United States Environmental Protection Agency
EPA
Office of Air and Radiation
Office
of Air Quality Planning and Standards
Air
Quality Policy Division
Geographic
Strategies Group
August, 2003
INFORMATION COLLECTION
REQUEST
SUPPORTING STATEMENT FOR
EPA ICR NUMBER 2705.02,
ICR for the Final Rule, Federal “Good
Neighbor Plan” for the 2015 Ozone National Ambient Air Quality
Standards: Transport Obligations for non-Electric Generating Units
EPA # 2705.02
EPA # 1230.16
Executive Summary
Draft 05/01/06
This is a new information collection request (ICR), EPA
2705.02, and it addresses the monitoring, calibrating,
recordkeeping, reporting, and testing requirements under the final
rule, entitled “Federal Good Neighbor Plan for the 2015 Ozone
National Ambient Air Quality Standards.”
Owners
and operators of certain non-Electric Generating Unit (non-EGU)
industry stationary sources will potentially modify or install new
emission controls and associated monitoring systems to meet the
nitrogen oxides (NOx) emission limits of this final rule. The
burden in this ICR reflects the new monitoring, calibrating,
recordkeeping, reporting, and testing activities required by
industry. It also includes estimates of administrative burden on the
EPA in implementing the rule.
Table
E-1 Estimated
Industry Respondents’
Burden to Implement Requirements
Task
Element
|
Industry
|
Average
Annual Hours
|
Average
Annual Cost ($)
|
Total
Burden by Industry Respondents
|
11,481
|
$3,823,000
|
1.1 Title
EPA TRACKING NUMBER: 2705.02
OMB
Control NUMBER:
2060-NEW
1 Identification
of the Information Collection
This document fulfills the Agency's
requirements under the Paperwork Reduction Act (PRA) with regard to
determining the regulatory burden associated with the implementation
of the
final rule, entitled “Federal Good
Neighbor Plan Addressing Regional Ozone Transport for the 2015
Primary Ozone National Ambient Air Quality Standard” (final
rule). The title of this Information Collection Request (ICR) is
“ICR for the Final Rule, Federal “Good Neighbor Plan”
for the 2015 Ozone National Ambient Air Quality Standards: Transport
Obligations for non-Electric Generating Units.”
1.2 Description
On
October 1, 2015, the U.S. Environmental Protection Agency (EPA)
revised the primary and secondary 8-hour standards for ozone to 70
parts per billion (ppb). States were required to provide ozone
infrastructure State Implementation Plan (SIP) submissions to
fulfill interstate transport obligations for the 2015 ozone NAAQS by
October 1, 2018. The interstate transport obligations under Clean
Air Act (CAA) section 110(a)(2)(D)(i)(I), are referred to as the
“good neighbor provision” or the “interstate
transport provision” of the Act. For non-EGUs, this final rule
would resolve the interstate transport obligations of 20 states
under the “good neighbor provision” for the 2015 ozone
NAAQS and is the subject of this clearance request.
The
EPA is establishing nitrogen oxides (NOx) emissions limitations
during the ozone season (May 1 through September 30) beginning in
2026 for certain non-EGU industry stationary sources to eliminate
significant contribution to downwind ozone air quality problems in
other states. The implementation of the final rule would require
owners and operators of affected units within certain non-EGU
industry sectors to conduct new compliance activities. The
Paperwork Reduction Act requires the information found in this ICR
number 2705.02 to assess the burden (in hours and dollars) of these
new compliance activities.
The
EPA is not expecting any required respondent activities or costs to
begin until later in 2023 after the final rule becomes effective.
The final rule compliance period with emissions limits for non-EGU
emissions sources begins in 2026 and would occur during the
2026-2029 time period of any subsequent ICR renewal. The majority of
ICR respondent burden and cost will be realized during the 2026-2029
renewal timeframe and beyond. Consequently, this non-EGU ICR is
likely an overestimate of the burden occurring in the 2023-2025
timeframe. In the 2023-2025 timeframe, owners/operators of certain
non-EGU affected facilities, and the EPA may conduct new monitoring,
calibrating, recordkeeping, reporting, and/or performance testing
activities. This information is being collected to assure
compliance with the final rule. The required activities are
specific to each non-EGU industry sector and can vary across the
range of industry sectors. In general, the final rule will require
initial notifications, performance tests, and periodic reports by
owners/operators. Recordkeeping shall be maintained and retained
for at least five years following the date of such measurements,
maintenance reports, and records. All reports are sent to the EPA
and potentially delegated state or local authority. Certain reports
may be submitted electronically to the EPA through the Compliance
and Emissions Data Reporting Interface (CEDRI). In the event that
there is no delegated authority, the reports are sent directly to
the EPA regional office.
In
the 2023-2025 timeframe, approximately 902 facilities and 3,328
affected non-EGU emissions units (industry respondents) per year
will be subject to the final rule and this estimate is based on the
Agency’s memorandum titled “Summary of Final Rule
Applicability Criteria and Emissions Limits for Non-EGU Emissions
Units, Assumed Control Technologies for Meeting the Final Emissions
Limits, and Estimated Emissions Units, Emissions Reductions, and
Costs” for the final rule. The “Screening Assessment of
Potential Emissions Reductions, Air Quality Impacts, and Costs from
Non-EGU Emissions Units for 2026”
(Non-EGU Screening Assessment) memorandum prepared for proposal
identified the following non-EGU industry source types: furnaces in
Glass and Glass Product Manufacturing; large boilers and reheat
furnaces in Iron and Steel Mills and Ferroalloy Manufacturing; kilns
in Cement and Cement Product Manufacturing; reciprocating internal
combustion engines in Pipeline Transportation of Natural Gas; and
large boilers in Basic Chemical Manufacturing, Metal Ore Mining;
Petroleum and Coal Products Manufacturing; Pulp, Paper, and
Paperboard Mills; and combustors and incinerators in Solid Waste
Combustors and Incinerators.
2.1 Need / Authority for the
Collection
2 Need and Use of the
Collection
Documented emissions data is necessary to determine
compliance with the NOx emission limitations required by this final
rule for certain non-EGU industry stationary sources. The
recordkeeping and reporting requirements in the provisions
applicable to these sources ensure compliance with the applicable
regulations. Performance tests are required to determine an
affected facility’s initial capability to comply with the
emission standards. In some cases, continuous emission monitors
(CEMS) may be used to ensure compliance with the standards at all
times. For other sources not using CEMS, other monitoring,
reporting, and recordkeeping requirements will apply. The required
reports are used to determine periods of excess emissions, identify
problems at the facility, verify operation/maintenance procedures
and for compliance determinations.
Clean
Air Act (CAA) section 110(a)(2)(D)(i)(I), 42 U.S.C. §
7410(a)(2)(D)(i)(I) – often referred to as the “good
neighbor” provision – requires all states, within three
years of the EPA’s promulgation of a new or revised NAAQS, to
revise their SIPs to prohibit certain emissions of air pollutants
because of the adverse impact those emissions would have on air
quality in other states through transport.
The EPA’s promulgation of the final rule is supported by three
additional statutory provisions. First, CAA section 110(c)(1), 42
U.S.C. § 7410(c)(1), requires the EPA Administrator to
promulgate a FIP at any time within two years after he or she finds
that a state has failed to make a required SIP submission, finds
that a SIP submission is incomplete, or disapproves a SIP
submission. Second, CAA section 301(a)(1), 42 U.S.C. §
7601(a)(1), gives the Administrator general authority to prescribe
such regulations as are necessary to carry out his or her statutory
functions. Finally, CAA section 301(d)(4), 42 U.S.C. §
7601(d)(4), authorizes the Administrator to prescribe such
regulations as are necessary or appropriate to administer CAA
provisions in Indian country, including Indian reservation lands and
other areas of Indian country over which the EPA or a tribe has
demonstrated that a tribe has jurisdiction.
2.2 Practical Utility / Users of the
Data
The data collected from non-EGU industry respondents is a
result of new monitoring, calibrating, recordkeeping, reporting, and
testing requirements under the final rule. These data provide the
documentation necessary to determine compliance with the NOx
emission limitations established by this final rule for certain
non-EGU industry stationary sources.
The
recordkeeping and reporting requirements in the standards ensure
compliance with the applicable regulations, which are promulgated in
accordance with the Clean Air Act. The collected information may
also be used for targeting inspections and as evidence in legal
proceedings.
Performance
tests are required to determine an affected facility’s initial
capability to comply with the emission standards. During the
performance test a record of the operating parameters under which
compliance was achieved may be recorded and used to determine
compliance in place of a continuous emission monitor.
The
notifications required in these standards are used to inform the
Agency or delegated authority when a source becomes subject to the
requirements of the regulations. The reviewing authority may then
inspect the source to check if the pollution control devices are
properly installed and operated, malfunctions are being detected and
repaired, and the standards are being met. The performance test may
also be observed.
The
required annual reports are used to determine periods of excess
emissions, identify problems at the facility, verify
operation/maintenance procedures and for compliance determinations.
2.3 Caveats and Considerations
The information in this ICR is based
upon the best data available to the Agency at this time. Incomplete
data and sampling limitations necessitated a certain amount of
extrapolation and estimation.
Consequently, the reader should not
consider the conclusions to be an exact representation of the level
of burden or cost that will
occur. Instead, this ICR should be considered a directionally
correct assessment of the impact the final rule may
have beginning in 2023. However, the EPA is expecting only
minimal required respondent activities and associated costs in the
2023-2025 period. The primary compliance obligations of the rule for
non-EGU sources do not begin until 2026. Consequently, this non-EGU
ICR is likely an overestimate of the burden occurring in the
2023-2025 timeframe.
Throughout
this ICR, the reader will observe estimated values that show
accuracy to the single hour or dollar. However, reporting values at
the single unit level can be misleading. In most situations, the
proper way to present estimated data would be to determine an
appropriate level of precision and truncate values accordingly,
usually in terms of thousands or millions of units. For instance, a
spreadsheet-generated estimate of $5,456,295 could be presented in
the text as $5.5 (millions) or $5,456 (thousands). One problem with
such an approach is the loss of data richness when the report
contains a mixture of very large and very small numbers.
Consequently, to avoid the loss of information through rounding,
this ICR reports all values at the single unit level and reminds the
reader that there is no implied precision inherent in this style of
reporting.
3.1 Non-Duplication
Under this rule, the information is sent directly to the
appropriate EPA office. If there has been a delegation to a state or
local agency, a copy of the report submitted to the state or local
agency can be sent to the Administrator in lieu of the report
required by the rule. Therefore, no duplication exists.
3 Non-Duplication, Consultation, and
Other Collection Criteria
3.2 Public Notice Requirements
The
EPA issued a Federal Register notice requesting comments on the
proposed rule ICR and provided a 76-day public notice and comment
period. The EPA received comments from two commenters and the EPA
responded to their concerns in the document, “Federal Good
Neighbor Plan for the 2015 Ozone National Ambient Air Quality
Standards, Response to Public Comments on Proposed Rule,”
which is included in the docket for this rulemaking.
3.3 Consultations
Each year over the 2023-2025 timeframe, approximately 902
facilities and 3,328 affected non-EGU emissions units (respondents)
will be subject to the final rule. The final rule compliance period
with emissions limits for non-EGU emissions sources begins in 2026
and would occur during the 2026-2029 time period of any subsequent
ICR renewal. A similar number of facilities and sources and any
additional new affected sources will be required to comply with the
requirements of the final rule beginning in 2026 during the
anticipated 2026-2029 ICR renewal period. The majority of ICR
respondent burden and cost will be realized during the 2026-2029
renewal timeframe and beyond. Under 5 CFR 1320.8(d)(1), OMB
requires agencies to consult with potential ICR respondents and data
users about aspects of ICRs before submitting an ICR to OMB for
review and approval. In accordance with this regulation, the EPA
will consult with a select list of state agencies and non-EGU
industry sector parties by submitting questions via e-mail.
3.4 Less Frequent
Collection
The
information collection requested under this ICR is necessary to
ensure implementation of the final rule under the authority provided
in CAA section 110(a)(2)(D)(i)(I). Regulated entities will be
required to submit annual periodic compliance reports to the
Administrator.
If
this information collection were not carried out at the stated
intervals for non-EGU industry sources, the margin of assurance that
sources are continuing to meet the standards would decrease and the
process of compliance determination by the EPA would slow down.
Requirements for information gathering and
recordkeeping are useful techniques to ensure that good operation
and maintenance practices are applied and emission limitations are
met. If the information required by these standards was collected
less frequently, the proper operation and maintenance of control
equipment and the possibility of detecting violations would be less
likely.
3.5 General
Guidelines
OMB's
general guidelines for information collections must be adhered to by
all federal agencies for approval of any rulemaking's collection
methodology. In accordance with the requirements of 5 CFR 1320.5,
the Agency believes:
The final rule does not require periodic
reporting more frequently than on an annual basis.
The final rule does not require respondents
to participate in any statistical survey.
Written responses to Agency inquiries are not
required to be submitted in less than 30 days.
Respondents do not receive remuneration for
the preparation of reports required by the Act or part 52.
To the greatest extent possible, the Agency
has taken advantage of automated methods of reporting.
The
recordkeeping and reporting requirements contained in the final rule
do not exceed any of the PRA guidelines contained in 5 CFR 1320.5,
except for the guideline that limits retention of records by
respondents to 3 years. The final rule requires both respondents and
state or local agencies to retain records for a period of 5 years
following the date of each occurrence, measurement, maintenance,
corrective action, report, or record. The justification for this
exception is found in 28 U.S.C. 2462, which specifies 5 years as the
general statute of limitations for federal claims in response to
violations by regulated entities. The decision in U.S.
v. Conoco, Inc., No. 83-1916-E
(W.D. Okla., January 23, 1984) found that the 5-year general statute
of limitations applied to the CAA.
3.6 Confidentiality
Confidentiality
is not an issue for this rulemaking. In accordance with the Clean
Air Act Amendments of 1990, any monitoring information to be
submitted by sources is a matter of public record. To the extent
that the information required is proprietary, confidential, or of a
nature that could impair the ability of the source to maintain its
market position, that information is collected and handled subject
to the requirements of §503(e) and §114(c) of the Act.
Information received and identified by owners or operators as
confidential business information (CBI) and approved as CBI by the
EPA, in accordance with Title 40, Chapter 1, Part 2, Subpart B,
shall be maintained appropriately (see 40 CFR 2; 41 FR 36902,
September 1, 1976; amended by 43 FR 39999, September 8, 1978; 43 FR
42251, September 28, 1978; 44 FR 17674, March 23, 1979).
3.7 Sensitive
Questions
The consideration of sensitive
questions, (i.e., sexual, religious, personal or other private
matters), is not applicable to this rulemaking. The information
gathered to develop an implementation plan does not include personal
data on any owner or operator.
3.8 Environmental Justice
Considerations
Executive Order 12898 and Executive
Order 13985
Consistent
with the EPA’s commitment to integrating environmental justice
into the agency’s actions, and following the directives set
forth in multiple Executive Orders, the Agency has carefully
considered the impacts of this action on communities with
environmental justice concerns and engaged with stakeholders
representing these communities to seek input and feedback.
Executive
Order 12898 directs the EPA staff to identify the populations of
concern who are most likely to experience unequal burdens from
environmental harms; specifically, minority populations, low-income
populations, and indigenous peoples (59 FR 7629, February 16, 1994).
Additionally, Executive Order 13985 is intended to advance racial
equity and support underserved communities through federal
government actions (86 FR 7009, January 20, 2021). The EPA defines
environmental justice as the fair treatment and meaningful
involvement of all people regardless of race, color, national
origin, or income, with respect to the development, implementation,
and enforcement of environmental laws, regulations, and policies.
The EPA further defines the term fair treatment to mean that “no
group of people should bear a disproportionate burden of
environmental harms and risks, including those resulting from the
negative environmental consequences of industrial, governmental, and
commercial operations or programs and policies”
(https://www.epa.gov/environmentaljustice). In recognizing that
minority and low-income populations often bear an unequal burden of
environmental harms and risks, the EPA continues to consider ways to
protect them from adverse public health and environmental effects of
air pollution.
The
environmental justice analysis and implications of this final rule
are discussed in the Regulatory Impact Analysis (RIA), which
is available in the docket for this final rulemaking.
4.1 Respondents
4 The Respondents and the Information
Requested
The major categories of respondents directly affected during
this ICR period of 2023-2025 include the owners/operators of certain
non-EGU industry sources. The EPA is not expecting any required
respondent activities or costs to begin until later in 2023 after
the final rule becomes effective, and the rule’s requirements
for these sources in the 2023-2025 period are minimal. The final
rule compliance period with emissions limits for non-EGU emissions
sources begins in 2026 and would occur during the 2026-2029 time
period of any subsequent ICR renewal. The majority of ICR respondent
burden and cost will be realized during the 2026-2029 renewal
timeframe and beyond. Consequently, this non-EGU ICR is likely an
overestimate of the respondent burden occurring in the 2023-2025
timeframe.
