[Federal Register Volume 69, Number 30 (Friday, February 13, 2004)]
[Rules and Regulations]
[Pages 7135-7148]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 04-3227]


-----------------------------------------------------------------------

ENVIRONMENTAL PROTECTION AGENCY

40 CFR Part 60

[FRL-7623-2]


Delegation of Authority to the Washington State Department of 
Ecology, Benton Clean Air Authority, Northwest Air Pollution Authority, 
Olympic Regional Clean Air Agency, Puget Sound Clean Air Agency, 
Spokane County Air Pollution Control Authority, Southwest Clean Air 
Agency, and Yakima Regional Clean Air Authority for New Source 
Performance Standards

AGENCY: Environmental Protection Agency (EPA).

ACTION: Delegation of authority; technical amendment.

-----------------------------------------------------------------------

SUMMARY: The Washington State Department of Ecology (Ecology), Benton 
Clean Air Authority (BCAA), Northwest Air Pollution Authority (NWAPA), 
Olympic Regional Clean Air Agency (ORCAA), Puget Sound Clean Air Agency 
(PSCAA), Spokane County Air Pollution Control Authority (SCAPCA), 
Southwest Clean Air Agency (SWCAA), and Yakima Regional Clean Air 
Authority (YRCAA) have submitted requests for delegation of EPA 
authority for implementation and enforcement of New Source Performance 
Standards (NSPS). The submissions cover new EPA standards and, in some 
instances, revisions to standards previously delegated to these 
agencies. EPA has reviewed the updated regulations and determined that 
these State and local air agencies have adequate and effective 
procedures for the implementation and enforcement of these Federal NSPS 
standards. This action informs the public of delegations to the above-
mentioned State and local air agencies.
    EPA is also making a technical amendment to update the names and 
addresses of the State and local air agencies that have delegation of 
NSPS standards in Washington and to update the informational table that 
shows which NSPS standards have been delegated to State and local 
agencies in Washington. This is a nonregulatory action.

DATES: This rule is effective on February 13, 2004. The dates of 
delegation can be found in the SUPPLEMENTARY INFORMATION section of 
this document.

ADDRESSES: Copies of information relating to this action, including the 
letters requesting and granting delegation, are available for 
inspection during normal business hours at the

[[Page 7136]]

following locations: EPA Region 10, Office of Air Quality (OAQ-107), 
1200 Sixth Avenue, Seattle, Washington 98101. Copies are also available 
at the offices of Ecology and the local air authorities in Washington 
at the addresses identified below in the revisions to 40 CFR 
60.4(b)(WW).

FOR FURTHER INFORMATION CONTACT: Lucita Valiere, EPA Region 10, Office 
of Air Quality (OAQ-107), (206) 553-8087.

SUPPLEMENTARY INFORMATION:

I. Background

    Under section 111 of the Clean Air Act (CAA), EPA is authorized to 
establish new source performance standards (NSPS), which impose Federal 
technology-based requirements on new and modified stationary sources of 
pollution. EPA has developed NSPS standards for numerous source 
categories, which are published at 40 CFR parts 60 and 62. Although EPA 
has responsibility for implementing and enforcing the NSPS regulations, 
section 111(c) authorizes EPA to delegate primary implementation and 
enforcement responsibility to State and local agencies that develop and 
submit to EPA procedures for implementing and enforcing the NSPS where 
EPA determines that such procedures are adequate. Even where EPA has 
delegated primary responsibility for the NSPS to a State or local 
agency, however, EPA retains concurrent authority to enforce the NSPS. 
See CAA sections 111(c)(2) and 113.
    Ecology, BCAA, ORCAA, NWAPA, PSCAA, SCAPCA and SWCAA have had 
delegation of various NSPS for more than a decade. YRCAA had delegation 
of early NSPS standards in the 1970s, but has not requested delegation 
of new or revised standards since that time. In the last two years, all 
of these Washington agencies requested delegation based on 
implementation of State or local rules that adopt by reference more 
current Federal NSPS. EPA approved these requests because these 
agencies meet the requirements for delegation.
    The delegations discussed today are for new and revised NSPS 
effective on or before the dates specified below and in the table at 
the end of this notice. These dates vary by State or local agency and 
NSPS subpart.

II. Terms of Delegations

A. Delegation Letters

1. Ecology
    The delegation of the Federal NSPS to Ecology and the local air 
agencies is subject to the terms and conditions contained in the 
letters from EPA granting the delegation. The letter from EPA granting 
delegation of the identified NSPS standards to Ecology reads as 
follows. Note that the version of Attachment A reprinted below is a 
revised version that accompanied that letter from EPA granting 
delegation to YRCAA and shows the most current delegation status for 
Washington air authorities.

February 5, 2003
Reply To Attn Of: OAQ--107
Ms. Mary E. Burg,
Program Manager, Air Quality Program, Washington State Department of 
Ecology, P.O. Box 47600, Olympia, WA 98504-7600

Re: Clarification of Previously Updated Delegation of Authority for 
New Source Performance Standards

    Dear Ms. Burg: The purpose of this letter is to make minor 
clarifications and corrections to clarify and correct the 
Environmental Protection Agency, Region 10's (EPA) delegation of 
authority to the Washington State Department of Ecology (Ecology) 
for implementing and enforcing New Source Performance Standards, 40 
CFR part 60 (NSPS). EPA's November 20, 2001, delegation letter 
contained minor errors and inconsistencies. Today's letter replaces 
EPA's November 20th letter, and should be your only reference for 
your current NSPS delegation.
    This letter is in response to Ecology's September 5, 2001, 
request for updated delegation of authority to implement and enforce 
the NSPS. EPA has determined that your regulations continue to 
provide adequate and effective procedures for implementing and 
enforcing the NSPS. Accordingly, EPA hereby approves your request 
for an updated delegation of authority to implement and enforce the 
NSPS.
    Ecology's updated delegation of authority covers standards of 
performance promulgated and revised as of the dates specified in 
WAC-173-400-115, filed on August 15, 2001 and effective on September 
15, 2001. Attachment A contains an updated list of NSPS subparts 
delegated to Ecology. New or revised NSPS which become effective 
after the dates cited in the table are not delegated to your agency; 
these remain the responsibility of EPA.
    Consistent with EPA guidance, we are not delegating authorities 
under 40 CFR part 60 that require rulemaking to implement, that 
affect the stringency of the standard, or where national oversight 
is the only way to ensure national consistency. Moreover, some 
sections of 40 CFR part 60 specifically indicate that the authority 
may not be delegated to State and local agencies. Attachment B 
identifies authorities that are excluded from this delegation based 
on these legal and policy criteria.
    With delegation, Ecology becomes the primary implementation and 
enforcement authority for these delegated NSPS standards. You will 
be the recipient of all notifications and reports and be the point 
of contact for questions and compliance issues. Although EPA looks 
to you as the lead for implementing the delegated NSPS, we retain 
authority to enforce any applicable emission standard or 
requirement. EPA will request notifications and reports from 
sources, if needed.
    This delegation is subject to all Federal law and regulations as 
well as EPA policy, guidance, and determinations issued pursuant to 
40 CFR part 60. The following summarizes the conditions and 
limitations of your delegation:
    1. Enforcement of these standards in your jurisdiction will be 
the primary responsibility of your agency. Nevertheless, EPA may 
exercise its concurrent enforcement authority pursuant to section 
113 of the Clean Air Act with respect to sources which are subject 
to the NSPS.
    2. If both a State or local regulation and a Federal regulation 
apply to the same source, both must be complied with, regardless of 
whether the one is more stringent than the other.
    3. The EPA Administrator delegates to the Region 10, Office of 
Air Quality, Director the authority to delegate the NSPS to any 
State or local agency. The State or local agency that receives 
delegation from EPA Region 10 does not have the Federally-recognized 
authority to further delegate the NSPS.
    4. If the Region 10, Office of Air Quality, Director determines 
that your agency's procedure for implementing or enforcing the NSPS 
is inadequate or is not being effectively carried out, this 
delegation may be revoked in whole or in part by written notice of 
the revocation. Any such revocation will be effective as of the date 
specified in the notice.
    5. A new request for delegation will be required for any 
standard not included in this delegation and any standards 
promulgated or revised after the effective date of the Federal rules 
adopted in your regulation. Implementation and enforcement of new or 
revised standards will remain the sole responsibility of EPA, until 
your agency revises your regulations and submits and obtains 
approval of a new delegation request.
    a. Acceptance of this delegation does not commit your agency to 
request or accept delegation of future NSPS standards and 
requirements.
    b. EPA encourages your agency to update your NSPS delegation on 
an annual basis. This could coincide with the updating of the 
adoption by reference of NSPS standards, which is important for 
maintaining EPA approval of your title V operating permit program.
    6. Your agency and EPA should communicate sufficiently to 
guarantee that each is fully informed and current regarding 
interpretation of regulations (including any unique questions about 
applicability) and the compliance status of subject sources in your 
jurisdiction.
    a. Any records or reports provided to or otherwise obtained by 
your agency should be made available to EPA upon request.
    b. In accordance with 40 CFR 60.9, the availability to the 
public of information provided to, or otherwise obtained by EPA in 
connection with this delegation shall be governed by 40 CFR part 2.

