Guidance for Quantifying and Using Emission Reductions from Voluntary Woodstove Changeout Programs in State Implementation Plans

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DRAFT-Do not cite or quote 5/12/2005 Guidance for Quantifying and Using Emission Reductions from Voluntary Woodstove Changeout Programs in State Implementation Plans Incorporates Comments from OAQPS, States and EPA Regions

DRAFT-Do not cite or quote 5/12/2005 EPAxxx-x-xx-xxx 2005 Guidance for Quantifying and Using Emission Reductions from Voluntary Woodstove Changeout Programs in State Implementation Plans Information Transfer and Program Implementation Division and Air Quality Strategies and Standards Division Office of Air Quality Planning and Standards U.S. Environmental Protection Agency i

DRAFT-Do not cite or quote 5/12/2005 TABLE OF CONTENTS Section A: Background Information Page 1. What is the purpose of this guidance?............................... 2. How does this guidance relate to existing Clean Air Act requirements?.... 3. What are woodstove emissions?................................... 4. What is a woodstove changeout?................................. 5. What are the benefits from reducing wood smoke?.................... Section B: Basic Criteria Requirements for Woodstove Changeout Emissions Reductions 6. What are the basic criteria requirements for using emission reductions in SIPs?.......................................................... 7. What should you consider when implementing a woodstove changeout?.. Section C: Specific Considerations for Using Woodstove Changeout Emission Reductions 8. Are woodstove emissions part of the State's emission inventory?......... 9. How can the estimated emission reductions be used for SIP purposes?...... Section D: Quantifying Woodstove Changeout Emission Reductions 10. How do you quantify emission reductions from the use of a woodstove changeout?....................................................... Section E: Monitoring and Penalties 11. What monitoring and record keeping should occur to document woodstove changeout emission reductions?..................................... 12. What kind of validation and reconciliation should occur for emission reductions in SIPs approved under the Voluntary Measures Policy?.......... 13. What types of penalties can be assessed for not complying with CAA requirements?.................................................... Section F: The SIP Process for Using Woodstove Changeout Emission Reductions 14. What must a State submit to EPA to meet the requirements for incorporating a source specific control measure in a SIP?............................. Section G: Contact Information 15. Who should you contact for additional information?.................. Appendix A: Definitions................................................. ii

DRAFT-Do not cite or quote 5/12/2005 Appendix B: PM Emission Factors for a Selection of Woodstoves............... Appendix C: General Approach For Determining Emission Reductions................... iii

DRAFT-Do not cite or quote 5/12/2005 LIST OF ABBREVIATIONS CAA Clean Air Act PM Particulate Matter (PM 10 and PM 2.5 ) PM 10 PM 10 micrometers or less in size PM 2.5 PM 2.5 micrometers or less in size g/hr gram per hour SIP B(a)P POM PAH CO CO 2 HCl SOx NOx NAAQS RWC State Implementation Plan Benzo(a)Pyrene Polycyclic Organic Matter Polycyclic Aromatic Hydrocarbon Carbon Monoxide Carbon Dioxide Hydrogen Chloride Sulfur Oxides Nitrogen Oxides National Ambient Air Quality Standards Residential Wood Combustion iv