The
EPA has conservatively estimated the burden of the non-EGUs in this
ICR, which would result in an estimation of burden. As mentioned
before, approximately 3,328 affected non-EGU emissions units
(respondents) per year within the 20 states will be subject to the
final rule. Some of these units (respondents) are aggregated at one
facility and thus the estimated hours for activities required of
affected facilities are an average value. For certain activities at
facilities with multiple units, such as reporting requirements, the
actual hours that the facility might spend reporting might be less
than the burden estimated in this ICR. Additionally, facilities may
already in some cases be conducting the same monitoring or
recordkeeping activities due to other requirements (NSPS, NESHAP,
permit terms, etc.) and thus there may not be any additional burden
on these respondents created by this rule.
The
respondents to the monitoring, calibrating, recordkeeping,
reporting, and testing requirements are the specified non-EGU
industry sector groups, which correspond to the North American
Industry Classification System (NAICS) codes found in Table 4.1,
NAICS Codes of the Non-EGU Industry Sector Groups.
Table
4.1 NAICS Codes of the Non-EGU Industry Sector Groups
Industry
|
NAICS
|
Pipeline Transportation of Natural Gas
|
4862
|
Cement and Concrete Product Manufacturing
|
3273
|
Iron and Steel Mills and Ferroalloy Manufacturing
|
3311
|
Glass and Glass Product Manufacturing
|
3272
|
Metal Ore Mining
|
2122
|
Basic Chemical Manufacturing
|
3251
|
Petroleum and Coal Products Manufacturing
|
3241
|
Pulp, Paper, and Paperboard Mills
|
3221
|
Solid Waste Combustors and Incinerators
|
562213
|
4.2 Information
Requested
In this ICR, all data that is recorded
or reported is required by the final rule.
Some
of the respondents are using monitoring equipment that automatically
records parameter data. Although personnel at the affected facility
must still evaluate the data, internal automation has significantly
reduced the burden associated with monitoring and recordkeeping at a
plant site.
Also,
regulatory agencies in cooperation with the respondents continue to
create reporting systems to transmit data electronically. Most
emissions and monitoring information in the reports are reported in
an electronic format using the Electronic Reporting Tool (ERT). The
data will be extracted from the ERT files and can be viewed through
the EPA’s Central Data Exchange (CDX).
Most
performance test reports and periodic compliance reports will be
submitted to the EPA via the CEDRI or an analogous electronic
reporting approach provided by the EPA, which can be accessed
through the EPA’s CDX.
The
specific activities required of individual owners/operators of
affected facilities will vary by each non-EGU industry sector. The
tables shown below provide the overall listing of notifications,
reports, recordkeeping, and respondent activities that are
collectively required by the final rule.
Some
sources must make the following reports:
Notifications
Initial
notification for existing sources
Notification
of anticipated startup date
Notification
of actual startup date
Notification
of compliance status
Notification
of performance test or performance evaluation
Reports
Annual
compliance report
Performance
test report
Recordkeeping
Documentation
supporting any initial notification or notification of compliance
status or annual compliance report
Records of
performance tests or other compliance demonstrations, and
performance evaluations
Records for
continuous emissions monitoring systems, and continuous parameter
monitoring systems
Records of
operating limits
Records of
hours of operation
Maintain
records for 5 years
Respondent
Activities
Read
instructions
Install,
calibrate, maintain, and operate CPMS for temperature, or for
pressure drop for control device
Install,
calibrate, maintain, and operate NOx CEMS for control device
Perform
initial performance tests and repeat performance tests if necessary
Write the
notifications and reports listed above
Enter
information required to be recorded above
Submit the
required reports developing, acquiring, installing, and utilizing
technology and systems for the purpose of collecting, validating,
and verifying information
Develop,
acquire, install, and utilize technology and systems for the
purpose of processing and maintaining information
Develop,
acquire, install, and utilize technology and systems for the
purpose of disclosing and providing information
Train
personnel to be able to respond to a collection of information
Transmit, or
otherwise disclose the information
5 The Information Collected - Agency
Activities, Collection Methodologies, and Information Management
5.1 Agency Activities
The EPA conducts the following agency activities in
connection with the acquisition, analysis, storage, and distribution
of the required information.
Agency Activities
|
Observe initial performance tests and repeat performance tests if
necessary.
|
Review and analysis of notifications and reports, including
performance test reports, excess emissions reports, required to
be submitted by industry.
|
Audit facility records.
|
Input, analyze, and maintain data in the Enforcement and
Compliance History Online (ECHO) and the Integrated Compliance
Information System (ICIS).
|
5.2 Collection
Methodology
and
Management
This section discusses the development
of burden estimates and their conversion into costs, which are
separated into burden costs and capital and operating and
maintenance (O&M) costs. Capital and O&M costs display the
initial (one-time) and ongoing (presented as annual) cost of any new
capital equipment the respondent may have to purchase solely for
emissions monitoring, information collection, assimilation, and
storage purposes. For example, if a source had to purchase a new
computer to store and manipulate data, that computer would be a cost
of administration subject to reporting in the ICR. In addition, the
latest guidance instructs the Agency to differentiate the burden
associated with a source’s labor and that which it hires
through outside contractors. To the extent a source contracts out
for administrative purposes (e.g., employing a third party such as
consultants to perform visibility modeling), the burden associated
with those contracted tasks are not a burden to the source - but
they remain a cost. The reader should read this section with the
following considerations in mind:
The Agency believes the time necessary to perform a task is
independent of the origins of its labor. For example, if a source
would employ 20 hours of burden to fully perform a function, then a
contractor hired by the source would also take 20 hours to perform
that same task. Furthermore, the Agency assumes no economies or
diseconomies of scale, which may lead to a potential overestimate
of these burden costs over the timeframe covered in this ICR. The
linear combination of any amount of contractor and source effort
will also sum to 20 hours. Therefore, the burden estimates in this
ICR serve as a reasonably accurate assessment of the total burden
to respondents.
For some burden categories, the Agency believes the hours assigned
to them will be divided between the source and outside contractors.
For these categories, the Agency established a composite cost per
hour by developing a weighted average of the source and contractor
wages, with the weight defined by the percentage of total effort
each burden source applied. Consequently, the cost developed in
this ICR should be interpreted as an upper bound on the actual cost
of administration by the source. The methodology for determining
cost per hour can be found in greater detail in section 6.2, below.
This new non-EGU ICR estimates the burden to both federal agencies
and industrial sources.
Following
notification of startup, the reviewing authority could inspect the
facility’s source to determine whether the pollution control
devices are properly installed and operated. Performance test and
performance evaluation reports are used by the Agency to discern a
source’s initial capability to comply with the emission
standard and note the operating conditions under which compliance
was achieved. Data and records maintained by the respondents are
tabulated and published for use in compliance and enforcement
programs. The annual reports are used for problem identification, as
a check on source operation and maintenance, and for compliance
determinations.
Information
contained in the reports is reported by state and local governments
in the Integrated Compliance Information System (ICIS) Air database,
which is operated and maintained by the EPA's Office of Enforcement
and Compliance Assurance. ICIS Air is the EPA’s database for
the collection, maintenance, and retrieval of compliance data for
industrial and government-owned facilities. The EPA uses ICIS Air
for tracking air pollution compliance and enforcement by local and
state regulatory agencies, the EPA regional offices and the EPA
headquarters. The EPA can edit, store, retrieve and analyze the
data.
Several
other computer systems and associated databases have been developed
to manage and store data and reports collected. Data collected by
industry sources using emission test methods supported by the EPA’s
ERT as listed on the EPA’s ERT website
(https://www.epa.gov/electronic-reporting-air-emissions/electronic-reporting-tool-ert)
at the time of the test can be submitted as performance test reports
to the EPA via the CEDRI or an analogous electronic reporting
approach. CEDRI can be accessed through the EPA’s CDX
(https://cdx.epa.gov/). The data must be submitted in a file format
generated using the EPA’s ERT. Alternatively, a facility may
submit an electronic file consistent with the XML schema listed on
the EPA’s ERT website.
The records required by this regulation must be retained by the
owner/operator for five years.
5.3 Small Entity
Flexibility
The
Regulatory Flexibility Act (RFA) requires regulatory agencies, upon
regulatory action, to assess that action’s potential impact on
small entities (businesses, governments, and small non-governmental
organizations) and report the results of the assessments in (1) an
Initial Regulatory Flexibility Analysis (IRFA), (2) a Final
Regulatory Flexibility Analysis (FRFA), and (3) a Certification. For
ICR approval, the Agency must demonstrate that it "has taken
all practicable steps to develop separate and simplified
requirements for small businesses and other small entities" (5
CFR 1320.6(h)). In addition, the agency must assure through various
mechanisms that small entities are given an opportunity to
participate in the rulemaking process.
The EPA determined that the final rule did not
have a significant economic impact on a substantial number of small
entities. The Agency estimates that seven percent of the non-EGU
industry sector parent companies that own facilities affected by
this final action are small entities as defined by the Small
Business Administration. More information on small entity
impacts is available in the Regulatory Impact Analysis for this
final rule.
The final rule does contain several provisions that reduce the
impact on certain non-EGU industry regulated entities, which
includes certain small entities. For instance, an approved
alternative monitoring procedure can be used instead of a CEMS for
most non-EGU industry sectors.
Because of technical considerations involving the process operations
and the types of control equipment employed, the recordkeeping and
reporting requirements are the same for both small and large
entities. The Agency considers these to be the minimum requirements
needed to ensure compliance and, therefore, cannot reduce them
further for small entities. To the extent that larger businesses can
use economies of scale to reduce their burden, the overall burden
will be reduced.
5.4 Collection
Schedule
The specific frequency for each
information collection activity within this request is shown at the
end of this document in the Tables 1 – 3: Annual Respondent
Burden and Cost – Pipeline Transportation of Natural Gas,
Years 1 through 3, Tables 4 - 6: Annual Respondent Burden and Cost -
Cement and Concrete Product Manufacturing, Years 1 through 3, Table
7-9: Annual Respondent Burden and Cost – Iron and Steel Mills
and Ferroalloy Manufacturing, Years 1 through 3, Tables 10 - 12:
Annual Respondent Burden and Cost – Glass and Glass Product
Manufacturing, Years 1 through 3, Tables 13 - 15: Annual Respondent
Burden and Cost – Basic Chemical Manufacturing, Petroleum and
Coal Products Manufacturing, Metal Ore Mining and Pulp, Paper, and
Paperboard Mills, Years 1 through 3, and Tables 16 – 18:
Annual Respondent Burden and Cost – Solid Waste Combustors and
Incinerators, Years 1 through 3.
6 Estimating the Burden and Cost of
the Collection
6.1 Estimating Respondent Burden
Burden
means the total time, effort, or financial resources expended by
persons to generate, maintain, retain, 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
ways to comply with any previously applicable instructions and
requirements; train personnel to be able to respond to a collection
of information; and transmit or otherwise disclose the information.
The burden estimate should be composed of (1) the total capital and
start-up cost component annualized over its useful life; (2) the
total operation, maintenance, and purchases of services component.
Each component should be divided into burden borne directly by the
respondent and any services that are contracted out.
The
majority of ICR respondent burden and cost will be realized during
the 2026-2029 renewal timeframe and beyond. Consequently, this
non-EGU ICR is likely an overestimate of the burden occurring in the
2023-2025 timeframe. After the compliance period begins in 2026, the
majority of ICR respondent burden including monitoring, testing,
recordkeeping, and reporting requirements will be realized during
the 2026-2029 renewal timeframe and beyond. The
average annual burden to industry over the representative timeframe
of 2023-2025 from minimal rule familiarization activities, work plan
submittal and notification requirements is estimated to be 11,481
labor hours per year as shown in the Tables 1 – 3: Annual
Respondent Burden and Cost – Pipeline Transportation of
Natural Gas, Years 1 through 3, Tables 4 - 6: Annual Respondent
Burden and Cost - Cement and Concrete Product Manufacturing, Years 1
through 3, Table 7-9: Annual Respondent Burden and Cost –
Iron and Steel Mills and Ferroalloy Manufacturing, Years 1 through
3, Tables 10 - 12: Annual Respondent Burden and Cost – Glass
and Glass Product Manufacturing, Years 1 through 3, Tables 13 - 15:
Annual Respondent Burden and Cost – Basic Chemical
Manufacturing, Petroleum and Coal Products Manufacturing, Metal Ore
Mining, and Pulp, Paper, and Paperboard Mills, Years 1 through 3,
and Tables 16 – 18: Annual Respondent Burden and Cost –
Solid Waste Combustors and Incinerators, Years 1 through 3. These
hours are based on Agency studies and background documents from the
development of the final rule, Agency knowledge and experience with
the Clean Air Act (CAA) section 110(a)(2)(D)(i)(I), and any
comments received.
6.2 Estimating Respondent Costs
The ICR uses the most recently
available wage values from the United States Department of Labor,
Bureau of Labor Statistics, June 2022, “Table 2. Civilian
Workers, by occupational and industry group.” The rates are
from column 1, “Total compensation.” The rates have been
increased by 110 percent to account for the benefit packages
available to those employed by private industry. The burden costs
are presented as representative of the years 2023-2025, while the
industry labor rates used in estimated costs are for 2022. This
inconsistency should be noted.
This
ICR uses the following 2022 industry labor rates:
Managerial $161.21
($76.96 + 110%)
Technical $127.68
($60.80 + 110%)
Clerical $64.22
($30.58 + 110%)
Under
the final rule, non-EGU emissions-limit compliance requirements
begin in 2026. By that time, the EPA estimates that approximately
3,328 existing respondents will be subject to these standards. It is
estimated that additional respondent each year will become subject
to these same standards and will increase at a rate of ten percent
of the existing respondent universe. The ten percent rate of
increase is based on the Portland Cement LLL MACT 2019 ICR.
Even
though the compliance date is May 1, 2026, an assessment of industry
responses represents data for the current 2023-2025 timeframe. The
total number of responses over the current three-year ICR period is
listed in the following table:
Total Responses by Industry Respondents
|
Information
Collection Activity
|
Total Responses
|
Acquisition,
Installation, and Utilization of
Technology and Systems
|
48
|
Familiarize with
regulatory requirement
|
3,724
|
Time to train
personnel
|
23
|
Initial Notification
Form of Applicability
|
193
|
CPMS performance
evaluation
|
0
|
NOx Performance
Testing
|
0
|
Performance Evaluation
of NOx CEMS
|
0
|
Preparation of Work
Plans and Monitoring
Plans
|
29
|
Data Collection
|
39,825
|
Monitoring
|
0
|
Recordkeeping
|
0
|
Notification of
Demonstration of CEMS
|
0
|
Notification of
Performance Testing
|
0
|
Reports of Performance
Testing, NOx
CEMS Performance
Evaluation, and Excess
Emissions
|
0
|
Annual Reporting
|
0
|
The
number of total annual industry responses is 14,614.
The
average annual respondent labor costs are, in total for all non-EGU
sources, $1,421,000. Details regarding these estimates may be found
below in the Tables 1 – 3: Annual Respondent Burden and Cost
– Pipeline Transportation of Natural Gas, Years 1 through 3,
Tables 4 - 6: Annual Respondent Burden and Cost - Cement and
Concrete Product Manufacturing, Years 1 through 3, Table 7-9:
Annual Respondent Burden and Cost – Iron and Steel Mills and
Ferroalloy Manufacturing, Years 1 through 3, Tables 10 - 12: Annual
Respondent Burden and Cost – Glass and Glass Product
Manufacturing, Years 1 through 3, Tables 13 - 15: Annual Respondent
Burden and Cost – Basic Chemical Manufacturing, Petroleum and
Coal Products Manufacturing, Metal Ore Mining and Pulp, Paper, and
Paperboard Mills, Years 1 through 3, and Tables 16 – 18:
Annual Respondent Burden and Cost – Solid Waste Combustors and
Incinerators, Years 1 through 3.
The type of industry costs associated with the
information collection activities in the subject standards are both
labor costs, which are addressed elsewhere in this ICR, and the
costs associated with both continuous parametric monitoring and
continuous monitoring. With very limited exceptions, continuous
emissions monitoring is not required by this rulemaking for the
non-EGU sources and therefore, most of the monitoring costs are
associated with continuous parametric monitoring. Further, many of
the large-boiler and MWC sources that may be subject to CEMS
requirements under the rule already have CEMs installed and operate
this monitoring equipment to comply with pre-existing CAA
regulations. The capital/startup costs are one-time costs when a
facility becomes subject to these regulations. The annual operation
and maintenance costs are the ongoing costs to maintain the monitors
and other costs such as photocopying and postage. The total
capital/startup and operation and maintenance costs for this non-EGU
ICR are $7,200,000. However, because compliance does not begin in
earnest until 2026, we anticipate these costs will be spread over
the 2023-2025 period. Thus, the average annual cost for
capital/startup and operation and maintenance costs in total over
the representative timeframe of 2023-2025 of the ICR are estimated
to be $2,400,000.
6.2.3 Annualized
Capital Costs
The relevant capital costs for this ICR were annualized at a
rate of 7.50 percent, (i.e., the annualized capital cost was
calculated assuming money to purchase the capital equipment was
borrowed at a 7.50 percent annual interest rate). This interest rate
is the bank prime rate, a rate for borrowing charged to large
businesses and financial institutions, as of February 2023 as set by
the U.S. Federal Reserve Board. The cost of the loans was amortized
over the life of the loans to repay the borrowed amount plus
interest. The calculated result is the annualized capital cost
reported.
