[Federal Register Volume 83, Number 95 (Wednesday, May 16, 2018)]
[Notices]
[Pages 22668-22678]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2018-10463]



[[Page 22668]]

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ENVIRONMENTAL PROTECTION AGENCY

[FRL-9977-73-OECA]


Applicability Determination Index (ADI) Data System Recent 
Posting: Agency Applicability Determinations, Alternative Monitoring 
Decisions, and Regulatory Interpretations Pertaining to Standards of 
Performance for New Stationary Sources, Emission Guidelines and Federal 
Plan Requirements for Existing Sources, National Emission Standards for 
Hazardous Air Pollutants, and the Stratospheric Ozone Protection 
Program

AGENCY: Environmental Protection Agency (EPA).

ACTION: Notice of availability.

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SUMMARY: This notice announces applicability determinations, 
alternative monitoring decisions, and regulatory interpretations that 
EPA has made with regard to the New Source Performance Standards 
(NSPS); the National Emission Standards for Hazardous Air Pollutants 
(NESHAP); the Emission Guidelines and Federal Plan Requirements for 
existing sources; and/or the Stratospheric Ozone Protection Program.

FOR FURTHER INFORMATION CONTACT: An electronic copy of each complete 
document posted on the Applicability Determination Index (ADI) data 
system is available on the internet through the Resources and Guidance 
Documents for Compliance Assistance page of the Clean Air Act 
Compliance Monitoring website under ``Air'' at: https://www2.epa.gov/compliance/resources-and-guidance-documents-compliance-assistance. The 
letters and memoranda on the ADI may be located by author, date, office 
of issuance, subpart, citation, control number, or by string word 
searches. For questions about the ADI or this notice, contact Maria 
Malave at EPA by phone at: (202) 564-7027, or by email at: 
[email protected]. For technical questions about individual 
applicability determinations or monitoring decisions, refer to the 
contact person identified in the individual documents, or in the 
absence of a contact person, refer to the author of the document.

SUPPLEMENTARY INFORMATION:

Background

    The General Provisions of the NSPS in 40 Code of Federal 
Regulations (CFR) part 60 and the General Provisions of the NESHAP in 
40 CFR part 61 provide that a source owner or operator may request a 
determination of whether certain intended actions constitute the 
commencement of construction, reconstruction, or modification. 40 CFR 
60.5 and 61.06. The General Provisions in part 60 also apply to Federal 
and EPA-approved state plans for existing sources in 40 CFR part 62. 
See 40 CFR 62.02(b)(2). The EPA's written responses to inquiries on 
provisions in parts 60, 61 and 62 are commonly referred to as 
applicability determinations. Although the NESHAP part 63 regulations 
[which include Maximum Achievable Control Technology (MACT) standards 
and/or Generally Available Control Technology (GACT) standards] contain 
no specific regulatory provision providing that sources may request 
applicability determinations, the EPA also responds to written 
inquiries regarding applicability for the part 63 regulations. In 
addition, the General Provisions in part 60 and 63 allow sources to 
seek permission to use monitoring or recordkeeping that is different 
from the promulgated requirements. See 40 CFR 60.13(i), 61.14(g), 
63.8(b)(1), 63.8(f), and 63.10(f). The EPA's written responses to these 
inquiries are commonly referred to as alternative monitoring decisions. 
Furthermore, the EPA responds to written inquiries about the broad 
range of regulatory requirements in 40 CFR parts 60 through 63 as they 
pertain to a whole source category. These inquiries may pertain, for 
example, to the type of sources to which the regulation applies, or to 
the testing, monitoring, recordkeeping, or reporting requirements 
contained in the regulation. The EPA's written responses to these 
inquiries are commonly referred to as regulatory interpretations.
    The EPA currently compiles EPA-issued NSPS and NESHAP applicability 
determinations, alternative monitoring decisions, and regulatory 
interpretations, and posts them to the ADI on a regular basis. In 
addition, the ADI contains EPA-issued responses to requests pursuant to 
the stratospheric ozone regulations, contained in 40 CFR part 82. The 
ADI is a data system on the internet with over three thousand EPA 
letters and memoranda pertaining to the applicability, monitoring, 
recordkeeping, and reporting requirements of the NSPS, NESHAP, emission 
guidelines and Federal Plans for existing sources, and stratospheric 
ozone regulations. Users can search for letters and memoranda by date, 
office of issuance, subpart, citation, control number, or by string 
word searches.
    Today's notice comprises a summary of 54 such documents added to 
the ADI on April 24, 2018. This notice lists the subject and header of 
each letter and memorandum, as well as a brief abstract of the letter 
or memorandum. Complete copies of these documents may be obtained from 
the ADI on the internet through the Resources and Guidance Documents 
for Compliance Assistance page of the Clean Air Act Compliance 
Monitoring website under ``Air'' at: https://www2.epa.gov/compliance/resources-and-guidance-documents-compliance-assistance.

Summary of Headers and Abstracts

    The following table identifies the database control number for each 
document posted on the ADI data system on April 24, 2018; the 
applicable category; the section(s) and/or subpart(s) of 40 CFR part 
60, 61, 62, or 63 (as applicable) addressed in the document; and the 
title of the document, which provides a brief description of the 
subject matter.
    Also included is an abstract of each document identified with its 
control number after the table. These abstracts are provided solely to 
alert the public to possible items of interest and are not intended as 
substitutes for the contents of the documents. This notice does not 
change the status of any document with respect to whether it is ``of 
nationwide scope or effect'' for purposes of CAA section 307(b)(1). For 
example, this notice does not convert an applicability determination 
for a particular source into a nationwide rule. Neither does it purport 
to make a previously non-binding document binding.

                                  ADI Determinations Uploaded on April 24, 2018
----------------------------------------------------------------------------------------------------------------
        Control No.                      Categories                     Subparts                  Title
----------------------------------------------------------------------------------------------------------------
1600019....................  NSPS.............................  A, TTTT................  Applicability
                                                                                          Determination for
                                                                                          Stationary Combustion
                                                                                          Turbine.
FP00003....................  Federal Plan.....................  LLL, EEE...............  Alternative Monitoring
                                                                                          Plan at Sewage Sludge
                                                                                          Incinerator.
1700003....................  NSPS.............................  WWW....................  Alternative Tier 2
                                                                                          Testing Methodology
                                                                                          for MSW Landfill.
1700004....................  NSPS, MACT, NESHAP...............  Kb, UUUU...............  Applicability
                                                                                          Determination for Two
                                                                                          Carbon Disulfide
                                                                                          Storage Tanks.

[[Page 22669]]