[[Page 7137]]

    7. Implementation and enforcement of the delegated NSPS is 
subject to the current Compliance Assurance Agreement for Air 
Quality, signed by both the State and local agencies. This clearly 
defines roles and responsibilities, including timely and appropriate 
enforcement response and the maintenance of the Aerometric 
Information Retrieval System/Aerometric Facility Subsystem (AIRS/
AFS).
    8. Your agency will work with owners and operators of affected 
facilities subject to an NSPS to ensure all required information is 
submitted to your agency. Your assistance is requested to ensure 
that this information--including excess emission reports and 
summaries--is submitted to EPA upon request.
    9. Your agency will ensure that all relevant source information, 
notification, and report information is entered into the AIRS/AFS 
database system in order to meet your record keeping and reporting 
requirements.
    a. The AIR/AFS reporting elements for ``source information'' 
that your agency is expected to provide include, but are not limited 
to:

i. Identification of source
ii. Pollutants regulated
iii. Applicability of subparts
iv. Permit number for specific source or sub-unit
v. Dates of most recent NSPS compliance inspections
vi. Compliance status

    b. The AIR/AFS reporting elements for ``notification and report 
information'' that your agency is expected to provide includes, but 
are not limited to:

i. Notification of commencement of construction or reconstruction
ii. Notification of anticipated and actual start-up
iii. Notification of any physical change to an existing facility 
that may increase the emission rate of any air pollutant to which 
the standard applies
iv. Notification of when continuous opacity monitoring system data 
results will be used to determine compliance with the applicable 
opacity standard during a performance test required by 40 CFR 60.8 
in lieu of Method 9 observation data, as allowed by 40 CFR 
60.11(e)(5)
v. Reports of performance testing results

    10. Your agency will require affected facilities to utilize the 
methods specified in 40 CFR part 60 in performing source tests 
pursuant to the regulations. See 40 CFR 60.8.
    11. Approval of ``major changes,'' equivalent methods, 
alternative methods, and shorter sampling times or volumes is not 
delegated to your agency. Such approvals remain the responsibility 
of EPA. Approval of ``minor'' or ``intermediate'' changes to test 
methods and ``minor'' or ``intermediate'' changes to monitoring is 
delegated to your agency. Definitions and examples of ``major 
changes,'' ``intermediate changes'' and ``minor changes'' are 
provided at the end of Attachment B.
    Your agency must ensure adequate documentation of any changes to 
testing and monitoring methods so that periodic review by EPA can 
confirm that this authority is being exercised correctly. Your 
agency is expected to provide EPA all approvals of minor and 
intermediate changes in testing and monitoring methods, procedures, 
and equipment in your Annual Summary, as agreed upon in the current 
Compliance Assurance Agreement.
    12. Your agency's delegation to implement and enforce NSPS does 
not extend to sources or activities located in Indian Country, as 
defined in 18 U.S.C.1151. Consistent with previous Federal program 
approvals or delegations, EPA will continue to implement the NSPS in 
Indian Country in Washington because your agency did not adequately 
demonstrate authority over sources and activities located within the 
exterior boundaries of Indian reservations and other areas of Indian 
Country. The one exception is within the exterior boundaries of the 
Puyallup Indian Reservation, also known as the 1873 Survey Area. 
Under the Puyallup Tribe of Indians Settlement Act of 1989, 25 
U.S.C. 1773, Congress explicitly provided State and local agencies 
in Washington authority over activities on non-trust lands within 
the 1873 Survey Area. After consulting with the Puyallup Tribe of 
Indians, EPA's delegation in this agreement applies to sources and 
activities on non-trust lands within the 1873 Survey Area. 
Therefore, your agency will implement and enforce the Federal NSPS 
requirements on these non-trust lands of the 1873 Survey Area.
    13. Wherever the Washington Energy Facility Site Evaluation 
Council (EFSEC) has authority over specific sources, local and State 
authorities are not delegated the authority to implement and enforce 
the applicable subparts to those specific sources. However, EFSEC 
has not requested an updated delegation. Therefore, EPA retains the 
authority to implement and enforce the NSPS over these specific 
sources.
    14. As discussed above, EPA guidance does not permit delegation 
to a State or local agency of authorities under 40 CFR part 60 that 
require rulemaking to implement, that affect the stringency of the 
standard, or where national oversight is the only way to ensure 
national consistency. In addition, some sections of 40 CFR part 60 
specifically indicate that the authority may not be delegated.
    Attachment B identifies authorities that are excluded from this 
delegation based on these legal and policy criteria.
    15. As a reminder, the restriction in RCW 43.05 on Ecology's 
issuance of civil penalties does not apply to the NSPS program.
    A notice announcing this delegation will be published in the 
Federal Register in the near future. The notice will inform sources 
in your jurisdiction that all reports pursuant to the Federal NSPS 
should be submitted to your agency only, effective immediately. 
Since this delegation is effective immediately, there is no 
requirement that your agency notify EPA of your acceptance. Unless 
EPA receives a written Notice of Objection within 10 days of the 
receipt of this letter, it will be deemed that your agency has 
accepted all terms of this delegation. If you have any questions, 
please contact Jeff KenKnight at (206) 553-6641 or Lucita Valiere at 
(206) 553-8087.

 Sincerely,

Betty Wiese,

Acting Director, Office of Air Quality.

Attachments:

    A. Updated list of NSPS subparts delegated to Washington air 
agencies
    B. NSPS authorities excluded from delegation

                                            Attachment A.--NSPS Subparts Delegated to Washington Air Agencies
         [Please refer to Attachment B for a list of specific subsections within the identified subparts that are excluded from this delegation]
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                                                    Washington
                                                         -----------------------------------------------------------------------------------------------
                       Subpart \1\                          Ecology
                                                              \2\      BCAA \3\    NWAPA \4\   ORCAA \5\   PSCAA \6\  SCAPCA \7\   SWCAA \8\   YRCAA \9\
--------------------------------------------------------------------------------------------------------------------------------------------------------
A General Provisions....................................          X           X           X           X           X           X           X           X
B Adoption and Submittal of State Plans for Designated    ..........  ..........  ..........  ..........  ..........  ..........  ..........  ..........
 Facilities.............................................
C Emission Guidelines and Compliance Times..............  ..........  ..........  ..........  ..........  ..........  ..........  ..........  ..........
Cb Large Municipal Waste Combustors that are Constructed  ..........  ..........  ..........  ..........  ..........  ..........  ..........  ..........
 on or before September 20, 1994 (Emission Guidelines
 and Compliance Times)..................................
Cc Municipal Solid Waste Landfills (Emission Guidelines   ..........  ..........  ..........  ..........  ..........  ..........  ..........  ..........
 and Compliance Times)..................................
Cd Sulfuric Acid Production Units (Emission Guidelines    ..........  ..........  ..........  ..........  ..........  ..........  ..........  ..........
 and Compliance Times)..................................

[[Page 7138]]

 
Ce Hospital/Medical/Infectious Waste Incinerators         ..........  ..........  ..........  ..........  ..........  ..........  ..........  ..........
 (Emission Guidelines and Compliance Times).............
D Fossil-Fuel-Fired Steam Generators for which                    X           X           X           X           X           X           X           X
 Construction is Commenced after August 17, 1971........
Da Electric Utility Steam Generating Units for which              X           X           X           X           X           X           X           X
 Construction is Commenced after September 18, 1978.....
Db Industrial-Commercial-Institutional Steam Generating           X           X           X           X           X           X           X           X
 Units..................................................
Dc Small Industrial-Commercial-Institutional Steam                X           X           X           X           X           X           X           X
 Generating Units.......................................
E Incinerators..........................................          X           X           X           X           X           X           X           X
Ea Municipal Waste Combustors for which Construction is           X           X           X           X           X           X           X           X
 Commenced after December 20, 1989 and on or before
 September 20, 1994.....................................
Eb Large Municipal Waste Combustors for which                     X           X           X           X           X           X           X           X
 Cnstruction is Commenced after September 20, 1994 or
 for which Modification or Reconstruction is Commenced
 after June 19, 1996....................................
Ec Hospital/Medical/Infectious Waste Incinerators for             X           X           X           X           X           X           X           X
 which Construction is Commenced after June 20, 1996....
F Portland Cement Plants................................          X           X           X           X           X           X           X           X
G Nitric Acid Plants....................................          X           X           X           X           X           X           X           X
H Sulfuric Acid Plants..................................          X           X           X           X           X           X           X           X
I Hot Mix Asphalt Facilities............................          X           X           X           X           X           X           X           X
J Petroleum Refineries..................................          X           X           X           X           X           X           X           X
K Storage Vessels for Petroleum Liquids for which                 X           X           X           X           X           X           X           X
 Construction, Reconstruction, or Modification Commenced
 after June 11, 1973 and prior to May 19, 1978..........
Ka Storage Vessels for Petroleum Liquids for which                X           X           X           X           X           X           X           X
 Construction, Reconstruction, or Modification Commenced
 after May 18, 1978 and prior to July 23, 1984..........
Kb VOC Liquid Storage Vessels (including Petroleum                X           X           X           X           X           X           X           X
 Liquid Storage Vessels) for which Construction,
 Reconstruction, or Modification Commenced after July
 23, 1984...............................................
L Secondary Lead Smelters...............................          X           X           X           X           X           X           X           X
M Secondary Brass and Bronze Production Plants..........          X           X           X           X           X           X           X           X
N Primary Emissions from Basic Oxygen Process Furnaces            X           X           X           X           X           X           X           X
 for which Construction is Commenced after June 11, 1973
Na Secondary Emissions from Basic Oxygen Process Steel-           X           X           X           X           X           X           X           X
 making Facilities for which Construction is Commenced
 after January 20, 1983.................................
O Sewage Treatment Plants...............................          X           X           X           X           X           X           X           X
P Primary Copper Smelters...............................          X           X           X           X           X           X           X           X
Q Primary Zinc Smelters.................................          X           X           X           X           X           X           X           X
R Primary Lead Smelters.................................          X           X           X           X           X           X           X           X
S Primary Aluminum Reduction Plants \10\................          X
T Phosphate Fertilizer Industry: Wet Process Phosphoric           X           X           X           X           X           X           X           X
 Acid Plants............................................
U Phosphate Fertilizer Industry: Superphosphoric Acid             X           X           X           X           X           X           X           X
 Plants.................................................
V Phosphate Fertilizer Industry: Diammonium Phosphate             X           X           X           X           X           X           X           X
 Plants.................................................
W Phosphate Fertilizer Industry: Triple Superphosphate            X           X           X           X           X           X           X           X
 Plants.................................................
X Phosphate Fertilizer Industry: Granular Triple                  X           X           X           X           X           X           X           X
 Superphosphate Storage Facilities......................

