source specific limits must be
                                                    In response to the requirement for SO2               EPA’s regulations at 40 CFR part 51, the              permanent and must reflect the
                                                 nonattainment plan submittals, Indiana                  SIP for the affected area needs to                    assumptions used in the SIP
                                                 submitted nonattainment plans for the                   demonstrate to EPA’s satisfaction that                demonstrations).
                                                 Indianapolis, Morgan County,                            each of the aforementioned                               EPA’s April 2014 guidance
                                                 Southwest Indiana, and Terre Haute                      requirements have been met. Under                     recommends that the emission limits be
                                                 areas on October 2, 2015. EPA will                      CAA sections 110(l) and 193, EPA may                  expressed as short-term average limits
                                                 address the Morgan County portion of                    not approve a SIP that would interfere                (e.g., addressing emissions averaged
                                                 the submittal in a future action. The                   with any applicable requirement                       over one or three hours), but also
                                                 remainder of this preamble describes                    concerning NAAQS attainment and                       describes the option to utilize emission
                                                 the requirements that such plans must                   RFP, or any other applicable                          limits with longer averaging times of up
                                                 meet in order to obtain EPA approval,                   requirement, and no requirement in                    to 30 days so long as the state meets
                                                 provides a review of the state’s plans                  effect (or required to be adopted by an               various suggested criteria. See 2014
                                                 with respect to these requirements, and                 order, settlement, agreement, or plan in              guidance, pp. 22 to 39. The guidance
                                                 describes EPA’s proposed action on the                  effect before November 15, 1990) in any               recommends that—should states and
                                                 plans.                                                  area which is a nonattainment area for                sources utilize longer averaging times—
                                                                                                         any air pollutant, may be modified in                 the longer-term average limit should be
                                                 II. Requirements for SO2
                                                                                                         any manner unless it ensures equivalent               set at an adjusted level that reflects a
                                                 Nonattainment Area Plans
                                                                                                         or greater emission reductions of such                stringency comparable to the 1-hour
                                                    Nonattainment SIPs must meet the                     air pollutant.                                        average limit at the critical emission
                                                 applicable requirements of the CAA,                                                                           value shown to provide for attainment
                                                 specifically CAA sections 110, 172, 191                 III. Requirements for Attainment
                                                                                                                                                               that the plan otherwise would have set.
                                                 and 192. EPA’s regulations governing                    Demonstrations and Longer-Term                           The April 2014 guidance provides an
                                                 nonattainment SIPs are set forth at 40                  Averaging                                             extensive discussion of EPA’s rationale
                                                 CFR part 51, with specific procedural                      CAA sections 172(c)(1), 172(c)(6) and              for concluding that appropriately set
                                                 requirements and control strategy                       192(a) direct states with SO2 areas                   comparably stringent limitations based
                                                 requirements residing at subparts F and                 designated as nonattainment to                        on averaging times as long as 30 days
                                                 G, respectively. Soon after Congress                    demonstrate that the submitted plan                   can be found to provide for attainment
                                                 enacted the 1990 Amendments to the                      provides for attainment of the NAAQS.                 of the 2010 SO2 NAAQS. In evaluating
                                                 CAA, EPA issued comprehensive                           40 CFR part 51, subpart G further                     this option, EPA considered the nature
                                                 guidance on SIPs, in a document                         delineates the control strategy                       of the standard, conducted detailed
                                                 entitled the ‘‘General Preamble for the                 requirements that SIPs must meet, and                 analyses of the impact of use of 30-day
                                                 Implementation of Title I of the Clean                  EPA has long required that all SIPs and               average limits on the prospects for
                                                 Air Act Amendments of 1990,’’                           control strategies reflect four                       attaining the standard, and carefully
                                                 published at 57 FR 13498 (April 16,                     fundamental principles of                             reviewed how best to achieve an
                                                 1992) (General Preamble). Among other                   quantification, enforceability,                       appropriate balance among the various
                                                 things, the General Preamble addressed                  replicability, and accountability.                    factors that warrant consideration in
                                                 SO2 SIPs and fundamental principles for                 General Preamble, at 13567–68. SO2                    judging whether a state’s plan provides
                                                 SIP control strategies. Id., at 57 FR                   attainment plans must consist of two                  for attainment. Id. at pp. 22 to 39. See
                                                 13545–13549, 13567–13568. On April                      components: (1) Emission limits and                   also id. at Appendices B, C, and D.
                                                 23, 2014, EPA issued guidance for                       other control measures that assure                       As specified in 40 CFR 50.17(b), the
                                                 meeting the statutory requirements in                   implementation of permanent,                          1-hour primary SO2 NAAQS is met at an
                                                 SO2 SIPs submitted under the 2010                       enforceable and necessary emission                    ambient air quality monitoring site
                                                 NAAQS, in a document entitled,                          controls, and (2) a modeling analysis                 when the 3-year average of the annual
                                                 ‘‘Guidance for 1-Hour SO2                               which meets the requirements of 40 CFR                99th percentile of daily maximum 1-
                                                 Nonattainment Area SIP Submissions,’’                   part 51, appendix W which                             hour average concentrations is less than
                                                 available at https://www.epa.gov/sites/                 demonstrates that these emission limits               or equal to 75 parts per billion. In a year
                                                 production/files/2016-06/documents/                     and control measures provide for timely               with 365 days of valid monitoring data,
                                                 20140423guidance_nonattainment_                         attainment of the primary SO2 NAAQS                   the 99th percentile would be the fourth
                                                 sip.pdf. In this guidance EPA described                 as expeditiously as practicable, but by               highest daily maximum 1-hour value.
                                                 the statutory requirements for a                        no later than the attainment date for the             The 2010 SO2 NAAQS, including this
                                                 complete nonattainment area SO2 SIP,                    affected area. In all cases, the emission             form of determining compliance with
                                                 which includes: An accurate emissions                   limits and control measures must be                   the standard, was upheld by the U.S.
                                                 inventory of current emissions for all                  accompanied by appropriate methods                    Court of Appeals for the District of
                                                 sources of SO2 within the                               and conditions to determine compliance                Columbia Circuit in Nat’l Envt’l Dev.
                                                 nonattainment area; an attainment                       with the respective emission limits and               Ass’n’s Clean Air Project v. EPA, 686
                                                 demonstration; demonstration of RFP;                    control measures and must be                          F.3d 803 (D.C. Cir. 2012). Because the
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                                                 implementation of RACM (including                       quantifiable (i.e., a specific amount of              standard has this form, a single hourly
                                                 RACT); new source review (NSR);                         emission reduction can be ascribed to                 exceedance of the 75 ppb level does not
                                                 enforceable emissions limitations and                   the measures), fully enforceable                      create a violation of the standard.
                                                 control measures; and adequate                          (specifying clear, unambiguous and                    Instead, at issue is whether a source
                                                 contingency measures for the affected                   measurable requirements for which                     operating in compliance with a properly
                                                 area. A synopsis of these requirements                  compliance can be practicably                         set longer term average could cause
                                                 is also provided in the notice of                       determined), replicable (the procedures               hourly exceedances, and if so the
                                                 proposed rulemaking on the Illinois SO2                 for determining compliance are                        resulting frequency and magnitude of


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                                                                      Federal Register / Vol. 83, No. 158 / Wednesday, August 15, 2018 / Proposed Rules                                            40489

