SUPPORTING STATEMENT ENVIRONMENTAL PROTECTION AGENCY
A. JUSTIFICATION
1. IDENTIFICATION OF INFORMATION COLLECTION
a) Title: Revisions to National Emission Standards for Radon Emissions from Operating
Mill Tailings (NESHAP) Subpart W 40 CFR 61.250
EPA Number 2464.01, OMB Number 2060-NEW
b) Short Characterization
On May 2, 2014, EPA proposed revisions to the radon emission standards for 40
CFR Part 61, Subpart W. Included in the proposed revisions is a requirement that owners and operators of uranium recovery facilities maintain specific records pertaining to the design, construction and operation of the uranium tailings impoundments, both conventional and nonconventional, and heap leach piles. These records will be retained at the facility and contain information regarding the approved design of the impoundments and/or heap leach pile, including but not limited to, all tests performed that prove the liner is compatible with the material(s) being placed on the liner. For nonconventional impoundments this requirement also includes records showing compliance with the requirement to continuously maintain one meter of liquid in the impoundment. For heap leach piles, this requirement includes records showing that the 30% moisture content (by weight) of the pile is continuously maintained. Apart from the design documents, which are required for the application submitted under Subpart A of 40 CFR part 61, records regarding the inspections to determine the one meter liquid requirement for
nonconventional ponds and the records showing compliance with the 30% moisture level in heap leach piles are new requirements for collection of information that is not covered under the
existing ICR for NESHAPs, EPA Number 1100.13, OMB Number 2060-0191.
Information collected is used by EPA to ensure that public health continues to be protected from the hazards of airborne radionuclides by compliance with these standards. If the information were not collected, it is unlikely that a violation of these standards would be identified and, thus, there would be no corrective action initiated to bring the facilities back into compliance. Compliance is demonstrated through inspection testing and/or moisture content calculation. All facilities are required to maintain their records for 5 years. The rationale for the
5 year record keeping requirement is from the Code of Federal Regulations (CFR), 40 CFR Part
61, Section 61.255. In some cases, they also report their results to EPA.
2. NEED FOR AND USE OF THE COLLECTION (a) Need/Authority for the Collection
In the context of the Clean Air Act (42 USC 1857), Section 114 authorizes the Administrator of EPA to require any person who owns or operates any emission source or who is subject to any requirements of the Act to:
- Establish and maintain records
- Make reports, install, use, and maintain monitoring equipment or method
- Sample emissions in accordance with EPA-prescribed locations, intervals and methods
- Provide information as may be requested
(b) Practical Utility/Users
EPA’s regional offices use the information collected to ensure that public health continues to be protected from the hazards of radionuclides by compliance with health based standards and/ or Generally Available Control Technology (GACT).
EPA's compliance monitoring activities vary widely. EPA could issue a letter requesting information about compliance or could conduct a full scale investigation, including on-site inspections.
When EPA first learns of a compliance problem, EPA attempts to remedy the problem by holding informal discussions with the owner/operator of the source. If it is not possible to remedy the problem informally, formal action is taken. EPA's Clean Air Act Compliance Enforcement Guidance Manual identifies the Agency's informal and formal enforcement operating procedures.
3. NON DUPLICATION, CONSULTATIONS AND OTHER COLLECTION CRITERIA
(a) Non duplication
In accordance with 40 CFR Part 61, the specific information requested by this notice is not currently collected by any other office within EPA or any other governmental agency.
(b) Public Notice Required Prior to ICR Submission to OMB
EPA requested comments on specific aspects of this ICR along with publication of this proposed rule (79 FR 25387, May 2, 2014). There were no comments received from affected entities or the general public regarding the ICR.
(c) Consultations
In developing the proposed regulations, EPA gathered extensive background information on the affected facilities. In addition to background information collected from the regulated sources, public comments were received during the rulemaking process and they are contained in the public docket. In preparing this request, EPA also contacted contractors, EPA staff, and facility emission monitoring and compliance professionals. As a result of these consultations
and the provision in the Clean Air Act Amendments, EPA was able to eliminate duplication of effort between EPA and NRC in instances where EPA determined that the NRC program could provide protection of the public health with an ample margin of safety.
(d) Effects of Less Frequent Collection
All reporting less frequent than annually. (e) General Guidelines
This ICR conforms with all of OMB's collection guidelines.
(f) Confidentiality
This section does not apply because this ICR does not request information of confidential nature.
(g) Sensitive Questions
This section is not applicable because this ICR does not request sensitive information.
4. THE RESPONDENTS AND THE INFORMATION REQUESTED
(a) Respondents NAICS Codes
The NAICS Code associated with the activity of the respondents is: Uranium Mill Tailings - 212291
(b) Information Requested
Descriptions of the reporting requirements are listed below.