[[Page 7139]]

 
Y Coal Preparation Plants...............................          X           X           X           X           X           X           X           X
Z Ferroalloy Production Facilities......................          X           X           X           X           X           X           X           X
AA Steel Plants: Electric Arc Furnaces Constructed after          X           X           X           X           X           X           X           X
 October 21, 1974 and on or before August 17, 1983......
AAa Steel Plants: Electric Arc Furnaces and Argon-Oxygen          X           X           X           X           X           X           X           X
 Decarburization Vessels Constructed after August 7,
 1983...................................................
BB Kraft Pulp Mills \11\................................          X
CC Glass Manufacturing Plants...........................          X           X           X           X           X           X           X           X
DD Grain Elevators......................................          X           X           X           X           X           X           X           X
EE Surface Coating of Metal Furniture...................          X           X           X           X           X           X           X           X
GG Stationary Gas Turbines..............................          X           X           X           X           X           X           X           X
HH Lime Manufacturing Plants............................          X           X           X           X           X           X           X           X
KK Lead-Acid Battery Manufacturing Plants...............          X           X           X           X           X           X           X           X
LL Metallic Mineral Processing Plants...................          X           X           X           X           X           X           X           X
MM Automobile and Light Duty Truck Surface Coating                X           X           X           X           X           X           X           X
 Operations.............................................
NN Phosphate Rock Plants................................          X           X           X           X           X           X           X           X
PP Ammonium Sulfate Manufacture.........................          X           X           X           X           X           X           X           X
QQ Graphic Arts Industry: Publication Rotogravure                 X           X           X           X           X           X           X           X
 Printing...............................................
RR Pressure Sensitive Tape and Label Surface Coating              X           X           X           X           X           X           X           X
 Standards..............................................
SS Industrial Surface Coating: Large Appliances.........          X           X           X           X           X           X           X           X
TT Metal Coil Surface Coating...........................          X           X           X           X           X           X           X           X
UU Asphalt Processing and Asphalt Roof Manufacture......          X           X           X           X           X           X           X           X
VV Equipment Leaks of VOC in Synthetic Organic Chemical           X           X           X           X           X           X           X           X
 Manufacturing Industry.................................
WW Beverage Can Surface Coating Industry................          X           X           X           X           X           X           X           X
XX Bulk Gasoline Terminals..............................          X           X           X           X           X           X           X           X
AAA New Residential Wood Heaters........................  ..........  ..........  ..........  ..........  ..........  ..........  ..........  ..........
BBB Rubber Tire Manufacturing Industry..................          X           X           X           X           X           X           X           X
DDD VOC Emissions from Polymer Manufacturing Industry...          X           X           X           X           X           X           X           X
FFF Flexible Vinyl and Urethane Coating and Printing....          X           X           X           X           X           X           X           X
GGG Equipment Leaks of VOC in Petroleum Refineries......          X           X           X           X           X           X           X           X
HHH Synthetic Fiber Production Facilities...............          X           X           X           X           X           X           X           X
III VOC Emissions from Synthetic Organic Chemical                 X           X           X           X           X           X           X           X
 Manufacturing Industry Air Oxidation Unit Processes....
JJJ Petroleum Dry Cleaners..............................          X           X           X           X           X           X           X           X
KKK Equipment Leaks of VOC from Onshore Natural Gas               X           X           X           X           X           X           X           X
 Processing Plants......................................
LLL Onshore Natural Gas Processing:SO2 Emissions........          X           X           X           X           X           X           X           X
NNN VOC Emissions from Synthetic Organic Chemical                 X           X           X           X           X           X           X           X
 Manufacturing Industry Distillation Operations.........
OOO Nonmetallic Mineral Processing Plants...............  ..........  ..........          X   ..........          X   ..........          X   ..........
PPP Wool Fiberglass Insulation Manufacturing Plants.....          X           X           X           X           X           X           X           X
QQQ VOC Emissions from Petroleum Refinery Wastewater              X           X           X           X           X           X           X           X
 Systems................................................
RRR VOCs from Synthetic Organic Chemical Manufacturing            X           X           X           X           X           X           X           X
 Industry Reactor Processes.............................
SSS Magnetic Tape Coating Facilities....................          X           X           X           X           X           X           X           X
TTT Industrial Surface Coating: Surface Coating of                X           X           X           X           X           X           X           X
 Plastic Parts for Business Machines....................
UUU Calciners and Dryers in Mineral Industries..........          X           X           X           X           X           X           X           X

[[Page 7140]]

 
VVV Polymeric Coating of Supporting Substrates                    X           X           X           X           X           X           X           X
 Facilities.............................................
WWW Municipal Solid Waste Landfills.....................          X           X           X           X           X           X           X           X
AAAA Small Municipal Waste Combustion Units for which             X           X   ..........          X           X           X   ..........          X
 Construction is Commenced after August 30, 1999 or for
 which Modification or Reconstruction is Commenced after
 June 6, 2001...........................................
BBBB Small Municipal Waste Combustion Units Constructed   ..........  ..........  ..........  ..........  ..........  ..........  ..........  ..........
 on or before August 30, 1999 (Emission Guidelines and
 Compliance Times)......................................
CCCC Commercial and Industrial Solid Waste Incineration           X           X   ..........          X           X           X   ..........          X
 Units for which Construction is Commenced after
 November 30, 1999 or for which Modification or
 Reconstruction is Commenced on or after June 1, 2001...
DDDD Commercial and Industrial Solid Waste Incineration   ..........  ..........  ..........  ..........  ..........  ..........  ..........  ..........
 Units that Commenced Construction on or before November
 30, 1999 (Emission Guidelines and Compliance Times)....
--------------------------------------------------------------------------------------------------------------------------------------------------------
\1\ Any authority within any subpart of this part that is not delegable, is not delegated.
\2\ Washington State Department of Ecology, for 40 CFR 60.17(h)(1), (h)(2), (h)(3) and 40 CFR part 60, subpart AAAA, as in effect on June 6, 2001; for
  40 CFR part 60, subpart CCCC, as in effect on June 1, 2001; and for all other NSPS delegated, as in effect February 20, 2001.
\3\ Benton Clean Air Authority, for 40 CFR 60.17(h)(1), (h)(2), (h)(3) and 40 CFR part 60, subpart AAAA, as in effect on June 6, 2001; for 40 CFR part
  60, subpart CCCC, as in effect on June 1, 2001; and for all other NSPS delegated, as in effect February 20, 2001.
\4\ Northwest Air Pollution Authority, for all NSPS delegated, as in effect on July 1, 2000.
\5\ Olympic Regional Clean Air Authority, for 40 CFR 60.17(h)(1), (h)(2), (h)(3) and 40 CFR part 60, subpart AAAA, as in effect on June 6, 2001; for 40
  CFR part 60, subpart CCCC, as in effect on June 1, 2001; and for all other NSPS delegated, as in effect February 20, 2001.
\6\ Puget Sound Clean Air Authority, for all NSPS delegated, as in effect on July 1, 2002.
\7\ Spokane County Air Pollution Control Authority, for 40 CFR 60.17(h)(1), (h)(2), (h)(3) and 40 CFR part 60, subpart AAAA, as in effect on June 6,
  2001; for 40 CFR part 60, subpart CCCC, as in effect on June 1, 2001; and for all other NSPS delegated, as in effect February 20, 2001.
\8\ Southwest Clean Air Agency, for all NSPS delegated, as in effect on July 1, 2000.
\9\ Yakima County Clean Air Authority, for 40 CFR 60.17(h)(1), (h)(2), (h)(3) and 40 CFR part 60, subpart AAAA, as in effect on June 6, 2001; for 40 CFR
  part 60, subpart CCCC, as in effect on June 1, 2001; and for all other NSPS delegated, as in effect February 20, 2001.
\10\ Subpart S of this part is not delegated to local agencies in Washington because the Washington State Department of Ecology retains sole authority
  to regulate Primary Aluminum Plants, pursuant to Washington Administrative Code 173-415-010.
\11\ Subpart BB of this part is not delegated to local agencies in Washington because the Washington State Department of Ecology retains sole authority
  to regulate Kraft and Sulfite Pulping Mills, pursuant to Washington State Administrative Code 173-405-012 and 173-410-012.

