Title: Regional Modeling for Stationary Source Control Strategy Evaluation
1Regional Modeling for Stationary Source Control
Strategy Evaluation
- WESTAR Conference on
- BART Guidelines and Trading
- September 1, 2005
- Tom Moore - mooret_at_cira.colostate.edu
2Presentation Topics
- Purpose is to gather input on regional modeling
approach analysis steps - Review selected materials from Evaluation of the
CALPUFF Chemistry Algorithms, AWMA Annual
Meeting, June 21-25, 2005, Ralph Morris, S. Lau
B. Koo, ENVIRON International Corporation - Suggest process and timing for preparation and
completion of Regional Modeling Protocol by the
WRAP Regional Modeling Center
3Challenges in Evaluating source-by-source BART as
a Control Strategy
- Just one control strategy option, addressing just
one approach to regional haze, required for
analysis in isolation of other measures - Reasonable progress toward RHR goal of natural
conditions by 2064 will need to consist of many
control strategies for different visibility
precursors (e.g., ozone, PM, FP, etc.) - Natural visibility conditions, especially the
effect of natural fire emissions, major component
even for Worst 20 days - Need to design evaluation of BART as a
complement, a part of an integrated point source
emission reduction program
4Regional Modeling Analysis
- When 2018 base case modeling analysis is
completed in late 2005 - Shows how much reasonable progress is being made
from federal mobile source programs and
point/area rules on the books - Then begin to evaluate WRAP region Point Source
Control Scenarios - RMC 2005-06 workplan task to address BART
- Can provide met data as needed by regulatory
agencies - Compile/coordinate results from individual agency
analyses - Develop regional modeling protocol to support
evaluation of point source control strategy
options
5Planning Emissions and Modeling Analysesfor the
Dont CAIR region
- First need to think through questions that need
to be answered - Need information about agencies plans
- Need to compile sufficiently complete information
and/or agreement from regulatory agencies using
source-specific BART analysis approach - About estimates of emissions reductions
- About results from CALPUFF modeling
- Need information by very early 2006
- Agencies selecting reasonable progress option
allows RMC to apply regional model to BART and
other point sources
6Issues to be analyzed with modeling
- Class I Area AQ and AQRV Issues
- PSD Pollutants (PM10, SO2, NO2)
- Visibility
- Acid (S and N) Deposition
- Visibility is frequently the most limiting Class
I Area AQ/AQRV issue in NSR/PSD permitting and is
the issue associated with Regional Haze Rule
(RHR) BART requirements - Visibility impairment for such sources is
primarily associated with secondary sulfate (SO4)
and nitrate (NO3) fine particulate matter (PM2.5)
7(No Transcript)
8Technical Assessment Options
- 3 Options
- Individual source assessment
- Cumulative assessment of all BART-eligible
sources - Assessment based on model plants
9EPAs Analysis Options
- Individual Source Assessment (source-by-source
analysis) - Use CALPUFF or other EPA approved model
- Compare to natural background
- Cause impact of 1.0 deciview or more
- Contribute 0.5 deciview (State may set lower
threshold) - Cumulative - Consider all eligible sources to be
subject, based on an analysis of an areas
contribution to visibility impairment -- or
demonstrate that no sources are subject, based on
cumulative modeling. - Develop model plants to exempt sources with
common characteristics - BART Guidelines provide example model runs
10Using CALPUFF?
- Sulfur and nitrogen emissions from most sources
will primarily be in the form of SO2 and NOX - The SO2 and NOX emissions are converted to
sulfate (SO4) and nitrate (NO3) in CALPUFF - CALPUFF SO4 and NO3 estimates drive the
visibility assessment - Therefore the CALPUFF SO4 and NO3 chemical
formation algorithms are critically important to
the NSR/PSD and RHR BART process
11Using CALPUFF?
