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Greenhouse Gas (GHG) Permit Training

Greenhouse Gas (GHG) Permit Training. Other Aspects of PSD Title V Permitting. Other Aspects of PSD Implementation. Air Quality and Impact Analyses: GHG Specific Considerations.

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Greenhouse Gas (GHG) Permit Training

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  1. Greenhouse Gas (GHG) Permit Training Other Aspects of PSD Title V Permitting

  2. Other Aspects of PSD Implementation

  3. Air Quality and Impact Analyses:GHG Specific Considerations • Since no NAAQS or PSD increments exist for GHGs, PSD applicants are not required to model GHGs or conduct ambient monitoring for GHGs. • While GHGs will induce warming and impact the environment, including Class I areas and soil and vegetation, it is not feasible with current climate change modeling to detect and attribute such impacts to a specific source of GHGs in permit review. DRAFT

  4. GHGs and Title V

  5. Title V Considerations • Title V permit must contain conditions necessary to ensure compliance with applicable requirements for GHGs (e.g., PSD permit conditions) • Title V applications (including permit revision, reopening or renewal) are required to provide emissions information for all pollutants for which it is considered “major” • Under Step 1 of Tailoring Rule, a new or modified stationary source cannot be "major" solely on basis of GHG emissions • So not all applicants required to provide GHG emissions information • However, permitting authority can request GHG emissions information from applicant to verify that PSD was not triggered by a GHG source DRAFT

  6. Title V Considerations (cont’d) • Under Step 2, a stationary source can be "major" solely on basis of GHG emissions if it exceeds the 100,000 tpy CO2e threshold • So permit applicants over the threshold must provide GHG emissions data (in addition to information for all other air pollutants for which they are major) • Particularly in cases where there are no applicable requirements for the GHG emission source, a description of the source (instead of an emission estimate) may be sufficient (see 1995 Title V policy guidance White Paper #1) • Sources newly subject to Title V solely because of GHG emissions will still need to provide required information for all applicable requirements under Clean Air Act (e.g., requirements in a SIP). Appropriately, as for other applicable requirements, monitoring, recordkeeping and reporting conditions will be required for those requirements. DRAFT

  7. Title V Considerations (cont’d) Summary of Title V Applicability Criteria for Sources of GHG DRAFT

  8. Title V Considerations (cont’d) • Note that in Step 2, as under Step 1, for all “anyway sources” subject to title V, sources and permitting authorities need to meet the generally applicable title V application and permitting requirements as necessary to address GHG applicable requirements established under other CAA programs (e.g., the PSD program) • It is expected, at least at the outset, that this will consist primarily of meeting application and permitting requirements necessary to assure compliance with PSD permitting requirements for GHGs. DRAFT

  9. Title V Considerations (cont’d) • GHG emissions reporting under Mandatory Reporting Rule not currently considered an "applicable requirement" under EPA regulations implementing Title V; so this reporting requirement does not need to be included in the Title V permit. • EPA is not changing its title V fee regulations or requiring new fee demonstrations from states at this time. However, permitting authorities must collect fees to cover the costs of processing title V permits for major GHG sources. ??? • EPA flexible permitting provisions extend to GHG sources. Permitting authorities and permit applicants, may find that PALs, alternative operating scenarios and advanced approvals are useful when energy efficiency measures are being considered that reduce GHGs. DRAFT

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