Title: INDUSTRIAL BOILER MACT 40 CFR 63 Subpart DDDDD
1INDUSTRIAL BOILER MACT (40 CFR 63 Subpart DDDDD)
- Atlanta, Georgia
- May 24, 2006
2IMPORTANT DATES
- Proposal Date January 13, 2003
- Promulgation Date September 13, 2004
- Compliance Date
- Existing units - September 13, 2007
- New units startup
3INDUSTRIAL BOILER MACT
- Source categories included
- Industrial Boilers
- Institutional/Commercial Boilers
- Process Heaters
- Indirect-fired combustion gases do not come in
contact with process materials.
4EMISSIONS LIMITSExisting Units
- Existing large solid fuel units
- PM -- 0.07 lb/million Btu, OR TSM 0.001
lb/million Btu - HCl -- 0.09 lb/million Btu ( 90 ppm)
- Hg 9 lb/trillion Btu
- Existing limited use solid fuel units
- PM -- 0.21 lb/million Btu, OR TSM 0.004
lb/million Btu - No emissions standards for
- existing small solid fuel units
- existing liquid fuel units
- existing gaseous fuel units
- No work practice standards
5EMISSION LIMITSand WORK PRACTICE STANDARDSNew
Units
- New solid fuel units
- PM -- 0.025 lb/million Btu, OR TSM 0.0003
lb/million Btu - HCl -- 0.02 lb/million Btu (20 ppm)
- Hg -- 3 lb/trillion Btu
- CO -- 400 ppm _at_ 7 oxygen (NOT FOR SMALL UNITS)
- New liquid fuel units
- PM -- 0.03 lb/million Btu
- HCl -- 0.0005 lb/million Btu (large units)
- 0.0009 lb/million Btu (small and
limited use units) - CO 400 ppm _at_ 3 oxygen (NOT FOR SMALL UNITS)
- New gaseous fuel-fired units
- CO 400 ppm _at_ 3 oxygen (NOT FOR SMALL UNITS)
6COMPLIANCE OPTIONS
- Conduct stack emission tests
- Conduct fuel analysis
- Emissions averaging
- (large solid fuel units only)
- Health-based compliance alternatives for HCl and
TSM
7COMPLIANCE TESTING
- Performance tests (stacks tests)
- Annual performance tests
- Based on average of 3 test runs
- Based on worst fuel type or mixture
- AND/OR
- Fuel analyses
- Initial and every 5 years
- Each new fuel type
- Based 90 confidence level of minimum 3 fuel
samples - Based on worst fuel type or mixture
8COMPLIANCE TESTING Performance Tests Requirements
- Listed in Table 5 of Subpart DDDDD of Part 63
- Common EPA test methods for PM, TSM, HCl,
mercury, and CO limits - EPA Method 1 sampling location/traverse points
- EPA Method 2 velocity/volumetric flowrate
- EPA Method 3 oxygen/CO2 concentration
- EPA Method 4 moisture content
- EPA Method 19 converting concentrations to
lb/MMBtu by using F-factor - For PM
- EPA Methods 5 or 17
- For TSM
- EPA Method 29
- For HCl
- EPA Method 26 or 26A
- For mercury
- EPA Method 29 or 101A
- ASTM D6522-00 or PTC 19, Part 10
- For CO
- EPA Methods 10, 10A, or 10B
- ASTM D6522-00 (natural gas only)
9COMPLIANCE TESTINGFuel Analysis Requirements
- Listed in Table 6 to Subpart DDDDD
- Required steps
- Collect samples (using procedure in 63.7521(c) or
ASTM D2234-00 - Composite fuel samples (63.7521(c))
- Prepare composite samples (ASTM D2013-01)
- Determine heat content (ASTM D5865-03a)
- Determine moisture content (ASTM D3173-02)
- Determine HAP concentration (Listed method or
equivalent) - Convert HAP concentration to lb/million Btu
10COMPLIANCE TESTINGFuel Analysis Requirements
(cont.)
- Must use equation 8 to demonstrate compliance
- One-sided z-statistic test
- P90 mean (SD t)
- P90 90th percentile confidence level
- Mean Arithmetic average concentration in the
fuel samples - SD Standard deviation in the fuel samples
- t t distribution critical value for 90th
percentile (0.1) probability for appropriate
degrees of freedom (number of samples minus one)
obtained from Distribution Critical Value Table. - Based on worst fuel type or mixture
11SPECIAL TESTING REQUIREMENTS
- New liquid fuel that burn only fossil fuel and do
not burn residual oil (40 CFR 63.7506(a)) - Not required to conduct performance tests for PM
and HCl - Must submit documentation
- Must still demonstrate compliance with CO limit
- Use of alternative test methods
- Must petition EPA for approval (40 CFR 63.7)
12COMPLIANCE MONITORING
- Continuous compliance based on monitoring and
maintaining operating limits - Operating limits
- For PM, TSM and mercury limits
- Opacity (for dry systems)
- Existing units 20 opacity (6 minute average)
- New units 10 opacity (1 hour block average)
- Control device parameters (for wet systems)
- Established during initial compliance test
- Fuel (type or mixture)
- When compliance based on fuel analysis
- For HCl
- Scrubber parameters (pH, pressure drop, liquid
flow, sorbent injection rate) - Established during initial compliance test
- Fuel (type or mixture)
- When compliance based on fuel analysis
13COMPLIANCE MONITORING (cont.)
