Title: Permits Division
1Air PermittingNovember 14, 2001Keith
JordanEnvironmental Scientist Sr. OES/Permits
Division(225) 765-0201keith_j_at_ldeq.Org
2Organization of Permits Division
3Air Reviewers by Section
- Petrochemical 11
- Level 1 13
- Level 2 5
- Municipal/Commercial 0
- Registrations/Certifications 0
4Petrochemical Permits
- Catalyst Regenerators
- Ethanol plants
- Herbicide Manufacturers
- Organic Chemical Producers
- Pesticide Manufacturers
- Refineries
5Level 1 Industrial
- Bulk terminal/storage (petroleum)
- Oil Gas exploration, production and development
- Pipelines
- Paper mills / Sawmills
- Ship/boat building repair (includes ships,
boats, barges) - Power Generating
6Level 2 Industrial
- Concrete/Asphalt Plants
- Auto Repair Shops
- Transportation (Airports)
- Food Processing Facilities
- Animal Farms
- Machine Shops
- Sandblasting/Painting
7Municipal and Commercial Waste
- Municipal Solid Waste Landfills
- Commercial Hazardous Waste treatment, storage,
disposal facilities - Municipal Sewage Treatment Facilities
- Construction and Demolition Debris Landfills
- Waste Tire Processing
8Air Permitting Program
9Air Permitting Universe
- Criteria pollutants
- NOx, CO, SO2, VOC, PM
- Toxic Air Pollutants
- Federal and state list, 200 total
- Air contaminants broad inclusion
- Universe of Sources
- 800 criteria pollutant major sources
- 250 air toxic pollutant major sources
- Very large universe of minor sources
- Issue 1000 permit actions yearly
- Issue 1000 other actions yearly
- Applicability, exemptions, ownership
10Air Permit Program
- 2 Combined Federal Permit Programs
- New Source Review (PSD, Nonattainment)
- Operating Permit (Title V, Part 70)
- History
- Began air permitting in 1969, grandfathered
existing facilities - Permits utilized to address both state and
federal requirements/concerns - Preconstruction program approved by EPA in State
Implementation Plan (SIP) - Title V program approved by EPA in 1995
11New Source Review (NSR)
- Encompasses
- Prevention of Significant Deterioration (PSD)
- LAC 33III.509
- Nonattainment New Source Review (NNSR)
- LAC 33III.504
12- PSD
- Steps in LDEQ review process
132. Determine major source status. (LAC
33III.509.B)
1. Administrative completeness review (AVT)
- Dont forget 1701 forms. Theyre the most common
request by AVT. - Approximately 30 days (60 day regulatory limit).
- The source is major if
- It is listed in Table A of LAC 33III.509 and it
emits, or has the potential to emit, 100 tons per
year or more of any attainment pollutant or - It emits, or has the potential to emit, 250 tons
per year or more of any attainment pollutant or - Any physical change at an existing minor source,
if the change would constitute a major stationary
source in and of itself. This modification is
not eligible for netting.
143. Determine if a modification has occurred.
- Can the change be classified as routine repair
and replacement? - Is the change due to another exemption outlined
in the definition of major modification? LAC
33III.509.B
Review not only the source(s) in question, but
also any upstream or downstream sources affected
by the project.
- Upstream sources may include additional steam
demand from a boiler, increased throughput from
tanks, etc. - Potential-to-emit of downstream sources may be
increased due to debottlenecking.
154. Determine if the increase is significant.
- An increase in a pollutant is significant for PSD
if - Facility is a new major stationary source and a
pollutant is emitted in amounts equal to or
greater than its specified significance level or - Facility is an existing major stationary source
and both the potential increase in emissions due
to the modification itself, and the resulting net
emissions increase is equal to or greater than
its specified significance level or - Any emissions rate at a new major stationary
source (or any net emissions increase associated
with a modification to an existing major
stationary source) that is constructed within 10
kilometers of a Class I area (Breton Sound), and
which would increase the 24-hour average
concentration of any regulated pollutant in that
area by 1 ug/m3 or greater.
166. Review BACT.
5. Determine the proper contemporaneous
period/review netting analysis.
- Ensure that any reductions claimed are based on
actual emissions, NOT permitted emissions.
Required for sources that undergo physical change
or change in method of operation. Each BACT
analysis is done on a case-by-case
basis. Top-down analysis ranks all available
control technologies in descending order of
effectiveness. Sources of information include
but are not limited to the RACT/BACT/LAER
Clearinghouse. http//209.42.208.109/rblc/cfm/rbea
sy.cfm
177. Make sure other analyses have been completed.
- Modeling exercises (Patrick Pakunpanya)
- Source related growth impacts
- Soils, vegetation, and visibility impacts
- Class I area impacts (Breton Sound)
- Toxic emissions impact (Chapter 51 or 112(g), if
applicable)
8. Public notice
- 30-day public review period
- 30-day EPA review period
9. Draft Basis of Decision.
- Required for all PSD permits.
18- NNSR
- Steps in LDEQ review process
- 1. Administrative completeness review (AVT)
192. Determine major source status. (LAC
33III.504.G)
- The source is major if
- It emits, or has the potential to emit, 50 TPY or
more in a serious nonattainment parish
(see Table 1 in 504) or - Any physical change at an existing minor source,
if the change would constitute a major stationary
source in and of itself. This modification is
not eligible for netting. - Notes
- Fugitive emissions shall not be included in the
major source determination unless The source is
listed in Table A on LAC 33III.509 or the
stationary source category is being regulated
under Section 111 or 112 of the Act. - A stationary source shall not be a major
stationary source due to secondary emissions.
