Smc Air Regulator

SMC AR30 03M AR3003M w 2pcs AF30 03D 8 AF3003D8 Air Regulator
SMC AR30 03M AR3003M w 2pcs AF30 03D 8 AF3003D8 Air Regulator
Paypal   US $199.00
SMC Air Pneumatic Lock Out Valve Filters and Regulator
SMC Air Pneumatic Lock Out Valve Filters and Regulator
Paypal   US $179.99
SMC AIR FILTER REGULATOR 965
SMC AIR FILTER REGULATOR 965
Paypal   US $159.00
1 NEW SMC AW2000 02BG1 AIR FILTER W REGULATOR NNB
1 NEW SMC AW2000 02BG1 AIR FILTER W REGULATOR NNB
Paypal   US $129.99
SMC Clean Room Air Regulator AR2500 02BG9 1N  VZ500
SMC Clean Room Air Regulator AR2500 02BG9 1N VZ500
Paypal   US $107.10
SMC NAF3000 N03AIR REGULATORLUBRICATOR AND SOFT START UP VALVE MOD AV30001684
SMC NAF3000 N03AIR REGULATORLUBRICATOR AND SOFT START UP VALVE MOD AV30001684
Paypal   US $99.00
SMC Air Regulator System
SMC Air Regulator System
Paypal   US $94.50
3 SMC AIR REGULATOR EAR410 Relieving 05 85bar
3 SMC AIR REGULATOR EAR410 Relieving 05 85bar
Paypal   US $90.00
New SMC Air Regulator EAR425 F02 EAR 425 F02 0 85bar
New SMC Air Regulator EAR425 F02 EAR 425 F02 0 85bar
Paypal   US $89.00
SMC AC40B 04D AIR FILTER REGULATOR TYPE NEW
SMC AC40B 04D AIR FILTER REGULATOR TYPE NEW
Paypal   US $82.72
SMC AR2500 02 AIR REGULATOR
SMC AR2500 02 AIR REGULATOR
Paypal   US $78.88
SMC Clean Air Regulator  Separator AWD4000 AME250 03B E74
SMC Clean Air Regulator Separator AWD4000 AME250 03B E74
Paypal   US $76.50
SMC NAV2000 N02 5G AIR PRESS REGULATOR w SMC NAR2000 N02
SMC NAV2000 N02 5G AIR PRESS REGULATOR w SMC NAR2000 N02
Paypal   US $70.00
SMC AR3000 02 AIR REGULATOR
SMC AR3000 02 AIR REGULATOR
Paypal   US $68.88
1 NEW SMC AR360N02G AIR REGULATOR Q3 2
1 NEW SMC AR360N02G AIR REGULATOR Q3 2
Paypal   US $59.99
SMC Precision Air Regulator IR201  SMC Air Filter AF2000 Very Nice
SMC Precision Air Regulator IR201 SMC Air Filter AF2000 Very Nice
Paypal   US $58.50
SMC IR3020 N04G PRECISION AIR REGULATOR IR3020 NO4G
SMC IR3020 N04G PRECISION AIR REGULATOR IR3020 NO4G
Paypal   US $55.00
SMC IR1020 01B X1 Presision Air Pressure Regulator 10 MPa 001 04 MPa
SMC IR1020 01B X1 Presision Air Pressure Regulator 10 MPa 001 04 MPa
Paypal   US $50.00
SMC IR1020 01BG Presision Air Pressure Regulator 10 MPa 001 08 MPa w Gauge
SMC IR1020 01BG Presision Air Pressure Regulator 10 MPa 001 08 MPa w Gauge
Paypal   US $50.00
SMC AR4000 AIR REGULATOR WITH AFD4000 AIR FILTER 2x
SMC AR4000 AIR REGULATOR WITH AFD4000 AIR FILTER 2x
Paypal   US $49.99
SMC Pneumatics Filter Regulator NAW300 N03BG 7 120PSI Modular Air Components
SMC Pneumatics Filter Regulator NAW300 N03BG 7 120PSI Modular Air Components
Paypal   US $49.87
SMC Precision Air Regulator IR201 Very Clean Very Nice
SMC Precision Air Regulator IR201 Very Clean Very Nice
Paypal   US $49.50
SMC NAR 2000 N02 AIR REGULATOR W 160 PSI GAUGE NEW 2000 N02
SMC NAR 2000 N02 AIR REGULATOR W 160 PSI GAUGE NEW 2000 N02
Paypal   US $39.99
SMC Air Regulator AWM40 03BG with Gauge 0 1 Mpa
SMC Air Regulator AWM40 03BG with Gauge 0 1 Mpa
Paypal   US $39.99
2 NEW SMC AR20 N01EH Z Air Pressure Regulator 1 8NPT w Embedded 150PSI Gauge
2 NEW SMC AR20 N01EH Z Air Pressure Regulator 1 8NPT w Embedded 150PSI Gauge
Paypal   US $39.99
NICE SMC NAW4000 N06 PNEUMATIC AIR REGULATOR
NICE SMC NAW4000 N06 PNEUMATIC AIR REGULATOR
Paypal   US $39.99
LOOK SMC PNEUMATIC AIR EIR402 PRECISION REGULATOR
LOOK SMC PNEUMATIC AIR EIR402 PRECISION REGULATOR
Paypal   US $39.99
SMC PNEUMATIC 150 PSI MAX AIR LINE FILTER REGULATOR 200F755N
SMC PNEUMATIC 150 PSI MAX AIR LINE FILTER REGULATOR 200F755N
Paypal   US $39.50
SMC AIR REGULATOR AR400 NON RELIEVING 3 4 PORTS
SMC AIR REGULATOR AR400 NON RELIEVING 3 4 PORTS
Paypal   US $35.00
SMC NAR 2000 N02BG AIR REGULATOR W GAUGE NEW 2000 N02BG
