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Storm Water Discharges from Oil and Gas Related Construction Activities. EPA Public Meeting Dallas, Texas May 10, 2005. Overview. History Rule deferral rationale Regulatory options EPA analysis Q&A. Chronology. Oil and Gas Exemption.
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Storm Water Discharges from Oil and Gas Related Construction Activities EPA Public Meeting Dallas, Texas May 10, 2005
Overview • History • Rule deferral rationale • Regulatory options • EPA analysis • Q&A
Oil and Gas Exemption • CWA §402(l)(2) - The Administrator shall not require a permit … for discharges of stormwater runoff from … oil and gas exploration, production, processing, or treatment operations or transmission facilities, composed entirely of flows which are from conveyances or systems of conveyances … used for collecting and conveying precipitation runoff and which are not contaminated … • Construction activity, includes clearing, grading, and excavating • Since 1992, EPA has considered construction activity at oil and gas sites to require permit coverage – i.e., not considered to fall under exemption.
Construction and Industrial EPA as NPDES Permitting Authority Federal Facilities Oil and Gas Puerto Rico Virgin Islands Tribes Other Territories
2003 Facts and Figures • ~28,000 new well sites in 29 states • EPA administers the Storm Water program in AK*, TX, OK, and NM: • 48% of the wells are drilled • 66% of estimated compliance costs are accrued • Permit addresses ESA and NHPA * Vast majority of AK sites are >5 acres and covered by Phase I regulations.
Deferral Rationale • Phase II Rule determined that few if any oil and gas sites exist between 1 and 5 acres • EPA subsequently deferred requirement for small oil and gas sites to obtain permit coverage • EPA performing: • Economic impact analysis, including cost/benefit analysis • BMP review • Industry Standard Operating Procedures • BLM Gold Book Guidelines • State prescribed BMPs • Analysis of regulatory options
Regulatory Options EPA is currently evaluating 2 options (against the baseline) for regulating small oil and gas construction activity: (Baseline) - Regulate consistent with Phase II Rule (Option 1) – Create New Waiver (Option 2) - Non-permitting program [CWA 402(p)(6)]
Regulatory Options (Baseline) Baseline Approach: • Requirements include: • Coverage under Construction General Permit • Develop site-specific Storm Water Pollution Prevention Plan (SWPPP) • Perform routine inspections • ESA/NHPA considerations (for EPA permits)
Baseline Approach GAO-05-240, February 2005
Baseline – Construction SWPPP • Site Description • Controls to Reduce Pollutants • Erosion and Sediment Controls • Stabilization Practices • Storm Water Management • Maintenance • Inspections
Baseline-SWPPP: Site Description • Description of construction activity • Sequence of major soil disturbing events • Total and disturbed area (acreage) • Storm water discharges (location) • Site map • Storm water controls (location) • Receiving waters (name, location) • Endangered species; historic preservation
Baseline-SWPPP: Erosion and Sediment Controls • Properly select and install controls to: • Minimize erosion • Retain sediment on-site • Remove any sediment that accumulated off-site • Remove sediment from sediment traps • Prevent litter from entering streams
Baseline-SWPPP: Stabilization Practices • Temporary Seeding • Permanent Seeding • Mulching • Sod Stabilization • Vegetative Buffer Strips • Tree Preservation • Contouring and Protecting Sensitive Areas
Maintenance and Inspections • BMPs must be maintained in effective operating condition • Any repairs must be performed before next anticipated storm event, if possible. • Inspect at least every 14 calendar days and within 24 hours after any storm event of 0.5 inches or greater (or every 7 days) until permit coverage terminated.
Regulatory Option #1- Waiver • Sites <5 acres would be waived from permit coverage under certain conditions • Sites 5 acres and above would still be required to obtain permit coverage • Possible waiver eligibility requirements: • Short term (<30 days) construction • Proximity to water body • Slope, region, and other site-specific considerations • BMP implementation
Regulatory Option #2-Non-Permitting NPDES Program • Comprehensive program under CWA section 402(p)(6) • Develop a program for O&G construction activity • Likely similar BMP requirements as baseline and Option 1 • Evaluate legal authorities and responsibilities
Economic Analysis: Purpose • Evaluate the costs and benefits of the requirements under the Phase II Storm Water Rule • Follow analytical approach using relevant data from the Phase II analysis (1998). • Examine the costs and benefits for 3 rulemaking options: • Baseline (expiration of deferral after 6/12/06) • Waiver • Non-permitting program under CWA 402(p)(6)
Economic Analysis: Impacts • Direct costs • Notice of Intent • SWPPPs • BMPs • Potential ESA & NHPA Considerations • Indirect costs • Revenue delay • Forgone lease bonus payments • Idle rig contract payments • Project cancellation
Next Steps • Gather additional information • Complete Economic Analysis • Notice of Proposed Rulemaking (9/05) • Comment period • Final Rulemaking (6/06) Questions?