Title: Future Automotive Fuels and Emissions
1Future Automotive Fuels and Emissions
- NATT Conference
- Seattle, Washington
- October 24, 2000
Chevron Products Company S. Kent Hoekman
2Outline of Presentation
- Introduction
- Background/History of Air Quality and Emissions
- Guidelines for Future Controls
- Diesel Issues
- Other Concerns
- Longer-Term Outlook for Fuels
3Issues and Concerns for Fuel Suppliers
Vehicle Emissions Standards
National Ambient Air Quality Standards (NAAQS)
Global Climate Change Concerns
Automotive Fuels Mogas Aviation Diesel
Alternative Fuel Mandates
Oxygenate Contamination of Drinking Water
Current Future CAFE Standards
Local/National/Worldwide Fuel Specifications
Toxic Air Contaminants (TACs)
4Air Quality and Emissions
- Characteristics of Air Quality Problems
- Regional
- Seasonal
- Episodic
- In Most Locations, Air Quality is Improving
- due to reductions of both mobile-source and
stationary-source emissions - fuel changes have helped, but improved
engine/vehicle technology has been more important
5Maximum Hourly Ozone Levels in California
(1973-1999)
0.60
0.55
0.50
0.45
0.40
0.35
Ozone (parts per million)
0.30
0.25
0.20
0.15
Federal Standard
0.10
0.05
California Standard
0.00
Calendar Year
Source CVS NEWS, July 2000 - Published by Sierra
Research, Inc.
6Maximum Annual Geometric Mean PM10
South Coast Air Basin (1985-1998)
140
120
100
80
Geometric Mean PM10 (µg/m³)
60
40
California Standard
20
0
Calendar Year
Source CVS NEWS, July 2000 - Published by Sierra
Research, Inc.
7Federal Exhaust Emissions StandardsPassenger
Cars
Approx. values only due to varying phase-in
schedules, changes in test procedures, waivers,
etc.
8Federal Exhaust Emissions Standards Heavy-Duty
Diesel Engines
Approx. values only due to varying phase-in
schedules, changes in test procedures, waivers,
etc.
9Guidelines for Future Controls
- In some locations, continued emissions reductions
(from all sources) are needed to achieve air
quality standards - We support emissions standards and fuel
requirements that satisfy the following
conditions - Necessary - address a real environmental problem
- Scientifically-based
- Feasible to comply
- Cost-effective
- Fuels, engines, catalysts, and control systems
must be viewed as a single, complete package - entire system should be optimized for highest
performance at a cost the consumer will accept - unproductive to make arbitrary fuel changes
without knowing what systems they will support
10Diesel Issues
- On-road heavy-duty engine emissions standards
proposed by EPA will require use of
advanced-technology emissions control systems for
both NOx and PM - Sulfur in diesel fuel (and from other sources)
poisons these emissions control systems - Hence the need for Ultra-Low Sulfur Diesel (ULSD)
fuel - The Big Question -- How low is low enough?
- We dont really know. Currently, no technology
has been demonstrated to achieve the proposed
emissions standards - From the standpoint of emissions control
hardware, the lower the better, but - fuel production costs rise dramatically
- increased distribution problems
- potential supply shortfall
11Proposed Sulfur Levels for ULSD
Organization
Sulfur Cap
Reduction
from Current
Standard
API
50 ppm
90
EPA
15 ppm
97.5
EMA
5 ppm
99
Current Standard of 500 ppmS
12Chevrons Position On Future Diesel Fuels
- Accept intermediate sulfur level for ULSD
- 15 ppmS average, with 25 ppmS cap
- this represents 95 reduction from current
standard -
- EPAs proposed timing of mid-2006 for ULSD
creates untenable situation for small refineries
in PADD IV - extending timetable for gasoline modifications
would address this problem -
- Non-Road diesel sulfur should be reduced to 500
ppmS when on-road ULSD is introduced - 90 reduction from current cap of 5000 ppmS
- this would provide substantial emissions benefits
13Why We Favor 15 ppmS Average Rather than 15 ppmS
Cap
- Emissions benefits are nearly identical, but 15
ppmS average allows slight flexibility for
Refiners and Blenders - potential for utilization of some cracked stock
- more reliable operation of diesel hydrotreater
- greater tolerance of refinery upsets
- reduced fuel integrity problems throughout
distribution system - Therefore More Ratable, Reliable Delivery of
Highway Diesel to the Marketplace at Somewhat
Higher Production Volumes
14Impacts of Proposed Diesel Rules on Nationwide
NOx Emissions
1998 NOx Inventory
Projected NOx Emissions Reductions
Thousand tons/year
2528
11409
1820
Thousand tons/year
2676
2471
445
2809
5089
Total 24454
Years
15Impacts of Proposed Diesel Rules on Nationwide
PM10 Emissions
1998 PM10 Inventory
Projected PM10 Emissions Reductions
Thousand tons/year
111
106
83
79
8097
152
105
Thousand tons/year
301
34
35
160
Total 8815
Years
16Nationwide NOx Emissions Impacts of Diesel Fuel
Options
On-Road HDDE Non-Road HDDE
Thousand tons/year
Years
17Nationwide PM10 Emissions Impacts of Diesel Fuel
Options
On-Road HDDE Non-Road HDDE
Thousand tons/year
Years
18Potential Impacts of EPAs Proposed ULSD
Regulations
- Economic modeling study conducted for API by
Charles River Assoc. (CRA) and Baker and OBrien
(BOB) - analyze production volumes and costs of ULSD at
each U.S. refinery - supply curve constructed from likely responses of
each refinery to EPAs proposed rules - set ULSD sulfur level at 15 ppm cap, with 10 ppm
avg. - also assume 30 ppmS for gasoline, and MTBE ban
- assess ways to bridge anticipated gap between
ULSD supply and demand in 2007
19Key Findings from CRA/BOB Study
- EPAs proposed regulations will cause significant
loss in capacity to produce on-road diesel by
2007 - Costs of producing diesel fuel, and the market
prices for this fuel, will be much higher - Tight regional markets and price instability are
likely - Reductions in capacity will occur in all types of
refineries
20CRA/BOB Study Supply Not Sufficient to Meet
Demand
21CRA/BOB StudyShortfalls will exist in some
regions. Not enough diesel to supply current
market.
