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THE OPERATIONAL FOOTPRINT OF SHIPPING

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Title: THE OPERATIONAL FOOTPRINT OF SHIPPING


1
THE OPERATIONAL FOOTPRINT OF SHIPPING
  • Operations Committee
  • Maritime Exchange for the Delaware River and Bay
  • January 15, 2009

2
US COMMISSION ON OCEAN POLICY
  • THE DOMINANT PARDIGM FOR GOVERNING THE OCEANS
    WAS THE PRINCIPLE OF FREEDOM OF THE SEAS, BASED
    ON THE PREMISE THAT THE OCEANS WERE INFINITE AND
    MARINE RESOURCES INEXHAUSTIBLE
  • (US COMMISSION ON OCEAN POLICY, DRAFT FINAL
    REPORT, PG. 358)

3
Fundamentals of Marine Transportation
  • Shipping is international so should be the
    regulation of shipping.
  • Consistency and predictability of requirements is
    critical.
  • Global increase in marine transportation will be
    significant.
  • Need for coordinated global initiatives to
    address maritime safety and protection of the
    marine environment.
  • Potential tensions among international and
    domestic requirements.

4
DO THE NEEDS OF THE MARINE TRANSPORATION SYSTEM
AND MARINE ENVIRONMENT REPRESENT AN IRRESOLVABLE
CONFLICT?ABSOLUTLY NOT!!!
5
NATURE DOES NOTHING IN VAIN.
  • Aristotle

6
WHY NOT?
  • Shipping is global.so must be marine environment
    and resources management even as applied to
    coastwise and offshore operations
  • Both requires a systems approach
  • Cultural shift from casualty focus to normal
    vessel operations
  • Not conflicting processes but may represent
    competing users
  • Both require expansion beyond man-made boundary
    lines e.g. EEZ

7
YOU CANT BUILD A REPUTATION ON WHAT YOU ARE
GOING TO DO.
  • Henry Ford

8
Where to begin?
  • URGENT NEED FOR US RATIFICATION AND
    IMPLEMENTATION OF PENDING TREATIES
  • UN Convention on the Law of the Sea
  • MARPOL Annex VI Air Emissions (original 1997)
    ratified October 2008
  • MARPOL Annex VI Air Emissions (2008
    amendments)
  • Ballast Water Convention
  • Anti-fouling Convention

9
Cooperative Endeavors
  • Regular industry input to decision makers
  • Formal and informal settings
  • Share successes and failures
  • Federal Advisory Committees (USCG, NOAA, EPA)
  • National Academy of Sciences (Marine Board) and
    other independent groups
  • Input to legislative and regulatory projects
    (preferably before they are initiated!)
  • Integrity, transparency and credibility are
    crucial

10
Substantive Operational Issues (The Big Five!)
  • Air emissions
  • Ballast water management and hull fouling
  • Waste management (minimization)
  • Discharges incident to the normal operation of
    vessels
  • Shipping Impacts on living marine resources
  • Seafarer recruitment and retention

11
Other Issues
  • Maintain level playing field
  • General environmental statutes are not a one
    size fits all especially as regards the maritime
    industry
  • Jurisdictional limits on sovereignty necessitate
    international instruments that are legally
    binding and global in scope (environmental
    management extends to high seas)

12
IGNORANCE OF ENVIRONMENTAL ISSUES IS SIMPLY BAD
BUSINESS. DISREGARD OF THEM IS EVEN WORSE.
  • Capt. John Henry Bates

13
Air Emissions The Fundamental Conflict
  • Shipping is international and so should be
    control of air emissions (IMO)
  • Air emissions are local/regional
  • Air quality is usually defined in national and
    sub-national terms and therefore emissions
    control strategies are best designed at national
    and regional levels
  • HOUSTON.WE HAVE A PROBLEM

14
Air Emissions Control Strategies
  • MARPOL Annex VI (original)
  • MARPOL Annex VI (amendments)
  • EU Marine Fuel Sulfur Directive
  • US Clean Air Act and implementing regulations
  • Subnational all states but especially
    California
  • Regional Port of LA/Long Beach

15
Policy Considerations 1
  • All entities currently regulating or trying to
    regulate air emissions from ships have legitimate
    legal jurisdiction to do so to SOME degree
  • All entities have ethical responsibilities to
    constituents to assure a safe and healthy
    environment for their citizens

16
Policy Considerations 2
  • Vast percentage of international trade is carried
    in the global (non US flag) fleet
  • Citizens want clean air AND cheap goods
  • Cookie cutter approaches to ship emission
    controls will not provide the best balance of
    environmental benefit and the facilitation of
    trade