SMC NAR 2000 N02BG AIR REGULATOR W GAUGE NEW 2000 N02BG
Paypal   US $34.99
SMC AR20 N02 Z Air Regulator NEW
SMC AR20 N02 Z Air Regulator NEW
Paypal   US $30.00
SMC NAR2500 N02 1 PNEUMATIC AIR REGULATOR
SMC NAR2500 N02 1 PNEUMATIC AIR REGULATOR
Paypal   US $30.00
SMC AR20 F02BE AIR REGULATORS
SMC AR20 F02BE AIR REGULATORS
   US $30.00
SMC NAR2500 N02 1 PNEUMATIC AIR REGULATOR W PRESSURE GAUGE USED
SMC NAR2500 N02 1 PNEUMATIC AIR REGULATOR W PRESSURE GAUGE USED
Paypal   US $30.00
SMC ARB210 00 P REGULATOR WITH AIR GAUGE USED
SMC ARB210 00 P REGULATOR WITH AIR GAUGE USED
Paypal   US $29.99
SMC Air Pressure Regulator AWM 4000 03BCG with Gauge
SMC Air Pressure Regulator AWM 4000 03BCG with Gauge
Paypal   US $29.99
Wilkerson R18 02 F0G0 Filter Air Regulator SMC FRL
Wilkerson R18 02 F0G0 Filter Air Regulator SMC FRL
Paypal   US $29.99
Fujikura RS Series Super Precision Air Regulator Pneumatic Gauge Pressure SMC
Fujikura RS Series Super Precision Air Regulator Pneumatic Gauge Pressure SMC
Paypal   US $29.99
Lot 2pcs SMC AW2000 02 C AW200002C Air Filter Regulator
Lot 2pcs SMC AW2000 02 C AW200002C Air Filter Regulator
Paypal   US $29.00
SMC AIR NON RELIEVING REGULATOR W GAUGE AR400
SMC AIR NON RELIEVING REGULATOR W GAUGE AR400
Paypal   US $25.00
SMC AR20 01B Presision Set Air Pressure Regulator 005 085 MPa with Gauge
SMC AR20 01B Presision Set Air Pressure Regulator 005 085 MPa with Gauge
Paypal   US $25.00
SMC Air Regulator NAR2500 N02 NEW
SMC Air Regulator NAR2500 N02 NEW
Paypal   US $25.00
SMC AIR RELIEF REGULATOR MODEL AR400 3 8 PORT
SMC AIR RELIEF REGULATOR MODEL AR400 3 8 PORT
Paypal   US $25.00
SMC AIR PRESSURE RELIEF REGULATOR 5 7KG 7 100PSIG
SMC AIR PRESSURE RELIEF REGULATOR 5 7KG 7 100PSIG
Paypal   US $25.00
2 Schrader Bellows Parker Pressure Air Regulator SMC
2 Schrader Bellows Parker Pressure Air Regulator SMC
Paypal   US $24.99
NEW SMC AR25K N02H Z Air Pressure Regulator 1 4NPT Modular Pneumatic NO GAUGE
NEW SMC AR25K N02H Z Air Pressure Regulator 1 4NPT Modular Pneumatic NO GAUGE
Paypal   US $24.99
SMC NAR1000 M5 Air Flow Regulator Gauge and Bracket 0 150 psi
SMC NAR1000 M5 Air Flow Regulator Gauge and Bracket 0 150 psi
Paypal   US $24.99
Festo LR D 7 MINI Precision Machine Air Pressure Regulator Gauge Rexroth SMC
Festo LR D 7 MINI Precision Machine Air Pressure Regulator Gauge Rexroth SMC
Paypal   US $24.99
Festo LR D 7 MINI Precision Machine Air Pressure Regulator Gauge Rexroth SMC
Festo LR D 7 MINI Precision Machine Air Pressure Regulator Gauge Rexroth SMC
Paypal   US $24.99
SMC Type 150PSI Air Pneumatic Filter Regulator Pressure Meter Gauge Combo Unit
SMC Type 150PSI Air Pneumatic Filter Regulator Pressure Meter Gauge Combo Unit
Paypal   US $21.90
SMC AR20 01B Presision Set Air Pressure Pneumatic Regulator 005 085 MPa
SMC AR20 01B Presision Set Air Pressure Pneumatic Regulator 005 085 MPa
Paypal   US $20.00
SMC Pressure Regulator Gauge PSI Air Relieving Relief
SMC Pressure Regulator Gauge PSI Air Relieving Relief
Paypal   US $19.99
Arrow Pressure Regulator Gauge R161 60 PSI CU Air SMC
Arrow Pressure Regulator Gauge R161 60 PSI CU Air SMC
Paypal   US $19.99
SMC Air Regulator AWD30 02BG with Gauge 0 1 Mpa
SMC Air Regulator AWD30 02BG with Gauge 0 1 Mpa
Paypal   US $19.99
SMC Air Pressure Regulator with Gauge AR20 01BG with bracket
SMC Air Pressure Regulator with Gauge AR20 01BG with bracket
Paypal   US $19.99
SMC Pressure Air Regulator AR20K 01 AR10 1 4 NPT Ports
SMC Pressure Air Regulator AR20K 01 AR10 1 4 NPT Ports
Paypal   US $19.99
EAR625 SMC AIR REGULATOR VALVE RELIEVING PRESSURE 1
EAR625 SMC AIR REGULATOR VALVE RELIEVING PRESSURE 1
Paypal   US $19.99
SMC AR30K F02BE MODULAR AIR REGULATOR W CHECK VALVE NEW
