Reconsideration of Certain Startup/Shutdown Issues: National Emission Standards for Hazardous Air Pollutants From Coal- and Oil-Fired Electric Utility Steam Generating Units and Standards of Performance for Fossil-Fuel-Fired Electric Utility, Industrial-Commercial-Institutional, and Small Industrial-Commercial-Institutional Steam Generating Units, 38001-38005 [2013-15146]
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Federal Register / Vol. 78, No. 122 / Tuesday, June 25, 2013 / Proposed Rules
DEPARTMENT OF HOMELAND
SECURITY
Coast Guard
33 CFR Part 100
[Docket No. USCG–2013–0181]
RIN 1625–AA08
Special Local Regulations; Marine
Events, Breton Bay; St. Mary’s County,
Leonardtown, MD
Coast Guard, DHS.
Proposed rule; withdrawal.
AGENCY:
ACTION:
The Coast Guard is
withdrawing its proposed rule
concerning amendments to the regattas
and marine parades regulations. The
rulemaking was initiated to establish
special local regulations during the
‘‘Annual Leonardtown Wharf Boat
Races,’’ a marine event to be held on the
waters of Breton Bay in St. Mary’s
County, Maryland on July 13, 2013, and
July 14, 2013. The Coast Guard was
notified on April 23, 2013, that the
event had been cancelled.
DATES: The proposed rule is withdrawn
on June 25, 2013.
ADDRESSES: The docket for this
withdrawn rulemaking is available for
inspection or copying at the Docket
Management Facility (M–30), U.S.
Department of Transportation, West
Building Ground Floor, Room W12–140,
1200 New Jersey Avenue SE.,
Washington, DC 20590, between 9 a.m.
and 5 p.m., Monday through Friday,
except Federal holidays. You may also
find this docket on the Internet by going
to https://www.regulations.gov, inserting
USCG–2013–0181 in the ‘‘SEARCH’’
box, and then clicking ‘‘Search.’’
FOR FURTHER INFORMATION CONTACT: If
you have questions about this notice,
call or email Mr. Ronald Houck,
Waterways Management Division,
Sector Baltimore, MD, U.S. Coast Guard;
telephone 410–576–2674, email
Ronald.L.Houck@uscg.mil. If you have
questions on viewing material in the
docket, call Barbara Hairston, Program
Manager, Docket Operations, telephone
202–366–9826.
SUMMARY:
SUPPLEMENTARY INFORMATION:
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Background
On April 12, 2013, we published a
notice of proposed rulemaking entitled
‘‘Special Local Regulations; Marine
Events, Breton Bay; St. Mary’s County,
Leonardtown, MD’’ in the Federal
Register (78 FR 21864). The rulemaking
concerned the Coast Guard’s proposal to
establish temporary special local
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regulations on specified waters of
Breton Bay, in St. Mary’s County, MD,
effective from 8 a.m. on July 13, 2013 to
5 p.m. on July 14, 2013. The regulated
area included all waters of Breton Bay,
from shoreline to shoreline, within an
area bounded to the east by a line drawn
along latitude—38°16′45″ N, and
bounded to the west by a line drawn
along longitude 076°38′30″ W, located at
Leonardtown, MD. The regulations were
needed to temporarily restrict vessel
traffic during the event to provide for
the safety of participants, spectators and
other transiting vessels.
Withdrawal
The Coast Guard is withdrawing this
rulemaking because the event has been
cancelled.
Authority
We issue this notice of withdrawal
under the authority of 33 U.S.C. 1233.
Dated: June 3, 2013.
Kevin C. Kiefer,
Captain, U.S. Coast Guard, Captain of the
Port Baltimore.
[FR Doc. 2013–15095 Filed 6–24–13; 8:45 am]
BILLING CODE 9110–04–P
ENVIRONMENTAL PROTECTION
AGENCY
40 CFR Parts 60 and 63
[EPA–HQ–OAR–2009–0234; EPA–HQ–OAR–
2011–0044, FRL–9827–1]
RIN 2060–AR62
Reconsideration of Certain Startup/
Shutdown Issues: National Emission
Standards for Hazardous Air Pollutants
From Coal- and Oil-Fired Electric Utility
Steam Generating Units and Standards
of Performance for Fossil-Fuel-Fired
Electric Utility, Industrial-CommercialInstitutional, and Small IndustrialCommercial-Institutional Steam
Generating Units
Environmental Protection
Agency (EPA).
ACTION: Proposed rule; Reopening of
Comment Period.
AGENCY:
On November 30, 2012, the
EPA published in the Federal Register
the proposed rule, ‘‘Reconsideration of
Certain New Source and Startup/
Shutdown Issues: National Emission
Standards for Hazardous Air Pollutants
from Coal- and Oil-fired Electric Utility
Steam Generating Units and Standards
of Performance for Fossil-Fuel-Fired
Electric Utility, Industrial-CommercialInstitutional, and Small IndustrialCommercial-Institutional Steam
SUMMARY:
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38001
Generating Units.’’ That proposal
opened for reconsideration certain
issues, including those related to startup
and shutdown. On April 24, 2013, we
finalized reconsideration of all the
issues included in the proposed rule
except those related to startup and
shutdown. The EPA is reopening the
public comment period for the proposed
reconsideration to solicit additional
input on specific issues raised during
the initial public comment period
related to the proposed revisions to the
requirements and definitions related to
periods of startup and shutdown. The
EPA also requests comment on the
additional technical analyses it
conducted in response to public
comments on this subject in Docket ID
EPA–HQ–OAR–2009–0234. The
National Emission Standards for
Hazardous Air Pollutants (NESHAP)
rule is referred to as the Mercury and
Air Toxics Standards (MATS), and the
New Source Performance Standards rule
is referred to as the Utility NSPS.
DATES: Comments. Comments must be
received on or before August 26, 2013.
ADDRESSES: Comments. Submit your
comments, identified by Docket ID.
EPA–HQ–OAR–2011–0044 (NSPS
action) or Docket ID EPA–HQ–OAR–
2009–0234 (NESHAP/MATS action), by
one of the following methods:
• www.regulations.gov: Follow the
on-line instructions for submitting
comments.
• Email: a-and-r-docket@epa.gov.
• Fax: (202) 566–1741.
• Mail: Air and Radiation Docket and
Information Center, Environmental
Protection Agency, Mailcode: 2822T,
1200 Pennsylvania Ave. NW.,
Washington, DC 20460. Please include a
total of two copies. The EPA requests a
separate copy also be sent to the contact
person identified below (see FOR
FURTHER INFORMATION CONTACT).
• Hand Delivery: Air and Radiation
Docket and Information Center, U.S.
EPA, Room B102, 1301 Constitution
Avenue NW., Washington, DC. Such
deliveries are only accepted during the
Docket’s normal hours of operation, and
special arrangements should be made
for deliveries of boxed information.
Instructions. All submissions must
include agency name and respective
docket number or Regulatory
Information Number (RIN) for this
rulemaking. All comments will be
posted without change and may be
made available online at https://
www.regulations.gov, including any
personal information provided, unless
the comment includes information
claimed to be confidential business
information (CBI) or other information
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Federal Register / Vol. 78, No. 122 / Tuesday, June 25, 2013 / Proposed Rules
whose disclosure is restricted by statute.