Attachment B--NSPS Authorities Excluded From Delegation

    EPA guidance permits delegation to a State or local agency of 
all the EPA Administrator's authorities under 40 CFR part 60 except 
those that require rulemaking to implement, that affect the 
stringency of the standard, or where national oversight is the only 
way to ensure national consistency. In addition, some sections of 40 
CFR part 60 specifically indicate that the authority may not be 
delegated. Listed below are authorities that are excluded from this 
delegation based on the legal and policy criteria discussed above.
    Statutory Authorities:

----------------------------------------------------------------------------------------------------------------
 
----------------------------------------------------------------------------------------------------------------
Section 111(h)(3) of Clean Air Act..................  Equivalency Determinations--Approval of alternatives to
                                                       any design, equipment, work practice, or operational
                                                       standard [e.g., 40 CFR 60.114(a) and 60.302(d)(3)] is
                                                       accomplished through the rulemaking process and is
                                                       adopted as a change to the individual subpart. This
                                                       authority may not be delegated.
Section 111(j) of Clean Air Act.....................  Innovative Technology Waivers--Innovative technology
                                                       waivers must be adopted as site-specific amendments to
                                                       the individual subpart. The authority to grant waivers is
                                                       not delegated. However, agencies may be delegated the
                                                       authority to enforce any waivers granted by the EPA.
----------------------------------------------------------------------------------------------------------------

    General Provisions Authorities:

----------------------------------------------------------------------------------------------------------------
                       Section                                                Authorities
----------------------------------------------------------------------------------------------------------------
60.8(b)(2), 60.8(b)(3) (partial limitation).........  Approval of ``Major Change to Test Methods'' (See below
                                                       for definition and examples).
                                                      (Note: Any references to the authority in section 60.8(b)
                                                       are reminders of the provisions of section 60.8 and are
                                                       not separate authorities which can be delegated.)
60.9................................................  Availability of Information Procedure for EPA--not
                                                       applicable to State/local agencies.
60.11(b) (partial limitation).......................  Approval of ``Major Change to Test Methods''--alternative
                                                       to ``Method 9'' test method.
60.11(e)(7), 60.11(e)(8)............................  Approval of Alternative Opacity Standard.

[[Page 7141]]

 
60.13(a) (partial limitation).......................  Approval of ``Major Change to Monitoring'' (See below for
                                                       definition and examples)--specification of continuous
                                                       monitoring systems requirements.
60.13(d)(2) (partial limitation)....................  Approval of ``Major Change to Monitoring''--continuous
                                                       opacity monitoring systems.
60.13(g)(1).........................................  Approval of installation of fewer monitoring systems when
                                                       one affected facility/source vents through more than one
                                                       point (this is a major change to monitoring).
60.13(i) (partial limitation).......................  Approval of ``Major Change to Monitoring''.
----------------------------------------------------------------------------------------------------------------

     Specific Subpart Authorities (the following list does not 
include approving alternative standards or major changes to test 
methods or monitoring, which are discussed above):

----------------------------------------------------------------------------------------------------------------
                       Section                                                Authorities
----------------------------------------------------------------------------------------------------------------
                                                      Note: Subpart B and Subparts C, Cb, Cc, Cd, Ce-- Use of
                                                       term ``Administrator'' in these subparts refers only to
                                                       EPA Administrator.
 
                                                      Note: Subparts C, Cb, Cc, Cd, Ce--These subparts are
                                                       emission guidelines and compliance times for large
                                                       municipal waste combustors, municipal solid waste
                                                       landfills, sulfuric acid production units, and hospital/
                                                       medical/infectious waste units. They are the basis for
                                                       State control plans developed in accordance with Sections
                                                       111(d) and 129 of the Clean Air Act. Enforcement of these
                                                       subparts require submission of a plan to EPA for
                                                       approval.
                                                      Subpart Da--Fossil Fuel-Fired Steam Generators for Which
                                                       Construction Is Commenced After August 17, 1971.
60.45a..............................................  Approval of emerging technology.
                                                      Subpart Db--Industrial-Commercial-Institutional Steam
                                                       Generating Units.
60.44b(f)...........................................  Approval of site-specific nitrogen oxide limit for sources
                                                       combusting byproduct/waste or hazardous waste with
                                                       natural gas or oil.
60.44b(g)...........................................  Approval of waiver of nitrogen oxide limit for sources
                                                       burning hazardous waste with natural gas or oil.
60.49b(a)(4)........................................  Approval of emerging technology.
                                                      Subpart Dc--Small Industrial-Commercial-Institutional
                                                       Steam Generating Units.
60.48c(a)(4)........................................  Approval of emerging technology.
                                                      Subpart Ec--Hospital/Medical/Infectious Waste Incinerators
                                                       for Which Construction Is Commenced After June 20, 1996.
60.56c(i)...........................................  Alternative site-specific operating parameters.
Plus................................................  Any other approval of alternative compliance demonstration
                                                       (specifically restricted by 60.51c(i), therefore not
                                                       limited to ``major changes'').
                                                      Subpart J--Petroleum Refineries.
60.105(a)(13)(iii)..................................  Alternative monitoring methods.
60.106(i)(12).......................................  Alternative method of determining compliance.
                                                      Subpart Ka--Storage Vessels for Petroleum Liquids for
                                                       Which Construction, Reconstruction, or Modification
                                                       Commenced After May 18, 1978 and Prior to July 23, 1984.
60.114a.............................................  Alternative means of limiting emissions.
                                                      Subpart Kb--Volatile Organic Liquid Storage Vessels
                                                       (Including Petroleum Liquid Storage Vessels) for Which
                                                       Construction, Reconstruction, or Modification Commenced
                                                       After July 23, 1984.
60.111b(f)(4).......................................  Alternative maximum true vapor pressure.
60.114b.............................................  Alternative means of limiting emissions.
60.116b(e)(3)(iii)..................................  Alternative measure of vapor pressure.
60.116b(e)(3)(iv)...................................  Alternative calculation of vapor pressure.
60.116b(f)(2)(iii)..................................  Alternative measure of vapor pressure.
                                                      Subpart O--Sewage Treatment Plans.
60.153(e)...........................................  Plan for monitoring and recording incinerator and control
                                                       device operation parameters.
                                                      Subpart S--Primary Aluminum Plants.
60.194(d)...........................................  Alternative testing requirements (less frequently).
                                                      Note: Washington law gives Ecology sole authority to
                                                       regulate Kraft and Sulfite Mills (WAC 173-405-012 and 173-
                                                       410-012) on a State-wide basis. Therefore, local agencies
                                                       in Washington are not delegated Subpart S.
 
                                                      Subpart BB--Kraft Pulp Mills.
                                                      Note: Washington law gives Ecology sole authority to
                                                       regulate Primary Aluminum Plants (WAC 173-415-010) on a
                                                       State-wide basis. Therefore, local agencies in Washington
                                                       are not delegated subpart BB.
                                                      Subpart DD--Grain Elevators.
60.302(d)(3)........................................  Alternative particulate matter emission controls.
                                                      Subpart EE--Surface Coating of Metal Furniture.
60.313(c)(1)(i)(B)..................................  Alternative transfer efficiencies.
                                                      Subpart GG--Stationary Gas Turbines.
60.332(a)(3)........................................  Development of customized factors--fuel nitrogen content.
60.335(f)(1)........................................  Development of customized factors--adjusting nitrogen
                                                       oxides emission level based on ambient air conditions.
                                                      Subpart MM--Automobile and Light Duty Truck Surface
                                                       Coating Operations.
60.393(c)(1)(i)(C)..................................  Approval of alternative transfer coefficients.
60.398..............................................  Innovative Technology Waivers.
                                                      Subpart RR--Pressure Sensitive Tape and Label Surface
                                                       Coating Operations.
60.446(c)...........................................  Approval of testing of representative number of stacks
                                                       rather than all stacks.
                                                      Subpart SS--Industrial Surface Coating: Large Appliances.
60.453(b)...........................................  Alternative procedures for estimating transfer
                                                       efficiencies, volume of coating.
60.456(d)...........................................  Approval of testing of representative number of stacks
                                                       rather than all stacks.
                                                      Subpart TT--Metal Coil Surface Coating.
60.466(d)...........................................  Approval of testing of representative number of stacks
                                                       rather than all stacks.

