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Emissions Banking and Trading (EBT) Programs Emissions Banking and Trading (EBT) Programs

Emissions Banking and Trading (EBT) Programs - PowerPoint Presentation

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Emissions Banking and Trading (EBT) Programs - PPT Presentation

Emissions Banking and Trading EBT Programs Melissa Ruano Air Quality Division Texas Commission on Environmental Quality Environmental Trade Fair 2016 Presentation Overview The Banking Programs Voluntary ID: 771393

emissions allowances period mect allowances emissions mect period application hect erc control generation ebt derc due emission june steers

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Emissions Banking and Trading (EBT) Programs Melissa RuanoAir Quality DivisionTexas Commission on Environmental QualityEnvironmental Trade Fair 2016

Presentation Overview The Banking Programs:Voluntary Emission Credit ProgramsMandatory Cap and Trade Programs New Information and Resources: Authorized Account Representative EBT STEERS Other EBT Resources

Voluntary Credit Programs Emission Reduction Credit (ERC) ProgramDiscrete Emission Reduction Credit (DERC) Program

ERC Program ERCs are: generated from a permanent reduction of a criteria pollutant (excluding lead) or a precursor of a criteria pollutant; certified in tpy; generated and used only in nonattainment areas; expire after 5 years of emission reduction; and must be permanent, enforceable, real, quantifiable, and surplus at time of generation/use.

ERC Generation Generation Examples Permanent shutdown of a facility Installation and operation of pollution control equipment Process change that reduces emissions Permanent curtailment in production Other method approved by TCEQ

ERC Generation ERC = Baseline Emissions – Strategic Emissions Baseline emissions are the lowest of the: h istorical adjusted emissions; SIP emissions; or most stringent applicable regulatory limit. Strategic emissions are the new tpy emission limit after implementing the emission reduction strategy.

ERC Generation Generation Process Application is due no more than two years after the implementation of the emission reduction strategy. U pdated June 25, 2015

ERC Use ERCs can be used for: NSR permit offsets; compliance with 30 TAC Chapters 115 and 117; or a s allowed by other local, state, and federal laws. At least an additional 10% of the ERCs must be retired with each use as environmental contribution. ERC must be surplus at the time of use.

ERC Use Use Application Process Application is due 90 days before date of use. For NSR offsets, use application is due between the date the permit application is administratively complete and 90 days prior to the start of operation. Application will not be accepted before ERC is available in compliance account (i.e., portfolio) for the site where it will be used. U pdated June 25, 2015

ERC Use Use Application Process (continued) The user must submit an application to use ERCs prior to ERC expiration date. If approved, the date the application was submitted is the date of use. Once approved for use, the ERC is good for the life of the facility but cannot be used for other purposes. U pdated June 25, 2015

DERC Program DERCs are: generated from a temporary reduction of a criteria pollutant (excluding lead) or a precursor of a criteria pollutant; certified in tons; generated in attainment or nonattainment areas; do not expire; and m ust be quantifiable, surplus, and real at time of generation.

DERC Generation Generation Examples Installation and operation of pollution control equipment with higher than required efficiency Process change that reduces emissions beyond regulated emission requirements Other method approved by TCEQ

DERC Generation DERC = SA x (BER – SER) Strategy Activity (SA) = level of activity during the generation period Baseline Emission Rate (BER) = lowest of the emission rate used in the historical adjusted emissions or the SIP emissions Strategy Emission Rate (SER) = emission rate during the generation period

DERC Generation Generation Process A pplication is due no later than 90 days after the generation period ends or after completing 12 months of generation.

DERC Use DERCs can be used for: c ompliance with Chapters 115 and 117; c ompliance with MECT; t emporary exceedance of permit; or NSR permit offsets. At least an additional 10 % of the D ERCs must be retired with each use as environmental contribution.

DERC Use Use Application Process A DERC cannot be used unless it is available in the account for the site where it will be used. For compliance with Chapters 115, 117, or permit exceedance: intent to use application is due 45 days prior to the first day of the use period; and use application is due 90 days after the end of the use period. U pdated June 25, 2015

DERC Use Use Application Process (continued) For compliance with MECT: i ntent application is due October 1; use application is due March 31. For NSR offsets: u se application is due at least 90 days before the start of operation; and at least 90 days prior to each year of operation not covered by a prior application.