Do not submit information that you
consider to be CBI or otherwise
protected through https://
www.regulations.gov or email. The
https://www.regulations.gov Web site is
an ‘‘anonymous access’’ system, which
means the EPA will not know your
identity or contact information unless
you provide it in the body of your
comment. If you send an email
comment directly to the EPA without
going through https://
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, the 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 the EPA
cannot read your comment due to
technical difficulties and cannot contact
you for clarification, the 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.
Docket. All documents in the docket
are listed in the https://
www.regulations.gov index. Although
listed in the index, some information is
not publicly available (e.g., CBI or other
information whose disclosure is
restricted by statute). Certain other
material, such as copyrighted material,
will be publicly available only in hard
copy form. Publicly available docket
materials are available either
electronically in https://
www.regulations.gov or in hard copy at
the EPA Docket Center, Room 3334,
1301 Constitution Avenue NW.,
Washington, DC. 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 Air Docket is (202) 566–1742.
FOR FURTHER INFORMATION CONTACT: For
the NESHAP action: Mr. William
Maxwell, Energy Strategies Group,
Sector Policies and Programs Division
(D243–01), Office of Air Quality
Planning and Standards, U.S.
Environmental Protection Agency,
Research Triangle Park, North Carolina
27711; Telephone number: (919) 541–
5430; Fax number (919) 541–5450;
Email address: maxwell.bill@epa.gov.
For the NSPS action: Mr. Christian
Fellner, Energy Strategies Group, Sector
Policies and Programs Division (D243–
01), Office of Air Quality Planning and
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Standards, U.S. Environmental
Protection Agency, Research Triangle
Park, North Carolina 27711; Telephone
number: (919) 541–4003; Fax number
(919) 541–5450; Email address:
fellner.christian@epa.gov.
SUPPLEMENTARY INFORMATION: On
February 16, 2012, the EPA issued the
final MATS and Utility NSPS (77 FR
9304). In the final MATS rule, the EPA
included a work practice standard
applicable during periods of startup and
shutdown rather than finalizing the
proposed requirement that sources
comply with numerical limits during
such periods. In the Utility NSPS, the
EPA included the same work practice
for particulate matter (PM) emissions
during periods of startup and shutdown.
The work practice standard was
designed to minimize emissions of
hazardous air pollutants (HAP) and PM
during periods of startup and shutdown
by requiring sources to maximize the
use of clean fuels during such periods
when electric utility steam generating
unit (EGU) temperatures and air flow
may not be sufficient to effectively
engage certain air pollution control
devices (APCD). Because the agency did
not propose a work practice standard for
periods of startup and shutdown, the
EPA determined that it was appropriate
to reconsider the startup and shutdown
provisions to allow the public an
opportunity to comment on the
requirements.
On November 30, 2012, the EPA
published in the Federal Register the
proposed rule, ‘‘Reconsideration of
Certain New Source and Startup/
Shutdown Issues: National Emission
Standards for Hazardous Air Pollutants
from Coal- and Oil-fired Electric Utility
Steam Generating Units and Standards
of Performance for Fossil-Fuel-Fired
Electric Utility, Industrial-CommercialInstitutional, and Small IndustrialCommercial-Institutional Steam
Generating Units’’ (77 FR 71323). The
November 30, 2012, action announced,
among other things, reconsideration of
certain new source standards for MATS
and the requirements applicable during
periods of startup and shutdown for
MATS and the startup and shutdown
provisions related to the PM standard in
the Utility NSPS and proposed revisions
to these identified provisions. The EPA
also proposed certain technical
corrections. On April 24, 2013, the EPA
finalized reconsideration on all issues
except those related to startup and
shutdown (including related technical
corrections) (78 FR 24073).
During the comment period, the EPA
received data and other information
from industry about EGU startup, and
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the industry commenters recommended
that the startup and shutdown
provisions as proposed be further
amended. The comments raised several
significant issues regarding the
definition of startup, the types of ‘‘clean
fuels’’ that must be used during startup,
the means by which non-mercury (Hg)
emissions are calculated during periods
of startup and shutdown (e.g., requests
for the use of a default diluent cap and
for the use of a default electrical
production rate),1 and the manner in
which EGUs that share a common stack
demonstrate compliance during periods
of startup and shutdown. Given the
significance of these comments, the EPA
believes it is appropriate to request
additional comment on these issues.
Therefore, we are reopening the public
comment period so that the public can
review the industry-provided
information and data and comment on
the suggested revisions to the startup
and shutdown provisions. We are only
reopening for comment the startup and
shutdown provisions in the MATS rule
and the startup and shutdown
provisions related to PM in the Utility
NSPS. We are not seeking comment on
any other issues and will not respond to
comments outside the scope of this
notice.
In the November 2012 reconsideration
proposal, the EPA proposed to revise
the definitions of startup and shutdown
to clarify the definitions and include a
reference to making useful thermal
energy. Specifically, in § 63.10042 we
proposed to define the end of ‘‘startup’’
as being ‘‘. . .when the EGU generates
electricity that is sold or used for any
other purpose (including on site use), or
the EGU makes useful thermal energy
(such as heat or steam) for industrial,
commercial, heating, or cooling
purposes. . .whichever is earlier.’’ 77
FR 71339. We also proposed several
revisions to the finalized work practice
standards. These revisions included the
addition of certain synthetic natural gas,
syngas, propane and ultra low-sulfur
diesel (ULSD) to the list of clean fuels.
1 In the May 3, 2011, proposed MATS rule (76 FR
25028), the EPA proposed default diluent gas values
of 10 percent for oxygen or of the fuel-specific
carbon dioxide concentration (obtained from a
stoichiometric analysis of fuel combustion), as well
as a default nominal electrical production rate of 5
percent of rated capacity to be used when
calculating emissions rates during periods of
startup and shutdown. The EPA did not finalize the
provision because the agency finalized a work
practice standard for startup and shutdown periods
instead of numerical emission limits. Commenters
indicated that the EPA should have retained the
proposed diluent cap because the rule requires
monitoring during startup and shutdown periods
when continuous emission monitoring systems
(CEMS) or sorbent traps are used to demonstrate
compliance with the emission standards.
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Further, we proposed to require EGU
source owners and operators, when
firing coal, solid oil-derived fuel, or
residual oil in the EGU during startup
and shutdown, to vent emissions to the
main stack(s) and operate all control
devices necessary to meet the operating
standards that apply at all other times
under the final rule (with the exception
of limestone injection in fluidized bed
combustors (FBC) EGUs, dry scrubbers,
selective non-catalytic reduction
systems (SNCRs) and selective catalytic
reduction systems (SCRs)).2 Moreover,
we proposed that owners and operators
of EGUs would be responsible for
starting limestone injection in FBC
EGUs, dry scrubbers, SNCRs and SCRs
as expeditiously as possible, but, in any
case, when necessary to comply with
other CAA standards applicable to the
source that require operation of those
control devices. Additionally, we
proposed to revise the final rule’s work
practice standards to recognize
constraints of certain EGUs and APCDs.
