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Indiana Power Plant Mercury Rulemaking Recommendation

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Title: Indiana Power Plant Mercury Rulemaking Recommendation


1
Indiana Power Plant Mercury Rulemaking
Recommendation
  • Thomas W. Easterly, Commissioner
  • Indiana Department of Environmental Management

2
Utility Mercury Regulation Options
  • Hoosier Environmental Council Petition requesting
    a 90 reduction in uncontrolled mercury emissions
    from all Coal Fired EGUs with no trading
  • Adopt Federal Clean Air Mercury Rule (CAMR)
  • Some combination?
  • The workgroup process did not reach consensus

3
Where are we in the Rulemaking Process?
  • We have published the first notice
  • We did not publish the second notice which
    includes the proposed rule language because of
    the lack of consensus on which option to select.
  • IN will not have a final regulation by EPAs
    11/06 deadline
  • We need to chose a direction and move ahead

4
Other IN Mercury Initiatives
  • We are implementing the program with bounties to
    remove mercury switches from end of life (motor)
    vehicles (ELVs)
  • We are also pursuing Regulations to implement the
    program
  • Utility mercury emissions estimated at 4,500
    lbsmercury in scrapped autos initially estimated
    at 2,400 lbs, but may be much less

5
What is Known About Mercury
  • Mercury is a potent neurotoxin
  • Studies have shown that high levels of mercury
    result in reduced IQs in newborns
  • Some studies have shown that high levels of
    mercury in adult males are associated with higher
    rates of heart attacks and death (but studies
    also show that eating fish generally reduces the
    risk of heart attacks)

6
What is Known About Mercury
  • In the US, most mercury exposure is through fish
    consumption
  • In Indiana, there are many fish consumption
    advisories for mercury
  • As shown on the next slide, using Indianas fish
    consumption advisory standard, we would warn
    against consumption of common commercial fish
    available in the supermarket

7
IN Commercial Fish Advisories
  • Fresh or canned salmon shellfish like shrimp,
    crab, and oysters tilapia herring canned
    light tuna scallops sardines pollock cod
    and catfishUnlimited for all adultsOne meal per
    week
  • Canned albacore white tuna (6 oz.), tuna steak,
    halibut, and lobster1 meal per week for
    adultsOne meal per month
  • Shark, swordfish, tile fish, king mackerel1 meal
    per month for adult males and femalesDo not
    eat
  • References
  • USDHHS and US EPA - 2004 EPA FDA Advice for
    Women Who Might Become Pregnant
  • Choose Wisely 2004, Wisconsin DNR
  • An Expectant Mother's Guide to Eating Minnesota
    Fish, 2004
  • Consumption guidelines for the at-risk
    population women of childbearing years, nursing
    mothers, and all children under the age of 15
    years.

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Mercury Questions
  • Are US Power Plant mercury emissions deposited
    near the power plants or spread around the world?
  • If spread around the world, elimination of US
    mercury emissions will reduce mercury in fish by
    about 1
  • If emissions are locally deposited, reductions
    may result in significant reductions in local
    fish mercury concentrations
  • Will a reduction in mercury deposition result in
    a corresponding reduction in fish mercury levels?

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Is There a Safe Level of Mercury?
  • USEPA has established a Reference Dose of 0.1
    micrograms/kg body weight/day. This calculation
    is based upon limiting the mercury in the fetus
    of a pregnant woman to the no observed affects
    level and a safety factor of 10.
  • 88.4 of the Midwest population that consumes
    non-commercial fish is believed to be below the
    reference dose. Full implementation of CAMR will
    increase that value to 90.6.

24
Value of Health Benefits
  • Based upon published studies, the Hoosier
    Environmental Council has estimated the following
    health costs
  • Loss of IQ due to US power plant mercury
    emissions1.5 Billion for the US, 30 Million
    for Indiana and 78 Million for Indiana Power
    Plant Emissions
  • Cardiovascular--3.9 Billion for the US, 78
    Million for Indiana and 203 Million in the US
    from Indiana Power Plant Emissions
  • Increased mental retardation--289 Million for
    the US, 6 Million for Indiana and 15 Million in
    the US from Indiana Power Plant Emissions

25
Value of Health Benefits
  • Based upon published studies, the North East
    States Consortium of Air Unit Managers has
    estimated the following benefits from full
    implementation of CAMR
  • Improvement in IQ due to US power plant mercury
    emissions119 Million for the US, 2.5 Million
    for Indiana and 6 Million for Indiana Power
    Plant Emissions
  • CardiovascularBetween 48 Million and 4.9
    Billion for the US, (Between 1 Million and 98
    Million for Indiana and between 2.5 Million and
    255 Million in the US from Indiana Power Plant
    Emissions

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Health Benefit Uncertainties
  • Value of avoiding a fatal heart attack is valued
    at 6,000,000 while average lifetime earnings are
    about 1,000,000while people may be willing to
    pay 6,000,000 to avoid a heart attack, they
    cannot afford to pay that much.
  • The value of IQ loss is based on a 0.6 IQ point
    reduction in IQ due to mercury causing a 16,900
    reduction in lifetime earnings times total births