Reporting
Subpart W- Uranium Mill Tailings
The owners or operators of operating impoundments and heap leach piles are not required to report the results of the compliance inspections or calculations required in Section 61.255. Record Keeping
The owner or operator of the uranium recovery facility must maintain records that confirm the approved design and operating procedures for the conventional impoundment(s), nonconventional impoundment(s) and heap leach pile(s). Included in these records shall be the results of liner compatibility tests, measurements confirming that one meter of liquid has been maintained in nonconventional impoundments and records confirming that heap leach piles have constantly maintained at least 30% moisture content during the operating life of the heap leach pile. This documentation should be sufficient to allow an independent auditor to verify the accuracy of the determination made concerning the facility's compliance with the standard.
These records must be kept at the mill or facility for at least five years and, upon request, be made available for inspection by the Administrator, or his/her authorized representative.
5. THE INFORMATION COLLECTED-- AGENCY ACTIVITIES, COLLECTION METHODOLOGY, AND INFORMATION MANAGEMENT
(a) Agency Activities
Information being collected is pursuant to Federal regulation. Agency activities consist of reviewing owner or operator test reports and maintaining files.
(b) Collection Methodology and Management
The Office of Radiation and Indoor Air and the EPA regional offices have planned and allocated resources for the efficient and effective management and use of this information.
Records must be maintained documenting the approved design and operating procedures
for the conventional impoundment(s), nonconventional impoundment(s) and heap leach pile(s). Included in these records shall be the results of liner compatibility tests, measurements confirming that one meter of liquid has been maintained in nonconventional impoundments and records confirming that heap leach piles have constantly maintained at least 30% moisture content during the operating life of the heap leach pile. This documentation should be sufficient to allow an independent auditor to verify the accuracy of the determination made concerning the facility's compliance with the standard. These records must be kept at the site of the facility for at least five years and, upon request, be made available for inspection by the Administrator, or the Administrator's authorized representative.
The Agency has determined that periodic on- site inspection is the most effective method to insure compliance. EPA regional office staff performs inspections to determine if compliance with the regulatory standards is being maintained. Verification of data is accomplished by recalculation of calculations used for determination of the one meter liquid requirement or the
30% moisture content.
(c) Small Entity Flexibility
For purposes of assessing the impacts of this ICR on small entities, small entity is defined as: (1) a small business whose company has less than 500 employees and is primarily engaged in leaching or beneficiation of uranium, radium or vanadium ores as defined by NAIC code
212291; (2) a small governmental jurisdiction that is a government of a city, county, town, school district or special district with a population of less than 50,000; and (3) a small organization that is any not-for-profit enterprise which is independently owned and operated and is not dominant in its field.
Of the 21 facilities identified, 11 are owned by small businesses. The inspections to determine the one meter liquid requirement for nonconventional ponds and the records showing compliance with the 30% moisture level in heap leach piles can be created and stored during the daily inspections of the tailings and waste retention systems required by the NRC (and Agreement States) under the inspection requirements of 10 CFR 40, Appendix A, Criterion 8A. Therefore, no small organizations or small governmental entities have been identified that would be adversely impacted by the proposed ICR.
(d) Collection Schedule
Collection of the information required will begin on the day of promulgation of the final rule. Inspections and record keeping shall be performed daily, during the inspections required by
10 CFR 40, Appendix A, Criterion 8A.
6. ESTIMATING THE BURDEN AND COST OF THE COLLECTION
Burden and costs estimates have been calculated separately for these collections. Respondent labor rates are based on 'mean' values from the 2007 data of the US Department of Labor, Bureau of Labor Statistics (BLS) for the mining industrial sector. These national
industry-specific occupational employment and wage estimates are calculated with data collected from employers of all sizes, in metropolitan and non-metropolitan areas in every State and the District of Columbia, in NAICS 212200- Mining (except Oil and Gas). These rates are
increased by 120% in the cost estimate to include inflation and overhead. The labor key is as follows: Management (Mgmt) ($102/hr) was based on the Total Compensation for the Management Occupational Group in the mining sector in the BLS data. Technical (Tech) was based on the mean salary for “all production operations" ($41/hr) in the mining sector which
incl udes mining machine operators, water and liquid waste treatment plant and system operators, and chemical plant and system operators. Clerical (Cler) ($34/hr) was based on the Total Compensation for the Office and Administrative Support Occupations in the mining sector in the BLS data.
The tables representing subpart W is listed below with their reporting requirement information.
Information Collection Hours and Costs Per Respondent One Meter of Liquid in Impoundment Total Hours and Costs
Tot Labor
Assumptions:
- L.
Subpart
W--
Uranium
Mill
Tailings
Manager
$102/hour
Technical
$41/hour
Clerical
$34/hour
Respond.
