NESHAP: National Emission Standards for Hazardous Air Pollutants: Standards for Hazardous Waste Combustors, 54875-54888 [E7-19097]
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Federal Register / Vol. 72, No. 187 / Thursday, September 27, 2007 / Proposed Rules
This proposal also does not have
Tribal implications because it would not
have a substantial direct effect on one or
more Indian tribes, on the relationship
between the Federal Government and
Indian tribes, or on the distribution of
power and responsibilities between the
Federal Government and Indian tribes,
as specified by Executive Order 13175
(65 FR 67249, November 9, 2000).
This proposed action also does not
have Federalism implications because it
would not have substantial direct effects
on the States, on the relationship
between the national government and
the States, or on the distribution of
power and responsibilities among the
various levels of government, as
specified in Executive Order 13132 (64
FR 43255, August 10, 1999). This action
merely proposes to approve a State rule
implementing a Federal standard. It
does not alter the relationship or the
distribution of power and
responsibilities established in the CAA.
This proposed rule also is not subject to
Executive Order 13045 ‘‘Protection of
Children from Environmental Health
Risks and Safety Risks’’ (62 FR 19885,
April 23, 1997), because it proposes to
approve a State rule implementing a
Federal standard.
Executive Order 12898, ‘‘Federal
Actions to Address Environmental
Justice in Minority Populations and
Low-Income Populations,’’ requires
Federal agencies to consider the impact
of programs, policies, and activities on
minority populations and low-income
populations. EPA guidance 1 states that
EPA is to assess whether minority or
low-income populations face risk or a
rate of exposure to hazards that is
significant and that ‘‘appreciably
exceed[s] or is likely to appreciably
exceed the risk or rate to the general
population or to the appropriate
comparison group.’’ (EPA, 1998)
Because this rule merely proposes to
approve a state rule implementing the
Federal standard established by CAMR,
EPA lacks the discretionary authority to
modify today’s regulatory decision on
the basis of environmental justice
considerations. However, EPA has
already considered the impact of CAMR,
including this Federal standard, on
minority and low-income populations.
In the context of EPA’s CAMR
published in the Federal Register on
May 18, 2005, in accordance with
Executive Order 12898, the Agency has
considered whether CAMR may have
disproportionate negative impacts on
1 U.S. Environmental Protection Agency, 1998.
Guidance for Incorporating Environmental Justice
Concerns in EPA’s NEPA Compliance Analyses.
Office of Federal Activities, Washington, DC, April,
1998.
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minority or low income populations and
determined it would not.
In reviewing State Plan submissions,
EPA’s role is to approve State choices,
provided that they meet the criteria of
the CAA. In this context, in the absence
of a prior existing requirement for the
State to use voluntary consensus
standards (VCS), EPA has no authority
to disapprove a State Plan for failure to
use VCS. It would thus be inconsistent
with applicable law for EPA, when it
reviews a State Plan submission, to use
VCS in place of a State Plan submission
that otherwise satisfies the provisions of
the CAA. Thus, the requirements of
section 12(d) of the National
Technology Transfer and Advancement
Act of 1995 (15 U.S.C. 272 note) do not
apply. This proposed rule would not
impose an information collection
burden under the provisions of the
Paperwork Reduction Act of 1995 (44
U.S.C. 3501 et seq.).
List of Subjects in Part 62
Environmental protection, Air
pollution control, Electric utilities,
Intergovernmental relations, Mercury,
Reporting and recordkeeping.
Dated: September 19, 2007.
John B. Askew,
Regional Administrator, Region 7.
[FR Doc. E7–19120 Filed 9–26–07; 8:45 am]
BILLING CODE 6560–50–P
ENVIRONMENTAL PROTECTION
AGENCY
40 CFR Part 63
[EPA–HQ–OAR–2004–0022; FRL–8474–2]
RIN 2050–AG29
NESHAP: National Emission Standards
for Hazardous Air Pollutants:
Standards for Hazardous Waste
Combustors
Environmental Protection
Agency (EPA).
ACTION: Solicitation of comment on legal
analysis.
AGENCY:
SUMMARY: On October 12, 2005,
pursuant to section 112(d) of the Clean
Air Act, EPA issued national emission
standards for hazardous air pollutants
(NESHAP) emitted by various types of
hazardous waste combusters. EPA
subsequently granted reconsideration
petitions relating to certain issues
presented by the rules. 71 FR 14665,
52564, but has not yet issued a final
determination on reconsideration.
Following the close of the comment
period on the proposed reconsideration
rule, the United States Court of Appeals
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for the District of Columbia Circuit has
issued several opinions construing
section 112 (d) of the Clean Air Act, and
one of those opinions has called into
question the legality of some of the
standards for hazardous waste
combusters. This notice discusses the
standards that EPA promulgated in
October 2005, and specifically identifies
which standards EPA believes are
consistent with the Act and caselaw,
and which standards are not and need
to be reexamined through a subsequent
rulemaking. With respect to those
standards EPA intends to retain, this
notice indicates the portions of the
rationale upon which EPA intends to
rely, and which portions EPA would no
longer rely upon as a justification for the
October 2005 standards. EPA is seeking
public comment on this analysis. EPA
has also placed edited versions of
various support documents in the
public docket, edited to remove portions
of the rationale on which EPA no longer
plans to rely, and seeks public comment
on these edits.
DATES: Comments must be received on
or before October 18, 2007.
ADDRESSES: Submit your comments,
identified by Docket ID No. EPA–HQ–
OAR–2004–0022, by one of the
following methods:
• www.regulations.gov: Follow the
on-line instructions for submitting
comments.
• E-mail: a-and-r-docket@epa.gov.
• Fax: 202–566–1741.
• Mail: U.S. Postal Service, send
comments to: Air and Radiation Docket
(2822T), Docket ID No. EPA–HQ–OAR–
2004–0022, U.S. Environmental
Protection Agency, 1200 Pennsylvania
Avenue, NW., Washington, DC 20460.
Please include a total of two copies.
• Hand Delivery: In person or by
courier, deliver comments to: HQ EPA
Docket Center, Public Reading Room,
EPA West, Room 3334, 1301
Constitution Avenue, NW., Washington,
DC 20004. Such deliveries are only
accepted during the Docket’s normal
hours of operation, and special
arrangements should be made for
deliveries of boxed information. Please
include a total of two copies.
Instructions: Direct your comments to
Docket ID No. EPA–HQ–OAR–2004–
0022. The EPA’s policy is that all
comments received will be included in
the public docket without change and
may be made available online at
www.regulations.gov, including any
personal information provided, unless
the comment includes information
claimed to be Confidential Business
Information (CBI) or other information
the disclosure of which is restricted by
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statute. Do not submit information that
you consider to be CBI or otherwise
protected through www.regulations.gov
or e-mail. The www.regulations.gov Web
site is an ‘‘anonymous access’’ system,
which means EPA will not know your
identity or contact information unless
you provide it in the body of your
comment. If you send an e-mail
comment directly to EPA without going
through www.regulations.gov, your email address will be automatically
captured and included as part of the
comment that is placed in the public
docket and made available on the
Internet. If you submit an electronic
comment, EPA recommends that you
include your name and other contact
information in the body of your
comment and with any disk or CD–ROM
you submit. If EPA cannot read your
comment due to technical difficulties
and cannot contact you for clarification,
EPA may not be able to consider your
comment. Electronic files should avoid
the use of special characters, any form
of encryption, and be free of any defects
or viruses. For additional information
about EPA’s public docket visit the EPA
Docket Center homepage at https://
www.epa.gov/epahome/dockets.htm.
Docket: All documents in the docket
are listed in the www.regulations.gov
index. Although listed in the index,
some information is not publicly
available, e.g., CBI or other information
the disclosure of which is restricted by
statute. Certain other material, such as
copyrighted material, will be publicly
available only in hard copy. Publicly
available docket materials are available
either electronically in
www.regulations.gov or in hard copy at
the HQ EPA Docket Center, Public
NAICS
codea
Category
Petroleum and coal products manufacturing .....................................
324
Chemical manufacturing ....................................................................
Cement and concrete product manufacturing ...................................
Other nonmetallic mineral product manufacturing ............................
Waste treatment and disposal ...........................................................
Remediation and other waste management services .......................
Potentially affected entities
325
3273
3279
5622
5629
a North
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Reading Room, EPA West, Room 3334,
1301 Constitution Avenue, NW.,
Washington, DC 20004. The Public
Reading Room is open from 8:30 a.m. to
4:30 p.m., Monday through Friday,
excluding legal holidays. The telephone
number for the Public Reading Room is
(202) 566–1744, and the telephone
number for the HQ EPA Docket Center
is (202) 566–1742. A reasonable fee may
be charged for copying docket materials.
FOR FURTHER INFORMATION CONTACT: For
more information on this notice, contact
Frank Behan at (703) 308–8476, or
behan.frank@epa.gov, Office of Solid
Waste (5302P), U.S. Environmental
Protection Agency, 1200 Pennsylvania
Ave., NW., Washington, DC 20460.
SUPPLEMENTARY INFORMATION: Entities
Potentially Affected by this Action.
Categories and entities potentially
affected by this action include:
Any entity that combusts hazardous waste as defined in the final
rule.
American Industry Classification System.
This table is not intended to be
exhaustive, but rather provides a guide
for readers regarding entities likely to be
impacted by this action. This table lists
examples of the types of entities EPA is
now aware could potentially be
regulated by this action. Other types of
entities not listed could also be affected.
To determine whether your facility,
company, business, organization, etc., is
affected by this action, you should
examine the applicability criteria in 40
CFR 63.1200.1 If you have any questions
regarding the applicability of this action
to a particular entity, consult the person
listed in the preceding FOR FURTHER
INFORMATION CONTACT section.
How Do I Obtain a Copy of this
Document and Other Related
Information? In addition to being
available in the docket, an electronic
copy of today’s proposed rule will also
be available on the World Wide Web
(WWW). Following the Administrator’s
signature, a copy of this document may
be posted on the WWW at https://
www.epa.gov/hwcmact. This Web site
also provides other information related
to the NESHAP for hazardous waste
combustors including the NESHAP
1 Unless otherwise noted, all regulatory references
in this notice are to 40 CFR.
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issued on October 12, 2005 (70 FR
59402) and the two petition for
reconsideration notices published on
March 23, 2006 (71 FR 14665) and
September 6, 2006 (71 FR 52624).
Preparation of Comments. Do not
submit this information to EPA through
www.regulations.gov or e-mail. Clearly
mark the part or all of the information
that you claim to be CBI. For CBI
information in a disk or CD–ROM that
you mail to EPA, mark the outside of the
disk or CD–ROM as CBI and then
identify electronically within the disk or
CD–ROM the specific information that
is claimed as CBI. In addition to one
complete version of the comment that
includes information claimed as CBI, a
copy of the comment that does not
contain the information claimed as CBI
must be submitted for inclusion in the
public docket. Information so marked
will not be disclosed except in
accordance with procedures set forth in
40 CFR part 2. Send or deliver
information identified as CBI to only the
following address: Ms. LaShan Haynes,
RCRA Document Control Officer, EPA
(Mail Code 5305P), Attention Docket ID
No. EPA–HQ–OAR–2004–0022, 1200
Pennsylvania Avenue, Washington DC,
20460. Clearly mark the part or all of the
information that you claim to be CBI.
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Tips for Preparing Your Comments.
When submitting comments, remember
to:
• Identify the rulemaking by docket
number and other identifying
information (subject heading, Federal
Register date and page number).
• Follow directions—The agency may
ask you to respond to specific questions
or organize comments by referencing a
Code of Federal Regulations (CFR) part
or section number.
• Explain why you agree or disagree;
suggest alternatives and substitute
language for your requested changes.
• Describe any assumptions and
provide any technical information and/
or data that you used.
• If you estimate potential costs or
burdens, explain how you arrived at
your estimate in sufficient detail to
allow it to be reproduced.
• Provide specific examples to
illustrate your concerns, and suggest
alternatives.
• Explain your views as clearly as
possible.
• Make sure to submit your
comments by the comment period
deadline identified.
Organization of this Document. The
information presented in this notice is
organized as follows:
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I. Background
II. Consideration of Variability in
Establishing MACT Floors
III. Discussion of Individual Standards
A. Standards for Particulate Matter
1. Standards for Incinerator, Cement Kilns,
Lightweight Aggregate Kilns, and Solid
Fuel Boilers
2. Standards for Liquid Fuel Boilers
B. Standards for Semivolatile Metals and
Low Volatility Metals
1. Methodology to Establish Floor Levels
2. Alternatives to the Particulate Matter
Standard for Incinerators, Liquid Fuel
Boilers, and Solid Fuel Boilers
3. Alternative Mercury, Semivolatile
Metals, Low Volatile Metals, and Total
Chlorine Standards for Cement Kilns and
Lightweight Aggregate Kilns
4. Alternative Mercury Standards for
Cement Kilns and Lightweight Aggregate
Kilns Under the Interim Standards
C. Standards for Total Chlorine
1. Incinerators
2. Cement Kilns
3. Lightweight Aggregate Kilns
4. Liquid Fuel Boilers
5. Solid Fuel Boilers
6. Hydrochloric Acid Production Furnaces
D. Standards for Dioxins/Furans
1. Incinerators
2. Cement Kilns
3. Lightweight Aggregate Kilns
4. Liquid Fuel Boilers
E. Non-Dioxin Organic HAP
F. Mercury
1. Incinerators
2. Cement Kilns
3. Lightweight Aggregate Kilns
4. Liquid Fuel Boilers
5. Solid Fuel Boilers
G. Normalization
H. Potential Implications to the
Compliance Date Provisions If Standards
Are Remanded to EPA
I. Background
The Hazardous Waste Combustor
(HWC) Maximum Achievable Control
Technology (MACT) rule, 70 FR 59402
(October 12, 2005), adopts separate
standards for six source categories, the
common link being that sources in each
category burn hazardous waste. These
sources are incinerators, cement kilns,
lightweight aggregate kilns, solid fuel
boilers, liquid fuel boilers, and
hydrochloric acid production furnaces.
Liquid fuel boilers are further
subcategorized into those burning
higher heating value hazardous wastes
and lower heating value hazardous
wastes. The following hazardous air
pollutants (‘‘HAP’’) are regulated for
each of these source categories: dioxins
and furans (‘‘D/F’’); semivolatile metals
(lead and cadmium) (‘‘SVM’’); low
volatile metals (arsenic, beryllium and
chromium) (‘‘LVM’’); mercury,
particulate matter (‘‘PM’’) (as a surrogate
for the remaining HAP metals
(antimony, cobalt, manganese, nickel,
and selenium), and also to control HAP
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metals in all inputs to the units which
are not hazardous waste); hydrogen
chloride/chlorine (measured as total
chlorine) (‘‘TCl’’); carbon monoxide/
total hydrocarbons (‘‘CO/HC’’) (as
surrogates for non-dioxin organic HAP
(and in a few cases, dioxin as well); and
destruction removal efficiency (‘‘DRE’’)
(an aspect of control of non-dioxin
organic HAP, and in a few cases,
dioxin).
On March 13, 2007, the United States
Court of Appeals for the District of
Columbia Circuit (D.C. Circuit) issued
its decision in Sierra Club v. EPA, 479
F.3d 875 (2007) (‘‘Brick MACT’’). EPA
has reexamined the rule to determine if
it is compliant with the statute with
respect to the issues discussed in the
Court’s opinion, and specifically
whether the MACT floors for each
standard are compliant. For the most
part, EPA believes that they are. The
basic reason, for those standards EPA
plans to retain, is that the rule identifies
as best performers—the best performing
12 per cent or best performing five
sources in smaller source categories for
existing sources, and the best controlled
single source for new sources—those
sources which are likely to emit the
least HAP over time, and reasonably
estimates these sources’ level of
performance. Put another way, the rule
identifies as best performers those
emitting the least HAP considering
variability (i.e., their performance over
time), and accounts for that variability
as much as possible in estimating these
sources’ level of performance. See 70 FR
at 59346 (‘‘best performers are those that
perform best over time (i.e., day-in, dayout)’’).
The statute does not address the
question of whether, in assessing which
sources perform best or are best
controlled, emission levels should be
evaluated over time, or in a single test
result. Nor does Brick MACT, which
states at 479 F.3d 880 that ‘‘section
[112(d)(3)] requires floors based on the
emission level actually achieved by the
best performers (those with the lowest
emission levels)’’, but does not refer to
a time period for measurement. The
following example shows why it is
reasonable to determine which sources
are the best performers by accounting in
the first instance for what their
emissions are over time. Assume that
source A in a single test emitted 10
units of cadmium, and source B emitted
15 units. However, assume further that
over time source A emits cadmium at a
rate of 40 units and source B emits
cadmium at a rate of 25 (the difference
being that source B’s performance is less
variable). It is at the very least
reasonable to view source B as the better
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performer; over time it emits less
cadmium than source A. Indeed, given
that the chief health risks of most HAP
emitted by Hazardous Waste
Combustors results from chronic rather
than acute exposure (i.e., amount of
repeated exposure over time as opposed
to single exposure incidents), floor
standards based on evaluation of
sources’ performance over time (i.e.,
standards which account for sources’
variability) best address the sources’
ultimate impacts on human health. See
70 FR at 59533–35 where EPA discusses
human health benefits of the standards
considering reductions in chronic
exposure to HAP.
II. Consideration of Variability in
Establishing MACT Floors
EPA may consider variability in
identifying best performers and their
level of performance. See 70 FR at
59436. See also Brick MACT, 479 F.3d
at 881–82 (variability of best performing
sources may be taken into account in
establishing MACT floors).