                                                 such exceedances, and in particular                     longer term average limit to be similar               70 ppb. Then suppose that the source
                                                 whether EPA can have reasonable                         to the emission profile of a source                   becomes subject to a 30-day average
                                                 confidence that a properly set longer                   subject to an analogous 1-hour average                emission limit of 700 pounds per hour
                                                 term average limit will provide that the                limit. EPA expects this similarity                    (lbs/hour). It is theoretically possible for
                                                 three-year average of the annual fourth                 because it has recommended that the                   a source meeting this limit to have
                                                 highest daily maximum hourly value                      longer-term average limit be set at a                 emissions that occasionally exceed 1000
                                                 will be at or below 75 ppb. A synopsis                  level that is comparably stringent to the             lbs/hour, but with a typical emissions
                                                 of how EPA judges whether such plans                    otherwise applicable 1-hour limit                     profile emissions would much more
                                                 ‘‘provide for attainment,’’ based on                    (reflecting a downward adjustment from                commonly be between 600 and 800 lbs/
                                                 modeling of projected allowable                         the critical emissions value) and that                hour. In this simplified example,
                                                 emissions and in light of the NAAQS’                    takes the source’s emissions profile into             assume a zero background
                                                 form for determining attainment at                      account. As a result, EPA expects either              concentration, which allows one to
                                                 monitoring sites, follows.                              form of emission limit to yield                       assume a linear relationship between
                                                    For plans for SO2 based on 1-hour                    comparable air quality.                               emissions and air quality. (A nonzero
                                                 emission limits, the standard approach                     Second, from a more theoretical                    background concentration would make
                                                 is to conduct modeling using fixed                      perspective, EPA has compared the                     the mathematics more difficult but
                                                 emission rates. The maximum emission                    likely air quality with a source having               would give similar results.) Air quality
                                                 rate that would be modeled to result in                 maximum allowable emissions under an                  will depend on what emissions happen
                                                 attainment (i.e., in an ‘‘average year’’ 1              appropriately set longer term limit, as               on what critical hours, but suppose that
                                                 shows three, not four days with                         compared to the likely air quality with               emissions at the relevant times on these
                                                 maximum hourly levels exceeding 75                      the source having maximum allowable                   5 days are 800 pounds/hour, 1,100 lbs/
                                                 ppb) is labeled the ‘‘critical emission                 emissions under the comparable 1-hour                 hour, 500 lbs/hour, 900 lbs/hour, and
                                                 value.’’ The modeling process for                       limit. In this comparison, in the 1-hour              1,200 lbs/hour, respectively. (This is a
                                                 identifying this critical emissions value               average limit scenario, the source is                 conservative example because the
                                                 inherently considers the numerous                       presumed at all times to emit at the                  average of these emissions, 900 lbs/
                                                 variables that affect ambient                           critical emission level, and in the                   hour, is well over the 30-day average
                                                 concentrations of SO2, such as                          longer-term average limit scenario, the               emission limit.) These emissions would
                                                 meteorological data, background                         source is presumed occasionally to emit               result in daily maximum 1-hour
                                                 concentrations, and topography. In the                  more than the critical emission value                 concentrations of 80 ppb, 99 ppb, 40
                                                 standard approach, the state would then                 but on average, and presumably at most                ppb, 67.5 ppb, and 84 ppb. In this
                                                 provide for attainment by setting a                     times, to emit well below the critical                example, the fifth day would have an
                                                 continuously applicable 1-hour                          emission value. In an ‘‘average year,’’               exceedance that would not otherwise
                                                 emission limit at this critical emission                compliance with the 1-hour limit is                   have occurred, but the third day would
                                                 value.                                                  expected to result in three exceedance                not have an exceedance that otherwise
                                                    EPA recognizes that some sources                     days (i.e., three days with hourly values             would have occurred, and the fourth
                                                 have highly variable emissions, for                     above 75 ppb) and a fourth day with a                 day would have had a concentration
                                                 example due to variations in fuel sulfur                maximum hourly value at 75 ppb. By                    below, rather than at 75 ppb. In this
                                                 content and operating rate, that can                    comparison, with the source complying                 example, the fourth highest maximum
                                                 make it extremely difficult, even with a                with a longer-term limit, it is possible              daily concentration under the 30-day
                                                 well-designed control strategy, to ensure               that additional exceedances would
                                                                                                                                                               average would be 67.5 ppb.
                                                 in practice that emissions for any given                occur that would not occur in the 1-
                                                                                                         hour limit scenario (if emissions exceed                 This simplified example illustrates
                                                 hour do not exceed the critical emission
                                                                                                         the critical emission value at times                  the findings of a more complicated
                                                 value. EPA also acknowledges the
                                                                                                         when meteorology is conducive to poor                 statistical analysis that EPA conducted
                                                 concern that longer-term emission limits
                                                                                                         air quality). However, this comparison                using a range of scenarios using actual
                                                 can allow short periods with emissions
                                                                                                         must also factor in the likelihood that               plant data. As described in Appendix B
                                                 above the ‘‘critical emissions value,’’
                                                                                                         exceedances that would be expected in                 of EPA’s April 2014 SO2 nonattainment
                                                 which, if coincident with
                                                 meteorological conditions conducive to                  the 1-hour limit scenario would not                   planning guidance, EPA found that the
                                                 high SO2 concentrations, could in turn                  occur in the longer-term limit scenario.              requirement for lower average emissions
                                                                                                         This result arises because the longer-                is highly likely to yield better air quality
                                                 create the possibility of a NAAQS
                                                                                                         term limit requires lower emissions                   than is required with a comparably
                                                 exceedance occurring on a day when an
                                                                                                         most of the time (because the limit is set            stringent 1-hour limit. Based on
                                                 exceedance would not have occurred if
                                                                                                         well below the critical emission value),              analyses described in appendix B of its
                                                 emissions were continuously controlled
                                                                                                         so a source complying with an                         2014 guidance, EPA expects that an
                                                 at the level corresponding to the critical
                                                                                                         appropriately set longer term limit is                emission profile with maximum
                                                 emission value. However, for several
                                                                                                         likely to have lower emissions at critical            allowable emissions under an
                                                 reasons, EPA believes that the approach
                                                                                                         times than would be the case if the                   appropriately set, comparably stringent
                                                 recommended in its guidance document
                                                                                                         source were emitting as allowed with a                30-day average limit is likely to have the
                                                 suitably addresses this concern. First,
                                                                                                         1-hour limit.                                         net effect of having a lower number of
                                                 from a practical perspective, EPA
                                                                                                            As a hypothetical example to                       exceedances and better air quality than
                                                 expects the actual emission profile of a
                                                                                                         illustrate these points, suppose a source             an emission profile with maximum
                                                 source subject to an appropriately set
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                                                                                                         that always emits 1000 pounds of SO2                  allowable emissions under a 1-hour
                                                   1 An ‘‘average year’’ is used to mean a year with     per hour, which results in air quality at             emission limit at the critical emission
                                                 average air quality. While 40 CFR 50 appendix T         the level of the NAAQS (i.e., results in              value. This result provides a compelling
                                                 provides for averaging three years of 99th percentile   a design value of 75 ppb). Suppose                    policy rationale for allowing the use of
                                                 daily maximum values (e.g., the fourth highest          further that in an ‘‘average year,’’ these            a longer averaging period, in
                                                 maximum daily concentration in a year with 365
                                                 days with valid data), this discussion and an
                                                                                                         emissions cause the 5 highest maximum                 appropriate circumstances where the
                                                 example below uses a single ‘‘average year’’ in order   daily 1-hour average concentrations to                facts indicate this result can be expected
                                                 to simplify the illustration of relevant principles.    be 100 ppb, 90 ppb, 80 ppb, 75 ppb, and               to occur.


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                                                 40490               Federal Register / Vol. 83, No. 158 / Wednesday, August 15, 2018 / Proposed Rules

                                                    The question then becomes whether                    provide for attainment (i.e., the critical            demonstration to offer adequately
                                                 this approach—which is likely to                        emission value), and applies an                       reliable assurance that the plan provides
                                                 produce a lower number of overall                       adjustment factor to determine the                    for attainment.
                                                 exceedances even though it may                          (lower) level of the longer-term average                 As stated previously, attainment
                                                 produce some unexpected exceedances                     emission limit that would be estimated                demonstrations for the 2010 SO2
                                                 above the critical emission value—                      to have a stringency comparable to the                NAAQS must demonstrate future
                                                 meets the requirement in sections                       otherwise necessary 1-hour emission                   attainment and maintenance of the
                                                 110(a)(1), 172(c)(1), 172(c)(6) and 192(a)              limit. This method uses a database of                 NAAQS in the entire area designated as
                                                 for SIPs to contain emissions limitations               continuous emission data reflecting the               nonattainment (i.e., not just at the
                                                 and control measures to ‘‘provide for                   type of control that the source will be               violating monitor) by using air quality
                                                 attainment’’ of the NAAQS. For SO2, as                  using to comply with the SIP emission                 dispersion modeling (see appendix W to
                                                 for other pollutants, it is generally                   limits, which (if compliance requires                 40 CFR part 51) to show that the mix of
                                                 impossible to design a nonattainment                    new controls) may require use of an                   sources and enforceable control
                                                 plan in the present that will guarantee                 emission database from another source.                measures and emission rates in an
                                                 that attainment will occur in the future.               The recommended method involves                       identified area will not lead to a
                                                 A variety of factors can cause a well-                  using these data to compute a complete                violation of the SO2 NAAQS. For a
                                                 designed attainment plan to fail and                    set of emission averages, computed                    short-term (i.e., 1-hour) standard, EPA
                                                 unexpectedly not result in attainment,                  according to the averaging time and                   believes that dispersion modeling, using
                                                 for example if meteorology occurs that                  averaging procedures of the prospective               allowable emissions and addressing
                                                 is more conducive to poor air quality                   emission limitation. In this                          stationary sources in the affected area
                                                 than was anticipated in the plan.                       recommended method, the ratio of the                  (and in some cases those sources located
                                                 Therefore, in determining whether a                     99th percentile among these long term                 outside the nonattainment area which
                                                 plan meets the requirement to provide                   averages to the 99th percentile of the 1-             may affect attainment in the area) is
                                                 for attainment, EPA’s task is commonly                  hour values represents an adjustment                  technically appropriate, efficient and
                                                 to judge not whether the plan provides                  factor that may be multiplied by the                  effective in demonstrating attainment in
                                                 absolute certainty that attainment will                 candidate 1-hour emission limit to                    nonattainment areas because it takes
                                                 in fact occur, but rather whether the                   determine a longer term average                       into consideration combinations of
                                                 plan provides an adequate level of                      emission limit that may be considered                 meteorological and emission source
                                                 confidence of prospective NAAQS                         comparably stringent.2 The guidance                   operating conditions that may
                                                 attainment. From this perspective, in                   also addresses a variety of related                   contribute to peak ground-level
                                                 evaluating use of a 30-day average limit,               topics, such as the potential utility of              concentrations of SO2.
                                                 EPA must weigh the likely net effect on                 setting supplemental emission limits,
                                                                                                                                                                  The meteorological data used in the
                                                 air quality. Such an evaluation must                    such as mass-based limits, to reduce the
                                                                                                                                                               analysis should generally be processed
                                                 consider the risk that occasions with                   likelihood and/or magnitude of elevated
                                                                                                                                                               with the most recent version of
                                                 meteorology conducive to high                           emission levels that might occur under
                                                                                                                                                               AERMET. Estimated concentrations
                                                 concentrations will have elevated                       the longer term emission rate limit.
                                                                                                            Preferred air quality models for use in            should include ambient background
                                                 emissions leading to exceedances that                                                                         concentrations, should follow the form
                                                 would not otherwise have occurred, and                  regulatory applications are described in
                                                                                                         Appendix A of EPA’s Guideline on Air                  of the standard, and should be
                                                 must also weigh the likelihood that the                                                                       calculated as described in section
                                                 requirement for lower emissions on                      Quality Models (40 CFR part 51,
                                                                                                         appendix W).3 In 2005, EPA                            2.6.1.2 of the August 23, 2010
                                                 average will result in days not having                                                                        clarification memo on ‘‘Applicability of
                                                 exceedances that would have been                        promulgated AERMOD as the Agency’s
                                                                                                         preferred near-field dispersion modeling              Appendix W Modeling Guidance for the
                                                 expected with emissions at the critical                                                                       1-hr SO2 National Ambient Air Quality
                                                 emissions value. Additional policy                      for a wide range of regulatory
                                                                                                         applications addressing stationary                    Standard’’ (EPA, 2010a).
                                                 considerations, such as in this case the
                                                 desirability of accommodating real                      sources (for example in estimating SO2                IV. Review of Indiana’s Modeled
                                                 world emissions variability without                     concentrations) in all types of terrain               Attainment Plans
                                                 significant risk of violations, are also                based on extensive developmental and
                                                                                                         performance evaluation. Supplemental                    The following discussion evaluates
                                                 appropriate factors for EPA to weigh in                                                                       various features of the modeling that
                                                 judging whether a plan provides a                       guidance on modeling for purposes of
                                                                                                         demonstrating attainment of the SO2                   Indiana used in its attainment
                                                 reasonable degree of confidence that the                                                                      demonstrations.
                                                 plan will lead to attainment. Based on                  standard is provided in appendix A to
                                                 these considerations, especially given                  the April 23, 2014 SO2 nonattainment                  A. Model Selection
                                                 the high likelihood that a continuously                 area SIP guidance document referenced
                                                                                                         above. Appendix A provides extensive                     Indiana’s attainment demonstrations
                                                 enforceable limit averaged over as long                                                                       used AERMOD, the preferred model for
                                                 as 30 days, determined in accordance                    guidance on the modeling domain, the
                                                                                                         source inputs, assorted types of                      these applications as identified in
                                                 with EPA’s guidance, will result in                                                                           appendix W to CFR part 51. Indiana
                                                 attainment, EPA believes as a general                   meteorological data, and background
                                                                                                         concentrations. Consistency with the                  used version 14134 of this model,
                                                 matter that such limits, if appropriately                                                                     utilizing the regulatory default mode for
                                                 determined, can reasonably be                           recommendations in this guidance is
                                                                                                         generally necessary for the attainment                all air quality modeling runs. This
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                                                 considered to provide for attainment of                                                                       version of AERMOD was the most
                                                 the 2010 SO2 NAAQS.                                       2 For example, if the critical emission value is    recent version at the time the state
                                                    The April 2014 guidance offers                       1000 pounds of SO2 per hour, and a suitable           conducted its nonattainment planning;
                                                 specific recommendations for                            adjustment factor is determined to be 70 percent,     and, in any case, the results of this
                                                 determining an appropriate longer-term                  the recommended longer term average limit would       version are likely to be similar to those
                                                                                                         be 700 pounds per hour.
                                                 average limit. The recommended                            3 EPA published revisions to the Guideline on Air   that more recent versions would
                                                 method starts with determination of the                 Quality Models (40 CFR part 51, appendix W) on        provide. Therefore, EPA finds the use of
                                                 1-hour emission limit that would                        January 17, 2017.                                     this version of AERMOD acceptable.