The proposed revised standards would
allow limestone injection to start after
appropriate temperatures have been
attained in FBC EGUs that inject
limestone for acid gas control and allow
SNCR, SCR and dry scrubber systems to
start as soon as technically feasible after
the appropriate temperature has been
reached. With regard to integrated
gasification combined cycle (IGCC)
EGUs, we proposed two options for
IGCC EGUs for the handling of syngas
that is not fired in the combustion
turbine: (1) Syngas must be flared, not
vented; or (2) syngas must be routed to
duct burners, which may need to be
installed, and the flue gas from the duct
burners must be routed to the heat
recovery steam generator. 77 FR 71330–
71331.
The commenters’ primary issue with
the proposed standards for startup and
shutdown concerned the definition of
‘‘startup’’ in the reconsideration notice
(particularly with regard to the end of
‘‘startup’’). Specifically, the commenters
objected to the EPA’s proposed
definition which defined the end of
startup to be ‘‘. . . when the EGU
generates electricity that is sold or used
for any other purpose (including on site
use),’’ or ‘‘the EGU makes useful
thermal energy (such as heat or steam)
for industrial, commercial, heating, or
cooling purposes,’’ whichever is
earlier.’’ 77 FR 71339. As discussed
below, the commenters advocated a
different end point for startup. The EPA
also received comments on the types of
fuels considered ‘‘clean,’’ the required
2 Fluidized bed combustor (FBC) EGUs as a class
include circulating fluidized bed (CFB) EGUs.
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use of clean fuels throughout startup,
the specifics of startup as related to
IGCC EGUs, the use of diluent caps and
sorbent trap monitoring during startup,
and the application of the work practice
standards to EGUs with a common
stack. Below is a summary of some
issues raised in the industry comments
on which we are now requesting
comment. The complete comments are
contained in the MATS and Utility
NSPS rulemaking dockets (see EPA–
HQ–OAR–2009–0234 and EPA–HQ–
OAR–2011–0044, respectively).
The commenters asked the EPA to
define ‘‘startup’’ as the setting in
operation of an affected source.3
According to the commenters, this
involves igniting fuel in the boiler,
producing steam to begin generating
electricity either before or after the
primary fuel is added to the boiler and
getting all of the APCDs operational to
meet the applicable requirements. The
commenters maintained that ‘‘startup’’
does not end ‘‘when any steam from the
boiler is used to generate electricity for
sale over the grid or for any other
purpose’’ as the EPA proposed. The
commenters asserted that an EGU
remains in ‘‘startup’’ mode beyond the
first generation of electricity because,
according to the commenters, at that
point in time many of the APCDs
needed to comply with the requirements
of this subpart may not be technically or
safely capable of operation and those
that are may be operating far from
design conditions because the requisite
temperature(s) and/or flow conditions
have not been achieved. For example,
the commenters expressed concern that
operating electrostatic precipitators
(ESPs) at temperatures less than the
temperatures recommended by the
manufacturer/supplier could create a
safety risk.4
The commenters also stated that
electricity generation may begin when
the boiler’s steam load is as low as 10
percent of nameplate capacity.5 At this
point, the commenters stated that
startup fuel is still being burned, either
alone or in combination with primary
fuel, but many major components of the
3 See, e.g., EPA–HQ–OAR–2009–0234–20257,
EPA–HQ–OAR–2009–0234–20271, EPA–HQ–OAR–
2009–0234–20277, EPA–HQ–OAR–2009–0234–
20279, EPA–HQ–OAR–2009–0234–20282.
4 See, e.g., EPA–HQ–OAR–2009–0234–20248,
EPA–HQ–OAR–2009–0234–20251, EPA–HQ–OAR–
2009–0234–20255, EPA–HQ–OAR–2009–0234–
20267, EPA–HQ–OAR–2009–0234–20269, EPA–
HQ–OAR–2009–0234–20272, EPA–HQ–OAR–
2009–0234–20275, EPA–HQ–OAR–2009–0234–
20280, EPA–HQ–OAR–2009–0234–20286, EPA–
HQ–OAR–2009–0234–20289, EPA–HQ–OAR–
2009–0234–20306, EPA–HQ–OAR–2009–0234–
20308.
5 See, e.g., EPA–HQ–OAR–2009–0234–20291.
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EGU (e.g., APCDs) may neither be
online nor fully functioning. The
commenters further noted that at many
EGUs the boiler igniters have low
capacity (e.g., 5 percent of the EGU
capacity).6 So, according to these
commenters, the igniters as currently
constructed may not be able to bring an
EGU to flue gas temperatures at which
APCD can be made operational. The
commenters stated that this inability to
use igniters alone to bring the EGU and
APCD to the proper temperatures stems
from a number of reasons, among which
is the fact that some igniters offer only
a low heating value and, thus, cannot
serve a heating function well over long
periods of time.7 As noted above, the
commenters asserted that some igniters
may not have sufficient capacity (i.e.,
size) and were generally not designed to
preheat the APCD without the co-firing
of the primary fuel and, for this reason,
the commenters maintained that some
igniters may not be able to generate
adequate heat to preheat the APCD even
if they were operated for an ‘‘extended
period of time.’’ 8 Commenters also
stated that certain EGU facilities do not
have sufficient natural gas capacity to
bring their EGUs up to the temperatures
necessary to engage certain APCDs (e.g.,
because the natural gas burners or
pipeline are currently too small).9 The
commenters maintained that, generally,
the igniters (and warm-up guns in some
cases) are used to begin to raise boiler
pressure, supply steam to heat plant
equipment (e.g., piping, steam turbine,
pulverizers) and raise the furnace
temperature to a point where the
primary fuel can be burned. Therefore,
the commenters asserted that the startup
period involves (and in some cases must
involve) co-firing of startup and primary
fuels.10
The commenters also stated that, in
its proposal, the EPA did not adequately
account for the operational differences
among different types of EGUs. The
6 See,
e.g., EPA–HQ–OAR–2009–0234–20297.
e.g., EPA–HQ–OAR–2009–0234–20254.
8 See, e.g., EPA–HQ–OAR–2009–0234–20272.
9 See, e.g., EPA–HQ–OAR–2009–0234–20254
(‘‘natural gas pipeline capacity has limited
supply’’), EPA–HQ–OAR–2009–0234–20269 (‘‘lacks
sufficient natural gas capacity for the unit to
complete the startup process,’’ ‘‘units do not have
easy access to natural gas due to distributional
limitations’’), EPA–HQ–OAR–2009–0234–20321
(‘‘[a]dditional natural gas transmission capacity
would also have to be constructed to increase
delivery to the JEA units’’).
10 See, e.g., EPA–HQ–OAR–2009–0234–20246,
EPA–HQ–OAR–2009–0234–20248, EPA–HQ–OAR–
2009–0234–20252, EPA–HQ–OAR–2009–0234–
20254, EPA–HQ–OAR–2009–0234–20269, EPA–
HQ–OAR–2009–0234–20272, EPA–HQ–OAR–
2009–0234–20283, EPA–HQ–OAR–2009–0234–
20287, EPA–HQ–OAR–2009–0234–20303, EPA–
HQ–OAR–2009–0234–20321.