204. Determine if the increase is significant.
3. Determine if a modification has occurred.
See definition of modification (PSD section).
- An increase in a pollutant is significant for
NNSR if it - Occurs at a new major stationary source and VOC
emissions are greater than or equal to 50 TPY or - Occurs at an existing major stationary source,
and the net emissions increase is equal to or
greater than 25 TPY. - See Table 1 in 504.
5. Review netting analysis if increase is greater
5 TPY.
216. Determine the proper contemporaneous period.
- Like PSD, ensure that any reductions claimed are
based on actual emissions, NOT permitted
emissions.
7. If netting out, check to see source has
sufficient ERC in the bank.
Currently, sources must have banked ERC to net
out.
8. Review LAER and/or check to see if the
necessary offsets are available.
229. Public notice
- 30-day public review period
- 30-day EPA review period
- If NNSR review is accomplished through the Title
V process, EPA will have 45 days to review
significant modifications.
23 24Title V
- Required for all major sources LAC 33III.502.
- Permits have five year life span.
- Renewal applications must be received at least
six months prior to the date of permit
expiration, but no earlier than eighteen months
prior to expiration.
25- Title V Permit Renewal Status
26Title V Permit Renewal Status
- Currently, we have 88 General Permit renewals and
9 Regular Permit renewals in-house. - All Title V General Permits will be renewed
through TEMPO - First draft of General Permit Templates under
review. - Regulations are being added to the Requirements
Library. - Implementation of General Permits renewal program
tentatively scheduled for April, 2002.
27Title V Permit Renewal Status (Cont.)
- All Title V Regular Permits will be renewed
through current methods.
28- Initial Title V Permits Status
29Initial Title V Permits Status
- Currently, we have 324 initial Title V Permits
under review. - EPA has tentatively requested that we issue all
remaining permits within 18 months. - As part of our agreement, DEQ must implement a
schedule of permit issuance deadlines and submit
it to EPA. - We will send out letter to all affected companies
and ask for suggested schedule per company.
30Title V Permit Renewal Status (Cont.)
- Suggested schedule will give companies time to
update each application while giving DEQ time to
issue permit. - I will be primary contact for this project
- Keith JordanEnvironmental Scientist Sr.
- OES/Permits Division(225) 765-0201keith_j_at_ldeq.
Org
31 32Other Permit Actions
- State Permits
- Title IV (Acid Rain Permits)
- Emissions Banking (ERCs)
- Exemptions
- Variances
- Name/Ownership Changes
- Determinations
33Air Permit Content
- Origin and Description
- Facility wide emission limits
- Site specific requirements (specific conditions)
- Applicable regulatory standards
- Testing, monitoring and reporting requirements
- Lb/hr and ton/year limits by emission point by
pollutant
34Common errors in applications
- Failure to use actual to potential to determine
the increase for a project - particularly common
if permitted limits do not have to be modified. - Contemporaneous reductions based on
potential-to-emit rather than actual emissions
(2-year annual average). - Including paper changes (i.e., decreases based on
emission factor changes, stack test results,
etc.). - Addressing sources that were never constructed.
35Common errors in applications (Cont.)
- Taking credit for all reductions where baseline
was above permitted limits. - Failing to consider only increases when
determining if a netting analysis is required. - Failure to include 1701 form when required. This
is the most common request by Application
Verification.
36Suggestions to facilitate process
- Complete an adequate IT analysis, with special
attention to the alternative sites analysis. - Submit application as far in advance as possible.
- Include detailed reference or background
information with application. - Alert permit writer of any unusual situations or
concerns.
37Suggestions to facilitate process (Cont.)
- Dont underestimate public interest in the
proposed facility or project. Hold informational
meetings with community if necessary. - Notify permit writer of any changes in companys
priority of the application, particularly if the
construction schedule has been delayed. Please.
. . - Submit LPDES application and air application
concurrently. - If possible, the Department prefers to hold joint
air and water public hearings.
38Air Monitoring and Reporting
- Stack testing
- As required by rules
- As determined appropriate
- On-going monitoring of operating parameters,
specific to source - Monitoring and Compliance reporting
- 7 days, quarterly, semiannual, annual
- Must report any emission exceedance, any permit
deviation - Major sources must certify compliance status
annually - Annual reporting of actual emissions
39Air Quality Modeling
- Permit application review includes dispersion
modeling - Federal PSD and Nonattainment
- State air toxics modeling protocol
- Designed to assure compliance with Louisiana
Ambient Air Standards - Includes cumulative modeling of surrounding
sources
40Performance Indicator for DEQ Permitting
- Based on 410-day Rule (RS 302022 LAC 33I.Ch
15) - Quarterly FY goals for final permit decisions,
based on applications for new facilities major
mods reaching 410-day deadline - Goal for FY 2000-2001 75
- Actual 80
41Public Participation Process Improvements
- Created Central Public Records Room, 4th floor
- Provided public access to ALPS, 4th floor
- Created Public Notice Web page
- Working with State Library Association to improve
document handling at libraries - Combined public hearings
42Public Participation ProcessResponse to Comments
- The PP Group maintains records of all individuals
who submit written comments or provide oral
comments at public hearings. - When a final decision is made, Permit Writers
send notice of response to comments and basis for
decision to all commentors.
43Public Participation ProcessHearings
- Staff secures the location, hearing officer,
court reporter, security, forms (registration,
comments, speakers) and transportation for
hearing officer and permit writers - Protocol for determining order of speakers and
handling exhibits is established by statutes. -
44Air PermittingNovember 14, 2001Keith
JordanEnvironmental Scientist Sr. OES/Permits
Division(225) 765-0201keith_j_at_ldeq.Org