June 4, 2024
For those operating gasoline distribution facilities, the wait is over - the EPA has finalized updates to the National Emission Standards for Hazardous Air Pollutants (NESHAP) for gasoline distribution and the New Source Performance Standards (NSPS) for bulk gasoline terminals. These long-awaited revisions, effective July 8, 2024, aim to reduce hazardous air pollutant emissions by over 2,200 tons per year and volatile organic compound emissions by 45,400 tons per year across the industry.
The source categories affected by this action are Gasoline Distribution regulated under 40 CFR part 63, subparts R and BBBBBB, and Bulk Gasoline Terminals regulated under 40 CFR part 60, subparts XX and XXa. The 2022 NAICS codes for the gasoline distribution industry are 324110, 493190, 486910, and 424710. If you have questions about whether these rules apply to your facility, carefully review the applicability criteria.
In the context of this article, according to the EPA, a large bulk terminal is defined as any gasoline storage and distribution facility that receives gasoline by pipeline, ship, or barge, and has a gasoline throughput of 20,000 gallons per day or greater.
Operators should review these requirements and begin planning to implement any necessary upgrades or operational changes to ensure compliance by the deadlines noted below.
For major source gasoline distribution terminals, the updates to Subpart R include:
Cargo Tank Vapor Tightness
A graduated certification scale from 0.5 to 1.25 inches water pressure drop over 5 minutes, based on cargo tank compartment capacity. Larger compartments must meet tighter vapor tightness standards.
External Floating Roof Tanks
New fitting control requirements consistent with NSPS Subpart Kb to reduce emissions from roof openings.
Equipment Leaks
Semiannual instrument monitoring using Method 21 is now required to detect and repair equipment leaks.
Operators of major source terminals should evaluate their cargo tank fleet and any external floating roof tanks to determine if upgrades are needed. Developing a leak monitoring plan that satisfies the semiannual Method 21 requirements will also be key.
Area source requirements have been strengthened, with new emission limits and vapor control requirements:
Large Bulk Gasoline Terminals
Large bulk terminals must meet a 35 mg/L total organic carbon emission limit on the loading racks.
Vapor Balancing
Bulk gasoline plants that load gasoline cargo tanks with an actual throughput of 4,000 gallons per day or more must utilize vapor balancing. Vapor balancing systems route displaced vapors from the cargo tank back into the storage tank during loading (or vice versa), lowering emissions.
Cargo Tanks
The graduated vapor tightness certification from Subpart R also applies, depending on the cargo tank compartment size.
External Floating Roofs
Same fitting control requirements as Subpart R.
Equipment Leaks
Annual instrument monitoring using Method 21 for leak detection and repair.
Bulk terminal and plant operators should model their potential emissions to determine if vapor combustion units will be needed. Installing vapor balancing equipment, evaluating the cargo tank fleet condition, and establishing a leak monitoring program will also require planning - better to be early than late!
For new, modified, or reconstructed bulk gasoline terminals after June 10, 2022, the EPA has established NSPS Subpart XXa with the following key provisions:
Loading Racks
1 mg/L TOC limit for new loading racks, 10 mg/L for modified/reconstructed. Combustion or vapor recovery will likely be required.
Cargo Tanks
Same graduated vapor tightness certification as the NESHAP.
Equipment Leaks
Quarterly instrument monitoring using Method 21.
Facilities undergoing construction, modification, or reconstruction should design their emission controls to meet the new low-emission limits and account for the frequent leak monitoring.
With the effective date less than a year away, operators of gasoline distribution facilities should begin taking the following actions:
The compliance date may seem far off, but the significant operational changes at some facilities will require extensive planning. Beginning assessment activities now will be critical.
Staying ahead of changes like these is key to maintaining environmental compliance. Reach out if you need any assistance with interpreting the new rules or implementing your compliance plan activities.
Here are the compliance dates for the new EPA standards:
NESHAP Subpart R
NESHAP Subpart BBBBBB
NSPS Subpart XXa
Please note that these dates are based on the information available as of 2024 and may be subject to change. Always refer to the most recent guidelines from the EPA for the most accurate information.