Guidance for Quantifying and Crediting Woodstove Changeout Emission Reductions (Note: As used in this document, the terms "we", "us" and "our" refer to EPA. The terms "you" and "your" refer to a State/local or tribal air pollution control agency.) Section A: Background Information 1. What is the purpose of this guidance? The purpose of this document is to provide you with guidance on quantifying emission reductions from woodstove changeout programs. You may wish to use the emission reductions resulting from implementing a woodstove changeout to help meet the goal of attaining the PM 2.5 NAAQS. 2. How does this guidance relate to existing Clean Air Act requirements? This document provides guidance to State air pollution control agencies and the general public on how control measures to reduce woodstove emissions may be used to meet SIP requirements. SIP requirements can be found in Sections 110(a)(2) and 172(c) of the CAA. This document does not substitute for those provisions, nor is it a regulation itself. Unless otherwise indicated, it does not impose binding, enforceable requirements on any party. Further, it does not assure that EPA may approve all instances of its application, and thus the guidance may not apply to a particular situation based upon the circumstances. The EPA and State decision makers retain the discretion to adopt approaches on a case-by-case basis that differ from this guidance where appropriate. Any decisions by EPA regarding a particular SIP demonstration will only be made based on the statute and applicable regulations, and will only be made following notice and opportunity for public review and comment. Therefore, interested parties are free to raise questions and objections about the appropriateness of the application of this guidance to a particular situation; EPA will, and States should, consider whether or not the recommendations in this guidance are appropriate in that situation. This guidance is a living document and may be revised periodically without public notice. The EPA welcomes public comments on this document at any time and will consider those comments in any future revisions of this guidance document. Readers of this document are cautioned not to regard statements recommending the use of certain procedures as either precluding other procedures or information, or providing guarantees that using these procedures will result in actions that are fully approvable. As noted above, EPA cannot assure that actions based upon this guidance will be fully approvable in all instances, and all final actions may only be taken following notice and opportunity for public comment. 3. What are woodstove emissions? 1

Residential wood heaters (i.e., woodstoves) are generally freestanding devices designed to burn cordwood to heat a specific room or zone of a house. For the purposes of this guidance document, the term woodstove also includes fireplace inserts. A fireplace insert is essentially a woodstove that is installed in an existing fireplace. Woodstove emissions vary depending on combustion efficiency but generally contain some combination of gases (principally CO and CO 2, and some quantity of toxic compounds including B(a)P, POM, PAH, and others), and fine particles (PM 2.5 ) which are composed of tiny unburned particles of ash and toxic elements. There are also minor amounts of components such as HCl, SOx, and NOx. 4. What is a woodstove changeout progam? Typically, a changeout involves the offering of a monetary incentive, usually a rebate on the purchase price of new equipment, to entice the owners of high emitting stoves to buy a new clean burning EPA certified stove, or other heating appliance. The most effective changeout campaigns include an education component to ensure that EPA certified woodstoves are properly installed, operated and maintained in order to achieve the lowest possible emission rates. Often, the agency sponsoring the changeout makes arrangements with metal scrap recycling dealers to recycle the old (referred to by the industry as conventional) woodstoves surrendered during the changeout, or they are destroyed in accordance with any Federal, State, or local laws governing disposal of hazardous or potentially hazardous substances (i.e., creosote). For the purposes of taking credit under this guidance, the State must insure that the conventional stoves surrendered in the changeout are accounted for (recycled or destroyed), as they have value on the resale market and could be put back in service. The conventional stove s emissions must be removed from the State s emission inventory so that the responsible agency can conduct a reliable benefits analysis. This is a crucial step in the process of conducting a changeout if the State wishes to use the emissions reductions in their SIP. For more information about the practical considerations and the partnership possibilities for conducting a changeout in your State, EPA has developed a website: insert URL here 5. What are the benefits of a woodstove changeout? The primary purpose of this guidance is to quantify emission reductions in criteria air pollutants. This guidance specifically addresses emission reductions of PM 2.5 and PM 10. In addition, there are other important benefits associated with reductions in woodstove emissions including: Reductions in the emissions of toxic air pollutants resulting in improved indoor and outdoor air quality and public health. Reductions in emissions of carbon monoxide and carbon dioxide. Reductions in haze caused by PM 2.5 resulting in improved visibility. Reductions in fuel consumption with greater energy efficiency and less maintenance, which results in cost savings to the stove owner. Reductions in creosote buildup in chimneys, resulting in lower risk of fire in the home. 2