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                                                                      Federal Register / Vol. 83, No. 158 / Wednesday, August 15, 2018 / Proposed Rules                                         40491

                                                   The receptor grids and modeling                       provide for attainment throughout the                 compared to the locations of the
                                                 domain followed the recommended                         respective areas.                                     meteorological instrumentation towers.
                                                 approaches from appendix W,                                The appropriate rural or urban land
                                                                                                         classifications were selected by Indiana,             C. Emissions Data
                                                 Guidelines on Air Quality Models.
                                                 Receptor spacing for each modeled                       with only the Indianapolis SO2 area                      Indiana modeled 14 sources in the
                                                 facility fence line was every 50 meters                 being classified as urban. The remaining              three nonattainment areas of
                                                 with 100-meter spacing of receptors out                 1-hour SO2 nonattainment areas                        Indianapolis (6 sources), Southwest
                                                 to a distance of 500 meters beyond each                 addressed in this action, in Southwest                Indiana (2 sources), and Terre Haute (6
                                                 facility. The distances between modeled                 Indiana and Terre Haute, were modeled                 sources). The sources were physically
                                                 facilities contained receptors which                    as rural. While Indiana’s submittal does              located within the nonattainment area;
                                                 were spaced at 100-meter intervals. The                 not discuss the rationale for these                   Indiana excluded facilities that emitted
                                                 100-meter spacing receptor grid                         determinations, EPA agrees that these                 less than ten tons per year, and Indiana
                                                 contained in excess of several thousand                 selections appropriately characterize                 found no sources outside the
                                                                                                         these areas. The Indianapolis area has                nonattainment areas with sufficient
                                                 receptors for each modeled
                                                                                                         historically been modeled using ‘‘urban               likely concentration gradient in the
                                                 nonattainment area. The above receptor
                                                                                                         dispersion.’’ This combined statistical               modeled area to warrant modeling
                                                 spacing and facility fence line receptors
                                                                                                         area includes 2.3 million people,                     explicitly. The emission limits used for
                                                 brought the total modeled receptors for                 including Marion County, with just
                                                 Marion County to 17,925 receptors,                                                                            the model for 12 of the sources
                                                                                                         under 1 million people. The population                correspond to the revised sulfur dioxide
                                                 including two additional receptors                      density for Marion County is 917 people
                                                 placed at the Marion County SO2                                                                               limitations on a 1-hour basis and are
                                                                                                         per square kilometer, and the modeled                 found in Indiana Administrative Code
                                                 monitor locations; Vigo County to 7,111                 area is a relatively urban portion of the
                                                 receptors, including two receptors at                                                                         (IAC) Part 326, Article 7, and have been
                                                                                                         county, thus meeting the criterion in                 included by Indiana in this submission
                                                 each of the Vigo County SO2 monitors;                   appendix W that areas with at least 750
                                                 and Daviess and Pike to 5,354 receptors,                                                                      for SIP approval. The applicable
                                                                                                         people per square kilometer may be                    emission limits for sgSolutions in Vigo
                                                 including two located at Daviess and                    treated as urban. Conversely, Vigo, Pike,
                                                 Pike County SO2 monitors.                                                                                     County (Terre Haute) and IPL—
                                                                                                         and Daviess Counties have population                  Petersburg in Daviess County
                                                   Indiana did not assess impacts within                 densities of 102, 13, and 42 people per               (Southwest Indiana) are established on
                                                 any one facility’s property from the                    square mile, respectively. Examination                a 30-day average basis and are lower
                                                 emissions from other facilities. EPA                    of satellite imagery for these areas
                                                                                                                                                               than the modeled 1-hour attainment
                                                 reviewed Indiana’s modeling results to                  confirms that a land use analysis of
                                                                                                                                                               emission rates (the critical emission
                                                 assess whether any further modeling                     these areas would be expected to yield
                                                                                                                                                               values) by virtue of application of
                                                 was warranted to evaluate impacts                       the same character of Indianapolis as
                                                                                                                                                               adjustment factors determined and
                                                 within of other facilities on any plant’s               urban and the other areas as rural. For
                                                                                                                                                               applied in accordance with the 2014
                                                 property. For Southwest Indiana, peak                   Indianapolis, a population of 1,000,000
                                                                                                                                                               SO2 Guidance. These limits are
                                                 impacts from the two facilities were                    (reflecting the approximate population
                                                                                                                                                               established and made enforceable in 326
                                                 well off any plant property, and                        of Marion County) was used in
                                                                                                                                                               IAC 7. EPA finds Indiana’s choice of
                                                                                                         AERMOD to characterize the strength of
                                                 therefore insufficient to cause a                                                                             included sources appropriate, and finds
                                                                                                         the urban heat island effect. The use of
                                                 violation within each other’s property.                                                                       that the modeled emission levels
                                                                                                         urban dispersion with a 1,000,000
                                                 For the Terre Haute area, since the Duke                                                                      appropriately correspond to the limits
                                                                                                         population is appropriate for this
                                                 Wabash River Power Plant and                            modeling. For these reasons, EPA finds                given in 326 IAC 7, in the case of IPL—
                                                 sgSolutions sources were adjacent, EPA                  it appropriate to model these areas using             Petersburg and sgSolutions by modeling
                                                 conducted additional modeling that                      the land classifications identified by                the 1-hour emission level that
                                                 demonstrated that neither plant                         Indiana.                                              corresponds (before adjustment) to the
                                                 contributed to a violation within the                                                                         30-day average limit established in 326
                                                 other plant’s property. Finally, in                     B. Meteorological Data                                IAC 7. Further discussion of the 30-day
                                                 Indianapolis, EPA conducted additional                    Indiana used the Indianapolis                       average limits is provided below.
                                                 modeling for the Vertellus and Rolls                    National Weather Service (NWS) surface                D. Emission Limits
                                                 Royce facilities due to their proximity to              data and the Lincoln, Illinois upper air
                                                 one another and due to peak                             station (WBAN#048233) data for                           An important prerequisite for
                                                 concentrations for both facilities                      Indianapolis and Terre Haute, and the                 approval of an attainment plan is that
                                                 occurring at their property boundaries.                 Evansville NWS for surface data and the               the emission limits that provide for
                                                 The analysis showed that collective                     Lincoln upper air station data for                    attainment be quantifiable, fully
                                                 impacts at on-property receptors from                   Southwest Indiana. These are the closest              enforceable, replicable, and
                                                 the other source and from other sources                 National Weather Service surface                      accountable. See General Preamble at
                                                 in Marion County were below the                         stations to each respective area. The                 13567–68. Some of the limits that
                                                 NAAQS. Further description of EPA’s                     State determined these stations to be the             Indiana’s plan relies on are expressed as
                                                 review is provided in the technical                     most representative for the respective                30-day average limits. Therefore, part of
                                                 support document available in the                       modeling domains. The upper air                       the review of Indiana’s attainment plan
                                                 docket for this rulemaking.4 EPA finds                  stations were chosen on the basis of                  must address the use of these limits,
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                                                 that Indiana’s receptor grids,                          regional representativeness. EPA finds                both with respect to the general
                                                 supplemented with the results of EPA’s                  Indiana’s choices of surface and upper                suitability of using such limits for this
                                                 additional analysis, are adequate for                   air meteorological stations appropriate               purpose and with respect to whether the
                                                 assessing whether the adopted limits                    based on: (1) The suitability of                      particular limits included in the plan
                                                                                                         meteorological data for the study area;               have been suitably demonstrated to
                                                    4 June 27, 2018 Technical Support Document—          and (2) the actual similarity of surface              provide for attainment. The first
                                                 ‘‘Evaluation of Concentrations on Facility Property     conditions and surroundings at the                    subsection that follows addresses the
                                                 Attributable to Nearby Sources’’.                       emissions source/receptor impact area                 enforceability of the limits in the plan,


