IDEM Update December 7, 2011 Office of Pollution Prevention & Technical Assistance.

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Presentation transcript:

IDEM Update December 7, 2011 Office of Pollution Prevention & Technical Assistance

THANK YOU to Toyota Industrial Equipment Manufacturing for hosting this meeting!

Partners for Pollution Prevention Interested in joining the Partners? Opportunity to learn from other companies and share successes or lessons learned. Contact Susan Harrington for details

Save the Date! Partners for Pollution Prevention Quarterly Meeting March 7, 2012 Rolls-Royce Corporation - Indianapolis

Partners Recertification Reminder Recertification Forms for calendar year 2011 pollution prevention data - due by July 6, Forms will be ed out in early January. Early submission is appreciated!

IDEM Update New Staff : – Ernie Johnson, Environmental Stewardship Program Coordinator – Meredith Jones, E-waste Coordinator – Missy Shaber, Southeast Regional Office – Krista McKenna, CTAP

Compliance and Technical Assistance Program Stacey Pfeffer Branch Chief

Small Business Regulatory Coordinator Tracks IDEM rulemakings Attends pollution control board meetings Posts monthly summaries of Indiana Register at: Position is currently vacant.

Regulatory and Compliance Update Air – Greenhouse Gas Permitting – Compliance Monitoring Rule Revisions – Air Permitting Rule Revisions Water – General Pesticide Permit Compliance Calendar January – March – Common reports and forms due to IDEM

Greenhouse Gas Permitting GHG includes the following: Carbon dioxide Nitrous oxide Methane Hydrofluorocarbons Perfluorocarbons Sulfur hexafluoride

Greenhouse Gas Permitting Calculating PTE – Carbon dioxide equivalent (CO2e) represents GHGs for permitting purposes. Step 1: multiply the mass amount of emissions in tpy for each of GHGs by the gas’s global warming potential found in 40 CFR 98, Subpart A, Table A-1. Step 2: the sum of each of the gases measured in Step 1 equals your CO2e.

GHG Tailoring Rule January 2, 2011: Existing PSD major sources with an emission increase of any NSR regulated pollutant and PTE ≥75,000 CO2e. New PSD major sources subject to PSD for another NSR regulated pollutant with PTE ≥ 75,000 CO2e. July 1, 2011: PSD major source threshold = PTE ≥ 100,000 CO2e. PSD significant emission increase threshold = PTE ≥75,000 CO2e. Title V required for any source with PTE ≥ 100,000 CO2e. Existing minor sources must take GHG limit by July 1, 2012 to remain minor.

Air Compliance Monitoring Rules Revisions to 326 IAC 3 became effective on September 11, 2011 (LSA # ). Changes include, but are not limited to: – Requires alternative monitoring requests to be approved by the U. S. EPA in addition to IDEM. – Clarified that even if there are no excess emissions or monitor downtime in a reporting period, a report stating that must be submitted. – Added a list of exceptions when the CEMS/COMS is not required to be operating. – Requires supplemental monitoring if a CEMS/COMS is malfunctioning or will be down for calibration, maintenance, or repairs for ≥ 24 hours. – Clarified that emissions testing shall be conducted at 95% capacity or worst case emissions. – Added a requirement to include a summary table comparing test results with emission limits. – Clarifies when condensable PM10 testing is required.

Air Permitting Rules November 2 nd the APCB approved final adoption of the Article 2 - Near Term Rulemaking. Changes include, but are not limited to: – Extended the MPR/MSM timeframe from 45 to 60 days. – Added AA for adding unit of the same type as already permitted to Registrations. – Clarified that removing or reducing monitoring, testing, record keeping, and reporting is a SPR/SPM. – Added language regarding new, alternative testing or compliance monitoring is an AA as long as no new EU or change to operations. – Clarified Woodworking SSOA observations and records required only when venting to the atmosphere. – Clarified PBR must obtain NSR approval first and is not available to major sources subject to a NESHAP. Fees in rule updated to match 2006 APCB action.

NPDES Pesticide General Permit IDEM NPDES Pesticide General Permit for point source discharges from the application of pesticides to waters of the state became effective on October 31, NOI required for the annual treatment of 6,400 acres or more (cumulative for adulticide for the calendar year) – When applied for the control of public health pests that have portion of their life in or above water. – When aerial or ground application of a pesticide over a forest canopy to control pests will unavoidably be applied/deposited to water.

NPDES Pesticide General Permit NOI required for the annual treatment of 80 acres in water or 20 miles of ditch or water’s edge. – When applied for the control of invasive of other nuisance weeds and algae in water and at water’s edge. – When applied for the control of invasive or other nuisance animals in water and at the water’s edge. NOI required for any treatment area if pesticide is applied to outstanding state resource waters designated in 327 IAC , 327 IAC , or 327 IAC

NPDES Pesticide General Permit NOI submittal deadline for all existing discharges from pesticide applications is November 1, For discharges beginning after November 1, 2012, an NOI must be submitted at least 10 days prior to commencement of the pesticide application. Fact Sheet available at:

Compliance Calendar January – March January Jan. 10: Monthly Report of Operation of Water Treatment Plant, form 3609 due. Jan. 15: Solid Waste Quarterly Reports due. Jan. 28: – Quarterly Non-Compliance Report due for delegated water Pretreatment Programs (unless otherwise permitted to submit report in February) – NPDES Monitoring Report forms (MMRs, MROs, CSO-DMRs and DMRs) due for the previous monthly monitoring period.

Compliance Calendar January – March January continued Jan. 30: – Air Quarterly Deviation and Compliance Monitoring Report due for October through December. Check your permit to determine if you are on a quarterly or semi-annual reporting schedule. – Semi-Annual Air Compliance Monitoring Report due for July through December: Check your permit to determine if you are on a quarterly or semi-annual reporting schedule. – Quarterly Air Permit Reports (e.g., usage reports) due for October through December. Jan. 31: – CAIR Energy Efficiency/Renewable Energy Results (EE/RE) for 2010 due.

Compliance Calendar January – March February Feb. 1: *CAIR New Unit Allowance Applications for New Electric Generating Units and New Non Electric Generating Units for the Ozone Season due. (*If cross state air pollution rule (i.e. Transport Rule) is not in effect.) Feb. 10: – Monthly Report of Operation of Water Treatment Plant, form 3609 due. – NPDES Monitoring Report forms (MMRs, MROs, CSO-DMRs and DMRs) due for the previous monthly monitoring period. Feb. 15: Large Quantity Generator annual operation fee due. Feb. 28: Quarterly Non-Compliance Report due for those delegated water Pretreatment Programs allowed to submit in February (otherwise due in January).

Compliance Calendar January – March March March 1: – Annual Manifest Report due for Small Quantity Generators. – Tier II Reports due to the State Emergency Response Commission, the Local Emergency Planning Committee (LEPC), and Fire Department. March 15: NPDES Annual Bills due, or first quarter payment due if paying Annual Bill in quarterly installments.

CTAP Contacts Air/Air Toxics – David McIver/Mark Stoddard Water – Krista McKenna Solid/Hazardous Waste – Hani Sharaya/Susan Lowry NRO – Jim Weingart NWRO – Cathy Csatari SWRO – Dave Abel SERO – Missy Shaber For more information about CTAP or to request assistance go to: Or call us at: (800)