 
1700005....................  NSPS, MACT.......................  Ja, CC.................  Applicability
                                                                                          Determination to
                                                                                          Determine if
                                                                                          Compliance with 40 CFR
                                                                                          63.670 Triggers 40 CFR
                                                                                          60 NSPS Subpart Ja for
                                                                                          Flares.
FP00004....................  Federal Plan.....................  LLL....................  Applicability
                                                                                          Determination for
                                                                                          Sewage Sludge
                                                                                          Gasifier.
1700008....................  NSPS.............................  A, Appen...............  Relative Accuracy Test
                                                                                          Audit Frequency for
                                                                                          Carbon Monoxide CEMS.
1700010....................  NSPS.............................  CCCC, EEEE.............  Applicability
                                                                                          Determination for
                                                                                          Gasification Unit.
1700011....................  Federal Plan, NSPS...............  GGG, WWW...............  Request for Removal of
                                                                                          Landfill Gas
                                                                                          Collection and Control
                                                                                          System.
1700012....................  NSPS.............................  A, J...................  Applicability
                                                                                          Determination for
                                                                                          Flare at Hydrogen
                                                                                          Reformer Facility.
1700014....................  NSPS.............................  OOOOa..................  Applicability
                                                                                          Determination for Well
                                                                                          Completion Operations.
1700015....................  NSPS.............................  KKKK...................  Regulatory
                                                                                          Interpretation for
                                                                                          Emissions Reporting at
                                                                                          Combustion Turbine.
1700016....................  NSPS.............................  J, Ja..................  Alternative Monitoring
                                                                                          Plan for Hydrogen
                                                                                          Sulfide in Temporary
                                                                                          Tank Degassing Events
                                                                                          at a Refinery.
1700017....................  NSPS.............................  OOO....................  Applicability
                                                                                          Determination of
                                                                                          Nonmetallic Mineral.
1700018....................  NSPS.............................  J, Ja..................  Alternative Monitoring
                                                                                          Plan for Hydrogen
                                                                                          Sulfide and Sulfur
                                                                                          Dioxide in Flares and
                                                                                          Fuel Gas Combustion
                                                                                          Devices at Petroleum
                                                                                          Refinery.
1700019....................  NSPS.............................  Ja.....................  Alternative Monitoring
                                                                                          Request for Sulfur
                                                                                          Dioxide at Sulfur
                                                                                          Recovery Plant.
1700020....................  NSPS.............................  A, Ja..................  Alternative Monitoring
                                                                                          Plan for CEMS
                                                                                          Calibration Gas at a
                                                                                          Refinery.
1700021....................  NSPS.............................  J, Ja..................  Alternative Monitoring
                                                                                          Plan for Hydrogen
                                                                                          Sulfide Vapors
                                                                                          Combusted in Portable
                                                                                          Thermal Oxidizers at
                                                                                          Refineries.
1700022....................  NSPS.............................  J, Ja..................  Alternative Monitoring
                                                                                          Plan and Performance
                                                                                          Test Waiver for
                                                                                          Hydrogen Sulfide
                                                                                          Vapors Combusted in
                                                                                          Portable Thermal
                                                                                          Oxidizers and Fuel Gas
                                                                                          Combustion Devices at
                                                                                          Refineries.
1700023....................  NSPS.............................  Ja.....................  Alternative Monitoring
                                                                                          Plan for Hydrogen
                                                                                          Sulfide in Vapor
                                                                                          Combustion Units at a
                                                                                          Refinery.
1700024....................  NSPS.............................  J, Ja..................  Alternative Monitoring
                                                                                          Plan for Hydrogen
                                                                                          Sulfide and Sulfur
                                                                                          Dioxide in Flares and
                                                                                          Fuel Gas Combustion
                                                                                          Devices at a Refinery.
1700025....................  NSPS.............................  J, Ja..................  Alternative Monitoring
                                                                                          Plan for Hydrogen
                                                                                          Sulfide in Mobile
                                                                                          Combustion Devices at
                                                                                          Refineries.
1700026....................  NSPS.............................  Ja.....................  Alternative Monitoring
                                                                                          Plan for NOx CEMS Span
                                                                                          for Heaters at a
                                                                                          Refinery.
1700027....................  NSPS.............................  A, Ja..................  Alternative Monitoring
                                                                                          Plan for Total Reduced
                                                                                          Sulfur in Flare System
                                                                                          at a Refinery.
1700028....................  NSPS.............................  NNN, RRR...............  Alternative Monitoring
                                                                                          Plan and Test Waiver
                                                                                          for the Olefins
                                                                                          Manufacturing Unit and
                                                                                          Demethanizer
                                                                                          Distillation Column
                                                                                          Vents at a Chemical
                                                                                          Manufacturing Plant.
1700029....................  NSPS, NESHAP, MACT...............  J, UUU.................  Alternative Monitoring
                                                                                          Plan for Wet Gas
                                                                                          Scrubber at a
                                                                                          Refinery.
1700030....................  NSPS.............................  Ja.....................  Flare Flow Monitoring
                                                                                          Accuracy Requirement
                                                                                          for a Refinery.
1700031....................  NSPS.............................  Ja.....................  Flare Flow Monitoring
                                                                                          Accuracy Requirement
                                                                                          for a Refinery.
1700032....................  NSPS.............................  Ja.....................  Flare Flow Monitoring
                                                                                          Accuracy Requirement
                                                                                          for a Refinery.
1700033....................  NSPS.............................  Ja.....................  Flare Flow Monitoring
                                                                                          Accuracy Requirement
                                                                                          for a Refinery.
1700034....................  NSPS, NESHAP, MACT...............  Ja, UUU................  Alternative Monitoring
                                                                                          Plan for Sulfur
                                                                                          Dioxide and Oxygen
                                                                                          Concentrations at
                                                                                          Sulfur Recovery Unit
                                                                                          Incinerator at a
                                                                                          Refinery.
1700035....................  NSPS.............................  J, Ja..................  Alternative Monitoring
                                                                                          Plan for Portable
                                                                                          Flares and Fuel Gas
                                                                                          Combustion Devices
                                                                                          During Degassing
                                                                                          Operations at a
                                                                                          Refinery.
1700036....................  NSPS.............................  FFF....................  Performance Test Waiver
                                                                                          for Flexible Vinyl and
                                                                                          Urethane Coating and
                                                                                          Printing Lines.
A170001....................  Asbestos, NESHAP.................  M......................  Applicability
                                                                                          Determination for
                                                                                          Vermiculite Material
                                                                                          in Building
                                                                                          Demolition.
M170001....................  MACT.............................  PPPP...................  Applicability
                                                                                          Determination for
                                                                                          Surface Coating
                                                                                          Facility.
M170002....................  MACT.............................  CC.....................  Applicability
                                                                                          Determination for
                                                                                          Vapor Combustor at a
                                                                                          Petroleum Refinery.
M170004....................  MACT, NESHAP.....................  DDDDD, HHH.............  Applicability
                                                                                          Determination for
                                                                                          Glycol Reboiler Heater
                                                                                          at Natural Gas
                                                                                          Facility.
M170005....................  MACT.............................  EEE....................  Alternative Relative
                                                                                          Accuracy Procedure for
                                                                                          Three Hazardous Waste
                                                                                          Liquid Fuel Boilers.
M170006....................  MACT.............................  PPPP...................  Alternative Control
                                                                                          Device and Monitoring
                                                                                          for Plastic Parts and
                                                                                          Products Coating
                                                                                          Facility.
M170007....................  MACT.............................  PPPPP..................  Reconstruction for Test
                                                                                          Cells/Stands.
M170008....................  MACT.............................  CC.....................  Determination for Flare
                                                                                          Vent Gas
                                                                                          Chromatography
                                                                                          Calibration and
                                                                                          Configuration at
                                                                                          Refinery.
M170009....................  MACT.............................  UUUUU..................  Eligibility to Pursue
                                                                                          Low Emitting Electric
                                                                                          Generating Unit Status
                                                                                          under the Mercury Air
                                                                                          Toxics Rule.
M170010....................  MACT, NSPS.......................  ZZZZ, IIII.............  Applicability
                                                                                          Determination for
                                                                                          Engines at Pump
                                                                                          Station.
M170011....................  MACT.............................  FFFF, G................  Waiver Request for Flow
                                                                                          Measurement at a Flare
                                                                                          Performance Test.
M170012....................  MACT.............................  DDDDD..................  Mercury Site-Specific
                                                                                          Fuel Analysis Plans
                                                                                          for Boilers and
                                                                                          Process Heaters.
M170013....................  MACT.............................  DDDDD..................  Alternative Mercury
                                                                                          Analysis Breakthrough
                                                                                          Request.
M170014....................  MACT, NESHAP.....................  UUU....................  Alternative Monitoring
                                                                                          for Oxygen
                                                                                          Concentration at a
                                                                                          Refinery.
M170017....................  MACT.............................  FFFF, HHHHH............  Applicability of MON &
                                                                                          MCM rules to Adhesive
                                                                                          Processes at 3M.
WDS-146....................  Woodstoves NSPS..................  AAA....................  Regulatory
                                                                                          Interpretation for
                                                                                          Catalyst Suitable
                                                                                          Replacement
                                                                                          Procedures.
WDS-147....................  Woodstoves, NSPS.................  AAA, QQQQ..............  Regulatory
                                                                                          Interpretation on the
                                                                                          Wood Heater Sealing
                                                                                          and Certification
                                                                                          Requirements.
WDS-148....................  Woodstoves NSPS..................  AAA....................  Applicability
                                                                                          Determination for Wood-
                                                                                          Burning Sauna Heaters.
Z170001....................  NESHAP, MACT.....................  X......................  Applicability
                                                                                          Determination for
                                                                                          Secondary Lead
                                                                                          Smelting Facility.
Z170002....................  NESHAP...........................  UUUU...................  Alternative Test and
                                                                                          Monitoring Methods for
                                                                                          Sulfur Compound
                                                                                          Emissions in Process
                                                                                          Vents at a Cellulose
                                                                                          Manufacturing
                                                                                          Facility.

[[Page 22670]]

 
Z170003....................  NESHAP...........................  UUU....................  Alternative Monitoring
                                                                                          for Oxygen
                                                                                          Concentration in
                                                                                          Catalyst Regenerator
                                                                                          at a Refinery.
----------------------------------------------------------------------------------------------------------------

Abstracts

Abstract for [1600019]

    Q: Did construction commence on the Portland General Electric (PGE) 
Carty Generating Facility electric generating unit (EGU) located in 
Boardman, Oregon when the turn-key contract for construction of the 
Facility was signed, or later when the contractor began actual onsite 
construction activities?
    A: Pursuant to 40 CFR 60.5(a) and 40 CFR 60.2 definition of 
``commence'', EPA determines that PGE's construction commenced on June 
3, 2013, when PGE entered into a contractual obligation construction of 
the Carty Generating Facility.