SMC AR30K F02BE MODULAR AIR REGULATOR W CHECK VALVE NEW
Paypal   US $19.99
SMC Air Pressure Regulator AR2060 02BG with Gauge with bracket
SMC Air Pressure Regulator AR2060 02BG with Gauge with bracket
Paypal   US $19.99
SMC Clean Room Exhaust Cleaner AMP220 N03B RT Filter Regulator Air Manifold
SMC Clean Room Exhaust Cleaner AMP220 N03B RT Filter Regulator Air Manifold
Paypal   US $19.99
SMC NAR4000 Air Pressure Regulator 7N120PSI
SMC NAR4000 Air Pressure Regulator 7N120PSI
Paypal   US $19.95
new 3 8 npt SMC AR30K F03 Regulator regulating air control valve
new 3 8 npt SMC AR30K F03 Regulator regulating air control valve
Paypal   US $19.00
SMC AR1000 M5BG AR1000M5BG Pneumatic Air Regulator
SMC AR1000 M5BG AR1000M5BG Pneumatic Air Regulator
Paypal   US $19.00
SMC PRECISION AIR PRESSURE REGULATOR WITH GAUGE AR20 01B
SMC PRECISION AIR PRESSURE REGULATOR WITH GAUGE AR20 01B
Paypal   US $18.99
SMC NAR2000 NO2 AIR REGULATOR 05 85 MPA W MOUNT
SMC NAR2000 NO2 AIR REGULATOR 05 85 MPA W MOUNT
Paypal   US $18.00
SMC PRESISION AIR PRESSURE REGULATOR AR20 01B
SMC PRESISION AIR PRESSURE REGULATOR AR20 01B
Paypal   US $17.99
SMC Pneumatics NAR3000 Air Line Pressure Regulator
SMC Pneumatics NAR3000 Air Line Pressure Regulator
Paypal   US $15.95
UP TO 2 NEW SMC AIR REGULATORS AR20 F02 FREE SHIPPING
UP TO 2 NEW SMC AIR REGULATORS AR20 F02 FREE SHIPPING
Paypal   US $15.90
SMC NAR1000 Air Flow Regulator Bracket Pneumatic Compressed Air
SMC NAR1000 Air Flow Regulator Bracket Pneumatic Compressed Air
Paypal   US $14.99
SMC NAR1000 Air Flow Regulator Pneumatic Compressed Air Pneumatic 
SMC NAR1000 Air Flow Regulator Pneumatic Compressed Air Pneumatic 
Paypal   US $14.99
NEW SMC NAR2000 N02 05 85MPa Air Pressure Regulator w 160PSI Gauge 1 8NPT
NEW SMC NAR2000 N02 05 85MPa Air Pressure Regulator w 160PSI Gauge 1 8NPT
Paypal   US $14.99
NEW SMC NAR2000 7 120PSI Air Pressure Regulator w 160PSI Gauge 1 8NPT Pneumatic
NEW SMC NAR2000 7 120PSI Air Pressure Regulator w 160PSI Gauge 1 8NPT Pneumatic
Paypal   US $14.99
SMC EIR201 PRECISION AIR PNEUMATIC REGULATOR
SMC EIR201 PRECISION AIR PNEUMATIC REGULATOR
Paypal   US $14.99
SMC Air Regulator Model NAR3000 w Pressure Gauge
SMC Air Regulator Model NAR3000 w Pressure Gauge
Paypal   US $14.95
SMC SPOOL NEEDLE VALVE SLEEVE PNEUMATIC AIR BOOSTER REGULATOR VBA4 Y 21 3 VBA
SMC SPOOL NEEDLE VALVE SLEEVE PNEUMATIC AIR BOOSTER REGULATOR VBA4 Y 21 3 VBA
Paypal   US $14.57
SMC AIR REGULATOR AR425
SMC AIR REGULATOR AR425
Paypal   US $14.00
SMC AIR REGULATOR AR111
SMC AIR REGULATOR AR111
Paypal   US $14.00
SMC ARJ210 M5 Miniature Air Regulator Cylinders Valves Etc 30 100 PSI
SMC ARJ210 M5 Miniature Air Regulator Cylinders Valves Etc 30 100 PSI
Paypal   US $12.00
SMC NAR2000 N02 1 AIR REGULATOR 3 30 PSI SMC NAR2000N02
SMC NAR2000 N02 1 AIR REGULATOR 3 30 PSI SMC NAR2000N02
Paypal   US $11.00
SMC AIR REGULATOR NAR111
SMC AIR REGULATOR NAR111
Paypal   US $10.00
SMC Air Regulator NARM2500 A NO2
SMC Air Regulator NARM2500 A NO2
Paypal   US $10.00
SMC AR20 F01 1 8 G 05 85 MPA AIR LINE REGULATOR
SMC AR20 F01 1 8 G 05 85 MPA AIR LINE REGULATOR
Paypal   US $9.99
SMC NAR2000 N02 1 AIR REGULATOR 2401
SMC NAR2000 N02 1 AIR REGULATOR 2401
Paypal   US $9.99
SMC NAR1000 M5 Miniature Air Regulator Cylinders Valves etc
SMC NAR1000 M5 Miniature Air Regulator Cylinders Valves etc
Paypal   US $9.50
10107 NEW SMC AQ1510 Air Regulator Valve
10107 NEW SMC AQ1510 Air Regulator Valve
Paypal   US $8.40
SMC Pneumatics 80 AR2000 02 Air Line Regulator   NEW
SMC Pneumatics 80 AR2000 02 Air Line Regulator NEW
Paypal   US $8.00
NEW SMC Air Regulator AR30 N03G Z X40 6 X33US40 80
NEW SMC Air Regulator AR30 N03G Z X40 6 X33US40 80
Paypal   US $7.50

