Tri-State Electric Utility Environmental Conference May 7, 2014 Thomas W. Easterly, P.E., BCEE Commissioner IN Department of Environmental Management 1.

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Presentation transcript:

Tri-State Electric Utility Environmental Conference May 7, 2014 Thomas W. Easterly, P.E., BCEE Commissioner IN Department of Environmental Management 1

IDEM’s Mission Protecting Hoosiers and Our Environment While Becoming the Most Customer-Friendly Environmental Agency IDEM’s mission is to implement federal and state regulations to protect human health and the environment while allowing the environmentally sound operations of industrial, agricultural, commercial and government activities vital to a prosperous economy. 2

How Does IDEM Protect Hoosiers and Our Environment? Develop regulations and issue permits to restrict discharges to environmentally safe levels. Inspect and monitor permitted facilities to ensure compliance with the permits. 3

How Does IDEM Protect Hoosiers and Our Environment? Use compliance assistance and/or enforcement when people exceed their permit levels or violate regulations. Educate people on their environmental responsibilities. Clean up contaminated sites to eliminate public exposure to toxics and return properties to productive use. 4

Performance Metrics March 2014 ResultTargetComments Quality of Hoosiers' Environment % of Hoosiers that live in counties that meet air quality standards 87.64%100%80% Muncie Lead; Ozone in Clark, Floyd, Greene and LaPorte Counties, Sulfur Dioxide in parts of Daviess, Marion, Morgan, Pike and Vigo Counties % of CSO Communities with approved programs to prevent the release of untreated sewage 99.07%100%90% 98+9 (107) out of 99+9 (108). Not Gary % of Hoosiers that receive water from facilities in full compliance with safe drinking water standards 99.87%99%95% Failure to maintain minimum chlorine residual in Gary, Turbidity in Carmel Permitting Efficiency Total calendar days accumulated in issuing environmental permits, as determined by state statute* Land28,76537,24341,624 43,815 statutory Air54,15855,74862,307 65,586 statutory Water23,95844,70249,961 52,590 statutory * Places emphasis on back logged permits Compliance Total percentage of compliance observations from regulated customers within acceptable compliance standards* Inspections96.86%97%75% Self reporting96.48%99%95% Continuous monitoring (COM)99.79%99.9%99.0% * Tracks observations and not just inspections 5

6 Performance Metrics June 2005 Quality of Hoosiers' EnvironmentResultTargetComments % of Hoosiers in counties meeting air quality standards 61%100%80% 12 counties & 2,408,571 of 6,195,643 above standard % of CSO Communities with approved programs to prevent the release of untreated sewage 4%100%20%75% by 2007 is goal Permitting Efficiency Total calendar days accumulated in issuing environmental permits, as determined by state statute* Land 100,01366,56586,864 Air 511,000207,000385,000 Water 301,00048,000200,000 * Places emphasis on back logged permits Compliance Total percentage of compliance observations from regulated customers within acceptable compliance standards* Inspections 95.46%97%75% Self reporting 97.11%99%95% Continuous monitoring (COM) 99.19%99.90%98.95% * Tracks observations and not just inspections Organizational Transformation Budgetary agency dollars spent on key outside contracts for core agency functions. Dollars spent on outside services per year $6,179,367$0$3,447,017

7 Permits--Percent of Statutory Days

Best in NPDES Permitting 8

9 Water Quality Indiana Combined Sewer Overflow Status

10 IDEM Water Initiatives Developing guidance on 316(a) thermal variances. Implementing electronic reporting for DMRs (NetDMR). Developing administratively issued general permits.

NPDES General Permit Update Five permits have been drafted and reviewed by U.S. EPA. –Hydrostatic Testing Water –Sand and Gravel –Noncontact Cooling Water –Petroleum Products Terminals –Ground Water Petroleum Remediation Systems IDEM is scheduling meetings with stakeholders to discuss template and permits. 11

12 Current Air Quality Status At the end of 2009, all of Indiana met every currently effective NAAQS for the first time since NAAQS were established in the 1970’s. IDEM was successful in working with U.S. EPA to have all of the state designated as attainment for those pollutants except: –Clark and Floyd Counties PM 2.5

New Air Quality Standards Since the end of 2009, new air quality standards have resulted in U.S. EPA designating the following new nonattainment areas: –Lake and Porter Counties Ozone (2008 standard) –Lawrenceburg Township (Dearborn County) Ozone –City of Muncie Lead 13