6.3 Estimating
Agency Burden and Cost
The
costs to the Agency are those costs associated with the following
agency activities:
Review and
analysis of notifications and reports, including performance test
reports, excess emissions reports, required to be submitted by
industry;
Observation of
initial performance tests and repeat performance tests, if
necessary;
Audit of
facility records; and
Input,
analyze, and maintain data in the Enforcement and Compliance
History Online (ECHO) and the Integrated Compliance Information
System (ICIS).
The
EPA’s overall compliance and enforcement program includes such
activities as the examination of records maintained by the
respondents, periodic inspection of sources of emissions, and the
publication and distribution of collected information.
ICR
uses the most recently available wage values from the Office of
Personnel Management (OPM), “2021 General Schedule,”
which excludes locality rates of pay. The rates have been increased
by 60 percent to account for the benefit packages available to
Federal government employees.
This
ICR uses the following Agency labor rates:
Managerial $69.04
(GS-13, Step 5, $43.15 + 60%)
Technical $51.23
(GS-12, Step 1, $32.02 + 60%)
Clerical $27.73
(GS-6, Step 3, $17.33 + 60%)
The
average annual Agency estimate of hours is 367 and the average
annual Agency labor costs are $18,323. Details regarding these
estimates may be found below in the Tables 1 – 3: Annual
Respondent Burden and Cost – Pipeline Transportation of
Natural Gas, Years 1 through 3, Tables 4 - 6: Annual Respondent
Burden and Cost - Cement and Concrete Product Manufacturing, Years 1
through 3, Table 7-9: Annual Respondent Burden and Cost –
Iron and Steel Mills and Ferroalloy Manufacturing, Years 1 through
3, Tables 10 - 12: Annual Respondent Burden and Cost – Glass
and Glass Product Manufacturing, Years 1 through 3, Tables 13 - 15:
Annual Respondent Burden and Cost – Basic Chemical
Manufacturing, Petroleum and Coal Products Manufacturing, Metal Ore
Mining, and Pulp, Paper, and Paperboard Mills, Years 1 through 3,
and Tables 16 – 18: Annual Respondent Burden and Cost –
Solid Waste Combustors and Incinerators, Years 1 through 3.
6.4 Estimating the Respondent Universe
For the purpose of estimating burden in this ICR, the
respondent universe is determined as follows.
Industry.
The EPA is establishing nitrogen oxides (NOx) emissions limitations
during the ozone season beginning in 2026 for certain non-EGU
industry stationary sources in 20 states to eliminate significant
contribution to downwind ozone air quality problems in other states.
This final rule would resolve the interstate transport obligations
of these 20 states under the “good neighbor provision”
for the 2015 ozone NAAQS.
Over the representative 2023-2025 timeframe, approximately 902
facilities and 3,328 affected non-EGU emissions units (respondents)
per year within these 20 states will be subject to the final rule.
The respondent universe was determined through evaluating how many
existing emissions units would be subject to the final rule. The
analysis and identification of these sources is laid out in the
memorandum titled, “Summary of Final Rule Applicability
Criteria and Emissions Limits for Non-EGU Emissions Units, Assumed
Control Technologies for Meeting the Final Emissions Limits, and
Estimated Emissions Units, Emissions Reductions, and Costs.”
Because
the rule also covers new sources, it is estimated that additional
respondents each year will become subject to these same standards
and will increase at a rate of ten percent of the existing
respondent universe.
6.5 Bottom Line Burden and Cost
The EPA is not expecting any required respondent activities
and associated costs to begin until later in 2023 after the final
rule becomes effective. The final rule compliance period with
emissions limits for non-EGU emissions sources begins in 2026 and
would occur during the 2026-2029 time period of any subsequent ICR
renewal. The majority of ICR respondent burden and cost will be
realized during the 2026-2029 renewal timeframe and beyond.
Consequently, this non-EGU ICR is likely an overestimate of the
burden occurring in the 2023-2025 timeframe. The
detailed bottom line burden hours and cost calculations for the
respondents and the Agency are shown at the end of this document, in
the Tables 1 – 3: Annual Respondent Burden and Cost –
Pipeline Transportation of Natural Gas, Years 1 through 3, Tables 4
- 6: Annual Respondent Burden and Cost - Cement and Concrete Product
Manufacturing, Years 1 through 3, Table 7-9: Annual Respondent
Burden and Cost – Iron and Steel Mills and Ferroalloy
Manufacturing, Years 1 through 3, Tables 10 - 12: Annual Respondent
Burden and Cost – Glass and Glass Product Manufacturing, Years
1 through 3, Tables 13 - 15: Annual Respondent Burden and Cost –
Basic Chemical Manufacturing, Petroleum and Coal Products
Manufacturing, Metal Ore Mining, and Pulp, Paper, and Paperboard
Mills, Years 1 through 3, and Tables 16 – 18: Annual
Respondent Burden and Cost – Solid Waste Combustors and
Incinerators, Years 1 through 3. A
summary of burden hours and cost calculations for the respondents
and the Agency are shown below.
(i)
Respondent Tally
The
total labor hours over the collection period, which is the
representative timeframe of 2023-2025, are 34,443 hours and the
average annual labor hours are 11,481 hours.
We
assume that burdens for managerial tasks take 5% of the time
required for technical tasks, because the typical tasks for managers
are to review and approve reports. We assume clerical burdens take
10% of the time required for technical tasks, because the typical
duties of clerical staff are to proofread the reports, make copies,
and maintain records.
Furthermore,
the annual public reporting and recordkeeping burden for this
collection of information is estimated to average 0.8 hours per
response.
The
total estimated capital/startup and O&M costs to the regulated
entities are $7,200,000 and the total average annual capital/startup
and O&M cost spread over 2023-2025 are $2,400,000.
(ii)
The Agency Tally
The
average annual Agency burden and cost over the representative
timeframe of 2023-2025 is estimated to be 367 labor hours at an
average annual cost of $18,000.
We
assume that burdens for managerial tasks take 5% of the time
required for technical tasks, because the typical tasks for managers
are to review and approve reports. We assume clerical burdens take
10% of the time required for technical tasks, because the typical
duties of clerical staff are to proofread the reports, make copies,
and maintain records.
6.6 Reasons for Change in Burden
This section does not apply because this is a new burden.
The new burden estimates for this ICR reflects the new activities
required of certain non-EGU industry sectors. It also includes
estimates of administrative burden on the EPA in implementing the
rule. The new industry activities include monitoring, calibrating,
recordkeeping, reporting, and testing activities required under the
final rule, entitled “Federal Good Neighbor Plan for the 2015
Ozone National Ambient Air Quality Standards.”
6.7 Burden Statement
The annual public reporting and
recordkeeping burden for this collection of information is estimated
to be 3 average hours per respondent. Burden means the total time,
effort, or financial resources expended by persons to generate,
maintain, retain, 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; adjusting the existing ways to comply
with any previously applicable instructions and requirements;
training personnel to be able to respond to a collection of
information; searching data sources; completing and reviewing the
collection of information; and transmitting or otherwise disclosing
the information. The 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
EPA received public comments on the proposed rule from April
6, 2022, through June 21, 2022. The agency responded to public
comments in the document, “Federal Good Neighbor Plan for the
2015 Ozone National Ambient Air Quality Standards, Response to
Public Comments on Proposed Rule,” which is included in the
docket for this rulemaking.
PART B
This
section is not applicable because statistical methods are not used
in data collection associated with the implementation rule.
Table 3: Annual Respondent Burden and Cost – Pipeline
Transportation of Natural Gas, Year 3
Burden
Item
|
(A)
Hours
per Occurrence
|
(B)
Occurrences/
Respondent/ Year
|
(C)
Hours/
Respondent/ Year
(A x B)
|
(D)
Respondents/
Yeara
|
(E)
Technical
Hours/Year
(C x D)
|
(F)
Managerial Hours/Year
(E x 0.05)
|
(G)
Clerical Hours/Year
(E x 0.10)
|
(H)
Cost/
Yearb
|
1.
APPLICATIONS
|
NA
|
|
|
|
|
|
|
|
2.
SURVEY AND STUDIES
|
NA
|
|
|
|
|
|
|
|
3.ACQUISITION,
INSTALLATION, AND UTILIZATION OF TECHNOLOGY AND SYSTEMS
|
24
|
1
|
24
|
23.91
|
573.96
|
28.70
|
57.40
|
$81,606
|
4.
REPORT REQUIREMENTS
|
|
|
|
|
|
|
|
|
REQUEST
FOR EXTENSION OF COMPLIANCE - Per 52.40(d); (based on BACT
analysis of 2020 NSR ICR)
|
156
|
1
|
156
|
28.47
|
4441.32
|
222.066
|
444.132
|
$631,478
|
A.
Familiarize with regulatory requirement
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
B.
Required Activities
|
|
|
|
|
|
|
|
|
New
Sources - Annual CPMS Performance Evaluation c
|
|
|
|
|
|
|
|
|
Annual CPMS Performance
Evaluation
|
0
|
0
|
0
|
0.00
|
0
|
0.00
|
0.00
|
$0.00
|
Repeat Annual CPMS
Performance Evaluation
|
0
|
0
|
0
|
0.00
|
0
|
0.00
|
0.00
|
$0.00
|
Existing
Sources - Annual CPMS Performance Evaluation d
|
|
|
|
|
|
|
|
|
Annual CPMS Performance
Evaluation
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat Annual CPMS
Performance Evaluation
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Non
EPA-Certified Engine NOx Performance Testinggh
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat
Non EPA-Certified Engine NOx Performance Testinggh
|
0
|
0
|
0
|
0.00
|
0
|
0
|
0
|
$0.00
|
New
and Existing Sources - Monitoring e
|
|
|
|
|
|
|
|
|
Daily
Calibration Drift Tests - NOx CEMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
C.
Create Information (Included in 4B)
|
|
|
|
|
|
|
|
|
D.
Gather Existing Information (Included in 4E)
|
|
|
|
|
|
|
|
|
E.
Write Report
|
|
|
|
|
|
|
|
|
New
Sources
|
|
|
|
|
|
|
|
|
Notification
of Demonstration of CEMS
|
0
|
0
|
2
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Initial Performance Test
|
0
|
0
|
2
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Performance Test
|
0
|
0
|
2
|
0
|
0
|
0
|
0
|
$0.00
|
Annual
Report Submitted to Administrator of Compliance Statement,
SubSection 52.41(d) performance test
|
0
|
0
|
0
|
0.00
|
0.00
|
0.00
|
0.00
|
$0
|
Existing
Sources
|
|
|
|
|
|
|
|
|
Notification
of Demonstration of CPMS
|
0
|
0
|
2
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Non EPA-Certified Engine Performance Test
|
0
|
0
|
2
|
0.00
|
0.00
|
0.00
|
0.00
|
$0.00
|
Report
of Non EPA-Certified Engine Performance Test Results via CEDRI
or analogous electronic reporting
|
0
|
0
|
2
|
0.0
|
0.00
|
0.00
|
0.00
|
$0.00
|
Annual
Report submitted via CEDRI or analogous electronic reporting
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
Subtotal
for Reporting Requirements
|
|
|
|
|
5,768
|
|
|
$713,085
|
5.
RECORDKEEPING REQUIREMENTS
|
|
|
|
|
|
|
|
|
A.
Familiarize with regulatory requirement
|
|
|
|
|
|
|
|
|
B.
Plan Activities
|
|
|
|
|
|
|
|
|
C.
Implement Activities
|
|
|
|
|
|
|
|
|
D.
Record Data
|
NA
|
|
|
|
|
|
|
|
E.
Time to Transmit or Disclose Information
|
|
|
|
|
|
|
|
|
Existing
Sources
|
|
|
|
|
|
|
|
|
Data
Collection
|
0.1
|
12
|
1.2
|
2847
|
3,416
|
170.82
|
341.64
|
$485,753
|
Create
and Store Engine Maintenance Plan
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Records
of Hours of Operation
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Records
of Engine Maintenance Conducted
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Engines
Anticipated with SCR or NSCR
|
|
|
|
|
|
|
|
|
Daily
monitoring of catalyst inlet temperature
|
0
|
0
|
0.00
|
0
|
0
|
0.00
|
0.00
|
$0.00
|
Monthly
monitoring of pressure drop across catalyst
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Engines
Anticipated with no SCR or NSCR
|
|
|
|
|
|
|
|
|
Prepare
CPMS site-specific monitoring plan to address monitoring
system design, data collection, and QA/QC.
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Records
of Annual CPMS Performance Evaluation
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Collect
and record the CPMS monitoring parameters
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
New
Sources
|
|
|
|
|
|
|
|
|
Data
Collection
|
1.5
|
1
|
1.5
|
23.91
|
36
|
1.79361
|
3.58722
|
$5,100
|
Create
and Store Maintenance Plan
|
0
|
0
|
0
|
0.00
|
0
|
0
|
0
|
$0
|
F.
Time to Train Personnel of New Sources
|
16
|
1
|
16
|
23.91
|
383
|
19.13
|
38.26
|
$54,404
|
G.
Time for Audits
|
NA
|
|
|
|
|
|
|
|
Subtotal
for Recordkeeping Requirements
|
|
|
|
|
4,410
|
|
|
$545,257
|
Total
Labor Burden and Cost (rounded) f
|
|
|
|
|
10,200
|
$1,260,000
|
Total Capital and
O&M Cost (rounded) f
|
|
|
|
|
|
|
|
$0
|
Grand TOTAL
(rounded) f
|
|
|
|
|
|
|
|
$1,300,000
|
|
|
|
|
|
|
|
|
|
a
We have assumed that there are approximately 2847 RICE units
and that 10% of the existing units will have new
construction/reconstruction.
|
b
This ICR uses the following labor rates: $161.62 per hour for
Executive, Administrative, and Managerial labor; $127.68 per
hour for Technical labor, and $64.22 per hour for Clerical
labor. These rates are from the United States Department of
Labor, Bureau of Labor Statistics, June 2022, “Table 2.
Civilian Workers, by Occupational and Industry group.”
The rates are from column 1, “Total Compensation.”
The rates have been increased by 110 percent to account for
the benefit packages available to those employed by private
industry. Archived report releases can be accessed from
https://www.bls.gov/bls/news-release/ecec.htm#2021; from
homepage, select Economic Releases, Archived News Releases,
Employer Costs for Employee Compensation, Select a past year,
Select a published report.
|
c
New RICE CPMS performance evaluation conducted annually. We
have assumed that 5 percent of respondents would repeat annual
CPMS performance evaluation due to failure.
|
d
We have assumed that 5 percent of respondents would repeat
annual CPMS performance evaluation due to failure.
|
e
Calibration drift checks on the air flow sensor on the NOx
CEMS are performed daily.
|
f
Totals have been rounded to 3 significant figures. Figures
may not add exactly due to rounding.
|
g
"Hours per Occurrence" based on RICE MACT uploaded
to regulations.gov on February 25, 2020.
|
h
RICE engines required to conduct initial and annual NOx
performance testing is based upon an estimated count of
non-EPA-Certified Engines per 40 CFR part 60, subpart JJJJ.
An estimated count of EPA-Certified Engines of 1,594 (56% of
affected engines) was determined from 2019 NEI data using the
criteria of certification requirements referenced in 40 CFR
part 60, subpart JJJJ, § 60.4243(a). An estimated count
of non-certified engines of 1,253 (44% of affected engines)
was based upon the stated Unit Status Year data available from
2019 NEI dataset for units expecting to be controlled. The
estimated 1,253 non-certified engines was found to be in
alignment with EPA's estimated number of engines (2,100) which
were determined to be below the 21 tpy threshold of the
facility-wide averaging plan's engine analysis as described in
EPA's final non-EGU TSD. This estimate is expected for
engines subject to NSPS subpart JJJJ operating at a lower
g/hp-hr emissions thresholds.
|
|
|
Table 4: Annual Respondent Burden and Cost – Cement and
Concrete Manufacturing, Year 1
Burden
Item
|
(A)
Hours
per Occurrence
|
(B)
Occurrences/
Respondent/ Year
|
(C)
Hours/
Respondent/ Year
(A x B)
|
(D)
Respondents/
Yeara
|
(E)
Technical
Hours/Year
(C x D)
|
(F)
Managerial Hours/Year
(E x 0.05)
|
(G)
Clerical Hours/Year
(E x 0.10)
|
(H)
Cost/
Yearb
|
1.
APPLICATIONS
|
NA
|
|
|
|
|
|
|
|
2.
SURVEY AND STUDIES
|
NA
|
|
|
|
|
|
|
|
3.ACQUISITION,
INSTALLATION, AND UTILIZATION OF TECHNOLOGY AND SYSTEMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
4.
REPORT REQUIREMENTS
|
|
|
|
|
|
|
|
|
REQUEST
FOR CASE-BY-CASE EMISSION LIMITS - Per 52.40(e); (based on
BACT analysis of 2020 NSR ICR)
|
156
|
1
|
156
|
0.79
|
123.24
|
6.162
|
12.324
|
$17,523
|
A.