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                                                 40492               Federal Register / Vol. 83, No. 158 / Wednesday, August 15, 2018 / Proposed Rules

                                                 and the second subsection that follows                     Rules.’’ Specifically, the list of rules is                            be enforceable. A summary of the limits
                                                 addresses the 30-day average limits.                       ‘‘Compliance date’’ (326 IAC 7–1.1–3),                                 is shown in Table 1.
                                                                                                            ‘‘Reporting requirements; methods to                                      As shown in this table, the emission
                                                 1. Enforceability
                                                                                                            determine compliance’’ (7–2–1),                                        limits for sgSolutions Tail Gas
                                                   In preparing its plans, Indiana                          ‘‘Marion County sulfur dioxide emission                                Incinerator Stack EP1 and IPL-
                                                 adopted revisions to a previously                          limitations’’ (7–4–2.1), ‘‘Vigo County                                 Petersburg Units 1–4 are expressed as
                                                 approved state regulation governing                        sulfur dioxide emission limitations’’ (7–                              30-day average limits. Other limits in
                                                 emissions of SO2. These rule revisions                     4–3.1), and ‘‘Pike County sulfur dioxide                               the rule are expressed as 1-hour average
                                                 were adopted by the Indiana                                emission limitations’’ (7–4–15). The                                   limits. The limits are expressed as lbs/
                                                 Environmental Rules Board following                        rules also include associated                                          hour or pounds per million British
                                                 established, appropriate public review                                                                                            Thermal Units (MMBTU). EPA’s review
                                                                                                            monitoring, testing, and recordkeeping
                                                 procedures. In addition, the rule                                                                                                 of Indiana’s nonattainment plan
                                                                                                            and reporting requirements. For
                                                 revisions provide unambiguous,                                                                                                    addresses the use of these limits, both
                                                                                                            example, continuous emission
                                                 permanent emission limits, expressed in                                                                                           with respect to the general suitability of
                                                 lbs/hour of allowable SO2 emissions,                       monitoring will be conducted for
                                                                                                                                                                                   using such limits in attainment
                                                 that, if exceeded by a source, would be                    assessing compliance with the 30-day                                   demonstrations, and whether Indiana
                                                 clear grounds for an enforcement action.                   average limits. Specifically, 326 IAC 7–                               has demonstrated that the particular
                                                   The revised limits for significant                       1–9 is being replaced by 7–4–2.1 for                                   limits included in the plan provide for
                                                 contributing sources have a compliance                     Marion County and 326 IAC 7–1–10.1 is                                  attainment. EPA addresses Indiana’s use
                                                 date of January 1, 2017 and are codified                   being replaced by 326 IAC 7–4–15 for                                   of a 30-day average emission limits
                                                 in 326 IAC 7, titled ‘‘Sulfur Dioxide                      Vigo County. EPA finds these limits to                                 below.
                                                                                            TABLE 1—EMISSION LIMITS IN SUBMITTED INDIANA RULES
                                                                                                                                                                                                                                          Emission
                                                                                                                                                                       Emission limit (lbs/hour) or other
                                                                   Source                                      Emission unit description                                                                                                    limit
                                                                                                                                                                                requirements                                           (lbs/MMBTU)

                                                                                           Marion County sulfur dioxide emission limitations 326 IAC 7–4–2.1

                                                 Citizens Thermal—Perry K Source ID                 (A) Boiler 11 ............................................   73.6 ..........................................................                         0.2
                                                   No. 00034.                                       (B) Boiler 13 ............................................   80.6 ..........................................................                         0.2
                                                                                                    (C) Boiler 14 ............................................   80.6 ..........................................................                         0.2
                                                                                                    (D) Boilers 12, 15, and 16 .......................           Burn natural gas ......................................              ........................
                                                                                                    (E) Boiler 17 ............................................   72.6 ..........................................................                         0.3
                                                                                                    (F) Boiler 18 ............................................   72.6 ..........................................................                         0.3
                                                 Belmont Advanced Wastewater Treat-                 Incinerator 1, Incinerator 2, Incinerator 3,                 Comply with SO2 limit in 40 CFR 60,                                  ........................
                                                   ment Plant Source ID No. 00032.                    and Incinerator 4.                                            subpart MMMM * or 40 CFR 60, sub-
                                                                                                                                                                    part LLLL *.
                                                 Rolls-Royce Source ID No. 00311 ..........         (A) Boiler 0070–58 ..................................        0.07 ..........................................................                  0.0015
                                                                                                    (B) Boiler 0070–59 ..................................        0.07 ..........................................................                  0.0015
                                                                                                    (C) Boiler 0070–62 ..................................        0.37 ..........................................................                  0.0015
                                                                                                    (D) Boiler 0070–63 ..................................        0.37 ..........................................................                  0.0015
                                                                                                    (E) Boilers 0070–64 ................................         Burn natural gas or landfill gas ...............                                    0.01
                                                                                                    (F) Boiler 0070–65 ..................................        Burn natural gas or landfill gas ...............                                    0.01
                                                                                                    (G) Generating Turbine 0070–80 ............                  Burn natural gas or landfill gas ...............                                    0.01
                                                                                                    (H) 2 Gas Turbine Engines 0070–66 ......                     ..................................................................                   0.1
                                                                                                    (I) 12 Gas Turbine Engines 0070–67 .....                     ..................................................................                  0.05
                                                                                                    (J) 3 Gas Turbine Engines 0070–68c,                          ..................................................................                  0.05
                                                                                                       0070–68d, and 0070–68e.
                                                                                                    (K) 2 Gas Turbine Engines 0070–68a                           Burn natural gas ......................................              ........................
                                                                                                       and 0070–68b.
                                                                                                    (L) 3 Gas Turbine Engines 0070–69 ......                     ..................................................................                    0.05
                                                                                                    (M) Three Shack Heaters 0070–70 ........                     Burn natural gas ......................................              ........................
                                                                                                    (N) Rental Generators .............................          ..................................................................                0.0015
                                                                                                    (O) Engine Test Cells Plant 5 .................              ..................................................................                    0.05
                                                                                                    (P) Engine Test Cell Plant 8 ...................             ..................................................................                      0.1
                                                                                                    (Q) Engine Test Cell N20 ........................            18 foot vertical stack, if operating ...........                     ........................
                                                                                                    (R) Engine Test Cell N21 ........................            20 foot vertical stack, if operating ...........                     ........................
                                                                                                    (S) Engine Test Cell N23 ........................            30 foot vertical stack, if operating ...........                     ........................
                                                                                                    (T) Engine Test Cell N24 ........................            20 foot vertical stack, if operating ...........                     ........................
                                                 Vertellus Agriculture and Nutrition Spe-           (A) 70K Boiler 70–2722W .......................              18.4 ..........................................................                       0.20
                                                   cialties Source ID No. 00315.                    (B) 30K Boiler 30–2726S ........................             9.8 ............................................................                      0.25
                                                                                                    (C) 28K Boiler 28–186N ..........................            9.9 ............................................................                      0.27
                                                                                                    (D) Boiler CB–70K ...................................        Burn natural gas ......................................              ........................
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                                                                                                    (E) BM Furnace BM2724W .....................                 1.1 ............................................................                      0.05
                                                                                                    (F) Box Furnace BX2707V ......................               0.8 ............................................................                      0.05
                                                                                                    (G) DAB Furnace 732714 .......................               2.8 ............................................................                      0.05
                                                                                                    (H) Born Heater 722804 ..........................            0.34 ..........................................................                       0.05
                                                                                                    (I) Born Heater Furnace BXS2706Q .......                     0.3 ............................................................                      0.05
                                                                                                    (J) EP Furnace EP2729Q .......................               0.15 ..........................................................                       0.05
                                                                                                    (K) CB20 CB600–300 Boiler ...................                2.3 ............................................................                      0.09
                                                                                                    (L) 50K CN5–400 Boiler ..........................            5.5 ............................................................                      0.09
                                                                                                    (M) BD Furnace BD2714V ......................                0.75 ..........................................................                       0.05



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                                                                     Federal Register / Vol. 83, No. 158 / Wednesday, August 15, 2018 / Proposed Rules                                                                                            40493

                                                                                   TABLE 1—EMISSION LIMITS IN SUBMITTED INDIANA RULES—Continued
                                                                                                                                                                                                                                            Emission
                                                                                                                                                                         Emission limit (lbs/hour) or other
                                                                   Source                                      Emission unit description                                                                                                      limit
                                                                                                                                                                                  requirements                                           (lbs/MMBTU)

                                                                                                    (N) Heater BS2740Q ...............................             0.3 ............................................................                      0.05
                                                                                                    (O) Heater BT2728S ...............................             0.3 ............................................................                      0.05
                                                                                                    (P) Furnace HW–925.001 .......................                 12.25 ........................................................                        1.25
                                                                                                    (Q) CS Kettle Born Heater ......................               Burn natural gas ......................................              ........................
                                                                                                    (R) CS Still Born Heater ..........................            Burn natural gas ......................................              ........................
                                                                                                    (S) Born Hot Oil Furnace (Process Heat-                        Burn natural gas ......................................              ........................
                                                                                                       er) Unit 2607T.
                                                 Quemetco Source ID No. 00079 .............         WESP Stack ............................................        52.0 ..........................................................      ........................
                                                 Indianapolis Power & Light Co.—Harding             (A) Boiler 9 ..............................................    Do not operate ........................................              ........................
                                                   Street Generating Station Source ID              (B) Boiler 10 ............................................     Do not operate ........................................              ........................
                                                   No. 00033.                                       (C) Boiler 50 ............................................     Burn natural gas ......................................              ........................
                                                                                                    (D) Boiler 60 ............................................     Burn natural gas ......................................              ........................
                                                                                                    (E) Boiler 70 ............................................     Burn natural gas ......................................              ........................
                                                                                                    (F) Gas Turbine 1 ....................................         29.9 ..........................................................                         0.1
                                                                                                    (G) Gas Turbine 2 ...................................          29.9 ..........................................................                         0.1
                                                                                                    (H) Gas Turbine 4 ...................................          87.5 ..........................................................                         0.1
                                                                                                    (I) Gas Turbine 5 .....................................        86.7 ..........................................................                         0.1
                                                                                                    (J) Gas Turbine 6 ....................................         Burn natural gas ......................................              ........................
                                                                                                    (K) Emergency Generator .......................                500 hour calendar year operating limit ...                           ........................

