Title: Overview/Update of EPA
1Overview/Update of EPAs Mercury Emissions
Monitoring ProgramScott Hedges, USEPA,
CAMDEPRI CEM Users Group MeetingPhoenix, AZMay
9 - 11, 2007
2Background
- The Clean Air Mercury Rule (CAMR) requires
sources to install and certify mercury monitoring
systems by January 1, 2009 - Affected sources have begun ordering monitoring
and data acquisition systems - Vendors have expressed a high level of confidence
that continuous mercury emission monitoring
systems will be available to meet industry needs
and CAMR requirements
3Background
- Development of the CAMR monitoring program has
been a collaborative effort between EPA (OAQPS,
ORD, CAMD), NIST and industry (EPRI, RMB, WRI,
EERC and others) - EPA continues its full commitment to working with
utilities, vendors, academia, NIST, and other
organizations to successfully develop all aspects
of the CAMR mercury monitoring program - Most major technical issues are behind us but
some challenges remain
4Mercury Monitoring Next Steps
- Promulgate instrumental and sorbent-based mercury
reference methods - Develop NIST-traceable calibration gases and
protocols - Develop training materials and conduct training
for EPA Regions, States and sources - Ordering, installation and certification of
monitors by sources - Collect, quality assure, and report data
5Availability of Alternative Reference Methods
- EPA is preparing a rule package for both the
instrumental and sorbent-based reference methods - Process being expedited through direct final rule
making effort - Final rule tentatively scheduled for early August
publication in the Federal Register - Would become final in October if no adverse
comments are received
6Proposed Monitoring Changes to Part 75
- Proposed Part 75 rule changes published August
22, 2006 - Comment period closed in October 06
- Reference Method 29 proposed as an alternative
Ontario Hydro reference method - Minor technical/procedural changes proposed to
Subpart I of Part 75 including adding
multiple/common stack heat input procedures - Solicited comments relating to the development of
reference method based on sorbent trap technology - Received comments were not extensive -
essentially supportive of changes - Rule expected to become final late summer
7Additional Hg-Related Part 75 Changes being
Considered
- Possible changes to Subpart B (Monitoring
Provisions) and Appendix K being considered for
inclusion in the Alternative Reference Method
Rule Package - Providing minor clarifications to the Hg
monitoring and measurement provisions - Requiring same type of sorbent material used
during an Appendix K RATA also be used during
daily operation - Allowing smaller sorbent traps to be used during
an Appendix K RATA than used during daily
operation - will reduce the required sampling time per run
- Removing spike recovery normalization correction
to sorbent trap monitoring systems - Tightening spike recovery acceptance criteria for
sorbent trap monitoring systems - Providing alternatives to dry gas meters in
Appendix K (e.g., allowing the use of thermal
mass flow meters)
8NIST-Traceable Hg Calibration Standards
- EPA and NIST continue their collaborative work to
provide NIST traceability for elemental and
oxidized mercury calibration standards - We are expecting to have NIST-traceability
protocol documents this year for use in
certifying CEMS and sorbent trap monitoring
systems
9NIST-Traceable Hg Calibration Standards
- To date EPA
- Has prepared working draft elemental mercury gas
generator traceability protocol - Will be incorporating user-friendly uncertainty
calculation spreadsheets into the draft - Working draft has been sent to vendors
- Is preparing oxidized mercury gas traceability
protocol
10NIST-Traceable Hg Calibration Standards
-
- To date NIST
- Has developed draft certification procedures for
elemental and oxidized mercury gas generators
(vendor-prime generators) - Invited generator vendors to come in and begin
certifying elemental mercury gas generators
11Mercury Monitoring Other Issues
-
- Allow time for adequate installation and
certification of monitors - If youre planning on reporting emissions using
the Low Mass Emissions (LME) option, make sure
your unit qualifies - If youre installing an FGD and new stack(s) in
2009, consider petitioning the Agency for relief
12- Questions? Comments?
- THANK YOU!