Familiarize with regulatory requirement
|
10
|
1
|
10
|
79
|
790
|
39.5
|
79
|
$112,324
|
Initial
Notification Form of Applicability
|
0.5
|
1
|
0.5
|
79
|
39.5
|
1.975
|
3.95
|
$5,616
|
B.
Required Activities
|
|
|
|
|
|
|
|
|
New
Sources - Testing c
|
|
|
|
|
|
|
|
|
Initial NOx Performance
Test (kiln)
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat NOx Performance
Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Initial
Performance Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat
Performance Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Existing
Sources - Initial Testing d
|
|
|
|
|
|
|
|
|
Initial
Performance Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat
Performance Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Existing
Sources - Annual Testing d
|
|
|
|
|
|
|
|
|
Annual
NOx Performance Test (kiln)
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat
NOx Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
New
and Existing Sources - Monitoring e
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
C.
Create Information (Included in 4B)
|
|
|
|
|
|
|
|
|
D.
Gather Existing Information (Included in 4E)
|
|
|
|
|
|
|
|
|
E.
Write Report
|
|
|
|
|
|
|
|
|
New
Sources- Reporting
|
|
|
|
|
|
|
|
|
Notification
of Initial Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Performance Test Results via CEDRI or analogous electronic
reporting
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Demonstration of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Initial Performance Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Performance Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Annual
Report via CEDRI or analogous electronic reporting
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Existing
Sources-Reporting
|
|
|
|
|
|
|
|
|
Notification
of Annual Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Annual Performance Test Results and Annual Report combined
via CEDRI or analogous electronic reporting
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Demonstration of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Initial Performance Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Initial Performance Evaluation of CPMS Test Results
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
|
|
|
|
|
|
|
|
|
Annual
Report submitted via CEDRI or analogous electronic reporting
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Subtotal
for Reporting Requirements
|
|
|
|
|
1,096
|
|
|
$135,463
|
5.
RECORDKEEPING REQUIREMENTS
|
|
|
|
|
|
|
|
|
A.
Familiarize with regulatory requirement
|
|
|
|
|
|
|
|
|
B.
Plan Activities
|
|
|
|
|
|
|
|
|
C.
Implement Activities
|
|
|
|
|
|
|
|
|
D.
Record Data
|
NA
|
|
|
|
|
|
|
|
E.
Time to Transmit or Disclose Information
|
|
|
|
|
|
|
|
|
Existing
Sources
|
|
|
|
|
|
|
|
|
Data
Collection
|
0.1
|
1
|
0.1
|
79
|
8
|
0.395
|
0.79
|
$1,123
|
Records
of Performance Tests
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Recordkeeping
of NOx emission rate, operating days data, CPMS data
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
New
Sources
|
|
|
|
|
|
|
|
|
Data
Collection
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
Records
of Performance Tests
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
CPMS
Recordkeeping
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
F.
Time to Train Personnel
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
G.
Time for Audits
|
NA
|
|
|
|
|
|
|
|
Subtotal
for Recordkeeping Requirements
|
|
|
|
|
9
|
|
|
$1,123
|
Total
Labor Burden and Cost (rounded) e
|
|
|
|
|
1,100
|
$140,000
|
Total Capital and
O&M Cost (rounded) e
|
|
|
|
|
|
|
|
|
Grand TOTAL
(rounded) e
|
|
|
|
|
|
|
|
$100,000
|
|
|
|
|
|
|
|
|
|
a
We have assumed that there are approximately 79 affected
kilns and that 10% of the existing units will have new
construction/reconstruction.
|
b
This ICR uses the following labor rates: $161.62 per hour for
Executive, Administrative, and Managerial labor; $127.68 per
hour for Technical labor, and $64.22 per hour for Clerical
labor. These rates are from the United States Department of
Labor, Bureau of Labor Statistics, June 2022, “Table 2.
Civilian Workers, by Occupational and Industry group.”
The rates are from column 1, “Total Compensation.”
The rates have been increased by 110 percent to account for
the benefit packages available to those employed by private
industry. Archived report releases can be accessed from
https://www.bls.gov/bls/news-release/ecec.htm#2021; from
homepage, select Economic Releases, Archived News Releases,
Employer Costs for Employee Compensation, Select a past year,
Select a published report.
|
c
New kilns test for NOx. We have assumed that 5 percent of
respondents would repeat initial performance test due to
failure.
|
d
The rule requires existing kilns re-test annually for NOx.
|
e
Totals have been rounded to 3 significant figures. Figures
may not add exactly due to rounding.
|
Table 5: Annual Respondent Burden and Cost – Cement and
Concrete Manufacturing, Year 2
Burden
Item
|
(A)
Hours
per Occurrence
|
(B)
Occurrences/
Respondent/ Year
|
(C)
Hours/
Respondent/ Year
(A x B)
|
(D)
Respondents/
Yeara
|
(E)
Technical
Hours/Year
(C x D)
|
(F)
Managerial Hours/Year
(E x 0.05)
|
(G)
Clerical Hours/Year
(E x 0.10)
|
(H)
Cost/
Yearb
|
1.
APPLICATIONS
|
NA
|
|
|
|
|
|
|
|
2.
SURVEY AND STUDIES
|
NA
|
|
|
|
|
|
|
|
3.ACQUISITION,
INSTALLATION, AND UTILIZATION OF TECHNOLOGY AND SYSTEMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
4.
REPORT REQUIREMENTS
|
|
|
|
|
|
|
|
|
A.
Familiarize with regulatory requirement
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Initial
Notification Form of Applicability
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
B.
Required Activities
|
|
|
|
|
|
|
|
|
New
Sources - Testing c
|
|
|
|
|
|
|
|
|
Initial NOx Performance
Test (kiln)
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat NOx Performance
Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Initial
Performance Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat
Performance Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Existing
Sources - Initial Testing d
|
|
|
|
|
|
|
|
|
Initial
Performance Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat
Performance Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Existing
Sources - Annual Testing d
|
|
|
|
|
|
|
|
|
Annual
NOx Performance Test (kiln)
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat
NOx Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
New
and Existing Sources - Monitoring e
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
C.
Create Information (Included in 4B)
|
|
|
|
|
|
|
|
|
D.
Gather Existing Information (Included in 4E)
|
|
|
|
|
|
|
|
|
E.
Write Report
|
|
|
|
|
|
|
|
|
New
Sources- Reporting
|
|
|
|
|
|
|
|
|
Notification
of Initial Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Performance Test Results via CEDRI or analogous electronic
reporting
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Demonstration of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Initial Performance Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Performance Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Annual
Report submitted via CEDRI or analogous electronic reporting
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Existing
Sources-Reporting
|
|
|
|
|
|
|
|
|
Notification
of annual Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Annual Performance Test Results via CEDRI or analogous
electronic reporting
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Demonstration of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Initial Performance Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Initial Performance Evaluation of CPMS Test Results
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
|
|
|
|
|
|
|
|
|
Report
of Annual Performance Test Results and Annual Report combined
via CEDRI or analogous electronic reporting
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Subtotal
for Reporting Requirements
|
|
|
|
|
0
|
|
|
$0
|
5.
RECORDKEEPING REQUIREMENTS
|
|
|
|
|
|
|
|
|
A.
Familiarize with regulatory requirement
|
|
|
|
|
|
|
|
|
B.
Plan Activities
|
|
|
|
|
|
|
|
|
C.
Implement Activities
|
|
|
|
|
|
|
|
|
D.
Record Data
|
NA
|
|
|
|
|
|
|
|
E.
Time to Transmit or Disclose Information
|
|
|
|
|
|
|
|
|
Existing
Sources
|
|
|
|
|
|
|
|
|
Data
Collection
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Records
of Performance Tests
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Recordkeeping
of NOx emission rate, operating days data, CPMS data
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
New
Sources
|
|
|
|
|
|
|
|
|
Data
Collection
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
Records
of Performance Tests
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
CPMS
Recordkeeping
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
F.
Time to Train Personnel
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
G.
Time for Audits
|
NA
|
|
|
|
|
|
|
|
Subtotal
for Recordkeeping Requirements
|
|
|
|
|
0
|
|
|
$0
|
Total
Labor Burden and Cost (rounded) e
|
|
|
|
|
0
|
$0
|
Total Capital and
O&M Cost (rounded) e
|
|
|
|
|
|
|
|
|
Grand TOTAL
(rounded) e
|
|
|
|
|
|
|
|
$0
|
|
|
|
|
|
|
|
|
|
a
We have assumed that there are approximately 79 affected
kilns and that 10% of the existing units will have new
construction/reconstruction.
|
b
This ICR uses the following labor rates: $161.62 per hour for
Executive, Administrative, and Managerial labor; $127.68 per
hour for Technical labor, and $64.22 per hour for Clerical
labor. These rates are from the United States Department of
Labor, Bureau of Labor Statistics, June 2022, “Table 2.
Civilian Workers, by Occupational and Industry group.”
The rates are from column 1, “Total Compensation.”
The rates have been increased by 110 percent to account for
the benefit packages available to those employed by private
industry. Archived report releases can be accessed from
https://www.bls.gov/bls/news-release/ecec.htm#2021; from
homepage, select Economic Releases, Archived News Releases,
Employer Costs for Employee Compensation, Select a past year,
Select a published report.
|
c
New kilns test for NOx. We have assumed that 5 percent of
respondents would repeat initial performance test due to
failure.
|
d
The rule requires existing kilns re-test annually for NOx.
|
e
Totals have been rounded to 3 significant figures. Figures
may not add exactly due to rounding.
|
Table 6: Annual Respondent Burden and Cost – Cement and
Concrete Manufacturing, Year 3
Burden
Item
|
(A)
Hours
per Occurrence
|
(B)
Occurrences/
Respondent/ Year
|
(C)
Hours/
Respondent/ Year
(A x B)
|
(D)
Respondents/
Yeara
|
(E)
Technical
Hours/Year
(C x D)
|
(F)
Managerial Hours/Year
(E x 0.05)
|
(G)
Clerical Hours/Year
(E x 0.10)
|
(H)
Cost/
Yearb
|
1.
APPLICATIONS
|
NA
|
|
|
|
|
|
|
|
2.
SURVEY AND STUDIES
|
NA
|
|
|
|
|
|
|
|
3.ACQUISITION,
INSTALLATION, AND UTILIZATION OF TECHNOLOGY AND SYSTEMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
4.
REPORT REQUIREMENTS
|
|
|
|
|
|
|
|
|
REQUEST
FOR EXTENSION OF COMPLIANCE - Per 52.40(d); (based on BACT
analysis of 2020 NSR ICR)
|
156
|
1
|
156
|
0.79
|
123.24
|
6.162
|
12.324
|
$17,523
|
A.
Familiarize with regulatory requirement
|
1
|
1
|
1
|
79
|
79
|
3.95
|
7.9
|
$11,232
|
Initial
Notification Form of Applicability
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
B.
Required Activities
|
|
|
|
|
|
|
|
|
New
Sources - Testing c
|
|
|
|
|
|
|
|
|
Initial NOx Performance
Test (kiln)
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat NOx Performance
Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Initial
Performance Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat
Performance Evaluation of CPMS
|
0
|
0
|
0
|
0.00
|
0
|
0
|
0
|
$0.00
|
Existing
Sources - Initial Testing d
|
|
|
|
|
|
|
|
|
Initial
Performance Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat
Performance Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Existing
Sources - Annual Testing d
|
|
|
|
|
|
|
|
|
Annual
NOx Performance Test (kiln)
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat
NOx Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
New
and Existing Sources - Monitoring e
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
C.
Create Information (Included in 4B)
|
|
|
|
|
|
|
|
|
D.
Gather Existing Information (Included in 4E)
|
|
|
|
|
|
|
|
|
E.
Write Report
|
|
|
|
|
|
|
|
|
New
Sources- Reporting
|
|
|
|
|
|
|
|
|
Notification
of Initial Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Performance Test Results via CEDRI or analogous electronic
reporting
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Demonstration of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Initial Performance Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Performance Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
|
|
|
|
|
|
|
|
|
Annual
Report submitted via CEDRI or analogous electronic reporting
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Existing
Sources-Reporting
|
|
|
|
|
|
|
|
|
Notification
of annual Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Annual Performance Test Results and Annual Report combined
via CEDRI or analogous electronic reporting
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Demonstration of CPMS
|
0
|
0
|
2
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Initial Performance Evaluation of CPMS
|
0
|
0
|
2
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Initial Performance Evaluation of NOx CEMS or CPMS Test
Results
|
0
|
0
|
2
|
0
|
0
|
0
|
0
|
$0.00
|
Annual
Report submitted via CEDRI or analogous electronic reporting
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Subtotal
for Reporting Requirements
|
|
|
|
|
233
|
|
|
$28,755
|
5.
RECORDKEEPING REQUIREMENTS
|
|
|
|
|
|
|
|
|
A.
Familiarize with regulatory requirement
|
|
|
|
|
|
|
|
|
B.
Plan Activities
|
|
|
|
|
|
|
|
|
C.
Implement Activities
|
|
|
|
|
|
|
|
|
D.
Record Data
|
NA
|
|
|
|
|
|
|
|
E.
Time to Transmit or Disclose Information
|
|
|
|
|
|
|
|
|
Existing
Sources
|
|
|
|
|
|
|
|
|
Data
Collection
|
0.1
|
1
|
0.1
|
79
|
8
|
0.395
|
0.79
|
$1,123
|
Records
of Performance Tests
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Recordkeeping
of NOx emission rate, operating days data, CPMS data
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
New
Sources
|
|
|
|
|
|
|
|
|
Data
Collection
|
1.5
|
1
|
1.5
|
5.53
|
8
|
0.41475
|
0.8295
|
$1,179
|
Records
of Performance Tests
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
CPMS
Recordkeeping
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
F.
Time to Train Personnel
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
G.
Time for Audits
|
NA
|
|
|
|
|
|
|
|
Subtotal
for Recordkeeping Requirements
|
|
|
|
|
19
|
|
|
$2,303
|
Total
Labor Burden and Cost (rounded) e
|
|
|
|
|
300
|
$30,000
|
Total Capital and
O&M Cost (rounded) e
|
|
|
|
|
|
|
|
|
Grand TOTAL
(rounded) e
|
|
|
|
|
|
|
|
$0
|
|
|
|
|
|
|
|
|
|
a
We have assumed that there are approximately 79 affected
kilns and that 10% of the existing units will have new
construction/reconstruction.
|
b
This ICR uses the following labor rates: $161.62 per hour for
Executive, Administrative, and Managerial labor; $127.68 per
hour for Technical labor, and $64.22 per hour for Clerical
labor. These rates are from the United States Department of
Labor, Bureau of Labor Statistics, June 2022, “Table 2.
Civilian Workers, by Occupational and Industry group.”
The rates are from column 1, “Total Compensation.”
The rates have been increased by 110 percent to account for
the benefit packages available to those employed by private
industry. Archived report releases can be accessed from
https://www.bls.gov/bls/news-release/ecec.htm#2021; from
homepage, select Economic Releases, Archived News Releases,
Employer Costs for Employee Compensation, Select a past year,
Select a published report.
|
c
New kilns test for NOx. We have assumed that 5 percent of
respondents would repeat initial performance test due to
failure.
|
d
The rule requires existing kilns re-test annually for NOx.
|
e
Totals have been rounded to 3 significant figures. Figures
may not add exactly due to rounding.
|
Table 7:
Annual Respondent Burden and Cost – Iron and Steel Mills
and Ferroalloy Manufacturing, Year 1
Burden
Item
|
(A)
Hours
per Occurrence
|
(B)
Occurrences/
Respondent/ Year
|
(C)
Hours/
Respondent/ Year
(A x B)
|
(D)
Respondents/
Yeara
|
(E)
Technical
Hours/Year
(C x D)
|
(F)
Managerial Hours/Year
(E x 0.05)
|
(G)
Clerical Hours/Year
(E x 0.10)
|
(H)
Cost/
Yearb
|
1.
APPLICATIONS
|
NA
|
|
|
|
|
|
|
|
2.
SURVEY AND STUDIES
|
NA
|
|
|
|
|
|
|
|
3.ACQUISITION,
INSTALLATION, AND UTILIZATION OF TECHNOLOGY AND SYSTEMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
4.
REPORT REQUIREMENTS
|
|
|
|
|
|
|
|
|
REQUEST
FOR CASE-BY-CASE EMISSION LIMITS - Per 52.40(e); (based on
BACT analysis of 2020 NSR ICR)
|
156
|
1
|
156
|
0.29
|
45.24
|
2.262
|
4.524
|
$6,432
|
A.
Familiarize with regulatory requirement
|
10
|
1
|
10
|
29
|
290
|
14.5
|
29
|
$41,233
|
Initial
Notification Form of Applicability
|
0.5
|
1
|
0.5
|
29
|
14.5
|
0.725
|
1.45
|
$2,062
|
B.
Required Activities
|
|
|
|
|
|
|
|
|
New
Sources - Testing c
|
|
|
|
|
|
|
|
|
Initial Performance
Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
Repeat Performance
Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
Existing
Sources - Initial Testing d
|
|
|
|
|
|
|
|
|
Initial
Performance Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
Repeat
Performance Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
New
and Existing Sources - Monitoring e
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
C.
