AQS Memos - Use of Expanded List of Audit Levels for Annual Performance Evaluation for S02, N02, 03, and CO as Described in 40 CFR Part 58 Appendix A Section 3.2.2

UNITED STATES ENVIRONMENTAL PROTECTION AGENCY

RESEARCH TRIANGLE PARK, NC 27711

NOV 1 0 2010

OFFICE OF

AIR QUALITY PLANNING AND STANDARDS

MEMORANDUM

SUBJECT: Use of Expanded List of Audit Levels for Annual Performance Evaluation for

S02, N02, 03, and CO as Described in 40 CFR Part 58 Appendix A Section 3.2.2

FROM:

Lewis Weinstock, Leader uJ c.h_

Ambient Air Monitoring Group (C304-06)

TO: Air Monitoring Program Managers and Staff

Since the promulgation of the October 17, 2006, monitoring rule, EPA has received feedback on the audit levels established for the gaseous pollutant annual performance evaluations in 40 CFR Part 58 Appendix A, Section 3.2.2. The 2006 rule established one additional low level (audit Ievell) but also changed the concentration of some ofthe other levels. These changes were made to provide audit ranges for routine SLAMS sites as well as the NCore precursor gas sites. The rule also stated that the selected audit levels should represent or bracket 80 percent of ambient concentrations measured by the analyzer being evaluated. Monitoring organizations have commented that the levels, as identified in CFR, did not reflect or represent their data very well.

In response to these comments, OAQPS ran an evaluation on 3 years of valid data (2004-2006) for each reporting organization. This analysis confirmed that the audit levels currently in the CFR do not relate very well to the ambient data being measured. Table 1 provides a listing of the current audit levels and the percentage of reporting organizations that have sites with data in the audit level range. Using the 99.9 percentile value as an indicator, S02 and CO have a small percentage of reporting organizations with routine data in audit level 4 (11 percent and 12 percent, respectively). Ozone and N02 have no reporting organizations with data in levels 4 or 5.

Table 1. Current CFR Audit Levels and Percent of Reporting Organizations That Have

Routine Concentrations Extending Into the Audit Level

Audit level

O3

% RO with data in audit

range

SO2

% RO with data in audit range

NO2

% RO with data in audit

range

CO

% RO with data in audit range

1

0.02-0.05

all

0.0003-0.005

all

0.0002-0.002

all

0.08-0.10

all

2

0.06-0.10

99%

0.006-0.01

97%

0.003-0.005

all

0.50-1.00

all

3

0.11-0.20

4%

0.02-0.10

89%

0.006-0.10

all

1.50-4.00

98%

4

0.21-0.30

0%

0.11-0.40

11%

0.11-0.30

0%

5-15

12%

5

0.31-0.90

0%

0.41-0.90

0%

0.31-0.60

0%

20-50

0%

We also reviewed the spread of data from each reporting organization. Table 2 provides the summary statistics on the smallest, average, and largest spread (minimum value to 99.9th percentile value) of the data.

Table 2. Summary Statistics on Minimum and 99.9 Percent Ambient Concentration by

Reporting Organization

 

O3 (ppm)

SO2 (ppm)

NO2 (ppm)

CO (ppm)

Largest

Spread

0.005 - 0.128

0.002 - 0.284

0.001- 0.086

0.05 - 15.6

Smallest

Spread

0.006 - 0.043

0.002 - 0.004

0.005- 0.021

0.001 - 0.90

Average

Spread

0.005 - 0.086

0.002 - 0.071

0.002- 0.054

0.05 - 3.10

Based on this information and effective immediately, we are supporting the expansion of allowable audit ranges to ten levels as shown in Table 3. The area for each pollutant highlighted in green reflects the average spread (lowest routine concentration to 99.9th percentile value) of ambient data for the reporting organizations. The expanded table provides at least five levels for each pollutant. With the exception of SO2, Table 3 also accommodates three levels for even the smallest spread by a reporting organization identified in the 2004-2006 data in Table 2.
We have also received requests to allow for the selection of non-consecutive audit levels. The current regulation requires three consecutive audit levels to be evaluated as part of an acceptable audit. With the expansion to ten audit levels and the reduction of the concentration span within each audit level, it is appropriate to allow an audit level to be skipped while still auditing a minimum of three levels. Even with this increased flexibility, audit levels should still be chosen to bracket 80 percent of the ambient data. The goal is to choose levels that best reflect the concentrations at your monitoring sites.

Table 3. Expanded Audit Level

Audit

Level

Concentration Range, ppm

Audit

Level

O3

SO2

NO2

CO

1

0.004-0.0059

0.0003-0.0029

0.0003-0.0029

0.020-0.059

2

0.006-0.019

0.0030-0.0049

0.0030-0.0049

0.060-0.199

3

0.020-0.039

0.0050-0.0079

0.0050-0.0079

0.200-0.899

4

0.040-0.069

0.0080-0.0199

0.0080-0.0199

0.900-2.999

5

 

0.070-0.089

   

0.0200-0.0499

 

0.0200-0.0499

3.000-7.999

6

0.090-0.119

 

0.0500-0.0999

   

0.0500-0.0999

   

8.000-15.999

 

7

 

0.120-0.139

   

0.1000-0.1499

   

0.1000-0.2999

 

16.000-30.999

8

0.140-0.169

0.1500-0.2599

0.3000-0.4999

 

31.000-39.999

 

9

0.170-0.189

0.2600-0.7999

0.5000-0.7999

40.000-49.999

10

0.190-0.259

0.8000-1.000

0.8000-1.000

50.000-60.000

 

Yellow highlight related to NAAQS Concentration

 

These changes have received support by the EPA Regional Monitoring Staff and monitoring organizations that are members of the QA Strategy Workgroup. We recommend that this memo be distributed to your monitoring agencies for incorporation into ongoing quality assurance practices. In a future rulemaking, EPA will consider revising the CFR Appendix A criteria to the levels defined in Table 3 and to provide for the selection of non-consecutive audit levels in a future rulemaking.


These changes will affect how the AMP255 Report evaluates the performance evaluation data. Until that report is revised, it will not correctly evaluate the data. Please make your monitoring organizations aware of this issue. We will also develop some information more specific about the AMP255 Report that will be posted on AMTIC as well as sent to all the AQS contacts.


If you have any additional questions about the issues described in this memo, please email Mike Papp (papp.michael@epa.gov) of my staff.