Abstract for [FP00003]

    Q1: Does the EPA approve Lynn Water and Sewer Commission's (Lynn's) 
request to use site-specific control technology and monitoring 
parameters for the granular activated carbon adsorption system used to 
control mercury emissions from the sewage sludge incinerator (SSI), 
subject to the 40 CFR part, subpart MMMM, Emissions Guidelines and 
Compliance Timelines for Existing Sewage Sludge Incineration (SSI) 
Units, and located in Lynn, Massachusetts? The SSI is expected to be 
subject to the federal standards to be promulgated under 40 CFR part 62 
subpart LLL, Federal Plan Requirements for Sewage Sludge Incineration 
Units Constructed on or Before October 14, 2010.
    A1: Yes. The EPA approves Lynn's site-specific mercury emission 
control and monitoring plan for the carbon adsorber. SSIs located in 
states that did not develop plans by March 21, 2016, as required by 
subpart MMMM, will be subject to the Federal plan requirements of 
Subpart LLL, until such time as the state develops a plan that is 
approved by EPA. Moreover, the Clean Air Act at 42 U.S.C. 7429(f)(2) 
states that performance standards for existing SSIs shall be in effect 
no later than five years after the date the emission guidelines were 
promulgated, that is by March 21, 2016.
    Q2: Does the EPA approve Lynn's request for an Alternative 
Monitoring Plan (AMP) for the wet electrostatic precipitator (WESP) 
used to control particulate from the incinerator?
    A2: Yes. The EPA approves Lynn's request for an AMP for the WESP.

Abstract for [1700003]

    Q: Does the EPA approve the alternative testing under 40 CFR part 
60, subpart WWW (the Landfill NSPS) to allow use of landfill gas flow 
rate measurements at the header of the voluntary gas collection and 
control system (GCCS) to calculate annual non-methane organic compound 
(NMOC) emissions for a Tier 2 test at the Central Sanitary Landfill 
(CSL) in Pierson, Michigan?
    A: No. The EPA does not approve the alternative testing to use the 
flow rate measurements from the header of the GCCS, unless CSL can 
verify that the flow rate measured in the header of the GCCS accounts 
for the total quantity of landfill gas generated by the landfill.

Abstract for [1700004]

    Q: Does the EPA determine that the two carbon disulfide (CS2) 
storage tanks located at the 3M Company (3M) Elyria, Ohio manufacturing 
plant are regulated under 40 CFR part 60 subpart Kb, Standards of 
Performance in Volatile Organic Liquid for Storage Vessels (NSPS Kb)? 
The CS2 storage tanks in question are part of an unloading and storage 
operation regulated under 40 CFR part 63 subpart UUUU (MACT UUUU), 
NESHAP for Cellulose Products Manufacturing, and the tanks do not have 
gaseous emissions.
    A: No. The EPA determines that the storage tanks in question that 
store CS2, a volatile organic liquid, are not regulated under NSPS Kb 
based on the language in Section VI.G.2 of the EPA memorandum from 
William Schrock, OAQPS/ESD/OCG to Docket No. A-99-39, Summary of Public 
Comments and Responses on the Proposed NESHAP for Cellulosic Products 
Manufacturing, dated February 15, 2002. The two CS2 storage tanks are 
not the type of storage vessels in terms of their physical siting and 
operational design that were intended to be regulated under NSPS 
Subpart Kb, even when these tanks meet the vapor pressure and designed 
capacity under the NSPS rule. The tanks in question are completely 
submerged in a common water bath and have no air space within the tanks 
due to having a water layer above the CS2 layer at all times. 
Therefore, the tanks do not have direct CS2 gaseous emissions.

Abstract for [1700005]

    Q: Does the EPA determine that changes made to the OMD-1 Rail rack 
flare, located at the Suncor Energy, Inc. petroleum refinery in 
Commerce City, Colorado, to ensure compliance with 40 CFR part 63 
subpart CC, NESHAP from Petroleum Refineries, are considered a 
modification under 40 CFR part 60 subpart Ja?
    A: No. Based on the information provided, the addition of utility 
supplied natural gas to the OMD-1 Rail rack flare would not be 
considered a modification for subpart Ja purposes because this flare is 
not physically connecting any new piping from a ``refinery process 
unit'', including ``ancillary equipment,'' or a ``fuel gas system'' as 
those terms are defined in Subpart Ja. Rather, the new piping is adding 
utility supplied natural gas to vapors from loading racks, Also, the 
addition of utility supplied natural gas to the OMD-1 Rail rack flare 
is not increasing the flow capacity of the flare.

Abstract for [FP00004]

    Q: Does the EPA determine that 40 CFR part 60 subpart MMMM--
Emissions Guidelines and Compliance Timelines for Existing Sewage 
Sludge Incineration (SSI) Units (SSI EG Rule) applies to a sewage 
sludge gasifier owned by MaxWest Environmental Systems Inc. (MaxWest) 
and located in Sanford, Florida?
    A: No. EPA determines that the SSI EG Rule, does not apply to the 
Maxwest sewage sludge gasifier and thermal oxidizer process heater. 
According to the SSI EG Rule, an SSI unit is an ``enclosed device or 
devices using controlled flame combustion that burns sewage sludge for 
the purpose of reducing the volume of sewage sludge by removing 
combustible matter.'' The MaxWest system has no flame and it is not a 
sewage sludge incinerator. Next, while the syngas which results from 
the gasifier is combusted, the SSI EG rule defines sewage sludge as 
``solid, semisolid, or liquid residue generated during the treatment of 
domestic sludge in treatment works.'' Since the syngas is a gas and not 
a solid, semisolid, or liquid, it does not meet the definition of 
sewage sludge in the SSI EG rule (even

[[Page 22671]]

though it is derived from sewage sludge).

Abstract for [1700008]

    Q: Does the EPA approve an alternate Relative Accuracy Test Audit 
(RATA) frequency for two carbon monoxide (CO) and nitrogen oxides (NOx) 
Continuous Emissions Monitoring Systems (CEMS) on two turbines located 
at the Associated Electric Cooperative, Inc. (AECI) Dell Power Plant in 
Dell, Arkansas?
    A: Yes. The EPA approves AECI's request to follow the part 75 RATA 
frequency requirements for both NOx and CO CEMS, in accordance with 
similar prior approvals allowing a reduction in RATA frequency 
requirements for NOx and CO CEMS under part 60 Appendix F. The AECI 
turbines operate infrequently, and part 60 RATA frequency requirements 
do not take into account the frequency of the unit operations.

Abstract for [1700010]

    Q: Is the proposed pilot gasification unit at the Carbon Black 
Global LLC (CBG) facility in Dunlap, Tennessee subject to 40 CFR part 
60 subpart CCCC (Standards of Performance for Commercial and Industrial 
Solid Waste Incineration (CISWI NSPS)? The pilot ``scaled-down'' unit 
will be used to optimize and research the gasification of a variety of 
carbon-based waste feedstocks for clients. The resultant syngas will be 
flared.
    A: No. The proposed CBG's operation of the pilot unit is not a 
CISWI unit as defined in Sec.  60.2265 and is therefore not subject to 
the CISWI NSPS because the resultant syngas will not be in a container 
when combusted in the flare. While operation of the pilot unit by CBG 
is not subject to the CISWI NSPS, combustion of syngas produced by the 
gasification of other wastes, by CBG clients, should be evaluated by 
the appropriate delegated permitting agency for potential applicability 
under section 129 or section 112 (in the case of hazardous waste 
rules).

Abstract for [1700011]

    Q1: Does the EPA give permission to remove the Site No. 1, Site No. 
2, Fons and Old Wayne landfills' (the Landfills) landfill gas (LFG) gas 
collection and control system (GCCS) at a Wayne Disposal Inc. (WDI) 
site in Belleville, Michigan that is subject to the Municipal Solid 
Waste Landfill Federal Plan at 40 CFR part 62 subpart GGG (Landfill 
Federal Plan)?
    A1: Yes. The EPA grants permission for WDI to cap or remove its LFG 
GCCS from a specific cell to allow a new hazardous waste landfill cell 
to overlay it since it has met the approval criteria established at 40 
CFR 60.752(b)(2)(v), including: (1) The Landfills are ``a closed 
landfill[s]; (2) demonstrated that the NMOC gas production rate is less 
than 50 Mg/yr; and (3) demonstrated that the GCCS has been in operation 
for at least 15 years, as well as the required removal report is 
described in 40 CFR 60.757(e). Details behind this decision are 
included in the EPA determination letter.
    Q2: Can a landfill cap and remove its GCCS prior to the 15-year 
control period if a GCCS was operational prior to the start of the 15-
year control period, but not in compliance with the Landfill NSPS and 
the Landfill Federal Plan design criteria?
    A2: No. WDI may cap or remove its GCCS at the remaining Landfills 
after October 6, 2017, since all conditions per 40 CFR 60.752(b)(2)(v) 
for landfill closure will be met on that date. A landfill is required 
to do a performance test when a GCCS is installed to ensure that it is 
in compliance with the Landfill Federal Plan or Landfill NSPS, 
whichever is applicable, which is one of the criteria. Once the GCCS is 
determined to be in compliance with design criteria in the Landfill 
NSPS and the Federal plan, the 15-year control period begins. Based on 
the information provided, WDI has not yet satisfied the 15-year 
requirement and must maintain operation of the GCCS until October 6, 
2017.