Create Information (Included in 4B)
|
|
|
|
|
|
|
|
|
D.
Gather Existing Information (Included in 4E)
|
|
|
|
|
|
|
|
|
E.
Write Report
|
|
|
|
|
|
|
|
|
New
Sources
|
|
|
|
|
|
|
|
|
Notification
of Demonstration of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
Notification
of Initial Performance Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
Report
of Performance Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
|
|
|
|
|
|
|
|
|
Existing
Sources
|
|
|
|
|
|
|
|
|
Work
Plan For Reheat Furnaces submitted via CEDRI
|
10
|
1
|
10
|
14.5
|
145
|
7.25
|
14.5
|
$20,616
|
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
|
|
|
|
|
|
|
|
|
Notification
of Initial Performance Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
Report
of Initial Performance Evaluation of CPMS Test Results
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
Annual
Report submitted via CEDRI or analogous electronic
reporting
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
Subtotal
for Reporting Requirements
|
|
|
|
|
569
|
|
|
$70,343
|
5.
RECORDKEEPING REQUIREMENTS
|
|
|
|
|
|
|
|
|
A.
Familiarize with regulatory requirement
|
|
|
|
|
|
|
|
|
B.
Plan Activities
|
|
|
|
|
|
|
|
|
C.
Implement Activities
|
|
|
|
|
|
|
|
|
D.
Record Data
|
NA
|
|
|
|
|
|
|
|
E.
Time to Transmit or Disclose Information
|
|
|
|
|
|
|
|
|
Existing
Sources
|
|
|
|
|
|
|
|
|
Data
Collection
|
0.1
|
1
|
0.1
|
29
|
3
|
0.145
|
0.29
|
$412
|
Recordkeeping
of NOx emission rate, operating days data, CPMS data
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
New
Sources
|
|
|
|
|
|
|
|
|
Data
Collection
|
1.5
|
1
|
1.5
|
2.03
|
3
|
0.15225
|
0.3045
|
$433
|
CPMS
Recordkeeping
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
F.
Time to Train Personnel
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
G.
Time for Audits
|
NA
|
|
|
|
|
|
|
|
Subtotal
for Recordkeeping Requirements
|
|
|
|
|
7
|
|
|
$845
|
Total
Labor Burden and Cost (rounded) e
|
|
|
|
|
600
|
$70,000
|
Total Capital and
O&M Cost (rounded) e
|
|
|
|
|
|
|
|
$0
|
Grand TOTAL
(rounded) e
|
|
|
|
|
|
|
|
$100,000
|
|
|
|
|
|
|
|
|
|
a
We have assumed that there are approximately 29 affected
units and that 10% of the existing units will have new
construction/reconstruction.
|
b
This ICR uses the following labor rates: $161.62 per hour
for Executive, Administrative, and Managerial labor;
$127.68 per hour for Technical labor, and $64.22 per hour
for Clerical labor. These rates are from the United States
Department of Labor, Bureau of Labor Statistics, June 2022,
“Table 2. Civilian Workers, by Occupational and
Industry group.” The rates are from column 1, “Total
Compensation.” The rates have been increased by 110
percent to account for the benefit packages available to
those employed by private industry. Archived report
releases can be accessed from
https://www.bls.gov/bls/news-release/ecec.htm#2021; from
homepage, select Economic Releases, Archived News Releases,
Employer Costs for Employee Compensation, Select a past
year, Select a published report.
|
c
New boilers test for NOx. We have assumed that 5 percent
of respondents would repeat initial performance test due to
failure.
|
d
The rule requires existing boilers to conduct an initial
compliance test within 90 days from the installation of the
pollution control equipment used to comply with the NOx
emission limits. We have assumed that 5 percent of
respondents would repeat annual performance test due to
failure.
|
e
Totals have been rounded to 3 significant figures.
Figures may not add exactly due to rounding.
|
Table 8: Annual Respondent Burden and Cost – Iron and
Steel Mills and Ferroalloy Manufacturing, Year 2
Burden
Item
|
(A)
Hours
per Occurrence
|
(B)
Occurrences/
Respondent/ Year
|
(C)
Hours/
Respondent/ Year
(A x B)
|
(D)
Respondents/
Yeara
|
(E)
Technical
Hours/Year
(C x D)
|
(F)
Managerial Hours/Year
(E x 0.05)
|
(G)
Clerical Hours/Year
(E x 0.10)
|
(H)
Cost/
Yearb
|
1.
APPLICATIONS
|
NA
|
|
|
|
|
|
|
|
2.
SURVEY AND STUDIES
|
NA
|
|
|
|
|
|
|
|
3.ACQUISITION,
INSTALLATION, AND UTILIZATION OF TECHNOLOGY AND SYSTEMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
4.
REPORT REQUIREMENTS
|
|
|
|
|
|
|
|
|
A.
Familiarize with regulatory requirement
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
B.
Required Activities
|
|
|
|
|
|
|
|
|
New
Sources - Testing c
|
|
|
|
|
|
|
|
|
Initial Performance
Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat Performance
Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Existing
Sources - Initial Testing d
|
|
|
|
|
|
|
|
|
Initial
Performance Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat
Performance Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
New
and Existing Sources - Monitoring e
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
C.
Create Information (Included in 4B)
|
|
|
|
|
|
|
|
|
D.
Gather Existing Information (Included in 4E)
|
|
|
|
|
|
|
|
|
E.
Write Report
|
|
|
|
|
|
|
|
|
New
Sources
|
|
|
|
|
|
|
|
|
Notification
of Demonstration of CPMS
|
0
|
0
|
2
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Initial Performance Evaluation of CPMS
|
0
|
0
|
2
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Performance Evaluation of CPMS
|
0
|
0
|
2
|
0
|
0
|
0
|
0
|
$0.00
|
Existing
Sources
|
|
|
|
|
|
|
|
|
Work
Plan For Reheat Furnaces submitted via CEDRI
|
10
|
1
|
10
|
14.5
|
145
|
7.25
|
14.5
|
$20,616
|
Notification
of Demonstration of CPMS
|
0
|
0
|
2
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Initial Performance Evaluation of CPMS
|
0
|
0
|
2
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Initial Performance Evaluation of CPMS Test Results
|
0
|
0
|
2
|
0
|
0
|
0
|
0
|
$0.00
|
Annual
Report submitted via CEDRI or analogous electronic
reporting
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Subtotal
for Reporting Requirements
|
|
|
|
|
167
|
|
|
$20,616
|
5.
RECORDKEEPING REQUIREMENTS
|
|
|
|
|
|
|
|
|
A.
Familiarize with regulatory requirement
|
|
|
|
|
|
|
|
|
B.
Plan Activities
|
|
|
|
|
|
|
|
|
C.
Implement Activities
|
|
|
|
|
|
|
|
|
D.
Record Data
|
NA
|
|
|
|
|
|
|
|
E.
Time to Transmit or Disclose Information
|
|
|
|
|
|
|
|
|
Existing
Sources
|
|
|
|
|
|
|
|
|
Data
Collection
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Recordkeeping
of NOx emission rate, operating days data, CPMS data
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
New
Sources
|
|
|
|
|
|
|
|
|
Data
Collection
|
1.5
|
1
|
1.5
|
2.03
|
3
|
0.15225
|
0.3045
|
$433
|
CPMS
Recordkeeping
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
F.
Time to Train Personnel
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
G.
Time for Audits
|
NA
|
|
|
|
|
|
|
|
Subtotal
for Recordkeeping Requirements
|
|
|
|
|
4
|
|
|
$433
|
Total
Labor Burden and Cost (rounded) f
|
|
|
|
|
200
|
$20,000
|
Total Capital and
O&M Cost (rounded) f
|
|
|
|
|
|
|
|
$0
|
Grand TOTAL
(rounded) f
|
|
|
|
|
|
|
|
$0
|
|
|
|
|
|
|
|
|
|
a
We have assumed that there are approximately 29 affected
units and that 10% of the existing units will have new
construction/reconstruction.
|
b
This ICR uses the following labor rates: $161.62 per hour
for Executive, Administrative, and Managerial labor;
$127.68 per hour for Technical labor, and $64.22 per hour
for Clerical labor. These rates are from the United States
Department of Labor, Bureau of Labor Statistics, June 2022,
“Table 2. Civilian Workers, by Occupational and
Industry group.” The rates are from column 1, “Total
Compensation.” The rates have been increased by 110
percent to account for the benefit packages available to
those employed by private industry. Archived report
releases can be accessed from
https://www.bls.gov/bls/news-release/ecec.htm#2021; from
homepage, select Economic Releases, Archived News Releases,
Employer Costs for Employee Compensation, Select a past
year, Select a published report.
|
c
New boilers test for NOx. We have assumed that 5 percent
of respondents would repeat initial performance test due to
failure.
|
d
The rule requires existing boilers to conduct an initial
compliance test within 90 days from the installation of the
pollution control equipment used to comply with the NOx
emission limits. We have assumed that 5 percent of
respondents would repeat annual performance test due to
failure.
|
f
Totals have been rounded to 3 significant figures.
Figures may not add exactly due to rounding.
|
Table 9: Annual Respondent Burden and Cost – Iron and
Steel Mills and Ferroalloy Manufacturing, Year 3
Burden
Item
|
(A)
Hours
per Occurrence
|
(B)
Occurrences/
Respondent/ Year
|
(C)
Hours/
Respondent/ Year
(A x B)
|
(D)
Respondents/
Yeara
|
(E)
Technical
Hours/Year
(C x D)
|
(F)
Managerial Hours/Year
(E x 0.05)
|
(G)
Clerical Hours/Year
(E x 0.10)
|
(H)
Cost/
Yearb
|
1.
APPLICATIONS
|
NA
|
|
|
|
|
|
|
|
2.
SURVEY AND STUDIES
|
NA
|
|
|
|
|
|
|
|
3.ACQUISITION,
INSTALLATION, AND UTILIZATION OF TECHNOLOGY AND SYSTEMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
4.
REPORT REQUIREMENTS
|
|
|
|
|
|
|
|
|
REQUEST
FOR EXTENSION OF COMPLIANCE - Per 52.40(d); (based on BACT
analysis of 2020 NSR ICR)
|
156
|
1
|
156
|
0.29
|
45.24
|
2.262
|
4.524
|
$6,432
|
A.
Familiarize with regulatory requirement
|
20
|
1
|
20
|
29
|
580
|
29
|
58
|
$82,466
|
B.
Required Activities
|
|
|
|
|
|
|
|
|
New
Sources - Testing c
|
|
|
|
|
|
|
|
|
Initial Performance
Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat Performance
Evaluation of CPMS
|
0
|
0
|
0
|
0.00
|
0
|
0.00
|
0.00
|
$0.00
|
Existing
Sources - Initial Testing d
|
|
|
|
|
|
|
|
|
Initial
Performance Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat
Performance Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
New
and Existing Sources - Monitoring e
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
C.
Create Information (Included in 4B)
|
|
|
|
|
|
|
|
|
D.
Gather Existing Information (Included in 4E)
|
|
|
|
|
|
|
|
|
E.
Write Report
|
|
|
|
|
|
|
|
|
New
Sources
|
|
|
|
|
|
|
|
|
Notification
of Demonstration of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Initial Performance Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Performance Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
|
|
|
|
|
|
|
|
|
Existing
Sources
|
|
|
|
|
|
|
|
|
Notification
of Demonstration of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Initial Performance Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Initial Performance Evaluation of CPMS Test Results
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
|
|
|
|
|
|
|
|
|
Annual
Report submitted via CEDRI or analogous electronic
reporting
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Subtotal
for Reporting Requirements
|
|
|
|
|
719
|
|
|
$88,898
|
5.
RECORDKEEPING REQUIREMENTS
|
|
|
|
|
|
|
|
|
A.
Familiarize with regulatory requirement
|
|
|
|
|
|
|
|
|
B.
Plan Activities
|
|
|
|
|
|
|
|
|
C.
Implement Activities
|
|
|
|
|
|
|
|
|
D.
Record Data
|
NA
|
|
|
|
|
|
|
|
E.
Time to Transmit or Disclose Information
|
|
|
|
|
|
|
|
|
Existing
Sources
|
|
|
|
|
|
|
|
|
Data
Collection
|
0.1
|
1
|
0.1
|
29
|
3
|
0.145
|
0.29
|
$412
|
Recordkeeping
of NOx emission rate, operating days data, CPMS data
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
New
Sources
|
|
|
|
|
|
|
|
|
Data
Collection
|
1.5
|
1
|
1.5
|
2.03
|
3
|
0.15
|
0.30
|
$433
|
CPMS
Recordkeeping
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
F.
Time to Train Personnel
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
G.
Time for Audits
|
NA
|
|
|
|
|
|
|
|
Subtotal
for Recordkeeping Requirements
|
|
|
|
|
7
|
|
|
$845
|
Total
Labor Burden and Cost (rounded) f
|
|
|
|
|
700
|
$90,000
|
Total Capital and
O&M Cost (rounded) f
|
|
|
|
|
|
|
|
|
Grand TOTAL
(rounded) f
|
|
|
|
|
|
|
|
$100,000
|
|
|
|
|
|
|
|
|
|
a
We have assumed that there are approximately 29 affected
units and that 10% of the existing units will have new
construction/reconstruction.
|
b
This ICR uses the following labor rates: $161.62 per hour
for Executive, Administrative, and Managerial labor;
$127.68 per hour for Technical labor, and $64.22 per hour
for Clerical labor. These rates are from the United States
Department of Labor, Bureau of Labor Statistics, June 2022,
“Table 2. Civilian Workers, by Occupational and
Industry group.” The rates are from column 1, “Total
Compensation.” The rates have been increased by 110
percent to account for the benefit packages available to
those employed by private industry. Archived report
releases can be accessed from
https://www.bls.gov/bls/news-release/ecec.htm#2021; from
homepage, select Economic Releases, Archived News Releases,
Employer Costs for Employee Compensation, Select a past
year, Select a published report.
|
c
New boilers test for NOx. We have assumed that 5 percent
of respondents would repeat initial performance test due to
failure.
|
d
The rule requires existing boilers to conduct an initial
compliance test within 90 days from the installation of the
pollution control equipment used to comply with the NOx
emission limits. We have assumed that 5 percent of
respondents would repeat annual performance test due to
failure.
|
f
Totals have been rounded to 3 significant figures.
Figures may not add exactly due to rounding.
|
Table 10: Annual Respondent Burden and Cost – Glass
and Glass Product Manufacturing, Year 1
Burden
Item
|
(A)
Hours
per Occurrence
|
(B)
Occurrences/
Respondent/ Year
|
(C)
Hours/
Respondent/ Year
(A x B)
|
(D)
Respondents/
Yeara
|
(E)
Technical
Hours/Year
(C x D)
|
(F)
Managerial Hours/Year
(E x 0.05)
|
(G)
Clerical Hours/Year
(E x 0.10)
|
(H)
Cost/
Yearb
|
1.
APPLICATIONS
|
NA
|
|
|
|
|
|
|
|
2.
SURVEY AND STUDIES
|
NA
|
|
|
|
|
|
|
|
3.ACQUISITION,
INSTALLATION, AND UTILIZATION OF TECHNOLOGY AND SYSTEMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
4.
REPORT REQUIREMENTS
|
|
|
|
|
|
|
|
|
REQUEST
FOR CASE-BY-CASE EMISSION LIMITS - Per 52.40(e); (based on
BACT analysis of 2020 NSR ICR)
|
156
|
1
|
156
|
0.85
|
132.6
|
6.63
|
13.26
|
$18,853
|
Initial
Notification Form of Applicability
|
0.5
|
1
|
0.5
|
85
|
42.5
|
2.125
|
4.25
|
$6,043
|
A.
Familiarize with regulatory requirement
|
10
|
1
|
10
|
85
|
850
|
42.5
|
85
|
$120,855
|
B.
Required Activities
|
|
|
|
|
|
|
|
|
New
Sources - Testing c
|
|
|
|
|
|
|
|
|
Initial NOx
Performance Test (furnaces)
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat NOx
Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Initial
Performance Evaluation of CPMS
|
8
|
1
|
8
|
|
|
|
|
|
Repeat
Performance Evaluation of CPMS
|
8
|
1
|
8
|
|
|
|
|
|
Existing
Sources - Initial Testing d
|
|
|
|
|
|
|
|
|
Initial
Performance Evaluation of CPMS
|
8
|
1
|
8
|
|
|
|
|
|
Repeat
Performance Evaluation of CPMS
|
8
|
1
|
8
|
|
|
|
|
|
Existing
Sources - Annual Testing d
|
|
|
|
|
|
|
|
|
Annual
NOx Performance Test (furnaces)
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat
NOx Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
New
and Existing Sources - Monitoring e
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
C.
Create Information (Included in 4B)
|
|
|
|
|
|
|
|
|
D.
Gather Existing Information (Included in 4E)
|
|
|
|
|
|
|
|
|
E.