Acid Rain Program

History

Title IV of the 1990 Clean Air Act established the allowance market system known today as the Acid Rain Program. Initially targeting only sulfur dioxide, Title IV set a decreasing cap on total SO2 emissions for each of the following several years, aiming to reduce overall emissions to 50% of 1980 levels. The program did not begin immediately, but was implemented in two stages: Phase I (starting January 1, 1995) and Phase II (starting January 1, 2000).

The Clean Air Act Amendments of 1990 set as its primary goal the reduction of annual SO2 emissions by 10 million tons below 1980 levels of about 18.9 million tons. To achieve these reductions by 2000, when a nationwide sulfur dioxide emissions cap of 8.95 million tons per year began, the law required a two phase tightening of operating restrictions placed on fossil fuel fired (e.g., coal, oil, natural gas) power plants. The operation and pricing of a market for emissions allowances would not be viable in the absence of an effective regulatory cap on the total number of allowances available.

Scope of Phase I requirements

In Phase I, half the total reductions were required by January 1, 1995, largely by requiring 110 electric power generating plants (261 units in 21 states) to cut sulfur dioxide emission rates to 2.5 lbs/million British thermal units (mmBtu). Each of these generating units was identified by name and location, and a quantity of emissions allowances were specified in the statute in tons of allowable SO2 emissions per year.

For comparison, new generating units built since 1978 were required to limit sulfur dioxide to a "lowest achievable emissions rate" of about 0.6 lbs/mmBtu. Coal with 1.25% sulfur and 10,000 Btu/lb produces sulfur dioxide emissions of 2.5 lbs/mmBtu, with lower emissions produced by either lower sulfur content or higher Btu content.

As an incentive for reducing emissions, for each ton of sulfur dioxide reduced below the applicable emissions limit, owners of a generating unit received an emissions allowance they could use at another unit, keep for future use, or sell. This legitimized a market for sulfur dioxide emissions allowances, administered by the Chicago Board of Trade. Units that installed flue gas desulfurization equipment (e.g., scrubbers) or other "qualifying Phase I technology" which reduced sulfur dioxide emissions by 90%, qualified for a two-year extension of the 1995 deadline, provided they owned allowances to cover their total actual emissions for each year of the extension period.

Scope of Phase II requirements

In Phase II, all fossil-fired units over 75 MWe were required to limit emissions of sulfur dioxide to 1.2 lbs/mmBtu by January 1, 2000. Thereafter, they were required to obtain an emissions allowance for each ton of sulfur dioxide emitted, subject to a mandatory fine of $2,000.00 for each ton emitted in excess of allowances held. The U.S. Environmental Protection Agency (EPA) distributes allowances equivalent to 8.95 million tons each year (the emissions cap), based on calculations of historical Btu usage for each unit, and may allocate various small "bonus reserves" of allowances.

Nitrogen oxide reduction

The 1990 Amendments also required reductions in nitrogen oxide (NOx) emissions at Phase I units. The key factors in NOx formation are flame temperature and oxygen levels present for combustion. Installation of low-NOx burner retrofits are the most common means of compliance, generally reducing emissions from uncontrolled levels by up to 50%. Many utilities complied with requirements by installing stack-gas scrubbers and low-NOx burners at the same time. Low-NOx burner technology was readily available, and considerably less expensive than installation of scrubbers, so control of NOx was considered less demanding by most electric utilities.