DERC Use in DFW Beginning in 2016, the use of NO X DERCs may not exceed 17.0 tons per day in Collin, Dallas, Denton, Ellis, Johnson, Kaufman, Parker, Rockwall, and Tarrant Counties. Applications submitted in response to an ERCOT-declared emergency situation are not subject to this limit. Applications are due August 1 before the beginning of the calendar year in which the DERCs are intended for use. U pdated June 25, 2015

ERC and DERC Use Limitations Generally, a credit must be used in the same area in which it was generated for the pollutant for which it was generated. Limitations for the use of NO X and VOC DERCs can be found under 30 TAC §101.372(f ) . There is an exception if the user satisfie s the conditions for inter-area or inter-pollutant use : R equires project-specific photochemical modeling; and R equires TCEQ and EPA approval.

ERC and DERC Trades Credits are traded in tenths of a ton. Credits may be traded or sold any time by submitting application to TCEQ: ERCs must be traded before expiration date. A new certificate number will be issued to the buyer and seller (if part of original amount is retained). Credits can be traded electronically through EBT STEERS.

Average HGB ERC Prices

Average HGB DERC Prices

ERC and DERC Availability ERCs Available by Area Pollutant/Area HGB (tpy) DFW (tpy) NO X 274.4 66.3 VOC 867.8 96.9 DERCs Available by Area Pollutant/Area HGB (tons) DFW (tons) BPA (tons) NO X 30,747.5 4,550.7* 2,916 VOC 1,075.6 12.5* n/a CO 15.1 n/a 1,942.7 *Value includes both ozone and non-ozone season DERCs Available as of 4/13/2016

Mobile and Area Source Credits The TCEQ is currently reviewing issues related to the generation and use of mobile/area source credits. Challenges with mobile/area source credits include ensuring:any credits issued are surplus and real; credits are quantifiable; and for ERCs, the reductions are permanent and enforceable.

Mandatory Cap and Trade Programs Mass Emissions Cap and Trade (MECT)Highly Reactive Volatile Organic Compounds (HRVOC) Cap and Trade (HECT)Emissions Banking and Trading of Allowances (EBTA)

MECT Program Establishes a mandatory cap for NO X emission. Applies to sites in the HGB 8-hour ozone nonattainment area that are: major sources of NO X with facilities subject to §117.310 or § 117.1210 ; or minor sources of NO X with an uncontrolled design capacity to emit ≥ 10 tpy of NO X from facilities subject to § 117.2010 .

MECT Program Examples of Affected Facilities Boilers and process heaters Stationary gas turbines Stationary IC engines Fluid catalytic cracking units Boilers and industrial furnaces Lime kilns Lightweight aggregate kilns Heat treating furnaces and reheat furnaces Magnesium chloride fluidized bed dryers Incinerators

HECT Program Establishes a mandatory cap for HRVOC emissions. HRVOCs are defined as ethylene, propylene, 1,3–butadiene, and all isomers of butene . Applies to vents, flares, and cooling towers in Harris County.Sites that have the potential to emit ≤ 10 tpy of HRVOC from all affected facilities are exempt.

Allowance Allocations MECT Allocations: Based on historical levels of activity. Last cap reduction occurred in 2008. HECT Allocations: Based on uncontrolled HRVOC emissions and a ratio of each site’s actual HRVOC emissions versus other sites in their industry sector. Next cap reduction of 5% will occur in 2017. Allowances are allocated, traded, and used in tenths of a ton .

Important Dates for MECT and HECT Control period runs from January 1 through December 31 of each year. T rades must be submitted by January 30 following the end of each control period. Annual reports are due March 31 following the end of each control period.

MECT and HECT Allowances Current Allowances – Allowances allocated in the year being reported. Unused allowances are banked for use in the next control period. Vintage Allowances – Banked allowances from the previous control period. If not used, these banked allowances expire. Current allowances are used before vintage allowances.

MECT and HECT Allowances Example Control Period 2016 (tons) Certified Allocation 10.0 Current Allowances Traded 2.0 Current Allowance Balance 12.0 Vintage From Previous Year 2.0 Vintage Traded In --- Vintage Allowance Balance 2.0 Total Emissions Current Allowances Remaining Vintage Allowances Expired 2017 (tons) 10.0 --- 10.0 1.0 --- 1.0 --- --- --- 11.0 1.0 2 .0

MECT and HECT Trades Trade options: Current allowance Vintage allowance Future allowance Permanent allocation Current and vintage allowances can be traded electronically through EBT STEERS.

MECT and HECT Annual Reports Each report must include: a mount of HRVOC (HECT) or NOX (MECT) emissions for each affected facility; Chapter 115 (HECT) or Chapter 117 (MECT) protocols used to quantify emissions ; and s upporting documentation. Total emissions are always rounded up to the tenth of a ton. R eports can be submitted electronically through EBT STEERS.

