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Controlling Air Pollution Under The Environmental Management Act

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Title: Controlling Air Pollution Under The Environmental Management Act


1
Controlling Air Pollution Under
TheEnvironmental Management Act Air Pollution
ENSC 412 March 18, 2009 Mellissa
Winfield-Lesk, M.Sc. Section Head, Environmental
Quality Environmental Protection Division, BC MOE
2
  • Environmental Management Act (2004)
  • MOE - Environmental Protection Division
  • Key legislation to achieve mandate of clean air,
    water and soil
  • Supported by
  • 35 Regulations, Codes of Practice, Policies
  • Site-specific authorizations
  • Approvals
  • permits

3
  • EPD Mandate
  • Prevent Pollution
  • Continuous improvement in Air, Land and Water
    Quality
  • Reduce greenhouse gas emissions
  • Environmental Stewardship

4
How does EMA work? EMA prescribes industries,
trades, businesses, operations, and activities
that require an authorization to discharge waste
to the receiving environment
5
  • What is a Waste?
  • Air contaminants
  • Litter
  • Effluent
  • Refuse
  • Biomedical waste
  • Hazardous waste

6
CN Rail Spill August 4-5, 2007
7
Bears at the landfill
8
Intercon PG Pulp
9
What is an Air Contaminant?
  • A substance emitted into the air that
  • Injures or is capable of injuring
  • human health safety
  • property, or any life form
  • Interferes or is capable of interfering with
    visibility or the normal conduct of business
  • Causes or is capable of causing physical
    discomfort to a person
  • Damages or is capable of damaging the environment

10
Proof of Concept
How do you demonstrate injury has occurred,
visibility impaired, or physical discomfort
experienced? - ambient guidelines - opacity -
nuisance
11
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12
Types of authorizations for waste discharges
General
Environmental Management Act
  • Waste Discharge Regulation

Regulations
  • Asphalt Plant Regulation

Codes of Practice
Codes of Practice
  • Concrete Concrete Products Industry

Site-Specific Authorizations
  • Permit
  • Approval
  • Order
  • Waste Management Plan

Specific
13
Regulations
  • Apply across the province to specified operations
    or wastes
  • Provide little flexibility for statutory decision
    makers to consider site-specific factors
  • Most suitable for a fairly uniform, simple
    operation or waste

14
Asphalt Plant Regulation
  • Amended June 2008 to include emission standards
    for Prince George
  • Limits for particulate decreased from 120 to 90
    mg/m3
  • Limits for organics decreased from 120 to 60
    mg/m3

15
Permits/Approvals
  • Authorizations issued regionally for waste
    discharges at discrete facilities
  • Approval short term authorization (15 months
    max.)
  • Permits long-term, expiry dates starting to be
    included
  • Provides flexibility to SDM to consider unique
    circumstances at a facility and local ambient
    conditions
  • Dispersion modeling required in Technical
    Assessment Report to evaluate impacts to
    sensitive receptors

16
  • Pacific BioEnergy PA 18312
  • Section 1 Authorized Discharges
  • One primary dryer 9 m3/s, 8119 hours/year
  • Discharge consists of exhaust gases from a
    woodfibre heated drum dryer including particulate
    matter, nitrogen oxides, sulphur oxides, volatile
    organic compounds and carbon monoxide
  • Maximum authorized discharge rate not to exceed a
    concentration of 390 mg/m3 total particulate
    matter and condensable organics

17
  • Pacific BioEnergy PA 18312
  • Section 1 Authorized Discharges Contd
  • Pollution control works consist of one high
    efficiency cylcone discharging to a 9.1 m stack
  • Discharge authorization for the dryer shall
    expire on December 31, 2010 unless a reasonable
    plan and firm timetable of implementation for
    improvements to further reduce permitted
    particulate matter discharges is submitted in
    writing and approved by the Director prior to
    December 31, 2010.

18
  • Pacific BioEnergy PA 18312
  • Section 2.4 Fugitive Dust Control
  • Section 3 Plant Production Restrictions (Phase
    I, II, and III)
  • Section 3.3 Air Quality Advisory Restrictions
  • Section 3.4 Environmental Management Plan
  • Section 4 Monitoring Reporting Requirements

19
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20
How do we track compliance?
  • Review stack testing and ambient monitoring data
    (if any), compare against permit limits or
    ambient guidelines
  • Inspections Audits (e.g. opacity, monitoring
    instruments, stack testing methodology)
  • Investigate complaints
  • Monitor ambient air quality

21
How is compliance enforced?
  • Conservation Officer Service (COS)
  • Progressive Enforcement Strategy
  • - Compliance history of the operation
  • - Nature of violation
  • - Impact of the violation on human health or the
    environment

22
Compliance Tools
  • Advisories letter notifying party they are not
    in compliance, request for non-compliance to be
    corrected
  • Warnings ticket for minor offences, letter same
    as above but with warning of escalated response
  • Formal Charges - Violation Ticket
  • - Form 2 Information, JP
  • Administrative penalties - suspension,
    restriction or cancellation of Ministry
    authorizations

23
Compliance Tools Contd
  • Directives
  • Pollution Prevention Order
  • Pollution Abatement Order
  • Information Order
  • Area-Based Management Order
  • Powers to
  • - Enter on property (not into a private
    residence)
  • - Examine and take away records
  • - Inspect vehicles

24
Offences Penalties
25
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26
What if all authorized waste discharges are in
compliance, but ambient air guidelines are being
exceeded?
27
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28
Section 6(4) .waste must not be introduced into
the environment in such a manner or quantity as
to cause pollution
29
Managing Cumulative Impacts
  • Voluntary Airshed Plans
  • stakeholder driven process to coordinate
    activities affecting air quality in a given
    airshed
  • recognizes local air quality is influenced by
    many sources
  • recognizes overlapping regulatory jurisdictions
  • Since no one jurisdiction controls all sources,
    a collaborative approach to air quality
    protection is needed

30
Prince George Air Improvement Roundtable (PG AIR)
  • Consensus-based, non-profit society
  • Multi-stakeholder group (21 seats)
  • Develop and implement PG Airshed Management Plan
  • - How do emission sources affect air quality and
    receptors?
  • - Airshed Management Plan (currently in Phase III)

31
Other instruments to address AQ issues
  • Emission fees (in combination with regulations)
  • Subsidies (e.g. Woodstove rebates)

32
What if a source is causing pollution, but there
is no provincial jurisdiction?
  • Examples
  • - Airports
  • - Rail
  • Commercial sources (restaurants)
  • Federal jurisdiction?
  • Municipal jurisdiction?

33
Questions?
34
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