Compliance strategies

The innovative, market based SO2 allowance trading component of the Acid Rain Program allowed utilities to adopt the most cost effective strategy to reduce SO2 emissions. Every Acid Rain Program operating permit outlines specific requirements and compliance options chosen by each source. Affected utilities also were required to install systems that continuously monitor emissions of SO2, NOx, and other related pollutants in order to track progress, ensure compliance, and provide credibility to the trading component of the program. Monitoring data is transmitted to EPA daily via telecommunications systems.

Strategies for compliance with air quality controls have been major components of electric utility planning and operations since the mid-1970s, affecting choice of fuels, technologies and locations for construction of new generating capacity. Utility strategies for compliance with new sulfur dioxide standards included a mix of options with varying financial costs:

several existing and new stack-gas scrubbing and clean coal technologies;

switching to all, or blending high-sulfur coal with, some low-sulfur coal;

switching to all natural gas, or cofiring coal and natural gas;

"trimming," or reducing annual hours of plant utilization;

retiring old units;

repowering existing units with new coal or non-coal boilers;

purchasing or transferring emissions allowances from other units;

increasing demand-side management and conservation; or

bulk power purchases from other utilities or non-utility generators from units using coal or other fuels.

Some coal cleaning may occur in combination with other actions such as scrubbing, or blending coals with varying sulfur content, but utilities generally prefer that coal suppliers bear the costs of cleaning operations. Some observers estimated 20% - 30% of the sulfur can be removed through coal cleaning or blending, and 50% - 70% taken out with emissions control equipment.

For Phase II compliance the options were numerous, but for Phase I they were constrained by the time available to implement a decision. Because it takes 35 years to design and build a scrubber at an existing coal-fired unit, and longer to repower or build a new facility (e.g., 611 years for coal, 1014 years for nuclear units), electric utility decision options for Phase I plants were limited to scrubbing, switching fuels, purchasing or transferring emissions allowances to allow continued use of high-sulfur coal, retiring units, or trimming unit utilization and substituting capacity from another source.

Delays in allocating "early scrub" bonus credits and scheduling of the first auction of emissions allowances in March 1993 effectively removed these incentives from actual compliance decision making of most electric utilities. Because of the time it takes to build air pollution control equipment, financial and contractual commitments to scrubbers had to be made by summer 1992 if plant modifications were to be operational in time to meet new standards in 1995. Thus, decisions had to be made before price and allocation of emissions allowances were known. Consequently, most scrubber projects to meet the 1995 deadline were well under way by fall of 1992.

Windfalls

Of the 261 units at 110 plant locations affected by Phase I emission limitations, five were oil-fired, five coal-fired units were retired, and one coal-fired unit was placed on cold standby status prior to passage of the legislation in 1990. The 6 inactive coal-fired units were statutory recipients of a total of 36,020 tons of Phase I sulfur dioxide emissions allowances.

This marketable windfall was estimated by the U.S. Department of Energy (DOE) in 1991 to be worth $665 to $736 per ton, totaling $23.9 to $26.5 million. However, actual purchases of emissions allowances in 1992 were reported at a lower price than expected of $300 per ton. Allowances auctioned in March 1993 sold for $122 to $450 per ton, reducing the windfall from these allowances to $4.4 to $16.2 million. In the interim, owners of one unit retired in 1985, the 119 MWe Des Moines Energy Center, received $93 million in DOE funding for a Clean Coal Technology project to repower with a coal-fired 70 MWe pressurized fluidized-bed combustion unit, bringing it back into production in 1996.

Location of generating units

Excluding those 11 units, 250 active coal-fired units at 105 plants in 21 states were subject to Phase I sulfur dioxide emissions reductions in 1995. States having the greatest number of generating units affected by the Phase I requirements were: Ohio (40), Indiana (37), Pennsylvania (21), Georgia (19), Tennessee (19), Kentucky (17), Illinois (17), Missouri (16) and West Virginia (14). Together, Phase I units represented 20% of the 1,250 operable coal-fired generating units in the U.S. in 1990.

These 250 units had a summer peak generating capability of 79,162 MWe in 1990, with a mean of 317 MWe/unit. This capacity represented about 27% of installed summer coal-fired capability, and about 11.5% of total U.S. installed summer generating capability in 1990. About 207 million tons, almost 90% of the coal purchased by Phase I plants in 1990, produced sulfur dioxide emissions exceeding the 1995 emissions rate of 2.5 lbs/mm Btu using no pollution control equipment.

Age matters

Age of the 250 Phase I coal units ranged from 17 to 46 years when the standards took effect, with a mean of 34 years. In 1995, 111 active Phase I units (23%) were 35 years of age or older, and only 8 (6%) were less than 20 years old. The average age of 35 coal-fired units retired during 1988-1991 was 44.6 years, with a range of 1474 years. These units ranged in size from 1-107 MWe summer capability. Several had been on standby (e.g., available for use during regularly scheduled outages of other units for maintenance) for many years prior to retirement. About half (often the older units) were designed to "cofire" with natural gas or fuel oil, and could be operated using these fuels instead of coal if desired.