7 See,
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commenters stated, for example, that the
startup process for supercritical
pulverized coal (PC) EGUs is different
from that for subcritical EGUs.11 The
commenters stated that supercritical
EGUs are designed to commence startup
producing subcritical steam to the steam
turbine, and then transition to
supercritical operation at a certain point
as steam production and electricity
generation are increased. The
commenters asserted that a supercritical
EGU does not complete its startup until
its transition from subcritical to
supercritical operation is complete. The
commenters recommended that the end
of startup for supercritical EGUs should
correspond with the point in time
corresponding to 6 hours past the time
when the EGU achieves supercritical
mode of operation.12
For subcritical EGUs, the commenters
provided information reflecting the
sequence of events during startup for
two subcritical EGUs, stating that the
baghouse, the activated carbon injection
(ACI) and the SCR are not operational
when the EGU goes online (i.e.,
connected to the grid). However, the
comments indicate that the baghouse
and the ACI controls are operational
approximately 4 hours after the EGU
reaches the 25-percent load point. The
commenters stated that the SCR system
is operational about 12 hours after the
EGU goes online. The commenters
requested that the end of startup be
changed to be 4 hours after 25-percent
load is first reached or 12 hours after
first electricity generation, whichever
occurs first.13 The commenters
explained that the 4-hour timeframe
would provide for a transition period
during which a facility phases out the
supplemental fuel, shuts down a
dedicated startup system (like a startup
boiler feed pump, if applicable) and
transitions to bring emission controls
online safely and within the
manufacturer’s intended design
capabilities. The commenters
maintained that the 12-hour alternative
definition would allow for situations
where the startup sequence is delayed
for unexpected reasons, but provided
assurance that an EGU will not idle at
low load.
Relative to FBC EGUs, the
commenters stated that if limestone is
added too early in the startup sequence,
11 See, e.g., EPA–HQ–OAR–2009–0234–20270,
EPA–HQ–OAR–2009–0234–20277, EPA–HQ–OAR–
2009–0234–20281, EPA–HQ–OAR–2009–0234–
20282.
12 See, e.g., EPA–HQ–OAR–2009–0234–20281,
EPA–HQ–OAR–2009–0234–20282.
13 See, e.g., EPA–HQ–OAR–2009–0234–20262,
EPA–HQ–OAR–2009–0234–20281, EPA–HQ–OAR–
2009–0234–20282.
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the flame could be extinguished.
According to the commenters, FBC
EGUs that inject limestone must reach a
minimum bed temperature of
approximately 1,500°F for the limestone
to calcine, and, thus, become effective at
reducing acid gases. The commenters
stated that these EGUs often burn coal
for about 45 minutes before limestone is
added, and additional time is then
required for the bed chemistry to
stabilize. They stated that normally the
bed is stable and up to temperature
when approximately 40-percent load is
reached. The commenters requested that
the EPA apply the same definition of
‘‘startup’’ to FBC EGUs as was suggested
for the other types of EGUs (i.e., 4 hours
after 25-percent load is first achieved, or
12 hours after first electricity
generation, whichever occurs first).14
The commenters also provided input
on the types of fuels considered
‘‘clean,’’ the specifics of startup as
related to IGCC EGUs, the use of diluent
caps and sorbent trap monitoring during
startup and the application of the work
practice standards to EGUs with a
common stack. The commenters
suggested that the EPA should expand
the proposed list of ‘‘clean fuels’’ to
include biodiesel and other renewable
fuels that meet the 40 CFR Part 80,
subpart M, requirements and that
biodiesel and other biofuels be among
the clean fuels allowed.15 The
commenters stated that it is important
that either flaring syngas or routing it to
duct burners remain as options for IGCC
EGUs and indicated that flaring should
remain an option for routine startups
and shutdowns of IGCC EGUs and as a
viable option for non-routine events
such as unit ‘‘trips’’ when the
combustion turbine cannot combust
syngas.16
The commenters suggested that the
EPA should reinstate the use of the
diluent cap and/or provide for a diluent
cap for non-mercury pollutants, as is
allowed for Hg in Appendix A of
subpart UUUUU. 77 FR 9606.
Commenters believed the use of a
diluent cap is appropriate when
complying with a heat input-based
emission standard because emissions
must be reported during periods of
startup and shutdown, and using the
14 See,
e.g., EPA–HQ–OAR–2009–0234–20282.
e.g., EPA–HQ–OAR–2009–0234–20271,
EPA–HQ–OAR–2009–0234–20272, EPA–HQ–OAR–
2009–0234–20276, EPA–HQ–OAR–2009–0234–
20279, EPA–HQ–OAR–2009–0234–20282, EPA–
HQ–OAR–2009–0234–20295, EPA–HQ–OAR–
2009–0234–20304, EPA–HQ–OAR–2011–0044–
5803.
16 See, e.g., EPA–HQ–OAR–2009–0234–20243,
EPA–HQ–OAR–2009–0234–20245, EPA–HQ–OAR–
2009–0234–20281, EPA–HQ–OAR–2009–0234–
20282, EPA–HQ–OAR–2009–0234–20299.
15 See,
PO 00000
Frm 00010
Fmt 4702
Sfmt 4702
actual carbon dioxide or oxygen
concentrations in the stack during
startup and shutdown will, according to
the commenters, grossly overstate
emissions, as the initial (or final)
concentrations during those periods are
close to ambient levels.17 Moreover,
because EGU owners or operators who
use CEMS, continuous parameter
monitoring systems (CPMS) or sorbent
traps will be required to report emission
rates during periods of startup and
shutdown, some commenters
recommended that a default electrical
output rate (in terms of megawatt-hours
(MWh) or gigawatt-hours (GWh)) be
established for use during startup and
shutdown periods.18 According to the
commenters, use of such a default
electrical output rate would prevent
EGU owners or operators from reporting
infinite emissions, which is what the
commenters state would occur when no
(or zero) electrical output for these
periods was placed in the denominator
when performing these calculations.
One commenter recommended that an
EGU should not have to sample for Hg
with sorbent traps until startup has
ended because, unlike a CEMS, a
sorbent trap system collects an
integrated sample over an extended time
period and does not provide real-time
data.19 Therefore, according to the
commenter, it is not possible to separate
the Hg compliance data from data
collected during startup and shutdown
periods. The commenter noted that
although startup and shutdown events
are generally short, if startup and
shutdown emissions are included in the
compliance calculations, this could
potentially skew the results.
The final rule contains specific
requirements for EGUs that use a
common stack (see § 63.10010(a)(2) and
(3)). Even with these requirements,
some commenters asserted that the rule
does not adequately account for startup
and shutdown periods for individual
EGUs. Some commenters stated that the
proposed rule does not resolve how the
startup and shutdown definitions and
work practice provisions apply to EGUs
that share a common stack. Several
commenters acknowledged that the
work practice standards would be
applied separately on each EGU that
shares a common stack, but they argued
that the rule should provide that the
numerical emission limits do not apply
17 See,
e.g., EPA–HQ–OAR–2009–0234–20282.
e.g., EPA–HQ–OAR–2009–0234–20282,
EPA–HQ–OAR–2009–0234–20306.
