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71788 Federal Register / Vol. 44. .%o. 239 / Tuesday, December 11. 1979 / ales and Regulatio
same criteria category may have
EPA to consider allowing trades
different effects on air quality. However, between criteria categories if the results
other mmmpntera were of the opinion
will be beneficial, e.g.. trading a
that without any specific standards for decrease in a pollutant seriously
individual pollutants within a criteria
violating NAAQS for an increase in a
category. ETA cannot prevent trades
pollutant with a minor violation. ETA
between pollutants in the same
cannot consider any trades involving
category. EPA recognizes that pollutants pollutants from different criteria
in the same category may have different categories because the Clean Air Act
impacts, and will tale this into
requires SEPs to provide for attainment
consideration to the extent legally
for every standard. EPA may not
possible when reviewing proposed
approve a revision that makes a
trades.
violation worse for one standard,
6. Open dust source trades. The
regardless of any offsetting benefits for
proposed policy did not allow trading
another standard.
particulate emissions from open dust
11. Equal emissions. There were
sources against particulate emissions from stacks or industrial processes. Many commenters objected to this
comments that suggested that it was unduly restrictive to require trades under an alternative approach to be
prohibition and the reasoning that EPA equal since in some cases this is more
tised to support its decision. EPA has
control than is necessary to protect
reviewed this issue and has decided to no longer categorically prohibit open dust trades. However, the-Agency still believes it is especially difficult to
ambient air quality. One commenter thought that the policy should not prevent VOC sources from increasing emissions because, unlike other
ensure equivalent air quality impacts for such trades. Due to the shortcomings of air quality models for open dust sources. . EPA will insist on a thorough
justification and explanation of all critical inputs to the emission and air quality calculations for any proposals based on modeling demonstrations. Generally, EPA will not approve any proposed alternative emission strategy based on a modeling demonstration that proposes to substitute controls on open dust emissions for reasonable controls on the more significant sources of process emissions. EPA will accept good modeling demonstrations for trades that
pollutants, they do not create a localized nonattainment problem.
EPA recognizes that the Clean Air Act permits states to revise their SIPs in ways that allow increases in total emissions from a source, a plant, or an area. Bui there are significant restrictions on this authority; The revised SIP must demonstrate attainment and maintenance of the standards; the requirements for reasonable further progress in reducing emissions and for attainment as expeditiously as practicable must be satisfied and the revision must not interfere with the Prevention of Significant Deterioration program.
do not affect the use of basic controls. As an alternative to modeling, sources
However, the fact that the Act does not completely prohibit SIP revisions that
can propose trades without these
increase overall emission does not lead
restrictions If they demonstrate the
EPA to encourage such revisions as an
equivalency of the trades by installing
element of this policy statement
open dust source controls and
In EPA's opinion there are important
monitoring the results.
policy reasons to discourage SIP
6. Hazardous pollutant trades. Several revisions that increase overall
commenters suggested that the policy
emissions. A growing number of serious
should allow trades between the same air quality problems are now recognized
hazardous pollutant We have clarified as covering broad regions of the country;
our position on this matter and have
ozone violations, elevated sulfates and
stated that the emissions of pollutants
"add rain." and visibility reduction. SIP
that are currently listed under Section
revisions that permit significant
112 (but not specifically regulated] may increases in total emissions of the major
be increased at one emission point only criteria pollutants can exacerbate some
as long as there is a compensating
or all of the current wide-scale air
decrease in the emission of the same
quality problems. Therefore, EPA does
pollutant at another point For those
not encourage by this policy, or as a
pollutants listed under (112 in the
more general matter, SIP revisions that
future, similar trading restraints will
result in overall emission Increases. In
apply. However, in all cases, sources
particular. EPA will not approve such
must comply with applicable Section 112 SIP revisions to the extent consistent -
regulations and they cannot use an
with its current legal authority.
alternative emission control to do this.
12. Multiplant emissions trades.
10. Trades between criteria pollutant Several commenters said that use of an
categories. Other commenters urged
alternative approach should not be
restricted to a single plant They said that this restriction creates an arbitrary boundary for trading emissions since the policy already requires a source to demonstrate that the alternative strategy will not harm air quality.
ETA has changed the policy to allow more than one plant in the same area to be included in an alternative emissions abatement strategy. However, EPA will require modeling (except in the case of hydrocarbons and ozone] to show that air quality will be protected.
Other Issues
1. Worker exposure. The Agency received a recommendation that it. disapprove any alternative approach that will increase the concentration of pollutants to which any group of workers is exposed. ETA has pedfically forbidden trades involving coke oven particulate emissions. In many instances emissions dose to ground level, where workers are located, may have to be weighed differently than emissions from high stacks. While ETA does not have the atatutory authority to specifically prohibit a trade because of increased worker exposure, we encourage states to examine this issue and avoid dedsions that would increase worker exposure.
2. Energy management There was a suggestion that the alternative emission policy should encourage innovative energy management approaches by providing for greater flexibility in the use of alternative fuels to meet SIP requirements. EPA feels that the alternative approach provides flexibility for fuel switching to balance emission limits, and to the extent that energy is a growing component of the cost of meeting pollution control requirements, sources will seek to minimize energy use. However, ETA does not have the authority to take into account such factors as energy savings or choice of fuel when it reviews alternative strategies.
Dated; November 29.1979. Douglas M. Coatle, Administrator. (FR Doc. Tssrtt* Pilot li-10-7*. MS ui| MUJNG coot two-ot-a
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