Both the number and average age of coal-fired units retired increased substantially from 1988 to 1991, indicating utilities were removing very old units from available status that they no longer expected to use, thereby avoiding maintenance costs necessary to keep them on standby. For comparison, the 6 Phase I coal units retired before 1990 ranged in age from 2135 years when taken out of service, with a mean of 31 years.

Age of these units was significant for several reasons. All of the Phase I units were either built or under construction when the Clean Air Act of 1977 was enacted, and all but eight were built or under construction when the 1970 Act was enacted. Consequently, these units were built when labor costs were significantly less than in the 1990s, and they avoided major investments in pollution control equipment. In the 1990s, these units were often among the least expensive of any operated by their respective owners, in terms of cost per megawatt-hour of energy produced. Compared to other plants on a utility company system, these units provided incentives for their owners to maximize operating time, minimize downtime for repairs or retrofit, and minimize further capital investments in them.

Because capital in such plants is typically amortized over 2030 years, investments in most of them were fully recovered by 1995. Justifying large additional capital investments in plants which may have a remaining useful life of 10 years or less, absent reconstruction of boilers, is often difficult. Further, because large coal-fired generating units tend to reach peak operating and combustion efficiencies during the first three years of operation, declining incrementally thereafter throughout their lifetimes, these old plants were among the dirtiest sources of air pollution in the electric utility industry. They were able to operate for many years without substantially reducing emissions, when other plants were required to install "best available" air pollution control equipment pursuant to the Clean Air Act Amendments of 1977.

Uncertainties

Uncertainties confronting electric utilities when planning compliance strategies were substantial. These included the future price and availability of fuels; the value of emissions allowances and operation of markets for them; the manner in which state public utility commissions and the Internal Revenue Service would allocate the costs of scrubbing or switching fuels and the value of emissions allowances; accounting guidelines, revisions to interstate bulk power sales contracts, and possible intervention by the Federal Energy Regulatory Commission in interstate transfers of emissions allowances by multi-state holding companies. Changes in the competitiveness of various generating and pollution control technologies; a myriad of new rule making actions required by the Clean Air Act; and the possibility of new legislation limiting emissions of carbon dioxide, imposing a tax on carbon emissions, or on Btu usage were also of great concern. A final rule easing some uncertainty on continuous emissions monitoring, permit requirements, and operation of the emissions allowance system was not issued until January 1993, well after compliance strategies had to be developed and major investment decisions made.

In this context, utility executives were required to make investment decisions committing millions of dollars over extended periods. As summarized by one utility manager: "Major decisions must be made without adequate information or even the ability to obtain adequate information." For example, after a protracted struggle involving the Ohio Public Utilities Commission, the Ohio Office of Consumer's Counsel, industrial customers, the Ohio Sierra Club, and the United Mine Workers at American Electric Power Company's affiliate Meigs high-sulfur coal mines, construction of scrubbers by AEP at its two-unit, 2,600 MWe Gavin plant in Ohio were expected to cost about $835 million, reducing sulfur dioxide emissions there by 95%. In February 1993, AEP was still unsure whether it would be allowed by the Ohio Public Utilities Commission to transfer emissions credits from the Gavin scrub to Phase I units in other states. Thus, substantial financial commitments had to be made on the basis of best judgments by utility planners and construction begun in the absence of definitive information or final regulatory approvals.

Innovations in coal supply contracts

The risks associated with such uncertainty stimulated innovation in contracts for purchase of coal by electric utilities. In a buyers market, utilities renegotiated old contracts and signed new ones with a variety of provisions designed to manage risks and increase flexibility for future decisions. For example, Ohio Edison signed "high/low" contracts at the end of 1991 with three coal suppliers. Under these agreements, the utility could elect to shift purchases from high-sulfur to low-sulfur coal produced by the same supplier. The supplier retained the option of continuing to ship high-sulfur coal in lieu of low-sulfur coal if it provided sufficient emissions allowances so this coal could be burned without penalty. In this event, the supplier paid for the allowances, and the utility paid the contract price for lower sulfur coal.

Additional innovative contract terms under consideration would link price premiums and penalties paid for coal with different levels of sulfur content to changes in the market price of sulfur dioxide emissions allowances; trade emissions allowances to coal suppliers as partial payment for low-sulfur coal; or establish larger variances in quantity and prices for different qualities of coal in a single contract. AMAX Energy purchased an undisclosed number of emissions allowances from Long Island Lighting Co., which it said it would offer in packages with its coal and natural gas contracts. Thus, coal suppliers began participating along with electric utilities as buyers and sellers of marketable sulfur dioxide emissions allowances.

Market prices

This section needs additional citations for verification.

Please help improve this article by adding reliable references. Unsourced material may be challenged and removed. (December 2009)

The U.S. Department of Energy in 1991 estimated the installed retrofit cost per ton of SO2 pollution control equipment (scrubbers) on existing units would be in the $665 $736/ton range. However, 2005 was the first year the price of an SO2 allowance reached this level. In fall 2006, a few trades were registered at slightly over $1,600/ton. At those rates, it was less expensive to install scrubbers and reduce air pollution than to purchase SO2 emissions allowances and continue polluting. Subsequently, the market price of SO2 allowances decreased to around $88/ton in August 2009.