[[Page 7142]]

 
                                                      Subpart UU--Asphalt Processing and Asphalt Roofing
                                                       Manufacture.
60.472(b)(5)........................................  Refers to 60.474(g).
60.474(g)...........................................  Alternative opacity standard.
                                                      Subpart VV--Equipment Leaks of VOC in the Synthetic
                                                       Organic Chemicals Manufacturing Industry.
60.482-1(c)(2)......................................  Approval of alternative/equivalent means of emission
                                                       limitation.
60.484..............................................  Approval of alternative/equivalent means of emission
                                                       limitation.
                                                      Subpart WW--Beverage Can Surface Coating Industry
                                                       Alternative Method for Determining Fraction of VOC
                                                       Emitted.
60.493(b)(2)(i)(A), 60.496(c).......................  Shorter sampling times and approval of testing of
                                                       representative number of stacks rather than all stacks.
                                                      Subpart XX--Bulk Gasoline Terminals.
60.502(e)(6)........................................  Approval of alternative procedures for gasoline tank truck
                                                       loading.
                                                      Subpart AAA--New Residential Wood Heaters.
                                                      Note: Entire Subpart AAA may not be delegated. (Wood
                                                       Heater Program is administered entirely by EPA HQ. States
                                                       can create rules that impose additional requirements for
                                                       wood-burning appliances as part of their SIPs.)
                                                      Subpart BBB--Rubber Tire Manufacturing Industry.
60.543(c)(2)(ii)(B).................................  Approval of alternative test method--determining fraction
                                                       of VOC at affected facility.
                                                      Subpart DDD--Volatile Organic Compound Emissions (VOC)
                                                       From the Polymer Manufacturing Industry.
60.562-2(c).........................................  Approval of alternative method of emission limitation.
                                                      Subpart GGG--Equipment Leaks of VOC in Petroleum
                                                       Refineries.
60.592(c)...........................................  Approval of alternative method of emission limitation.
                                                      Subpart III--VOC Emissions From the Synthetic Organic
                                                       Chemical Manufacturing Industry (SOCMI) Air Oxidation
                                                       Unit Processes.
60.613(f)...........................................  Demonstration of compliance for use of other control
                                                       devices.
                                                      Subpart JJJ--Petroleum Dry Cleaners.
60.623..............................................  Equivalent equipment and procedures.
                                                      Subpart KKK--Equipment Leaks of VOC From Onshore Natural
                                                       Gas Processing Plants.
60.632(c)...........................................  Alternative means of emission limitation.
60.634..............................................  Alternative means of emission limitation.
                                                      Subpart NNN--VOC Emissions From the Synthetic Organic
                                                       Chemical Manufacturing Industry (SOCMI) Distillation
                                                       Operations.
60.663(f)...........................................  Demonstration of compliance for use of other control
                                                       devices.
                                                      Subpart QQQ--VOC Emissions From Petroleum Refinery
                                                       Wastewater Systems.
60.694..............................................  Permission to use alternative means of emission
                                                       limitation.
                                                      Subpart RRR--VOC Emissions From the Synthetic Organic
                                                       Chemical Manufacturing Industry (SOCMI) Reactor
                                                       Processes.
60.703(e)...........................................  Approval of use of control devices not described in
                                                       regulation.
                                                      Subpart SSS--Magnetic Tape Coating Facilities.
60.711(a)(16).......................................  Alternative temporary enclosure.
60.713(b)(1)(i).....................................  Approval of measured value for RSi.
60.713(b)(1)(ii)....................................  Approval of measurement techniques.
60.713(b)(5)(i).....................................  Approval of total enclosure.
60.713(d)...........................................  Necessary operating specifications.
60.715(a)...........................................  Plant coating formulation data equivalent to Method 24.
60.716..............................................  Alternative means of limiting emissions.
                                                      Subpart TTT--Industrial Surface Coating: Surface Coating
                                                       of Plastic Parts of Business Machines.
60.723(b)(1)........................................  Alternative test method--other than Method 24.
60.723(b)(2)(i)(C)..................................  Alternative transfer efficiencies.
60.723(b)(2)(iv)....................................  Determination of compliance--facilities using add-on
                                                       controls.
60.724(e)...........................................  Alternative recordkeeping and reporting--facilities using
                                                       add-on controls.
60.725(b)...........................................  Alternative test methods--to determine VOC content of
                                                       coating.
                                                      Subpart VVV--Polymeric Coatings of Supporting Substrates
                                                       Facilities.
60.743(a)(3)(v)(A)..................................  Approval of measured value for RSi.
60.743(a)(3)(v)(B)..................................  Approval of measured value for RSi.
60.743(e)...........................................  Approval of use of control device other than absorber,
                                                       condenser, incinerator.
60.745(a)...........................................  Approval of coating formulation data equivalent to Method
                                                       24.
60.746 (also as referred to by 60.743(b)(1))........  Permission to use alternative means of emission
                                                       limitation.
                                                      Subpart WWW--Municipal Solid Waste Landfills.
60.752(b)(2)(i)(C), (D) and 60.759(a)...............  Approval of alternative collection and control system
                                                       design plan.
60.754(a)(5)........................................  Approval of alternative methods for determining NMOC
                                                       concentration or a site-specific k.
60.756(d)...........................................  Approval of monitoring methods for operators seeking to
                                                       comply with standards using something other than an open
                                                       flare or an enclosed combustor.
60.756(e)...........................................  Approval of monitoring methods for operators installing
                                                       alternative collection systems.
                                                      Subpart CCCC--New Commercial and Industrial Solid Waste
                                                       Incineration Units.
60.2025.............................................  Approval of petition for exemption.
60.2100(b)(2).......................................  Approval to continue operation.
60.2115.............................................  Approval of petition for specific operating parameters.
Also: (60.2110).....................................  Approval of alternatives to the emission limitations in
                                                       Table 1 and operating limits established under 60.2110.
                                                      Note: Subparts BBBB and DDDD are guidelines, not
                                                       standards.
 
                                                      Additionally, EPA does not delegate any authority for
                                                       which sections of 40 CFR part 60 specifically indicate
                                                       that the authority may not be delegated.
----------------------------------------------------------------------------------------------------------------


[[Page 7143]]

    Changes to Monitoring and Test Methods (based on definitions in 
40 CFR 63.91(a), which are also used for purposes of delegation 
under 40 CFR part 60 as provided in ``How To Review and Issue Clean 
Air Act Applicability Determinations and Alternative Monitoring: New 
Source Performance Standards and National Emission Standards for 
Hazardous Air Pollutants,'' February 1999):
    Intermediate change to monitoring means a modification to 
federally required monitoring involving ``proven technology'' 
(generally accepted by the scientific community as equivalent or 
better) that is applied on a site-specific basis and that may have 
the potential to decrease the stringency of the compliance and 
enforcement measures for the relevant standard. Though site-
specific, an intermediate decrease may set a national precedent for 
a source category and may ultimately result in a revision to the 
federally required monitoring. Examples of intermediate changes to 
monitoring include, but are not limited to:
    (1) Use of a continuous emission monitoring system (CEMS) in 
lieu of a parameter monitoring approach;
    (2) Decreased frequency for non-continuous parameter monitoring 
or physical inspections;
    (3) Changes to quality control requirements for parameter 
monitoring; and
    (4) Use of an electronic data reduction system in lieu of manual 
data reduction.
    Intermediate change to a test method means a within-method 
modification to a federally enforceable test method involving 
``proven technology'' (generally accepted by the scientific 
community as equivalent or better) that is applied on a site-
specific basis and that may have the potential to decrease the 
stringency of the associated emission limitation or standard. Though 
site-specific, an intermediate change may set a national precedent 
for a source category and may ultimately result in a revision to the 
federally enforceable test method. In order to be approved, an 
intermediate change must be validated according to EPA Method 301 
(Part 63, Appendix A) to demonstrate that it provides equal or 
improved accuracy and precision. Examples of intermediate changes to 
a test method include, but are not limited to:
    (1) Modifications to a test method's sampling procedure 
including substitution of sampling equipment that has been 
demonstrated for a particular sample matrix, and use of a different 
impinger absorbing solution;
    (2) Changes in sample recovery procedures and analytical 
techniques, such as changes to sample holding times and use of a 
different analytical finish with proven capability for the analyte 
of interest; and
    (3) ``Combining'' a federally required method with another 
proven method for application to processes emitting multiple 
pollutants.
    Major change to monitoring means a modification to federally 
required monitoring that uses ``unproven technology or procedures'' 
(not generally accepted by the scientific community) or is an 
entirely new method (sometimes necessary when the required 
monitoring is unsuitable). A major change to monitoring may be site-
specific or may apply to one or more source categories and will 
almost always set a national precedent. Examples of major changes to 
monitoring include, but are not limited to:
    (1) Use of a new monitoring approach developed to apply to a 
control technology not contemplated in the applicable regulation;
    (2) Use of a predictive emission monitoring system (PEMS) in 
place of a required continuous emission monitoring system (CEMS);
    (3) Use of alternative calibration procedures that do not 
involve calibration gases or test cells;
    (4) Use of an analytical technology that differs from that 
specified by a performance specification;
    (5) Decreased monitoring frequency for a continuous emission 
monitoring system, continuous opacity monitoring system, predictive 
emission monitoring system, or continuous parameter monitoring 
system;
    (6) Decreased monitoring frequency for a leak detection and 
repair program; and
    (7) Use of alternative averaging times for reporting purposes.
    Major change to recordkeeping/reporting means:
    (1) A modification to federally required recordkeeping or 
reporting that:
    (i) May decrease the stringency of the required compliance and 
enforcement measures for the relevant standards;
    (ii) May have national significance (e.g., might affect 
implementation of the applicable regulation for other affected 
sources, might set a national precedent); or
    (iii) Is not site-specific.
    (2) Examples of major changes to recordkeeping and reporting 
include, but are not limited to:
    (i) Decreases in the record retention for all records;
    (ii) Waiver of all or most recordkeeping or reporting 
requirements;
    (iii) Major changes to the contents of reports; or
    (iv) Decreases in the reliability of recordkeeping or reporting 
(e.g., manual recording of monitoring data instead of required 
automated or electronic recording, or paper reports where electronic 
reporting may have been required).
    Major change to test method means a modification to a federally 
enforceable test method that uses ``unproven technology or 
procedures'' (not generally accepted by the scientific community) or 
is an entirely new method (sometimes necessary when the required 
test method is unsuitable). A major change to a test method may be 
site-specific, or may apply to one or more sources or source 
categories, and will almost always set a national precedent. In 
order to be approved, a major change must be validated according to 
EPA Method 301 (Part 63, Appendix A). Examples of major changes to a 
test method include, but are not limited to:
    (1) Use of an unproven analytical finish;
    (2) Use of a method developed to fill a test method gap;
    (3) Use of a new test method developed to apply to a control 
technology not contemplated in the applicable regulation; and
    (4) Combining two or more sampling/analytical methods (at least 
one unproven) into one for application to processes emitting 
multiple pollutants.
    Minor change to monitoring means:
    (1) A modification to federally required monitoring that:
    (i) Does not decrease the stringency of the compliance and 
enforcement measures for the relevant standard;
    (ii) Has no national significance (e.g., does not affect 
implementation of the applicable regulation for other affected 
sources, does not set a national precedent, and individually does 
not result in a revision to the monitoring requirements); and
    (iii) Is site-specific, made to reflect or accommodate the 
operational characteristics, physical constraints, or safety 
concerns of an affected source.
    (2) Examples of minor changes to monitoring include, but are not 
limited to:
    (i) Modifications to a sampling procedure, such as use of an 
improved sample conditioning system to reduce maintenance 
requirements;
    (ii) Increased monitoring frequency; and
    (iii) Modification of the environmental shelter to moderate 
temperature fluctuation and thus protect the analytical 
instrumentation.
    Minor change to recordkeeping/reporting means:
    (1) A modification to federally required recordkeeping or 
reporting that:
    (i) Does not decrease the stringency of the compliance and 
enforcement measures for the relevant standards;
    (ii) Has no national significance (e.g., does not affect 
implementation of the applicable regulation for other affected 
sources, does not set a national precedent, and individually does 
not result in a revision to the recordkeeping or reporting 
requirement); and
    (iii) Is site-specific.
    (2) Examples of minor changes to recordkeeping or reporting 
include, but are not limited to:
    (i) Changes to recordkeeping necessitated by alternatives to 
monitoring;
    (ii) Increased frequency of recordkeeping or reporting, or 
increased record retention periods;
    (iii) Increased reliability in the form of recording monitoring 
data, e.g., electronic or automatic recording as opposed to manual 
recording of monitoring data;
    (iv) Changes related to compliance extensions granted pursuant 
to Sec. 63.6(i);
    (v) Changes to recordkeeping for good cause shown for a fixed 
short duration, e.g., facility shutdown;
    (vi) Changes to recordkeeping or reporting that are clearly 
redundant with equivalent recordkeeping/reporting requirements; and
    (vii) Decreases in the frequency of reporting for area sources 
to no less than once a year for good cause shown, or for major 
sources to no less than twice a year as required by title V, for 
good cause shown.
    Minor change to test method means:
    (1) A modification to a federally enforceable test method that:
    (i) Does not decrease the stringency of the emission limitation 
or standard;

