Combustion plants with a total rated thermal input below 50MW

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Transcription:

Combustion plants with a total rated thermal input below 50MW Manuela Musella European Commission DG ENV Quality of Life, Water & Air Air & Industrial emissions

Directive 2010/75/EU on Industrial Emissions Recital (28) The combustion of fuel in installations with a total rated thermal input below 50 MW contributes significantly to emissions of pollutants into the air. With a view to meeting the objectives set out in the Thematic Strategy on Air Pollution, it is necessary for the Commission to review the need to establish the most suitable controls on emissions from such installations [ ]. Article 73 Review 2. The Commission shall review the need to control emissions from the combustion of fuels in installations with a total rated thermal input below 50 MW; The Commission shall report the results of that review to the European Parliament and to the Council accompanied by a legislative proposal where appropriate. The report was adopted by the Commission on 17 May 2013 (COM(2013) 286 final) 2

COM(2013) 286 final The review has confirmed that emissions from combustion installations <50 MW can be controlled and substantially reduced at EU level in such a way that the environmental and health benefits outweigh the compliance costs for operators. Care needs to be taken in assessing potential options for a regulatory approach in order to avoid excessive administrative costs. Given the significant uncertainties identified, further elaboration and comparison of the impacts of a selection of options is needed before robust conclusions can be drawn on their merits. No IED amendment Further deepening of the assessment of the most promising options for controlling emissions from combustion installations between 1 and 50 MW will be undertaken in the context of the air pollution policy review 3

Review of the Thematic Strategy on air Pollution Results of the online public consultation Question 34: Which additional measures should be taken to address air emissions from small and medium combustion installations (below 50 MW)? (one or more responses) % responses (nr responses) Regulate combustion installations above the Ecodesign capacity threshold but below the 50MW threshold set in the Industrial Emissions Directive (IED) No additional measures should be introduced All expert/stak eholder responses (371) business representatives (114) government representatives (42) the nongovernmental sector representatives (61) individual experts (142) 38.0 18.4 47.6 55.7 43.7 8.1 19.3 2.4 1.6 4.2 Other (please elaborate below) 5.7 10.5 7.1 3.3 2.1 Don t know 15.1 27.2 4.8 13.1 9.9 4

Review of the Thematic Strategy on air Pollution Results of the online public consultation Question 34a: Which measures should be introduced to control emissions from combustion installations above the Ecodesign threshold but below 50 MW? (one or more responses) % responses (nr responses) All expert/stakeholder responses (141) business representatives (21) government representatives (20) the nongovernmental sector representatives (34) individual experts (62) A "full" permitting regime with EUwide emission limit values A light permitting regime or registration regime with EU-wide emission limit values Product standards, applicable for new installations only 38.3 14.3 30.0 50.0 45.2 22.7 28.6 60.0 0 19.4 31.9 66.7 45.0 5.9 30.7 EU-wide emission limit values or standards which are only mandatory in 19.9 14.3 15.0 8.8 29.0 zones where air quality issues exist Other (please elaborate below) 5.7 0 10.0 5.9 4.8 Don t know 3.6 0 5.0 8.8 1.6 5

On going work Analysis of the impacts of various options to control emissions from the combustion of fuels in installations with a total rated thermal input below 50MW 6

General approach Develop dataset of combustion plants 1-50MW based on consultation with MSs and stakeholders Sectoral distribution 3 Capacity classes 1-5, 5-20, 20-50MW Fuel used Develop dataset of measures/costs for pollution abatement Assess emission reductions and associated costs for a range of possible emission control options 7

EU27 Dataset 2010 data 8

EU27 Dataset 2010 data 9

EU27 Dataset 2010 data 10

EU27 Dataset 2010 data 11

Options (1): Level of ambition 1. No EU action: no change to current regulation in each Member State. All other options are compared against this baseline. 2. Most stringent MS: EU wide ELVs set at the level of the most stringent national legislation for existing plants (for each capacity class, fuel and technology type). 3. LCP: EU wide ELVs set at the level of the ELVs in the IED for existing large combustion plants in category 50-100 MW. 3bis. primary NO x : NOx ELVs corresponding to primary abatement measure (combustion modification only), PM and SO 2 as per option 3. 12

Options (2): Regulatory approach A. Integrated permit B. Emission permit Regulating 1-50 MW plants via a permit including EU wide ELVs for SO 2 NO x PM C. Registration D. General binding rules Regulating air emissions from 1-50 MW plants via EU wide ELVs for SO 2 NO x PM, with a system of notification/registration (or without) 13

Summary options Ambition level options Regulatory options Capacity Classes 1. No EU action - 2. Most stringent MS 3. LCP 3bis. Primary NOx (for SO 2 and PM: same as option 3) Permitting (A,B) Emission limit values (C,D) Permitting (A,B) Emission limit values (C,D) Permitting (A,B) Emission limit values (C,D) 1-5, 5-20, 20-50MW 1-5, 5-20, 20-50MW 1-5, 5-20, 20-50MW different envir. impact (emissions) different compliance costs different administrative costs 14

Preliminary results Significant and cost-effective emission reductions can be achieved for all three pollutants For NOx big difference whether secondary or primary measures are taken (secondary measures ten time more expensive for three times more reductions) Administrative burden is limited when the integrated permit option is discarded The ratio of administrative costs to total costs is about 5% for 20-50MW in the emission permit option, and about 2% for the registration option 1-5 and 5-20MW 15

Thanks for your attention manuela.musella@ec.europa.eu 16