Participation by citizen groups

Citizens and groups can purchase sulfur dioxide emissions allowances alongside electric utilities and other producers of air pollution in annual auctions conducted by the U.S. Environmental Protection Agency (EPA) and on the Chicago Board of Trade. Each year the U.S. EPA auctions off to the highest bidder about 250,000 pollution allowances that enable their owners to emit one ton of sulfur dioxide.

No national environmental group has ever bid in the annual EPA Auction, but a small number of local groups have participated for many years, apparently on the theory that reducing the supply of allowances may someday drive up the price of acquiring them. For example, one of the oldest of these groups is the Acid Rain Retirement Fund (A.R.R.F.), a non-profit, all-volunteer, community educational group. A.R.R.F. has raised money and bid alongside polluters since 1995 for as many allowances as their funds can buy. But instead of using or trading them, A.R.R.F. retires them permanently, taking allowances off the market and keeping sulfur dioxide out of the air.

Along with allowances purchased in prior years, A.R.R.F. in 2009 owns the right to emit 264,000 pounds (132 tons) of sulfur dioxide per year, plus whatever amount it did not emit under allowances purchased in previous years. Because it did not exercise its right to emit any pollution during 19962008, "banking" its emissions allowances for the future, A.R.R.F. holds the legal right to emit a total of 2,082,000 poundsr 1,041 tonsf sulfur dioxide in 2008.

Examination of EPA Auction results 19932008 indicates groups or individuals like A.R.R.F. who purchased emissions allowances for purposes other than releasing air pollution now own the right to emit 1,163 tons per year. Although most have purchased only one or a few tons, this adds up to considerably more than the 760 tons/year allocated by law to the Miami Fort #5 coal-fired generating unit in Ohio.

Since many purchases were made in earlier years, and unused allowances have accumulated, these groups own the right to emit 14,040 tons of sulfur dioxide in 2009. That's more than the annual allocation of allowances to 124 of the 250 dirtiest generating units in the United States (some are allowed to emit almost 95,000 tons/year).

Effectiveness

Overall, the Program's cap and trade program has been hailed as successful by the EPA, industry, economists and certain environmental groups such as the Environmental Defense Fund, while skeptical environmentalists have argued that reduction in emissions occurred to broad trends unconnected to the program. The EPA has used what is called the Integrated Planning Model (IPM) to estimate the effect that the Acid Rain Program (ARP). The output from the model says that annual emissions of sulfur dioxide were reduced by 8 million tons (from 17.3 to 9.3), nitrous oxide by 2.7 million tons (from 7.6 to 5), and mercury by 10 tons (from 52 to 42). However, it is difficult to estimate the emissions which would have occurred without the ARP. For example, the EPA updated its analysis to reflect the effect of low-sulfur coal becoming more economical due to reduced transporation, leading the EPA to reduce its estimate of the impact of ARP by on sulfur dioxide emissions by one million tons.

Since the 1990s, SO2 emissions have dropped 40%, and according to the Pacific Research Institute, acid rain levels have dropped 65% since 1976.

In 2007, total SO2 emissions were 8.9 million tons, achieving the program's long term goal ahead of the 2010 statutory deadline. In 2008, SO2 emissions dropped even lowero 7.6 million tons.

The EPA estimates that by 2010, the overall costs of complying with the program for businesses and consumers will be $1 billion to $2 billion a year, only one fourth of what was originally predicted.

A general issue with cap and trade programs has been overallocation, whereby the cap is high enough that sources of emissions do not need to reduce their emissions. ARP had "early overallocation" during Phase I, and this allowed emission sources to "bank" their allowances for future years. In Phase II, emission sources drew down their banked allowances. In 2006, emissions were again below the cap, leading to further banking.

See also

Continuous emissions monitoring system

References

^ "Acid Rain". United States Environmental Protection Agency. http://www.epa.gov/acidrain/. Retrieved 2008-11-20. 

^ "Reducing Acid Rain", U.S. Environmental Protection Agency

^ 42 U.S. Code 7651c.

^ a b c d e f U.S. Department of the Interior, Office of Surface Mining Reclamation and Enforcement. (1993). Impact of Acid Rain Controls on Surface Mining Reclamation and Enforcement: Programs and Workload. Washington, D.C.: Office of Surface Mining Reclamation and Enforcement.

^ Taylor, Jeffrey, and Rose Gutfeld. (1992). "CBOT Selected to Run Auction for Polluters," Wall Street Journal, September 25, 1992, p. C1.

^ Bretz, Elizabeth A. (1991). "New Boiler Designs for Utility Service," Electrical World, May, pp. 44-49.

^ a b Bretz, Elizabeth A. (1991). "Equipment Options for Meeting the New Clean-Air Laws," Electrical World, October, pp. 51-59.

^ Smock, Robert. (1991). tilities Struggle with Acid Rain Control Compliance Decisions, Power Engineering. August, pp. 17-22.