[[Page 7144]]

    (ii) Has no national significance (e.g., does not affect 
implementation of the applicable regulation for other affected 
sources, does not set a national precedent, and individually does 
not result in a revision to the test method); and
    (iii) Is site-specific, made to reflect or accommodate the 
operational characteristics, physical constraints, or safety 
concerns of an affected source.
    (2) Examples of minor changes to a test method include, but are 
not limited to:
    (i) Field adjustments in a test method's sampling procedure, 
such as a modified sampling traverse or location to avoid 
interference from an obstruction in the stack, increasing the 
sampling time or volume, use of additional impingers for a high 
moisture situation, accepting particulate emission results for a 
test run that was conducted with a lower than specified temperature, 
substitution of a material in the sampling train that has been 
demonstrated to be more inert for the sample matrix; and
    (ii) Changes in recovery and analytical techniques such as a 
change in quality control/quality assurance requirements needed to 
adjust for analysis of a certain sample matrix.


    Note: The authority to approve decreases in sampling times and 
volumes when necessitated by process variables has typically been 
delegated in conjunction with the minor changes to test methods, but 
these types of changes are not included within the scope of minor 
changes. See Memorandum from John S. Seitz, Director OAQPS, 
Delegation of 40 CFR part 63 General Provisions Authorities to State 
and Local Air Pollution Control Agencies, July 10, 1998.

2. Local Air Authorities
    The terms and conditions of the letters delegating authority to 
BCAA, NWAPA, ORCAA, PSCAA, SCAPCA, SWCAA, and YRCAA including 
Attachments A and B to the letters, are the same in the Ecology 
delegation letter with the following exceptions:
    a. The NSPS delegated and the dates of the NSPS that are delegated 
vary. Attachment A to the Ecology letter identifies the NSPS subparts 
delegated to each agency and the date of the NSPS.
    b. Only PSCAA, along with Ecology, has delegation of authority over 
sources and activities on non-trust land within the 1873 Survey Area of 
the Puyallup Indian Reservation.
    c. Based on an opinion letter from an attorney for PSCAA, EPA has 
determined that the restriction on the issuance of civil penalties in 
Chapter 43.05 of the Revised Code of Washington (RCW), often referred 
to as ``House Bill 1010,'' does not apply to local air authorities in 
Washington.
    Copies of the delegation letters can be obtained by contacting EPA 
at the address above.

B. Effective Date of Delegations

    The letters granting delegation to these State and local air 
agencies specify that the updated delegations of the identified NSPS 
are effective November 20, 2001 for Ecology, BCAA, and SWCAA; February 
5, 2002 for ORCAA; February 5, 2003, for NWAPA, PSCAA, and SCAPCA; and 
December 15, 2003, 2003, for YRCAA. The letters specified that the 
delegations were effective immediately as of the signature date of the 
letters and that if the recipient agency did not agree to the terms of 
the delegation, they could submit a written Notice of Objection within 
10 days of the receipt of the letter and EPA would withdraw delegation. 
No agency submitted a Notice of Objection.

C. Submission of Notices and Reports

    All reports required to be submitted to EPA pursuant to the Federal 
NSPS from sources located within Washington, except for sources in 
Indian Country \1\ and sources regulated by the EFSEC, should be 
submitted to Ecology or the local agency that has delegation for the 
relevant NSPS standard at the address set forth in 40 CFR 60.4(b)(WW). 
All reports required to be submitted pursuant to the Federal NSPS from 
sources located in Indian Country in Washington and sources regulated 
by the EFSEC should be submitted to EPA Region 10, Director, Office of 
Air Quality, OAQ-107, 1200 Sixth Avenue, Seattle, WA 98101.
---------------------------------------------------------------------------

    \1\ As discussed in the delegation letters for Ecology and 
PSCAA, Ecology and PSCAA have delegation of the identified NSPS for 
sources located on non-trust lands within the 1873 Survey Area of 
the Puyallup Indian Reservation, also known as the 1873 Survey Area. 
Therefore, these sources should send all required NSPS notices to 
Ecology or PSCAA, as appropriate.
---------------------------------------------------------------------------

III. Conclusion

    EPA is notifying the public of recent updates to NSPS delegations 
for Ecology, BCAA, NWAPA, ORCAA, PSCAA, SCAPCA, SWCAA, and YRCAA. These 
actions are already final and were granted by letters from the 
Director, Office of Air Quality, EPA, Region 10, to the air program 
directors at Ecology, BCAA, NWAPA, ORCAA, PSCAA, SCAPCA, SWCAA, and 
YRCAA. These delegations are subject to all EPA policy, guidance and 
determinations issued pursuant to 40 CFR Part 60 and to the conditions 
in the letters granting the delegation.
    The table in paragraph 40 CFR 60.4(b)(WW)(ix) is being revised to 
show the specific NSPS subparts delegated to each Washington air 
agency. The names and addresses of the delegated Washington State and 
local air agencies are also being revised to reflect current 
information.

IV. Statutory and Executive Order Reviews

    Under Executive Order 12866 (58 FR 51735, October 4, 1993), this 
action is not a ``significant regulatory action'' and therefore is not 
subject to review by the Office of Management and Budget. For this 
reason, this action is also not subject to Executive Order 13211, 
``Actions Concerning Regulations That Significantly Affect Energy 
Supply, Distribution, or Use'' (66 FR 28355, May 22, 2001). The 
Administrator certifies that this rule will not have a significant 
economic impact on a substantial number of small entities under the 
Regulatory Flexibility Act (5 U.S.C. 601 et seq.). This rule does not 
contain any unfunded mandate or significantly or uniquely affect small 
governments, as described in the Unfunded Mandates Reform Act of 1995 
(Pub. L. 104-4).
    This rule also does not have tribal implications because it will 
not have a substantial direct effect on one or more Indian tribes, on 
the relationship between the Federal Government and Indian tribes, or 
on the distribution of power and responsibilities between the Federal 
Government and Indian tribes, as specified by Executive Order 13175 (65 
FR 67249, November 9, 2000). This action also does not have Federalism 
implications because it does not have substantial direct effects on the 
States, on the relationship between the national government and the 
States, or on the distribution of power and responsibilities among the 
various levels of government, as specified in Executive Order 13132 (64 
FR 43255, August 10, 1999). This action does not alter the relationship 
or the distribution of power and responsibilities established in the 
Clean Air Act. This rule also is not subject to Executive Order 13045 
``Protection of Children from Environmental Health Risks and Safety 
Risks'' (62 FR 19885, April 23, 1997), because it is not economically 
significant.
    The requirements of section 12(d) of the National Technology 
Transfer and Advancement Act of 1995 (15 U.S.C. 272 note) do not apply. 
This rule does not impose an information collection burden under the 
provisions of the Paperwork Reduction Act of 1995 (44 U.S.C. 3501 et 
seq.).
    The Congressional Review Act, 5 U.S.C. 801 et seq., as added by the 
Small Business Regulatory Enforcement Fairness Act of 1996, generally 
provides that before a rule may take effect, the agency promulgating 
the rule must submit a rule report, which includes a