19 See, e.g., EPA–HQ–OAR–2009–0234–20308.
18 See,
E:\FR\FM\25JNP1.SGM
25JNP1
Federal Register / Vol. 78, No. 122 / Tuesday, June 25, 2013 / Proposed Rules
if even one EGU sharing the common
stack is starting up or shutting down.20
The EPA requests comment on the
information and data provided in the
public comments regarding the startup
and shutdown provisions and, in
particular, the commenters’
recommendations concerning the
definition of ‘‘startup.’’ The EPA
requests additional input on the
following startup/shutdown-related
issues that were raised by commenters
on the proposed rule:
• The use of default diluent gas cap
values during periods of startup and
shutdown;
• How to calculate startup/shutdown
emissions when multiple affected EGUs
share a common stack; and
tkelley on DSK3SPTVN1PROD with PROPOSALS
20 See, e.g., EPA–HQ–OAR–2009–0234–20256,
EPA–HQ–OAR–2009–0234–20277, EPA–HQ–OAR–
2009–0234–20281, EPA–HQ–OAR–2009–0234–
20282, EPA–HQ–OAR–2009–0234–20294.
VerDate Mar<15>2010
16:33 Jun 24, 2013
Jkt 229001
• The use of a default electrical
production rate value to calculate
output-based emission limits during
startup and shutdown hours where the
electrical load is zero.
In addition, the EPA requests
comment on the additional technical
analyses it conducted in response to the
above comments concerning the end of
startup. See ‘‘Assessment of startup
period at coal-fired electric generating
units’’ in Docket ID EPA–HQ–OAR–
2009–0234. In this analysis of EGUs, the
EPA examined several indicators that
can aid in assessing the time required to
achieve operating benchmarks.
Using these indicators, we found no
significant difference in performance
related to startup between the different
groups assessed in this analysis. We
believe these results could support
defining the end of startup at coal-fired
EGUs as occurring at 25 percent of
nameplate capacity plus 3 hours or the
PO 00000
Frm 00011
Fmt 4702
Sfmt 9990
38005
start of electricity generation plus 6
hours, whichever comes first, and we
are soliciting comment on the analysis.
We are only reopening for comment
the startup and shutdown issues
described above. We are not seeking
comment on any other issues and will
not respond to comments submitted that
are outside the scope of this notice.
List of Subjects in 40 CFR Parts 60 and
63
Environmental protection,
Administrative practice and procedure,
Air pollution control, Hazardous
substances, Intergovernmental relations,
Reporting and recordkeeping
requirements.
Dated: June 18, 2013.
Gina McCarthy,
Assistant Administrator.
[FR Doc. 2013–15146 Filed 6–24–13; 8:45 am]
BILLING CODE 6560–50–P
E:\FR\FM\25JNP1.SGM
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Agencies
[Federal Register Volume 78, Number 122 (Tuesday, June 25, 2013)]
[Proposed Rules]
[Pages 38001-38005]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: 2013-15146]
=======================================================================
-----------------------------------------------------------------------
ENVIRONMENTAL PROTECTION AGENCY
40 CFR Parts 60 and 63
[EPA-HQ-OAR-2009-0234; EPA-HQ-OAR-2011-0044, FRL-9827-1]
RIN 2060-AR62
Reconsideration of Certain Startup/Shutdown Issues: National
Emission Standards for Hazardous Air Pollutants From Coal- and Oil-
Fired Electric Utility Steam Generating Units and Standards of
Performance for Fossil-Fuel-Fired Electric Utility, Industrial-
Commercial-Institutional, and Small Industrial-Commercial-Institutional
Steam Generating Units
AGENCY: Environmental Protection Agency (EPA).
ACTION: Proposed rule; Reopening of Comment Period.
-----------------------------------------------------------------------
SUMMARY: On November 30, 2012, the EPA published in the Federal
Register the proposed rule, ``Reconsideration of Certain New Source and
Startup/Shutdown Issues: National Emission Standards for Hazardous Air
Pollutants from Coal- and Oil-fired Electric Utility Steam Generating
Units and Standards of Performance for Fossil-Fuel-Fired Electric
Utility, Industrial-Commercial-Institutional, and Small Industrial-
Commercial-Institutional Steam Generating Units.'' That proposal opened
for reconsideration certain issues, including those related to startup
and shutdown. On April 24, 2013, we finalized reconsideration of all
the issues included in the proposed rule except those related to
startup and shutdown. The EPA is reopening the public comment period
for the proposed reconsideration to solicit additional input on
specific issues raised during the initial public comment period related
to the proposed revisions to the requirements and definitions related
to periods of startup and shutdown. The EPA also requests comment on
the additional technical analyses it conducted in response to public
comments on this subject in Docket ID EPA-HQ-OAR-2009-0234. The
National Emission Standards for Hazardous Air Pollutants (NESHAP) rule
is referred to as the Mercury and Air Toxics Standards (MATS), and the
New Source Performance Standards rule is referred to as the Utility
NSPS.
DATES: Comments. Comments must be received on or before August 26,
2013.
ADDRESSES: Comments. Submit your comments, identified by Docket ID.
EPA-HQ-OAR-2011-0044 (NSPS action) or Docket ID EPA-HQ-OAR-2009-0234
(NESHAP/MATS action), by one of the following methods:
www.regulations.gov: Follow the on-line instructions for
submitting comments.
Email: a-and-r-docket@epa.gov.
Fax: (202) 566-1741.
Mail: Air and Radiation Docket and Information Center,
Environmental Protection Agency, Mailcode: 2822T, 1200 Pennsylvania
Ave. NW., Washington, DC 20460. Please include a total of two copies.
The EPA requests a separate copy also be sent to the contact person
identified below (see FOR FURTHER INFORMATION CONTACT).
Hand Delivery: Air and Radiation Docket and Information
Center, U.S. EPA, Room B102, 1301 Constitution Avenue NW., Washington,
DC. Such deliveries are only accepted during the Docket's normal hours
of operation, and special arrangements should be made for deliveries of
boxed information.
Instructions. All submissions must include agency name and
respective docket number or Regulatory Information Number (RIN) for
this rulemaking. All comments will be posted without change and may be
made available online at https://www.regulations.gov, including any
personal information provided, unless the comment includes information
claimed to be confidential business information (CBI) or other
information
[[Page 38002]]
whose disclosure is restricted by statute. Do not submit information
that you consider to be CBI or otherwise protected through https://www.regulations.gov or email. The https://www.regulations.gov Web site
is an ``anonymous access'' system, which means the EPA will not know
your identity or contact information unless you provide it in the body
of your comment. If you send an email comment directly to the EPA
without going through https://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, the 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 the EPA cannot read your comment
due to technical difficulties and cannot contact you for clarification,
the 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.
Docket. All documents in the docket are listed in the https://www.regulations.gov index. Although listed in the index, some
information is not publicly available (e.g., CBI or other information
whose disclosure is restricted by statute). Certain other material,
such as copyrighted material, will be publicly available only in hard
copy form. Publicly available docket materials are available either
electronically in https://www.regulations.gov or in hard copy at the EPA
Docket Center, Room 3334, 1301 Constitution Avenue NW., Washington, DC.
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
Air Docket is (202) 566-1742.
FOR FURTHER INFORMATION CONTACT: For the NESHAP action: Mr. William
Maxwell, Energy Strategies Group, Sector Policies and Programs Division
(D243-01), Office of Air Quality Planning and Standards, U.S.
Environmental Protection Agency, Research Triangle Park, North Carolina
27711; Telephone number: (919) 541-5430; Fax number (919) 541-5450;
Email address: maxwell.bill@epa.gov. For the NSPS action: Mr. Christian
Fellner, Energy Strategies Group, Sector Policies and Programs Division
(D243-01), Office of Air Quality Planning and Standards, U.S.