^ Hamilton, Michael S. (1980). Regional Interconnections, The Western Systems Coordinating Council, Regional Reliability, Economy and Efficiency. In N. Wengert and R.M. Lawrence, Regional Factors in Siting and Planning Energy Facilities in the Eleven Western States. A Report to the Western Interstate Energy Board. Fort Collins, CO: Colorado State University Experiment Station.

^ Bretz, Elizabeth A. (1991). "New Boiler Designs for Utility Service," Electrical World, May, pp. 44-49; Bretz, Elizabeth A. (1991). "Equipment Options for Meeting the New Clean-Air Laws," Electrical World, October, pp. 51-59; Habiger, Kenneth, and Ronald Ott (1989). "Fluidized-Bed Combustion: Retrofit, New Plant Option," Electrical World, May, pp. 62-64; Platt, J.B. (1991). "Scrub Versus Trade: Enemies or Allies?" Presented to the EPRI-EPA-DOE Sulfur Dioxide Control Symposium, Washington, DC, December 3; U.S. Department of Energy, Energy Information Administration. (1991a). Annual Outlook for U.S. Electric Power 1991. Washington, DC: USGPO.

^ Hamilton, Michael S., and Norman Wengert. (1980). Environmental, Legal and Political Constraints on Power Plant Siting in the Southwestern United States. A Report to the Los Alamos Scientific Laboratory. Fort Collins, CO: Colorado State University Experiment Station.

^ Coal Outlook, February 4, 1991, p. 3; November 2, 1992, p. 5.

^ U.S. Department of Energy, Energy Information Administration. (1991). Annual Outlook for U.S. Electric Power 1991. Washington, DC: USGPO.

^ Coal Voice, Nov/Dec, 1992, p. 24.

^ 58 Federal Register 27563-27567, May 10, 1993.

^ Calculated from U.S. Department of Energy, Energy Information Administration. (1991). Annual Outlook for U.S. Electric Power 1991. Washington, DC: USGPO.

^ Calculated from U.S. Department of Energy, Energy Information Administration. (1991). Annual Outlook for U.S. Electric Power 1991. Washington, DC: USGPO; U.S. Department of Energy, Energy Information Administration. 1992. Inventory of Power Plants in the United States, 1991. Washington, DC: USGPO.

^ Platt, J.B. (1991). "Scrub Versus Trade: Enemies or Allies?" Presented to the EPRI-EPA-DOE Sulfur Dioxide Control Symposium, Washington, DC, December 3; Kinsman, John D., James E. Evans and Julie H. Clendenin. (1992). "Electric Utility Strategies for Controlling SO2 under Title IV (Acid Deposition Control) of the 1990 Clean Air Act Amendments." Paper presented at the 85th Annual Meeting of the Air and Waste Management Association, Kansas City, MO, June 21-26.

^ 58 Federal Register 3590-3766, January 11, 1993.

^ Platt, J.B. (1991). "Scrub Versus Trade: Enemies or Allies?" Presented to the EPRI-EPA-DOE Sulfur Dioxide Control Symposium, Washington, DC, December 3.

^ Coal Voice, November/December 1992, p. 18.

^ Coal Outlook, February 1, 1993, Supp. p. 1.

^ Coal Outlook, December 9, 1991, p. 1.

^ Coal Outlook, January 13, 1992, p. 1.

^ Coal Outlook, March 29, 1993, p. 4.

^ U.S. EPA, Buying Allowances, http://www.epa.gov/airmarkets/trading/buying.html#1

^ Acid Rain Retirement Fund, http://www.usm.maine.edu/~pos/arrf.htm

^ a b Acid Rain Retirement Fund, http://www.usm.maine.edu/~pos/arrf.htm, press release, April 1, 2009.

^ a b 42 U.S. Code 7651c.

^ Easton TA, editor. (2006). Taking Sides: Clashing Views on Controversial Environmental Issues (11th edition), p. 109.

^ LG Chestnut, DM Mills. (2005). A fresh look at the benefits and costs of the US acid rain program. Journal of Environmental Management.

^ a b 'Cap-and-trade' model eyed for cutting greenhouse gases, San Francisco Chronicle, December 3, 2007.

^ Facts On File News Services Databases

^ Acid Rain Program 2007 Progress Report, U.S. Environmental Protection Agency, January 2009.

^

^ McAllister LK. (2009). [http://www.columbiaenvironmentallaw.org/assets/pdfs/34.2/7._McAllister_34.2.pdf The Overallocation Problem In Cap-And- Trade: Moving Toward Stringency]. COLUMBIA JOURNAL OF ENVIRONMENTAL LAW.

External links

Clean Air Act timeline

US EPA Acid Rain Program homepage

General acid rain information from the US EPA

Title IV, 1990 Clean Air Act

Relevant laws and regulations

Categories: United States Environmental Protection Agency | Acid gas controlHidden categories: Articles needing additional references from December 2009 | All articles needing additional references
About the Author

I am a professional writer from China Manufacturers, which contains a great deal of information about voip iad , smc skype, welcome to visit!

Mares Octopus Carbon - www.simplyscuba.com

You can follow any responses to this entry through the RSS 2.0 feed. Both comments and pings are currently closed.

Comments are closed.