[[Page 7145]]

copy of the rule, to each House of the Congress and to the Comptroller 
General of the United States. EPA will submit a report containing this 
rule and other required information to the U.S. Senate, the U.S. House 
of Representatives, and the Comptroller General of the United States 
prior to publication of the rule in the Federal Register. A major rule 
cannot take effect until 60 days after it is published in the Federal 
Register. This action is not a ``major rule'' as defined by 5 U.S.C. 
804(2).
    Under section 307(b)(1) of the Clean Air Act, petitions for 
judicial review of this action must be filed in the United States Court 
of Appeals for the appropriate circuit by April 13, 2004. Filing a 
petition for reconsideration by the Administrator of this final rule 
does not affect the finality of this rule for the purposes of judicial 
review nor does it extend the time within which a petition for judicial 
review may be filed, and shall not postpone the effectiveness of such 
rule or action. This action may not be challenged later in proceedings 
to enforce its requirements. (See section 307(b)(2).)

List of Subjects in 40 CFR Part 60

    Administrative practice and procedure, Air pollution control, 
Aluminum, Ammonium sulfate plants, Batteries, Beverages, Carbon 
monoxide, Cement industry, Chemicals, Coal, Copper, Dry cleaners, 
Electric power plants, Fertilizers, Fluoride, Gasoline, Glass and glass 
products, Grains, Graphic arts industry, Heaters, Household appliances, 
Insulation, Intergovernmental relations, Iron, Labeling, Lead, Lime, 
Metallic and nonmetallic mineral processing plants, Metals, Motor 
vehicles, Natural gas, Nitric acid plants, Nitrogen dioxide, Paper and 
paper products industry, Particulate matter, Paving and roofing 
materials, Petroleum, Phosphate, Plastics materials and synthetics, 
Polymers, Reporting and recordkeeping requirements, Sewage disposal, 
Steel, Sulfur oxides, Sulfuric acid plants, Tires, Urethane, Vinyl, 
Volatile organic compounds, Waste treatment and disposal, Zinc.

    Dated: January 29, 2004.
L. John Iani,
Regional Administrator, Region 10.

0
Part 60, chapter I, title 40 of the Code of Federal Regulations is 
amended as follows:

PART 60--[AMENDED]

0
1. The authority citation for part 60 continues to read as follows:

    Authority: 42 U.S.C. 7401 et seq.

Subpart A--General Provisions

0
2. Section 60.4 is amended by revising paragraph (b)(WW) to read as 
follows:


Sec. 60.4  Addresses.

* * * * *
    (b) * * *
    (WW) State of Washington. (i) Washington State Department of 
Ecology (Ecology), P.O. Box 47600, Olympia, WA 98504-7600, http://www.ecy.wa.gov/
    (ii) Benton Clean Air Authority (BCAA), 650 George Washington Way, 
Richland, WA 99352-4289, http://www.bcaa.net/
    (iii) Northwest Air Pollution Control Authority (NWAPA), 1600 South 
Second St., Mount Vernon, WA 98273-5202, http://www.nwair.org/
    (iv) Olympic Regional Clean Air Agency (ORCAA), 909 Sleater-Kinney 
Road S.E., Suite 1, Lacey, WA 98503-1128, http://www.orcaa.org/
    (v) Puget Sound Clean Air Agency (PSCAA), 110 Union Street, Suite 
500, Seattle, WA 98101-2038, http://www.pscleanair.org/
    (vi) Spokane County Air Pollution Control Authority (SCAPCA), West 
1101 College, Suite 403, Spokane, WA 99201, http://www.scapca.org/
    (vii) Southwest Clean Air Agency (SWCAA), 1308 NE. 134th St., 
Vancouver, WA 98685-2747, http://www.swcleanair.org/
    (viii) Yakima Regional Clean Air Authority (YRCAA), 6 South 2nd 
Street, Suite 1016, Yakima, WA 98901, http://co.yakima.wa.us/cleanair/default.htm
    (ix) The following table lists the delegation status of the New 
Source Performance Standards for the State of Washington. An ``X'' 
indicates the subpart has been delegated, subject to all the conditions 
and limitations set forth in Federal law and the letters granting 
delegation. Some authorities cannot be delegated and are retained by 
EPA. Refer to the letters granting delegation for a discussion of these 
retained authorities. The dates noted at the end of the table indicate 
the effective dates of Federal rules that have been delegated. 
Authority for implementing and enforcing any amendments made to these 
rules after these effective dates are not delegated.

                                                   NSPS Subparts Delegated to Washington Air Agencies
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                                                    Washington
                                                         -----------------------------------------------------------------------------------------------
                       Subpart \1\                          Ecology
                                                              \2\      BCAA \3\    NWAPA \4\   ORCAA \5\   PSCAA \6\  SCAPCA \7\   SWCAA \8\   YRCAA \9\
--------------------------------------------------------------------------------------------------------------------------------------------------------
A General Provisions....................................          X           X           X           X           X           X           X           X
B Adoption and Submittal of State Plans for Designated    ..........  ..........  ..........  ..........  ..........  ..........  ..........  ..........
 Facilities.............................................
C Emission Guidelines and Compliance Times..............  ..........  ..........  ..........  ..........  ..........  ..........  ..........  ..........
Cb Large Municipal Waste Combustors that are Constructed  ..........  ..........  ..........  ..........  ..........  ..........  ..........  ..........
 on or before September 20, 1994 (Emission Guidelines
 and Compliance Times)..................................
Cc Municipal Solid Waste Landfills (Emission Guidelines   ..........  ..........  ..........  ..........  ..........  ..........  ..........  ..........
 and Compliance Times)..................................
Cd Sulfuric Acid Production Units (Emission Guidelines    ..........  ..........  ..........  ..........  ..........  ..........  ..........  ..........
 and Compliance Times)..................................
Ce Hospital/Medical/Infectious Waste Incinerators         ..........  ..........  ..........  ..........  ..........  ..........  ..........  ..........
 (Emission Guidelines and Compliance Times).............
D Fossil-Fuel-Fired Steam Generators for which                    X           X           X           X           X           X           X           X
 Construction is Commenced after August 17, 1971........
Da Electric Utility Steam Generating Units for which              X           X           X           X           X           X           X           X
 Construction is Commenced after September 18, 1978.....

[[Page 7146]]

 
Db Industrial-Commercial-Institutional Steam Generating           X           X           X           X           X           X           X           X
 Units..................................................
Dc Small Industrial-Commercial-Institutional Steam                X           X           X           X           X           X           X           X
 Generating Units.......................................
E Incinerators..........................................          X           X           X           X           X           X           X           X
Ea Municipal Waste Combustors for which Construction is           X           X           X           X           X           X           X           X
 Commenced after December 20, 1989 and on or before
 September 20, 1994.....................................
Eb Large Municipal Waste Combustors for which                     X           X           X           X           X           X           X           X
 Construction is Commenced after September 20, 1994 or
 for which Modification or Reconstruction is Commenced
 after June 19, 1996....................................
Ec Hospital/Medical/Infectious Waste Incinerators for             X           X           X           X           X           X           X           X
 which Construction is Commenced after June 20, 1996....
F Portland Cement Plants................................          X           X           X           X           X           X           X           X
G Nitric Acid Plants....................................          X           X           X           X           X           X           X           X
H Sulfuric Acid Plants..................................          X           X           X           X           X           X           X           X
I Hot Mix Asphalt Facilities............................          X           X           X           X           X           X           X           X
J Petroleum Refineries..................................          X           X           X           X           X           X           X           X
K Storage Vessels for Petroleum Liquids for which                 X           X           X           X           X           X           X           X
 Construction, Reconstruction, or Modification Commenced
 after June 11, 1973 and prior to May 19, 1978..........
Ka Storage Vessels for Petroleum Liquids for which                X           X           X           X           X           X           X           X
 Construction, Reconstruction, or Modification Commenced
 after May 18, 1978 and prior to July 23, 1984..........
Kb VOC Liquid Storage Vessels (including Petroleum                X           X           X           X           X           X           X           X
 Liquid Storage Vessels) for which Construction,
 Reconstruction, or Modification Commenced after July
 23, 1984...............................................
L Secondary Lead Smelters...............................          X           X           X           X           X           X           X           X
M Secondary Brass and Bronze Production Plants..........          X           X           X           X           X           X           X           X
N Primary Emissions from Basic Oxygen Process Furnaces            X           X           X           X           X           X           X           X
 for which Construction is Commenced after June 11, 1973
Na Secondary Emissions from Basic Oxygen Process Steel-           X           X           X           X           X           X           X           X
 making Facilities for which Construction is Commenced
 after January 20, 1983.................................
O Sewage Treatment Plants...............................          X           X           X           X           X           X           X           X
P Primary Copper Smelters...............................          X           X           X           X           X           X           X           X
Q Primary Zinc Smelters.................................          X           X           X           X           X           X           X           X
R Primary Lead Smelters.................................          X           X           X           X           X           X           X           X
S Primary Aluminum Reduction Plants \10\................          X   ..........  ..........  ..........  ..........  ..........  ..........  ..........
T Phosphate Fertilizer Industry: Wet Process Phosphoric           X           X           X           X           X           X           X           X
 Acid Plants............................................
U Phosphate Fertilizer Industry: Superphosphoric Acid             X           X           X           X           X           X           X           X
 Plants.................................................
V Phosphate Fertilizer Industry: Diammonium Phosphate             X           X           X           X           X           X           X           X
 Plants.................................................
W Phosphate Fertilizer Industry: Triple Superphosphate            X           X           X           X           X           X           X           X
 Plants.................................................
X Phosphate Fertilizer Industry: Granular Triple                  X           X           X           X           X           X           X           X
 Superphosphate Storage Facilities......................
Y Coal Preparation Plants...............................          X           X           X           X           X           X           X           X
Z Ferroalloy Production Facilities......................          X           X           X           X           X           X           X           X
AA Steel Plants: Electric Arc Furnaces Constructed after          X           X           X           X           X           X           X           X
 October 21, 1974 and on or before August 17, 1983......
AAa Steel Plants: Electric Arc Furnaces and Argon-Oxygen          X           X           X           X           X           X           X           X
 Decarburization Vessels Constructed after August 7,
 1983...................................................
BB Kraft Pulp Mills \11\................................          X   ..........  ..........  ..........  ..........  ..........  ..........  ..........
CC Glass Manufacturing Plants...........................          X           X           X           X           X           X           X           X