EPA in this rule identified two types
of variability, run-to-run variability and
test-to-test variability. Run-to-run
variability ‘‘encompasses variability in
individual runs comprising the
compliance tests, and includes
uncertainties in correlation of
monitoring parameters and emissions,
and imprecision of stack test methods
and laboratory analyses.’’ 70 FR at
59437. A shorthand description is that
this is within-test variability. EPA
quantified run-to-run variability using
the statistical methodology set forth in
Technical Support Document (‘‘TSD’’)
Vol. III section 7.2; 2 see also 70 FR at
59437/1–2, 59438, and 59439 explaining
the reasonableness of this statistical
approach. The chief element of this
quantification is simply the standard
deviation in the performance test data
(standard deviation being the usual
statistical measure for assessing
variation within a data set by comparing
a single result with the average of the
data comprising the data set). The result
is an estimate of the value which the
source would achieve in 99 of 100
future tests if it replicated the operating
conditions of the compliance test. 70 FR
at 59437; 3 see also 69 FR at 21232 and
n. 69 (April 20, 2004).
2 USEPA, ‘‘Technical Support Document for HWC
MACT Standards, Volume III: Selection of MACT
Standards,’’ (TSD Vol. III) September 2005. Unless
otherwise specified, all TSD references in this
notice are to this document, which is available in
the docket to the rule. See docket items EPA–HQ–
OAR–2004–0022–0453, 0457, 0459, and 0460.
3 More precisely, this is a modified prediction
limit that ensures at the 95% confidence level that
the average of the best performing sources could
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Existence of run-to-run variability is
confirmed most evidently by the wide
variations within different runs of the
best performers’ performance tests.
Moreover, simply averaging these
different run results would lead to
standards which not even the best of the
best performers would achieve over
time. TSD Vol. III section 16.4.
Comparative test results of best
performing sources (i.e., tests of the
same source at a different time) strongly
suggest that run-to-run variability can be
appreciable (although not the only
measure of variability), since these
sources have been shown consistently to
emit more than the averaged emissions
from the performance test identifying
the source as best performing. See TSD
Vol. III Tables 16–4, 16–5, 17–1, 17–3.
Failure to consider run-to-run
variability could seriously
underestimate a source’s emissions over
time. See TSD Vol. III section 17.3.3,
showing that even the lowest emitting
Straight Emission sources could have
emissions higher than floor levels under
a methodology that considers run-to-run
variability. EPA has comparative data
from a number of lowest emitting
incinerators for PM in single test results.
In other tests, these same sources were
typically unable to achieve the same
level of performance, sometimes
emitting up to seven times more PM. 69
FR at 21232 and n. 69 (April 20, 2004).
Test-to-test variability results from
variability in pollution device control
efficiencies over time (depending on
multitudinous factors, including for
fabric filters the point in the
maintenance cycle at which the source
is tested, and for electrostatic
precipitators variations in combustion
gas moisture and particle resistivity), as
well as measurement variability
resulting from different sampling crews
under different meteorological
conditions and different analytical
laboratories. Id. and n. 63. A shorthand
description is that this is long-term
variability. EPA demonstrated generally
that: (a) Test-to-test variability exists; (b)
it is not encompassed in EPA’s
statistical quantification of run-to-run
variability; (c) the amount of test-to-test
variability can be significant such that
failing to account for it in some manner
means that the sources’ performance
over time can be seriously
underestimated (i.e., since their longterm variability would be ignored); and
(d) sources which are lowest emitting in
achieve the emission level in 99 or 100 future test
conditions based on a three-run average, assuming
the best performers could initially replicate the
compliance test conditions. TSD Vol. III at 7–7; 70
FR at 59437.
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single emission tests may not be the
lowest emitters over time due to their
test-to-test variability. 70 FR at 59437–
438 and TSD Vol. III chapters 16 and 17;
see also 70 FR at 59439 explaining why
total variability is not accounted for by
compliance test conditions.
EPA was able to provide a
quantitative estimate of test-to-test
variability in only one instance—where
fabric filters are used to capture
particulate matter. See discussion of PM
standards in section III.A. below. In
other instances, EPA accounted for testto-test (i.e., long-term) variability in one
of two ways: (a) Selecting as best
performers those which minimized their
long-term (i.e., test-to-test) variability by
best controlling the aspects of
performance (notably removal efficiency
evaluated systemwide and hazardous
waste HAP feedrate) within their
control, or (b) using a surrogate for the
HAP where EPA could assess the longterm variability associated with
emissions of that surrogate, but could
not otherwise assess long-term
variability.
EPA also carefully assessed a floor
methodology which simply assumed
that the lowest emitters in individual
performance tests were the best
performers. The major problem with
such a methodology is that it ignores the
sources’ performance over time, leading
to situations where the sources’ level of
performance may be assessed
improperly. See TSD Vol. III chapters 16
and 17; 70 FR at 59442–446 (explaining
why lowest emitters in individual
performance tests 4 are not always the
best performers). EPA consequently
used this methodology to identify best
performers and their level of
performance when it was not possible to
assess sources’ waste feedrate and
systemwide removal efficiency.
III. Discussion of Individual Standards
A. Standards for Particulate Matter
1. Standards for Incinerator, Cement
Kilns, Lightweight Aggregate Kilns, and
Solid Fuel Boilers
EPA adopted standards for particulate
matter (‘‘PM’’) for all of the hazardous
waste combuster source categories
except for hydrochloric acid production
furnaces.5 Particulate Matter is a
surrogate for the HAP metals antimony,
cobalt, manganese, nickel, and
selenium, the HAP metals not covered
4 The heading to this preamble section should
have explicitly included the words ‘‘in individual
performance tests’’ in the section title.
5 The alternative metal standards, in lieu of PM
standards, for incinerators, and liquid and solid fuel
boilers are discussed in section III.B discussing
standards using the SRE Feed floor methodology.
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by the standards for semi-volatile and
low-volatile HAP metals (referred to as
‘nonenumerated metals’ in this
rulemaking). See section III.B. below. In
addition, as explained in section III.B.,
the PM standard also controls all nonmercury HAP metals (i.e., semi-volatile,
low volatility, and nonenumerated HAP
metals) in all nonhazardous waste
inputs to HWCs. 70 FR at 59459. Since
the PM standards are measured by total
end-of-stack output, these standards
account for all HAP metal input to
hazardous waste combustion devices
(other than mercury). Id.
EPA used the Air Pollution Control
Device methodology to establish floors
for PM. Under this methodology, EPA
determined as a matter of engineering
judgment which devices best control
PM emissions, ranked these means of
control, and selected as the best
performers those with the lowest PM
emissions using the best control device.
See TSD Vol. III section 7.4; see also id.
at 16–2 ranking PM control devices from
best to worst for each source category.
The floor for each source category was
then established based on the average of
these lowest emitting sources’ PM
emissions (or the lowest emitter of these
sources for the new source floor).
In most instances, the lowest emitters
in the performance test used for
determining best performers were
equipped with the best control device—
some type of fabric filter (‘‘FF’’).
Occasionally, a lower PM emitter in a
single test was equipped with some
other type of control device, or, in the
case of three incinerators, no control
device, but EPA ranked these sources as
lower (i.e., worse) performing than FFequipped sources. EPA reevaluated
carefully whether the lower ranking of
these sources, in some instances
resulting in their omission from the pool
of best performers, is consistent with the
holding of Brick MACT, 479 F.3d at
882–83, as well as Cement Kiln
Recycling Coalition v. EPA, 255 F.3d
855, 863–65 (D.C. Cir. 2001), that floors
are not to be set only on performance of
sources equipped with certain
technology unless that is the only factor
affecting emissions, and that EPA must
consider all means of control when
selecting best performers.
EPA of course accepts these holdings,
and believes its approach here is
consistent with the statute and
applicable case law. EPA selected as
best performers (or as the best
controlled source) those sources it
estimated to have the lowest PM
emissions over time. EPA’s selection
process has a reasoned basis. Sources
equipped with control devices other
than FFs are likely to emit more over
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time than they do in individual test
conditions, even after adjusting test
results to account for run-to-run
variability. (Put another way, these
sources’ performance in individual test
conditions are likely not representative
of what they will emit over time.) This
is because test-to-test variability, that is,
long-term variability, has not been taken
into account. Since these other control
devices are known to be more variable
and less efficient than FFs, TSD Vol. III
pp. 16–3 to 4 and 11, failure to consider
long-term variability (i.e., looking
exclusively at results of single
performance tests) results in these
sources’ performance not being fully
characterized. Long-term variability
exists due to, among other things,
variation over time in control device
performance and varying ash feed
rates.6 EPA confirmed in a series of
analyses of HWCs that this test-to-test
variability for non-FF equipped devices
both exists and is appreciable. See TSD
Vol. III section 16.5 showing among
other things that ostensibly lowest
emitting, non-FF equipped sources in
other tests (i.e., other occasions when
the same source was tested) were unable
to duplicate (i.e., achieve): (a) Their own
level of performance (i.e., their
performance in the other test), (b) their
own performance adjusted to account
for run-to-run variability, (c) floors
based on the average of the lowest single
test emitters’ performance, (d) design
level of the floor actually adopted in the
rule (i.e., the level sources would design
to in order to comply with the rule),
and, in one case, (e) the floor level
established in the rule (i.e., the floor
reflecting application of the Air
Pollution Control Device methodology).
EPA further examined whether this
difference in performance resulted from
legitimate operating variability, rather
than from differing ash feed rates, and
in the instance where direct comparison
was possible, determined that it did not.
TSD Volume III pp. 16–15 through 17.
In contrast, EPA was able to quantify
the long-term performance (i.e.,
performance accounting for both run-torun and test-to-test variability) of HWC
sources equipped with FFs. This is the
only type of air pollution control device
for HWCs, and the only pollutant, for
which such a calculation is possible.
The reason this quantification is
possible is that FFs are less variable
than other control devices, and perform
relatively constantly regardless of input
loadings. 70 FR at 59449. EPA thus
developed a so-called Universal
6 Ash content is an indicator of the
noncombustible matter (i.e., inorganic content,
including metals) in the feed to the source.
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Variability Factor algorithm for fabric
filters, which is derived from the
quantified measure of the total
variability (i.e., both run-to-run and
long-term test-to-test variability) of the
FF-equipped hazardous waste
combusters identified as best performers
based on the historical test conditions
for those sources. See TSD Vol. III
section 5.3.
As a result, for HWCs EPA has a
considerably more reliable idea of what
fabric filter-equipped sources’ actual
performance for PM is over time than
for any other type of control deviceequipped source (or for sources without
air pollution control devices). Second,
as just noted above, the record
demonstrates that the performance data
from sources that emitted less PM in
individual performance tests but are not
equipped with FFs significantly
underestimates the amount of PM these
sources emit over time (i.e., fails to
account for their long-term variability).
Third, over time, these emissions in
some instances exceed (i.e., are higher
than) the lowest emitting FF-equipped
sources, even though emitting less in an
individual performance test. 70 FR at
59448; TSD Vol. III section 16.5. Putting
all this together, EPA selected the
lowest emitting FF-equipped sources as
the best performing. 70 FR at 59448.
This approach is consistent with the
statute and applicable case law. EPA
selected as best performers (or best
controlled sources) those sources it
reasonably estimated to have the lowest
PM emissions over time. Performance of
units equipped with fabric filters can be
reliably estimated over time—i.e., all of
the variability can be quantified.
Performance of other units over time
cannot be estimated as reliably (the
long-term variability cannot be
quantified at all), but is known to be less
efficient and more variable. Short-term
performance tests thus demonstrably
and dramatically understate the amount
of PM (and HAP metal) these sources
emit, so that these units could (and
demonstrably do in some instances)
emit more PM (and therefore more HAP
metal) than the lowest emitting FFequipped sources notwithstanding
lower PM emissions in individual tests.
The D.C. Circuit has held repeatedly
that EPA may use reasonable means to
estimate the performance of best
performing sources, and may account
for sources’ variability in doing so.
CKRC, 255 F.3d at 865–66; Mossville,
370 F.3d at 1240, 1242; National Lime
Ass’n v. EPA, 627 F. 2d 416, 431 n. 46,
443 (D.C. Cir. 1980); see also Brick
MACT, 479 F.3d at 881–82 (estimates of
variability are to be for the variability of
the best performing sources). EPA’s
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approach here is consistent with these
requirements.
The D.C. Circuit has stressed in both
Brick MACT and CKRC that factors such
as low HAP feed that influence
emissions cannot be ignored in
assessing performance. 479 F.3d at 882–
83; 255 F.3d at 864–65. EPA thus
carefully reexamined those instances
where low PM emitters in single tests
were not equipped with any pollution
control equipment so that their emission
levels necessarily reflected low ash
inputs. There are three incinerators that
had lower PM emissions in single tests
that were lower than the worst of the
lowest-emitting FF-equipped
incinerators on whose performance the
floor standard is based. TSD Vol. III
App. F at APCD–INC–PM. EPA
continues to believe that it properly
chose not to include these sources
among the pool of best performers. First,
even in single test conditions, these
sources’ emissions were not
significantly lower (0.0018 to 0.0009 gr/
dscf lower, that is, roughly a 7–14%
difference) than the average of the best
performing 12% of sources EPA
identified as best performing using the
Air Pollution Control methodology. Id.
These sources also emit more PM than
all but one of the best performing
incinerators in EPA’s pool of best
performers, and the difference in
performance between these
uncontrolled sources and the last of the
EPA pool is small, roughly a factor of 2.
Id. Since these devices lack any
pollution control equipment, their
performance over time will be highly
variable as ash feedrates vary and their
emissions could 7 well exceed the
emissions of the sources comprising
EPA’s pool of best performing
incinerators. Second, and of at least
equal importance, low ash feedrates are
not a guarantee of low HAP metal
emissions. Low PM emissions from
uncontrolled sources could still reflect
high metal HAP emissions since, if the
ash has high metal content, all of it
would be emitted. See 70 FR at 59449
(‘‘ash feedrates are not reliable
indicators of nonmercury metal HAP
feed control levels and are therefore
inappropriate parameters to assess in
the MACT evaluation process. For
example, a source could reduce its ash
feed input by reducing the amount of
silica in its feedstreams. This would not
result in * * * emission reductions of
metal HAP’’). In contrast, ‘‘particulate
matter emissions from baghouses [e.g.,
FF-equipped units] are not significantly
affected by inlet particulate matter
7 There are no comparative test data in the record
for these sources.
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loadings’’, id., so that PM (and hence
HAP metal emissions) from these units
will remain best controlled regardless of
relative amounts fed to the device. See
also TSD Vol. III section 17.7
documenting that PM emissions from
FF-equipped sources are not affected
appreciably by inlet loadings. EPA is
thus giving preference as best
performers to those incinerators we
know are effectively controlling nonmercury metal HAP because they are the
lowest emitting of the most efficiently
controlled sources. Moreover, although
a severable part of the rationale, EPA
believes it reasonable that most
efficiently controlled sources can be
viewed as ‘‘best performing’’ and ‘‘best
controlled’’ under appropriate
circumstances. See discussion in section
B.1 below.
EPA does, however, believe that
certain parts of the justification for the
PM standards in the final rule are not
proper after Brick MACT, and EPA is no
longer relying on them and will revise
the record accordingly. The principal
revisions are to discussions relating to
how EPA considered raw material
inputs in assessing which sources are
best performers. See Brick MACT, 479 F.
3d at 882–83. The specific alterations
EPA is contemplating (generally
excising existing language) are found in
red line/strike out versions of the
Preamble, Technical Support
Documents, and Response to Comment
Document which EPA has placed in the
docket for this rule.
2. Standards for Liquid Fuel Boilers
EPA’s initial decision is not to defend
the PM standard for liquid fuel boilers
(LFBs), and we thus contemplate
requesting the Court to remand the
standard so that EPA can reexamine it.
Most of the liquid fuel boilers with
lowest PM emissions are uncontrolled
units with extremely low ash feeds. TSD
Vol. III App. F at APCD–LFB–PM.
Unlike the situation with incinerators,
the difference in PM emissions between
these sources and those lowest-emitting
LFBs equipped with FFs is great,
ranging from a factor of 6 (comparing
lowest emitting FF-equipped LFB with
lowest emitting uncontrolled LFB) to
over three orders magnitude (comparing
worst of the lowest emitting FFequipped LFB to lowest emitting
uncontrolled LFB). Id. These
uncontrolled sources’ emissions are also
roughly an order of magnitude lower
than the promulgated floor based on
performance of FF-equipped sources. Id.
There are also ten uncontrolled LFBs in
the data base with lower PM emissions
than the lowest emitting FF-equipped
LFB. Id. Under these circumstances,
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EPA is less certain that these LFBs
could emit more PM over time than the
FF-equipped sources EPA selected as
best performers and therefore will
reexamine the standard with a view to
amending it. However, EPA notes
further that this difference in emission
levels between controlled and
uncontrolled sources suggests that
subcategorization may be appropriate.
EPA intends to investigate that
possibility in subsequent rulemaking.
B. Standards for Semivolatile Metals
and Low Volatility Metals
1. Methodology To Establish Floor
Levels
EPA used the so-called system
removal efficiency/hazardous waste
feed control (‘‘SRE Feed’’) methodology
to establish floor levels for semivolatile
metal HAP (‘‘SVM’’—lead and
cadmium) and low volatile metal HAP
(‘‘LVM’’—arsenic, beryllium, and
chromium) for all source categories
except hydrochloric acid production
furnaces. Under this methodology, best
performers are ranked by hazardous
waste feed rate of metal HAP, and by
system removal efficiency (the degree to
which HAP are removed from stack
emissions across the entire system, be it
by an air pollution control device or by
any other means). 70 FR at 59441. Best
performers are those with the best
combination of hazardous waste feed
rate for the HAP at issue and system
removal efficiency (i.e., lowest
hazardous waste feed rate and best
removal efficiency). EPA assessed SVM
and LVM separately, so that there are
separate pools of best performing
sources for each of these HAP metal
groups for each of the source categories.