Abstract for [1700012]

    Q1: Does the EPA determine that the purchase order for a flare at 
the Linde Gas North America hydrogen reformer facility, located in 
Romeoville, Illinois, signed prior to the applicability deadline for 40 
CFR part 60 subpart J, establish that the facility ``commenced 
construction'' of the flare?
    A1: Yes. The signed purchase order established a contractual 
obligation to construct the flare and therefore the facility had 
commenced construction prior to the subpart J applicability deadline.
    Q2: Does the EPA determine that gas streams routed to the flare for 
combustion are exempt from the hydrogen sulfide (H2S) emission limit at 
40 CFR 60.104(a)(1) if the streams result from startup, shutdown, upset 
or malfunction of the plant or are due to relief valve leakage or other 
emergency malfunctions?
    A2: Yes. Process upset gases and gases released as a result of 
relief valve leakage or other emergency malfunctions are exempt from 
this H2S emission limit.
    Q3: Does the EPA determine that the flare is exempt from the sulfur 
dioxide (SO2) monitoring requirements at 40 CFR 60.105(a) if 
the fuel gas streams are ``inherently low in sulfur''?
    A3: Yes. Based on the information provided to the EPA about the gas 
streams directed to the flare, they are inherently low in sulfur and 
therefore the facility is exempt from the SO2 monitoring 
requirements at 40 CFR 60.105(a).

Abstract for [1700014]

    Q: Does the EPA determine that well completions performed by 
CountryMark Energy Resources, LLC (CountryMark) meet the definition of 
hydraulic fracturing at 40 CFR 60.5430a and are subject to subpart 
OOOOa?
    A: Yes. The EPA determines that CountryMark's operations meet the 
definition of hydraulic fracturing at 40 CFR 60.5430a, and are 
therefore subject to applicable requirements of subpart OOOOa, 
including but not limited to the standards for well affected facilities 
at 40 CFR 60.5375a. EPA concludes that the formations within the 
Illinois Basin that CountryMark has identified are considered ``tight 
formations'' because it is necessary to inject pressurized fluids into 
the formations to ``increase the flow of hydrocarbons to the 
wellhead''.

Abstract for [1700015]

    Q: Does EPA determine that water and fuel injection data associated 
with the startup and shutdown of a combustion turbine at the Marshfield 
Utilities electric power generation facility be included in the 4-hour 
rolling average calculation used to determine compliance with the 
nitrogen oxide (NOx) emission limitations for stationary combustion 
turbines and for reporting excess emissions under 40 CFR part 60 
subpart KKKK?
    A: Yes. Subpart KKKK requires that all unit operating hours, 
including periods of startup, shutdown and malfunction be included in 
the 4-hour rolling average steam or water to fuel ratio calculation in 
accordance with 40 CFR 60.4335(a) and 40 CFR 60.4375(a), and any excess 
emissions must be reported under 40 CFR 60.4380(a)(l). However, such 
excess emissions would not constitute a violation of subpart KKKK if 
they occurred as a result of startup, shutdown, or malfunction.

Abstract for [1700016]

    Q: Does the EPA approve an Alternative Monitoring Plan (AMP) to 
monitor hydrogen sulfide (H2S) in refinery fuel gas during TRiSTAR/
Global Vapor Control, Inc.'s (TRiSTAR) temporary vapor control events, 
such as

[[Page 22672]]

tank degassing and cleaning operations subject to 40 CFR part 60 
subparts J at refineries in Region 5?
    A: Yes. The EPA approves TRiSTAR's AMP at refineries in Region 5 
since installing and operating an H2S CMS would be technically 
impractical due to the short term nature of tank degassing and similar 
operations.

Abstract for [1700017]

    Q: Does the EPA determine that sodium gluconate produced at the PMP 
Fermentation Products, Inc. facility in Peoria, Illinois is classified 
as a nonmetallic mineral under NSPS Subpart OOO?
    A. Yes. The EPA determines that sodium gluconate meets the 
definition of nonmetallic mineral established in NSPS subpart OOO.

Abstract for [1700018]

    Q: Does the EPA approve an expansion of the previously approved 
Alternative Monitoring Plan (AMP) for the Flint Hills Resources 
refinery to monitor hydrogen sulfide (H2S) and sulfur dioxide 
(SO2) when using portable flares and fuel gas combustion 
devices to reduce volatile organic compound (VOC) emissions from 
vessels and pipes subject to 40 CFR part 60 subpart J or Ja?
    A: Yes. The EPA approves that the previously-approved AMP, to 
monitor H2S and SO2 in flares and fuel gas 
combustion devices used to treat VOC emissions from petroleum refinery 
storage tank degassing and cleaning operations subject to NSPS subparts 
J and Ja.

Abstract for [1700019]

    Q: Does the EPA approve Calumet Superior's alternative monitoring 
proposal to use a static default moisture correction to correct the 
sulfur dioxide CEMS data to a dry basis, for a sulfur recovery plant 
located in Superior, Wisconsin, subject to 40 CFR part 60 subpart Ja?
    A: No. NSPS subpart Ja at 40 CFR 60.l06a(a)(l) and the Performance 
Specification 2 of Appendix B to part 60 allow for the data to be 
monitored either on a dry basis, or to be corrected to a dry basis 
using continuously monitored moisture data.

Abstract for [1700020]

    Q: Does the EPA approve a request to reduce the concentrations of 
the calibration gas and validation standards on the continuous emission 
monitoring system (CEMS) for several flares subject to 40 CFR part 60 
subpart Ja at the Alon USA (Alon) Big Spring refinery located in Big 
Spring, Texas?
    A: Yes. The EPA conditionally approves the request provided that 
all other requirements of the monitoring procedures of NSPS subpart Ja 
for total reduced sulfur (TRS) and hydrogen sulfide (H2S) 
are followed. The alternative span gases will address safety concerns 
involving storage, handling, and engineering controls. The EPA 
conditionally approves a calibration gas concentration range of 0-85 
percent for conducting daily drift checks, relative accuracy test 
audits, and cylinder gas audits, using a mass spectrometer to 
continuously analyze and monitor H2S and TRS, provided that 
Alon conducts linearity analysis on the mass spectrometer once every 
three years to determine linearity across the entire range of expected 
concentrations of acid gas vent streams.

Abstract for [1700021]

    Q: Does the EPA approve an Alternative Monitoring Plan (AMP) for 
various refineries located in EPA Region 6 and operated by Debusk 
Service Group to conduct monitoring of hydrogen sulfide 
(H2S) emissions, in lieu of installing a continuous emission 
monitoring system (CEMS), when performing tank degassing and other 
similar operations controlled by portable, temporary thermal oxidizers, 
that are subject to 40 CFR part 60 subparts J or Ja?
    A: Yes. Based on the description of the process, the vent gas 
streams, the design of the vent gas controls, and the H2S 
monitoring data furnished, the EPA conditionally approves the AMP. The 
EPA included proposed operating parameter limits (OPLs) and data which 
the refineries must furnish as part of the conditional approval. The 
AMP is only for degassing operations conducted at refineries in EPA 
Region 6. Separate, similar AMP requests for the same company to 
conduct degassing operations at refineries in states in other EPA 
regions must be approved by those EPA regions.

Abstract for [1700022]

    Q: Does EPA approve an Alternative Monitoring Plan (AMP) for the 
two Flint Hills Resources Corpus Christi refineries (Flint Hills 
Refineries) to conduct monitoring of hydrogen sulfide (H2S) 
emissions, in lieu of installing a continuous emission monitoring 
system (CEMS), when performing tank degassing and other similar 
operations controlled by portable, temporary thermal oxidizers and 
other fuel combustion devices that are subject to 40 CFR part 60 
subparts J or Ja?
    A: Yes. Based on the description of the process, the vent gas 
streams, the design of the vent gas controls, and the H2S 
monitoring data furnished, EPA conditionally approves a combined AMP 
for the portable fuel combustion devices used at both refineries. EPA 
included proposed operating parameter limits (OPLs), and data which the 
refineries must retain and obtain from contractors, as part of the 
conditional approval. The AMP is only for the portable fuel combustion 
devices at the aforementioned Flint Hills Refineries. Separate, similar 
AMP requests for the same company must be approved by the EPA region.

Abstract for [1700023]

    Q: Does EPA approve an Alternative Monitoring Plan (AMP) for 
monitoring hydrogen sulfide (H2S) in refinery fuel gas 
streams at the Magellan Midstream Partners, L.P.'s (Magellan) facility 
in Corpus Christi, Texas which are subject to 40 CFR part 60 subparts J 
or Ja?
    A: Yes. Based on the information provided by Magellan, the facility 
uses a vapor combustion unit (VCU) to control emissions from degassing, 
cleaning, and maintenance activities associated with tanks, vessels, 
pipes, and LPG trucks. Because the VCU will be used infrequently, and 
for short periods, installation of an H2S continuous 
emission monitoring system (CEMS) as required under NSPS Subpart Ja is 
not economically feasible. The EPA approves use of colorimetric stain 
tubes to determine the concentration of H2S in three fuel 
gas grab samples prior to entering the VCU. Magellan must record the 
results of each grab sample, the key activities completed with each 
operation, and any other relevant information associated with 
degassing, cleaning, and maintenance activities.