[[Page 7147]]

 
DD Grain Elevators......................................          X           X           X           X           X           X           X           X
EE Surface Coating of Metal Furniture...................          X           X           X           X           X           X           X           X
GG Stationary Gas Turbines..............................          X           X           X           X           X           X           X           X
HH Lime Manufacturing Plants............................          X           X           X           X           X           X           X           X
KK Lead-Acid Battery Manufacturing Plants...............          X           X           X           X           X           X           X           X
LL Metallic Mineral Processing Plants...................          X           X           X           X           X           X           X           X
MM Automobile and Light Duty Truck Surface Coating                X           X           X           X           X           X           X           X
 Operations.............................................
NN Phosphate Rock Plants................................          X           X           X           X           X           X           X           X
PP Ammonium Sulfate Manufacture.........................          X           X           X           X           X           X           X           X
QQ Graphic Arts Industry: Publication Rotogravure                 X           X           X           X           X           X           X           X
 Printing...............................................
RR Pressure Sensitive Tape and Label Surface Coating              X           X           X           X           X           X           X           X
 Standards..............................................
SS Industrial Surface Coating: Large Appliances.........          X           X           X           X           X           X           X           X
TT Metal Coil Surface Coating...........................          X           X           X           X           X           X           X           X
UU Asphalt Processing and Asphalt Roof Manufacture......          X           X           X           X           X           X           X           X
VV Equipment Leaks of VOC in Synthetic Organic Chemical           X           X           X           X           X           X           X           X
 Manufacturing Industry.................................
WW Beverage Can Surface Coating Industry................          X           X           X           X           X           X           X           X
XX Bulk Gasoline Terminals..............................          X           X           X           X           X           X           X           X
AAA New Residential Wood Heaters........................
BBB Rubber Tire Manufacturing Industry..................          X           X           X           X           X           X           X           X
DDD VOC Emissions from Polymer Manufacturing Industry...          X           X           X           X           X           X           X           X
FFF Flexible Vinyl and Urethane Coating and Printing....          X           X           X           X           X           X           X           X
GGG Equipment Leaks of VOC in Petroleum Refineries......          X           X           X           X           X           X           X           X
HHH Synthetic Fiber Production Facilities...............          X           X           X           X           X           X           X           X
III VOC Emissions from Synthetic Organic Chemical                 X           X           X           X           X           X           X           X
 Manufacturing Industry Air Oxidation Unit Processes....
JJJ Petroleum Dry Cleaners..............................          X           X           X           X           X           X           X           X
KKK Equipment Leaks of VOC from Onshore Natural Gas               X           X           X           X           X           X           X           X
 Processing Plants......................................
LLL Onshore Natural Gas Processing: SO2 Emissions.......          X           X           X           X           X           X           X           X
NNN VOC Emissions from Synthetic Organic Chemical                 X           X           X           X           X           X           X           X
 Manufacturing Industry Distillation Operations.........
OOO Nonmetallic Mineral Processing Plants...............  ..........  ..........          X   ..........          X   ..........          X   ..........
PPP Wool Fiberglass Insulation Manufacturing Plants.....          X           X           X           X           X           X           X           X
QQQ VOC Emissions from Petroleum Refinery Wastewater              X           X           X           X           X           X           X           X
 Systems................................................
RRR VOCs from Synthetic Organic Chemical Manufacturing            X           X           X           X           X           X           X           X
 Industry Reactor Processes.............................
SSS Magnetic Tape Coating Facilities....................          X           X           X           X           X           X           X           X
TTT Industrial Surface Coating: Surface Coating of                X           X           X           X           X           X           X           X
 Plastic Parts for Business Machines....................
UUU Calciners and Dryers in Mineral Industries..........          X           X           X           X           X           X           X           X
VVV Polymeric Coating of Supporting Substrates                    X           X           X           X           X           X           X           X
 Facilities.............................................
WWW Municipal Solid Waste Landfills.....................          X           X           X           X           X           X           X           X
AAAA Small Municipal Waste Combustion Units for which             X           X   ..........          X           X           X   ..........          X
 Construction is Commenced after August 30, 1999 or for
 which Modification or Reconstruction is Commenced after
 June 6, 2001...........................................
BBBB Small Municipal Waste Combustion Units Constructed   ..........  ..........  ..........  ..........  ..........  ..........  ..........  ..........
 on or before August 30, 1999 (Emission Guidelines and
 Compliance Times)......................................

[[Page 7148]]

 
CCCC Commercial and Industrial Solid Waste Incineration           X           X   ..........          X           X           X   ..........          X
 Units for which Construction is Commenced after
 November, 30, 1999 or for which Modification or
 Reconstruction is Commenced on or after June 1, 2001...
DDDD Commercial and Industrial Solid Waste Incineration   ..........  ..........  ..........  ..........  ..........  ..........  ..........  ..........
 Units that Commenced Construction on or before November
 30, 1999 (Emission Guidelines and Compliance Times)....
--------------------------------------------------------------------------------------------------------------------------------------------------------
\1\ Any authority within any subpart of this part that is not delegable, is not delegated. Please refer to Attachment B to the delegation letters for a
  listing of the NSPS authorities excluded from delegation.
\2\ Washington State Department of Ecology, for 40 CFR 60.17(h)(1), (h)(2), (h)(3) and 40 CFR part 60, subpart AAAA, as in effect on June 6, 2001; for
  40 CFR part 60, subpart CCCC, as in effect on June 1, 2001; and for all other NSPS delegated, as in effect February 20, 2001.
\3\ Benton Clean Air Authority, for 40 CFR 60.17(h)(1), (h)(2), (h)(3) and 40 CFR part 60, subpart AAAA, as in effect on June 6, 2001; for 40 CFR part
  60, subpart CCCC, as in effect on June 1, 2001; and for all other NSPS delegated, as in effect February 20, 2001.
\4\ Northwest Air Pollution Authority, for all NSPS delegated, as in effect on July 1, 2000.
\5\ Olympic Regional Clean Air Authority, for 40 CFR 60.17(h)(1), (h)(2), (h)(3) and 40 CFR part 60, subpart AAAA, as in effect on June 6, 2001; for 40
  CFR part 60, subpart CCCC, as in effect on June 1, 2001; and for all other NSPS delegated, as in effect February 20, 2001.
\6\ Puget Sound Clean Air Authority, for all NSPS delegated, as in effect on July 1, 2002.
\7\ Spokane County Air Pollution Control Authority, for 40 CFR 60.17(h)(1), (h)(2), (h)(3) and 40 CFR part 60, subpart AAAA, as in effect on June 6,
  2001; for 40 CFR part 60, subpart CCCC, as in effect on June 1, 2001; and for all other NSPS delegated, as in effect February 20, 2001.
\8\ Southwest Clean Air Agency, for all NSPS delegated, as in effect on July 1, 2000.
\9\ Yakima Regional Clean Air Authority, for 40 CFR 60.17(h)(1), (h)(2), (h)(3) and 40 CFR part 60, subpart AAAA, as in effect on June 6, 2001; for 40
  CFR part 60, subpart CCCC, as in effect on June 1, 2001; and for all other NSPS delegated, as in effect February 20, 2001.
\10\ Subpart S of this part is not delegated to local agencies in Washington because the Washington State Department of Ecology retains sole authority
  to regulate Primary Aluminum Plants, pursuant to Washington Administrative Code 173-415-010.
\11\ Subpart BB of this part is not delegated to local agencies in Washington because the Washington State Department of Ecology retains sole authority
  to regulate Kraft and Sulfite Pulping Mills, pursuant to Washington State Administrative Code 173-405-012 and 173-410-012.

* * * * *
[FR Doc. 04-3227 Filed 2-12-04; 8:45 am]
BILLING CODE 6560-50-P