Once best sources are identified by
this methodology, EPA calculated the
floor (accounting for run-to-run
variability) based on the averaged
emission levels of SVM or LVM from
these best performing sources (or for
new sources, the SVM or LVM emission
level of the single best performer). For
source categories where SVM and LVM
standards are normalized by hazardous
waste heat input (cement kilns,
lightweight aggregate kilns, and the
higher heating value hazardous wastes
subcategory for liquid fuel boiler), see
70 FR at 59451–53, the standard is
expressed exclusively in terms of SVM
or LVM attributable to hazardous waste
inputs. For all source categories, total
SVM and LVM emissions are addressed
and controlled by the PM standard.
The SRE Feed methodology does not
always identify the lowest emitters of
SVM or LVM in single tests as the best
performers; it identifies the lowest
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emitters as the sources with the best
combination of hazardous feed rate
control and back end control (removal
efficiency across the entire system).
Some of these sources were also the
lowest emitters in single test results, but
were not in all cases. EPA selected this
methodology, rather than the so-called
Straight Emissions approach of simply
identifying best performers as those
with the lowest emissions after
accounting for run-to-run variability,
because the SRE Feed methodology
better identifies who the lowest emitters
will be over time, and better assesses
their performance (i.e., how much SVM
or LVM they will emit as they operate).
70 FR at 59441–442; TSD Vol. III at 17–
1. SRE Feed best performers are likely
to emit less of these metals over time
than sources identified as best under the
Straight Emissions methodology—
averaged performance of lowest emitting
sources in the most recent performance
test accounting for run-to-run variability
(see TSD Vol. III at section 7.2)—
because the Straight Emissions
methodology (even after accounting for
run-to-run variability) ignores sources’
long-term (test-to-test) variability, and
so underestimates (indeed, ignores)
their performance over time. The SRE
Feed methodology accounts for test-totest variability, albeit qualitatively. Id.8
For the same reason, the SRE Feed
methodology better estimates sources’
performance over time since it accounts
in some measure for their long-term
variability instead of ignoring it. As
discussed earlier, elements of long-term
variability include such things as
chlorine feed rates (since metals are
more volatile in the chlorinated form),
back-end control devices’ controllable
operating parameters (e.g. ESP power
levels, pressure drop across baghouses,
and other such operating parameters),
the matrix in which the metal is fed
(solid, liquid, pumpable) and the
hazardous waste feedrate. TSD Vol. III at
p. 17–5. SRE Feed best performers are
those that best control these and other
controllable parameters and therefore
are less variable (i.e., are more efficient
at controlling SVM and LVM
emissions), and therefore likely to emit
less SVM and LVM over time. Id. at p.
17–11. Put more broadly, the
methodology best evaluates the two
things sources can do to control SVM
and LVM emissions: limit the feed rate
of these HAP in hazardous waste (since
hazardous waste feed rate is controlled
under RCRA rules), and manage
8 See TSD Vol. III at 17–1 to 4 explaining why
long-term variability for SVM and LVM cannot be
determined quantitatively, even for sources
equipped with baghouses (FFs).
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controllable parameters to limit
emissions across the entire system (both
through emission control device control
and by any other means), the result
being that these sources are likely to
emit less SVM and LVM over time. 70
FR at 59441.
Data confirm that lowest emitters in
single tests (i.e., performers identified as
best under the Straight Emissions
methodology) can and do emit more
SVM and LVM over time than the
sources EPA identified as best
performers using the SRE Feed
methodology. See TSD Vol. III sections
17.2 and 17.3.1 and 17.3.2. Looking at
all the data in the record where there
were multiple test results (i.e., tests
conducted at different times) from
sources with the lowest SVM or LVM
emissions in single tests, EPA found
that a) three of four of these sources
emitted more SVM or LVM in historical
tests than allowed under the Straight
Emissions floor (i.e., average emissions
(not considering run-to-run variability)
of SVM or LVM were higher than the
average of the best performers using the
Straight Emissions methodology (which
considers run-to-run variability)) (id.
Table 17–1); 9 (b) 5 of 15 of these
sources were projected to emit more
SVM or LVM than allowed under the
SRE Feed floor using the reasonable
assumption that these sources fed the
same amount of LVM and SVM in
hazardous waste as they did in the
performance test identifying them as a
best performer (lowest emitter) under
the straight emission approach, but had
the system removal efficiency
demonstrated in their other tests. Id. at
Tables 17–2 and 17–3; 10 and (c) 8 of 13
straight emission best performers would
exceed the SRE Feed floor if their
system removal efficiency from all tests
(i.e., whether the system removal
efficiency was higher or lower than that
demonstrated in the single performance
test identifying it as a best performer
under the straight emissions
methodology) were pooled and applied
to the hazardous waste federate for LVM
or SVM used in the single performance
test identifying it as a best performer
under the straight emissions
methodology. Id. at 17.3.2 and Tables
17–6 and 7. In addition, most of the
straight emissions best performers
9 It should be noted that source 3016 was feeding
more LVM in this test than in its most recent
performance test, although the source was operating
within its permit limits, and so far as can be
determined was also otherwise properly designed
and operated in this test.
10 EPA also showed that these sources were
operating properly in the tests where they removed
SVM and LVM less efficiently. TSD Vol. III at 17–
14 to 15 and Tables 17–4 and 5.
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emitted more SVM and LVM in
previous performance tests than they
did in the single performance test
identifying them as a straight emission
best performer (or were projected to do
so under the same reasonable
assumptions), and often exceeded their
earlier performance by wide margins
(failing routinely, for example, to
achieve their own performance test
results adjusted upward to account for
run-to-run variability, the Straight
Emissions approach floor level (which
also accounts for run-to-run variability),
and the design level of the SRE Feed
floor level). See TSD Vol. III sections
17.2 and 17.3.1 and 17.3.2.
EPA’s approach is consistent with the
statute and with applicable caselaw.
EPA may consider variability in
assessing sources’ performance, and it
did so here for the evident reason that
variability is an aspect of a source’s
performance. CKRC, 255 F.3d at 865–66;
Mossville, 370 F.3d at 1242. Here, shortterm and long-term variability (i.e., runto-run and test-to-test) in SVM and LVM
performance demonstrably exists. The
SRE Feed methodology accounts for
both types of variability. The Straight
Emissions methodology demonstrably
does not. The Straight Emissions
methodology thus not only consistently
underestimates sources’ performance,
but identifies as best performers those
which may emit more SVM and LVM
over time. For these reasons we believe
the record of this rulemaking
demonstrates that the SRE Feed
methodology better accounts for
variability, and hence performance, than
does the Straight Emissions approach
(even with consideration of run-to-run
variability), and consequently, the SRE
Feed methodology more accurately
identifies the best performing sources
and their level of performance.
It is also no answer to say that the
Straight Emissions best performing
sources could simply retrofit their
devices to achieve over time what they
were able to achieve in a single
performance test. Section 112(d)(3)
requires EPA to determine the best
performers and their level of
performance based on sources as they
now exist, not how they might be
retrofitted. Requiring even the pool of
best performers (i.e., those whose
performance was measured at below the
average of the best performers) to retrofit
to meet a floor level is a de facto beyond
the floor standard and therefore
impermissible unless costs and other
factors under section (d)(2) factors are
considered. 70 FR at 59445. Moreover,
a source so retrofitted would not be an
existing source as required by section
112(d)(3), but rather some hypothetical
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entity which does not even presently
exist. See 71 FR 14665 (March 23, 2006).
As noted above, the SVM and LVM
standards which are normalized by
hazardous waste thermal input apply
only to SVM and LVM contributed by
the hazardous waste. MACT standards
must address all HAP emitted by a
source, not just some portion of the
HAP. Brick MACT, 479 F.3d at 882–83
(raw material input contributions to
HAP emissions must be addressed by
MACT floor). Although most SVM and
LVM emitted by these sources comes
from the hazardous waste,11 hazardous
waste is not the sole input of these
metals. However, all SVM and LVM
emissions from these sources is
controlled by virtue of the PM standard.
In addition, although the SVM and LVM
floor standards for cement kilns and
lightweight aggregate kilns are
normalized by hazardous waste thermal
input, EPA also capped these standards
by the interim standards for SVM and
LVM, which are standards that control
all SVM and LVM emissions emitted
from the combustor, not just emissions
of SVM and LVM from hazardous
waste.12 Moreover, there is strong direct
correlation between the control of total
PM and control of metal HAP (including
SVM and LVM), so that emission limits
reflecting best PM control will also
similarly control the total SVM and
LVM. Sierra Club v. EPA (‘‘Primary
Copper MACT’’), 353 F.3d 976, 984–85
(D.C. Cir. 2004) (PM proper surrogate for
HAP metals ‘‘even in light of the
potential variability of impurities in
copper ore’’). Furthermore, as a crosscheck, EPA determined that total SVM
and LVM emissions from the sources
EPA identified as the PM best
performers from these source categories
are generally comparable to (and often
lower than) total SVM and LVM
emissions from the sources identified as
best performers under EPA’s SRE Feed
methodology.13 Thus, on the facts here,
the thermally normalized floors for SVM
and LVM (i.e., the SVM and LVM
standards for cement kilns, lightweight
aggregate kilns, and the higher heating
value hazardous wastes subcategory of
liquid fuel boilers), in combination with
the PM standards, provide control of
11 See Source Data for Hazardous Waste
Combustors, Source Category Summary Sheets, at
https://www.epa.gov/epaoswer/hazwaste/combust/
finalmact/source.htm.
12 See 70 FR at 59457–458, § 63.1220(a)(3)(ii),
(a)(4)(ii), (b)(3)(ii), and (b)(4)(ii), and
§ 63.1221(a)(3)(ii), (a)(4)(ii), (b)(3)(ii), and (b)(4)(ii).
13 See note from Bob Holloway, USEPA, to Docket
ID No. EPA–HQ–OAR–2004–0022 entitled ‘‘SVM/
LVM Emissions from PM Best Performers Are
Generally Comparable to SVM/LVM Emissions from
SVM/LVM Best Performers,’’ dated August 23,
2007.
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SVM and LVM reflecting the average
SVM and LVM emissions of the best
performing sources.
EPA further justified its use of the
SRE Feed methodology on two
additional bases, both of which are
severable from the analysis just
presented. First, EPA appropriately
utilized the SRE Feed methodology
because the Straight Emissions
approach would force some bestcontrolled commercial hazardous waste
treatment units to stop burning
hazardous waste (or to burn less waste),
even though hazardous waste must be
treated before it can be land disposed
under sections 3004(d), (e), (g), and (m)
of RCRA and combustion is the only
means of successfully treating the
hazardous waste. 70 FR at 59442; TSD
Vol. III section 17.4. EPA noted further
that the Clean Air Act requires that EPA
take into account RCRA requirements
when issuing MACT standards for
hazardous waste combustion units.14
CAA section 112(n)(7). Although a
severable part of EPA’s rationale, 70 FR
at 59447/3, EPA continues to believe
that use of the Straight Emissions
methodology is unreasonable here
because it could have significant
adverse cross-media environmental
impacts by reducing the amount of
needed, and statutorily mandated
hazardous waste treatment capacity. See
id. at 59442 (‘‘EPA doubts that a
standard which precludes effective
treatment mandated by a sister
environmental statute must be viewed
as a type of best performance under
section 112(d)’’). EPA’s concern here is
not that certain sources are unable to
achieve a floor standard. See Brick
MACT, 479 F.3d at 881–82. Rather, the
concern is the adverse cross-media
environmental impact resulting from
undermining ‘‘the heart of RCRA’s
hazardous waste management program’’,
the restrictions on land disposal of
untreated hazardous waste. Chemical
Waste Management v. EPA, 976 F.2d 2,
23 (D.C. Cir. 1992). Section 112(n)(7) of
the Clean Air Act requires EPA to
consider RCRA standards when
adopting section 112(d) standards for
RCRA sources, and EPA’s consideration
of the issue here reinforces the
conclusion that the SRE Feed
methodology is reasonable, and the
proper means here of assessing which
sources are best, and their level of
14 EPA investigated the possibility of
subcategorizing by commercial/non-commercial
sources but found this undesirable because it would
lead to anomalously high floors for some
subcategories due to sparse available data. 70 FR at
59442 and n. 78.
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performance, for SVM and LVM
emissions.
Second, as a legal matter, section
112(d)(3) does not specifically address
the question of whether ‘‘best
performing’’ sources are those with the
lowest net emissions, or those which
control HAP emissions the most
efficiently. 70 FR at 59443. EPA posited
the example of whether a source
emitting 100 units of HAP and feeding
100 units of the HAP must be
considered better performing than a
source emitting 101 units of the HAP
but feeding 10,000 units. Id. Indeed,
floors for new sources are to be based
on the performance of the ‘‘best
controlled’’ similar source. Section
112(d)(3). In the example just given, a
source with control efficiency of 99.9
per cent can naturally be viewed as
better controlled than one with 0 per
cent control efficiency. EPA’s decision
to incorporate control efficiency (i.e.,
system removal efficiency) into the SRE
Feed methodology as one of the two
factors used to identify best performing/
best controlled sources reasonably
reflects that the statute allows
performance to be evaluated in terms of
control efficiency. See further
discussion of this issue in the analysis
of the total chlorine emission standard
for hydrochloric acid production
furnaces.
EPA does, however, realize that
certain parts of the justification for the
SVM and LVM standards in the final
rule may not be consistent with Brick
MACT, and EPA is no longer relying on
them. These relate principally to how
MACT standards reflect HAP metal
inputs from variable raw materials. The
specific alterations EPA is
contemplating (generally excising
existing language) are found in red line/
strike out versions of the Preamble,
Technical Support Documents, and
Response to Comment Document which
EPA has placed in the docket for this
rule.
2. Alternatives to the Particulate Matter
Standard for Incinerators, Liquid Fuel
Boilers, and Solid Fuel Boilers
EPA promulgated alternatives to the
PM standard for incinerators, liquid fuel
boilers, and solid fuel boilers.15 In the
case of liquid fuel boilers, separate
alternatives to the PM standard were
finalized for each subcategory: those
15 For incinerators, the alternative to the PM
standard are promulgated §§ 63.1206(b)(14) and
63.1219(e). For the higher and lower heating value
hazardous wastes subcategories for the liquid fuel
boiler category, the alternatives are promulgated
under § 63.1217(e)(2) and (e)(3). The alternative to
the PM standard is under § 63.1216(e) for solid fuel
boilers.
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burning higher heating value hazardous
wastes and those burning lower heating
value hazardous wastes. The alternative
to the PM standard allows sources to
comply with standards limiting
emissions of all SVM and LVM metals,
including the five nonenumerated metal
HAP not covered by the standards for
SVM and LVM, in lieu of complying
with the PM standard. Under these
alternatives, the numerical emission
limits for SVM and LVM HAP are
identical to the promulgated standards.
However, for SVM, the alternative
standard applies not only to the
combined emissions of lead and
cadmium, but also includes selenium, a
semivolatile nonenumerated metal HAP;
for LVM, the standard applies to the
combined emissions of arsenic,
beryllium, chromium, antimony, cobalt,
manganese, and nickel, the latter four
being low volatile nonenumerated metal
HAP.
As noted above, some SVM and LVM
standards are normalized by hazardous
waste thermal input and apply only to
SVM and LVM contributed by the
hazardous waste. For these standards,
SVM and LVM emissions from
nonhazardous waste inputs is controlled
by the PM standard. However, if a
source were to elect to comply with the
alternative to the PM standard, then the
nonhazardous waste inputs would not
be controlled because, under the
alternative, the source would not be
required to comply with a PM standard.
In such instances, the alternative to the
PM standard would not address all HAP
emitted by a source. This does not
appear to be consistent with the holding
of Brick MACT that the standard must
apply to all HAP emitted. 479 F.3d at
882–83. Of the source categories for
which EPA promulgated alternatives to
the PM standard, the higher heating
value hazardous wastes subcategory for
liquid fuel boilers is the only category
for which SVM and LVM standards
normalized by hazardous waste thermal
input were established. Therefore, EPA
believes (subject to comment) that it
must reassess the alternative to the PM
standard for this subcategory (and
intends to seek remand of this
standard). See § 63.1217(e)(2)(ii) and
(e)(3)(ii).
3. Alternative Mercury, Semivolatile
Metals, Low Volatile Metals, and Total
Chlorine Standards for Cement Kilns
and Lightweight Aggregate Kilns
EPA promulgated provisions that
allow cement kilns and lightweight
aggregate kilns to petition the
Administrator for alternative mercury,
semivolatile metals, low volatile metals,
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and total chlorine standards.16 64 FR at
52962–967 and 70 FR at 59503–504.
Under these provisions, the alternative
standard was not prescribed, and could
take the form of an operating
requirement, such as a hazardous waste
feedrate limitation of metals and
chlorine or an emission limitation,
subject to approval by the
Administrator. The rule discusses two
sets of circumstances under which a
source could petition for such an
alternative standard. One reason is that
the source cannot achieve the standard
due to contributions of metals and
chlorine HAP in the raw materials. The
second reason is limited to mercury,
and applies in situations where a source
cannot comply with the mercury
standard when mercury is not present in
the raw materials at detectable levels
(e.g., the mercury emission standard
could be exceeded by a source if it
assumed mercury is present in the raw
materials at the detection limit). These
circumstances appear to be
inappropriate bases for an alternative
standard after Brick MACT.
Accordingly, EPA currently intends to
seek a remand of these alternative
metals and total chlorine standards and
remove these provisions in a subsequent
rulemaking.
C. Standards for Total Chlorine
4. Alternative Mercury Standards for
Cement Kilns and Lightweight
Aggregate Kilns Under the Interim
Standards
2. Cement Kilns
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EPA promulgated an alternative to the
interim standards for mercury for
cement and lightweight aggregate kilns
in 2002. Section 63.1206(b)(15) and 67
FR 6792 (February 13, 2002). Under this
alternative, sources are allowed to
comply with a hazardous waste
maximum theoretical emissions
concentration of mercury.17 This
alternative mercury standard does not
address all mercury emitted by a source,
and, therefore, is not permissible in
light of the holding of Brick MACT that
the standard must apply to all HAP
emitted. 479 F.3d at 882–83.