17
Unknowns
  • Predicted growth rate of world fleet
  • Actual emissions from ships
  • Cost of fuel under more stringent emissions
    reductions programs (globally and regionally)
  • Emissions abatement technology development (SCR,
    EGS, others?)
  • Cost/benefit equation

18
Ultimate Goal
  • Net environmental benefit at all levels
  • No cross media transfers
  • Global availability of fuels meeting requirements
    at all jurisdictional levels
  • Continuing advances in shipboard emission
    reduction technologies
  • Adaptability and flexibility to address regional
    issues without adverse impact on international
    trade

19
Annex VI Amendments - SOx
  • GLOBAL
  • 4.5 cap now
  • 3.5 cap by 1/1/12
  • 0.5 cap by 1/1/20
  • Subject to fuel oil availability review
  • Max extension to 1/1/25
  • ECAs
  • 1.0 by 3/1/10
  • .1 by 1/1/15

20
Annex VI Amendments - NOx
  • NEW ENGINES
  • Tier I current
  • Tier II 20 reduction by 2012
  • Tier III 80 reduction by 2016 (only in ECAs)
  • Refers to Category 3 engines only
  • EXISTING ENGINES
  • No controls currently
  • Tier I would apply subject to emission upgrade
    system certification by flag state

21
US Activities
  • EPA Cat 2 rulemaking (final rule issued)
  • EPA Cat 3 rulemaking (final rule by Dec 2009)
  • Federal legislation S 1499/HR 2458, Marine
    Vessel Emissions Act of 2007 (pending, expect
    reintro next year)
  • State action CARB (2nd iteration)

22
IN A NUTSHELL US ACTIONS
  • EPA using best efforts to accomplish goals at IMO
  • If unsuccessful, implementation via federal
    legislation and rulemaking
  • Wild card California
  • Likely legal challenges
  • Consideration of SECA/ECA along all three coasts

23
Ballast Water Management
  • Balance of Powers gone wrong!
  • Legislative, judicial and executive branch
  • BW Legislation S 1578, HR 2830
  • Court case NW Environmental Advocates vs. EPA
    (Industry intervened)
  • EPA and USCG regulatory programs

24
BASIC FUNDAMENTALS
  • Shipping is international
  • Regulation of shipping should be international
  • Predictability of requirements
  • Elimination of regulation induced competitive
    disadvantages
  • Potential tension among international,
    legislative and regulatory requirements
  • Timing is everything!!!!

25
INDUSTRY BASED ASSUMPTIONS
  • Need for internationally accepted mandatory BW
    management program
  • Consistency between international and domestic
    programs
  • Solutions must provide real benefit to the
    environment
  • We are experts in vessel operations, not
    marine/invasion biology
  • Be careful what questions you try and answer!

26
INDUSTRY POSITIONS
  • Mandatory national BW management program
  • Exchange as technology benchmark but no longer
    appropriate focus for future control strategies
  • Promote ID and testing of new technologies
  • Oppose dual regulatory structures e.g. CWA NPDES
    and ballast water statute

27
LAY OF THE LEGAL LANDSCAPE
  • Finalized IMO Convention
  • Development of IMO Guidelines
  • US Legislative Initiatives (Fed/State)
  • Regulatory Initiatives (Fed/State/Local)
  • Multitude of technology developers all assuring
    their silver bullet

28
IMO CONVENTION VS. US LEGISLATION
  • IMO entry into force????
  • Multiple US legislative efforts
  • US legislation enactment expected ???
  • Industry position to maximize alignment of
    national and IMO requirements
  • 100 alignment unlikely (performance std.)

29
DEVIL IS IN THE DETAILS (IMO Guidelines)
  • Sediment and BW Reception Facilities
  • Sampling
  • Equivalent Compliance for pleasure/SAR vessels
  • BW Management Plans
  • BW Exchange
  • Additional measures and risk assessment protocols
  • Approval of ballast water management systems
  • Procedures for approval of active substances
  • Prototype BW treatment technologies

30
DEVIL IS IN THE DETAILS (US Legislative and
Regulatory)
  • General legislation with details left to
    regulatory programs or
  • Specific legislation with less detail left to
    regulatory programs?
  • IMO requirements reflected in totalin partor
    not at all?
  • Intentional or inadvertent loopholes with partial
    adoption of IMO requirements