- EPA 2001 draft Guidance for Demonstrating
Attainment of the Air Quality Goals for PM2.5 and
Regional Haze - States should use a regional scale photochemical
grid model to estimate the effects if a control
strategy on secondary components of PM. Changes
in primary components may be estimated using a
numerical grid model (with no chemistry), a
Lagrangian model, or in some cases a receptor
model (EPA, 2001, pg. 169) - CALPUFF is a Lagrangian puff model that EPA FP
modeling explicitly states should not be used for
SO4 and NO3 impacts
12Using CALPUFF?
- Lack of temperature effects and 50F minimum
temperature used in development will overstate
sulfate and nitrate formation under cold
conditions - Enhanced photochemistry, radicals and sulfate and
nitrate formation rates occurs on hot summer days - MESOPUFF-II transformation rates developed using
temperatures of 86, 68 and 50F - Therefore, inappropriate for use below 50 F
- MEOSPUFF-II will overstate SO4 and NO3 formation
results as temperatures below 50F (10C)
13Using CALPUFF?
- Previously evaluated CALPUFF MESOPUFF-II and
RIVAD SO4 and NO3 formation rates against latest
state-of-science chemistry modules developed by
Carnegie Mellon University (CMU) - Reported on at AWMA Specialty Conference on Air
Quality Model Guidelines in Mystic, CT October
2003 - SO4 and NO3 formation chemistry out of date and
inaccurate - Developed in 1983 Overly Simplistic Neglects
Major Variables and Processes - CALPUFF should not be used for SO4 and NO3
- Supported by EPA AQ guideline and FP Guidance
- Supported by chemical modeling community
- Likely overestimation bias for large NOx/SO2
sources
14Can you evaluate CALPUFF Chemistry using
Real-World Data?
- Extensive PM measurement networks across US that
measure real-world SO4 and NO3 - IMPROVE, CASTNet, STN, SEARCH
- CALPUFF typically applied to one or small group
of sources inconsistent with measurements that
are due to all sources - Running CALPUFF with all sources become
computationally prohibitive or must perform
extensive source combination
15Evaluation of Single Source Impacts
Reduce SO2 and NOx emissions by 20 and 10 TPD,
respectively Compare maximum 24-hr visibility,
SO4 and NO3 impacts in rings around
source Compare CMAQ-LISBON w/ MESOPUFF-II and
RIVAD CALPUFF chemistry with CMAQ V4.4
9 source locations GA NY, OH, IL, TX, ND, WY,
AZ and OR
16Visibility comparisons (Mm-1) for January 2002
and 9 sources
large over-prediction using CALPUFF chemistry
algorithms compared to CMAQ chemistry gt 100 gt
1000
17Visibility comparisons (Mm-1) for July 2002 and 9
sources
CALPUFF chemistry algorithms generally smaller
compared to CMAQ chemistry gt 100 gt 1000
18Conclusions Evaluation of CALPUFF Chemistry
- SO4 and NO3 formation chemistry out of date and
inaccurate - Developed in 1983 Overly Simplistic
- Neglects Major Variables and Processes
- Greatly overstates SO4 and NO3 in winter
resulting in overestimating visibility impacts by
100 to 1000 in many cases - Understates SO4 in summer, overstates NO3
- CALPUFF Nitrate (NO3) particularly inaccurate,
overstated and unreliable
19Potential process for Regional Modeling Protocol
- Compile 2018 BART source likely emissions
reductions data 9-12/05 - Compile source-specific BART modeling data
9-12/05 - Same time - prepare master spreadsheet of
individual BART sources - Emissions (projected 2018 base case and PTE)
- Expected emissions reductions beyond current
controls - Other supporting data
- Run zero-out simulations of NH3 and VOC at BART
sources using tagged emissions in regional model
late 2005 - When spreadsheet complete as possible, compile
regional BART emissions reductions EIs and
tag those emissions in model to estimate change
from applying BART - Conduct other regional analyses of SO2 Annex
(expansion), other alternative programs, etc.
20Comments/questions/next steps?