NSPS Residential Wood Heater Recommendations WESTAR Meeting Portland, OR November 18, 2009 Lisa Rector Senior Policy Analyst

Slides:



Advertisements
Similar presentations
Cathy Beahm Technical Assistance Specialist NH DES, Air Resources
Advertisements

U.S. Environmental Protection Agency April 13, 2011 Final Rules to Reduce Air Toxics from Boilers.
Air Pollution Control Program: Proposed Changes Presented to the Air Pollution Control Board April 2009.
National Ambient Air Quality Standards for Particulate Matter; Proposed Rule & 40 CFR Parts 53 and 58 Revisions to Ambient Air Monitoring Regulations;
Biomass - Air Quality  Commercial/Institutional Biomass Boilers (fuels-for-schools)  July, 2008 meeting follow-up  Small Boiler Area Source MACT  Woodstove.
Identification of Non- Hazardous Secondary Materials That Are Solid Wastes EPA Proposed Rule April 30, 2010 Osman Environmental Solutions Harrisburg, PA.
A practical overview from planning to practice on the destruction of methane generated from manure in piggeries. Source: Clean Energy Regulator (CER) July.
1 Hydronic Heaters (HH) Program Update for WESTAR Biomass Workshop 3/18/09.
1 Air Management Programs Legislative Audit Bureau May 2004.
Previous MACT Sub Categories EPA has recognized differences in other industry rules by using sub-categorization: – Differences in processes – Differences.
New Federal Regulations for Internal Combustion Engines Doug Parce.
Combustion Sources. Source: USEPA, APTI, 2012, Combustion Source Evaluation Student Manual.
Recent EPA Regulation Development Presented by Bill Luthans to the 56 th Meeting of the Joint Advisory Committee Meeting for the Improvement of Air Quality.
MCIC Workshop 2012 Complying with NC Air Quality Regulations Boiler MACT/GACT and 112j Steve Schliesser Division of Air Quality Environmental Engineer.
Wes Thornhill, Chief Industrial Chemicals Section Air Division
1 Year in Review: Clean Air Act Presented by: Tom Wood Stoel Rives LLP October 8, 2010 Things Are Getting Really Complicated.
LAQM.PG(S)(09) – new biomass guidance. PG(S)(09) published in February Reflects changes since PG(S)(03) 2003: - biomass burning not a significant issue.
INDUSTRIAL BOILER MACT (40 CFR 63 Subpart DDDDD)
Presentation to Board of Forestry November 29, 2011 Alice Edwards Division of Air Quality Alaska Department of Environmental Conservation
Loss of efficiency during the Refinement Process of fuel Loss of efficiency due to engine Performance limits Loss of efficiency due to car accessories.
Ontario Building Code Revision effective Jan 1, 2015
Bay Area Emission Reduction Strategies June 4, 2008 Jean Roggenkamp Deputy Air Pollution Control Officer Bay Area Air Quality Management District.
Managing Air Quality Data 101 Presented by: Chris Bellusci & Claire Lund, PE (Sanborn Head) International Conference for Environmental.
Emissions Inventory and Air Quality Planning National Urban Air Quality Workshop Lahore, Pakistan December 13, 2004.
Indiana Environmental Health Summit Indiana Department of Environmental Management (IDEM) June 6, 2011 Thomas W. Easterly, P.E., BCEE, QEP Commissioner,
1 Improving Environmental Protection and Reducing Administrative Burden North Carolina Division of Air Quality Improving Environmental Protection and Reducing.
Analysis of Existing and Potential Regulatory Requirements and Emission Control Options for the Silver Lake Power Plant APPA Engineering & Operations Technical.
Emissions Factors Improvement Ron Myers OAQPS/SPPD/MPG 2/13/2008 Revising Critical Components to Streamline and Expand Program Applicability.
Air Quality 101 Kansas Air Quality Program overview.
1 NSPS - REVIEW WESTAR-EPA-HPBA MEETING November , 2009.
Industrial Generation Performance Targets/Goals: » A set of starter methods that are characterized » A grid showing applicability, cost, uncertainty »
BART Control Analysis WESTAR August 31, 2005 EPA Office of Air Quality Planning and Standards Todd Hawes
Working together for clean air Tacoma Clean Air Performance Commitment May 2010.
UTILITY MACT WORKING GROUP STATE AND LOCAL STAKEHOLDER RECOMMENDATIONS.
California Cap on Greenhouse Gas Emissions and Market-Based Compliance Mechanisms Edie Chang California Air Resources Board September 2015 California.
NC Toxic Air Pollutant Reports (pursuant to Session Law ) North Carolina Division of Air Quality Air Quality Committee Meeting January 9, 2013.
Fuels For Schools General Air Quality Considerations Diane R. Lorenzen, P.E. Montana Department of Environmental Quality October 17, 2007.
SCAQMD Air Quality Permitting for Emerging Technologies Jay Chen, P.E. South Coast Air Quality Management District November 4, 2009 Southern California.
Stationary and Area Source Committee Update OTC Committee Meeting September 13, 2012 Washington, D.C. Hall of the States 1.
Setting the scene World Resources Institute Overview of Registries Concepts, Lessons, and Guiding Design Principles Presented by: Pankaj Bhatia, Director,
ANPR: Transition to New or Revised PM NAAQS WESTAR Business Meeting March 2006.
Greenhouse Gas (GHG) Permit Training Other Aspects of PSD Title V Permitting.
Energy Use, Final Demand, 2001 GPI Atlantic. Electricity Use GPI Atlantic.
1 Exceptional Events Rulemaking Proposal General Overview March 1, 2006 US EPA.
Evaluation of Wood Smoke Quantification and Attribution RTF PAC October 17, 2014.
CAA Program Reporting Clarification Regarding Federally-Reportable Violations for Clean Air Act Stationary Sources (March 2010) (FRV Clarification Memo)
Minnesota Pollution Control Agency March 2, 2011 John Seltz.
1 Hydronic Heater (HH) Program Overview for Wood Smoke Workshop 3/2011.
Proposed Carbon Pollution Standard For New Power Plants Presented by Kevin Culligan Office of Air Quality Planning And Standards Office of Air and Radiation.
Air Pollution Control Program Regulation Update Presented to City Council Public Safety and Health Subcommittee Mamie Colburn, M.S, R.S. Missoula.
Pulp & Paper Sector Strategy & New Source Performance Standards Strategy Peter Tsirigotis, Director Sector Policies & Programs Division National Association.
Portland Cement NESHAPs & NSPS, and Related Solid Waste Combustion Rules David L. Jones Eastern Kern APCD November 4, 2011 California Desert Air Working.
Proposed Rulemaking: Additional RACT Requirements for Major Sources of NO x and VOCs (25 Pa. Code Chapters 121 and 129) Environmental Quality Board November.
EPA Pellet Stoves, The Residential Wood Heater NSPS, and the Burn Wise Program Adam Baumgart-Getz Pellet Stove Design Challenge at Brookhaven National.
Residential Wood Pellets: Elemental Composition, Market Analysis and Policy Implications NSPS Educational Forum Minneapolis, MN November 8, 2012 Lisa Rector,
Wood Smoke Pollution Reduction Strategies (WSPRS) FRAMEWORK Recommendations Understanding & Reducing Residential Wood Combustion Emissions: December 1,
BIOENERGY IN ELECTRICITY GENERATION
Complying with Periodic Emissions Monitoring Requirements
The Air Pollution Control Act of 1955
EPA Residential Wood Smoke Programs
NSPS Educational Forum Minneapolis, MN November 8, 2012
Clean Air Act Glossary.
National Education Forum: Residential Wood Heater NSPS Direction
Clean Air Act (CAA) Purpose
Oil and Gas Sector E&P Reporting Protocol
Overview of New Source Review (NSR)
GHG Permitting: Regulatory Update
Boiler Sheltered Initiative
Exceptional Events Rulemaking Proposal
Air Quality Committee May 13, 2015
Presentation transcript:

