TABLE
1
AVERAGE
ANNUAL
EPA
RESOURCE
REQUIREMENT
NSPS
FOR
GLASS
MANUFACTURING
PLANTS
(
40
CFR
PART
60,
SUBPART
CC)

REPORTING/
RECORDKEEPING
REQUIREMENT
EPA
Hours/

Occurence
(
A)
Occurences/

Plant/
Year
(
B)
EPA
Hours/

Year
(
C=
A*
B
)
(
C)
Plants/
Year
(
D)
EPA
Hours/

Year
(
E=
C*
D)

(
E)

INITIAL
PERFORMANCE
TESTS
New
or
Modified
Facility
40
1
40
0
0
REPEAT
PERFORMANCE
TEST
New
or
Modificed
Facility
40
0.2
8
0
0
REPORT
REVIEW
New
or
Modified
Facility
Notification
of
Construction/
Reconstruction
2
1
2
0
0
Notification
of
Modification
0.5
1
2
0
0
Notification
of
Actual
Startup
0.5
1
0.5
0
0
Notification
of
Demonstration
of
Continuous
Monitoring
System
0.5
1
2
0
0
Notification
of
Physical
of
Operational
Change
0.5
1
2
0
0
Notification
of
Initial
Performance
Test
0.5
1.2
0.6
0
0
Review
Performance
Test
Results
8
1.2
9.6
0
0
Review
Demonstration
of
Continuous
Monitoring
System
­­
Included
in
Review
of
Performance
Test
Results
­­

Review
of
Routine
Maintence
Report
2
1
2
23
46
Review
Request
for
Alternative
CMS
4
1
4
0
0
Review
Excess
Emissions
Report
4
2
8
34
272
TOTAL
ANNUAL
HOURS
318
TOTAL
ANNUAL
BURDEN
$
12,179
Assumptions
Number
of
new
plants
0
Number
of
existing
plants
45
Rate
of
failed
performance
tests
20%

Percent
of
plants
that
will
submit
routine
maintenance
reports
so
that
they
are
not
considered
modified
or
reconstructed
50%

Percent
of
plants
that
have
modified
processes
and
are
required
to
submt
excess
emission
reports
75%

Time
required
to
participate
with
performance
test
(
per
plant)
40
Time
require
to
review
construction
notification
(
hours)
2
Time
required
to
review
startup
and
initial
test
notifications
(
hours)
0.5
Time
required
to
review
performance
test
results
(
hours)
8
Time
required
to
review
notification
of
demonstration
of
CMS
(
hours)
0.5
Time
required
to
review
request
for
alternative
CMS
4
Time
required
to
review
routine
maintenance
reports
(
hours)
2
Time
required
to
review
existing
plant
emission
reports
(
hours)
4
EPA
labor
rate
$
38.30
