1 / 17

Mercury Emissions Monitoring Under CAMR

Mercury Emissions Monitoring Under CAMR. Reynaldo (Rey) Forte Clean Air Markets Division, U.S. EPA 2007 SOUTHEASTERN PERMITTING WORKSHOP Tampa, FL May 9-11, 2007. Background.

maalik
Download Presentation

Mercury Emissions Monitoring Under CAMR

An Image/Link below is provided (as is) to download presentation Download Policy: Content on the Website is provided to you AS IS for your information and personal use and may not be sold / licensed / shared on other websites without getting consent from its author. Content is provided to you AS IS for your information and personal use only. Download presentation by click this link. While downloading, if for some reason you are not able to download a presentation, the publisher may have deleted the file from their server. During download, if you can't get a presentation, the file might be deleted by the publisher.

E N D

Presentation Transcript


  1. Mercury Emissions Monitoring Under CAMR Reynaldo (Rey) Forte Clean Air Markets Division, U.S. EPA 2007 SOUTHEASTERN PERMITTING WORKSHOP Tampa, FL May 9-11, 2007

  2. Background • The Clean Air Mercury Rule (CAMR) requires sources to install and certify mercury monitoring systems by January 1, 2009 • Affected sources have begun ordering monitoring and data acquisition systems • Vendors have expressed a high level of confidence that continuous mercury emission monitoring systems will be available to meet industry needs and CAMR requirements

  3. Background • Development of the CAMR monitoring program has been a collaborative effort between EPA (OAQPS, ORD, CAMD), NIST and industry (EPRI, RMB, WRI, EERC and others) • EPA continues its full commitment to working with utilities, vendors, academia, NIST, and other organizations to successfully develop all aspects of the CAMR mercury monitoring program • Most major technical issues are behind us but some challenges remain

  4. Mercury Monitoring - Next Steps • Test and promulgate instrumental and sorbent-based alternative mercury reference methods • Develop NIST-traceable calibration gases and protocols • Develop training materials and conduct training for EPA Regions, States and sources • Order, install and certify monitors - sources • Collect, quality assure, and report data – sources • Receive, quality assure, and audit data - EPA

  5. Evaluation and Validation of Alternative Reference Methods • EPA and industry (EPRI and others) are completing remaining field validation tests for instrumental and sorbent trap-based reference methods that provide alternatives to the lengthy and complex Ontario Hydro reference method • An instrumental reference method (IRM) that provides timely RATAs with immediate, real-time results is easier to implement than OH, and is consistent with NOX and SO2 trading programs • A sorbent trap reference method is considered another viable alternative method. When it combines thermal desorption/direct combustion techniques, it allows for onsite analysis • EPA and EPRI are currently completing sorbent trap method comparison studies using a modified EPA Method 301 which compares existing data from sorbent trap systems against data from the Ontario Hydro reference method

  6. Availability of Alternative Reference Methods EPA is preparing a rule package for both the instrumental and sorbent-based reference methods • Process being expedited through direct final rule making effort • Final rule tentatively scheduled for May publication in the Federal Register • Would become final in early July if no adverse comments are received

  7. Proposed Monitoring Changes to Part 75 • Proposed Part 75 rule changes published August 22, comment period closed in October 06 • Reference Method 29 proposed as an alternative Ontario Hydro reference method • Minor technical/procedural changes proposed to Subpart I of Part 75 including adding multiple/common stack heat input procedures • Solicited comments relating to the development of reference method based on sorbent trap technology • Received comments were not extensive - essentially supportive of changes • Rule expected to become final this summer

  8. NIST-Traceable Hg Calibration Standards • EPA and NIST continue their collaborative work to provide NIST traceability for elemental and oxidized mercury calibration standards • We are expecting to have NIST-traceable gas protocols in 2007 for use in certifying CEMS and sorbent trap monitoring systems

  9. Mercury Compliance Monitoring Options and Requirements Continuous Emissions Monitoring Systems (CEMS) Sorbent Traps – Appendix K Low Mass Emissions (LME) Monitoring Methodology

  10. CEMS Initial Certification • 7-day calibration error test • Linearity Check (elemental Hg) • 3-level System Integrity Check (oxidized Hg) - monitors with Hg converter only • Cycle Time Test • Relative Accuracy Test Audit (RATA) • Bias Test

  11. CEMS On-going Quality Assurance • Daily calibration error test (elemental or oxidized Hg) • Weekly 1-level System Integrity • Quarterly Linearity Check (elemental Hg) or3-level System Integrity Check (oxidized Hg) • Annual RATA (no semi-annual threshold • Bias Test

  12. Appendix K – Sorbent Trap System Basics • Appendix K – Sorbent Trap systems consist of a pair of sampling trains that collect an integrated sample over a specified collection period • Sorbent traps collect the Hg and have 3 sections. • Section 1; Main Sample Collection Section • Section 2; Breakthrough Sample Collection Section • Section 2; Spiked Section for QA • Each sampling train uses a dry gas meter to record the volume of stack gas sampled over the course of each sample collection period

  13. Appendix K – Sorbent Trap Systems • Initial Certification • RATA • Bias Test • Initial 3-level Dry Gas Meter (DGM) Calibrations • Initial DGM Temperature Sensor and Calibration Check • Initial DGM Barometer Calibration Check

  14. Appendix K – Sorbent Trap Systems • On-going Quality Assurance for Appendix K systems : • Annual RATA (no semi-annual threshold) • Annual Bias Test • Quarterly Dry Gas Meter (DGM) Calibrations • Quarterly DGM Temperature Sensor and Calibration Check • Quarterly DGM Barometer Calibration Check • Quality Assurance for each Appendix K sample collection period: • Pre- and Post- sample collection Leak Check • Monitor Ratio of stack gas flow to sample collection flow • Sorbent Trap Breakthrough check (section 2 of trap) • Percent Trap Agreement • Spike Recovery (section 3 of trap)

  15. Substitute Data for CEMS andAppendix K • In August 2006, EPA proposed to consolidate the Substitute Data requirements for CEMS and Appendix K. • This decision allows for the use of an Appendix K system as a back-up to CEMS in a way that does not complicate the Substitute Data requirements for when neither system is available.

  16. Hg-LME Monitoring Methodology Rather than install Hg analyzers or sorbent traps, affected units with lower potential levels of Hg (≤ 29 lbs/yr potential emissions) may qualify for a Low Mass Emissions (LME) monitoring methodology (Part 75.81)

  17. Low Mass Emissions (LME) Units • Low Hg emitting units (≤ 29 lbs/yr potential emissions) may qualify for the LME methodology • This methodology requires an initial and on-going emission testing • Maximum potential stack flow rate from initial test is used to demonstrate that the unit’s potential to emit is not greater than the 29 lb threshold. • The Hg concentration from the test is then used with actual stack flow data to determine hourly emissions • Ongoing re-testing is required annually if the calculated potential Hg emissions are ≤ 9 lb/yr, and semiannually if the potential emissions are between 9 and 29 lb/yr (NO GRACE PERIODS!) • Actual reported Hg mass is used for ongoing qualification testing.

More Related