Accordingly, EPA currently intends to
seek a remand of these alternative
standard provisions and remove them in
a subsequent rulemaking.
16 The alternative standard provisions are
promulgated under § 63.1206(b)(9) for lightweight
aggregate kilns and § 63.1206(b)(10) for cement
kilns.
17 Maximum theoretical emissions concentration
(MTEC) is a term to compare metals (and chlorine)
feedrates across sources of different sizes. MTEC is
defined as the metals (or chlorine) feedrate divided
by the gas flow rate and is expressed in units of ug/
dscm.
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EPA established standards for total
chlorine (TCl, which controls emissions
of both hydrochloric acid and chlorine)
for all of the source categories. For all
of the source categories except HCl
production furnaces, EPA established
floors using the SRE Feed methodology
described in the previous section. For
HCl production furnaces, EPA selected
sources with the best removal efficiency
as the best performers. EPA believes that
most of these standards are consistent
with the statute and applicable caselaw,
although certain of the standards
probably are not.
1. Incinerators
For hazardous waste incinerators, all
of the best performers using the SRE
Feed methodology were also the lowest
emitters using the Straight Emissions
methodology. Thus, choice of floor
methodology is not at issue here.
However, EPA found that the analytic
method used to gather these data is
biased below 20 ppmv. 70 FR at 59427–
428. EPA’s determination of how to
estimate these best performers’ level of
performance is explained in detail in 71
FR at 52628–30 (Sept. 6, 2006). As there
stated, this determination is consistent
with Brick MACT and all other
applicable statutory and caselaw.
EPA used the SRE Feed methodology
to establish floors for new and existing
sources, but believed that the data did
not fully reflect variability that best
performing kilns experience due to
fluctuating alkalinity levels within the
kiln. Rather, the TCl emissions data
reflect the alkalinity of the limestone
raw material used at the time of
performance tests. 70 FR at 59469–70,
TSD Vol. III section 13.7.1. To account
for this variability, EPA assumed a 90
per cent system removal efficiency for
all cement kiln sources. The best
performing sources then effectively
become the lowest chlorine feeders.
Although this assumed system removal
efficiency has some factual basis, see
Table 1 at 70 FR 59470 showing that the
median of the best performing sources
(Ash Grove) demonstrated removal
efficiencies ranging from 85.1 to 98.8%,
the standard reflects concerns relating to
raw material variability, and also may
reflect a level that is achievable (albeit
by best performers) rather than actually
achieved. Neither of these rationales is
permissible after Brick MACT, 479 F.3d
at 880–81, 882–83. Accordingly, subject
to consideration of comments on this
issue, EPA currently intends to seek a
remand on this standard and reexamine
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54883
it in a subsequent rulemaking. EPA
notes further that the health-based
compliance alternatives for total
chlorine under § 63.1215 would not be
affected by this reexamination and thus
would provide an alternative means of
demonstrating compliance.
3. Lightweight Aggregate Kilns
Choice of a floor methodology for TCl
is essentially academic for existing
lightweight aggregate kilns, since both
the SRE/Feed and Straight Thermal
Emission (and Straight Mass Emission)
methodologies yield floor levels higher
than the interim standard for these
devices, in which case the floor level is
capped by the level of the interim
standard. 70 FR at 59457; see TSD Vol.
III appendices C, D, and E for data and
calculations. The reason for this
seeming anomaly in all the
methodologies is that EPA has little data
from this source category (and there are
only a few sources to begin with), so
that differences in individual
performance runs are magnified when
the standard is calculated. In addition,
all of the data in the record came from
tests conducted before EPA adopted the
interim standards. This is especially
relevant for this standard because the
interim standard is a beyond-the-floor
standard. See generally TSD Vol. III
chapter 19. The interim standard thus
remains the best measure of evaluating
best performing sources.
However, for new sources, EPA noted
only that the new source floor
calculated using the SRE Feed
methodology would be less stringent
than the interim standard but did not
closely examine whether the
methodology clearly identified the best
controlled source. TSD Vol. III section
12.6.3. EPA therefore intends to
reexamine this standard in a subsequent
rulemaking, subject to consideration of
comment (and to seek remand of the
standard).
4. Liquid Fuel Boilers
a. Higher Heating Value Hazardous
Wastes Subcategory. EPA believes
(subject to comment) that it must
reassess this standard (for both new and
existing sources) since the standard
applies only to TCl attributable to
hazardous waste inputs, and currently
intends to seek remand of the standard.
See § 63.1217(a)(6)(ii). This is not
permissible in light of the holding of
Brick MACT that the standard must
apply to all HAP emitted,
notwithstanding variable HAP levels in
raw materials. 479 F.3d at 881–82.
b. Lower Heating Value Hazardous
Wastes Subcategory. The SRE Feed and
Straight Emissions methodologies give
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the same floor value for this
subcategory, and the standard applies to
all TCl emissions from the boiler, not
just those attributable to hazardous
waste. See § 63.1217(a)(6)(i). The issue
is how to account for analytical bias at
levels below 20 ppmv, and EPA’s
resolution of the issue is explained at 71
FR at 52628–630. EPA does not believe
this approach raises issues under the
statue, or under Brick MACT or other
applicable caselaw.
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5. Solid Fuel Boilers
The SRE Feed and Straight Emission
methodologies give the same floor level
for both existing and new solid fuel
boilers, so the issue of appropriate floor
methodology is academic. TSD Vol. III
at App. E and C.
6. Hydrochloric Acid Production
Furnaces
The TCl standard for this source
category controls TCl emissions and
also serves as a surrogate for all metal
HAP. TSD Vol. III sections 15.2 and
15.3. EPA selected as best performers
sources with the best TCl system
removal efficiency (or, for new sources,
the single source with the best TCl
system removal efficiency). The
standard is then expressed as a required
degree of control: 99.923 percent for
existing sources (the average efficiency
of the five best controlled sources),
99.987 percent for new sources (the
control efficiency of the single best
controlled source). Id. section 15.3.
EPA continues to believe that this
standard is consistent with the statute
and applicable caselaw. First, the
statutory language requiring floors to be
based on ‘‘best controlled’’ (new) /‘‘best
performing’’ (existing) does not specify
whether ‘‘best’’ is to be measured on
grounds of control efficiency or
emission level. See Sierra Club v. EPA,
167 F.3d 658, 661 (‘‘ ‘average emissions
limitation achieved by the best
performing 12 percent of units’ * * *
on its own says nothing about how the
performance of the best units is to be
calculated’’). The requirement that the
new source floor reflect ‘‘emission
control’’ achieved in practice reinforces
that the standard can be determined and
expressed in terms of control efficiency.
Existing floors determined and
expressed in terms of control efficiency
are likewise consistent with the
requirement that the floor for existing
sources reflect ‘‘average emission
limitation achieved’’, since ‘‘emission
limitation’’ includes standards which
limit the ‘‘rate’’ of emissions on a
continuous basis—exactly what the
standards do here. CAA section 302(k).
Moreover, where Congress wanted to
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express performance solely in terms of
numerical limits, rather than
performance efficiency, it said so
explicitly. See CAA section 129(a)(4).
The policy reason for EPA’s
interpretation here is that a standard
limiting volumetric TCl emissions
means that less product is produced,
since these sources recover hydrogen
chloride to produce hydrochloric acid.
TSD Vol. III at 15–6; 70 FR at 59450.
EPA does not believe that the MACT
floor provisions should compel an
otherwise best performing source to
limit the amount of product it produces.
See 2 Legislative History at 3352 (House
Report) (‘‘MACT is not intended to
* * * drive sources to the brink of
shutdown’’).
Moreover, all that is at issue here is
how to express the performance of
sources ranked as best performing under
both EPA’s methodology and under the
Straight Emissions methodology. This is
because, with one exception, the best
performing sources are the same under
EPA’s methodology as those identified
as best performing under the Straight
Emissions methodology. TSD Vol. III
App. C at E–HCLPF–CL and App. E at
SO–HCLPF–CL. The one exception is
where EPA chose a parallel test
condition which exhibits more
variability to characterize the source’s
performance (source 855 condition 11
rather than condition 13), and
consequently resulted in this source not
being selected as a best performer.
Given this documented variability, this
is a reasonable choice. Thus, EPA is
selecting as best performers those with
the lowest measured emissions of
chlorine, but chose to express their
performance in terms of system removal
efficiency to avoid impacts on amount
of product these best performing sources
produce. EPA continues to regard this
choice as reasonable.
EPA has carefully reexamined this
standard in light of Brick MACT. The
opinion does not address the issue
directly, since no standard there was
determined or expressed in terms of
control efficiency. Moreover, as noted
above, unlike section 129, section 112
contains no directive to express
standards as numerical limits (see
section 129(a)(4)), further supporting
EPA’s view that it could reasonably
choose to express this standard in per
cent reduction terms. See also section
112(i)(5)(A), which allows sources that
achieve early reductions based on
measured rates of removal efficiency a
reprieve from MACT, a provision
reasonably read to allow section 112(d)
performance to be expressed in terms of
rate of removal efficiency.
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The opinion does hold, however, that
different HAP levels in raw materials
could not justify a conclusion that floor
standards were unachievable, so that
emissions attributable to raw material
HAP had to be accounted for in the
standard. 479 F.3d at 882–883. The TCl
standard at issue here accounts for
emissions from all HAP inputs, 70 FR at
59450, and so does not present this
deficiency. Nor are the floor standards
designed to be achieved by all sources
with a specific emission control
technology. 479 F.3d at 880–81. The
removal efficiency standard is not based
on performance of any particular
technology, and simply is the averaged
(or single best) efficiencies of the best
performing sources (after accounting for
run-to-run variability).
EPA, however, does not (subject to
comment) believe that the alternative
standard of 150 ppmv by volume for
existing sources (section 63.1218 (a) (6)
(i)) should be retained and EPA
currently intends to seek remand of this
alternative standard. The standard
appears inconsistent with the SRE
MACT standard, since it allows sources
to operate with less efficient system
removals.
EPA also recognizes that certain parts
of the rationale for the standard,
generally related to whether standards
are to reflect varying raw material HAP
inputs, do not appear to be consistent
with Brick MACT. EPA is making
appropriate revisions to the key record
documents, which are available in red
line strike out versions in the
administrative record.
D. Standards for Dioxins/Furans
Polychlorinated dioxins and furans
(D/F, or ‘dioxins’) are typically not
present in any of the inputs to
hazardous waste combustion devices.
Rather, they are formed postcombustion (often from some type of
chlorinated precursor, which precursor
is itself typically a product of
incomplete combustion). 70 FR at
59461. As combustion efficiency
increases, complex organic molecules
which can be D/F precursors are
oxidized to form carbon dioxide or
carbon monoxide, helping to minimize
D/F formation and emission. Id.
Different levels of chlorine in waste or
other inputs do not appreciably
influence D/F emission rates. TSD Vol.
IV 18 section 3.3 (documenting that D/F
formation and emission is ordinarily not
dependent on feed levels of chlorinated
18 USEPA, ‘‘Technical Support Document for
HWC MACT Standards, Volume IV: Compliance
with the HWC MACT Standards’’ (TSD Vol. IV),
September 2005. See docket item EPA–HQ–OAR–
2004–0022–0435.
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materials); TSD Vol. III at 10–6. Nor
does burning hazardous waste generally
have an appreciable impact on CDD
formation and emissions, so that it is
technically appropriate in some
instances to consider D/F emission
levels from sources which do not burn
hazardous waste in evaluating emission
potential from those that do. TSD Vol.
III at 11–4 and n. 72.
Precise formation and control
mechanisms of D/Fs are thought to be
fairly well understood for systems with
dry air pollution control devices (or
extensive ductwork containing
particulates on surfaces, such as for
certain lightweight aggregate kilns). For
these systems, D/Fs are formed on
particles entrained in the control device
by surface-catalyzed reactions where
entrained particulate matter provides
the reaction surfaces.19 D/F formation
can increase exponentially as gas
temperatures increase from 400 °F to
750 °F.20 Formation mechanisms, or
their degree, are less well understood
for systems with wet air pollution
control or no air pollution control
systems, making it less certain how
much D/F these sources may emit over
time. TSD Vol. III pp. 10–5 to 6.
EPA used the Straight Emissions
methodology rather than the SRE Feed
methodology as the starting point for
calculating floors for D/F because
dioxins/furans do not come from inputs
(but rather are formed post-combustion),
so that it is not possible to calculate
system removal efficiencies (which is
calculated from inputs and outputs).
However, for a number of the source
categories where best performers do not
have dry air pollution control devices,
EPA’s professional judgment was that
this methodology did not give an
accurate assessment of the best
performing sources’ performance over
time (i.e., the best performers’
variability). This is because there are
myriad factors that can affect D/F
emissions for these sources 21 and,
unlike sources equipped with a dry
emission control device where gas
temperature at the inlet to the control
1. Incinerators
a. Dry Air Pollution Control Device
Subcategory.23 EPA used the Straight
Emissions approach to establish floor
levels for existing and new sources for
this subcategory. The existing source
floor, calculated in this manner, was
slightly higher than the interim
standard, so the floor is capped at the
level of the interim standard. TSD Vol.
III p. 10–4. The standard for new
sources is based on the performance of
the single lowest emitting source. Id. at
10–11. EPA believes this standard to be
consistent with the statute and all
applicable caselaw.
b. Incinerators with Wet Air Pollution
Control Systems or No Air Pollution
Control Systems. For both new and
existing sources, EPA selected the
interim standard as the floor standard.
Id. at 10–6 and 10–11. EPA considered
basing the floor on the performance of
19 USEPA, ‘‘Draft Technical Support Document
for HWC MACT Standards, Volume IV: Compliance
with the HWC MACT Standards,’’ March 2004,
Section 3.0.
20 To be clear, the dry air pollution control device
does not control D/F emission (except insofar as
some of the formed dioxins/furans adsorb to
particulate which is collected). Rather, the inlet to
these devices serves as an agent for the actual
formation of the chemical, to the availability of a
surface catalyzed reaction which occurs under these
conditions.
21 Factors that can affect D/F emissions from
sources with a wet control device or no control
device include: Soot buildup on boiler tubes and
presence of metals in the feed that can catalyze
D/F formation reactions. 70 FR at 59502.
22 For sources with dry emission control devices,
D/F emissions during the compliance tests EPA
used to characterize emissions would generally be
at the upper end of the range of normal operations.
Because an operating limit is established on gas
temperature at the inlet to the control device based
on levels achieved during the compliance test,
operators had the incentive to maximize gas
temperatures while still complying with the D/F
emission standard under part 266, subpart H
(§ 266.104(e)).
23 EPA explained a number of times that it did not
subcategorize incinerators by control device.
Rather, the presence or absence of a dry air
pollution device relates to differences in dioxin
formation mechanisms and consequent dioxin
emission levels. See e.g. 70 FR at 59467.
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device is generally the dominant factor
affecting D/F emissions),22 there is no
generic, dominant factor affecting
emissions. In these instances, EPA
consequently selected as best
performers those sources which best
minimized the formation of dioxin
precursors by maintaining the most
efficient combustion conditions, as
measured by carbon monoxide (CO) or
total hydrocarbon emissions (HC), as
well as by destruction/removal of
hardest-to-burn hazardous waste
constituents at an efficiency of 99.99
percent. The floor standards for these
sources consequently is either meeting a
CO standard of 100 ppmv or an HC
standard of 10 ppmv, plus
demonstrating a destruction/removal
efficiency (DRE) of 99.99 percent on the
hardest-to-combust hazardous
constituents present in the hazardous
waste. In instances where the interim
standard applied to such sources, EPA
used that standard as the measure of
best performers’ good combustion
instead of quantified CO/HC and
destruction/removal efficiency.
Our assessment of these standards,
subject to comment, is:
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54885
lowest emitters in single tests, but these
sources had strikingly varied results in
other tests, with one ‘best’ performer
(source 3016) having emissions over
1000 times greater than its previous test,
and well in excess of the floor level
established by EPA. TSD Vol. III at 10–
6.24 Under these circumstances, EPA
was unable to conclude that single test
results adequately represented the
sources’ performance over time (i.e.,
their long term variability). TSD Vol. III
at 10–6 (lowest emitters in single tests
would prove unable to duplicate their
performance in other tests due to their
variability). Without a means to assess
long-term performance, EPA used the
interim standard as the measure of best
performers’ performance over time. Id.
EPA continues to believe that this is a
reasonable estimate of best performance,
and that the standards are consistent
with the statute and applicable caselaw.
2. Cement Kilns
The calculated floor for existing
cement kilns using the straight
emissions approach was slightly higher
(less stringent) than the low end of the
interim standard (0.28 as opposed to
0.20 ng TEQ/dscm). However, available
historical D/F emissions data for cement
kiln best performers (other test
conditions conducted at different times
from cement kiln sources identified as
best performing, which test conditions
reflect temperature optimization) show
that these sources performance
considering run-to-run variability
exceeded both the floor level calculated
using the Straight Emissions
methodology and the interim
standard.25 In light of this documented
variability, EPA considered the interim
standard the more stringent and
consequently used the interim standard
(0.20 ng TEQ/dscm or 0.40 ng TEQ/
dscm and a temperature of 400 °F or less
at the inlet of the dry air pollution
control device) as the floor. The
calculated floor for new cement kilns
using the straight emissions approach
was slightly higher (less stringent) than
one part of the interim standard for new
cement kilns (0.21 ng TEQ/dscm as
opposed to 0.20 ng TEQ/dscm), and in
addition, the lowest emitter in a single
test condition (source 323B3) exhibited
enormous variability in other
24 See also Note from Bob Holloway, USEPA, to
Docket ID No. EPA–HQ–OAR–2004–0022 entitled
‘‘Incinerators: Comparison of D/F Emissions
Variability for Best Performers and Other Sources
with Wet or No APCD,’’ dated April 5, 2007.