Hours/
year
Labor
cost/year/
Respond.
Capital/
startup
cost
O&M
Cost
Number
of
Respond.
Total
hours/
year
cost/
year
Read
and
understand
the
regulatory
provision
(Mgmt)
10
10
$1,020
$
21
210
$21,420
Acquire
Instrumentation
(Mgmt)
10
10
$1,020
$100
$100
21
210
$21,420
Install
Instrumentation
(Tech)
10
10
$410
$
$
21
210
$8,610
Train
Technician
to
perform
inspection
(Mgmt.)
8
8
$328
$
21
168
$6,888
Perform
Inspection
to
determine
one
meter
of
liquid
(Tech.)
1
240
$9,840
$
21
5040
$206,640
Record
Keeping
File
and
maintain
data
(Clerical)
10
10
$340
21
210
$7,140
TOTAL
20
19
10
288
$12,958
$100
$100
21
6048
$272,118
Information Collection Hours and Costs Per Respondent Heap Leach Pile 30% Moisture Content Total Hours and Costs
Subpart W-- Uranium Mill Tailings |
|
Manager $102/hour |
Technical $41/hour |
Clerical $34/hour |
Respond. Hours/ year |
Labor cost/year/ Respond. |
Capital/ startup cost |
O&M Cost |
Number of Respond. |
Total hours/ year |
Tot Labor cost/ year |
Read and understand the regulatory provision (Mgmt) |
|
10 |
|
|
10 |
$1,020 |
|
|
1 |
10 |
$1,020 |
Acquire Instrumentation (Tech) |
|
20 |
|
|
20 |
$2,040 |
$5,372 |
$1,000 |
1 |
20 |
$2,040 |
Install Instrumentation (Tech) |
|
|
100 |
|
100 |
$4,1 00 |
|
|
1 |
100 |
$4,100 |
Train Technicians (Tech) |
|
|
8 |
|
8 |
$328 |
|
|
1 |
8 |
$328 |
Perform Inspections to determine 30% moisture content (Tech) |
|
|
8 |
|
1920 |
$78,720 |
|
|
1 |
1920 |
$78,720 |
Record Keeping |
|
|
|
|
|
|
|
|
|
|
|
File and maintain data (Clerical) |
|
|
|
10 |
10 |
$340 |
|
|
1 |
10 |
$340 |
TOTAL |
|
30 |
116 |
10 |
2,068 |
$86,548 |
$5,372 |
$1,000 |
1 |
4144 |
$86,548 |
Assumptions:
1. Capital/start up cost: 1 facilities x $35,000 annualized over 9 years = $5,372
2. Annual cost (0 & M):1 facilities x $1,000 = $1,000
Information Collection Hours and Costs Per Respondent - Design Plans Retention Total Hours and Costs
Subpart W-- Uranium Mill Tailings |
|
Manager $102/hour |
Technical $41/hour |
Clerical $34/hour |
Respond. Hours/ year |
Labor cost/year/ Respond. |
Capital/ startup cost |
O&M Cost |
Number of Respond. |
Total hours/ year |
Tot Labor cost/ year |
|
|
|
|
|
|
|
|
|
|
|
|
Read and understand the regulatory provision (Mgmt) |
|
10 |
|
|
10 |
$1,020 |
|
|
21 |
210 |
$21,420 |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
Record Keeping |
|
|
|
|
|
|
|
|
|
|
|
File and maintain data (Clerical) |
|
|
|
10 |
10 |
$340 |
$100 |
|
21 |
210 |
$7,140 |
TOTAL |
|
10 |
|
10 |
20 |
$1,360 |
$100 |
|
21 |
420 |
$28,560 |
Assumptions:
1. Capital start up cost: 21 facilities x $100 = $2,100
2. Annual cost (0 & M): 21 facilities x $0 = $0
W--Uranium Mill Tailings
In order to complete these reporting requirements respondents will:
a. read and understand the regulatory provision,
b. acquire and install instrumentation necessary to comply with the regulatory requirements,
c. train technicians to perform the inspections, d. perform the required inspections,
e. prepare and maintain the reports at the facility, available to EPA upon request.
Maintaining one meter of water in impoundment
-It is estimated that the material required for monitoring the liquid level is not more than
$100.
- It is estimated that it will take one person one day to set up the monitoring.
- It is estimated that it will take one hour to perform the inspection, and it will be carried out for 240 work days per year.
-It is estimated that 21 facilities will keep records annually.
-The estimated cost to complete the requirements is $12,958.
Meeting the 30% moisture content requirement at heap leach piles
-It is estimated that the material required for monitoring the liquid level is approximately
$35,000.
- It is estimated that it will take two people one week to set up the monitoring.