                                                                                                    Vigo County sulfur dioxide limitations (326 IAC 7–4–3.1)

                                                 Wabash River Combined Cycle Source                 Combustion Turbine Unit 1A ...................                 333.76 ......................................................                      0.195
                                                   ID No. 00147.
                                                 sgSolutions Source ID No. 00091 ...........        (A) Tail Gas Incinerator Stack EP1 .........                   230.6 * ......................................................       ........................
                                                                                                    (B) Process Flare Unit 2 .........................             500 hour calendar year operating limit                               ........................
                                                                                                                                                                      on coal/syngas.
                                                 SONY Digital Audio Disc Source ID No.              (A) #1 Kewanee Boiler ............................             ..................................................................                    0.05
                                                  00032.                                            (B) #2 Kewanee Boiler ............................             ..................................................................                    0.05
                                                                                                    (C) Unit 3 Burnham Boiler .......................              ..................................................................                    0.05
                                                                                                    (D) Unit 4 Burnham Boiler .......................              ..................................................................                    0.05
                                                                                                    (E) Unit 5 Superior Boiler ........................            ..................................................................                    0.05
                                                                                                    (F) Unit 6 Superior Boiler ........................            ..................................................................                    0.05
                                                                                                    (G) Unit 18 Boiler ....................................        ..................................................................                    0.05
                                                 Taghleef Industries Source ID No. 00045            (A) Clayton Boiler (Standby) ...................               0.03 ..........................................................                   0.0015
                                                                                                    (B) Nebraska Boiler .................................          0.05 ..........................................................                   0.0015
                                                                                                    (C) Nebraska-D Boiler .............................            Burn natural gas ......................................              ........................
                                                 Terre Haute Regional Hospital Source ID            (A) #1 Boiler ............................................     ..................................................................                    0.45
                                                   No. 00046.                                       (B) New #2 Boiler ....................................         ..................................................................                    0.45
                                                 Union Hospital Source ID No. 00047 ......          2 Keeler Boilers .......................................       ..................................................................                    0.36
                                                 Duke Energy—Wabash River Generating                (A) Boiler 6 ..............................................    1,499.5 .....................................................                           0.5
                                                   Station Source ID No. 00021.                     (B) Diesel Generators 7A, 7B, and 7C ...                       500 hour calendar year operating limit                                                0.05
                                                                                                                                                                      (each).

                                                                                                    Pike County sulfur dioxide limitations (326 IAC 7–4–15)

                                                 Hoosier Energy—Ratts Source ID No.                 (A) Boiler 1 ..............................................    58 .............................................................                      0.05
                                                   00001.                                           (B) Boiler 2 ..............................................    58 .............................................................                      0.05
                                                                                                    (C) No. 2 Auxiliary Boiler ........................            1.0 ............................................................                      0.05
                                                 Indianapolis Power & Light—Petersburg              (A) Unit 1 .................................................   263.0 * ......................................................                      0.12 *
                                                   Generating Station Source ID No.                 (B) Unit 2 .................................................   495.4 * ......................................................                      0.12 *
                                                   00002.                                           (C) Unit 3 .................................................   1,633.7 * ...................................................                       0.29 *
                                                                                                    (D) Unit 4 .................................................   1,548.2 * ...................................................                       0.28 *
                                                                                                    (E) Diesel Generators PB–2, PB–3, and                          500 hour calendar year operating limit                               ........................
                                                                                                      PB–4.                                                          (each).
                                                 Indianapolis Power & Light—Petersburg              (A) Unit 1 .................................................   330.0 ........................................................                        0.15
                                                   Generating Station Source ID No.                 (B) Unit 2 .................................................   621.6 ........................................................                        0.15
                                                   00002.                                           (C) Unit 3 .................................................   2,049.8 .....................................................                         0.37
                                                                                                    (D) Unit 4 .................................................   1,942.5 .....................................................                         0.35
                                                                                                    (E) Diesel Generators PB–2, PB–3, and                          500 hour calendar year operating limit                               ........................
                                                                                                      PB–4.                                                          (each).
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                                                    * Indicates emission limit for the unit is expressed as a 30-day average limit.


                                                 2. Longer Term Average Limits                              to 30 days in length that are comparably                                 determining such a comparably
                                                                                                            stringent to the 1-hour average limit that                               stringent limit. The Guidance also notes
                                                   As noted above, the 2014 SO2                             would otherwise have been set, and                                       that it might be appropriate to establish
                                                 Guidance discusses the option to                           recommends a detailed procedure for                                      supplemental limits in order to limit the
                                                 establish limits with averaging times up


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                                                 40494               Federal Register / Vol. 83, No. 158 / Wednesday, August 15, 2018 / Proposed Rules

                                                 magnitude and/or frequency of elevated                  corresponding 720-hour average hourly                 for IPL-Petersburg are for Unit 2,
                                                 emissions, as a means of further                        emission rate.                                        addressing a five-year time period
                                                 reducing the likelihood of elevated                        The fourth step determined 99th                    before the relevant limit became
                                                 emissions occurring on those occasions                  percentile values for the 1-hour values               effective. Approximately seven percent
                                                 when the meteorology is conducive to                    and 30-day average values. The 1-hour                 of available 30-day average values in
                                                 high concentrations of SO2.                             values were determined by compiling                   this data set exceeded the 30-day
                                                    For both IPL-Petersburg and                          the values in step 2 over the five-year               average limit of 0.12 lbs/MMBTU. In
                                                 sgSolutions, Indiana closely followed                   period. The result for the 99th                       this data set, approximately six percent
                                                 the six-step recommendation of the                      percentile 30-day average was                         of the hourly emissions values exceeded
                                                 2014 SO2 Guidance in determining an                     determined from the calculations in step              the critical emission rate of 0.15 lbs/
                                                 appropriate level for the 30-day average                3. For IPL-Petersburg, the 99th                       MMBTU; these elevated values on
                                                 limits. As a first step in each case,                   percentile of 1-hour values was 0.233                 average were approximately 34 percent
                                                 Indiana conducted modeling which                        lbs/MMBTU, and the 99th percentile of                 above 0.15 lbs/MMBTU. Reduction of
                                                 determined the 1-hour emission limit                    30-day average values was 0.185 lbs/                  emissions sufficient to meet the 0.12
                                                 that would provide for attainment.                      MMBTU. For sgSolutions, the 99th                      lbs/MMBTU limit consistently would
                                                 Indiana conducted a series of modeling                  percentile values were 139 and 60.7 lbs/              reduce the frequency and magnitude of
                                                 runs identifying baseline allowable air                 hour among 1-hour and 30-day average                  hourly emissions values above the 0.15
                                                 quality (in absence of emission                         values, respectively. In the fifth step the           lbs/MMBTU critical emissions rate,
                                                 reductions), evaluating the air quality                 ratio of the values was calculated by                 although the precise levels are difficult
                                                 consequences of feasible emission                       dividing the 99th percentile values for               to predict. For sgSolutions, over a six-
                                                 reductions, and ultimately identifying a                the 30-day rolling data and the 1-hour                year period, in a data set with no
                                                 set of reduced allowable emission levels                data identified in the fourth step. For               exceedances of the 30-day average limit
                                                 that would provide for attainment. For                  IPL-Petersburg the result was an                      of 230.6 lbs/hour (in which, in fact, only
                                                 IPL-Petersburg, these quantities were                   adjustment factor of 79.7 percent, and                one day had daily average emissions
                                                 expressed in lbs/MMBTU, and may be                      for sgSolutions the result was an                     above 230.6 lbs/hour), only seven hours
                                                 termed the critical emissions rates. The                adjustment factor of 43.6 percent. The                (approximately 0.02 percent of the
                                                 critical emission rates were 0.15, 0.15,                final step multiplied the modeled                     hours) exceeded the critical emission
                                                 0.37, and 0.35 lbs/MMBTU, for IPL-                      critical emissions values calculated in               value of 527 lbs/hour, and the
                                                 Petersburg Units 1–4 respectively. For                  the first step by the adjustment factors              magnitude of these exceedances on
                                                 sgSolutions, Indiana determined a                       calculated in the fifth step. This resulted           average was only nine percent above the
                                                 critical emission level of 527 lbs/hour.                in 30-day average limits of 0.12, 0.12,               critical emission value. Based on these
                                                                                                         0.29, and 0.35 lbs/MMBTU for IPL-                     data, EPA finds that the 30-day average
                                                    For the second step of the process, for
                                                                                                         Petersburg Units 1–4 respectively and                 limit without supplemental limits
                                                 IPL-Petersburg, Indiana compiled
                                                                                                         230.6 lbs/hr for sgSolutions.                         should suffice in these cases to provide
                                                 representative emissions data sets from                    Based on a review of the state’s                   adequate assurance of attainment.
                                                 the IPL-Petersburg Unit 2 Flue Gas                      submittal, these limits provide a                        For IPL-Petersburg, Indiana’s rule
                                                 Desulfurization stack, which is the same                reasonable alternative to establishing a              identifies both a set of 30-day average
                                                 control technology IPL-Petersburg will                  per hour 1-hour average emission limit                limits and a corresponding set of 1-hour
                                                 use for Units 1,3, and 4 in order to meet               for this source. The state used an                    limits (the latter set at the critical
                                                 the emission limits associated with                     appropriate database and then applied                 emission value) for the four units of this
                                                 attaining the 2010 SO2 NAAQS. Indiana                   an appropriate adjustment, yielding an                facility. Indiana’s rule specifies,
                                                 used data compiled from 2006–2010 for                   emission limit that has comparable                    ‘‘Indianapolis Power & Light shall notify
                                                 the stack. For sgSolutions, Indiana used                stringency to the 1-hour average limit                the department prior to [January 1,
                                                 the data from the Tail Gas Incinerator                  that the state determined would                       2017] to indicate if compliance . . . will
                                                 from 2009–2014 scaled to fewer                          otherwise have been necessary to                      be determined using [the specified 1-
                                                 operating hours to create the emissions                 provide for attainment. While the 30-                 hour limits or the specified 30-day
                                                 data set.                                               day average limit allows for occasions in             average limits] and prior to switching
                                                    The third step was calculating the 30-               which emissions are higher than the                   [which set of limits applies].’’ Given this
                                                 day rolling averages. The analysis for                  level that would be allowed under the                 potential under Indiana’s rules for IPL
                                                 IPL-Petersburg assessed the variability                 1-hour limit, the state’s limit                       to choose to switch back and forth
                                                 of the emission rate. The 30-day average                compensates by requiring average                      between a set of 30-day average limits
                                                 rate was calculated by summing the                      emissions to be lower than the level that             and a set of 1-hour limits, EPA
                                                 pounds SO2 per hour values over the                     would otherwise have been required by                 conducted additional review of the
                                                 previous 720 hours (30 days) and                        a 1-hour average limit.                               enforceability of the limits and of
                                                 dividing by the sum of the MMBTU per                       As noted above, the April 2014                     whether the potential to switch limits
                                                 hour over the past 720 hours, yielding                  Guidance recommends that 30-day                       might adversely affect the degree to
                                                 a separate 30-day average pounds of SO2                 average limits be accompanied by                      which these limits assure attainment.
                                                 per MMBTU for each successive ending                    supplemental limits that help serve to                   Regarding enforceability, the primary
                                                 hour. Using this calculation ensured                    minimize the frequency and/or                         question is whether at any time the
                                                 that any hours showing zero emissions                   magnitude of occasions with elevated                  applicable requirements are
                                                 did not affect the calculations. This                   emissions. Indiana did not use                        unequivocally clear, such that the
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                                                 calculation is consistent with the                      supplemental limits. Therefore, EPA                   occurrence of emissions above the
                                                 procedures used in determining                          examined available emissions data at                  specified level unquestionably
                                                 compliance with the Mercury and Air                     IPL-Petersburg and at sgSolutions to                  constitutes noncompliance. Since the
                                                 Toxics Standard (MATS) rule, as                         evaluate the likely frequency and                     limits themselves are clearly specified
                                                 recommended in appendix C of the                        magnitude of spikes in emissions above                in Indiana’s rule, the pertinent question
                                                 2014 EPA SO2 Guidance. The analysis                     the critical emission value while                     is whether the choice of limits is clear,
                                                 for sgSolutions used statistics on the                  nevertheless complying with the 30-day                i.e. whether it is always clear whether
                                                 hourly mass emission rate and the                       average limit. The most pertinent data                the 30-day average limits or the 1-hour


