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Fracking Air Pollution EPA Monitoring

Fracking Air Pollution EPA Monitoring

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EPA realizes that it is not able to adequately monitor fracking air pollution
EPA realizes that it is not able to adequately monitor fracking air pollution

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Published by: James "Chip" Northrup on Feb 22, 2013
Copyright:Attribution Non-commercial


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EPA Needs to ImproveAir Emissions Data for theOil and Natural GasProduction Sector 
Report No. 13-P-0161 February 20, 2013
Scan this mobilecode to learn moreabout the EPA OIG.
Report Contributors:
Rick BeusseChris DunlapKevin GoodErica HauckRenee McGhee-Lenart Julie Narimatsu
AERRCAACFRAir Emissions Reporting RequirementsClean Air ActCode of Federal RegulationsEIA U.S. Department of Energy’s Energy Information AdministrationEPA U.S. Environmental Protection AgencyERT Electronic reporting toolFTE Full-time equivalentFY Fiscal yearGAO U.S. Government Accountability OfficeGHG Greenhouse gasHAP Hazardous Air PollutantsNAAQS National Ambient Air Quality StandardsNATA National Air Toxics AssessmentNEI National Emissions InventoryNESHAP National Emissions Standards for Hazardous Air PollutantsNOx Nitrogen oxidesNSPS New Source Performance StandardsOAP Office of Atmospheric ProgramsOAQPS Office of Air Quality Planning and StandardsOAR Office of Air and RadiationOIG Office of Inspector GeneralORD Office of Research and DevelopmentPM
Fine particulate matterPM
Inhalable coarse particulate matterSIP State implementation planVOC Volatile organic compoundsWebFIRE Web Factor and Information Retrieval System
Cover photo
natural gas production facility next to a playground and housingdevelopment. (EPA photo)
To report fraud, waste, or abuse, contact us through one of the following methods:e-mail:
EPA Inspector General Hotline
1-888-546-8740202-566-25991200 Pennsylvania Avenue, NWMailcode 2431T
U.S. Environmental Protection Agency
13-P-0161February 20, 2013
Office of Inspector General
At a Glance
Why We Did This Review
We initiated this review todetermine whether the U.S.Environmental ProtectionAgency (EPA) has the dataneeded to make key decisionsregarding air emissions fromoil and natural gas production.Key decisions include theneed for regulations,enforcement and permittingdecisions, and riskassessment, among others.Gas production in the UnitedStates has grown significantlyin recent years. Between 1992and 2010, about 210,000 newgas wells were drilled. TheU.S. Department of Energyprojects that onshore crude oiland natural gas production willincrease 30 and 18 percent,respectively, from 2009 to2025. The oil and gasproduction sector and itsvarious production processesemit large amounts of harmfulpollutants that impact airquality on local, regional, andglobal levels.
This report addresses thefollowing EPA Goal or Cross-Cutting Strategy:
Taking action on climatechange and improving air quality.
For further information,contact our Office of Congressional and PublicAffairs at (202) 566-2391.The full report is at:www.epa.gov/oig/reports/2013/
EPA Needs to Improve Air Emissions Data for the Oil and Natural Gas Production Sector 
What We Found
High levels of growth in the oil and natural gas (gas) production sector, coupled withharmful pollutants emitted, have underscored the need for EPA to gain a betterunderstanding of emissions and potential risks from the production of oil and gas.However, EPA has limited directly-measured air emissions data for air toxics andcriteria pollutants for several important oil and gas production processes andsources, including well completions and evaporative ponds. Also, EPA does nothave a comprehensive strategy for improving air emissions data for the oil and gasproduction sector; the Agency did not anticipate the tremendous growth of thesector, and previously only allocated limited resources to the issue.In addition to their use in making a variety of key decisions, EPA uses air emissionsdata to develop emission factors. These are representative values that relate thequantity of a pollutant released with an activity associated with its release. Statesuse EPA’s emission factors to develop emission inventories, issue permits forfacilities, and take enforcement actions. Limitations in EPA’s air emissions data for anumber of oil and gas production pollutants have contributed to emission factors of questionable quality. About half of EPA’s Web Factor and Information RetrievalSystem oil and gas production emission factors are rated below average or unratedbecause they are based on insufficient or low quality data.EPA uses its National Emissions Inventory (NEI) to assess risks, track trends, andanalyze envisioned regulatory controls. However, oil and gas production emissionsdata in the 2008 NEI are incomplete for a number of key air pollutants. For example,only nine states submitted criteria pollutant emissions data for small stationarysources. Because so few states submitted data for this sector, we believe the NEIlikely underestimates oil and gas emissions. This hampers EPA’s ability toaccurately assess risks and air quality impacts from oil and gas production activities.
Recommendations and Planned Agency Corrective Actions
We recommend that EPA develop and implement a comprehensive strategy forimproving air emissions data for the oil and gas production sector, prioritize which oiland gas production emission factors need to be improved, develop additionalemission factors as appropriate, and ensure the NEI data for this industry sector arecomplete. EPA concurred with our recommendations to develop a comprehensivestrategy, improve and prioritize emission factors, and develop default nonpointemission estimates. The Agency did not concur with our recommendations to ensurethat states submit required data and develop default calculation guidance. Theserecommendations are unresolved pending the Agency’s final report response.
Noteworthy Achievements
EPA is conducting field studies to develop new methods to measure emissions andinvesting in a new Emissions Inventory System.

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