- It is estimated that it will take eight hours to perform the inspection, and it will be carried out for 240 work days per year.
-It is estimated that 1 facility will keep records annually.
- The estimated cost to complete the requirements is $86,548.
Maintaining design/construction records
-It is assumed that these records cost nothing to generate, since they were required as part of the application for construction/modification required under Subpart A of 40 CFR Part
61.
-It is assumed that maintaining the records at the facility will require minimum handling, and minimum storage requirements.
-It is estimated that 21 facilities will maintain these records.
-The estimated cost to maintain the records is $1,360.
ESTIMATED AGENCY BURDEN AND COST
The burden to the EPA is only for reviewing the reports generated by the regulated community to ensure that emissions are within the limits set by the regulations. The main burden is on the regulated community as they have to inspect their facilities, compile the data, and retain the necessary reports for compliance purposes. The estimated agency burden and costs are as shown in the table below. Agency salaries were found in 2012 General Schedule Salary Table. The data for review of reports for compliance was based on the salary scale for GS-13, step 5 (Tech), with a multiplier of 1.6 to include overhead; this resulted in $62/hr. For the Clerical category,
the salary scale for a GS-9, step 5 (Cler) was used with a multiplier of 1.6 to account for overhead; this resulted in $36/hr.
SUMMARY OF BURDEN ESTIMATE FOR THE AGENCY
AGENCY |
Capital/Start-Up Burden Hours |
Capital/Start-up Cost |
Annual Burden Hrs per Report |
Annual Costs per Report |
Review reports for compliance verification (Tech) |
|
|
6@$62/hr |
$372 |
File reports (Cler) |
|
|
4@ $36/hr |
$144 |
SUB-TOTAL |
0 |
0 |
10 |
$516 |
TOTAL for 21 respondents |
210 |
$10,836 |
Total Estimated Respondent Burden and Cost Summary
|
Number of Respondents |
Number of Activities |
Total Hours Per Year |
Total Labor Cost Per Year |
Total Annual Capital Costs |
Total Annual O&M Costs |
One Meter of Liquid |
21 |
6 |
6048 |
$272,118 |
$2,100 |
$2,100 |
30% Moisture- Heap Leach Pile |
1 |
6 |
4144 |
$86,548 |
$5,372 |
$1,000 |
Design/Operating Plan Retention |
21 |
2 |
420 |
$28,560 |
$100 |
$0 |
TOTAL |
21 |
14 |
10,612 |
$387,226 |
$7,572 |
$3,100 |
Burden Statement: The annual burden for this collection of information is estimated to average 308 hours for nonconventional impoundments and 2,088 hours for heap leach piles. Burden means the total time, effort, or financial resources expended by persons to generate, maintain, retain, or disclose or provide information to or for a Federal agency. This includes the
time needed to review instructions; develop, acquire, install, and utilize technology and systems
for the purposes of collecting, validating, and verifying information, processing and maintaining information, and disclosing and providing information; adjust the existing ways to comply with any previously applicable instructions and requirements; train personnel to be able to respond to a collection of information; search data sources; complete and review the collection of information; and transmit or otherwise disclose the information. An agency may not conduct or sponsor, and a person is not required to respond to, a collection of information unless it displays a currently valid OMB control number. The OMB control numbers for EPA's regulations are listed in 40 CFR part 9 and 48 CFR chapter 15.
To comment on the Agency's need for this information, the accuracy of the provided burden estimates, and any suggested methods for minimizing respondent burden, including the use of automated collection techniques, EPA has established a public docket for this ICR under Docket ID EPA-HQ-OAR-2008-0218, which is available for public viewing at the EPA Docket Center (EPA/DC), EPA West, Room 3334, 1301 Constitution Ave., NW, Washington, DC. The EPA Docket Center Public Reading Room is open from 8:30a.m. to 4:30p.m., Monday through Friday, excluding legal holidays. The telephone number for the Reading Room is (202) 566-1744, and the telephone number for the Air and Radiation Docket is (202) 566-1742. An electronic version of the public docket is available through www.regulations.gov. Use regulations.gov to submit or view public comments, access the index listing of the contents of the public docket, and to access those documents in the public docket that are available electronically. Once in the system, select "search," then key in the docket ID number identified above. Also, you can send comments to the Office of Information and Regulatory Affairs, Office of Management and Budget, 725 17th Street, NW, Washington, DC 20503, Attention: Desk Officer for EPA.
Please include the EPA Docket ID EPA-HQ-OAR-2008-0218 and OMB Control Number 2060-NEW in any correspondence.
File Type | application/vnd.openxmlformats-officedocument.wordprocessingml.document |
Author | Rosnick |
File Modified | 0000-00-00 |
File Created | 2021-01-23 |