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                                                                     Federal Register / Vol. 83, No. 158 / Wednesday, August 15, 2018 / Proposed Rules                                          40495

                                                 limits apply. As noted above, Indiana’s                 prospective applicable set of limits if it            nonattainment area, both in Vigo
                                                 rule requires IPL-Petersburg to notify                  anticipates significant changes in                    County.
                                                 the state of its initial choice of                      operations, the experience to date is that               For the Vigo County analysis, the
                                                 applicable limits and to notify the state               IPL has made no switches in the                       controlling monitor (i.e., highest design
                                                 of any choice IPL makes to switch                       selection since electing the 30-day                   value over the 2011–2013 period),
                                                 applicable limits. Thus, pursuant to the                average in January 2017, and nothing in               Harrison Road monitor (18–125–0005)
                                                 requirements of the rule, the applicable                the record suggests that IPL is likely to             was used. The monitor is sited
                                                 set of limits is always specified, Indiana              switch which limits apply in the future.              approximately 2.5 kilometers southeast
                                                 always knows which set of limits                        For these reasons, EPA believes that                  of the Duke Energy-Wabash River
                                                 applies, and this information is                        Indiana’s limits for IPL are an                       facility, which Indiana considered
                                                 available to EPA and any other                          appropriate part of an attainment plan                nearby, so Indiana determined
                                                 interested party upon request to                        for Southwest Indiana that provide for                background concentrations from a data
                                                 Indiana.                                                attainment, most likely by requiring                  set that excluded data when winds were
                                                    EPA also evaluated whether the                       compliance with an appropriately                      from the northwest. The result was a
                                                 option to switch applicable limits might                adjusted set of 30-day average limits.                background concentration of 23.0 mg/m3
                                                 yield less air quality protection than                     The issue of switching limits does not             (8.8 ppb). EPA has reviewed these
                                                 permanently imposing 30-day average                     apply to sgSolutions; this source is                  background concentrations and finds
                                                 limits or permanently imposing 1-hour                   permanently subject to a 30-day average               these values appropriate as model
                                                 limits. At any given time, IPL is subject               limit. EPA believes that the 30-day                   inputs.
                                                 to a single set of limits; IPL cannot                   average limits for IPL-Petersburg and
                                                                                                                                                               F. Comments Made During State
                                                 excuse noncompliance with the                           sgSolutions are appropriate elements of
                                                                                                                                                               Rulemaking
                                                 applicable limits even if it is meeting                 Indiana’s attainment plans for the
                                                 the alternative limits. Therefore, IPL                  applicable areas.                                        During the preparation of its
                                                 does not have the option to choose                                                                            nonattainment plans, Indiana received
                                                                                                         E. Background Concentrations                          and responded to a number of
                                                 limits contemporaneously according to
                                                 a short-term judgment as to which set of                   Indiana determined background                      comments by, among others, EPA and
                                                 limits is less stringent for that time                  concentrations by selecting the 99th                  the Sierra Club that EPA believes
                                                 period. Instead, IPL must design its                    percentile of a monitoring data set that              warrant further discussion in this
                                                 control strategy to meet the limits with                excluded values from emission sources                 action.
                                                 the chosen averaging time rather than to                where the upwind SO2 concentration                       The first comment from EPA to
                                                 aim simply to meet whichever set of                     exceeded 10 ppb. For Indianapolis, the                Indiana pertained to the IPL–Petersburg
                                                 limits might be less stringent for any                  background concentration was                          facility having a choice between hourly
                                                 particular period.                                      generated using the hourly                            and 30-day average limits in the Pike
                                                    A further question about switching                   concentrations from the Harding Street                county emission limit rules, and
                                                 limits is whether applying 1-hour limits                monitor (18–097–0057). At the time                    requesting that Indiana assure clarity as
                                                 for part of a year and longer-term limits               Indiana conducted its analysis this was               to which limits apply, by including
                                                 for another part of the year provides as                the only suitable background monitor.                 explicit requirements for reporting and
                                                 much air quality protection as applying                 The monitor is sited about four                       recordkeeping to which limits apply.
                                                 a single set of limits for the entire year.             kilometers northeast of the Indianapolis                 Indiana responded to the comment by
                                                 Use of long term average limits creates                 Power and Light-Harding Station                       adding language at 326 IAC 7–4–15(e)
                                                 the potential for periods with elevated                 source. For the determination of a                    requiring the source to notify IDEM
                                                 emissions that may yield additional,                    background value Harding Station                      when switching from one set of limits
                                                 unmodeled exceedances (i.e.,                            Power Plant was considered a nearby                   to the other. For any switch from the 1-
                                                 exceedances beyond those identified in                  source and was expressly included in                  hour limits to the 30-day average limits,
                                                 modeling of constant emissions), but                    the modeling analysis, and so Indiana                 IDEM’s final rule requires compliance
                                                 also creates a compensating likelihood                  determined the Indianapolis                           with the 1-hour limit until the first 30-
                                                 of avoiding some of the modeled                         background concentration from a                       day average emission rate is calculated
                                                 exceedances because the downward                        Harding Street data set that excluded                 so that there is no gap in compliance.
                                                 adjusted long-term average limit                        values during hours with winds from                   EPA agrees that this change in the
                                                 requires emissions to be lower most of                  the south and southwest. The resulting                rulemaking ensures clear compliance
                                                 the time. At issue here is the risk that                background concentration was 22.5                     requirements and establishes the 30-day
                                                 in a year when both types of limits                     micrograms per cubic meter (mg/m3) (8.6               average limit (when applicable) in a
                                                 apply, the periods subject to 30-day                    ppb).                                                 manner (consistently requiring a
                                                 average limits might have additional,                      In the Southwest Indiana area there                reduced level of emissions) that
                                                 unmodeled exceedances while the                         are two monitors, one located in each of              provides the full protection against
                                                 periods subject to 1-hour limits might                  Pike and Daviess counties. The monitor                violations recommended in EPA’s
                                                 not avoid any of the exceedances found                  with the highest background                           guidance.
                                                 in constant emissions modeling.                         concentration is the Arda Lane monitor                   Sierra Club expressed concerns about
                                                    For several reasons, EPA believes that               located in Pike County (18–125–0005)                  the Duke Energy facility in Gibson
                                                 this concern does not apply in this case.               with a value of 25.9 mg/m3 (9.9 ppb).                 County (‘‘Gibson’’), commenting that
                                                 Indiana’s rule requires IPL to notify                   The monitor is sited about 1 kilometer                Indiana should have modeled Gibson
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                                                 Indiana before any change in limits and,                to the south of IPL-Petersburg source                 explicitly. Indiana responded that
                                                 in the case of a switch from 30-day                     and about 1.5 kilometers east of the                  emissions reductions from the sources
                                                 average limits to one-hour limits, to                   Hoosier Plant. Indiana considered these               located within Pike and Daviess County
                                                 complete a 30-day period in compliance                  two sources nearby, and determined a                  nonattainment area were the most
                                                 with the 30-day average limits before                   background concentration from a data                  responsible for bringing the area into
                                                 the one-hour limits take effect. IPL                    set that excluded data when winds were                attainment. Other SO2 sources in
                                                 cannot change the applicable limits                     from the northwest. There are two                     surrounding counties are accounted for
                                                 retroactively. While IPL may change the                 monitors located in the Terre Haute                   within the representative 1-hour SO2