25 See data for test conditions 228C4, 403C4, and
404C3 in Note from Frank Behan, USEPA, to Docket
ID No. EPA–HQ–OAR–2004–0022 entitled
‘‘Comparative D/F Data for the Cement Kiln Best
Performers,’’ dated August 23, 2007.
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performance tests (see test condition
323C1; the other lowest emitters
likewise showed significant variability
in other tests (id.)) so EPA adopted the
level of the interim standard as the
MACT floor for new sources. TSD Vol.
III p. 11–7. EPA believes that these
standards are consistent with the statute
and applicable caselaw.
3. Lightweight Aggregate Kilns
The calculated floors for existing and
new lightweight aggregate kilns using
the Straight Emissions approach were
higher (less stringent) than the interim
standard, so EPA adopted the level of
the interim standard as the MACT floor
for both existing and new sources. TSD
Vol. III pp. 12–4 and 12–6. EPA
continues to believe that this approach
uses the best measure of evaluating the
best sources and their level of
performance, and that these standards
are consistent with the statute and
applicable caselaw.
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4. Liquid Fuel Boilers
a. Sources with Dry Air Pollution
Control Devices. EPA used the Straight
Emissions approach to establish a floor
for existing liquid fuel boilers equipped
with a dry air pollution control device,
which yielded an extremely high
standard of 3.3 ng TEQ/dscm.26 TSD
Vol. III p. 13–7. The floor standard also
includes an alternative based on
meeting temperature control of 400° F at
the inlet to the dry air pollution control
device. Id. EPA also adopted a beyondthe-floor standard for these sources
which is (necessarily) more stringent
than the level of the floor. Id. at 13–8.
This beyond the floor standard would
be ascertained identically whether or
not the existing source floor included
the temperature control alternative. EPA
believes that this standard is consistent
with section 112 (d) (2) of the statute,
and that the floor is also consistent with
the statute, but not of direct relevance
given that the actual standard is beyondthe-floor.
For new sources, EPA adopted a floor
standard of the lowest emitters’
performance, or meeting temperature
control of 400° F or less at the inlet to
the dry air pollution control device.
Subject to comment, EPA does not
believe that this standard accounts for
all the factors that could influence
dioxin emissions from new sources, see
Brick MACT, 479 F.3d at 881–82, and
therefore intends to seek a remand of
the standard and further examine it in
a subsequent rulemaking.
26 The basis for subcategorizing in this way is the
same as for incinerators.
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EPA also recognizes that not all of the
rationale adopted for these standards is
consistent with Brick MACT,
particularly discussions relating to
whether sources other than those in the
best performing half of the MACT pool
of best performers could replicate best
performers’ level of performance. EPA
has made appropriate edits to the key
support documents which are available
for comment in red line strikeout form
in the administrative record.
b. Sources with Wet or Without Air
Pollution Control Equipment. EPA has
decided (subject to comment) not to
defend most of the dioxin standards for
sources with wet air pollution control
equipment or without air pollution
control equipment.27 These include the
standards for liquid fuel boilers with
wet or no air pollution control systems
and standards for hydrochloric acid
production furnaces. EPA continues to
adhere to its analysis that these sources
experience enormous operating
variability based on dioxin formation
and control mechanisms which are
uncertain and presently not
quantifiable. However, based on the
discussion at 70 FR 59202/2, EPA does
not believe that it is certain that the
promulgated standard based on
quantified good combustion addresses
all of the potential formation and
control mechanisms for dioxins as
required. See Brick MACT, 479 F.3d at
882–83; CKRC, 255 F.3d at 862–63.
Moreover, the cited preamble discussion
suggests that additional dioxin
formation and control mechanisms can
be quantified directionally, if not with
exactitude. This again may not be
consistent with Brick MACT, 479 F.3d at
883 (lack of data resulting in inability to
quantify variability related to nontechnology factors does not by itself
justify by itself a less stringent floor
standard). EPA intends to seek a remand
(subject to consideration of public
comment) and to investigate these
issues further in subsequent rulemaking.
E. Non-Dioxin Organic HAP
Hazardous wastes contain non-dioxin
organic HAP which are destroyed by
effective combustion. Treatment of
hazardous waste by destruction of
organics is indeed the chief reason that
there is a hazardous waste combustion
industry. See 40 CFR 268.42. (RCRA
treatment standards for organic
hazardous wastes, reflecting application
of Best Demonstrated Available
Technology (see Hazardous Waste
Treatment Council v. EPA, 886 F.2d
355, 363–64 (D.C. Cir. 1989)), are
27 For the same reasons, we will not defend the
dioxin standards for solid fuel boilers.
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invariably based on performance of
combustion technology.) EPA adopted
standards quantifying good combustion
conditions for non-dioxin organic HAP
emitted by liquid fuel boilers, solid fuel
boilers, and hydrochloric acid
production furnaces. The floor
standards for these sources is either
meeting a CO standard of 100 ppmv or
an HC standard of 10 ppmv, plus
demonstrating a destruction/removal
efficiency (DRE) of 99.99 percent on the
hardest-to-combust hazardous
constituents present in the hazardous
waste. In the event a source chooses to
comply with the 100 ppmv CO
standard, it must also demonstrate that
it is achieving 10 ppmv HC standard in
a single performance test, and establish
continuously monitored parameters
reflecting the conditions of that
performance test (including operating
temperature, maximum feed rates,
minimum combustion zone residence
time, and operating requirements on the
hazardous waste firing system that
optimize liquid waste atomization
efficiency). Sections 63.1216(a)(5),
63.1217(a)(5), and 63.1218(a)(5).
The basis for these standards is that
good combustion, as measured by 100
ppmv CO or 10 ppmv HC, plus meeting
99.99 percent DRE, is the best measure
of the performance over time of best
performers. However, in contrast to
dioxin, EPA has more knowledge of
formation mechanisms and means of
control over time. Non-dioxin organics
(of which there are over 100 on the list
of HAP) can be present in hazardous
waste (or other inputs) or can be formed
as products of incomplete combustion.
Organics are destroyed when wastes are
combusted, and best performers are
those which destroy organics through
the most efficient combustion. 70 FR at
59463; see also Horsehead Resource
Development v. Browner, 16 F.3d 1246,
1265 (D.C. Cir. 1994) (‘‘A kiln’s utility
as a means of destroying hazardous
wastes turns on its ability to fully
destroy them. In practice, destruction of
hazardous wastes in the fuel is a
function of the combustion efficiency of
the kiln: Under poor conditions of
efficiency, the principal organic
hazardous constituents * * * of the
toxic organic compounds contained in
the hazardous waste fuel will be only
partially broken down, thereby
increasing the production of [products
of incomplete combustion]’’).
Furthermore, 100 ppmv CO or 10
ppmv HC are long-recognized levels
representing good combustion
conditions. 70 FR 59463–464
(explaining further that lower levels are
unlikely to be associated with good
combustion and so no longer serve as a
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measure of organic destruction). EPA
adopted these levels here as the best
measure of the sources’ long-term
performance (and reiterates that finding
here). Id. and TSD Vol. III at 13–35, 14–
26, and 15–9. In addition to good
combustion being the long-recognized
metric for organic destruction and
performance, EPA lacked any data on
individual organic HAP emissions from
these devices, so had no choice but to
use some type of surrogate to evaluate
sources’ performance.
EPA views these standards as
consistent with the statute and
applicable caselaw. Regarding use of the
quantified good combustion surrogate,
the D.C. Circuit has held repeatedly that
EPA may select a surrogate for control
of HAP in adopting section 112(d)
standards. See, e.g. National Lime Ass’n
v. EPA, 233 F.3d 625, 639 (D.C. Cir.
2000); Sierra Club v. EPA (‘‘Primary
Copper MACT’’), 353 F.3d 976, 984–85
(D.C. Cir. 2004). EPA has shown here a
valid basis for choosing good
combustion as a surrogate: There is a
strong correlation between optimized
combustion conditions and minimized
organic emissions in that oxidation of
heavier, more complex organic
molecules will be maximized when
combustion conditions are optimized,
thus minimizing emission of organics.
70 FR at 59463; see also id. at 59461–
62; see also National Lime, 233 F.3d at
639 (upholding EPA’s selection of PM as
a surrogate for HAP metals where EPA
demonstrated a correlation between
removal of PM and metal HAP, and
further holding both that EPA need not
quantify the precise amount of metal
HAP removed, and that the amount of
HAP metal removed may vary); Primary
Copper MACT, 353 F.3d at 984. EPA has
further demonstrated the reasonableness
of 100 ppmv CO or 10 ppmv HC as
measures of good combustion.
National Lime further indicates (in
dicta) that choice of a surrogate may not
be valid if emissions of the HAP could
increase by some mechanism for which
the surrogate fails to account,
specifically noting that if HAP metal
feedrates decreased and PM emissions
did not decrease proportionately, PM
might not be a valid surrogate. 233 F.3d
at 639. This discussion has no direct
factual applicability here since organic
emissions are not input dependent. See
also Primary Copper MACT, 353 F.3d at
985 (rejecting argument that input
variability made PM an arbitrary
surrogate for metals). The situation here
is similar to that in Mossville, where the
court held that EPA could account for
best performers’ performance over time,
and could estimate performance over
time by some means other than
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emission levels. 370 F.3d at 1242. The
difference here is that EPA is using a
quantified surrogate to do so, but EPA
believes this is a difference without
legal significance given the
reasonableness of the surrogate on the
facts presented here. Indeed, EPA
selected here an existing regulatory
standard as a measure of best
performers’ performance over time
(RCRA standards for CO/HC and DRE),
just as in Mossville EPA selected the
existing uniform vinyl chloride
regulatory standard as that measure. 370
F.3d at 1240.28
One commenter maintained that CO/
HC standards should be numerically
lower to reflect lowest CO/HC
emissions, and further maintained that
CO and HC are not the sole measures of
organic combustion efficiency, which,
as EPA noted, can be influenced by such
factors as inadequate time, temperature
and turbulence within individual
combustion zones, and, the argument
goes, are therefore improper or
inadequate surrogates. 70 FR at 59463/
2; cf. National Lime, 233 F.3d at 639.
EPA addressed these issues in the
record. 70 FR at 59462–63. With respect
to the level for CO/HC, extremely low
CO floors are unlikely to be met at all
times by best performers due to all the
potential minor sources of variability.
So the 100 ppmv standard—which must
be met continuously (and is measured
by a continuous emission monitor), is
the best measure of best performers’
variability and hence performance over
time. TSD Vol. III at 13–35, 14–26 and
15–9 (best sources’ inability to duplicate
a lower level of performance at all times
for these reasons); see also Mossville,
370 F.3d at 1242 (if floor standard must
be met continuously, then the best
performers’ maximum variability must
be reflected in that standard). Of equal
importance, lower levels of either CO or
HC are no longer likely to be associated
with increased organic destruction
efficiency. 70 FR at 59462–64 (CO itself
is a conservative indicator of
combustion efficiency because it is a
thermally stable, refractory compound
which is the final stage of the
combustion process of an organic
28 Brick MACT holds that EPA may not select
floor standards to assure that all sources in the
category will be able to meet the standards. 479
F.3d at 880–81. EPA did not do so here. The CO/
HC and DRE standards are EPA’s best estimate of
best performers’ performance over time. As in
Mossville, EPA selected an existing regulatory limit
not because all sources were (by definition) meeting
that regulatory limit, but because no other means
of accurately assessing variability were available.
370 F.3d at 1240. Moreover, sources will establish
parametric monitoring conditions, which will vary
by source, as part of the process of meeting the 10
ppmv HC standard, so the standards in fact are not
uniform across the source category.
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Fmt 4702
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54887
molecule, and levels lower than 100
ppmv are no longer reliably associated
with levels of organic HAP). Finally, the
factors mentioned by the commenter
which can influence organic destruction
are in fact encompassed within the CO
and HC standards because, as EPA
explained, sources must conduct a
performance test for HC and DRE, and
continuously monitored parameters,
including minimum operating
temperature, maximum feed rates,
minimum combustion zone residence
time, and operating requirements on
hazardous waste firing systems (i.e., all
of the factors mentioned by the
commenter), are established based on
the conditions established in that
performance test. 70 FR at 59464/1. EPA
consequently views all of these
standards as consistent with Brick
MACT and the statute.
Edited versions of the key support
documents for this standard, edited to
reflect changes necessary in light of
Brick MACT, are available in red line
strike out format for comment in the
administrative record.
F. Mercury
1. Incinerators
For existing incinerators, both the
SRE/Feed methodologies and straight
emissions methodologies (even without
calculation of run-to-run variability)
produced floors which were higher than
the interim standard. TSD Vol. III
appendices C and E, tables E–INC–HG
CT and SF–INC–HG, respectively. EPA’s
decision to use the interim standard as
the level of the floor consequently does
´
not raise issues vis-a-vis Brick MACT.
See also Mossville, 370 F.3d at 1241–42
(selection of regulatory standard as floor
is a legitimate means of assessing best
performers’ variability when these
performers demonstrably emit at a level
close to that regulatory level).
For new incinerators, EPA selected
the emission level of the lowest emitting
source since the same source was the
lowest emitter under both the SRE
methodology and the Straight Emissions
methodology, TSD Vol. III appendices C
and E, tables E–INC–HG CT and SF–
INC–HG, respectively, again raising no
´
issues vis-a-vis Brick MACT.
2. Cement Kilns
For both new and existing cement
kilns, the mercury floor standard
appears inconsistent with the Brick
MACT opinion and the statute because
it is based in whole or in substantial
part on emissions attributable
exclusively to hazardous waste control.
The standard thus does not result in
control of all mercury which could be
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emitted by cement kilns (mercury in
raw materials being the notable
example), and so appears to require
revision. 479 F.3d at 882–83. Subject to
comment, it is thus EPA’s intent to
amend this standard and to seek remand
of the standard.
3. Lightweight Aggregate Kilns
The methodology for developing floor
standards for mercury for lightweight
aggregate kilns is essentially a Straight
Emissions approach for mercury
contributed by hazardous waste.29 The
floor calculated thereby produced
existing and new source floors higher
than the interim standard of 120 µg/
dscm total mercury emissions (110 µg/
dscm for new sources), which EPA
therefore adopted as the floor standard.
TSD Vol. III at 12–8 to 9, 12–12 and
section 7.2.3.5. EPA continues to believe
that the interim standard remains the
best measure of best sources’
performance given the available data.
However, the interim standard contains
a compliance option based solely upon
mercury emissions attributable to
hazardous waste. Section
63.1206(b)(15). Subject to comment, this
alternative compliance mechanism
appears to be inconsistent with Brick
MACT since it would not control all
mercury emitted by the kiln. 479 F.3d
at 882–83; see also section III.B.3 above.
Subject to consideration of public
comment, EPA intends to seek a remand
of this alternative standard and to
consider this issue further in subsequent
rulemaking.
4. Liquid Fuel Boilers
a. Higher Heating Value Hazardous
Wastes Subcategory. The mercury floor
standard for this subcategory for both
existing and new sources accounts only
for mercury emissions from hazardous
waste. TSD Vol. III pp. 13–14 and 13–
16. These standards thus appear to
require revision, and EPA accordingly
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29 EPA used the Straight Emissions approach here
for data-specific reasons explained at section 7.5.3.2
of Volume III of the TSD.
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currently expects to seek remand of this
standard. Brick MACT, 479 F.3d at 882–
83.
b. Lower Heating Value Hazardous
Wastes Subcategory. The mercury floor
standard for this subcategory for both
existing and new sources is based on the
Straight Emissions methodology. TSD
Vol. III at 13–16 and 13–18; see also 69
FR 21286–87 (because so many of the
data measurements were non-detects,
EPA was unable to calculate removal
efficiencies, and so did not use the SRE
Feed methodology). The standard also
applies to all mercury emitted by the
source, not just that attributable to
hazardous waste. Section
63.1217(a)(2)(i). EPA does not believe
that this approach creates any issues
´
vis-a-vis Brick MACT.
baseball pitcher is the better performer,
the one who has given up 6 earned runs
or the one who has given up 20. Unless
and until the figure is normalized over
9 innings pitched, the question is
meaningless. 70 FR at 59451 n. 101.
EPA sees nothing in the statute which
precludes use of normalization in
determining who best performers are for
purposes of MACT floor determinations.
Section 112(d)(3) does not specifically
address the issue (the terms ‘‘best
performing’’ and ‘‘best controlled’’ being
amenable to an interpretation allowing
comparisons of normalized emissions to
assess which source is ‘‘better’’ or
‘‘best’’). The issue of normalization was
not presented in Brick MACT, so that
EPA likewise does not view the opinion
as precluding the approach.
5. Solid Fuel Boilers
H. Potential Implications to the
Compliance Date Provisions if
Standards Are Remanded to EPA
EPA used the SRE Feed methodology
to identify best sources and their level
of performance for both new and
existing solid fuel boilers. TSD Vol. III
at 14–7, 14–9. The floor standards are
identical to those using the Straight
Emissions methodology because the best
performing sources (and single best
performing source) are the same under
either methodology. TSD Vol. III at App.
C (E–SFB–HG–CT) and E (SF–SFB–HG).
EPA does not believe that these
´
standards pose issues vis-a-vis Brick
MACT.
G. Normalization
A number of the standards are
‘‘normalized,’’ that is expressed as a
given amount of pollutant per amount of
some production related parameter such
as air flow or thermal inputs. See
generally 70 FR at 59451. Most
technology-based standards are
expressed in terms of some type of
normalizing parameter in order to allow
meaningful comparison between
performance of different sources.