Environmental Protection Agency, Research Triangle Park, North Carolina
27711; Telephone number: (919) 541-4003; Fax number (919) 541-5450;
Email address: fellner.christian@epa.gov.
SUPPLEMENTARY INFORMATION: On February 16, 2012, the EPA issued the
final MATS and Utility NSPS (77 FR 9304). In the final MATS rule, the
EPA included a work practice standard applicable during periods of
startup and shutdown rather than finalizing the proposed requirement
that sources comply with numerical limits during such periods. In the
Utility NSPS, the EPA included the same work practice for particulate
matter (PM) emissions during periods of startup and shutdown. The work
practice standard was designed to minimize emissions of hazardous air
pollutants (HAP) and PM during periods of startup and shutdown by
requiring sources to maximize the use of clean fuels during such
periods when electric utility steam generating unit (EGU) temperatures
and air flow may not be sufficient to effectively engage certain air
pollution control devices (APCD). Because the agency did not propose a
work practice standard for periods of startup and shutdown, the EPA
determined that it was appropriate to reconsider the startup and
shutdown provisions to allow the public an opportunity to comment on
the requirements.
On November 30, 2012, the EPA published in the Federal Register the
proposed rule, ``Reconsideration of Certain New Source and Startup/
Shutdown Issues: National Emission Standards for Hazardous Air
Pollutants from Coal- and Oil-fired Electric Utility Steam Generating
Units and Standards of Performance for Fossil-Fuel-Fired Electric
Utility, Industrial-Commercial-Institutional, and Small Industrial-
Commercial-Institutional Steam Generating Units'' (77 FR 71323). The
November 30, 2012, action announced, among other things,
reconsideration of certain new source standards for MATS and the
requirements applicable during periods of startup and shutdown for MATS
and the startup and shutdown provisions related to the PM standard in
the Utility NSPS and proposed revisions to these identified provisions.
The EPA also proposed certain technical corrections. On April 24, 2013,
the EPA finalized reconsideration on all issues except those related to
startup and shutdown (including related technical corrections) (78 FR
24073).
During the comment period, the EPA received data and other
information from industry about EGU startup, and the industry
commenters recommended that the startup and shutdown provisions as
proposed be further amended. The comments raised several significant
issues regarding the definition of startup, the types of ``clean
fuels'' that must be used during startup, the means by which non-
mercury (Hg) emissions are calculated during periods of startup and
shutdown (e.g., requests for the use of a default diluent cap and for
the use of a default electrical production rate),\1\ and the manner in
which EGUs that share a common stack demonstrate compliance during
periods of startup and shutdown. Given the significance of these
comments, the EPA believes it is appropriate to request additional
comment on these issues. Therefore, we are reopening the public comment
period so that the public can review the industry-provided information
and data and comment on the suggested revisions to the startup and
shutdown provisions. We are only reopening for comment the startup and
shutdown provisions in the MATS rule and the startup and shutdown
provisions related to PM in the Utility NSPS. We are not seeking
comment on any other issues and will not respond to comments outside
the scope of this notice.
---------------------------------------------------------------------------
\1\ In the May 3, 2011, proposed MATS rule (76 FR 25028), the
EPA proposed default diluent gas values of 10 percent for oxygen or
of the fuel-specific carbon dioxide concentration (obtained from a
stoichiometric analysis of fuel combustion), as well as a default
nominal electrical production rate of 5 percent of rated capacity to
be used when calculating emissions rates during periods of startup
and shutdown. The EPA did not finalize the provision because the
agency finalized a work practice standard for startup and shutdown
periods instead of numerical emission limits. Commenters indicated
that the EPA should have retained the proposed diluent cap because
the rule requires monitoring during startup and shutdown periods
when continuous emission monitoring systems (CEMS) or sorbent traps
are used to demonstrate compliance with the emission standards.
---------------------------------------------------------------------------
In the November 2012 reconsideration proposal, the EPA proposed to
revise the definitions of startup and shutdown to clarify the
definitions and include a reference to making useful thermal energy.
Specifically, in Sec. 63.10042 we proposed to define the end of
``startup'' as being ``. . .when the EGU generates electricity that is
sold or used for any other purpose (including on site use), or the EGU
makes useful thermal energy (such as heat or steam) for industrial,
commercial, heating, or cooling purposes. . .whichever is earlier.'' 77
FR 71339. We also proposed several revisions to the finalized work
practice standards. These revisions included the addition of certain
synthetic natural gas, syngas, propane and ultra low-sulfur diesel
(ULSD) to the list of clean fuels.
[[Page 38003]]
Further, we proposed to require EGU source owners and operators, when
firing coal, solid oil-derived fuel, or residual oil in the EGU during
startup and shutdown, to vent emissions to the main stack(s) and
operate all control devices necessary to meet the operating standards
that apply at all other times under the final rule (with the exception
of limestone injection in fluidized bed combustors (FBC) EGUs, dry
scrubbers, selective non-catalytic reduction systems (SNCRs) and
selective catalytic reduction systems (SCRs)).\2\ Moreover, we proposed
that owners and operators of EGUs would be responsible for starting
limestone injection in FBC EGUs, dry scrubbers, SNCRs and SCRs as
expeditiously as possible, but, in any case, when necessary to comply
with other CAA standards applicable to the source that require
operation of those control devices. Additionally, we proposed to revise
the final rule's work practice standards to recognize constraints of
certain EGUs and APCDs. The proposed revised standards would allow
limestone injection to start after appropriate temperatures have been
attained in FBC EGUs that inject limestone for acid gas control and
allow SNCR, SCR and dry scrubber systems to start as soon as
technically feasible after the appropriate temperature has been
reached. With regard to integrated gasification combined cycle (IGCC)
EGUs, we proposed two options for IGCC EGUs for the handling of syngas
that is not fired in the combustion turbine: (1) Syngas must be flared,
not vented; or (2) syngas must be routed to duct burners, which may
need to be installed, and the flue gas from the duct burners must be
routed to the heat recovery steam generator. 77 FR 71330-71331.
---------------------------------------------------------------------------
\2\ Fluidized bed combustor (FBC) EGUs as a class include
circulating fluidized bed (CFB) EGUs.
---------------------------------------------------------------------------
The commenters' primary issue with the proposed standards for
startup and shutdown concerned the definition of ``startup'' in the
reconsideration notice (particularly with regard to the end of
``startup''). Specifically, the commenters objected to the EPA's
proposed definition which defined the end of startup to be ``. . . when
the EGU generates electricity that is sold or used for any other
purpose (including on site use),'' or ``the EGU makes useful thermal
energy (such as heat or steam) for industrial, commercial, heating, or
cooling purposes,'' whichever is earlier.'' 77 FR 71339. As discussed
below, the commenters advocated a different end point for startup. The
EPA also received comments on the types of fuels considered ``clean,''
the required use of clean fuels throughout startup, the specifics of
startup as related to IGCC EGUs, the use of diluent caps and sorbent
trap monitoring during startup, and the application of the work
practice standards to EGUs with a common stack. Below is a summary of
some issues raised in the industry comments on which we are now
requesting comment. The complete comments are contained in the MATS and
Utility NSPS rulemaking dockets (see EPA-HQ-OAR-2009-0234 and EPA-HQ-
OAR-2011-0044, respectively).