Section B: Basic Criteria Requirements for Woodstove Emissions Reductions 6. What are the basic criteria requirements for using emission reductions in SIPs? In order to be approved as a measure which provides additional emission reductions in a SIP, a control measure reducing woodstove emissions cannot interfere with other requirements of the CAA, and would need to be consistent with SIP attainment and maintenance requirements. Specifically, the control measure must provide emission reductions that meet the criteria requirements described below. These requirements are found in the CAA section 110 provisions concerning SIPs. (A) Quantifiable - The emission reductions from a control measure to reduce woodstove emissions are quantifiable if they can be reliably and replicably measured. Emission reductions must be calculated for the time period for which the reductions will be used. Appendix C provides you with a sample method for quantifying emission reductions. You can also submit your own quantification protocol which we will review and make a decision as to the appropriateness of its use on a case-by-case basis. (B) Surplus - Emission reductions are generally surplus and can be used as long as they are not otherwise relied on to meet other applicable air quality attainment and maintenance requirements. In the event that the program to reduce woodstove emissions is relied on by you to meet such air quality related program requirements, they are no longer surplus and are not appropriate to be used for additional credit. In addition, to be considered surplus the emissions from woodstoves must be a part of the SIP's emissions inventory. (C) Federally Enforceable Since woodstove changeout programs are voluntary, the State must make an enforceable commitment in its SIP to make up any shortfall in emissions reductions should the expected reductions from the changeout program not materialize. Under EPA's Voluntary Measures Policy the State is responsible for assuring that the reductions credited in the SIP occur. The State would need to make an enforceable SIP commitment to monitor, assess and report on the emission reductions resulting from the voluntary measure and to remedy any shortfalls from forecasted emission reductions in a timely manner. Given the uncertainty involved with voluntary and emerging measures, we believe it is appropriate in most cases to limit the amount of emissions reductions you can take credit for in your SIP. The presumptive limit is 6 percent of the total amount of emission reductions required for the attainment, or maintenance demonstration purposes. The limit applies to the total number of emission reductions that can be claimed from any combination of voluntary and/or emerging measures, including those measures that are both voluntary and emerging. The limit is presumptive in that EPA believes it may approve measures into a SIP in excess of the presumptive six percent where a clear and convincing justification is made by the State as to why a higher limit should apply in their case. Any request for a higher limit will be reviewed by EPA on a case-by-case basis. Any approval of emerging 3

measures under this policy will be conducted through full notice-and-comment rulemaking in the context of a particular State SIP revision. (D) Permanent - The emission reduction must be permanent throughout the term that the emission reduction is used. Documentation of stove replacement, including proof that the stove replaced was destroyed or recycled, is key to meeting this requirement and is your responsibility if you wish to take credit for woodstove changeout emissions reductions in your SIP. (E) Adequately Supported - The State must demonstrate that it has adequate funding, personnel, and other resources to implement the control measure on schedule. 7. What should you consider when using a woodstove changeout as a control measure? (A) Ensure that all conventional woodstoves surrendered as a part of the changeout, for which you wish to take credit for in your SIP, are located within the nonattainment area boundary in question. (B) Ensure that all EPA-certified woodstoves installed as a part of the changeout are professionally installed. Improper installation can render a woodstove unsafe and cause it to operate with much less efficiency which will increase emissions. You must keep track of the number of new certified stoves installed during a changeout program so that you will be able to update your emissions inventory and be able to calculate post-changeout emissions reductions. Section C: Specific Considerations for Using Woodstove Changeout Emission Reductions 8. Are woodstove emissions part of the State's emission inventory? In order to take credit for these emissions reductions, you must ensure that an adequate and up to date inventory of all PM 2.5 emissions exists for the area in question. In addition, the crediting of emission reductions must also be consistent with the assumptions in the emission inventory upon which the attainment or maintenance demonstration is based. If they are not already in the SIP inventory, no credit can be given for woodstove emissions reductions unless the SIP inventory baseline is reassessed to include such emissions at their current level. 9. How can the estimated emission reductions be used for SIP purposes? For your SIP attainment or maintenance strategy, you should use the emission reductions which are expected from the implementation of a woodstove changeout program by applying the following criteria: 1. Only those reductions that occur, or are expected to occur, prior to the area s attainment date are creditable. 4