Weyerhaeuser v. Costle, 590 F.2d 1011,
1059 (D.C. Cir. 1978). As EPA pointed
out, comparing unnormalized
performance is like asking which
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The compliance date of the final rule
is October 14, 2008. As discussed above,
we are contemplating requesting the
Court to remand several standards so
that we can reexamine them in a future
rulemaking, a process that likely would
be concluded well after the compliance
date of the rule. It is not our intent to
ask the Court to vacate any standards,
including those standards that may have
to be revised in a future rulemaking. As
a result, sources would need to comply
with the standards promulgated in
October 2005 according to the
compliance date provisions codified
under § 63.1206(a). See NRDC v. EPA,
489 F.3d 1364, 1373–74 (D.C. Cir. 2007).
List of Subjects in 40 CFR Part 63
Environmental protection, Air
pollution control, Hazardous
substances, Reporting and
recordkeeping requirements.
Dated: September 21, 2007.
Stephen L. Johnson,
Administrator.
[FR Doc. E7–19097 Filed 9–26–07; 8:45 am]
BILLING CODE 6560–50–P
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Agencies
[Federal Register Volume 72, Number 187 (Thursday, September 27, 2007)]
[Proposed Rules]
[Pages 54875-54888]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: E7-19097]
-----------------------------------------------------------------------
ENVIRONMENTAL PROTECTION AGENCY
40 CFR Part 63
[EPA-HQ-OAR-2004-0022; FRL-8474-2]
RIN 2050-AG29
NESHAP: National Emission Standards for Hazardous Air Pollutants:
Standards for Hazardous Waste Combustors
AGENCY: Environmental Protection Agency (EPA).
ACTION: Solicitation of comment on legal analysis.
-----------------------------------------------------------------------
SUMMARY: On October 12, 2005, pursuant to section 112(d) of the Clean
Air Act, EPA issued national emission standards for hazardous air
pollutants (NESHAP) emitted by various types of hazardous waste
combusters. EPA subsequently granted reconsideration petitions relating
to certain issues presented by the rules. 71 FR 14665, 52564, but has
not yet issued a final determination on reconsideration. Following the
close of the comment period on the proposed reconsideration rule, the
United States Court of Appeals for the District of Columbia Circuit has
issued several opinions construing section 112 (d) of the Clean Air
Act, and one of those opinions has called into question the legality of
some of the standards for hazardous waste combusters. This notice
discusses the standards that EPA promulgated in October 2005, and
specifically identifies which standards EPA believes are consistent
with the Act and caselaw, and which standards are not and need to be
reexamined through a subsequent rulemaking. With respect to those
standards EPA intends to retain, this notice indicates the portions of
the rationale upon which EPA intends to rely, and which portions EPA
would no longer rely upon as a justification for the October 2005
standards. EPA is seeking public comment on this analysis. EPA has also
placed edited versions of various support documents in the public
docket, edited to remove portions of the rationale on which EPA no
longer plans to rely, and seeks public comment on these edits.
DATES: Comments must be received on or before October 18, 2007.
ADDRESSES: Submit your comments, identified by Docket ID No. EPA-HQ-
OAR-2004-0022, by one of the following methods:
www.regulations.gov: Follow the on-line instructions for
submitting comments.
E-mail: a-and-r-docket@epa.gov.
Fax: 202-566-1741.
Mail: U.S. Postal Service, send comments to: Air and
Radiation Docket (2822T), Docket ID No. EPA-HQ-OAR-2004-0022, U.S.
Environmental Protection Agency, 1200 Pennsylvania Avenue, NW.,
Washington, DC 20460. Please include a total of two copies.
Hand Delivery: In person or by courier, deliver comments
to: HQ EPA Docket Center, Public Reading Room, EPA West, Room 3334,
1301 Constitution Avenue, NW., Washington, DC 20004. Such deliveries
are only accepted during the Docket's normal hours of operation, and
special arrangements should be made for deliveries of boxed
information. Please include a total of two copies.
Instructions: Direct your comments to Docket ID No. EPA-HQ-OAR-
2004-0022. The EPA's policy is that all comments received will be
included in the public docket without change and may be made available
online at www.regulations.gov, including any personal information
provided, unless the comment includes information claimed to be
Confidential Business Information (CBI) or other information the
disclosure of which is restricted by
[[Page 54876]]
statute. Do not submit information that you consider to be CBI or
otherwise protected through www.regulations.gov or e-mail. The
www.regulations.gov Web site is an ``anonymous access'' system, which
means EPA will not know your identity or contact information unless you
provide it in the body of your comment. If you send an e-mail comment
directly to EPA without going through www.regulations.gov, your e-mail
address will be automatically captured and included as part of the
comment that is placed in the public docket and made available on the
Internet. If you submit an electronic comment, EPA recommends that you
include your name and other contact information in the body of your
comment and with any disk or CD-ROM you submit. If EPA cannot read your
comment due to technical difficulties and cannot contact you for
clarification, EPA may not be able to consider your comment. Electronic
files should avoid the use of special characters, any form of
encryption, and be free of any defects or viruses. For additional
information about EPA's public docket visit the EPA Docket Center
homepage at https://www.epa.gov/epahome/dockets.htm.
Docket: All documents in the docket are listed in the
www.regulations.gov index. Although listed in the index, some
information is not publicly available, e.g., CBI or other information
the disclosure of which is restricted by statute. Certain other
material, such as copyrighted material, will be publicly available only
in hard copy. Publicly available docket materials are available either
electronically in www.regulations.gov or in hard copy at the HQ EPA
Docket Center, Public Reading Room, EPA West, Room 3334, 1301
Constitution Avenue, NW., Washington, DC 20004. The Public Reading Room
is open from 8:30 a.m. to 4:30 p.m., Monday through Friday, excluding
legal holidays. The telephone number for the Public Reading Room is
(202) 566-1744, and the telephone number for the HQ EPA Docket Center
is (202) 566-1742. A reasonable fee may be charged for copying docket
materials.
FOR FURTHER INFORMATION CONTACT: For more information on this notice,
contact Frank Behan at (703) 308-8476, or behan.frank@epa.gov, Office
of Solid Waste (5302P), U.S. Environmental Protection Agency, 1200
Pennsylvania Ave., NW., Washington, DC 20460.
SUPPLEMENTARY INFORMATION: Entities Potentially Affected by this
Action. Categories and entities potentially affected by this action
include:
------------------------------------------------------------------------
NAICS Potentially affected
Category code\a\ entities
------------------------------------------------------------------------
Petroleum and coal products 324 Any entity that combusts
manufacturing. hazardous waste as
defined in the final
rule.
Chemical manufacturing............. 325
Cement and concrete product 3273
manufacturing.
Other nonmetallic mineral product 3279
manufacturing.
Waste treatment and disposal....... 5622
Remediation and other waste 5629
management services.
------------------------------------------------------------------------
\a\ North American Industry Classification System.
This table is not intended to be exhaustive, but rather provides a
guide for readers regarding entities likely to be impacted by this
action. This table lists examples of the types of entities EPA is now
aware could potentially be regulated by this action. Other types of
entities not listed could also be affected. To determine whether your
facility, company, business, organization, etc., is affected by this
action, you should examine the applicability criteria in 40 CFR
63.1200.\1\ If you have any questions regarding the applicability of
this action to a particular entity, consult the person listed in the
preceding FOR FURTHER INFORMATION CONTACT section.
---------------------------------------------------------------------------
\1\ Unless otherwise noted, all regulatory references in this
notice are to 40 CFR.
---------------------------------------------------------------------------
How Do I Obtain a Copy of this Document and Other Related
Information? In addition to being available in the docket, an
electronic copy of today's proposed rule will also be available on the
World Wide Web (WWW). Following the Administrator's signature, a copy
of this document may be posted on the WWW at https://www.epa.gov/
hwcmact. This Web site also provides other information related to the
NESHAP for hazardous waste combustors including the NESHAP issued on
October 12, 2005 (70 FR 59402) and the two petition for reconsideration
notices published on March 23, 2006 (71 FR 14665) and September 6, 2006
(71 FR 52624).
Preparation of Comments. Do not submit this information to EPA
through www.regulations.gov or e-mail. Clearly mark the part or all of
the information that you claim to be CBI. For CBI information in a disk
or CD-ROM that you mail to EPA, mark the outside of the disk or CD-ROM
as CBI and then identify electronically within the disk or CD-ROM the
specific information that is claimed as CBI. In addition to one
complete version of the comment that includes information claimed as
CBI, a copy of the comment that does not contain the information
claimed as CBI must be submitted for inclusion in the public docket.
Information so marked will not be disclosed except in accordance with
procedures set forth in 40 CFR part 2. Send or deliver information
identified as CBI to only the following address: Ms. LaShan Haynes,
RCRA Document Control Officer, EPA (Mail Code 5305P), Attention Docket
ID No. EPA-HQ-OAR-2004-0022, 1200 Pennsylvania Avenue, Washington DC,
20460. Clearly mark the part or all of the information that you claim
to be CBI.
Tips for Preparing Your Comments. When submitting comments,
remember to:
Identify the rulemaking by docket number and other
identifying information (subject heading, Federal Register date and
page number).
Follow directions--The agency may ask you to respond to
specific questions or organize comments by referencing a Code of
Federal Regulations (CFR) part or section number.
Explain why you agree or disagree; suggest alternatives
and substitute language for your requested changes.
Describe any assumptions and provide any technical
information and/or data that you used.
If you estimate potential costs or burdens, explain how
you arrived at your estimate in sufficient detail to allow it to be
reproduced.
Provide specific examples to illustrate your concerns, and
suggest alternatives.
Explain your views as clearly as possible.
Make sure to submit your comments by the comment period
deadline identified.
Organization of this Document. The information presented in this
notice is organized as follows:
[[Page 54877]]
I. Background
II. Consideration of Variability in Establishing MACT Floors
III. Discussion of Individual Standards
A. Standards for Particulate Matter
1. Standards for Incinerator, Cement Kilns, Lightweight
Aggregate Kilns, and Solid Fuel Boilers
2. Standards for Liquid Fuel Boilers
B. Standards for Semivolatile Metals and Low Volatility Metals
1. Methodology to Establish Floor Levels
2. Alternatives to the Particulate Matter Standard for
Incinerators, Liquid Fuel Boilers, and Solid Fuel Boilers
3. Alternative Mercury, Semivolatile Metals, Low Volatile
Metals, and Total Chlorine Standards for Cement Kilns and
Lightweight Aggregate Kilns
4. Alternative Mercury Standards for Cement Kilns and
Lightweight Aggregate Kilns Under the Interim Standards
C. Standards for Total Chlorine
1. Incinerators
2. Cement Kilns
3. Lightweight Aggregate Kilns
4. Liquid Fuel Boilers
5. Solid Fuel Boilers
6. Hydrochloric Acid Production Furnaces
D. Standards for Dioxins/Furans
1. Incinerators
2. Cement Kilns
3. Lightweight Aggregate Kilns
4. Liquid Fuel Boilers
E. Non-Dioxin Organic HAP
F. Mercury
1. Incinerators
2. Cement Kilns
3. Lightweight Aggregate Kilns
4. Liquid Fuel Boilers
5. Solid Fuel Boilers
G. Normalization
H. Potential Implications to the Compliance Date Provisions If
Standards Are Remanded to EPA
I. Background
The Hazardous Waste Combustor (HWC) Maximum Achievable Control
Technology (MACT) rule, 70 FR 59402 (October 12, 2005), adopts separate
standards for six source categories, the common link being that sources
in each category burn hazardous waste. These sources are incinerators,
cement kilns, lightweight aggregate kilns, solid fuel boilers, liquid
fuel boilers, and hydrochloric acid production furnaces. Liquid fuel
boilers are further subcategorized into those burning higher heating
value hazardous wastes and lower heating value hazardous wastes. The
following hazardous air pollutants (``HAP'') are regulated for each of
these source categories: dioxins and furans (``D/F''); semivolatile
metals (lead and cadmium) (``SVM''); low volatile metals (arsenic,
beryllium and chromium) (``LVM''); mercury, particulate matter (``PM'')
(as a surrogate for the remaining HAP metals (antimony, cobalt,
manganese, nickel, and selenium), and also to control HAP metals in all
inputs to the units which are not hazardous waste); hydrogen chloride/
chlorine (measured as total chlorine) (``TCl''); carbon monoxide/total
hydrocarbons (``CO/HC'') (as surrogates for non-dioxin organic HAP (and
in a few cases, dioxin as well); and destruction removal efficiency
(``DRE'') (an aspect of control of non-dioxin organic HAP, and in a few
cases, dioxin).
On March 13, 2007, the United States Court of Appeals for the
District of Columbia Circuit (D.C. Circuit) issued its decision in
Sierra Club v. EPA, 479 F.3d 875 (2007) (``Brick MACT''). EPA has
reexamined the rule to determine if it is compliant with the statute
with respect to the issues discussed in the Court's opinion, and
specifically whether the MACT floors for each standard are compliant.
For the most part, EPA believes that they are. The basic reason, for
those standards EPA plans to retain, is that the rule identifies as
best performers--the best performing 12 per cent or best performing
five sources in smaller source categories for existing sources, and the
best controlled single source for new sources--those sources which are
likely to emit the least HAP over time, and reasonably estimates these
sources' level of performance. Put another way, the rule identifies as
best performers those emitting the least HAP considering variability
(i.e., their performance over time), and accounts for that variability
as much as possible in estimating these sources' level of performance.
See 70 FR at 59346 (``best performers are those that perform best over
time (i.e., day-in, day-out)'').
The statute does not address the question of whether, in assessing
which sources perform best or are best controlled, emission levels
should be evaluated over time, or in a single test result. Nor does
Brick MACT, which states at 479 F.3d 880 that ``section [112(d)(3)]
requires floors based on the emission level actually achieved by the
best performers (those with the lowest emission levels)'', but does not
refer to a time period for measurement. The following example shows why
it is reasonable to determine which sources are the best performers by
accounting in the first instance for what their emissions are over
time. Assume that source A in a single test emitted 10 units of
cadmium, and source B emitted 15 units. However, assume further that
over time source A emits cadmium at a rate of 40 units and source B
emits cadmium at a rate of 25 (the difference being that source B's
performance is less variable). It is at the very least reasonable to
view source B as the better performer; over time it emits less cadmium
than source A. Indeed, given that the chief health risks of most HAP
emitted by Hazardous Waste Combustors results from chronic rather than
acute exposure (i.e., amount of repeated exposure over time as opposed
to single exposure incidents), floor standards based on evaluation of
sources' performance over time (i.e., standards which account for
sources' variability) best address the sources' ultimate impacts on
human health. See 70 FR at 59533-35 where EPA discusses human health
benefits of the standards considering reductions in chronic exposure to
HAP.
II. Consideration of Variability in Establishing MACT Floors
EPA may consider variability in identifying best performers and
their level of performance. See 70 FR at 59436. See also Brick MACT,
479 F.3d at 881-82 (variability of best performing sources may be taken
into account in establishing MACT floors).
EPA in this rule identified two types of variability, run-to-run
variability and test-to-test variability. Run-to-run variability
``encompasses variability in individual runs comprising the compliance
tests, and includes uncertainties in correlation of monitoring
parameters and emissions, and imprecision of stack test methods and
laboratory analyses.'' 70 FR at 59437. A shorthand description is that
this is within-test variability. EPA quantified run-to-run variability
using the statistical methodology set forth in Technical Support
Document (``TSD'') Vol. III section 7.2; \2\ see also 70 FR at 59437/1-
2, 59438, and 59439 explaining the reasonableness of this statistical
approach. The chief element of this quantification is simply the
standard deviation in the performance test data (standard deviation
being the usual statistical measure for assessing variation within a
data set by comparing a single result with the average of the data
comprising the data set). The result is an estimate of the value which
the source would achieve in 99 of 100 future tests if it replicated the
operating conditions of the compliance test. 70 FR at 59437; \3\ see
also 69 FR at 21232 and n. 69 (April 20, 2004).
---------------------------------------------------------------------------
\2\ USEPA, ``Technical Support Document for HWC MACT Standards,
Volume III: Selection of MACT Standards,'' (TSD Vol. III) September
2005. Unless otherwise specified, all TSD references in this notice
are to this document, which is available in the docket to the rule.
See docket items EPA-HQ-OAR-2004-0022-0453, 0457, 0459, and 0460.
\3\ More precisely, this is a modified prediction limit that
ensures at the 95% confidence level that the average of the best
performing sources could achieve the emission level in 99 or 100
future test conditions based on a three-run average, assuming the
best performers could initially replicate the compliance test
conditions. TSD Vol. III at 7-7; 70 FR at 59437.
---------------------------------------------------------------------------
[[Page 54878]]
Existence of run-to-run variability is confirmed most evidently by
the wide variations within different runs of the best performers'
performance tests. Moreover, simply averaging these different run
results would lead to standards which not even the best of the best
performers would achieve over time. TSD Vol. III section 16.4.
Comparative test results of best performing sources (i.e., tests of the
same source at a different time) strongly suggest that run-to-run
variability can be appreciable (although not the only measure of
variability), since these sources have been shown consistently to emit
more than the averaged emissions from the performance test identifying
the source as best performing. See TSD Vol. III Tables 16-4, 16-5, 17-
1, 17-3. Failure to consider run-to-run variability could seriously
underestimate a source's emissions over time. See TSD Vol. III section
17.3.3, showing that even the lowest emitting Straight Emission sources
could have emissions higher than floor levels under a methodology that
considers run-to-run variability. EPA has comparative data from a
number of lowest emitting incinerators for PM in single test results.
In other tests, these same sources were typically unable to achieve the
same level of performance, sometimes emitting up to seven times more
PM. 69 FR at 21232 and n. 69 (April 20, 2004).