Abstract for [1700024]

    Q: Does the EPA approve an Alternative Monitoring Plan (AMP) for 
Flint Hill Resources in Rosemount, Minnesota, to monitor hydrogen 
sulfide (H2S) and sulfur dioxide (SO2) in flares 
for flares and fuel gas combustion devices used to treat volatile 
organic compound (VOC) emissions from petroleum refinery storage tank 
degassing and cleaning operations subject to the New Source Performance 
Standards for Petroleum Refineries, 40 CFR part 60 subparts J and Ja 
(NSPS subparts J and Ja)?
    A: Yes. The EPA approves an AMP to monitor H2S and 
SO2 in flares for flares and fuel gas combustion devices 
used to treat VOC emissions from petroleum refinery storage tank 
degassing and cleaning operations subject to NSPS subparts J and Ja.

[[Page 22673]]

Abstract for [1700025]

    Q: Does the EPA approve an Alternative Monitoring Plan (AMP) for 
GEM Mobile Treatment Services to monitor hydrogen sulfide 
(H2S) in refinery fuel gas during temporary vapor control 
events subject NSPS Subparts J and Ja, such as tank degassing, at 
refineries in EPA Region 5?
    A: Yes. The EPA approves an AMP to monitor H2S in 
refinery fuel gas for mobile combustion devices flares and fuel gas 
combustion devices used to treat emissions from temporary vapor control 
events, such as tank degassing. Separate, similar AMP requests for 
facilities located in other EPA regions must be approved by the 
appropriate EPA region.

Abstract for [1700026]

    Q: Does the EPA approve Flint Hills Resources (FHR) to use a span 
of 0-50 ppmvd for the nitrogen oxides (NOX) continuous 
emission monitoring system (CEMS) at two heaters located at the Pine 
Ben Refinery located in Saint Paul Minnesota, subject to 40 CFR part 60 
subpart Ja?
    A: No. EPA disapproves the Alternative Monitoring Proposal to allow 
the analyzers spans of 0-50 ppmvd as this range does not cover the 
applicable emission limit of 60 ppmvd. However, the EPA conditionally 
approves a span of 0-60 ppmvd rather than the 120-180 ppmdv required by 
40 CFR 60.107a(c)(1) for the NOX CEMS. The specific 
conditions are specified in the EPA response letter.

Abstract for [1700027]

    Q: Does the EPA approve an Alternative Monitoring Plan (AMP) to 
reduce the concentration of calibration gas used to perform daily 
validations and quarterly cylinder gas audits (CGA) of the Total 
Reduced Sulfur monitor for the flare gas system at the HollyFrontier El 
Dorado Refining LLC refinery (HFEDR) in El Dorado, Kansas, as required 
pursuant to 40 CFR 60.13(d) and 40 CFR 60, Appendix F, respectively?
    A: Yes. The EPA conditionally approves the HFEDR AMP due to the 
safety concerns associated with handling gases with high concentrations 
of hydrogen disulfide (H2S). The conditions are listed in 
the EPA determination letter.

Abstract for [1700028]

    Q1: Does the EPA approve a waiver of the initial performance test 
for the Olefins Manufacturing Unit and Demethanizer Distillation Column 
Vents, at the Eastman Chemical Company, Longview, Texas facility, 
subject to 40 CFR part 60, Standards of Performance for Volatile 
Organic Compound Emissions from Synthetic Organic Chemical 
Manufacturing Industry Distillation Operations (subpart NNN) and 
Reactor Processes (subpart RRR)?
    A1: Yes. EPA waives the initial performance test for the specific 
vents associated with the two units, both subject to NSPS Subparts RRR 
and NNN, as these are being introduced with the primary fuel into a 
boiler or process heater in accordance with 40 CFR 60.8(b) and as 
provided for in Sec.  60.704(b)(5) of subpart RRR. To ensure that 
affected vent streams are routed to appropriate control devices, 
subpart RRR requires that the facility maintain a schematic diagram of 
the affected vent streams, collection system(s), fuel systems, control 
devices, and bypass systems, and include the diagram in the initial 
report submitted in accordance with 40 CFR 60.705(b).
    Q2: Does EPA approve a substitution of NSPS subpart NNN for NSPS 
subpart RRR as an alternative flow and temperature monitoring for the 
vent streams associated with two new demethanizer distillation columns?
    A2: Yes. The EPA approves the alternative request for meeting 
subpart RRR in lieu of subpart NNN requirements for testing, 
monitoring, and recordkeeping for boilers and process heaters, part of 
the fuel gas system, to comply with the standards of both subparts.

Abstract for [1700029]

    Q: Does the EPA re-approve the May 2011 AMP to comply with new 
opacity requirements for a wet gas scrubbers (WGS) on the Fluid 
Catalytic Cracking Unit (FCCU) at Motiva's Convent, Louisiana refinery, 
subject to NSPS subpart J and NESHAP subpart UUU, for continued 
parametric monitoring of opacity at the WGS in lieu of a Continuous 
Opacity Monitoring System?
    A: Yes. Based on the previously established operating parameter 
limits for the scrubbers, the EPA agrees that the monitoring provisions 
of the previously approved AMP were at least as stringent as the new 
FCCUs requirements in both rules amended December 1, 2015, and 
therefore re-approves the AMP under the new rules.

Abstract for [1700030]

    Q1: Does the EPA find that the Alternative Monitoring Plan (AMP) to 
modify a flare's flow sensor measurement accuracy during extremely low 
flow conditions at the Valero Refining Company's Ardmore Refinery in 
Ardmore, Oklahoma, is still necessary if the flare is a control device 
subject to 40 CFR 60.107a(f)(1)(ii)?
    A1: No. The EPA finds that the AMP is no longer necessary. The 
Final Rule for the Petroleum Refinery Sector Risk and Technology 
Review, issued December 1, 2015, amended 40 CFR part 60 subpart Ja to 
address such conditions for flares equipped with water seals.
    Q2: What does the revised rule now require?
    A2: 40 CFR 60.107a(g) allows alternative monitoring with pressure 
sensors for flares that have flow meters which do not have measurement 
accuracies within 20 percent over a velocity range of 0.1-1 
feet per second (fps) flow rate, or 5 percent for flow 
velocities exceeding 1 fps.

Abstract for [1700031]

    Q1: Does the EPA find that the Alternative Monitoring Plans (AMPs) 
to modify the flow sensor measurement accuracy of flares during 
extremely low flow conditions at the Valero Refining, Texas L.P.'s 
Corpus Christi West Plant and Corpus Christi East Plant Refineries in 
Corpus Christi, Texas, are still necessary if the flares are control 
devices subject to 40 CFR 60.107a(f)(1)(ii)?
    A1: No. The EPA finds that the AMPs are no longer necessary. The 
Final Rule for the Petroleum Refinery Sector Risk and Technology 
Review, issued December 1, 2015, amended 40 CFR part 60 subpart Ja to 
address such conditions for flares equipped with water seals.
    Q2: What does the revised rule now require?
    A2: 40 CFR 60.107a(g) allows alternative monitoring with pressure 
sensors for flares that have flow meters which do not have measurement 
accuracies within 20 percent over a velocity range of 0.1-1 
feet per second (fps) flow rate, or 5 percent for flow 
velocities exceeding 1 fps.

Abstract for [1700032]

    Q1: Does the EPA find that the Alternative Monitoring Plan (AMP) to 
modify flow sensor measurement accuracy for multiple flares during 
extremely low flow conditions at the Valero Refining Company's Texas 
City Refinery in Texas City, Texas, is still necessary, if the flares 
are control devices subject to 40 CFR 60.107a(f)(1)(ii)?
    A1: No. The EPA finds that the AMP is no longer necessary. The 
Final Rule for the Petroleum Refinery Sector Risk and Technology 
Review, issued December 1, 2015, amended 40 CFR part 60 subpart Ja to 
address such conditions for flares equipped with water seals.

[[Page 22674]]

    Q2: What does the revised rule now require?
    A2: 40 CFR 60.107a(g) allows alternative monitoring with pressure 
sensors for flares that have flow meters which do not have measurement 
accuracies within 20 percent over a velocity range of 0.1-1 
feet per second (fps) flow rate, or 5 percent for flow 
velocities exceeding 1 fps.

Abstract for [1700033]

    Q1: Does the EPA find that an Alternative Monitoring Plan (AMP) to 
modify flow sensor measurement accuracy for multiple flares during 
extremely low flow conditions at Valero Refining Company's Three Rivers 
Refinery in Three Rivers, Texas, is still necessary if the flares are 
control devices subject to 40 CFR 60.107a(f)(1)(ii)?
    A1: No. The EPA finds that the AMP is no longer necessary. The 
Final Rule for the Petroleum Refinery Sector Risk and Technology 
Review, issued December 1, 2015, amended 40 CFR part 60 subpart Ja to 
address such conditions for flares equipped with water seals.
    Q2: What does the revised rule now require?
    A2: 40 CFR 60.107a(g) allows alternative monitoring with pressure 
sensors for flares that have flow meters which do not have measurement 
accuracies within 20 percent over a velocity range of 0.1-1 
feet per second (fps) flow rate, or 5 percent for flow 
velocities exceeding 1 fps.