Write Report
|
|
|
|
|
|
|
|
|
New
Sources-Reporting
|
|
|
|
|
|
|
|
|
Notification
of Initial Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Performance Tests submitted via CEDRI or analogous
electronic reporting
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Demonstration of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Initial Performance Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Performance Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Existing
Sources-Reporting
|
|
|
|
|
|
|
|
|
Notification
of Annual Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Annual Performance Test Results submitted via CEDRI or
analogous electronic reporting
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Demonstration of CEMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Initial Performance Evaluation of CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Initial Performance Evaluation of CPMS Test Results
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
|
|
|
|
|
|
|
|
|
Subtotal
for Reporting Requirements
|
|
|
|
|
1,179
|
|
|
$145,751
|
5.
RECORDKEEPING REQUIREMENTS
|
|
|
|
|
|
|
|
|
A.
Familiarize with regulatory requirement
|
|
|
|
|
|
|
|
|
B.
Plan Activities
|
|
|
|
|
|
|
|
|
C.
Implement Activities
|
|
|
|
|
|
|
|
|
D.
Record Data
|
NA
|
|
|
|
|
|
|
|
E.
Time to Transmit or Disclose Information
|
|
|
|
|
|
|
|
|
Existing
Sources
|
|
|
|
|
|
|
|
|
Data
Collection
|
0.1
|
1
|
0.1
|
85
|
9
|
0.425
|
0.85
|
$1,208
|
Records
of Performance Tests
|
0
|
0
|
24
|
0
|
0
|
0
|
0
|
$0.00
|
Recordkeeping
of NOx emission rate, operating days data, CPMS data
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
New
Sources
|
|
|
|
|
|
|
|
|
Data
Collection
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
Records
of Performance Tests
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
CPMS
Recordkeeping
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
F.
Time to Train Personnel
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
G.
Time for Audits
|
NA
|
|
|
|
|
|
|
|
Subtotal
for Recordkeeping Requirements
|
|
|
|
|
10
|
|
|
$1,209
|
Total
Labor Burden and Cost (rounded) e
|
|
|
|
|
1,200
|
$150,000
|
Total Capital and
O&M Cost (rounded) e
|
|
|
|
|
|
|
|
|
Grand TOTAL
(rounded) e
|
|
|
|
|
|
|
|
$200,000
|
|
|
|
|
|
|
|
|
|
a
We have assumed that there are approximately 85 affected
furnaces and that 10% of the existing units will have new
construction/reconstruction.
|
b
This ICR uses the following labor rates: $161.62 per hour
for Executive, Administrative, and Managerial labor;
$127.68 per hour for Technical labor, and $64.22 per hour
for Clerical labor. These rates are from the United States
Department of Labor, Bureau of Labor Statistics, June 2022,
“Table 2. Civilian Workers, by Occupational and
Industry group.” The rates are from column 1, “Total
Compensation.” The rates have been increased by 110
percent to account for the benefit packages available to
those employed by private industry. Archived report
releases can be accessed from
https://www.bls.gov/bls/news-release/ecec.htm#2021; from
homepage, select Economic Releases, Archived News Releases,
Employer Costs for Employee Compensation, Select a past
year, Select a published report.
|
c
New furnaces test for NOx. We have assumed that 5 percent
of respondents would repeat initial performance test due to
failure.
|
d
The rule requires existing furnaces re-test annually for
NOx. Existing furnaces are assumed to not have existing
CPMS installed.
|
e
Totals have been rounded to 3 significant figures.
Figures may not add exactly due to rounding.
|
Table 11: Annual Respondent Burden and Cost – Glass
and Glass Product Manufacturing, Year 2
Burden
Item
|
(A)
Hours
per Occurrence
|
(B)
Occurrences/
Respondent/ Year
|
(C)
Hours/
Respondent/ Year
(A x B)
|
(D)
Respondents/
Yeara
|
(E)
Technical
Hours/Year
(C x D)
|
(F)
Managerial Hours/Year
(E x 0.05)
|
(G)
Clerical Hours/Year
(E x 0.10)
|
(H)
Cost/
Yearb
|
1.
APPLICATIONS
|
NA
|
|
|
|
|
|
|
|
2.
SURVEY AND STUDIES
|
NA
|
|
|
|
|
|
|
|
3.ACQUISITION,
INSTALLATION, AND UTILIZATION OF TECHNOLOGY AND SYSTEMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
4.
REPORT REQUIREMENTS
|
|
|
|
|
|
|
|
|
Initial
Notification Form of Applicability
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
A.
Familiarize with regulatory requirement
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
B.
Required Activities
|
|
|
|
|
|
|
|
|
New
Sources - Testing c
|
|
|
|
|
|
|
|
|
Initial NOx
Performance Test (furnaces)
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat NOx
Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Initial
Performance Evaluation of NOx CEMS or CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat
Performance Evaluation of NOx CEMS or CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Existing
Sources - Initial Testing d
|
|
|
|
|
|
|
|
|
Initial
Performance Evaluation of NOx CEMS or CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat
Performance Evaluation of NOx CEMS or CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Existing
Sources - Annual Testing d
|
|
|
|
|
|
|
|
|
Annual
NOx Performance Test (furnaces)
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat
NOx Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
New
and Existing Sources - Monitoring e
|
|
|
|
|
|
|
|
|
Daily
Calibration Drift Tests - NOx CEMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Quarterly
Accuracy Assessment
|
|
|
|
|
|
|
|
|
C.
Create Information (Included in 4B)
|
|
|
|
|
|
|
|
|
D.
Gather Existing Information (Included in 4E)
|
|
|
|
|
|
|
|
|
E.
Write Report
|
|
|
|
|
|
|
|
|
New
Sources-Reporting
|
|
|
|
|
|
|
|
|
Notification
of Initial Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Performance Tests submitted via CEDRI or analogous
electronic reporting
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Demonstration of CEMS or CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Initial Performance Evaluation of NOx CEMS or CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Performance Evaluation of NOx CEMS or CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Existing
Sources-Reporting
|
|
|
|
|
|
|
|
|
Notification
of Annual Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Annual Performance Test Results submitted via CEDRI or
analogous electronic reporting
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Demonstration of CEMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Initial Performance Evaluation of NOx CEMS or CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Initial Performance Evaluation of NOx CEMS or CPMS Test
Results
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
|
|
|
|
|
|
|
|
|
Subtotal
for Reporting Requirements
|
|
|
|
|
0
|
|
|
$0
|
5.
RECORDKEEPING REQUIREMENTS
|
|
|
|
|
|
|
|
|
A.
Familiarize with regulatory requirement
|
|
|
|
|
|
|
|
|
B.
Plan Activities
|
|
|
|
|
|
|
|
|
C.
Implement Activities
|
|
|
|
|
|
|
|
|
D.
Record Data
|
NA
|
|
|
|
|
|
|
|
E.
Time to Transmit or Disclose Information
|
|
|
|
|
|
|
|
|
Existing
Sources
|
|
|
|
|
|
|
|
|
Data
Collection
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Records
of Performance Tests
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Recordkeeping
of NOx emission rate, operating days data, CEMS or CPMS
data
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
New
Sources
|
|
|
|
|
|
|
|
|
Data
Collection
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
Records
of Performance Tests
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
CEMS
or CPMS Recordkeeping
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
F.
Time to Train Personnel
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
G.
Time for Audits
|
NA
|
|
|
|
|
|
|
|
Subtotal
for Recordkeeping Requirements
|
|
|
|
|
0
|
|
|
$0
|
Total
Labor Burden and Cost (rounded) e
|
|
|
|
|
0
|
$0
|
Total Capital and
O&M Cost (rounded) e
|
|
|
|
|
|
|
|
|
Grand TOTAL
(rounded) e
|
|
|
|
|
|
|
|
$0
|
|
|
|
|
|
|
|
|
|
a
We have assumed that there are approximately 85 affected
furnaces and that 10% of the existing units will have new
construction/reconstruction.
|
b
This ICR uses the following labor rates: $161.62 per hour
for Executive, Administrative, and Managerial labor;
$127.68 per hour for Technical labor, and $64.22 per hour
for Clerical labor. These rates are from the United States
Department of Labor, Bureau of Labor Statistics, June 2022,
“Table 2. Civilian Workers, by Occupational and
Industry group.” The rates are from column 1, “Total
Compensation.” The rates have been increased by 110
percent to account for the benefit packages available to
those employed by private industry. Archived report
releases can be accessed from
https://www.bls.gov/bls/news-release/ecec.htm#2021; from
homepage, select Economic Releases, Archived News Releases,
Employer Costs for Employee Compensation, Select a past
year, Select a published report.
|
c
New furnaces test for NOx. We have assumed that 5 percent
of respondents would repeat initial performance test due to
failure.
|
d
The rule requires existing furnaces re-test annually for
NOx. Existing furnaces are assumed to not have existing
CPMS installed.
|
e
Totals have been rounded to 3 significant figures.
Figures may not add exactly due to rounding.
|
Table 12: Annual Respondent Burden and Cost – Glass
and Glass Product Manufacturing, Year 3
Burden
Item
|
(A)
Hours
per Occurrence
|
(B)
Occurrences/
Respondent/ Year
|
(C)
Hours/
Respondent/ Year
(A x B)
|
(D)
Respondents/
Yeara
|
(E)
Technical
Hours/Year
(C x D)
|
(F)
Managerial Hours/Year
(E x 0.05)
|
(G)
Clerical Hours/Year
(E x 0.10)
|
(H)
Cost/
Yearb
|
1.
APPLICATIONS
|
NA
|
|
|
|
|
|
|
|
2.
SURVEY AND STUDIES
|
NA
|
|
|
|
|
|
|
|
3.ACQUISITION,
INSTALLATION, AND UTILIZATION OF TECHNOLOGY AND SYSTEMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
4.
REPORT REQUIREMENTS
|
|
|
|
|
|
|
|
|
REQUEST
FOR EXTENSION OF COMPLIANCE - Per 52.40(d); (based on BACT
analysis of 2020 NSR ICR)
|
156
|
1
|
156
|
0.85
|
132.6
|
6.63
|
13.26
|
$18,853
|
Initial
Notification Form of Applicability
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
A.
Familiarize with regulatory requirement
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
B.
Required Activities
|
|
|
|
|
|
|
|
|
New
Sources - Testing c
|
|
|
|
|
|
|
|
|
Initial NOx
Performance Test (furnaces)
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat NOx
Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Initial
Performance Evaluation of NOx CEMS or CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat
Performance Evaluation of NOx CEMS or CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Existing
Sources - Initial Testing d
|
|
|
|
|
|
|
|
|
Initial
Performance Evaluation of NOx CEMS or CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat
Performance Evaluation of NOx CEMS or CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Existing
Sources - Annual Testing d
|
|
|
|
|
|
|
|
|
Annual
NOx Performance Test (furnaces)
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat
NOx Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
New
and Existing Sources - Monitoring e
|
|
|
|
|
|
|
|
|
Daily
Calibration Drift Tests - NOx CEMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Quarterly
Accuracy Assessment
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
C.
Create Information (Included in 4B)
|
|
|
|
0
|
|
|
|
|
D.
Gather Existing Information (Included in 4E)
|
|
|
|
0
|
|
|
|
|
E.
Write Report
|
|
|
|
0
|
|
|
|
|
New
Sources-Reporting
|
|
|
|
|
|
|
|
|
Notification
of Initial Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Performance Tests submitted via CEDRI or analogous
electronic reporting
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Demonstration of CEMS or CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Initial Performance Evaluation of NOx CEMS or CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Performance Evaluation of NOx CEMS or CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Existing
Sources-Reporting
|
|
|
|
|
|
|
|
|
Notification
of Annual Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Annual Performance Test Results submitted via CEDRI or
analogous electronic reporting
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Demonstration of CEMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Initial Performance Evaluation of NOx CEMS or CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Initial Performance Evaluation of NOx CEMS or CPMS Test
Results
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
|
|
|
|
|
|
|
|
|
Subtotal
for Reporting Requirements
|
|
|
|
|
152
|
|
|
$18,853
|
5.
RECORDKEEPING REQUIREMENTS
|
|
|
|
|
|
|
|
|
A.
Familiarize with regulatory requirement
|
|
|
|
|
|
|
|
|
B.
Plan Activities
|
|
|
|
|
|
|
|
|
C.
Implement Activities
|
|
|
|
|
|
|
|
|
D.
Record Data
|
NA
|
|
|
|
|
|
|
|
E.
Time to Transmit or Disclose Information
|
|
|
|
|
|
|
|
|
Existing
Sources
|
|
|
|
|
|
|
|
|
Data
Collection
|
0.1
|
1
|
0.1
|
85
|
9
|
0.425
|
0.85
|
$1,209
|
Records
of Performance Tests
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Recordkeeping
of NOx emission rate, operating days data, CEMS or CPMS
data
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
New
Sources
|
|
|
|
|
|
|
|
|
Data
Collection
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
Records
of Performance Tests
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
CEMS
or CPMS Recordkeeping
|
0
|
0
|
0
|
|
|
|
|
|
F.
Time to Train Personnel
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
G.
Time for Audits
|
NA
|
|
|
|
|
|
|
|
Subtotal
for Recordkeeping Requirements
|
|
|
|
|
10
|
|
|
$1,209
|
Total
Labor Burden and Cost (rounded) e
|
|
|
|
|
200
|
$20,000
|
Total Capital and
O&M Cost (rounded) e
|
|
|
|
|
|
|
|
|
Grand TOTAL
(rounded) e
|
|
|
|
|
|
|
|
$0
|
|
|
|
|
|
|
|
|
|
a
We have assumed that there are approximately 85 affected
furnaces and that 10% of the existing units will have new
construction/reconstruction.
|
b
This ICR uses the following labor rates: $161.62 per hour
for Executive, Administrative, and Managerial labor;
$127.68 per hour for Technical labor, and $64.22 per hour
for Clerical labor. These rates are from the United States
Department of Labor, Bureau of Labor Statistics, June 2022,
“Table 2. Civilian Workers, by Occupational and
Industry group.” The rates are from column 1, “Total
Compensation.” The rates have been increased by 110
percent to account for the benefit packages available to
those employed by private industry. Archived report
releases can be accessed from
https://www.bls.gov/bls/news-release/ecec.htm#2021; from
homepage, select Economic Releases, Archived News Releases,
Employer Costs for Employee Compensation, Select a past
year, Select a published report.
|
c
New furnaces test for NOx. We have assumed that 5 percent
of respondents would repeat initial performance test due to
failure.
|
d
The rule requires existing furnaces re-test annually for
NOx. Existing furnaces are assumed to not have existing
CPMS installed.
|
e
Totals have been rounded to 3 significant figures.
Figures may not add exactly due to rounding.
|
Table 13: Annual Respondent Burden and Cost – Basic
Chemical Manufacturing, Petroleum and Coal Products
Manufacturing, Pulp, Metal Ore Mining, Paper, and Paperboard
Manufacturing, Year 1
Burden
Item
|
(A)
Hours
per Occurrence
|
(B)
Occurrences/
Respondent/ Year
|
(C)
Hours/
Respondent/ Year
(A x B)
|
(D)
Respondents/
Yeara
|
(E)
Technical
Hours/Year
(C x D)
|
(F)
Managerial Hours/Year
(E x 0.05)
|
(G)
Clerical Hours/Year
(E x 0.10)
|
(H)
Cost/
Yearb
|
1.
APPLICATIONS
|
NA
|
|
|
|
|
|
|
|
2.
SURVEY AND STUDIES
|
NA
|
|
|
|
|
|
|
|
3.ACQUISITION,
INSTALLATION, AND UTILIZATION OF TECHNOLOGY AND SYSTEMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
4.
REPORT REQUIREMENTS
|
|
|
|
|
|
|
|
|
REQUEST
FOR CASE-BY-CASE EMISSION LIMITS - Per 52.40(e); (based on
BACT analysis of 2020 NSR ICR)
|
156
|
1
|
156
|
2.08
|
324.48
|
16.224
|
32.448
|
$46,135
|
A.
Familiarize with regulatory requirement
|
10
|
1
|
10
|
208
|
2080
|
104
|
208
|
$295,740
|
B.
Required Activities
|
|
|
|
|
|
|
|
|
New
Sources - Testing c
|
|
|
|
|
|
|
|
|
Initial NOx
Performance Test (boiler)
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat NOx
Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Existing
Sources - Initial Testing d
|
|
|
|
|
|
|
|
|
Initial
NOx Performance Test (boiler)
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat
NOx Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
New
and Existing Sources - Monitoring e
|
|
|
|
|
|
|
|
|
Daily
Calibration Drift Tests - NOx CEMS or CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
C.
Create Information (Included in 4B)
|
|
|
|
|
|
|
|
|
D.
Gather Existing Information (Included in 4E)
|
|
|
|
|
|
|
|
|
E.
Write Report
|
|
|
|
|
|
|
|
|
New
Sources
|
|
|
|
|
|
|
|
|
Notification
of Demonstration of CEMS or CPMS
|
0
|
0
|
2
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Initial Performance Test
|
0
|
0
|
2
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Performance Tests
|
0
|
0
|
2
|
0
|
0
|
0
|
0
|
$0.00
|
Submit
Quarterly Electronic Reports to Administrator of NOx
Emission Rates data, Excess Emissions, Missing and Excluded
Data, "F" factor, and other CEMS or CPMS data.
|
0
|
0
|
48
|
0
|
0
|
0
|
0
|
$0
|
Existing
Sources
|
|
|
|
|
|
|
|
|
Notification
of Demonstration of CEMS or CPMS
|
0
|
0
|
2
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Initial Performance Test
|
0
|
0
|
2
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Initial Performance Test Results
|
0
|
0
|
2
|
0
|
0
|
0
|
0
|
$0.00
|
Submit
Quarterly Electronic Reports to Administrator of NOx
Emission Rates data, Excess Emissions, Missing and Excluded
Data, "F" factor, and other CEMS or CPMS data.