The commenters asked the EPA to define ``startup'' as the setting
in operation of an affected source.\3\ According to the commenters,
this involves igniting fuel in the boiler, producing steam to begin
generating electricity either before or after the primary fuel is added
to the boiler and getting all of the APCDs operational to meet the
applicable requirements. The commenters maintained that ``startup''
does not end ``when any steam from the boiler is used to generate
electricity for sale over the grid or for any other purpose'' as the
EPA proposed. The commenters asserted that an EGU remains in
``startup'' mode beyond the first generation of electricity because,
according to the commenters, at that point in time many of the APCDs
needed to comply with the requirements of this subpart may not be
technically or safely capable of operation and those that are may be
operating far from design conditions because the requisite
temperature(s) and/or flow conditions have not been achieved. For
example, the commenters expressed concern that operating electrostatic
precipitators (ESPs) at temperatures less than the temperatures
recommended by the manufacturer/supplier could create a safety risk.\4\
---------------------------------------------------------------------------
\3\ See, e.g., EPA-HQ-OAR-2009-0234-20257, EPA-HQ-OAR-2009-0234-
20271, EPA-HQ-OAR-2009-0234-20277, EPA-HQ-OAR-2009-0234-20279, EPA-
HQ-OAR-2009-0234-20282.
\4\ See, e.g., EPA-HQ-OAR-2009-0234-20248, EPA-HQ-OAR-2009-0234-
20251, EPA-HQ-OAR-2009-0234-20255, EPA-HQ-OAR-2009-0234-20267, EPA-
HQ-OAR-2009-0234-20269, EPA-HQ-OAR-2009-0234-20272, EPA-HQ-OAR-2009-
0234-20275, EPA-HQ-OAR-2009-0234-20280, EPA-HQ-OAR-2009-0234-20286,
EPA-HQ-OAR-2009-0234-20289, EPA-HQ-OAR-2009-0234-20306, EPA-HQ-OAR-
2009-0234-20308.
---------------------------------------------------------------------------
The commenters also stated that electricity generation may begin
when the boiler's steam load is as low as 10 percent of nameplate
capacity.\5\ At this point, the commenters stated that startup fuel is
still being burned, either alone or in combination with primary fuel,
but many major components of the EGU (e.g., APCDs) may neither be
online nor fully functioning. The commenters further noted that at many
EGUs the boiler igniters have low capacity (e.g., 5 percent of the EGU
capacity).\6\ So, according to these commenters, the igniters as
currently constructed may not be able to bring an EGU to flue gas
temperatures at which APCD can be made operational. The commenters
stated that this inability to use igniters alone to bring the EGU and
APCD to the proper temperatures stems from a number of reasons, among
which is the fact that some igniters offer only a low heating value
and, thus, cannot serve a heating function well over long periods of
time.\7\ As noted above, the commenters asserted that some igniters may
not have sufficient capacity (i.e., size) and were generally not
designed to preheat the APCD without the co-firing of the primary fuel
and, for this reason, the commenters maintained that some igniters may
not be able to generate adequate heat to preheat the APCD even if they
were operated for an ``extended period of time.'' \8\ Commenters also
stated that certain EGU facilities do not have sufficient natural gas
capacity to bring their EGUs up to the temperatures necessary to engage
certain APCDs (e.g., because the natural gas burners or pipeline are
currently too small).\9\ The commenters maintained that, generally, the
igniters (and warm-up guns in some cases) are used to begin to raise
boiler pressure, supply steam to heat plant equipment (e.g., piping,
steam turbine, pulverizers) and raise the furnace temperature to a
point where the primary fuel can be burned. Therefore, the commenters
asserted that the startup period involves (and in some cases must
involve) co-firing of startup and primary fuels.\10\
---------------------------------------------------------------------------
\5\ See, e.g., EPA-HQ-OAR-2009-0234-20291.
\6\ See, e.g., EPA-HQ-OAR-2009-0234-20297.
\7\ See, e.g., EPA-HQ-OAR-2009-0234-20254.
\8\ See, e.g., EPA-HQ-OAR-2009-0234-20272.
\9\ See, e.g., EPA-HQ-OAR-2009-0234-20254 (``natural gas
pipeline capacity has limited supply''), EPA-HQ-OAR-2009-0234-20269
(``lacks sufficient natural gas capacity for the unit to complete
the startup process,'' ``units do not have easy access to natural
gas due to distributional limitations''), EPA-HQ-OAR-2009-0234-20321
(``[a]dditional natural gas transmission capacity would also have to
be constructed to increase delivery to the JEA units'').
\10\ See, e.g., EPA-HQ-OAR-2009-0234-20246, EPA-HQ-OAR-2009-
0234-20248, EPA-HQ-OAR-2009-0234-20252, EPA-HQ-OAR-2009-0234-20254,
EPA-HQ-OAR-2009-0234-20269, EPA-HQ-OAR-2009-0234-20272, EPA-HQ-OAR-
2009-0234-20283, EPA-HQ-OAR-2009-0234-20287, EPA-HQ-OAR-2009-0234-
20303, EPA-HQ-OAR-2009-0234-20321.
---------------------------------------------------------------------------
The commenters also stated that, in its proposal, the EPA did not
adequately account for the operational differences among different
types of EGUs. The
[[Page 38004]]
commenters stated, for example, that the startup process for
supercritical pulverized coal (PC) EGUs is different from that for
subcritical EGUs.\11\ The commenters stated that supercritical EGUs are
designed to commence startup producing subcritical steam to the steam
turbine, and then transition to supercritical operation at a certain
point as steam production and electricity generation are increased. The
commenters asserted that a supercritical EGU does not complete its
startup until its transition from subcritical to supercritical
operation is complete. The commenters recommended that the end of
startup for supercritical EGUs should correspond with the point in time
corresponding to 6 hours past the time when the EGU achieves
supercritical mode of operation.\12\
---------------------------------------------------------------------------
\11\ See, e.g., EPA-HQ-OAR-2009-0234-20270, EPA-HQ-OAR-2009-
0234-20277, EPA-HQ-OAR-2009-0234-20281, EPA-HQ-OAR-2009-0234-20282.
\12\ See, e.g., EPA-HQ-OAR-2009-0234-20281, EPA-HQ-OAR-2009-
0234-20282.
---------------------------------------------------------------------------
For subcritical EGUs, the commenters provided information
reflecting the sequence of events during startup for two subcritical
EGUs, stating that the baghouse, the activated carbon injection (ACI)
and the SCR are not operational when the EGU goes online (i.e.,
connected to the grid). However, the comments indicate that the
baghouse and the ACI controls are operational approximately 4 hours
after the EGU reaches the 25-percent load point. The commenters stated
that the SCR system is operational about 12 hours after the EGU goes
online. The commenters requested that the end of startup be changed to
be 4 hours after 25-percent load is first reached or 12 hours after
first electricity generation, whichever occurs first.\13\ The
commenters explained that the 4-hour timeframe would provide for a
transition period during which a facility phases out the supplemental
fuel, shuts down a dedicated startup system (like a startup boiler feed
pump, if applicable) and transitions to bring emission controls online
safely and within the manufacturer's intended design capabilities. The
commenters maintained that the 12-hour alternative definition would
allow for situations where the startup sequence is delayed for
unexpected reasons, but provided assurance that an EGU will not idle at
low load.