Abstract for [1700034]

    Q: Does the EPA approve an Alternative Monitoring Plan (AMP) for 
determining sulfur dioxide (SO2) and oxygen (O2) 
concentrations on a dry basis, using wet basis concentration data from 
continuous emission monitoring systems (CEMS) at a sulfur recovery unit 
(SRU) incinerator at the Valero Refining-Meraux LLC (Valero) petroleum 
refinery, located in Meraux, Louisiana, subject to 40 CFR part 60 
subpart Ja and 40 CFR part 63 subpart UUU?
    A: Yes. The EPA conditionally approves Valero's AMP on the No. 3 
SRU incinerator while the new dry basis SO2 and 
O2 CEMS are installed and commissioned before the AMP 
expiration date of August 1, 2017. Valero proposed programming the 
refinery's process control and data acquisition system to perform real 
time moisture corrections of the vent stream concentrations at the SRU 
incinerator. The EPA approves Valero's request to use a methodology to 
mathematically correct the measured wet basis concentrations to dry 
basis using Equation 2-1, from 40 CFR part 60, Appendix B, Performance 
Specification 2, and the moisture fraction value from the most recent 
stack test.

Abstract for [1700035]

    Q: Does the EPA approve WRB Refining LP's (WRB) Alternative 
Monitoring Plan (AMP) for monitoring hydrogen sulfide (H2S) and sulfur 
dioxide (SO2) emissions from portable flares and fuel gas 
combustion devices used to control emissions from storage tank, process 
unit vessel and piping degassing for maintenance and cleaning events at 
the Wood River Refinery in Roxana, Illinois refinery subject to 40 CFR 
part 60 subparts J and Ja?
    A: Yes. The EPA conditionally approves WRB's AMP request since it 
agrees that it is impractical to continuously monitor the H2S in and 
SO2 emissions from gases going to portable flares and fuel 
gas combustion devices during the infrequent and temporary events when 
storage tanks, process unit vessels and piping are degassed for 
maintenance and cleaning operations, and approves the AMP. The 
conditions are specified in the EPA determination letter.

Abstract for [1700036]

    Q: Does the EPA grant 3M's request to waive the initial performance 
testing requirements of 40 CFR part 60 subpart FFF, Standards of 
Performance for Flexible Vinyl and Urethane Coating and Printing (NSPS 
subpart FFF) for 3M's 3L and 6L lines at its Hutchinson, Minnesota 
facility, which are controlled by separate thermal oxidizers?
    A: No. The EPA does not waive the initial performance testing 
requirements for 3M's 3L and 6L lines under NSPS subpart FFF for two 
reasons. First, the capture and destruction efficiency testing on which 
3M wants the waiver to rely were not conducted at the same time. NSPS 
subpart FFF requires ``a performance test to determine overall VOC 
control efficiency'' which implies simultaneous testing of both capture 
efficiency and destruction efficiency at the same time to demonstrate 
compliance. Second, even if separate testing of capture and destruction 
efficiency was allowed by NSPS subpart FFF, the tests identified by 3M 
for demonstrating compliance were conducted years apart (3 and 10 years 
for the 3L and 6L lines, respectively). Such long time periods between 
testing cannot provide assurance that compliance was achieved, and 
cannot provide assurance that operational conditions during each test 
were identical.

Abstract for [A170001]

    Q: Is there a requirement that Wayne County treat vermiculite 
material containing less than one percent asbestos by Polarized Light 
Microscopy (PLM) and/or Transmission Electron Microscopy (TEM) as 
regulated asbestos-containing material (RACM) under 40 CFR part 61 
subpart M (Asbestos NESHAP)? The Wayne County Airport demolition of 
Building 715 involves suspect asbestos-containing material (ACM) 
consisting of spray-applied fireproofing on the primary roof structure 
that contains vermiculite.
    A: The EPA recommends, but does not require, that the regulated 
community assume vermiculite material is asbestos-containing material 
(ACM) and treat it accordingly. However, if vermiculite material is 
present in building materials at a facility (as either friable or 
Category I or II nonfriable material that could become regulated), then 
the facility must be thoroughly inspected and any suspect vermiculite 
material must be sampled and analyzed like any other suspect asbestos-
containing friable or nonfriable material unless it is assumed to be 
ACM and treated accordingly. Based on the site-specific test results 
provided by the Wayne County Airport, the spray-applied fire proofing 
tested at Building 715 is not ACM, and is not subject to the federal 
Asbestos NESHAP.

Abstract for [M170001]

    Q: Does the EPA determine that the Magna DexSys facility in 
Lansing, Michigan (Lansing facility) is a major source of hazardous air 
pollutants (HAPs) for purposes of applicability of the NESHAP for 
Surface Coating of Plastic Parts and Products, at 40 CFR part 63 
subpart PPPP?
    A: Yes. Based upon the information provided, the EPA determines 
that Magna DexSys is a major source as defined under Section 112 of the 
Clean Air Act and is, therefore, subject to the requirements of subpart 
PPPP. The Lansing facility's permitted xylene emission limits have 
always been, and are still, above the major source threshold. 
Furthermore, Magna DexSys lacks the data necessary to calculate 
uncontrolled HAP emissions at the facility, and there are no federally 
enforceable physical or operational limitations in place to limit 
emissions from the facility to less than 10 tons per year for a single 
HAP or 25 tons per year for any combination of HAP.

Abstract for [M170002]

    Q: Does the EPA determine that the vapor combustor in the Plant 2 
loading

[[Page 22675]]

area at the Suncor Energy Inc. petroleum refinery in Commerce City, 
Colorado is considered a flare under 40 CFR part 63 subpart CC, NESHAP 
from Petroleum Refineries, and, therefore, subject to the flare 
requirements of 40 CFR 63.670 and 63.671?
    A: No. The EPA determines that the vapor combustor described in the 
March 10, 2017 letter does not meet the definition of a flare at 40 CFR 
63.641 of subpart CC. Therefore, the vapor combustor is not subject to 
the requirements in 40 CFR 63.670 and 63.671. However, the combustor 
needs to be tested, and operating parameters established and monitored, 
to assure compliance with the subpart CC emission limits.

Abstract for [M170004]

    Q: Does the EPA determine that the glycol dehydration unit reboiler 
at El Paso Natural Gas' southern New Mexico facility, which is subject 
to the National Emission Standards for Hazardous Air Pollutants for 
Natural Gas Transmission and Storage Facilities (NESHAP subpart HHH), 
is also subject to the NESHAP for Industrial, Commercial, and 
Institutional Boilers and Process Heaters (NESHAP subpart DDDDD)?
    A: Yes. The EPA determines that although the glycol dehydration 
reboiler is subject to NESHAP subpart HHH, the reboiler is also subject 
to NESHAP subpart DDDDD. The reboiler is considered a process heater 
subject to NESHAP subpart DDDDD because the gaseous fuel fired to the 
unit is not regulated under another subpart, and the exhaust gas from 
the reboiler combustion chamber is uncontrolled (i.e. the emissions 
vent directly to atmosphere). The EPA noted that process vent standards 
under NESHAP subpart HHH only apply to the dehydrator reboiler still 
vent and flash tank emissions. A flare is the control device for these 
emissions under NESHAP subpart HHH. However, NESHAP subpart HHH does 
not apply to the reboiler combustion chamber emissions because the 
reboiler itself is not a control device being used to comply with 
another NESHAP (in this case, subpart HHH).

Abstract for [M170005]

    Q: Does EPA approve a request for an alternative relative accuracy 
(RA) procedure for three hazardous waste liquid fuel boilers at 
Vertellus Agriculture & Nutrition Specialties, LLC (Vertellus), in 
Indianapolis, Indiana, subject to 40 CFR part 266 subpart H (the 
Boilers and Industrial Furnaces Rule or BIF rule) and 40 CFR part 63 
subpart EEE, the National Emission Standards for Hazardous Air 
Pollutants from Hazardous Waste Combustors (HWC MACT)?
    A: Yes. EPA concludes that Vertellus may use the alternative RA 
procedure in the context of either the BIF Rule or the HWC MACT. The 
EPA previously approved the use of the alternative RA procedure in 
Appendix IX of 40 CFR part 266 for the hazardous waste liquid fuel 
boilers under the BIF rule at Vertellus. The EPA believes that the 
alternative RA procedures in Appendix A of the HWC MACT are acceptable 
procedures for a hazardous waste burning liquid fuel boiler.

Abstract for [M170006]

    Q: Does EPA approve the use of the `R Boiler' as an alternative 
control device to comply with the ``emission rate with add-on 
controls'' compliance option under 40 CFR part 63 subpart PPPP (the 
NESHAP for Surface Coating of Plastic Parts and Products) for two 
plastic parts and products coating production lines at the SABIC 
Innovative Plastics Mt. Vernon, LLC (SABIC) facility in Mt. Vernon, 
Indiana?
    A: Yes. Based on the information provided by SABIC, and the fact 
that SABIC intends to conduct a performance test to determine the 
organic HAP destruction efficiency of the `R Boiler', the EPA approves 
SABIC's request for this boiler to serve as an add-on control device 
under the NESHAP for Surface Coating of Plastic Parts and Products 
since it is consistent with the subpart PPPP MACT requirements for 
demonstrating continuous compliance thermal oxidizer as a control 
device.