Test-to-test variability results from variability in pollution
device control efficiencies over time (depending on multitudinous
factors, including for fabric filters the point in the maintenance
cycle at which the source is tested, and for electrostatic
precipitators variations in combustion gas moisture and particle
resistivity), as well as measurement variability resulting from
different sampling crews under different meteorological conditions and
different analytical laboratories. Id. and n. 63. A shorthand
description is that this is long-term variability. EPA demonstrated
generally that: (a) Test-to-test variability exists; (b) it is not
encompassed in EPA's statistical quantification of run-to-run
variability; (c) the amount of test-to-test variability can be
significant such that failing to account for it in some manner means
that the sources' performance over time can be seriously underestimated
(i.e., since their long-term variability would be ignored); and (d)
sources which are lowest emitting in single emission tests may not be
the lowest emitters over time due to their test-to-test variability. 70
FR at 59437-438 and TSD Vol. III chapters 16 and 17; see also 70 FR at
59439 explaining why total variability is not accounted for by
compliance test conditions.
EPA was able to provide a quantitative estimate of test-to-test
variability in only one instance--where fabric filters are used to
capture particulate matter. See discussion of PM standards in section
III.A. below. In other instances, EPA accounted for test-to-test (i.e.,
long-term) variability in one of two ways: (a) Selecting as best
performers those which minimized their long-term (i.e., test-to-test)
variability by best controlling the aspects of performance (notably
removal efficiency evaluated systemwide and hazardous waste HAP
feedrate) within their control, or (b) using a surrogate for the HAP
where EPA could assess the long-term variability associated with
emissions of that surrogate, but could not otherwise assess long-term
variability.
EPA also carefully assessed a floor methodology which simply
assumed that the lowest emitters in individual performance tests were
the best performers. The major problem with such a methodology is that
it ignores the sources' performance over time, leading to situations
where the sources' level of performance may be assessed improperly. See
TSD Vol. III chapters 16 and 17; 70 FR at 59442-446 (explaining why
lowest emitters in individual performance tests \4\ are not always the
best performers). EPA consequently used this methodology to identify
best performers and their level of performance when it was not possible
to assess sources' waste feedrate and systemwide removal efficiency.
---------------------------------------------------------------------------
\4\ The heading to this preamble section should have explicitly
included the words ``in individual performance tests'' in the
section title.
---------------------------------------------------------------------------
III. Discussion of Individual Standards
A. Standards for Particulate Matter
1. Standards for Incinerator, Cement Kilns, Lightweight Aggregate
Kilns, and Solid Fuel Boilers
EPA adopted standards for particulate matter (``PM'') for all of
the hazardous waste combuster source categories except for hydrochloric
acid production furnaces.\5\ Particulate Matter is a surrogate for the
HAP metals antimony, cobalt, manganese, nickel, and selenium, the HAP
metals not covered by the standards for semi-volatile and low-volatile
HAP metals (referred to as `nonenumerated metals' in this rulemaking).
See section III.B. below. In addition, as explained in section III.B.,
the PM standard also controls all non-mercury HAP metals (i.e., semi-
volatile, low volatility, and nonenumerated HAP metals) in all
nonhazardous waste inputs to HWCs. 70 FR at 59459. Since the PM
standards are measured by total end-of-stack output, these standards
account for all HAP metal input to hazardous waste combustion devices
(other than mercury). Id.
---------------------------------------------------------------------------
\5\ The alternative metal standards, in lieu of PM standards,
for incinerators, and liquid and solid fuel boilers are discussed in
section III.B discussing standards using the SRE Feed floor
methodology.
---------------------------------------------------------------------------
EPA used the Air Pollution Control Device methodology to establish
floors for PM. Under this methodology, EPA determined as a matter of
engineering judgment which devices best control PM emissions, ranked
these means of control, and selected as the best performers those with
the lowest PM emissions using the best control device. See TSD Vol. III
section 7.4; see also id. at 16-2 ranking PM control devices from best
to worst for each source category. The floor for each source category
was then established based on the average of these lowest emitting
sources' PM emissions (or the lowest emitter of these sources for the
new source floor).
In most instances, the lowest emitters in the performance test used
for determining best performers were equipped with the best control
device--some type of fabric filter (``FF''). Occasionally, a lower PM
emitter in a single test was equipped with some other type of control
device, or, in the case of three incinerators, no control device, but
EPA ranked these sources as lower (i.e., worse) performing than FF-
equipped sources. EPA reevaluated carefully whether the lower ranking
of these sources, in some instances resulting in their omission from
the pool of best performers, is consistent with the holding of Brick
MACT, 479 F.3d at 882-83, as well as Cement Kiln Recycling Coalition v.
EPA, 255 F.3d 855, 863-65 (D.C. Cir. 2001), that floors are not to be
set only on performance of sources equipped with certain technology
unless that is the only factor affecting emissions, and that EPA must
consider all means of control when selecting best performers.
EPA of course accepts these holdings, and believes its approach
here is consistent with the statute and applicable case law. EPA
selected as best performers (or as the best controlled source) those
sources it estimated to have the lowest PM emissions over time. EPA's
selection process has a reasoned basis. Sources equipped with control
devices other than FFs are likely to emit more over
[[Page 54879]]
time than they do in individual test conditions, even after adjusting
test results to account for run-to-run variability. (Put another way,
these sources' performance in individual test conditions are likely not
representative of what they will emit over time.) This is because test-
to-test variability, that is, long-term variability, has not been taken
into account. Since these other control devices are known to be more
variable and less efficient than FFs, TSD Vol. III pp. 16-3 to 4 and
11, failure to consider long-term variability (i.e., looking
exclusively at results of single performance tests) results in these
sources' performance not being fully characterized. Long-term
variability exists due to, among other things, variation over time in
control device performance and varying ash feed rates.\6\ EPA confirmed
in a series of analyses of HWCs that this test-to-test variability for
non-FF equipped devices both exists and is appreciable. See TSD Vol.
III section 16.5 showing among other things that ostensibly lowest
emitting, non-FF equipped sources in other tests (i.e., other occasions
when the same source was tested) were unable to duplicate (i.e.,
achieve): (a) Their own level of performance (i.e., their performance
in the other test), (b) their own performance adjusted to account for
run-to-run variability, (c) floors based on the average of the lowest
single test emitters' performance, (d) design level of the floor
actually adopted in the rule (i.e., the level sources would design to
in order to comply with the rule), and, in one case, (e) the floor
level established in the rule (i.e., the floor reflecting application
of the Air Pollution Control Device methodology). EPA further examined
whether this difference in performance resulted from legitimate
operating variability, rather than from differing ash feed rates, and
in the instance where direct comparison was possible, determined that
it did not. TSD Volume III pp. 16-15 through 17.
---------------------------------------------------------------------------
\6\ Ash content is an indicator of the noncombustible matter
(i.e., inorganic content, including metals) in the feed to the
source.
---------------------------------------------------------------------------
In contrast, EPA was able to quantify the long-term performance
(i.e., performance accounting for both run-to-run and test-to-test
variability) of HWC sources equipped with FFs. This is the only type of
air pollution control device for HWCs, and the only pollutant, for
which such a calculation is possible. The reason this quantification is
possible is that FFs are less variable than other control devices, and
perform relatively constantly regardless of input loadings. 70 FR at
59449. EPA thus developed a so-called Universal Variability Factor
algorithm for fabric filters, which is derived from the quantified
measure of the total variability (i.e., both run-to-run and long-term
test-to-test variability) of the FF-equipped hazardous waste combusters
identified as best performers based on the historical test conditions
for those sources. See TSD Vol. III section 5.3.
As a result, for HWCs EPA has a considerably more reliable idea of
what fabric filter-equipped sources' actual performance for PM is over
time than for any other type of control device-equipped source (or for
sources without air pollution control devices). Second, as just noted
above, the record demonstrates that the performance data from sources
that emitted less PM in individual performance tests but are not
equipped with FFs significantly underestimates the amount of PM these
sources emit over time (i.e., fails to account for their long-term
variability). Third, over time, these emissions in some instances
exceed (i.e., are higher than) the lowest emitting FF-equipped sources,
even though emitting less in an individual performance test. 70 FR at
59448; TSD Vol. III section 16.5. Putting all this together, EPA
selected the lowest emitting FF-equipped sources as the best
performing. 70 FR at 59448.
This approach is consistent with the statute and applicable case
law. EPA selected as best performers (or best controlled sources) those
sources it reasonably estimated to have the lowest PM emissions over
time. Performance of units equipped with fabric filters can be reliably
estimated over time--i.e., all of the variability can be quantified.
Performance of other units over time cannot be estimated as reliably
(the long-term variability cannot be quantified at all), but is known
to be less efficient and more variable. Short-term performance tests
thus demonstrably and dramatically understate the amount of PM (and HAP
metal) these sources emit, so that these units could (and demonstrably
do in some instances) emit more PM (and therefore more HAP metal) than
the lowest emitting FF-equipped sources notwithstanding lower PM
emissions in individual tests. The D.C. Circuit has held repeatedly
that EPA may use reasonable means to estimate the performance of best
performing sources, and may account for sources' variability in doing
so. CKRC, 255 F.3d at 865-66; Mossville, 370 F.3d at 1240, 1242;
National Lime Ass'n v. EPA, 627 F. 2d 416, 431 n. 46, 443 (D.C. Cir.
1980); see also Brick MACT, 479 F.3d at 881-82 (estimates of
variability are to be for the variability of the best performing
sources). EPA's approach here is consistent with these requirements.
The D.C. Circuit has stressed in both Brick MACT and CKRC that
factors such as low HAP feed that influence emissions cannot be ignored
in assessing performance. 479 F.3d at 882-83; 255 F.3d at 864-65. EPA
thus carefully reexamined those instances where low PM emitters in
single tests were not equipped with any pollution control equipment so
that their emission levels necessarily reflected low ash inputs. There
are three incinerators that had lower PM emissions in single tests that
were lower than the worst of the lowest-emitting FF-equipped
incinerators on whose performance the floor standard is based. TSD Vol.
III App. F at APCD-INC-PM. EPA continues to believe that it properly
chose not to include these sources among the pool of best performers.
First, even in single test conditions, these sources' emissions were
not significantly lower (0.0018 to 0.0009 gr/dscf lower, that is,
roughly a 7-14% difference) than the average of the best performing 12%
of sources EPA identified as best performing using the Air Pollution
Control methodology. Id. These sources also emit more PM than all but
one of the best performing incinerators in EPA's pool of best
performers, and the difference in performance between these
uncontrolled sources and the last of the EPA pool is small, roughly a
factor of 2. Id. Since these devices lack any pollution control
equipment, their performance over time will be highly variable as ash
feedrates vary and their emissions could \7\ well exceed the emissions
of the sources comprising EPA's pool of best performing incinerators.
Second, and of at least equal importance, low ash feedrates are not a
guarantee of low HAP metal emissions. Low PM emissions from
uncontrolled sources could still reflect high metal HAP emissions
since, if the ash has high metal content, all of it would be emitted.
See 70 FR at 59449 (``ash feedrates are not reliable indicators of
nonmercury metal HAP feed control levels and are therefore
inappropriate parameters to assess in the MACT evaluation process. For
example, a source could reduce its ash feed input by reducing the
amount of silica in its feedstreams. This would not result in * * *
emission reductions of metal HAP''). In contrast, ``particulate matter
emissions from baghouses [e.g., FF-equipped units] are not
significantly affected by inlet particulate matter
[[Page 54880]]
loadings'', id., so that PM (and hence HAP metal emissions) from these
units will remain best controlled regardless of relative amounts fed to
the device. See also TSD Vol. III section 17.7 documenting that PM
emissions from FF-equipped sources are not affected appreciably by
inlet loadings. EPA is thus giving preference as best performers to
those incinerators we know are effectively controlling non-mercury
metal HAP because they are the lowest emitting of the most efficiently
controlled sources. Moreover, although a severable part of the
rationale, EPA believes it reasonable that most efficiently controlled
sources can be viewed as ``best performing'' and ``best controlled''
under appropriate circumstances. See discussion in section B.1 below.
---------------------------------------------------------------------------
\7\ There are no comparative test data in the record for these
sources.
---------------------------------------------------------------------------
EPA does, however, believe that certain parts of the justification
for the PM standards in the final rule are not proper after Brick MACT,
and EPA is no longer relying on them and will revise the record
accordingly. The principal revisions are to discussions relating to how
EPA considered raw material inputs in assessing which sources are best
performers. See Brick MACT, 479 F. 3d at 882-83. The specific
alterations EPA is contemplating (generally excising existing language)
are found in red line/strike out versions of the Preamble, Technical
Support Documents, and Response to Comment Document which EPA has
placed in the docket for this rule.
2. Standards for Liquid Fuel Boilers
EPA's initial decision is not to defend the PM standard for liquid
fuel boilers (LFBs), and we thus contemplate requesting the Court to
remand the standard so that EPA can reexamine it. Most of the liquid
fuel boilers with lowest PM emissions are uncontrolled units with
extremely low ash feeds. TSD Vol. III App. F at APCD-LFB-PM. Unlike the
situation with incinerators, the difference in PM emissions between
these sources and those lowest-emitting LFBs equipped with FFs is
great, ranging from a factor of 6 (comparing lowest emitting FF-
equipped LFB with lowest emitting uncontrolled LFB) to over three
orders magnitude (comparing worst of the lowest emitting FF-equipped
LFB to lowest emitting uncontrolled LFB). Id. These uncontrolled
sources' emissions are also roughly an order of magnitude lower than
the promulgated floor based on performance of FF-equipped sources. Id.
There are also ten uncontrolled LFBs in the data base with lower PM
emissions than the lowest emitting FF-equipped LFB. Id. Under these
circumstances, EPA is less certain that these LFBs could emit more PM
over time than the FF-equipped sources EPA selected as best performers
and therefore will reexamine the standard with a view to amending it.
However, EPA notes further that this difference in emission levels
between controlled and uncontrolled sources suggests that
subcategorization may be appropriate. EPA intends to investigate that
possibility in subsequent rulemaking.
B. Standards for Semivolatile Metals and Low Volatility Metals
1. Methodology To Establish Floor Levels
EPA used the so-called system removal efficiency/hazardous waste
feed control (``SRE Feed'') methodology to establish floor levels for
semivolatile metal HAP (``SVM''--lead and cadmium) and low volatile
metal HAP (``LVM''--arsenic, beryllium, and chromium) for all source
categories except hydrochloric acid production furnaces. Under this
methodology, best performers are ranked by hazardous waste feed rate of
metal HAP, and by system removal efficiency (the degree to which HAP
are removed from stack emissions across the entire system, be it by an
air pollution control device or by any other means). 70 FR at 59441.
Best performers are those with the best combination of hazardous waste
feed rate for the HAP at issue and system removal efficiency (i.e.,
lowest hazardous waste feed rate and best removal efficiency). EPA
assessed SVM and LVM separately, so that there are separate pools of
best performing sources for each of these HAP metal groups for each of
the source categories.
Once best sources are identified by this methodology, EPA
calculated the floor (accounting for run-to-run variability) based on
the averaged emission levels of SVM or LVM from these best performing
sources (or for new sources, the SVM or LVM emission level of the
single best performer). For source categories where SVM and LVM
standards are normalized by hazardous waste heat input (cement kilns,
lightweight aggregate kilns, and the higher heating value hazardous
wastes subcategory for liquid fuel boiler), see 70 FR at 59451-53, the
standard is expressed exclusively in terms of SVM or LVM attributable
to hazardous waste inputs. For all source categories, total SVM and LVM
emissions are addressed and controlled by the PM standard.
The SRE Feed methodology does not always identify the lowest
emitters of SVM or LVM in single tests as the best performers; it
identifies the lowest emitters as the sources with the best combination
of hazardous feed rate control and back end control (removal efficiency
across the entire system). Some of these sources were also the lowest
emitters in single test results, but were not in all cases. EPA
selected this methodology, rather than the so-called Straight Emissions
approach of simply identifying best performers as those with the lowest
emissions after accounting for run-to-run variability, because the SRE
Feed methodology better identifies who the lowest emitters will be over
time, and better assesses their performance (i.e., how much SVM or LVM
they will emit as they operate). 70 FR at 59441-442; TSD Vol. III at
17-1. SRE Feed best performers are likely to emit less of these metals
over time than sources identified as best under the Straight Emissions
methodology--averaged performance of lowest emitting sources in the
most recent performance test accounting for run-to-run variability (see
TSD Vol. III at section 7.2)--because the Straight Emissions
methodology (even after accounting for run-to-run variability) ignores
sources' long-term (test-to-test) variability, and so underestimates
(indeed, ignores) their performance over time. The SRE Feed methodology
accounts for test-to-test variability, albeit qualitatively. Id.\8\ For
the same reason, the SRE Feed methodology better estimates sources'
performance over time since it accounts in some measure for their long-
term variability instead of ignoring it. As discussed earlier, elements
of long-term variability include such things as chlorine feed rates
(since metals are more volatile in the chlorinated form), back-end
control devices' controllable operating parameters (e.g. ESP power
levels, pressure drop across baghouses, and other such operating
parameters), the matrix in which the metal is fed (solid, liquid,
pumpable) and the hazardous waste feedrate. TSD Vol. III at p. 17-5.
SRE Feed best performers are those that best control these and other
controllable parameters and therefore are less variable (i.e., are more
efficient at controlling SVM and LVM emissions), and therefore likely
to emit less SVM and LVM over time. Id. at p. 17-11. Put more broadly,
the methodology best evaluates the two things sources can do to control
SVM and LVM emissions: limit the feed rate of these HAP in hazardous
waste (since hazardous waste feed rate is controlled under RCRA rules),
and manage
[[Page 54881]]
controllable parameters to limit emissions across the entire system
(both through emission control device control and by any other means),
the result being that these sources are likely to emit less SVM and LVM
over time. 70 FR at 59441.
---------------------------------------------------------------------------
\8\ See TSD Vol. III at 17-1 to 4 explaining why long-term
variability for SVM and LVM cannot be determined quantitatively,
even for sources equipped with baghouses (FFs).