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                                                 40496                     Federal Register / Vol. 83, No. 158 / Wednesday, August 15, 2018 / Proposed Rules

                                                 background concentration. EPA notes                                  recommended consideration of emission                               year, not a 12-month time span, so
                                                 that the criterion recommended in                                    limits for sources that are required to be                          compliance by January 1, 2017 is
                                                 appendix W of 40 CFR 51 for sources to                               explicitly modeled in the attainment                                recommended to provide for a calendar
                                                 be modeled explicitly are those nearby                               demonstration. Sources such as Gibson                               year of data for later informing whether
                                                 sources that are not adequately                                      that are accounted for as part of the                               timely attainment has occurred. EPA
                                                 represented by ambient monitoring data,                              monitored background concentration                                  supports the decision made by Indiana
                                                 such as sources that cause a significant                             need not be modeled explicitly (as                                  to require compliance with the new
                                                 concentration gradient in the vicinity of                            noted above) and in particular need not                             limits by January 1, 2017.
                                                 the area of interest. Gibson is about 46                             be considered on the basis of allowable
                                                 kilometers southwest of the Southwest                                emissions. That is, Appendix W advises                              G. Summary of Results
                                                 Indiana nonattainment area. At this                                  consideration of distant sources such as
                                                                                                                                                                                             The final dispersion modeling results
                                                 distance, concentration gradients may                                Gibson on the basis of available
                                                                                                                                                                                          submitted by Indiana show design
                                                 be presumed to be quite small, and the                               monitoring data, irrespective of any
                                                 impacts of Gibson may reasonably be                                  limits on Gibson emissions that may                                 values, as provided in Table 2 below,
                                                 considered accounted for in the                                      apply. Indiana’s modeling analysis, in                              that are less than 75 ppb. Therefore,
                                                 background concentration for the                                     accordance with appendix W,                                         Indiana’s modeling analysis
                                                 Southwest Indiana nonattainment area.                                demonstrates that the Southwest                                     demonstrates attainment of the 2010
                                                 Thus, EPA agrees with Indiana’s                                      Indiana nonattainment area can be                                   SO2 NAAQS for the Indianapolis,
                                                 conclusion that any impact from Gibson                               expected to attain the standard without                             Southwest Indiana, and Terre Haute
                                                 on the Southwest Indiana                                             regard to whether emission limits for                               areas. EPA believes that Indiana’s
                                                 nonattainment area is appropriately                                  Gibson are established. Thus, Indiana’s                             modeling appropriately reflects
                                                 captured in the background                                           SIP submission is approvable without                                allowable emissions in these areas,
                                                 concentration for the Southwest Indiana                              limits for Gibson.                                                  including, for sources subject to 30-day
                                                 nonattainment area, such that explicit                                  Also, several utility groups                                     average limits, the 1-hour emission rates
                                                 modeling of this facility is unnecessary.                            commented that Indiana should use a                                 that upon appropriate adjustment
                                                   In a related comment, Sierra Club                                  compliance date of October 1, 2017,                                 correspond to the 30-day average limits
                                                 commented that Indiana needed to                                     which would allow for twelve months                                 that Indiana has adopted. EPA has
                                                 impose SO2 limits on the Duke Energy                                 of data to demonstrate attainment of the                            reviewed Indiana’s attainment
                                                 facility in order to ensure that the                                 standard prior to the October 2018                                  demonstrations, agrees with Indiana’s
                                                 Southwest Indiana nonattainment area                                 attainment deadline. Indiana chose                                  submitted results, and proposes to
                                                 (Daviess and Pike counties) attained the                             instead to adopt its proposed                                       determine that the enforceable measures
                                                 standard. Indiana’s attainment                                       compliance date of January 1, 2017.                                 in Indiana’s plans provide for
                                                 demonstration for the Southwest                                      This compliance date was                                            attainment of the 2010 primary SO2
                                                 Indiana nonattainment area did not                                   recommended in the 2014 EPA                                         NAAQS in the Indianapolis, Southwest
                                                 depend on emission limits for Gibson.                                Guidance because monitoring site data                               Indiana, and Terre Haute nonattainment
                                                 Appendix W specifies the                                             are certified annually on a calendar                                areas.

                                                                                                       TABLE 2—1-HOUR SO2 DISPERSION MODELING RESULTS
                                                                                                                                                                                                          Southwest
                                                                                                           Area name                                                                     Indianapolis                   Terre Haute
                                                                                                                                                                                                           Indiana

                                                 Modeled Concentration (ppb) ......................................................................................................               64.4           64.9           63.8
                                                 Background Concentration (ppb) .................................................................................................                  8.6            9.9            8.8

                                                       Total Concentration (ppb) .....................................................................................................              73           74.8           72.6



                                                 V. Review of Other Plan Requirements                                 as well as any sources located outside                              road emissions were compiled from the
                                                                                                                      the nonattainment area which may                                    EPA Emissions Modeling Clearinghouse
                                                 A. Emissions Inventory
                                                                                                                      affect attainment in the area. See CAA                              (SO2 NAAQS Emissions Modeling
                                                   The emissions inventory and source                                 section 172(c)(3).                                                  platform 2007/2007v5) for the 2008 NEI
                                                 emission rate data for an area serve as                                 Indiana provided a comprehensive,                                and the 2018 projected inventory year.
                                                 the foundation for air quality modeling                              accurate, and current inventory of SO2                              Data were interpolated between 2008
                                                 and other analyses that enable states to:                            emissions for Marion (Indianapolis),                                and 2014 to determine the airport, area,
                                                 (1) Estimate the degree to which                                     Daviess and Pike (Southwest Indiana),                               non-road, and on-road emissions 2011
                                                 different sources within a                                           and Vigo counties (Terre Haute). The                                inventory and between 2014–2020 for
                                                 nonattainment area contribute to                                     following source categories were                                    2018. As noted above, these inventories
                                                 violations within the affected area; and                             included: Electric-generating units                                 addressed sources within each
                                                 (2) assess the expected improvement in                               (EGUs), non-EGUs (point), non-point                                 nonattainment county and can be found
                                                 air quality within the nonattainment                                 (area), non-road, and on-road sources of                            in appendix H of the submitted
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                                                 area due to the adoption and                                         SO2 and are summarized in Table 3.                                  attainment demonstration. Indiana also
                                                 implementation of control measures. As                               Indiana uploads point source emissions                              provided modeling inputs that include
                                                 noted above, the state must develop and                              to the National Emissions Inventory                                 a listing of the individual sources with
                                                 submit to EPA a comprehensive,                                       (NEI) annually. For the 2011 base year                              sufficient proximity to and impact on
                                                 accurate and current inventory of actual                             inventory, emissions from EGU and                                   the nonattainment areas to warrant
                                                 emissions from all sources of SO2                                    non-EGUs are actual reported emissions.                             being explicitly included in the
                                                 emissions in each nonattainment area,                                Data for airport, area, non-road, and on-                           modeling analysis.




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                                                                              Federal Register / Vol. 83, No. 158 / Wednesday, August 15, 2018 / Proposed Rules                                                                    40497

                                                                                                                      TABLE 3—2011 ACTUAL EMISSIONS INVENTORY
                                                                                                                                                                                          Daviess                 Pike
                                                                                                                                                                       Marion                                                    Vigo
                                                                                                                                                                                        (southwest            (southwest
                                                                                                                                                                   (Indianapolis)                                            (Haute Terre)
                                                                                                                                                                                          Indiana)              Indiana)
                                                                                                                                                                        (tpy)                                                    (tpy)
                                                                                                                                                                                            (tpy)                 (tpy)

                                                 EGU .........................................................................................................          18,998.02                   0            34,728.99       55,782.42
                                                 Point .........................................................................................................         4,582.46                8.39                 2.74          102.79
                                                 Area .........................................................................................................            193.21               55.63                13.60           32.51
                                                 Non-road ..................................................................................................               125.37                1.23                 1.38            9.42
                                                 On-road ....................................................................................................              121.88                3.14                 1.85           13.72