NSPS Residential Wood Heater Recommendations WESTAR Meeting Portland, OR November 18, 2009 Lisa Rector Senior Policy Analyst

2 Overarching Comments Strongly support a revision Wood heat technology has advanced significantly since EPA’s existing standards were phased-in Address significant issues with existing standard Expand efforts to address non-heaters, other solid fuels and existing inventory Concerns with EPA’s timeline

3 Affected Devices Move away from regulations based on definitions of device type Develop standards that incorporate all solid fuel devices Move away from residential and commercial delineations Regulate based on bins delineated by heat delivered and feeding mechanism  Expand the NSPS for industrial, commercial, and institutional (ICI) boilers to cover all boilers, regardless of size

4 Suggested Regulatory Construct Delivered Heat (Btu output) Automatic feedHand fed <8,000 Btu’sx lb/mmbtu heat output No run to exceed y g/hr x lb/mmbtu heat output No run to exceed y g/hr 8,000-35,000 Btu x lb/mmbtu heat output No run to exceed y g/hr x lb/mmbtu heat output No run to exceed y g/hr 35, ,000 Btux lb/mmbtu heat output No run to exceed y g/hr x lb/mmbtu heat output No run to exceed y g/hr 120,001 – 200,000 x lb/mmbtu heat output No run to exceed y g/hr x lb/mmbtu heat output No run to exceed y g/hr >200,000 x lb/mmbtu heat output No run to exceed y g/hr x lb/mmbtu heat output No run to exceed y g/hr

5 Pollutants Covered Under the Standard Establish standards as mass emissions per unit time for other criteria and air toxic pollutants to include CO, VOCs, NOx, SOx, PAHs, dioxin and mercury Establish emission limits for CO2e and black carbon

6 Fuel Types and Various Devices Expand the regulatory list to include all solid fuels, including coal –likely via a separate listing Develop fuel specifications for manufactured fuels, e.g., wood pellets Ensure that dual fuel units are fully tested for emissions for all possible fuels

7 Testing Method should more closely follow testing requirements under other NSPS regulations Method should follow EPA’s OECA’s policy for testing –“ Facilities are responsible for ensuring compliance with the emission limits under all conditions. Therefore, any stack test that is conducted must demonstrate that a facility is capable of complying with the applicable standards at all times. As a result, a facility should test…. In addition, the facility should use the highest emitting fuel for the pollutant tested or as otherwise justified, and should process material that causes the highest emissions.”

8 Test Method Recommendations The test must represent worst case emission scenarios, including burn rate and fuel type. The test should simulate all operations that are feasible in the real world. The test should continue to measure total particulate matter. The test method should be standardized as much as possible across device types, using the same fuel, fuel configurations, and burn categories. Develop a standardized efficiency test within the revised NSPS.

9 Review of Results Continue with the process of OECA review and approval of certifications. Work with manufacturers to address concerns. Only allow third party process for voluntary programs, and audit results to determine its effectiveness. Incorporate electronic reporting and streamline efforts for providing data to EPA to increase the efficiency of program oversight. Increase OECA’s oversight and audit efforts for this rule.

10 Form of the Standard Use a common metric for emission standards across device types Use a hybrid emission standard that incorporates pollution generated per unit of heat delivered and pollution generated over a period of time Ensure that standards will not result in exposures above a NAAQS Establish (separate) minimum performance standards for combustion efficiency