PROPOSAL:
Amend Rule 1107 – Coating Of Metal Parts and Products
SYNPOSIS:
The proposed amendment will add an exemption for the use of up to ten
gallons per year per facility of liquid photoresist applied to metal
substrates with a thickness of not more than 0.060 inches.
COMMITTEE:
None
RECOMMENDED ACTIONS:
Adopt the attached resolution:
- Certifying the CEQA Notice of Exemption (NOE) for the proposed
amendments.
- Amending Rule 1107 – Coating Of Metal Parts and Products.
Barry R. Wallerstein, D.Env.
Executive Officer
Background
On November 4, 2005, the Board amended Rule 1107 – Coating of Metal Parts
and Products to reduce VOC emissions from the use of extreme high-gloss and
prefabricated architectural coatings. Just prior to the public hearing,
comment was received that the low-VOC technology required by Rule 1107 was
not available for liquid photoresist coatings necessary for the manufacture
of precision-etched parts from their metal substrates (1-60 mils in
thickness) and an exemption was requested. The preliminary investigation by
staff indicated low-VOC technology may not be available for this coating
category. Very little of the material is used in the manufacturing process
and only a few companies in the AQMD may be involved in this type of coating
activity. Staff committed to expeditiously complete the investigation and
return to the Board with the appropriate recommendation.
Analysis and Impacts
The photofabrication process begins as a computer drawing which is
transferred to photographic film by laser imaging or by photographic means.
Several images are transferred to film, and then transferred again to a
photoresist coated thin sheet metal by ultra-violet light or electron beam
to reverse polymerize areas that the light or beam sees. This creates
softened places in the coating that are removed by a developing solution,
exposing the metal underneath so that subsequent chemical etching of the
exposed metal can take place. That part of the coating not exposed to light
remains to protect it from etching or other chemical metal removal
techniques, and is stripped away in the final step, revealing extremely
small and intricate thin metal mechanisms for the medical device, antenna,
and microwave industries.
The coatings necessary for this intricate activity are extremely low in
solids content and therefore, very high in VOC (approximately 6.7 pounds per
gallon). No low-VOC substitute has been identified. In addition, only a
small amount of coating is applied during coating application. The annual
usage at a facility is no more than ten gallons. There are currently six
facilities in the AQMD performing photochemical machining of their metal
substrates. Even if it is assumed that the number of facilities expands to
ten and each uses a maximum of ten gallons per year, the average total daily
VOC emission is less than 2.0 pounds per day. With such a low usage on the
market, it is unlikely that low-VOC formulation will be developed and
therefore, the current technology represents best available retrofit
technology for this process.
Due to the unavailability of low-VOC technology and the minimal emissions
from these operations, staff recommends an exemption for liquid photoresist
coatings applied to thin metal substrates provided the annual usage of
liquid photoresist coating is no more than ten gallons per facility. An
exemption with such a low emission impact does not have a significant affect
on air quality or emission limitations.
Legislative Authority
The California legislature created the AQMD in 1977 (Lewis-Presley Air
Quality Management Act, Health and Safety Code Section 40400 et seq.) as the
agency responsible for developing and enforcing air pollution control rules
and regulations in the South Coast Basin (Basin). By statute, the AQMD is
required to adopt an AQMP demonstrating compliance with all state and
federal ambient air quality standards for the Basin [California Health and
Safety Code Section 40460(a)]. Furthermore, the AQMD must adopt rules and
regulations that carry out the AQMP [California Health and Safety Code
Section 40440(a)].
Proposal
Staff is proposing to add exemption (f)(9) to allow the use of up to 10
gallons per year of liquid photoresist for photofabrication of metal
substrates with a thickness not exceeding 0.060 inches. Definitions (b)(42)
and (b)(43) have also been added to identify the meaning of a photoresist
coating and photoresist operations.
California Environmental Quality Act (CEQA) Analysis
Pursuant to CEQA and the AQMD’s Certified Regulatory Program (Rule 110),
staff has prepared a Notice of Exemption (NOE) for Proposed Amended Rule
1107 – Coating of Metal Parts and Products. The NOE will conclude that the
proposed amendment will not have any significant adverse effect on the
environment. The NOE is included as Attachment F.
Cost and Resource Impacts
The proposed amendment to Rule 1107 will not result in increased costs to
the affected industries and there will be no additional impact on AQMD
resources.
AQMP and Legal Mandates
The California Health and Safety Code requires the AQMD to adopt an AQMP
to meet state and federal ambient air quality standards in the Basin. In
addition, the California Health and Safety Code requires that the AQMD adopt
rules and regulations that carry out the objectives of the AQMP. The
proposed amendment to Rule 1107 does not have a significant impact on air
quality or emissions limitations and, therefore, will not affect the ozone
attainment strategy outlined in the AQMP.
Comparative Analysis
Pursuant to California Health and Safety Code §40727.2(g), PAR 1107
complies with the requirements of California Health and Safety Code §40727.2
since it does not impose a new emission limit or standard, make an existing
emission limit or standard more stringent, or impose new or more stringent
monitoring, reporting or recordkeeping requirements.
Draft Findings
Necessity - The AQMD Governing Board has determined that a need
exists to amend Rule 1107 – Coating off Metal Parts and Products, to exempt
liquid photoresist coatings, used in small amounts for thin metal
photofabrication, due to the unavailability of low-VOC coatings.
Authority -The AQMD Governing Board obtains its authority to
adopt, amend, or repeal rules and regulations from Sections 39002, 39650 et
seq., 40000, 40001, 40440, 40441, 40702, 41508, and 41700 of the California
Health and Safety Code.
Clarity - The AQMD Governing Board has determined that Proposed
Amended Rule 1107 – Coating of Metal Parts and Products as proposed to be
amended is written or displayed so that its meaning can easily be understood
by the persons directly affected by it.
Consistency - The AQMD Governing Board has determined that
Proposed Amended Rule 1107 – Coating of Metal Parts and Products as proposed
to be amended is in harmony with, and not in conflict with or contradictory
to, existing statutes, court decisions, federal or state regulations.
Non-Duplication - The AQMD Governing Board has determined that
Rule 1107 – Coating of Metal Parts and Products as proposed to be amended
does not impose the same requirements as any existing federal regulations,
and the proposed amended rule is necessary and proper to execute the powers
and duties granted to, and imposed upon, the AQMD.
Reference - In amending this regulation, the AQMD Governing Board
references the following statutes which the AQMD hereby implements,
interprets or makes specific: California Health and Safety Code Section
40001 (rules to achieve ambient air quality standards), and Federal Clean
Air Act Section 172(c)(1) (RACT).
Problem - The AQMD Governing Board finds and determines that there
is a problem that Proposed Amended Rule 1107 will alleviate, the
unavailability of low-VOC liquid photoresist coatings used for
photofabrication of thin metal parts.
Attachments (EXE
121kb)
| A. |
Summary of Proposed Amendments |
| B. |
Rule Development Process |
| C. |
Key Contacts |
| D. |
Resolution |
| E. |
Rule Language |
| F. |
Notice of Exemption |
/ / /
|