Abstract for [M170007]

    Q1: Does the EPA determine that Caterpillar Inc.'s (Caterpillar's) 
existing test cells/stands at its Lafayette facility are a 
reconstructed affected source under 40 CFR part 63 subpart PPPPP?
    A1: No. EPA determines that many of the test cells/stands 
components that were added or replaced were not linked together by a 
single planning decision, and therefore cannot be aggregated together 
as a single project. The cost of Caterpillar's component replacements 
or component additions to the affected source that could conceivably be 
aggregated together are well below the 50% of the cost of constructing 
a new comparable facility.
    Q2: Has the EPA further defined the terms ``passive measurement and 
control limitations'' as used in subpart PPPPP?
    A2: The EPA has not provided further definition of these terms 
since promulgating the subpart PPPPP rule in 2003. However, the cost of 
passive measurement and control instrumentation and electronics is 
excluded from affected source reconstruction calculations as explained 
in 40 CFR 63.9290.

Abstract for [M170008]

    Q1: Does the EPA approve the use of either of the calibration 
options provided at 40 CFR 63.671(e)(2)(i) or (ii) under the National 
Emission Standards for Hazardous Air Pollutants from Petroleum 
Refineries at 40 CFR part 63, subpart CC (NESHAP subpart CC) for its 
gas chromatograph (GC), if the current configuration of the GC does not 
allow it to identify 1,3 butadiene? The Calumet Superior, LLC. refinery 
plant in Superior, Wisconsin (Calumet) uses a gas chromatograph (GC) to 
monitor the flare vent gas composition to assess compliance with the 
operating limits in 40 CFR 63.670(e).
    A1: No. 40 CFR 63.671(e)(2)(i) of NESHAP subpart CC is not an 
option because the current flare vent gas GC configuration does not 
allow it to identify 1,3 butadiene. Therefore, Calumet can only use the 
calibration option provided at 40 CFR 63.671(e)(2)(ii) since it allows 
the use of a surrogate calibration gas to cover all compounds in the 
flare vent gas stream.
    Q2: Does the EPA determine that the current configuration of the 
flare vent GC that does not allow it to identify 1,3 butadiene meets 
the requirements of the NESHAP subpart CC to assess compliance with the 
operating limits in 40 CFR 63.670(e)? Calumet has collected and 
analyzed flare vent gas samples for 1,3 butadiene. The results of this 
sampling detected 1, 3 butadiene at concentrations levels below the 
threshold expected to have an impact on the net heating value of the 
flare vent gas in the combustion zone.
    A2: Yes. Based on the information Calumet provided and pursuant to 
40 CFR 63.670(j)(1) and 63.67l(e), the EPA determines that the current 
configuration of the flare vent gas GC meets the requirements of the 
NESHAP subpart CC.

Abstract for [M170009]

    Q: The Michigan South Central Power Agency's Endicott Generating 
Station (Endicott) has a source with an emergency scrubber bypass duct 
subject to the Mercury Air Toxics Standards (MATS) at 40 CFR part 63 
subpart UUUUU. Is this source eligible to pursue Low Emitting electric 
utility steam generating unit (LEE) status for sulfur dioxide (S02) 
emissions in accordance with 40 CFR 63.10000?

[[Page 22676]]

    A: Yes. In accordance with the technical corrections to MATS 
promulgated in April 2016, Endicott may pursue LEE status for its 
source. Pursuant to 40 CFR 63.10000(c)(1)(i)(C)(1), if a source's 
control device bypass emissions are measured in the bypass stack or 
duct or the source's control device bypass exhaust is routed through 
the electric utility steam generating unit main stack so that emissions 
are measured during the bypass event, then the source may pursue LEE 
status.

Abstract for [M170010]

    Q: Does the EPA determine that the replacement pump engines at the 
Lake Borgne Basin Levee District in St. Bernard Parish, Louisiana are 
existing emergency stationary Reciprocating Internal Combustion Engines 
(RICE) that are not subject to 40 CFR part 63 subpart ZZZZ?
    A: No. Based upon the information provided and the description of 
the engine use, the EPA determines that the engines at the Lake Borgne 
Pump Station do not meet the definition of existing emergency 
stationary RICE at 40 CFR 63.6675. Since construction or reconstruction 
of the stationary engines began after June 12, 2006, and the engines 
are located in an area source of emissions, the engines are subject to 
40 CFR part 60 subpart IIII (Compression Ignition NSPS).

Abstract for [M170011]

    Q: Does the EPA approve a waiver of the volumetric flow rate 
determination required as part of the performance test for a flare 
under 40 CFR part 63 subparts G and FFFF at the Lyondell Chemical 
(Lyondell) Bayport Choate Plant (Plant) in Pasadena, Texas?
    A: Yes. The EPA conditionally approves a waiver of the requirement 
to determine the volumetric flow rate using EPA Method 2 during initial 
performance testing of a flare at the Plant. The volumetric flow rate 
can be calculated using existing flow measurement devices upstream of 
the flare and estimated flows based on process knowledge from all minor 
streams that may be routed to the flare on an interim basis. Lyondell 
must install flow meters for the flare and must demonstrate compliance 
with flare exit velocity requirements using the approved process-based 
engineering calculation protocol for volumetric flow rate.

Abstract for [M170012]

    Q: Does EPA approve site specific fuel analysis plans to be 
conducted in accordance with approved EPA Method 30 at Union Carbide 
Corporation's Hahnville, Louisiana facility, for the purpose of 
determining mercury levels to classify boiler and heater fuel sources 
as Other Gas 1 or 2 under 40 CFR part 63 subpart DDDDD?
    A: Yes. Based on the information submitted, the EPA approves the 
fuel analysis plans.

Abstract for [M170013]

    Q: Does the EPA approve SABIC Innovative Plastics' (SABIC's) 
request to replace EPA Method 30B mercury analysis breakthrough Quality 
Assurance/Quality Control (QA/QC) requirements with Relative Accuracy 
Test Audit (RATA) criteria and/or waive the breakthrough QA/QC for a 
test conducted in April 2016, for the purposes of complying with 40 CFR 
part 60 subpart DDDDD?
    A: No. The EPA does not approve SABIC's request. There are 
substantive reasons why the criteria are different for compliance 
testing versus RATA testing. The EPA does find however, that while the 
breakthrough criterion was not met in several instances during the 
tests, it appears that the remaining data quality objectives were met 
and there is no reason to reject the QA/QC data.

Abstract for [M170014]

    Q: Does the EPA approve Calumet Superior, LLC's (Calumet's) 
alternative monitoring request to maintain the hourly oxygen 
concentration in the exhaust gas from the catalyst regenerator at or 
above one percent by volume on a wet basis, as opposed to a dry basis 
as required by 40 CFR 63 subpart UUU at the Superior, Wisconsin 
refinery?
    A: Yes. The EPA approves Calumets' alternative monitoring request 
for use of wet basis analyzer readings to demonstrate compliance with 
the one percent by volume oxygen concentration limit in 40 CFR 
63.1565(a)(5)(ii) for periods of startup, shutdown, and hot standby. 
Calumet provided information that indicates catalyst fines can plug an 
analyzer that measures on a dry basis. In addition, the oxygen 
concentration on a wet basis will always yield a lower reading versus a 
dry basis oxygen reading.

Abstract for [M170017]

    Q1: Are Processes 1, referred to as ``adhesive compounding'', 
located at the 3M's Hutchinson, Minnesota (``Hutchinson'') and 
Knoxville, Iowa (``Knoxville'') facilities subject to the 40 CFR part 
63, subpart FFFF, the Miscellaneous Organic Chemical Manufacturing (MON 
rule) or 40 CFR part 63, subpart HHHHH, the Miscellaneous Coating 
Manufacturing (MCM rule) at MCM when the adhesive compound is shipped 
off-site?
    A1: The MON rule applies to Processes 1 when the adhesive compound 
is shipped off-site. The MCM does not apply to Process 1 when the 
adhesive compound is shipped off-site. Process 1 is a miscellaneous 
organic chemical manufacturing process that produces an adhesive 
product classified by NAICS 325, and process or uses organic HAP, and 
is therefore a process that is contemplated by 63.2435(b).
    Q2: Are Processes 2, referred to as ``mogul based adhesive 
compounding'', located at the 3M's Hutchinson and Knoxville facilities 
subject to the MON or the MCM when the mogul based adhesive compound is 
shipped off-site?
    A2: The MON applies to Processes 2 when the mogul based adhesive 
compound is shipped off-site. The MCM does not apply to Processes 2 
when the mogul based adhesive compound is shipped off-site. 3M 
described the first step which involves a chemical reaction of non-HAP 
containing raw materials. The first step is completed by quenching the 
reaction, without storage after the first step. The second step, HAP 
containing raw materials were added to the same vessel with the 
material from the first step. Because there is no storage after step 1, 
we believe that both steps of Process 2 are part of one miscellaneous 
organic chemical manufacturing process to produce a product described 
by NAICS 325.
    Q3: Are Processes 1 and 2 located at the 3M's Hutchinson and 
Knoxville facilities exempt from the MON as ``affiliated operations'' 
when making the adhesive compound and mogul based adhesive compound, 
respectively, at the same facility that is subject to Subpart JJJJ 
(POWC)?
    A3: Yes. Processes 1 and 2 meet the exemption for affiliated 
operations under the MON when making the adhesive and mogul based 
adhesive, respectively, at the same facility where they are used in a 
POWC affected facility. The definitions of affiliated operations in 
both the MON and the preamble to the POWC contain the broad language to 
define the exemption. Therefore, we interpret these broad terms to 
include the actual production of the product that meets the definition 
of ``coating'' under the rule.