---------------------------------------------------------------------------
\13\ See, e.g., EPA-HQ-OAR-2009-0234-20262, EPA-HQ-OAR-2009-
0234-20281, EPA-HQ-OAR-2009-0234-20282.
---------------------------------------------------------------------------
Relative to FBC EGUs, the commenters stated that if limestone is
added too early in the startup sequence, the flame could be
extinguished. According to the commenters, FBC EGUs that inject
limestone must reach a minimum bed temperature of approximately
1,500[deg]F for the limestone to calcine, and, thus, become effective
at reducing acid gases. The commenters stated that these EGUs often
burn coal for about 45 minutes before limestone is added, and
additional time is then required for the bed chemistry to stabilize.
They stated that normally the bed is stable and up to temperature when
approximately 40-percent load is reached. The commenters requested that
the EPA apply the same definition of ``startup'' to FBC EGUs as was
suggested for the other types of EGUs (i.e., 4 hours after 25-percent
load is first achieved, or 12 hours after first electricity generation,
whichever occurs first).\14\
---------------------------------------------------------------------------
\14\ See, e.g., EPA-HQ-OAR-2009-0234-20282.
---------------------------------------------------------------------------
The commenters also provided input on the types of fuels considered
``clean,'' the specifics of startup as related to IGCC EGUs, the use of
diluent caps and sorbent trap monitoring during startup and the
application of the work practice standards to EGUs with a common stack.
The commenters suggested that the EPA should expand the proposed list
of ``clean fuels'' to include biodiesel and other renewable fuels that
meet the 40 CFR Part 80, subpart M, requirements and that biodiesel and
other biofuels be among the clean fuels allowed.\15\ The commenters
stated that it is important that either flaring syngas or routing it to
duct burners remain as options for IGCC EGUs and indicated that flaring
should remain an option for routine startups and shutdowns of IGCC EGUs
and as a viable option for non-routine events such as unit ``trips''
when the combustion turbine cannot combust syngas.\16\
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\15\ See, e.g., EPA-HQ-OAR-2009-0234-20271, EPA-HQ-OAR-2009-
0234-20272, EPA-HQ-OAR-2009-0234-20276, EPA-HQ-OAR-2009-0234-20279,
EPA-HQ-OAR-2009-0234-20282, EPA-HQ-OAR-2009-0234-20295, EPA-HQ-OAR-
2009-0234-20304, EPA-HQ-OAR-2011-0044-5803.
\16\ See, e.g., EPA-HQ-OAR-2009-0234-20243, EPA-HQ-OAR-2009-
0234-20245, EPA-HQ-OAR-2009-0234-20281, EPA-HQ-OAR-2009-0234-20282,
EPA-HQ-OAR-2009-0234-20299.
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The commenters suggested that the EPA should reinstate the use of
the diluent cap and/or provide for a diluent cap for non-mercury
pollutants, as is allowed for Hg in Appendix A of subpart UUUUU. 77 FR
9606. Commenters believed the use of a diluent cap is appropriate when
complying with a heat input-based emission standard because emissions
must be reported during periods of startup and shutdown, and using the
actual carbon dioxide or oxygen concentrations in the stack during
startup and shutdown will, according to the commenters, grossly
overstate emissions, as the initial (or final) concentrations during
those periods are close to ambient levels.\17\ Moreover, because EGU
owners or operators who use CEMS, continuous parameter monitoring
systems (CPMS) or sorbent traps will be required to report emission
rates during periods of startup and shutdown, some commenters
recommended that a default electrical output rate (in terms of
megawatt-hours (MWh) or gigawatt-hours (GWh)) be established for use
during startup and shutdown periods.\18\ According to the commenters,
use of such a default electrical output rate would prevent EGU owners
or operators from reporting infinite emissions, which is what the
commenters state would occur when no (or zero) electrical output for
these periods was placed in the denominator when performing these
calculations. One commenter recommended that an EGU should not have to
sample for Hg with sorbent traps until startup has ended because,
unlike a CEMS, a sorbent trap system collects an integrated sample over
an extended time period and does not provide real-time data.\19\
Therefore, according to the commenter, it is not possible to separate
the Hg compliance data from data collected during startup and shutdown
periods. The commenter noted that although startup and shutdown events
are generally short, if startup and shutdown emissions are included in
the compliance calculations, this could potentially skew the results.
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\17\ See, e.g., EPA-HQ-OAR-2009-0234-20282.
\18\ See, e.g., EPA-HQ-OAR-2009-0234-20282, EPA-HQ-OAR-2009-
0234-20306.
\19\ See, e.g., EPA-HQ-OAR-2009-0234-20308.
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The final rule contains specific requirements for EGUs that use a
common stack (see Sec. 63.10010(a)(2) and (3)). Even with these
requirements, some commenters asserted that the rule does not
adequately account for startup and shutdown periods for individual
EGUs. Some commenters stated that the proposed rule does not resolve
how the startup and shutdown definitions and work practice provisions
apply to EGUs that share a common stack. Several commenters
acknowledged that the work practice standards would be applied
separately on each EGU that shares a common stack, but they argued that
the rule should provide that the numerical emission limits do not apply
[[Page 38005]]
if even one EGU sharing the common stack is starting up or shutting
down.\20\
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\20\ See, e.g., EPA-HQ-OAR-2009-0234-20256, EPA-HQ-OAR-2009-
0234-20277, EPA-HQ-OAR-2009-0234-20281, EPA-HQ-OAR-2009-0234-20282,
EPA-HQ-OAR-2009-0234-20294.
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The EPA requests comment on the information and data provided in
the public comments regarding the startup and shutdown provisions and,
in particular, the commenters' recommendations concerning the
definition of ``startup.'' The EPA requests additional input on the
following startup/shutdown-related issues that were raised by
commenters on the proposed rule:
The use of default diluent gas cap values during periods
of startup and shutdown;
How to calculate startup/shutdown emissions when multiple
affected EGUs share a common stack; and
The use of a default electrical production rate value to
calculate output-based emission limits during startup and shutdown
hours where the electrical load is zero.
In addition, the EPA requests comment on the additional technical
analyses it conducted in response to the above comments concerning the
end of startup. See ``Assessment of startup period at coal-fired
electric generating units'' in Docket ID EPA-HQ-OAR-2009-0234. In this
analysis of EGUs, the EPA examined several indicators that can aid in
assessing the time required to achieve operating benchmarks.
Using these indicators, we found no significant difference in
performance related to startup between the different groups assessed in
this analysis. We believe these results could support defining the end
of startup at coal-fired EGUs as occurring at 25 percent of nameplate
capacity plus 3 hours or the start of electricity generation plus 6
hours, whichever comes first, and we are soliciting comment on the
analysis.
We are only reopening for comment the startup and shutdown issues
described above. We are not seeking comment on any other issues and
will not respond to comments submitted that are outside the scope of
this notice.
List of Subjects in 40 CFR Parts 60 and 63
Environmental protection, Administrative practice and procedure,
Air pollution control, Hazardous substances, Intergovernmental
relations, Reporting and recordkeeping requirements.
Dated: June 18, 2013.
Gina McCarthy,
Assistant Administrator.
[FR Doc. 2013-15146 Filed 6-24-13; 8:45 am]
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