2. If the changeout program takes place prior to the attainment date, for example in the spring of the attainment year, but the emissions reductions aren t fully realized until the next heating season which ends the following year after the attainment date has past, we recommend applying for an extension of the attainment date if those emissions reductions are necessary to attain the standard. If the extension is approved, all creditable reductions resulting from the changeout program that occur before the new attainment date will be considered in this instance. 3. Reductions from an ongoing changeout campaign that occur past the area s attainment date, or it s extension, can be used to support the maintenance plan for the area once it is redesignated to attainment, provided the old conventional stoves surrendered during the changeout are scrapped or otherwise removed from service, the number of new stoves being installed is tracked, and the responsible agency continues a public outreach program to educate the public on the proper techniques for efficiently burning wood. Section D: Quantifying Woodstove Changeout Emission Reductions 10. How do you quantify emission reductions from the use of a woodstove changeout? The more complex the source mix in the area, the more difficult it becomes to estimate the emissions from RWC. Generally, the annual emission reductions from woodstove changeouts are based upon the number of conventional, non-epa-certified stoves that are replaced annually by EPA-certified stoves (or equivalent) minus the number of EPA-certified stoves presently in the stove inventory over the allowed implementation period. In some cases, EPA-certified woodstoves may be replaced by pellet stoves or other devices such as gas fired stoves or fireplaces that are lower emitting in terms of PM than the device they replaced. This situation can and should be accounted for in the inventory and the subsequent emission reduction calculations. If any conventional woodstoves remain in the inventory after the changeout occurs, those emissions must also be included in the post-changeout emissions total. To calculate the emission reductions that would occur through implementation of this measure, Appendix C may be used, or you may submit your own calculation. Section E: Monitoring and Penalties 11. What monitoring and record keeping should occur to document woodstove changeout emission reductions? (A) For each changeout generating emission reductions, the responsible party (the State air agency in most cases) should monitor and record the following information for each time period for which an emission reduction is generated (or other information capable of demonstrating the emission reductions to our satisfaction): 5

(1) the number of conventional woodstoves surrendered during the changeout, (2) a demonstration that these woodstoves were located in a nonattainment or maintenance area for the pollutant for which emission reductions were determined, (3) the estimated emissions from the conventional woodstoves for the pollutants of interest, (4) the estimated emissions from the woodstoves (or other appliances including gas stoves) that replaced the conventional stoves. (B) All information to be monitored and recorded in accordance with this guidance for existing SIP requirements should be maintained by the responsible party for a period of no less than five years. 12. What kind of validation and reconciliation should occur for emission reductions in SIPs approved under the Voluntary Measures Policy? The SIP submission for a voluntary measure should contain a description of the evaluation procedures and time frame(s) in which the evaluation of SIP reductions will take place. Once the voluntary control measure is in place emission reductions should be evaluated by you as required to validate the actual emission reductions. You should submit the results of your evaluation to EPA in accordance with the schedule contained in the SIP. If the review indicates that the actual emission reductions are not consistent with the estimated emission reductions, then the amount of credit should be adjusted appropriately and applicable remedial measures should be taken under the Voluntary Measures Policy. See the EPA's Voluntary Measures Policy for further information regarding validation and reconciliation requirements for such measures. 13. What types of penalties can be assessed for not complying with CAA requirements? [TO OGC: IS THIS REALLY NECESSARY FOR A VOLUNTARY PROGRAM? WE PUT THIS LANGUAGE IN SOME RECENT GUIDANCE FOR TRUCK STOP ELECTRIFICATION AND LOCOMOTIVE IDLING SO THAT S WHY I INCLUDED IT BUT IT SEEMS UNNECESSARY] Use of this guidance does not relieve the responsible party of any obligation to comply with all otherwise applicable CAA requirements, including those pertaining to the crediting of emission reductions for your SIP, such as emission reductions for your attainment or maintenance strategy. Violations of CAA requirements are subject to administrative, civil, and/or criminal enforcement under Section 113 of the CAA, as well as to citizen suits under Section 304 of the CAA. The full range of penalty and injunctive relief options would be available to the Federal or State government (or citizens) bringing the enforcement action. Section F: The SIP Process for Using Woodstove Changeout Emission Reductions 6