Abstract for [WDS-146]

    Q: Blaze King Industries Incorporated is seeking EPA clarification 
on the steps for adequately demonstrating replacement catalyst 
equivalency for catalyst-equipped wood heaters subject to the 2015 
Standards of Performance

[[Page 22677]]

for New Residential Wood Heaters, New Residential Hydronic Heaters, and 
Forced-Air Furnaces, (40 CFR part 60 subpart AAA) (2015 NSPS 
Standards).
    A: The 2015 NSPS standards requires that, to have a catalyst deemed 
suitable for replacement, equivalency testing be conducted by an EPA-
approved test laboratory. Consistent with the 2015 Standards, the 
manufacturer must notify the EPA of the date that certification testing 
(catalyst equivalency testing) is scheduled to begin as stated in 40 
CFR 60.534(g). This notice must be received by the EPA at least 30 days 
before the start of testing.

Abstract for [WDS-147]

    This letter is in response to the three November 20, 2015 letters 
(which the EPA is consolidating into one response) from OMNI-Test 
Laboratories, Inc. (OMNI) requesting clarification of several issues 
under 2015 Standards of Performance for New Residential Wood Heaters 
(subpart AAA) and New Residential Hydronic Heaters and Forced-Air 
Furnaces (subpart QQQQ) (collectively referred to as the ``2015 NSPS 
Standards'')
    Q1: Do the 2015 NSPS Standards allow unsealing of a wood heater, 
for which a full certification test series has not been completed, for 
further testing?
    A1: The 2015 NSPS Standards do not specifically allow for unsealing 
of a wood heater for which a test laboratory has suspended a compliance 
test. However, EPA interprets some sections of the 2015 NSPS Standards 
to allow the unsealing of a wood heater for the purpose of further 
testing in specific circumstances.
    Q2: Can the manufacturer provide new parts or make simple 
modifications to the sealed wood heater in lieu of making and shipping 
a new prototype?
    A2: Yes. However, the wood heater must remain sealed until the 
operation and test data obtained from the suspended test is submitted 
and reviewed by the EPA.
    Q3: Does a wood heater that has undergone an incomplete test 
certification have to be sealed and archived in perpetuity?
    A3: No. However, when the wood heater is sealed per 40 CFR 
60.535(a)(2)(vii) and 60.5477(a)(2)(vii), the wood heater must remain 
sealed until the operation and test data obtained from the suspended 
test is submitted and reviewed by the EPA.
    Q4: What are the certification requirements under 40 CFR 60.533(e)?
    A4: As provided in 40 CFR 60.533(e), the EPA may issue a 
conditional, temporary certificate of compliance to a manufacturer if 
they submit a full test report and a complete application.
    Q5: Are the certifications of conformity that an EPA-accredited 
test laboratory submits to the EPA ``de facto temporary certificates of 
compliance'' because they are not required for the EPA to issue a 
temporary certificate of compliance to a manufacturer?
    A5: No. As provided in 40 CFR 60.533(e), a conditional, temporary 
certificate of compliance may only be granted by the EPA provided that 
the manufacturer submits a complete certification application that 
meets all the requirements in 40 CFR 60.533(b).
    Q6: Does submission of a certificate of conformity with a complete 
certification package (i.e., application and full test report), prior 
to May 16, 2016, make a manufacturer requesting certification 
ineligible to receive a temporary certificate of compliance?
    A6: No. The manufacturer may receive a conditional, temporary 
certificate of compliance under 40 CFR 60.533(e) until the EPA's review 
of the application is complete.
    Q7: What are the requirements for quality assurance audits for 
model lines that are deemed certified under 40 CFR 60.533(h)(1)?
    A7: As provided in 40 CFR 60.533(m), ``the manufacturer of a model 
line with a compliance certification under paragraph (h)(1) of this 
section must conduct a quality assurance program that satisfies the 
requirements of this paragraph (m) by May 16, 2016.''
    Q8: Are manufacturers required to contract the services of a third-
party certifier to conduct quality assurance audits?
    A8: Yes. Manufacturers are required by 40 CFR 60.533(m) to contract 
the services of a third-party certifier to conduct quality assurance 
audits.
    Q9: What are the requirements for deemed certified wood heaters 
under 40 CFR 60.533(m)?
    A9: As provided in 40 CFR 60.533(m), by May 16, 2016, manufacturers 
must have in place a quality assurance program that satisfies the 
requirements under 40 CFR 60.533(m)(1) through (5).
    Q10: Does a certificate of compliance issued prior to May 15, 2015, 
at an emission level less than or equal to the 2015 emission standard 
need to be renewed before May 15, 2020?
    A10: No. Manufacturers of model lines that are deemed certified per 
40 CFR 60.533(h)(1) and for which a certificate of compliance has been 
issued prior to May 15, 2015, showing an emission level less than or 
equal to the 2015 emission standards, do not need to renew their 
certificates until May 15, 2020.

Abstract for [WDS-148]

    Q: Does EPA determine that the wood heater regulations at 40 CFR 
part 60 subparts AAA apply to the wood-burning sauna heaters 
manufactured by Harvia Oy?
    A: No. Based upon the information provided and the specific 
circumstances described in Harvia Oy's letters to the EPA, the EPA 
determines that the wood heater subpart AAA standards do not apply to 
Harvia Oy's wood-burning sauna heaters since these do not meet the 
definition of wood heaters. The sauna heaters are intended to heat the 
sauna room only and not to be used for residential heating.

Abstract for [Z170001]

    Q: Does the EPA determine that the Exide Technologies secondary 
lead smelting facility in Vernon, CA, which has been permanently shut 
down and is being dismantled, is subject to 40 CFR part 63 subpart X?
    A: No. The EPA determines that the facility is no longer a 
``secondary lead smelter'' for purposes of subpart X because it can no 
longer physically or legally operate as a secondary lead smelter. In 
addition, the California Department of Toxic Substances Control (DTSC) 
approved Exide's Final Closure Plan on December 8, 2016.

Abstract for [Z170002]

    Q: Does the EPA approve Futamura USA, Incorporated's (Futamura's) 
request to use an alternative test method using a mass spectrometer 
(MS) continuous emissions monitoring system (CEMS) to measure specific 
sulfur compound emissions from process vents on the cellulose 
manufacturing process and alternative monitoring method that would 
eliminate the need to collect and report carbon disulfide (CS2) 
Recovery Plan operating data based on the availability of the emissions 
data from the proposed MS CEMS to demonstrate compliance with the 
National Emission Standards for Hazardous Air Pollutants for Cellulose 
Products Manufacturing (NESHAP subpart UUUU), at its Tecumseh, Kansas 
facility?
    A: Yes. Based on the information provided, the EPA conditionally 
grants temporary approval for the alternative test method and 
monitoring method to allow Futamura to demonstrate the ability to 
document compliance with NESHAP UUUU by using a MS CEMS. This temporary 
approval expires one year from June 16, 2017. At least 60 days prior to 
this expiration date, Futamura is required to make a request to EPA for 
continue and permanent use

[[Page 22678]]

of the CS. In addition, the CS CEMS needs to successfully pass the 
required relative accuracy test audit (RATA) and meet additional 
conditions outline in the determination letter for EPA approval.

Abstract for [Z170003]

    Q: Does the EPA approve BP Product North America's (BP) alternative 
monitoring request to maintain the hourly oxygen concentration in the 
exhaust gas from the catalyst regenerator at or above one percent by 
volume on a wet basis, as opposed to a dry basis as required by 40 CFR 
63 subpart UUU at the Whiting, Indiana refinery?
    A: Yes. The EPA approves the request to maintain the hourly oxygen 
concentration in the exhaust gas from the catalyst regenerator at or 
above one percent by volume on a wet basis during periods of startup, 
shutdown, and hot standby. BP provided information that indicates 
catalyst fines can plug an analyzer that measures on a dry basis. In 
addition, the oxygen concentration on a wet basis will always yield a 
lower reading versus a dry basis oxygen reading.

    Dated: May 7, 2018.
David A. Hindin,
Director, Office of Compliance, Office of Enforcement and Compliance 
Assurance.
[FR Doc. 2018-10463 Filed 5-15-18; 8:45 am]
BILLING CODE 6560-50-P