31
PERFORMANCE BASED STANDARD
  • Mandatory requirements do able by all vessels
    regardless of location, vessel type or
    weather/sea conditions
  • New technology verified by standardized test
    protocols
  • Timed phase-in differentiating between new and
    existing ships

32
ALTERNATIVE BW MANAGEMENT TECHNOLOGY PROGRAM
  • Must be transparent process
  • Specified process for proposal submittal,
    evaluation and approval
  • Specified format and content
  • Use of technology verification protocols
  • Temporary approval for testing program with
    final review and approval for successful test
    programs

33
FEDERAL PREEMPTION OF STATE REQUIREMENTS
  • NISA 96 recognizes need for national and
    international consistency
  • Equally applicable to federal and state programs
  • Must have strong legal and policy justification
    to gain Congressional support
  • Current evidence of patchwork quilt in varying
    state and national requirements

34
NEED FOR EXCLUSION FROM CLEAN WATER ACT PROVISIONS
  • Text to make national legislation the EXCLUSIVE
    statute for managing ballast water
  • Otherwise, provisions of CWA permitting program
    (NPDES) would apply as well

35
DEVELOPING TECHNOLOGIES
  • Filtration
  • Other physical separation
  • UV/IR or other electromagnetic spectra
    application
  • Thermal
  • Chemical biocides
  • Ozone
  • But..need performance standard to assess

36
TECHNOLOGY DEVELOPMENT CONSIDERATIONS
  • Maximum operational flow rate (vessel)
  • Maximum operational flow rate (application and/or
    residence time)
  • Adaptability to shipboard environment
  • Footprint
  • Installation and maintenance feasibility
  • Back-up capability and redundancy
  • Sampling and monitoring needs

37
CHALLENGES
  • Standardized test protocols
  • Finalized IMO guidelines and domestic
    requirements
  • Ramp-up from lab to pilot to shipboard
  • Conversion of existing performance data (
    removal to concentration based format)
  • Sufficient funding (public and private)
  • ACKNOWLEDGEMENT THAT THERE IS NO SILVER BULLET!

38
PENDING LEGISLATION (FEDERAL)
  • None as yet in new Congress
  • Expect re-introductions of ballast water
    legislation in House and Senate?
  • Senate players Levin, Inouye, Boxer
  • House players - Oberstar

39
STATE ACTIONS
  • California (zero discharge by 2020)
  • Washington, Oregon, Michigan
  • Other Great Lakes states in process
  • Expect others..
  • Provides perfect example of why a national
    program is necessary e.g. varied requirements
  • Wide variety of state requirements in NPDES
    Vessel General Permit

40
Clean Water Act Permitting andOperational
Discharges from Vessels
41
CRITICAL ISSUES
  • Clean Water Act (CWA) Permit Basics
  • Vessel General Permit and Exclusions
  • Court Decision(s)
  • Implications
  • Questions Issues to Consider

42
CWA PERMIT BASICS For more info visit
http//cfpub.epa.gov/npdes/
  • Discharge of a pollutant generally prohibited
    without a permit CWA 301(a)
  • National Pollutant Discharge Elimination System
    (NPDES) Permits CWA 402
  • Individual permits
  • General permits
  • State authorization
  • 46 States and authorized territories

43
CWA PERMIT BASICS Cont
  • Effluent limits CWA 301(b)
  • Technology based CWA 304(b)
  • Effluent guidelines (BAT)
  • Best professional judgment (BPJ)
  • Water quality based CWA 303
  • Permit needs to achieve State water quality
    standards
  • For purposes of the CWA, State waters are
    internal waters and the 3 mile territorial sea
  • Processing (General Permits)
  • Proposed draft permit
  • Public comment (Ended August 1, 2008)
  • Issue final permit
  • Vessel files notice to be covered under general
    permit

44
PERMIT EXCLUSIONS
  • STATUTORY exclusions Stated in the CWA itself
    and thus unaffected by lawsuit
  • Vessels operating as a means of transportation
    beyond 3 mile limit CWA 502(12)(B)
  • Sewage from vessels or discharges incidental to
    the normal operation of vessels of the Armed
    Forces, within the meaning of 312 CWA
    502(6)(A)

45
PERMIT EXCLUSIONS Cont
  • REGULATORY exclusion (vacated by court case) 40
    CFR 122.3(a)
  • EPA excluded certain discharges incidental to the
    normal operation of vessels from the obligation
    to obtain an NPDES permit
  • Issued in May 1973
  • Never previously challenged