Hour Ozone Design Values Compared to the standard at ppm

New Air Quality Standards All monitors in Indiana currently meet the 100 ppb short term NO 2 standard established in On July 25, 2013, U.S. EPA designated nine townships in five counties as nonattainment for the 1-hour, 75 ppb SO 2 standard established in

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New PM 2.5 Standard The new annual standard is 12 micrograms per cubic meter which is a 20% reduction from the previous 15 micrograms per cubic meter standard. Standard became effective March 18, New nonattainment designations likely in early

Preliminary PM 2.5 Annual Design Values (3-yr Average) Based on * Monitoring Data Standard at 12 µg/m 3 *Data Certified Through November

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Governor Pence’s 2014 Roadmap Increase the speed of business through one-stop permitting. Improve recycling in Indiana through market-based reforms. Implement the first step of a unified, long- term water plan by streamlining Indiana’s water quality permitting responsibilities. 22

Federal Air Initiatives to Watch President’s climate change initiative. –Regulations to reduce greenhouse gas emissions from new and existing power plants. –Mitigation measures. New NSPS limits for wood fueled units including outdoor hydronic heaters. Air pollution issues from downwind states. New ozone standard in

President’s Climate Directives U.S. EPA to issue proposed carbon pollution restrictions for: –New power plants by September 20, –Existing power plants by June 1, 2014, and finalize those restrictions by June 1, States will be required to submit implementation plans under Section 111(d) of the Clean Air Act by June 30,

25 President’s Climate Directives In September, 2013, U.S. EPA proposed New Source Performance Standards (NSPS) for Greenhouse Gas (GHG) Emissions for certain Electric Utility Generating Units (EGUs). - Combined cycle gas turbines will meet the rule. -Coal fired units will not meet the rule without using carbon capture and storage.

26 President’s Climate Directives Carbon capture and storage (CCS): −is not yet commercially available, −has not yet been demonstrated at commercial scale, and −is likely to be prohibitively expensive. Due to the energy used for CCS, the total greenhouse gas emissions per unit of useful energy produced from a coal fired plant using this technology and meeting the lower emission limits will likely be no lower than emissions from a modern plant without CCS.

27 The President’s Climate Directives do not contain any emission reduction goals, however, there are two possibilities: 1.The National Academy of Sciences report, “America’s Climate Choices” recommends that actions be taken now to start reducing U.S. greenhouse gas emissions to levels between 50% and 80% below 1990 levels. 2.The President’s letter after Copenhagen discusses a 17% reduction from 2005 emissions by What are the Goals?

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Percentage Change in CO 2 Emissions from Utilities (2005 – 2012) Decreasing >15% Decreasing 0 – 15% Increasing No Data Location of the State Capitals State Boundaries 30

President’s Climate Directives In the spring of 2012, the Environmental Council of the States (ECOS) passed Resolution 12-1, “Challenges of Achieving Significant Greenhouse Gas (GHG) Emissions Reductions.” A copy of this resolution is available at: 12_1_Challenges_of_GHG_reductions.doc 31 20

32 President’s Climate Directives The resolution requests that the U.S. EPA develop one or more scenarios that will produce an 80% reduction in GHG emissions nationally, from a 2005 baseline, in 2050 or beyond; and to conduct an analysis of the costs and the benefits associated with each such scenario along with an estimate of the costs and benefits of not obtaining these GHG reductions.

33 There is No Comprehensive GHG Plan The President’s plan does not include numerical goals for GHG reductions. U.S. EPA has decided not to spend the resources required to develop the requested scenario, but rather to develop rules to reduce GHG emissions, even if these rules do not materially reduce U.S. emissions. The President’s Climate Directives will change the power plant carbon profile without any public plan to actually reduce U.S. (or world) GHG emissions to the levels advocated by the National Academy of Sciences.

Summary of Concerns There is no clear goal for the President’s Climate Directives. –How will we know when we have achieved success? –How can we develop and evaluate alternative plans to achieve the goal? Since there is no goal, there is no plan to achieve the goal. 34

Summary of Concerns We have started the process of requiring very expensive changes to our electric generating sector with little understanding of how these changes will impact the achievement of the ultimate environmental goal. The increased energy prices caused by these new requirements will have a significant adverse impact on the affordability of electricity and the economies of the states that produce goods and energy. 35

Questions? Tom Easterly Commissioner Indiana Department of Environmental Management (317)