- CO Monitoring (new units only)
- CEM for large units gt 100 million Btu/hr
- Annual CO tests for other new units
- Exempt data from lt50 load and based on 30-day
average.
14Additional Compliance Provisions
- Emission Averaging
- Only existing large solid fuel units
- Initial compliance based on maximum capacity
- Continuous compliance on a 12-month rolling
average basis - Each monthly calculation based on monthly fuel
use and previous compliance test results for each
boiler - Must maintain, at a minimum, the emission
controls employed on the effective date
15Additional Compliance ProvisionHealth-Based
Compliance Alternatives
- Alternative compliance options available for the
HCl limit and the total selected metals limit
(TSM) - HCl emissions of HCl and Cl2
- TSM emissions of manganese
- Sources that comply with source-wide health-based
alternative for HCl do not have to comply with
the technology-based HCl limit on an individual
boiler basis - Sources that comply with source-wide health-based
alternative for manganese can ignore manganese
when determining compliance with the TSM limit on
an individual boiler basis
16How to Comply with Health-Based Compliance Options
- Lookup table analysis
- Site-specific risk assessment
17How to Conduct a Lookup Table Analysis Overview
- Determine maximum hourly emission rates from each
appropriate subpart DDDDD boiler or process
heater - HCl and Cl2 or Mn
- Calculate total emission rate for source
- Locate appropriate allowable emission rate from
lookup table - Compare sources emission rate with allowable
emission rate
18How to Conduct a Lookup Table Analysis Emissions
Determination
- Emissions tests
- HCl alternative Must test for HCl and Cl2
- TSM alternative Must test for Mn
- Fuel analysis
- HCl alternative Assume all chlorine detected
emitted as Cl2 - TSM alternative Assume all Mn detected is
emitted
19How to Conduct a Site-Specific Risk Assessment
- Refer to EPAs Air Toxics Risk Assessment
Reference Library (http//www.epa.gov/ttn/fera/ris
k_atra_main.html) - General outline of process
- Collect emissions information (HCl, Cl2, Mn)
- Identify relevant source parameters for modeling
- stack heights, stack diameters, gas exit
velocities, etc. - Perform dispersion/exposure modeling
- Calculate an estimate of risk to the individual
most exposed (Hazard quotient (HQ) for Mn and
hazard index (HI) for HCl and Cl2) - HQ The ratio of a level of exposure for a single
substance to a reference level (e.g., RfC) for
that substance - HI The sum of more than one hazard quotient
- You are eligible for the alternative compliance
option if your maximum chronic inhalation HI or
HQ is lt 1.0
20Petitions For Reconsideration
- Three petitions for reconsideration were received
- General Electric Company
- Joint petition
- NRDC
- EIP (Environmental Integrity Project)
- EIP
- Two petitions for judicial review
- Jointly filed by NRDC, Sierra Club, and EIP
- Issues same as in reconsideration petition
- American Public Power-Ohio (and 6 municipalities)
- EPA exceeded its authority in imposing standards
on small municipal utility boilers
21GE Petition
- Issue
- Requests clarification that the rule allows for
testing at the common stack rather than each duct
to the stack - No opportunity to provide comments since the
proposed rule did not contain regulatory text for
the emissions averaging provision - Common stack testing is handled on a case-by-case
basis by OECA/Regions - OECAs general policy is that each duct to a
common stack must be tested - Proposed amendment allowing testing of common
stack in certain situation October 31, 2005
22NRDC EIP Petition
- Seeking reconsideration on
- Lack of standards for all HAP emitted on all
subcategories - Health-based compliance alternatives
- Granted petition and requested comment on June
27, 2005 - Published final action on December 28, 2005
- Retained health-based compliance alternatives
23INFORMATION AND CONTACT
- Implementation tools (timelines, initial
notification, state/local contacts, Q/A) and
information on the MACT rulemaking for
industrial, commercial, and institutional boilers
and process heaters is available on EPAs web
site at - www.epa.gov/ttn/atw/boiler/boilerpg.html
- An electronic version of public docket (including
public comments) is available at - www.regulations.gov
- Search for docket ID No. EPA-HQ-OAR-2002-0058
- Contact Compliance Contact
- Jim Eddinger Greg Fried (OECA)
- 919-541-5426 202-564-7016
- eddinger.jim_at_epa.gov fried.gregory_at_epa.gov
- Risk Contact
- Scott Jenkins
- 919-541-1167
- jenkins.scott_at_epa.gov
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