14. What must a State submit to EPA to meet the requirements for incorporating a source specific control measure in a SIP? The State must submit to EPA a written document which: (A) Identifies and describes the woodstove changeout campaign and its implementation schedule to reduce woodstove emissions within a specific time period; (B) Contains a quantification methodology to estimate the emission reductions from the woodstove changeout campaign. You can follow the quantification methodology provided in Appendix C of this document or you can submit your own. If you submit your own quantification methodology for quantifying the emission reductions, you must provide all relevant technical support documentation, including the information and quantification uncertainties used to calculate emission reductions. You must rely on the most recent information available at the time the SIP is developed; (C) Contains federally enforceable requirements for the responsible party (the State) to monitor and record the appropriate information; (D) Under the Voluntary Measures Policy only, enforceably commits to evaluate and report the resulting emission reductions of the measure as applicable; (E) Enforceably commits to remedy any SIP emission shortfall in a timely manner if the measure does not achieve estimated emission reductions; and (F) Meets all other requirements for SIP revisions under sections 110 and 172 of the CAA. I don t know these well is this needed? Section G: Contact Information 15. Who should you contact for additional information? State agencies, the regulated community and members of the public with questions concerning a case-specific application of this guidance should contact the EPA Regional Office with responsibility for air quality planning in the area where the woodstove changeout is planned. A contact list of your EPA Regional Office is available at the following web address: http://www.epa.gov/epahome/locate2.htm For general questions regarding this guidance please contact Gary Blais of EPA's Office of Air Quality Planning and Standards at (919) 541-3223. 7

Appendix A: Definitions 8

Appendix B: PM Emission Factors for a Selection of Woodstoves PLACEHOLDER FOR A TABLE WE RE PUTTING TOGETHER 9

Appendix C: General Approach for Determining Emission Reductions The purpose of this quantification summary is to provide a basic formula to calculate the net emission reductions potential from a voluntary woodstove changeout campaign. The suggested formula is: NER = BASELINE POST CHANGEOUT BASELINE=[N conv (EF conv ) + N epa (EF epa )] * (D * C use )/ (454 *2000) POSTCHANGEOUT= [N conv (EF conv ) + N epa (EF epa ) + N new (EF new )] * (D * C use )/ (454 *2000) Where, NER = Net emission reduction N conv (EF conv ) = Average emission factor for the conventional woodstoves in the State s inventory (PM 2.5 in g/kg) times the number of conventional stoves in the inventory. N epa (EF epa ) = Average emission factor for EPA-certified woodstoves in the State s inventory. N new (EF new ) = Average emission factor for the new heating devices installed under the changeout program (PM 2.5 in g/kg) times the number of these devices now in the inventory. If available, an emission factor for each device in the inventory can be used instead of an average factor. You must use professional judgement as to the use of average emission factors, which may or may not be representative of the universe of appliances in your inventory for each category of appliance. D= density of the wood typically burned in the area, (kg/cord) C use = Cords of wood used/day 454 = Conversion factor for grams to pounds which is (g/lb) 2000= Conversion factor for pounds to tons (lb/ton) First, you determine the PM 2.5 emissions for the pre-changeout condition which we re calling the BASELINE in this example, and it includes emissions from existing certified stoves plus conventional stoves. If other wood burning appliances (or any other home heating units) such as pellet stoves are in the inventory they can be included in this equation. The other variables are 10

multiplied by the resultant emissions calculation (g/kg) and include an estimate of the number of cords of wood burned per day, and the wood density. This number is divided by the conversion factors to derive a tons per day of PM 2.5 for the BASELINE condition. The second part of the equation, the POSTCHANGEOUT condition describes the inventory after the changeout takes place and includes variables for the new appliances added to the inventory. The numbers of both conventional and existing EPA-certified stoves should change after the changeout. Finally, subtract the POSTCHANGEOUT condition from the BASELINE condition to arrive at the net emission reduction. 11