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Subtotal
for Reporting Requirements
|
|
|
|
|
2,765
|
|
|
$341,875
|
5.
RECORDKEEPING REQUIREMENTS
|
|
|
|
|
|
|
|
|
A.
Familiarize with regulatory requirement
|
|
|
|
|
|
|
|
|
B.
Plan Activities
|
|
|
|
|
|
|
|
|
C.
Implement Activities
|
|
|
|
|
|
|
|
|
D.
Record Data
|
NA
|
|
|
|
|
|
|
|
E.
Time to Transmit or Disclose Information
|
|
|
|
|
|
|
|
|
Existing
Sources
|
|
|
|
|
|
|
|
|
Data
Collection
|
0.4
|
1
|
0.4
|
208
|
83
|
4.16
|
8.32
|
$11,830
|
Records
of Montly Fuel Use
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
New
Sources
|
|
|
|
|
|
|
|
|
Data
Collection
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
Records
of Monthly Fuel Use
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
F.
Time to Train Personnel
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
G.
Time for Audits
|
NA
|
|
|
|
|
|
|
|
Subtotal
for Recordkeeping Requirements
|
|
|
|
|
96
|
|
|
$11,830
|
Total
Labor Burden and Cost (rounded) f
|
|
|
|
|
2,900
|
$350,000
|
Total Capital and
O&M Cost (rounded) f
|
|
|
|
|
|
|
|
$0
|
Grand TOTAL
(rounded) f
|
|
|
|
|
|
|
|
$400,000
|
|
|
|
|
|
|
|
|
|
a
We have assumed that there are approximately 26 boilers
are expected to install controls and that 10% of the
existing units will have new construction/reconstruction.
|
b
This ICR uses the following labor rates: $161.62 per hour
for Executive, Administrative, and Managerial labor;
$127.68 per hour for Technical labor, and $64.22 per hour
for Clerical labor. These rates are from the United States
Department of Labor, Bureau of Labor Statistics, June 2022,
“Table 2. Civilian Workers, by Occupational and
Industry group.” The rates are from column 1, “Total
Compensation.” The rates have been increased by 110
percent to account for the benefit packages available to
those employed by private industry. Archived report
releases can be accessed from
https://www.bls.gov/bls/news-release/ecec.htm#2021; from
homepage, select Economic Releases, Archived News Releases,
Employer Costs for Employee Compensation, Select a past
year, Select a published report.
|
c
New boilers test for NOx. We have assumed that 5 percent
of respondents would repeat initial performance test due to
failure.
|
d
The rule requires existing boilers to conduct an initial
compliance test within 90 days from the installation of the
pollution control equipment used to comply with the NOx
emission limits. We have assumed that 5 percent of
respondents would repeat annual performance test due to
failure.
|
e
Calibration drift checks on the air flow sensor on the NOx
CEMS or CPMS are performed daily.
|
f
Totals have been rounded to 3 significant figures.
Figures may not add exactly due to rounding.
|
Table 14: Annual Respondent Burden and Cost – Basic
Chemical Manufacturing, Petroleum and Coal Products
Manufacturing, Pulp, Paper, Metal Ore Mining, and Paperboard
Manufacturing, Year 2
Burden
Item
|
(A)
Hours
per Occurrence
|
(B)
Occurrences/
Respondent/ Year
|
(C)
Hours/
Respondent/ Year
(A x B)
|
(D)
Respondents/
Yeara
|
(E)
Technical
Hours/Year
(C x D)
|
(F)
Managerial Hours/Year
(E x 0.05)
|
(G)
Clerical Hours/Year
(E x 0.10)
|
(H)
Cost/
Yearb
|
1.
APPLICATIONS
|
NA
|
|
|
|
|
|
|
|
2.
SURVEY AND STUDIES
|
NA
|
|
|
|
|
|
|
|
3.ACQUISITION,
INSTALLATION, AND UTILIZATION OF TECHNOLOGY AND SYSTEMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
4.
REPORT REQUIREMENTS
|
|
|
|
|
|
|
|
|
A.
Familiarize with regulatory requirement
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
B.
Required Activities
|
|
|
|
|
|
|
|
|
New
Sources - Testing c
|
|
|
|
|
|
|
|
|
Initial NOx
Performance Test (boiler)
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat NOx
Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Existing
Sources - Initial Testing d
|
|
|
|
|
|
|
|
|
Initial
NOx Performance Test (boiler)
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat
NOx Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
New
and Existing Sources - Monitoring e
|
|
|
|
|
|
|
|
|
Daily
Calibration Drift Tests - NOx CEMS or CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
C.
Create Information (Included in 4B)
|
|
|
|
|
|
|
|
|
D.
Gather Existing Information (Included in 4E)
|
|
|
|
|
|
|
|
|
E.
Write Report
|
|
|
|
|
|
|
|
|
New
Sources
|
|
|
|
|
|
|
|
|
Notification
of Demonstration of CEMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Initial Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Performance Tests
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Submit
Quarterly Electronic Reports to Administrator of NOx
Emission Rates data, Excess Emissions, Missing and Excluded
Data, "F" factor, and other CEMS data.
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
Existing
Sources
|
|
|
|
|
|
|
|
|
Notification
of Demonstration of CEMS or CPMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Initial Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Initial Performance Test Results
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Submit
Quarterly Electronic Reports to Administrator of NOx
Emission Rates data, Excess Emissions, Missing and Excluded
Data, "F" factor, and other CEMS or CPMS data.
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Subtotal
for Reporting Requirements
|
|
|
|
|
0
|
|
|
$0
|
5.
RECORDKEEPING REQUIREMENTS
|
|
|
|
|
|
|
|
|
A.
Familiarize with regulatory requirement
|
|
|
|
|
|
|
|
|
B.
Plan Activities
|
|
|
|
|
|
|
|
|
C.
Implement Activities
|
|
|
|
|
|
|
|
|
D.
Record Data
|
NA
|
|
|
|
|
|
|
|
E.
Time to Transmit or Disclose Information
|
|
|
|
|
|
|
|
|
Existing
Sources
|
|
|
|
|
|
|
|
|
Data
Collection
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Records
of Montly Fuel Use
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
New
Sources
|
|
|
|
|
|
|
|
|
Data
Collection
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
Records
of Monthly Fuel Use
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
F.
Time to Train Personnel
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
G.
Time for Audits
|
NA
|
|
|
|
|
|
|
|
Subtotal
for Recordkeeping Requirements
|
|
|
|
|
0
|
|
|
$0
|
Total
Labor Burden and Cost (rounded) f
|
|
|
|
|
0
|
$0
|
Total Capital and
O&M Cost (rounded) f
|
|
|
|
|
|
|
|
$0
|
Grand TOTAL
(rounded) f
|
|
|
|
|
|
|
|
$0
|
|
|
|
|
|
|
|
|
|
a
We have assumed that there are approximately 26 boilers
are expected to install controls and that 10% of the
existing units will have new construction/reconstruction.
|
b
This ICR uses the following labor rates: $161.62 per hour
for Executive, Administrative, and Managerial labor;
$127.68 per hour for Technical labor, and $64.22 per hour
for Clerical labor. These rates are from the United States
Department of Labor, Bureau of Labor Statistics, June 2022,
“Table 2. Civilian Workers, by Occupational and
Industry group.” The rates are from column 1, “Total
Compensation.” The rates have been increased by 110
percent to account for the benefit packages available to
those employed by private industry. Archived report
releases can be accessed from
https://www.bls.gov/bls/news-release/ecec.htm#2021; from
homepage, select Economic Releases, Archived News Releases,
Employer Costs for Employee Compensation, Select a past
year, Select a published report.
|
c
New boilers test for NOx. We have assumed that 5 percent
of respondents would repeat initial performance test due to
failure.
|
d
The rule requires existing boilers to conduct an initial
compliance test within 90 days from the installation of the
pollution control equipment used to comply with the NOx
emission limits. We have assumed that 5 percent of
respondents would repeat annual performance test due to
failure.
|
e
Calibration drift checks on the air flow sensor on the NOx
CEMS or CPMS are performed daily.
|
f
Totals have been rounded to 3 significant figures.
Figures may not add exactly due to rounding.
|
Table 15: Annual Respondent Burden and Cost – Basic
Chemical Manufacturing, Petroleum and Coal Products
Manufacturing, Pulp, Paper, Metal Ore Mining, and Paperboard
Manufacturing, Year 3
Burden
Item
|
(A)
Hours
per Occurrence
|
(B)
Occurrences/
Respondent/ Year
|
(C)
Hours/
Respondent/ Year
(A x B)
|
(D)
Respondents/
Yeara
|
(E)
Technical
Hours/Year
(C x D)
|
(F)
Managerial Hours/Year
(E x 0.05)
|
(G)
Clerical Hours/Year
(E x 0.10)
|
(H)
Cost/
Yearb
|
1.
APPLICATIONS
|
NA
|
|
|
|
|
|
|
|
2.
SURVEY AND STUDIES
|
NA
|
|
|
|
|
|
|
|
3.ACQUISITION,
INSTALLATION, AND UTILIZATION OF TECHNOLOGY AND SYSTEMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
4.
REPORT REQUIREMENTS
|
|
|
|
|
|
|
|
|
REQUEST
FOR EXTENSION OF COMPLIANCE - Per 52.40(d); (based on BACT
analysis of 2020 NSR ICR)
|
156
|
1
|
156
|
2.08
|
324.48
|
16.224
|
32.448
|
$46,135
|
A.
Familiarize with regulatory requirement
|
10
|
1
|
10
|
208
|
2080
|
104
|
208
|
$295,740
|
B.
Required Activities
|
|
|
|
|
|
|
|
|
New
Sources - Testing c
|
|
|
|
|
|
|
|
|
Initial NOx
Performance Test (boiler)
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat NOx
Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Existing
Sources - Initial Testing d
|
|
|
|
|
|
|
|
|
Initial
NOx Performance Test (boiler)
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat
NOx Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
New
and Existing Sources - Monitoring e
|
|
|
|
|
|
|
|
|
Daily
Calibration Drift Tests - NOx CEMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
C.
Create Information (Included in 4B)
|
|
|
|
|
|
|
|
|
D.
Gather Existing Information (Included in 4E)
|
|
|
|
|
|
|
|
|
E.
Write Report
|
|
|
|
|
|
|
|
|
New
Sources
|
|
|
|
|
|
|
|
|
Notification
of Demonstration of CEMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Initial Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Performance Tests submitted via CEDRI or analogous
electronic reporting
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Submit
Written Request to Administrator documenting Initial
Performance Test and an Alternative Monitoring Plan
(Alternative to CEMS).f
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Submit
Quarterly Electronic Reports to of NOx Emission Rates data,
Excess Emissions, Missing and Excluded Data, "F"
factor, and other CEMS data.
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
Existing
Sources
|
|
|
|
|
|
|
|
|
Notification
of Demonstration of CEMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Initial Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Initial Performance Test Results submitted via CEDRI or
analogous electronic reporting
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Submit
Written Request to Administrator documenting Initial
Performance Test and an Alternative Monitoring Plan
(Alternative to CEMS).f
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Submit
Quarterly Electronic Reports via CEDRI or analogous
electronic reporting to EPA of NOx Emission Rates data,
Excess Emissions, Missing and Excluded Data, "F"
factor, and other CEMS data.
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Subtotal
for Reporting Requirements
|
|
|
|
|
2,765
|
|
|
$341,875
|
5.
RECORDKEEPING REQUIREMENTS
|
|
|
|
|
|
|
|
|
A.
Familiarize with regulatory requirement
|
|
|
|
|
|
|
|
|
B.
Plan Activities
|
|
|
|
|
|
|
|
|
C.
Implement Activities
|
|
|
|
|
|
|
|
|
D.
Record Data
|
NA
|
|
|
|
|
|
|
|
E.
Time to Transmit or Disclose Information
|
|
|
|
|
|
|
|
|
Existing
Sources
|
|
|
|
|
|
|
|
|
Data
Collection
|
0.1
|
1
|
0.1
|
208
|
21
|
1.04
|
2.08
|
$2,957
|
Records
of Monthly Fuel Use, Average Hourly NOx emission rates,
30-day average NOx emission rates, Excess Emissions data,
Missed monitoring day data, "F" factor, and CEMS
monitoring data.
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
New
Sources
|
|
|
|
|
|
|
|
|
Data
Collection
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
Records
of Monthly Fuel Use, Average Hourly NOx emission rates,
30-day average NOx emission rates, Excess Emissions data,
Missed monitoring day data, "F" factor, and CEMS
monitoring data.
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
F.
Time to Train Personnel
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
G.
Time for Audits
|
NA
|
|
|
|
|
|
|
|
Subtotal
for Recordkeeping Requirements
|
|
|
|
|
24
|
|
|
$2,957
|
Total
Labor Burden and Cost (rounded) f
|
|
|
|
|
2,800
|
$340,000
|
Total Capital and
O&M Cost (rounded) f
|
|
|
|
|
|
|
|
|
Grand TOTAL
(rounded) f
|
|
|
|
|
|
|
|
$300,000
|
|
|
|
|
|
|
|
|
|
a
We have assumed that there are approximately 26 boilers
are expected to install controls and that 10% of the
existing units will have new construction/reconstruction.
|
b
This ICR uses the following labor rates: $161.62 per hour
for Executive, Administrative, and Managerial labor;
$127.68 per hour for Technical labor, and $64.22 per hour
for Clerical labor. These rates are from the United States
Department of Labor, Bureau of Labor Statistics, June 2022,
“Table 2. Civilian Workers, by Occupational and
Industry group.” The rates are from column 1, “Total
Compensation.” The rates have been increased by 110
percent to account for the benefit packages available to
those employed by private industry. Archived report
releases can be accessed from
https://www.bls.gov/bls/news-release/ecec.htm#2021; from
homepage, select Economic Releases, Archived News Releases,
Employer Costs for Employee Compensation, Select a past
year, Select a published report.
|
c
New boilers test for NOx. We have assumed that 5 percent
of respondents would repeat initial performance test due to
failure.
|
d
The rule requires existing boilers to conduct an initial
compliance test within 90 days from the installation of the
pollution control equipment used to comply with the NOx
emission limits. We have assumed that 5 percent of
respondents would repeat annual performance test due to
failure.
|
e
Calibration drift checks on the air flow sensor on the NOx
CEMS are performed daily.
|
f
10 percent of respondents are assumed to submit a written
request to Administrator for an alternative monitoring
procedure (instead of use of CEMS).
|
g
Totals have been rounded to 3 significant figures.
Figures may not add exactly due to rounding.
|
Table 16: Annual Respondent Burden and Cost – Solid
Waste Combustors and Incinerators, Year 1
Burden
Item
|
(A)
Hours
per Occurrence
|
(B)
Occurrences/
Respondent/ Year
|
(C)
Hours/
Respondent/ Year
(A x B)
|
(D)
Respondents/
Yeara
|
(E)
Technical
Hours/Year
(C x D)
|
(F)
Managerial Hours/Year
(E x 0.05)
|
(G)
Clerical Hours/Year
(E x 0.10)
|
(H)
Cost/
Yearb
|
1.
APPLICATIONS
|
NA
|
|
|
|
|
|
|
|
2.
SURVEY AND STUDIES
|
NA
|
|
|
|
|
|
|
|
3.ACQUISITION,
INSTALLATION, AND UTILIZATION OF TECHNOLOGY AND SYSTEMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
4.
REPORT REQUIREMENTS
|
|
|
|
|
|
|
|
|
REQUEST
FOR CASE-BY-CASE EMISSION LIMITS - Per 52.40(e); (based on
BACT analysis of 2020 NSR ICR)
|
156
|
1
|
156
|
0.8
|
124.8
|
6.24
|
12.48
|
$17,744
|
A.
Familiarize with regulatory requirement
|
10
|
1
|
10
|
80
|
800
|
40
|
80
|
$113,746
|
B.
Required Activities
|
|
|
|
|
|
|
|
|
New
Sources - Testing c
|
|
|
|
|
|
|
|
|
Initial NOx
Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat NOx
Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Existing
Sources - Initial Testing d
|
|
|
|
|
|
|
|
|
Initial
NOx Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat
NOx Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
New
and Existing Sources - Monitoring e
|
|
|
|
|
|
|
|
|
Daily
Calibration Drift Tests - NOx CEMSg
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
C.
Create Information (Included in 4B)
|
|
|
|
|
|
|
|
|
D.
Gather Existing Information (Included in 4E)
|
|
|
|
|
|
|
|
|
E.