---------------------------------------------------------------------------
Data confirm that lowest emitters in single tests (i.e., performers
identified as best under the Straight Emissions methodology) can and do
emit more SVM and LVM over time than the sources EPA identified as best
performers using the SRE Feed methodology. See TSD Vol. III sections
17.2 and 17.3.1 and 17.3.2. Looking at all the data in the record where
there were multiple test results (i.e., tests conducted at different
times) from sources with the lowest SVM or LVM emissions in single
tests, EPA found that a) three of four of these sources emitted more
SVM or LVM in historical tests than allowed under the Straight
Emissions floor (i.e., average emissions (not considering run-to-run
variability) of SVM or LVM were higher than the average of the best
performers using the Straight Emissions methodology (which considers
run-to-run variability)) (id. Table 17-1); \9\ (b) 5 of 15 of these
sources were projected to emit more SVM or LVM than allowed under the
SRE Feed floor using the reasonable assumption that these sources fed
the same amount of LVM and SVM in hazardous waste as they did in the
performance test identifying them as a best performer (lowest emitter)
under the straight emission approach, but had the system removal
efficiency demonstrated in their other tests. Id. at Tables 17-2 and
17-3; \10\ and (c) 8 of 13 straight emission best performers would
exceed the SRE Feed floor if their system removal efficiency from all
tests (i.e., whether the system removal efficiency was higher or lower
than that demonstrated in the single performance test identifying it as
a best performer under the straight emissions methodology) were pooled
and applied to the hazardous waste federate for LVM or SVM used in the
single performance test identifying it as a best performer under the
straight emissions methodology. Id. at 17.3.2 and Tables 17-6 and 7. In
addition, most of the straight emissions best performers emitted more
SVM and LVM in previous performance tests than they did in the single
performance test identifying them as a straight emission best performer
(or were projected to do so under the same reasonable assumptions), and
often exceeded their earlier performance by wide margins (failing
routinely, for example, to achieve their own performance test results
adjusted upward to account for run-to-run variability, the Straight
Emissions approach floor level (which also accounts for run-to-run
variability), and the design level of the SRE Feed floor level). See
TSD Vol. III sections 17.2 and 17.3.1 and 17.3.2.
---------------------------------------------------------------------------
\9\ It should be noted that source 3016 was feeding more LVM in
this test than in its most recent performance test, although the
source was operating within its permit limits, and so far as can be
determined was also otherwise properly designed and operated in this
test.
\10\ EPA also showed that these sources were operating properly
in the tests where they removed SVM and LVM less efficiently. TSD
Vol. III at 17-14 to 15 and Tables 17-4 and 5.
---------------------------------------------------------------------------
EPA's approach is consistent with the statute and with applicable
caselaw. EPA may consider variability in assessing sources'
performance, and it did so here for the evident reason that variability
is an aspect of a source's performance. CKRC, 255 F.3d at 865-66;
Mossville, 370 F.3d at 1242. Here, short-term and long-term variability
(i.e., run-to-run and test-to-test) in SVM and LVM performance
demonstrably exists. The SRE Feed methodology accounts for both types
of variability. The Straight Emissions methodology demonstrably does
not. The Straight Emissions methodology thus not only consistently
underestimates sources' performance, but identifies as best performers
those which may emit more SVM and LVM over time. For these reasons we
believe the record of this rulemaking demonstrates that the SRE Feed
methodology better accounts for variability, and hence performance,
than does the Straight Emissions approach (even with consideration of
run-to-run variability), and consequently, the SRE Feed methodology
more accurately identifies the best performing sources and their level
of performance.
It is also no answer to say that the Straight Emissions best
performing sources could simply retrofit their devices to achieve over
time what they were able to achieve in a single performance test.
Section 112(d)(3) requires EPA to determine the best performers and
their level of performance based on sources as they now exist, not how
they might be retrofitted. Requiring even the pool of best performers
(i.e., those whose performance was measured at below the average of the
best performers) to retrofit to meet a floor level is a de facto beyond
the floor standard and therefore impermissible unless costs and other
factors under section (d)(2) factors are considered. 70 FR at 59445.
Moreover, a source so retrofitted would not be an existing source as
required by section 112(d)(3), but rather some hypothetical entity
which does not even presently exist. See 71 FR 14665 (March 23, 2006).
As noted above, the SVM and LVM standards which are normalized by
hazardous waste thermal input apply only to SVM and LVM contributed by
the hazardous waste. MACT standards must address all HAP emitted by a
source, not just some portion of the HAP. Brick MACT, 479 F.3d at 882-
83 (raw material input contributions to HAP emissions must be addressed
by MACT floor). Although most SVM and LVM emitted by these sources
comes from the hazardous waste,\11\ hazardous waste is not the sole
input of these metals. However, all SVM and LVM emissions from these
sources is controlled by virtue of the PM standard. In addition,
although the SVM and LVM floor standards for cement kilns and
lightweight aggregate kilns are normalized by hazardous waste thermal
input, EPA also capped these standards by the interim standards for SVM
and LVM, which are standards that control all SVM and LVM emissions
emitted from the combustor, not just emissions of SVM and LVM from
hazardous waste.\12\ Moreover, there is strong direct correlation
between the control of total PM and control of metal HAP (including SVM
and LVM), so that emission limits reflecting best PM control will also
similarly control the total SVM and LVM. Sierra Club v. EPA (``Primary
Copper MACT''), 353 F.3d 976, 984-85 (D.C. Cir. 2004) (PM proper
surrogate for HAP metals ``even in light of the potential variability
of impurities in copper ore''). Furthermore, as a cross-check, EPA
determined that total SVM and LVM emissions from the sources EPA
identified as the PM best performers from these source categories are
generally comparable to (and often lower than) total SVM and LVM
emissions from the sources identified as best performers under EPA's
SRE Feed methodology.\13\ Thus, on the facts here, the thermally
normalized floors for SVM and LVM (i.e., the SVM and LVM standards for
cement kilns, lightweight aggregate kilns, and the higher heating value
hazardous wastes subcategory of liquid fuel boilers), in combination
with the PM standards, provide control of
[[Page 54882]]
SVM and LVM reflecting the average SVM and LVM emissions of the best
performing sources.
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\11\ See Source Data for Hazardous Waste Combustors, Source
Category Summary Sheets, at https://www.epa.gov/epaoswer/hazwaste/
combust/finalmact/source.htm.
\12\ See 70 FR at 59457-458, Sec. 63.1220(a)(3)(ii),
(a)(4)(ii), (b)(3)(ii), and (b)(4)(ii), and Sec. 63.1221(a)(3)(ii),
(a)(4)(ii), (b)(3)(ii), and (b)(4)(ii).
\13\ See note from Bob Holloway, USEPA, to Docket ID No. EPA-HQ-
OAR-2004-0022 entitled ``SVM/LVM Emissions from PM Best Performers
Are Generally Comparable to SVM/LVM Emissions from SVM/LVM Best
Performers,'' dated August 23, 2007.
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EPA further justified its use of the SRE Feed methodology on two
additional bases, both of which are severable from the analysis just
presented. First, EPA appropriately utilized the SRE Feed methodology
because the Straight Emissions approach would force some best-
controlled commercial hazardous waste treatment units to stop burning
hazardous waste (or to burn less waste), even though hazardous waste
must be treated before it can be land disposed under sections 3004(d),
(e), (g), and (m) of RCRA and combustion is the only means of
successfully treating the hazardous waste. 70 FR at 59442; TSD Vol. III
section 17.4. EPA noted further that the Clean Air Act requires that
EPA take into account RCRA requirements when issuing MACT standards for
hazardous waste combustion units.\14\ CAA section 112(n)(7). Although a
severable part of EPA's rationale, 70 FR at 59447/3, EPA continues to
believe that use of the Straight Emissions methodology is unreasonable
here because it could have significant adverse cross-media
environmental impacts by reducing the amount of needed, and statutorily
mandated hazardous waste treatment capacity. See id. at 59442 (``EPA
doubts that a standard which precludes effective treatment mandated by
a sister environmental statute must be viewed as a type of best
performance under section 112(d)''). EPA's concern here is not that
certain sources are unable to achieve a floor standard. See Brick MACT,
479 F.3d at 881-82. Rather, the concern is the adverse cross-media
environmental impact resulting from undermining ``the heart of RCRA's
hazardous waste management program'', the restrictions on land disposal
of untreated hazardous waste. Chemical Waste Management v. EPA, 976
F.2d 2, 23 (D.C. Cir. 1992). Section 112(n)(7) of the Clean Air Act
requires EPA to consider RCRA standards when adopting section 112(d)
standards for RCRA sources, and EPA's consideration of the issue here
reinforces the conclusion that the SRE Feed methodology is reasonable,
and the proper means here of assessing which sources are best, and
their level of performance, for SVM and LVM emissions.
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\14\ EPA investigated the possibility of subcategorizing by
commercial/non-commercial sources but found this undesirable because
it would lead to anomalously high floors for some subcategories due
to sparse available data. 70 FR at 59442 and n. 78.
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Second, as a legal matter, section 112(d)(3) does not specifically
address the question of whether ``best performing'' sources are those
with the lowest net emissions, or those which control HAP emissions the
most efficiently. 70 FR at 59443. EPA posited the example of whether a
source emitting 100 units of HAP and feeding 100 units of the HAP must
be considered better performing than a source emitting 101 units of the
HAP but feeding 10,000 units. Id. Indeed, floors for new sources are to
be based on the performance of the ``best controlled'' similar source.
Section 112(d)(3). In the example just given, a source with control
efficiency of 99.9 per cent can naturally be viewed as better
controlled than one with 0 per cent control efficiency. EPA's decision
to incorporate control efficiency (i.e., system removal efficiency)
into the SRE Feed methodology as one of the two factors used to
identify best performing/best controlled sources reasonably reflects
that the statute allows performance to be evaluated in terms of control
efficiency. See further discussion of this issue in the analysis of the
total chlorine emission standard for hydrochloric acid production
furnaces.
EPA does, however, realize that certain parts of the justification
for the SVM and LVM standards in the final rule may not be consistent
with Brick MACT, and EPA is no longer relying on them. These relate
principally to how MACT standards reflect HAP metal inputs from
variable raw materials. The specific alterations EPA is contemplating
(generally excising existing language) are found in red line/strike out
versions of the Preamble, Technical Support Documents, and Response to
Comment Document which EPA has placed in the docket for this rule.
2. Alternatives to the Particulate Matter Standard for Incinerators,
Liquid Fuel Boilers, and Solid Fuel Boilers
EPA promulgated alternatives to the PM standard for incinerators,
liquid fuel boilers, and solid fuel boilers.\15\ In the case of liquid
fuel boilers, separate alternatives to the PM standard were finalized
for each subcategory: those burning higher heating value hazardous
wastes and those burning lower heating value hazardous wastes. The
alternative to the PM standard allows sources to comply with standards
limiting emissions of all SVM and LVM metals, including the five
nonenumerated metal HAP not covered by the standards for SVM and LVM,
in lieu of complying with the PM standard. Under these alternatives,
the numerical emission limits for SVM and LVM HAP are identical to the
promulgated standards. However, for SVM, the alternative standard
applies not only to the combined emissions of lead and cadmium, but
also includes selenium, a semivolatile nonenumerated metal HAP; for
LVM, the standard applies to the combined emissions of arsenic,
beryllium, chromium, antimony, cobalt, manganese, and nickel, the
latter four being low volatile nonenumerated metal HAP.
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\15\ For incinerators, the alternative to the PM standard are
promulgated Sec. Sec. 63.1206(b)(14) and 63.1219(e). For the higher
and lower heating value hazardous wastes subcategories for the
liquid fuel boiler category, the alternatives are promulgated under
Sec. 63.1217(e)(2) and (e)(3). The alternative to the PM standard
is under Sec. 63.1216(e) for solid fuel boilers.
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As noted above, some SVM and LVM standards are normalized by
hazardous waste thermal input and apply only to SVM and LVM contributed
by the hazardous waste. For these standards, SVM and LVM emissions from
nonhazardous waste inputs is controlled by the PM standard. However, if
a source were to elect to comply with the alternative to the PM
standard, then the nonhazardous waste inputs would not be controlled
because, under the alternative, the source would not be required to
comply with a PM standard. In such instances, the alternative to the PM
standard would not address all HAP emitted by a source. This does not
appear to be consistent with the holding of Brick MACT that the
standard must apply to all HAP emitted. 479 F.3d at 882-83. Of the
source categories for which EPA promulgated alternatives to the PM
standard, the higher heating value hazardous wastes subcategory for
liquid fuel boilers is the only category for which SVM and LVM
standards normalized by hazardous waste thermal input were established.
Therefore, EPA believes (subject to comment) that it must reassess the
alternative to the PM standard for this subcategory (and intends to
seek remand of this standard). See Sec. 63.1217(e)(2)(ii) and
(e)(3)(ii).
3. Alternative Mercury, Semivolatile Metals, Low Volatile Metals, and
Total Chlorine Standards for Cement Kilns and Lightweight Aggregate
Kilns
EPA promulgated provisions that allow cement kilns and lightweight
aggregate kilns to petition the Administrator for alternative mercury,
semivolatile metals, low volatile metals,
[[Page 54883]]
and total chlorine standards.\16\ 64 FR at 52962-967 and 70 FR at
59503-504. Under these provisions, the alternative standard was not
prescribed, and could take the form of an operating requirement, such
as a hazardous waste feedrate limitation of metals and chlorine or an
emission limitation, subject to approval by the Administrator. The rule
discusses two sets of circumstances under which a source could petition
for such an alternative standard. One reason is that the source cannot
achieve the standard due to contributions of metals and chlorine HAP in
the raw materials. The second reason is limited to mercury, and applies
in situations where a source cannot comply with the mercury standard
when mercury is not present in the raw materials at detectable levels
(e.g., the mercury emission standard could be exceeded by a source if
it assumed mercury is present in the raw materials at the detection
limit). These circumstances appear to be inappropriate bases for an
alternative standard after Brick MACT. Accordingly, EPA currently
intends to seek a remand of these alternative metals and total chlorine
standards and remove these provisions in a subsequent rulemaking.
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\16\ The alternative standard provisions are promulgated under
Sec. 63.1206(b)(9) for lightweight aggregate kilns and Sec.
63.1206(b)(10) for cement kilns.
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4. Alternative Mercury Standards for Cement Kilns and Lightweight
Aggregate Kilns Under the Interim Standards
EPA promulgated an alternative to the interim standards for mercury
for cement and lightweight aggregate kilns in 2002. Section
63.1206(b)(15) and 67 FR 6792 (February 13, 2002). Under this
alternative, sources are allowed to comply with a hazardous waste
maximum theoretical emissions concentration of mercury.\17\ This
alternative mercury standard does not address all mercury emitted by a
source, and, therefore, is not permissible in light of the holding of
Brick MACT that the standard must apply to all HAP emitted. 479 F.3d at
882-83. Accordingly, EPA currently intends to seek a remand of these
alternative standard provisions and remove them in a subsequent
rulemaking.
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\17\ Maximum theoretical emissions concentration (MTEC) is a
term to compare metals (and chlorine) feedrates across sources of
different sizes. MTEC is defined as the metals (or chlorine)
feedrate divided by the gas flow rate and is expressed in units of
ug/dscm.
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C. Standards for Total Chlorine
EPA established standards for total chlorine (TCl, which controls
emissions of both hydrochloric acid and chlorine) for all of the source
categories. For all of the source categories except HCl production
furnaces, EPA established floors using the SRE Feed methodology
described in the previous section. For HCl production furnaces, EPA
selected sources with the best removal efficiency as the best
performers. EPA believes that most of these standards are consistent
with the statute and applicable caselaw, although certain of the
standards probably are not.
1. Incinerators
For hazardous waste incinerators, all of the best performers using
the SRE Feed methodology were also the lowest emitters using the
Straight Emissions methodology. Thus, choice of floor methodology is
not at issue here. However, EPA found that the analytic method used to
gather these data is biased below 20 ppmv. 70 FR at 59427-428. EPA's
determination of how to estimate these best performers' level of
performance is explained in detail in 71 FR at 52628-30 (Sept. 6,
2006). As there stated, this determination is consistent with Brick
MACT and all other applicable statutory and caselaw.
2. Cement Kilns
EPA used the SRE Feed methodology to establish floors for new and
existing sources, but believed that the data did not fully reflect
variability that best performing kilns experience due to fluctuating
alkalinity levels within the kiln. Rather, the TCl emissions data
reflect the alkalinity of the limestone raw material used at the time
of performance tests. 70 FR at 59469-70, TSD Vol. III section 13.7.1.
To account for this variability, EPA assumed a 90 per cent system
removal efficiency for all cement kiln sources. The best performing
sources then effectively become the lowest chlorine feeders. Although
this assumed system removal efficiency has some factual basis, see
Table 1 at 70 FR 59470 showing that the median of the best performing
sources (Ash Grove) demonstrated removal efficiencies ranging from 85.1
to 98.8%, the standard reflects concerns relating to raw material
variability, and also may reflect a level that is achievable (albeit by
best performers) rather than actually achieved. Neither of these
rationales is permissible after Brick MACT, 479 F.3d at 880-81, 882-83.
Accordingly, subject to consideration of comments on this issue, EPA
currently intends to seek a remand on this standard and reexamine it in
a subsequent rulemaking. EPA notes further that the health-based
compliance alternatives for total chlorine under Sec. 63.1215 would
not be affected by this reexamination and thus would provide an
alternative means of demonstrating compliance.
3. Lightweight Aggregate Kilns
Choice of a floor methodology for TCl is essentially academic for
existing lightweight aggregate kilns, since both the SRE/Feed and
Straight Thermal Emission (and Straight Mass Emission) methodologies
yield floor levels higher than the interim standard for these devices,
in which case the floor level is capped by the level of the interim
standard. 70 FR at 59457; see TSD Vol. III appendices C, D, and E for
data