Insufficient Allowances Penalty Must have sufficient allowances in each site’s compliance account to cover actual emissions for the control period. Deficit plus 10% penalty will be carried to the next control period. If the site’s account does not have sufficient allowances to cover the deficit and 10% penalty, you must acquire allowances within 30 days of notification.

Quantification Penalty Starting with the 2015 control period, a 10% penalty will be applied to emissions quantified using alternative data due to noncompliance with Chapter 115 or 117 protocols. Penalty is calculated per facility based on the total emissions quantified using noncompliant data. If the compliance account does not have sufficient allowances, the insufficient allowances penalty will also apply. NEW!

Quantification Penalty Example Facility Used 117 Data? Annual Emissions (tons) 10% Penalty * FIN 1 No 1.13 0.2 FIN 2 No 2.56 0.3 FIN 3 Yes 3.19 No Penalty Total 6.9* 0.5 *Value rounded up to the nearest 0.1 ton per facility

When Can I Stop Reporting? Annual reports for the MECT and/or HECT programs are no longer required if :the site has been permanently shutdown and all authorizations have been voided; or the owner/operator no longer has authorization to operate any affected facilities. Contact EBT staff to request an annual compliance report waiver. NEW!

Using MECT or HECT for NSR Offsets The facility being offset must be subject to the program. MECT allowances can be used for NO X offsets and HECT allowances for VOC offset s. A permanent allowance allocation must be used. The allowances used cannot be banked, traded, or used for any other purpose (other than complying with MECT or H ECT). U pdated June 25, 2015

Using MECT or HECT for NSR Offsets The user must submit an application at least 30 days before the start of operation. Allowances used for the 1:1 portion: must be used simultaneously for MECT or HECT compliance; for all allowances set aside will be deducted at the end of each control period; and may devalue with future regulatory changes . U pdated June 25, 2015

Using MECT or HECT for NSR Offsets Allowances used for the environmental contribution portion of the offset ratio: are permanently retained by TCEQ ; and will not devalue . U pdated June 25, 2015

Using MECT or HECT for NSR Offsets Allowances used for offsets may be released if: an alternative means of compliance for offset requirement is authorized in NSR permit; or the affected facility is permanently shut down (1:1 portion only). If approved, the release will be effective in the control period following the date of the request. Allowances will not be released retroactively . U pdated June 25, 2015

EBTA Program Affects EGFs, permitted under 30 TAC Chapter 116, Subchapter I, that existed when the Texas Clean Air Act was created in 1971 (others can opt-in). Allocation reduces NO X emissions by 50% and SO 2 emissions by 25% compared to the 1997 emissions from affected EGFs. Allowances are allocated, traded, and used in whole tons. Allowances do not expire.

Important Dates for EBTA Control period runs from May 1 - April 30. Allowances may be traded at any time during the control period; however, each site must have sufficient allowances to cover emissions by June 1 following the end of each control period. Annual reports are due June 30 following the end of each control period. EBTA trades and reports can be submitted electronically through EBT STEERS.

New Information and Resources

Authorized Account Representative E ach account (portfolio) must have an AAR. The AAR must be authorized by someone that meets the responsible official qualifications in 30 TAC §122.165(c ) . AAR must certify (sign) all EBT forms submitted for that portfolio (paper and electronic). To register an AAR, submit an Authorized Account Registration Form .

EBT STEERS STEERS : Annual reports for the MECT, HECT, and EBTA Programs Trades for the ERC, DERC, MECT, HECT, and EBTA Programs Portfolio AAR, technical contact, and facility information can also be updated through EBT STEERS.

EBT STEERS Tips Start early Keep user roles up-to-date Contact EBT staff regarding legal name or ownership changes to your site ASAP Keep contact and facility information up-to-date: Don’t forget to submit a revised AAR Form Always click the Submit button!

Other Resources TCEQ EBT Web page : Links to program rules and guidance Credit and allowance trade information Updated application forms Sign up to receive program updates TCEQ EBT Database : Account balances Official record of all trades, reports, uses, etc.

Contact Information Melissa Ruano, Emissions Banking and TradingE-mail: Melissa.Ruano@tceq.texas.gov Phone : (512) 239-4496 General EBT ContactE-mail: ebt@tceq.texas.gov Phone: (512) 239-4900 STEERS Help E-mail: steers@tceq.texas.gov Phone: ( 512) 239-6925

Questions?