HomeMy WebLinkAbout03.b.Presentation (Handout)March 19, 2024
ANNUAL
REGULATORY
UPDATE
Real Estate, Environmental and �°�'►'"
Planning Committee Meeting6!
`_
Lori Schectel
Environmental and Regulatory Compliance Division Manager
1
Significant
Regulatory Updates
IW
Contaminants of Emerging
Concern (CECs)
Wastewater
2
.�s
Item 03.b. (Handout)
Air -Related Updates
Clean Air Act Section 129 Sewage Sludge Incinerator Regulations
February 2023 Furnace 1 source test — all parameters passed
January 2024 Furnace 2 source test — awaiting results
One violation for Furnace 1 bypass event in 2023 _
r+
Title V Compliance
Three Reportable Compliance Activities in 2023
No Title V violations in 2023
Submitted Authority -to -Construct permit applications for the Solids
Handling Facility Improvements Project and Pumping Station
Improvements Project
Air -Related Updates
BAY AREA AIR QUALITY
MANAGEMENT DISTRICT
�Yco er��
S
2 •�
Q
o=
R�9/ vRO�F�
Bay Area Air Quality Management District's [BAAQMD) Rule 11-18: Reduction of
Risk from Air Toxic Emissions at Existing Facilities
BAAQMD is developing amendments to Rule 11-18 to address delay in conducting
health risk assessments
BAAQMD published revised lists for Phase 1 and Phase 2 facilities
Central San is ranked as Phase 2 medium priority
California Air Resources Board (CARB) Advanced Clean Fleets (ACF) Regulation
Assembly Bill 1594 — authorizes purchases of utility -specialized vehicles to maintain
reliable service and response to major natural events
California Association of Sanitary Agencies (CASA) working with CARB to develop
a list of wastewater utility -specialized vehicles
CARB planning to amend ACF Regulation in 2025
Public meeting scheduled for March 25, 2024
Initial annual report due April 1, 2024
Changes to fleet inventory must be reported to CARB within 30 days
��z BAY AREA AIR QUALITY
A—. MANAGEMENT DISTRICT
CALIFORNIA
AIR RESOI;RCES BOARD
2
03/18/24
Air -Related Updates
Criteria Pollutants & Toxics Reporting (CTR) and AB 2588 Air Toxics
"Hot Spots" Program
Requires annual emissions reporting for criteria pollutants and toxic air contaminants
to harmonize community air monitoring, reporting, and local emissions reduction
programs for stationary sources
"'AC A L I F O R N A
AB 2588 recently amended toxics air compound list has more than 1,700 compounds
AIR RESOURCES BOARD
Many compounds have unknown toxicity levels and emission factors and are
irrelevant to wastewater treatment plants
Statewide Two -Step Process Phased Compliance
Allows wastewater treatment plants (WWTPs) to report business -as -usual
through 2028
CASA coordinating with CARB on a "two-step process" to determine the
relevant shortlist of compounds
for
rgC�XSA
Participation is required all WWTPs
Financial contribution expected FY 2025-2026
*M11,
CEC-Related Updates
SB 212: Pharmaceutical and Sharps Take -Back
Requires manufacturers of pharmaceutical drugs
and sharps to establish, fund, and manage a
statewide take -back system for medications and
sharps
Began July 2022
Local pharmaceutical collection managed by MED-
P roj ect
Sharps managed by MED-Project and others
Currently, Central San maintains four sites
>40 collection sites total in the service area
Stewardship Program Implementation
Timeline°
6 months
Stewardship Plan 90 days
270 days
Develoment Review Period
Implementation Phase
effedwns Pmgram.pesat.r
[nlperydeplan-Programoperatw
Stewardship
eRM Ne submnsstewanhhlp
1/]l3021 plan to cal Neryde
approval by
101572021
submhs firstannoal
reportb GlRegde
p1-,.,dy
Implemented
7l7R021
3/3112022
7/2/2022
Program opermar
Covered enenes vblxtro
Glperydeta
5u6mnsstewmdshlp
penal[ie511 tavesed product
pore first 0n
phn to Boallof WlResvck
is notsubjxttoan approved
ofcamoent
FIN.—yucl.1her completeness
review stewardship plan
emltis
.ppllrahleagende 8(6I1021
1 117/2022
6130/2022
"lhe.rmwsl �lrcmsUeabviryfermrnre mnweepe.sagenmeaumenaramar as vnaim,gtmvlswplmmrM1epmpr.rieper-
elo/spare submntal to cal6KYde. pmmtkl phn rtfUbm W , aA sue time a mavmwln QlRmk m-Ir wlM.mersraleagmdes.
3
CEC-Related Updates - PFAS
FEDERAL
Proposed hazardous substance designation under CERCLA
Water Systems PFAS Liability Protection Act— proposed exemption for POTWs
Toxic Substance Control Act (TSCA)
Rule finalized for reporting and record -keeping
EPA Effluent Limitation Guidelines (EPA ELG Plan 15)
Proposed study to investigate industrial discharges of PFAS to POTWs
Two New Analytical Methods Finalized in January 2024
Method 1633 — 40 PFAS compounds (can be used for NPDES permits)
Method 1621— Adsorbable Organic Fluorine
STATE
The State Water Resource Control Board's (SWRCB) July 2020 Statewide Per -and
Polyfluoroalkyl Substances (PFAS) Investigative Order
Bay Area Clean Water Agencies (BACWA) Region 2 PFAS Study
SB903 — Proposed phase out of sale and use of products containing avoidable PFAS
CEC-Related Updates -
Assembly Bill 1628 - Microfiber Filtration
GEPA
Microplastics
Microfiber filtration on new washing machines by 2029
Vetoed on October 8, 2023
Senate Bill 1263 — Statewide Microplastics Strategy (2018)
Multi -year road map
2-Track approach to comprehensively manage microplastics
Central San's Contributions to SB 1263
2021 sampling training video for CASA and the Ocean Protection
Council (OPC)
2022-2023 Central San performed a removal study across the
treatment process, with the final report expected in Spring 2024
Revised Draft 2024 California Integrated Report
• i-
M
National Pollutant Discharge
Elimination System
(NPDES)-Related Updates
NPDES Treatment Plant Discharge Permit
NACWA Peak Performance — 26 years
Current permit expires July 31, 2027
Mercury & PCBs Watershed Permit
New permit effective February 1, 2023
No changes to limits
Reduction of sampling frequencies
0
WDES-Related Updates
State Toxicity Provisions - Test of Significant Toxicity (TST) —
Effective June 1, 2023
EPA and Office of Administrative Law (OAL) signed provisions in May
2023
Transitional language in Region 2 permits started in late 2022
Central San plans to perform the Sensitive Species Screening in
2024/2025
San Francisco Bay Nutrient Watershed Permit (NWP)
Adoption of 3r1 Permit planned for June 2024
Tentative effective date August 1, 2024
Interim limits for 10 years — compliance based on individual loading
Final limit starting in 2034 — compliance based on bay wide
aggregate load limit
10
5
Laboratory Accreditation
Update - The NELAC Institute (TNI)
Timeline
SWRCB adopted new Lab Accreditation
standard 'TNI minus 2', effective January
2021
By December 31, 2023 - comply with
interim Accreditation standard
After January 1, 2024 - comply fully with
'TNI minus 2 Accreditation standard
What is New
Assessments and annual internal audits
Proficiency testing requirements
Personnel requirements
Document management
11
12
Central San's Milestones
Successful third -party
assessment to TNI minus 2
standard in 2023
As of November 2023,
Central San Lab has been
fully TNI compliant
M.