                                                    By providing a comprehensive,                                            on October 7, 1994 (94 FR 24838). These                          Indiana’s rules also provide for
                                                 accurate, and current inventory of SO2                                      rules provide for appropriate new                              additional contingency measures as
                                                 emissions for Marion, Pike, Daviess, and                                    source review for SO2 sources                                  necessary, following a review of any air
                                                 Vigo counties, Indiana has met the                                          undergoing construction or major                               quality problems that become identified
                                                 emission inventory requirement of CAA                                       modification in the Indianapolis,                              and following a review of options for
                                                 section 172(c)(3) for the Indianapolis,                                     Southwest Indiana, and Terre Haute                             mitigating the problems that arise.
                                                 Southwest Indiana, and Terre Haute                                          without need for modification of the                           However, Indiana is not relying on these
                                                 areas. This inventory represents                                            approved rules. Therefore, EPA                                 provisions to satisfy the requirements
                                                 emissions in 2011, a time when the                                          concludes that this requirement has                            for contingency measures.
                                                 areas were violating the standard. While                                    already been met for these areas.
                                                                                                                                                                                            VI. EPA’s Proposed Action
                                                 section 172(c)(3) does not have a formal
                                                                                                                             D. RFP                                                           EPA is proposing to approve Indiana’s
                                                 requirement for an attainment year
                                                 inventory, the state did include                                              Indiana’s adopted rules in 326 IAC 7                         SIP submission, which the state
                                                 allowable attainment year emissions in                                      require that control measures be                               submitted to EPA on October 2, 2015,
                                                 its modeling analysis.                                                      implemented no later than January 1,                           for attaining the 2010 1-hour SO2
                                                                                                                             2017. Indiana has concluded that this                          NAAQS for the Indianapolis, Southwest
                                                 B. RACM/RACT                                                                plan requires that affected sources                            Indiana, and Terre Haute areas.
                                                    In its submission, Indiana discusses                                     implement appropriate control                                    These SO2 nonattainment plans
                                                 its rationale for concluding that the                                       measures as expeditiously as practicable                       include Indiana’s attainment
                                                 nonattainment plans meet the RACM/                                          in order to ensure attainment of the                           demonstration for the Indianapolis,
                                                 RACT requirements in accordance with                                        standard by the applicable attainment                          Southwest Indiana, and Terre Haute SO2
                                                 EPA guidance. For most criteria                                             date. Indiana concludes that this plan                         nonattainment areas. These
                                                 pollutants, RACT is control technology                                      therefore provides for RFP in                                  nonattainment plans also address
                                                 as needed to meet the NAAQS that is                                         accordance with the approach to RFP                            requirements for emission inventories,
                                                 reasonably available considering                                            described in EPA’s guidance. EPA                               RACT/RACM, RFP, and contingency
                                                 technological and economic feasibility.                                     concurs and proposes to conclude that                          measures. Indiana has previously
                                                 However, Indiana cites EPA guidance                                         the plan provides for RFP.                                     addressed requirements regarding
                                                 that the definition of RACT for SO2 is,                                                                                                    nonattainment area NSR. EPA has
                                                                                                                             E. Contingency Measures                                        determined that Indiana’s SO2
                                                 simply, ‘‘that control technology which
                                                 is necessary to achieve the NAAQS (40                                         In its November 15, 2017 clarification                       nonattainment plans for Indianapolis,
                                                 CFR 51.1 00(o))’’. Indiana in fact                                          memo, Indiana explained its rationale                          Southwest Indiana, and Terre Haute
                                                 requires the control technology that                                        for concluding that the plans met the                          meet the applicable requirements of
                                                 modeling shows to be necessary to                                           requirement for contingency measures                           CAA sections 110, 172, 191, and 192.
                                                 ensure attainment of the SO2 NAAQS by                                       in accordance with EPA guidance.                               EPA is taking no action at this time on
                                                 the applicable attainment date.                                             Specifically, Indiana relies on EPA’s                          Indiana’s submittal with respect to
                                                    Additionally, the Indiana submission                                     guidance, noting the special                                   Morgan County.
                                                 includes limits for the individual units                                    circumstances that apply to SO2 (as                              EPA is taking public comments for
                                                 in the nonattainment areas. The limits                                      discussed above), and explaining on                            thirty days following the publication of
                                                 are established in the attainment                                           that basis why the contingency                                 this proposed action in the Federal
                                                 demonstration, and made permanent                                           requirement in CAA section 172(c)(9) is                        Register. We will take all comments into
                                                 and enforceable in SIP rule 326 IAC 7,                                      met for SO2 by having a comprehensive                          consideration in our final action.
                                                 Sulfur Dioxide Rules.                                                       program to identify sources of violations
                                                                                                                             of the SO2 NAAQS and to undertake an                           VII. Incorporation by Reference
                                                    Indiana has determined that these
                                                 measures suffice to provide for timely                                      aggressive follow-up for compliance and                          In this rule, EPA is proposing to
                                                 attainment. EPA concurs and proposes                                        enforcement of applicable emissions                            include in a final EPA rule regulatory
                                                 to conclude that the state has satisfied                                    limitations. Indiana stated that it has                        text that includes incorporation by
                                                 the requirements in sections 172(c)(1)                                      such an enforcement program as                                 reference. In accordance with
                                                 and (6) to adopt and submit all RACT/                                       codified in Indiana Code Title 13,                             requirements of 1 CFR 51.5, EPA is
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                                                 RACM and emission limitations and                                           Articles 14 and 15, identifying violators                      proposing to incorporate by reference
                                                 control measures as needed to attain the                                    and taking prompt, appropriate                                 Indiana Administrative Code, Title 326,
                                                 standards as expeditiously as                                               enforcement action. On this basis, EPA                         Article 7, ‘‘Compliance date’’ (326 IAC
                                                 practicable.                                                                concludes that Indiana’s nonattainment                         7–1.1–3), ‘‘Reporting requirements;
                                                                                                                             plans satisfy contingency measure                              methods to determine compliance’’ (7–
                                                 C. New Source Review (NSR)                                                  requirements for the Indianapolis,                             2–1), ‘‘Marion County sulfur dioxide
                                                   EPA approved Indiana’s                                                    Southwest Indiana, and Terre Haute                             emission limitations’’ (7–4–2.1), ‘‘Vigo
                                                 nonattainment new source review rules                                       nonattainment areas.                                           County sulfur dioxide emission


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                                                 40498               Federal Register / Vol. 83, No. 158 / Wednesday, August 15, 2018 / Proposed Rules

                                                 limitations’’ (7–4–3.1), and ‘‘Pike                     October 4, 1993) and 13563 (76 FR 3821,                  • Does not provide EPA with the
                                                 County sulfur dioxide emission                          January 21, 2011);                                    discretionary authority to address, as
                                                 limitations’’ (7–4–15), effective January                  • Does not impose an information                   appropriate, disproportionate human
                                                 1, 2107. EPA has made, and will                         collection burden under the provisions                health or environmental effects, using
                                                 continue to make, these documents                       of the Paperwork Reduction Act (44                    practicable and legally permissible
                                                 generally available through                             U.S.C. 3501 et seq.);                                 methods, under Executive Order 12898
                                                 www.regulations.gov, and at the EPA                        • Is certified as not having a                     (59 FR 7629, February 16, 1994).
                                                 Region 5 Office. (Please contact the                    significant economic impact on a
                                                                                                         substantial number of small entities                     In addition, the SIP is not approved
                                                 person identified in the FOR FURTHER
                                                                                                         under the Regulatory Flexibility Act (5               to apply on any Indian reservation land
                                                 INFORMATION CONTACT section of this
                                                 preamble for more information.)                         U.S.C. 601 et seq.);                                  or in any other area where EPA or an
                                                                                                            • Does not contain any unfunded                    Indian tribe has demonstrated that a
                                                 VIII. Statutory and Executive Order                     mandate or significantly or uniquely                  tribe has jurisdiction. In those areas of
                                                 Reviews                                                 affect small governments, as described                Indian country, the rule does not have
                                                   Under the CAA, the Administrator is                   in the Unfunded Mandates Reform Act                   tribal implications and will not impose
                                                 required to approve a SIP submission                    of 1995 (Pub. L. 104–4);                              substantial direct costs on tribal
                                                                                                            • Does not have Federalism                         governments or preempt tribal law as
                                                 that complies with the provisions of the
                                                                                                         implications as specified in Executive                specified by Executive Order 13175 (65
                                                 Act and applicable Federal regulations.
                                                                                                         Order 13132 (64 FR 43255, August 10,                  FR 67249, November 9, 2000).
                                                 42 U.S.C. 7410(k); 40 CFR 52.02(a).                     1999);
                                                 Thus, in reviewing SIP submissions,                        • Is not an economically significant               List of Subjects in 40 CFR Part 52
                                                 EPA’s role is to approve state choices,                 regulatory action based on health or
                                                 provided that they meet the criteria of                 safety risks subject to Executive Order                 Environmental protection, Air
                                                 the CAA. Accordingly, this proposed                     13045 (62 FR 19885, April 23, 1997);                  pollution control, Incorporation by
                                                 action merely approves state law as                        • Is not a significant regulatory action           reference, Intergovernmental relations,
                                                 meeting Federal requirements and does                   subject to Executive Order 13211 (66 FR               Reporting and recordkeeping
                                                 not impose additional requirements                      28355, May 22, 2001);                                 requirements, Sulfur oxides.
                                                 beyond those imposed by state law. For                     • Is not subject to requirements of                  Dated: August 2, 2018.
                                                 that reason, this proposed action:                      Section 12(d) of the National
                                                                                                                                                               Cathy Stepp,
                                                   • Is not a ‘‘significant regulatory                   Technology Transfer and Advancement
                                                 action’’ subject to review by the Office                Act of 1995 (15 U.S.C. 272 note) because              Regional Administrator, Region 5.
                                                 of Management and Budget under                          application of those requirements would               [FR Doc. 2018–17582 Filed 8–14–18; 8:45 am]
                                                 Executive Order 12866 58 FR 51735,                      be inconsistent with the CAA; and                     BILLING CODE 6560–50–P
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Document Created: 2018-08-15 01:26:25
Document Modified: 2018-08-15 01:26:25
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 September 14, 2018.
ContactMichelle Becker, Life Scientist, Attainment Planning and Maintenance Section, Air Programs Branch (AR- 18J), Environmental Protection Agency, Region 5, 77 West Jackson Boulevard, Chicago, Illinois 60604, (312) 886-3901, [email protected]
FR Citation83 FR 40487 
CFR AssociatedEnvironmental Protection; Air Pollution Control; Incorporation by Reference; Intergovernmental Relations; Reporting and Recordkeeping Requirements and Sulfur Oxides

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