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N.J.A.C. 7:27-21 Possible Revisions

N.J.A.C. 7:27-21 Possible Revisions. ISG Meeting September 14, 2010. Reasons for Revision. To update rule to meet federal requirements To fix errors in the rule (major and minor issues) To make the data more useful

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N.J.A.C. 7:27-21 Possible Revisions

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  1. N.J.A.C. 7:27-21Possible Revisions ISG Meeting September 14, 2010

  2. Reasons for Revision • To update rule to meet federal requirements • To fix errors in the rule (major and minor issues) • To make the data more useful • To update rule language/definitions to be more consistent with the other Air rules

  3. Revisions Already Proposed But Not Adopted • Requiring PM2.5 and ammonia to be reported at source level, not facility level • Federal requirement • Requiring the 36 Toxic Air Pollutants (TAPs) to be reported at source level, not facility level • More useful for Department use • Consistent with criteria pollutants • May be possible federal requirement in the future

  4. Additional Revisions Being Considered • Report PM condensible, PM10 filterable, and PM2.5 filterable • Required by EPA’s AERR for 2009 emissions • Would require RADIUS enhancement for Autocalc • Remove references to paper submittal • Last paper submittal was more than 5 years ago • Still keep paper submission for confidential data • Remove 1 month extension • DEP has 12 months to report data to EPA instead of the 17 months before, per AERR • For 2009 ES, 46 request, only 5 approved (most of the denied because request was after May 1)

  5. Additional Revisions Being Considered • If reporting for TAPs is changed to source level, then the applicability could be changed to source level, instead of facility level, to be consistent to permitting • Delete references for before 2003, 2005 • Old references • Delete the requirement of facility coordinates • GIS has most of them already • May require RADIUS enhancement

  6. Update Language/Definitions To Be Consistent Other Rules • Hours, days, and weeks • Quarterly throughput • Winter season • Change "Control apparatus" to "Control Device" • Add definitions for diesel fuel, including biodiesel • "Gasoline" include 10% Ethanol and perhaps E85 in that definition • Expand PM2.5 and PM10 definitions to specifically include condensibles • TSP

  7. Update Language/Definitions To Be Consistent Other Rules • For "Toxic Air Pollutant“, add the commonly used term "TAP“ • 7:27-21.2(d) "... solely a retail gasoline dispensing facility is exempt ..." • Include the DEP street address and street zip code for deliveries (FedEx, UPS, etc.) • Include language that emission statements match permits with exceptions • Define "Predictive Emissions Monitoring“ • Clarify “applicable reporting threshold” and “reporting threshold”

  8. Update Language/Definitions To Be Consistent Other Rules • Change Hydrochloric Acid to "Hydrochloric Acid as Hydrogen Chloride" or just Hydrogen Chloride • 1,1,1-Trichloroethane - add (Methyl Chloroform) • Polychlorinated biphenyls - add (PCB's) • Polycyclic organic matter - add (POM) • Others

  9. Questions/Comments and Next Step • Email comments and questions to emis_statement@dep.state by Dec. 1 • Include any RADIUS enhancements that may be beneficial to Emission Statement reporting • Have a compiled summary of comments and questions and share at next ISG meeting • Will meet with management to go through list of changes • Share at future ISG meeting the “final” list prior to rulemaking • Need for separate emission statement meeting or is the ISG Meeting good enough as the platform for outreach?

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