-37
-18
Adequate
22CRA/BOB StudyPrice Increases and Market
Instability
Price Increase (Cents per Gallon)
- US Total 15 to 52
- PADDs 1-3 15 to 80
- PADD 4 13 to 228
- PADD 5 7.8
23Other ULSD Issues
- Gradual phase-in of ULSD is not advisable
- logistical nightmare
- stranded investment
- invites mis-fueling
- Averaging, Banking, and Trading (ABT) program
would not be very useful - Potential areas of field performance problems
- lubricity
- seal leaks
- fuel economy
24Other Concerns
- Changes in non-road diesel are expected, but have
not yet been defined. - Gasoline changes also occurring
- sulfur reduction for Tier 2 gasoline (average of
30 ppmS) - eventual elimination of MTBE
- Sulfur content of lubricants
- typical levels today are gt3000 ppm
- sources include basestocks, detergents, and
anti-wear agents - major re-formulation effort required to lower
sulfur levels
25Chevrons Conclusions Regarding Impending Diesel
Fuel Regulations
- Going from a 15 ppmS cap to a 15 ppmS average
would negligibly affect emissions (and air
quality), but would increase the reliability of
fuel supply. - Overlap of gasoline and diesel sulfur rules in
the Rockies is untenable. Extending the gasoline
sulfur rules to all refiners in this area seems
warranted. - Reducing nonroad diesel fuel sulfur to 500 ppm
would provide substantial emissions reductions,
while still permitting efficient supply and
distribution of highway diesel fuel.
26Long-Range Outlook for Vehicle/Fuel Systems
- Alternative fuels are not needed to achieve low
emissions - LEVs and ULEVs are common today, SULEVs and ZLEVs
have been demonstrated -- all using todays
gasoline! - ULSD will enable very low emissions from diesel
engines/vehicles -- both LD and HD - Hybrid electrics are already here -- using
todays gasoline - Fuel cells on the horizon -- many advantages for
using liquid hydrocarbon fuels
27Chevrons Long-Term Commitment
- Supply high quality products and services to help
meet our nations energy needs -
- Provide expected value to our stakeholders
- Customers
- Shareholders
- Employees
-
- Continually improve the environmental, health,
and safety performance of our business
28(No Transcript)
291998 US NO.2 Distillate Fuel Sales
30Why Is Sulfur In Diesel Fuel?
Mercaptans R-S-H
- Sulfur Is Naturally Present In Crude Oil
- Sulfur Exists In Many Different Hydrocarbon
Species - Catalytic Cracking And Coking Form Ringed
HC-Sulfur Compounds
Disulfides R-S-S-R
31How 350 ppmS Average Diesel Is Produced
HIGHWAY DIESEL FUEL
HYDROCRACKED STOCK, 4 85 ppm
UNTREATED STRAIGHT RUN, 12.4 2,000 ppm
STRAIGHT RUN, 51.8 5,000 ppm
DISTILLATE DESULFURIZATION UNIT 95 DESULFURIZATIO
N
CRACKED STOCK, 22.5 15,000 ppm
300 ppm
COKER DISTILLATE, 9.2 20,000 ppm
Ex-California
32How 30 ppmS Average Diesel Will Be Produced
HIGHWAY DIESEL FUEL
HYDROCRACKED STOCK, 4 85 ppm
STRAIGHT RUN, 12.4 2,000 ppm
NEW CAPACITY
REVAMPED DISTILLATE DESULFURIZATION UNIT 99 DESUL
FURIZATION
STRAIGHT RUN, 51.8 5,000 ppm
CRACKED STOCK, 22.5 15,000 ppm
30 ppm
COKER DISTILLATE, 9.2 20,000 ppm
Ex-California
33How 7 ppmS Average Diesel Will Be Produced
LOWER COST/LOWER VOLUME EXAMPLE
HIGHWAY DIESEL FUEL
HYDROCRACKED STOCK, 4 85 ppm
REVAMPED DISTILLATE DESULFURIZATION UNIT 99.9 DES
ULFURIZATION
STRAIGHT RUN, 12.4 2,000 ppm
STRAIGHT RUN, 51.8 5,000 ppm
? ppm
OTHER USES OR EXPORT
CRACKED STOCK, 22.5 15,000 ppm
COKER DISTILLATE, 9.2 20,000 ppm
Ex-California
34How 7ppmS Average Diesel Will Be Produced
HIGH COST/HIGH VOLUME EXAMPLE
HIGHWAY DIESEL FUEL
NEW HIGH PRESSURE DESULFURIZATION/ CRACKING UNIT 9
9.95 DESULFURIZATION
HYDROCRACKED STOCK, 4 85 ppm
STRAIGHT RUN, 12.4 2,000 ppm
STRAIGHT RUN, 51.8 5,000 ppm
CRACKED STOCK, 22.5 15,000 ppm
? ppm
COKER DISTILLATE, 9.2 20,000 ppm
Ex-California