46
COURT DECISIONFor more info visit
http//www.epa.gov/owow/invasive_species/ballast_w
ater.html
  • Rulemaking petition
  • Jan 1999 Petition from Northwest Environmental
    Advocates, Center for Marine Conservation, Great
    Lakes United
  • Petition concerns focused on ballast water
  • Sept 2003 EPA denied petition based on
    Congressional acquiescence and Coast Guard
    authority under NISA
  • Dec. 2003 Lawsuit filed by Northwest
    Environmental Advocates and others challenging
    petition denial
  • Litigation outcome in U.S. District Court
  • March 2005 Ruling that the regulation (40 CFR
    122.3(a)) excluding discharges incidental to the
    normal operation of a vessel from NPDES
    permitting exceeded the Agencys authority under
    the CWA
  • Sept 2006 Final order vacating (revoking) the
    regulatory exclusion as of September 30, 2008,
    and potentially affects all incidental discharges
    of vessels
  • Current status
  • August 2007 Appellate oral arguments with 9th
    Circuit
  • July 2008 9th Circuit upholds lower court
    decision
  • August 2008 US District Court grants extension
    to December 19, 2008
  • December 2008 US District Court grants
    extension to Feb 6, 2009

47
IMPLICATIONS
  • All vessels with discharges of pollutants over
    79 will need permit coverage by 2/6/2009
    (60,000)
  • Congressional exemption for recreational boaters
    and fishing vessels
  • Coverage automatic on February 6, 2009 vessels
    allowed 6-9 months to file NOI
  • Not just limited to ballast water discharges but
    includes other operational discharges
  • But does NOT affect exemptions specifically
    contained in CWA itself (see earlier slide)

48
CURRENT ACTIVITIES
  • EPA Vessel Vacatur Taskforce
  • Proposed VGP issued June 17, 2008 (comment period
    ended August 1, 2008)
  • EPA Request for Comments
  • Implications of Courts decision, vessel
    discharge inventory, best management practices
    and/or regulatory requirements already in place
  • General permit published December 19, 2008
  • Compliance extension granted by CA District Court
    to February 6, 2009
  • Continued coordination with USCG and EPA
  • Enactment of Federal legislation with CWA
    exclusion text (moots court case) still possible

49
QUESTIONS CONSIDERED IN PROPOSED VGP
  • How to define and categorize the universe of
    vessels?
  • How to inform affected universe that they need to
    obtain permit coverage?
  • How to define and categorize operational
    discharges and control technologies/BMPs?
  • How to determine technology requirements using
    BPJ factors? Availability and feasibility as
    criteria.

50
QUESTIONS Cont
  • How to address State WQ standards that vary
    reach-by-reach or State to State?
  • How to integrate with any applicable
    international or domestic requirements under
    statutes besides CWA? (e.g., Coastal Zone
    Management Act which requires State certification
    as to consistency with coastal zone management
    plans)

51
Covered Discharges
  • Deck Washdown and Runoff
  • Bilgewater
  • Ballast Water
  • Anti-fouling Hull Coatings
  • AFFF
  • Boiler/Economizer Blowdown
  • Cathodic Protection
  • Chain Locker Effluent
  • Controllable Pitch Propeller Hydraulics
  • Elevator Pit Effluent
  • Firemain System
  • Graywater
  • Non-Oily Machinery Wastewater
  • Reefer and Air Condensate Discharge

52
Covered Discharges (contd)
  • Rudder Bearing Lube Discharge
  • Seawater Cooling Overboard
  • Seawater Piping Biofouling Prevention
  • Small Boat Engine Wet Exhaust
  • Stern Tube Oily Discharge
  • Underwater Ship Husbandry
  • Graywater Sewage
  • Exhaust Gas Scrubber Washwater
  • Materials (including Hazmat) storage

53
EPA Approach to Discharge Management
  • Incorporate current legal requirements
  • Create Best Management Practices (BMPs)
    reflecting current practices
  • Some add ons with biggest impacts on vessels
    not going outside 3 nm and those that do but
    remain inside for extended period (anchorage,
    repairs, etc.)

54
Problems yet to be resolved
  • Use of ambiguous terms (minimize, where
    practical, to the extent possible)
  • Insufficient science and fleet data to justify
    discharge restrictions (no environmental impacts
    analysis)
  • Lack of temporal and spatial distribution data
  • State 401 certification process and varying state
    requirements

55
CONTACT INFORMATION
  • Kathy Metcalf
  • Director, Maritime Affairs
  • Chamber of Shipping of America
  • 1730 M Street, NW
  • Suite 407
  • Washington, DC 20036
  • Kmetcalf_at_knowships.org
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