28
Health Benefit Overstatement
  • Assumption that health benefits are linearly
    related to reductions in US power plant emissions
    when
  • USEPA expects that a 69 reduction in US power
    plant emissions will reduce the deposition of
    mercury in the US by about 10
  • Reductions in US power plant mercury emissions
    have a very small impact on migratory ocean
    species such as tuna

29
Health Cost per Pound of Emissions
  • Using the HEC Health Costs and the 1999 Indiana
    Power Plant mercury emissions of 4,884 pounds, we
    can calculate a health cost per pound of mercury
    emissions
  • IQ loss 78,000,000/4,884 15,970/lb
  • Cardiovascular 41,464/lb
  • Mental Retardation 3,071/lb
  • TOTAL 60,500 per pound

30
What are the Emission Reductions?
  • The HEC Petition requires 90 Reduction from
    uncontrolled emissions or 0.6 lbs Hg/Trillion
    BTUmeeting this limit is estimated to result in
    between 1,095 and 1,260 lbs of mercury emissions
    per year in Indiana starting in 2010
  • EPAs CAMR Phase 2 emission limits will cap IN
    power plant emissions at 1,656 lbs, but due to
    banking and trading, actual emissions are
    estimated at 2,001 lbs by EPA and 1,492 by the
    Indiana Utility Group

31
IN Power Plant Mercury Emissions (Lbs)
32
Mercury Control Issue
  • Is it physically possible to meet the 90
    reduction target at every power plant?
  • Many people assume that the control device
    combination of ESP, SCR and scrubber will result
    in a 90 reduction in mercury emissionstests on
    production units show removals of 40 to 90
  • Reported tests indicate that mercury emission
    reductions of 90 to 94 can be achieved on plants
    fueled with PRB (western) coals using brominated
    activated carbon, but that on bituminous coals
    reductions range from 50 to 86

33
Costs of Mercury Control Options
  • HEC Petition (90 Removal)
  • 234,230,000 per year Initial Estimate
  • 207,000,000 per year IDEM/EPA Model Run
  • 373,137,000 per year IUG Model Run
  • (Note, IDEM assumes that ESP, SCR and Scrubber
    will meet 90, IUG assumes that activated carbon
    injection will be required)
  • CAMR Phase II
  • 64,195,000 per year IDEM/EPA Model Run
  • 67,647,000 per year IUG Model Run

34
HEC Petition vs CAMR
  • Using the 60,505 health cost per pound of
    mercury emissions, the estimated annual costs of
    complying with the HEC petition, and the pounds
    of mercury emissions avoided by the HEC petition
    vs CAMR, we can estimate the cost or benefit of
    the HEC petition versus CAMR

35
HEC Petition vs 1999 Baseline
  • 1999 emissions 4,884 pounds per year
  • HEC emissions 1,095 pounds per year
  • Emissions reduction 3,789
  • Value of reductions 3,789 60,505
    229,253,445
  • Initial HEC Cost Estimate is 234,230,000 per
    year
  • Benefit/Cost Ratio 0.98

36
HEC vs CAMR Benefit
  • We must do CAMR, so the appropriate calculation
    is the marginal benefit of the HEC petition vs
    CAMR. This benefit can be compared with the
    marginal cost.
  • The data that we have supports two
    calculationsthose based upon the IDEM/EPA Cost
    and Emissions Model and those based upon the IUG
    Cost and Emissions Model

37
HEC vs EPA/IDEM CAMR Benefit
  • The IDEM/EPA model indicates that CAMR will
    result in 2,001 pounds of mercury emissions per
    year at an annual control cost of 64,195,000.
  • The HEC petition would reduce the emissions by
    906 pounds per year (value 54,817,530) at a
    net cost of 207,485,000-64,195,000
    143,290,000 per year
  • Benefit/cost ratio 0.38

38
HEC vs CAMR IUG Benefit
  • The IUG model indicates that CAMR will result in
    1,492 pounds of mercury per year at an annual
    cost of 67,674,000.
  • The HEC petition would reduce the emissions by
    397 pounds per year (value 24,020,485) at a
    net cost of 373,137,000-67,674,000
    305,463,000 per year
  • Benefit/cost ratio 0.08

39
Total Monthly Electric Costs
  • A very simple calculation is that the IDEM/EPA
    annual CAMR cost of 64,195,000 divided by 6.3
    million Hoosiers yields an annual increase of
    10.20 per year per Hoosier or 2.54 per
    household per month.
  • For the HEC petition similar values are
    234,230,000 annual cost 37.18 per Hoosier or
    9.29 per household per month
  • This calculation includes the assumption that the
    increases in Commercial and Industrial rates are
    passed on to the individual consumers

40
Recommendation
  • Due to uncertainties over
  • Achievability of 90 control
  • Reductions in actual mercury exposure levels
  • Cardiovascular health benefit
  • Thresholds for IQ reduction based upon EPAs
    Reference Dose
  • AND the fact that the calculated marginal
    benefits of the HEC petition appear to exceed the
    lowest estimated costs of implementing the
    petition, I recommend that IDEM proceed with
    rulemaking based on CAMR
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