Write Report
|
|
|
|
|
|
|
|
|
New
Sources
|
|
|
|
|
|
|
|
|
Notification
of Demonstration of CEMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Initial Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Performance Tests
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Submit
Annual Electronic Reports via CEDRI or analogous electronic
reporting to EPA
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
Existing
Sources
|
|
|
|
|
|
|
|
|
Notification
of Demonstration of CEMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Initial Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Initial Performance Test Results
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Submit
Annual Electronic Reports via CEDRI or analogous electronic
reporting to EPA
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Subtotal
for Reporting Requirements
|
|
|
|
|
1,064
|
|
|
$131,490
|
5.
RECORDKEEPING REQUIREMENTS
|
|
|
|
|
|
|
|
|
A.
Familiarize with regulatory requirement
|
|
|
|
|
|
|
|
|
B.
Plan Activities
|
|
|
|
|
|
|
|
|
C.
Implement Activities
|
|
|
|
|
|
|
|
|
D.
Record Data
|
NA
|
|
|
|
|
|
|
|
E.
Time to Transmit or Disclose Information
|
|
|
|
|
|
|
|
|
Existing
Sources
|
|
|
|
|
|
|
|
|
Data
Collection
|
0.4
|
12
|
4.8
|
80
|
384
|
19.2
|
38.4
|
$54,598
|
Records
of 1-hour ave. NOx emissions, 24-hour ave. NOx emissions,
excluded NOx emissions data, daily drift tests, quarterly
accuracy determination for CEMS, certified and trained
staff records, off-site staff records.
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
New
Sources
|
|
|
|
|
|
|
|
|
Data
Collection
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
Records
of 1-hour ave. NOx emissions, 24-hour ave. NOx emissions,
excluded NOx emissions data, daily drift tests, quarterly
accuracy determination for CEMS, certified and trained
staff records, off-site staff records.
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
F.
Time to Train Personnel
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
G.
Time for Audits
|
NA
|
|
|
|
|
|
|
|
Subtotal
for Recordkeeping Requirements
|
|
|
|
|
442
|
|
|
$54,598
|
Total
Labor Burden and Cost (rounded) f
|
|
|
|
|
1,500
|
$190,000
|
Total Capital and
O&M Cost (rounded) f
|
|
|
|
|
|
|
|
$0
|
Grand TOTAL
(rounded) f
|
|
|
|
|
|
|
|
$200,000
|
|
|
|
|
|
|
|
|
|
a
We have assumed that there are approximately 80 affected
municipal waste combustors (MWCs).
|
b
This ICR uses the following labor rates: $161.62 per hour
for Executive, Administrative, and Managerial labor;
$127.68 per hour for Technical labor, and $64.22 per hour
for Clerical labor. These rates are from the United States
Department of Labor, Bureau of Labor Statistics, June 2022,
“Table 2. Civilian Workers, by Occupational and
Industry group.” The rates are from column 1, “Total
Compensation.” The rates have been increased by 110
percent to account for the benefit packages available to
those employed by private industry. Archived report
releases can be accessed from
https://www.bls.gov/bls/news-release/ecec.htm#2021; from
homepage, select Economic Releases, Archived News Releases,
Employer Costs for Employee Compensation, Select a past
year, Select a published report.
|
c
New MWCs test for NOx. We have assumed that 5 percent of
respondents would repeat initial performance test due to
failure.
|
d
The rule requires existing MWCs to conduct an initial
compliance test within 90 days from the installation of the
pollution control equipment used to comply with the NOx
emission limits. We have assumed that 5 percent of
respondents would repeat annual performance test due to
failure.
|
e
Calibration drift checks on the air flow sensor on the NOx
CEMS or CPMS are performed daily.
|
f
Totals have been rounded to 3 significant figures.
Figures may not add exactly due to rounding.
|
g
As described in EPA's final rule Non-EGU Sectors Technical
Support Document, EPA conducted research on existing
federal regulations, state RACTs and facility permits. EPA
research found 74 units are assumed to already be subject
to NSPS (ie. NSPS subpart Eb) or state RACTs and are
assumed to already have CEMS installed. EPA research found
6 MWCs of the 80 affected units do not have existing
controls.
|
Table 17: Annual Respondent Burden and Cost – Solid
Waste Combustors and Incinerators, Year 2
Burden
Item
|
(A)
Hours
per Occurrence
|
(B)
Occurrences/
Respondent/ Year
|
(C)
Hours/
Respondent/ Year
(A x B)
|
(D)
Respondents/
Yeara
|
(E)
Technical
Hours/Year
(C x D)
|
(F)
Managerial Hours/Year
(E x 0.05)
|
(G)
Clerical Hours/Year
(E x 0.10)
|
(H)
Cost/
Yearb
|
1.
APPLICATIONS
|
NA
|
|
|
|
|
|
|
|
2.
SURVEY AND STUDIES
|
NA
|
|
|
|
|
|
|
|
3.ACQUISITION,
INSTALLATION, AND UTILIZATION OF TECHNOLOGY AND SYSTEMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
4.
REPORT REQUIREMENTS
|
|
|
|
|
|
|
|
|
A.
Familiarize with regulatory requirement
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
B.
Required Activities
|
|
|
|
|
|
|
|
|
New
Sources - Testing c
|
|
|
|
|
|
|
|
|
Initial NOx
Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat NOx
Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Existing
Sources - Initial Testing d
|
|
|
|
|
|
|
|
|
Initial
NOx Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat
NOx Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
New
and Existing Sources - Monitoring e
|
|
|
|
|
|
|
|
|
Daily
Calibration Drift Tests - NOx CEMSg
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
C.
Create Information (Included in 4B)
|
|
|
|
|
|
|
|
|
D.
Gather Existing Information (Included in 4E)
|
|
|
|
|
|
|
|
|
E.
Write Report
|
|
|
|
|
|
|
|
|
New
Sources
|
|
|
|
|
|
|
|
|
Notification
of Demonstration of CEMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Initial Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Performance Tests
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Submit
Annual Electronic Reports via CEDRI or analogous electronic
reporting to EPA
|
0
|
0
|
48
|
0
|
0
|
0
|
0
|
$0
|
Existing
Sources
|
|
|
|
|
|
|
|
|
Notification
of Demonstration of CEMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Initial Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Initial Performance Test Results
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Submit
Annual Electronic Reports via CEDRI or analogous electronic
reporting to EPA
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Subtotal
for Reporting Requirements
|
|
|
|
|
0
|
|
|
$0
|
5.
RECORDKEEPING REQUIREMENTS
|
|
|
|
|
|
|
|
|
A.
Familiarize with regulatory requirement
|
|
|
|
|
|
|
|
|
B.
Plan Activities
|
|
|
|
|
|
|
|
|
C.
Implement Activities
|
|
|
|
|
|
|
|
|
D.
Record Data
|
NA
|
|
|
|
|
|
|
|
E.
Time to Transmit or Disclose Information
|
|
|
|
|
|
|
|
|
Existing
Sources
|
|
|
|
|
|
|
|
|
Data
Collection
|
0.4
|
12
|
4.8
|
80
|
384
|
19.2
|
38.4
|
$54,598
|
Records
of 1-hour ave. NOx emissions, 24-hour ave. NOx emissions,
excluded NOx emissions data, daily drift tests, quarterly
accuracy determination for CEMS, certified and trained
staff records, off-site staff records.
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
New
Sources
|
|
|
|
|
|
|
|
|
Data
Collection
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
Records
of 1-hour ave. NOx emissions, 24-hour ave. NOx emissions,
excluded NOx emissions data, daily drift tests, quarterly
accuracy determination for CEMS, certified and trained
staff records, off-site staff records.
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
F.
Time to Train Personnel
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
G.
Time for Audits
|
NA
|
|
|
|
|
|
|
|
Subtotal
for Recordkeeping Requirements
|
|
|
|
|
442
|
|
|
$54,598
|
Total
Labor Burden and Cost (rounded) f
|
|
|
|
|
400
|
$50,000
|
Total Capital and
O&M Cost (rounded) f
|
|
|
|
|
|
|
|
$0
|
Grand TOTAL
(rounded) f
|
|
|
|
|
|
|
|
$100,000
|
|
|
|
|
|
|
|
|
|
a
We have assumed that there are approximately 80 affected
municipal waste combustors (MWCs).
|
b
This ICR uses the following labor rates: $161.62 per hour
for Executive, Administrative, and Managerial labor;
$127.68 per hour for Technical labor, and $64.22 per hour
for Clerical labor. These rates are from the United States
Department of Labor, Bureau of Labor Statistics, June 2022,
“Table 2. Civilian Workers, by Occupational and
Industry group.” The rates are from column 1, “Total
Compensation.” The rates have been increased by 110
percent to account for the benefit packages available to
those employed by private industry. Archived report
releases can be accessed from
https://www.bls.gov/bls/news-release/ecec.htm#2021; from
homepage, select Economic Releases, Archived News Releases,
Employer Costs for Employee Compensation, Select a past
year, Select a published report.
|
c
New MWCs test for NOx. We have assumed that 5 percent of
respondents would repeat initial performance test due to
failure.
|
d
The rule requires existing MWCs to conduct an initial
compliance test within 90 days from the installation of the
pollution control equipment used to comply with the NOx
emission limits. We have assumed that 5 percent of
respondents would repeat annual performance test due to
failure.
|
e
Calibration drift checks on the air flow sensor on the NOx
CEMS or CPMS are performed daily.
|
f
Totals have been rounded to 3 significant figures.
Figures may not add exactly due to rounding.
|
g
As described in EPA's final rule Non-EGU Sectors Technical
Support Document, EPA conducted research on existing
federal regulations, state RACTs and facility permits. EPA
research found 74 units are assumed to already be subject
to NSPS (ie. NSPS subpart Eb) or state RACTs and are
assumed to already have CEMS installed. EPA research found
6 MWCs of the 80 affected units do not have existing
controls.
|
Table 18: Annual Respondent Burden and Cost – Solid
Waste Combustors and Incinerators, Year 3
|
|
|
|
|
|
|
|
|
Burden
Item
|
(A)
Hours
per Occurrence
|
(B)
Occurrences/
Respondent/ Year
|
(C)
Hours/
Respondent/ Year
(A x B)
|
(D)
Respondents/
Yeara
|
(E)
Technical
Hours/Year
(C x D)
|
(F)
Managerial Hours/Year
(E x 0.05)
|
(G)
Clerical Hours/Year
(E x 0.10)
|
(H)
Cost/
Yearb
|
1.
APPLICATIONS
|
NA
|
|
|
|
|
|
|
|
2.
SURVEY AND STUDIES
|
NA
|
|
|
|
|
|
|
|
3.ACQUISITION,
INSTALLATION, AND UTILIZATION OF TECHNOLOGY AND SYSTEMS
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
4.
REPORT REQUIREMENTS
|
|
|
|
|
|
|
|
|
REQUEST
FOR EXTENSION OF COMPLIANCE - Per 52.40(d); (based on BACT
analysis of 2020 NSR ICR)
|
156
|
1
|
156
|
0.8
|
124.8
|
6.24
|
12.48
|
$17,744
|
A.
Familiarize with regulatory requirement
|
10
|
1
|
10
|
80
|
800
|
40
|
80
|
$113,746
|
B.
Required Activities
|
|
|
|
|
|
|
|
|
New
Sources - Testing c
|
|
|
|
|
|
|
|
|
Initial NOx
Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Repeat NOx
Performance Test
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
Existing
Sources - Initial Testing d
|
|
|
|
|
|
|
|
|
Initial NOx
Performance Test
|
6
|
1
|
6
|
6
|
36
|
1.8
|
3.6
|
$5,119
|
Repeat
NOx Performance Test
|
6
|
1
|
6
|
0.3
|
2
|
0.09
|
0.18
|
$256
|
New
and Existing Sources - Monitoring e
|
|
|
|
|
|
|
|
|
Daily
Calibration Drift Tests - NOx CEMSh
|
0.3
|
330
|
99
|
6
|
594
|
29.7
|
59.4
|
$84,456
|
C.
Create Information (Included in 4B)
|
|
|
|
|
|
|
|
|
D.
Gather Existing Information (Included in 4E)
|
|
|
|
|
|
|
|
|
E.
Write Report
|
|
|
|
|
|
|
|
|
New
Sources
|
|
|
|
|
|
|
|
|
Notification
of Demonstration of CEMS
|
0
|
0
|
2
|
0
|
0
|
0
|
0
|
$0.00
|
Notification
of Initial Performance Test
|
0
|
0
|
2
|
0
|
0
|
0
|
0
|
$0.00
|
Report
of Performance Tests submitted via CEDRI or analogous
electronic reporting
|
0
|
0
|
2
|
0
|
0
|
0
|
0
|
$0.00
|
Submit
Annual Electronic Reports via CEDRI or analogous electronic
reporting to EPA
|
|
|
|
|
|
|
|
|
Existing
Sources
|
|
|
|
|
|
|
|
|
Notification
of Demonstration of CEMS
|
2
|
1
|
2
|
6
|
12
|
0.6
|
1.2
|
$1,706
|
Notification
of Initial Performance Test
|
2
|
1
|
2
|
6
|
12
|
0.6
|
1.2
|
$1,706
|
Report
of Initial Performance Test Results submitted via CEDRI or
analogous electronic reporting
|
2
|
1
|
2
|
6
|
12
|
0.6
|
1.2
|
$1,706
|
Submit
Annual Electronic Reports via CEDRI or analogous electronic
reporting to EPA
|
|
1
|
|
|
|
|
|
|
Subtotal
for Reporting Requirements
|
|
|
|
|
1,831
|
|
|
$226,440
|
5.
RECORDKEEPING REQUIREMENTS
|
|
|
|
|
|
|
|
|
A.
Familiarize with regulatory requirement
|
|
|
|
|
|
|
|
|
B.
Plan Activities
|
|
|
|
|
|
|
|
|
C.
Implement Activities
|
|
|
|
|
|
|
|
|
D.
Record Data
|
NA
|
|
|
|
|
|
|
|
E.
Time to Transmit or Disclose Information
|
|
|
|
|
|
|
|
|
Existing
Sources
|
|
|
|
|
|
|
|
|
Data
Collection
|
0.1
|
1
|
0.1
|
80
|
8
|
0.4
|
0.8
|
$1,137
|
Records
of 1-hour ave. NOx emissions, 24-hour ave. NOx emissions,
excluded NOx emissions data, daily drift tests, quarterly
accuracy determination for CEMS, certified and trained
staff records, off-site staff records.
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0.00
|
New
Sources
|
|
|
|
|
|
|
|
|
Data
Collection
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
Records
of 1-hour ave. NOx emissions, 24-hour ave. NOx emissions,
excluded NOx emissions data, daily drift tests, quarterly
accuracy determination for CEMS, certified and trained
staff records, off-site staff records.
|
0
|
0
|
0
|
|
0
|
0
|
0
|
$0
|
F.
Time to Train Personnel
|
0
|
0
|
0
|
0
|
0
|
0
|
0
|
$0
|
G.
Time for Audits
|
NA
|
|
|
|
|
|
|
|
Subtotal
for Recordkeeping Requirements
|
|
|
|
|
9
|
|
|
$1,137
|
Total
Labor Burden and Cost (rounded) f
|
|
|
|
|
1,800
|
$230,000
|
Total Capital and
O&M Cost (rounded) f
|
|
|
|
|
|
|
|
|
Grand TOTAL
(rounded) f
|
|
|
|
|
|
|
|
$200,000
|
|
|
|
|
|
|
|
|
|
a
We have assumed that there are approximately 80 affected
municipal waste combustors (MWCs).
|
b
This ICR uses the following labor rates: $161.62 per hour
for Executive, Administrative, and Managerial labor;
$127.68 per hour for Technical labor, and $64.22 per hour
for Clerical labor. These rates are from the United States
Department of Labor, Bureau of Labor Statistics, June 2022,
“Table 2. Civilian Workers, by Occupational and
Industry group.” The rates are from column 1, “Total
Compensation.” The rates have been increased by 110
percent to account for the benefit packages available to
those employed by private industry. Archived report
releases can be accessed from
https://www.bls.gov/bls/news-release/ecec.htm#2021; from
homepage, select Economic Releases, Archived News Releases,
Employer Costs for Employee Compensation, Select a past
year, Select a published report.
|
c
New MWCs test for NOx. We have assumed that 5 percent of
respondents would repeat initial performance test due to
failure.
|
d
The rule requires existing MWCs to conduct an initial
compliance test within 90 days from the installation of the
pollution control equipment used to comply with the NOx
emission limits. We have assumed that 5 percent of
respondents would repeat annual performance test due to
failure.
|
e
Calibration drift checks on the air flow sensor on the NOx
CEMS are performed daily.
|
f
10 percent of respondents are assumed to submit a written
request to Administrator for an alternative monitoring
procedure (instead of use of CEMS).
|
g
Totals have been rounded to 3 significant figures.
Figures may not add exactly due to rounding.
|
g
As described in EPA's final rule Non-EGU Sectors Technical
Support Document, EPA conducted research on existing
federal regulations, state RACTs and facility permits. EPA
research found 74 units are assumed to already be subject
to NSPS (ie. NSPS subpart Eb) or state RACTs and are
assumed to already have CEMS installed. EPA research found
6 MWCs of the 80 affected units do not have existing
controls.
|
|
|