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The world’s leading sustainability consultancy Generic Front Cover What’s this layout for? This is the generic slide front cover, but you can also make a selection from the Minerva Slide Front Cover Library or customise your own front cover by using the Custom Cover Slide from the Slide Bank or Basic Slide set. GHG Emissions – Reporting Woes and Permitting Go’s Jeff Twaddle, P.E. Partner ERM Brentwood, Tennessee

The world’s leading sustainability consultancy Contents What’s this layout for? Formatting for contents slide – this slide has slightly different spacing between lines to emphasise topics Outline How Did We Get Here? Reporting ■Challenges ■Lessons Learned ■Impacts on Permitting Permitting Strategy ■History and Applicability ■Strategy Guidance ■Positive End Pitfalls

The world’s leading sustainability consultancy Contents What’s this layout for? Formatting for contents slide – this slide has slightly different spacing between lines to emphasise topics How Did We Get Here? Mass. v. EPA Johnson Memo Endangerment Finding Light Duty Vehicle Rule Tailoring Rule in effect since January 2, 2011 Most agree that the CAA is the wrong tool GHG permitting remains a legal battleground EPA Permitting Guidance PSD Tailoring Rule

The world’s leading sustainability consultancy Mandatory GHG Reporting Challenges ■Determining Facility Boundaries ■Contractor Sources and/or Data ■Mandatory Measurements for Input Data ■Required Quality Assurance for Measurements ■Adapting to Rule Changes and EPA Guidance ■EPA following up

Applicable to Subparts C, P, Y, etc. Compensate Gas Flow from Actual to Standard Conditions per §98.3(i) Local vs. Remote Location Pressure and Temperature Transmitters Existing Corrections may not be Local Identify Remote Locations Perform Local Measurements Develop Statistical Correlations Lessons Learned for Flow Meter Data

The world’s leading sustainability consultancy GHG MRR Impacts on Permitting PSD Major Source Determination (i.e. PTE >100k tpy CO 2 e) ■Convert actual emissions to potential Emissions ■Can federally enforceable conditions or synthetic limitations be applied to stay minor? ■Tailoring Rule guidance on determining PTE Input Data for Historical GHG Baseline ■Company records versus measured data ■Address changes in measurement accuracy GHG MRR Monitoring and Calculation Methods Compliance Demonstration of GHG BACT Limits

The world’s leading sustainability consultancy Contents What’s this layout for? Formatting for contents slide – this slide has slightly different spacing between lines to emphasise topics Tailoring Rule Applicability “Anyway” projects are those which trigger PSD review for criteria pollutants –75,000 tpy CO 2 e Non-anyway sources trigger PSD review solely for GHG –100,000 tpy CO 2 e NAAQS and Non-attainment New Source Review do not apply to GHG’s New source thresholds and modification thresholds are the same for any project

The world’s leading sustainability consultancy Contents What’s this layout for? Formatting for contents slide – this slide has slightly different spacing between lines to emphasise topics Guiding Principles EPA’s position is that PSD and BACT review processes should remain largely the same… –Actual-to-projected actual applicability test –Netting analysis –Top-Down BACT analysis –PAL’s are available for GHG emissions …but! Several typical PSD elements do not apply or remain unresolved –PSD increment modeling not required (No NAAQS) –Lack of available permitting decisions or RBLC data –Lack of NSPS floor for control selection –Very limited options for add-on control strategies –Consideration of secondary emissions when selecting BACT –Energy Efficiency of non-emission sources (motors, lighting, etc.)

The world’s leading sustainability consultancy Contents What’s this layout for? Formatting for contents slide – this slide has slightly different spacing between lines to emphasise topics Emissions Estimation and Netting Analysis EPA will allow historical CO 2 e to be calculated from past operating data –Be sure to use the same GWP basis for past and future emissions –Emission reductions can only be netted from on-site sources Demand growth exclusion may still be applied –“Reasonable Possibility” under New York v. EPA requires MR&R if the net increase > 50% of PSD applicability –Document! Document! Estimates must be defensible.

The world’s leading sustainability consultancy Contents What’s this layout for? Formatting for contents slide – this slide has slightly different spacing between lines to emphasise topics BACT Essentials BACT must be an emissions limitation –Simple work practice standards are unlikely to satisfy BACT Add-on control options are very limited –EPA’s position (through guidance) is that CCS must be explored in any complete BACT analysis –This is in contrast to their position that CCS will not be a feasible option for the vast majority of projects Inherently Lower-Polluting Processes will be the focus of many BACT determinations Industry-specific guidance tends to blur the line on “redefining the source” At what cost is a project economically infeasible?

The world’s leading sustainability consultancy Contents What’s this layout for? Formatting for contents slide – this slide has slightly different spacing between lines to emphasise topics Energy Efficiency Inherently Lower Polluting Process concept inevitably leads to energy efficiency Clash of paradigms: –Industry: Don’t you think we are as efficient as possible? –EPA: BACT is not based on an ROI, it has a net cost. Fuel selection may be the most effective option for many projects, favoring natural gas Electric efficiency for secondary emissions Benchmark process design efficiency –Claim credit when proposing highly efficient process designs –Identify energy integration efforts

The world’s leading sustainability consultancy Contents What’s this layout for? Formatting for contents slide – this slide has slightly different spacing between lines to emphasise topics Pitfalls Most traditional pollutant control strategies conflict with the energy efficiency goal – Controls have energy penalties, from LNBs to wet scrubbers –Consider energy penalty effects when benchmarking against top-performing similar sources; do they have controls? EPA’s position is that effectiveness should not be taken down to the light bulb level, efforts should be focused on process-level equipment How do you deal with limit on a CO2e/ton product basis is that varies with the production level?

The world’s leading sustainability consultancy Contents What’s this layout for? Formatting for contents slide – this slide has slightly different spacing between lines to emphasise topics Questions? Tim Desselles, P.E Jeff Twaddle, P.E