REVIEW OF AIR DATA SYSTEMS
                  prepared for


The U.S. Environmental Protection Agency

            Contract No. 68-01-3308

             Task Order 68-01-3094
                  prepared by


              Index Systems, Inc.
                 One Broadway
           Cambridge, Massachusetts O2142
                 December, 1976

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       REVIEW OF AIR DATA SYSTEMS


             Prepared For



THE U.S. ENVIRONMENTAL PROTECTION AGENCY
        Contract No. 68-01-3308
         Task Order 68-01-3094
               Prepared by
           INDEX SYSTEMS, INC.
              One Broadway
            Cambridge, Mass.
              December 1976
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                        TABLE OF CONTENTS








  I.  MANAGEMENT SUMMARY 	     1








 II.  AIR PROGRAM STRATEGY 	    34



      1.  Legislative Basis 	    34



      2.  Regulations and Policy Development 	    41



      3.  Stationary Source Program 	    50



      4.  Mobile Source Program 	    54



      5.  Research Monitoring and Enforcement Programs ..    58



      6.  Future Developments 	    65








III.  AIR DATA NEEDS 	    72



      1.  Air Program Planning and Review Data Needs ....    72



      2.  Abatement Plan Implementation Data Needs 	    83



      3.  Problem Analysis and New Program Development



            Data Needs 	    93








 IV.   CURRENT AIR ADP SYSTEMS 	   106



      1.  Storage and Retrieval of Aeromatic Data (SAROAD)  107



      2.  National Emissions Data System (NEDS)  	   120



      3.  Compliance Data System (CDS)  	   130



      4.  Comprehensive Data Handling System (CDHS)  	   135



      5.  Other AEROS Systems 	   146



      6.   Research Systems 	   159
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  V.  PROBLEM AREAS  	    167




      1.  Data System Deficiencies and Scientific



            Limitations  	    167



      2.  Data Flow Problems 	    173



      3.  Technical and Operations Problems 	    176



      4.  Cost-Related Problems 	    189



      5.  System Management Problems 	    193








 VI.  EVALUATION OF ALTERNATIVE ACTIONS 	    200



      1.  Ambient Air Quality Data 	    200



      2.  Emissions and Compliance Data 	    221



      3.  System Efficiencies and Functional Service ....    220



      4.  System Management 	    240








VII.  RECOMMENDATIONS 	    246



      1.  Ambient Air Quality Data 	    246



      2.  Technical System Actions 	    253



      3.  AEROS Systems Performance Evaluation 	    256



      4.  EPA Management Actions 	    257



      5.  Projected ADP Expenditures 	    260








  APPENDIX A - INVENTORY OF CURRENT SYSTEMS 	    265



  APPENDIX B - COST ESTIMATES 	    283



  APPENDIX C - QUESTIONNAIRE RESPONSE SUMMARY 	    292
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                      INDEX OF EXHIBITS
1-1   Summary of Federal and State Air Program
        Responsibilities 	      8

1-2   Air Data System Costs 	     11

1-3   Proposed Air Monitoring Data Reporting
        Requirements 	     16

1-4   Comparison Summary of Air Quality System Design
        Alternatives 	     20

1-5   Time-Phased Action Steps for Implementing
        Distributed System Design 	     23

1-6   Projected ADP Operating Costs by Organization ....     3i

1-7   Projected ADP Operating Costs by System 	     32
2-1   Summary of Criteria Pollutants Sources and Areas
        of Concern  	    37

2-2   Summary of Classification of Regions  	    44

2-3   Legislated Mobile Source Pollution Abatement Goals.    49

2-4   Summary of Air Research and Development Activities.    60

2-5   Automobile Emissions Over the Course of a Trip  ....    68



3-1   Planning and  Review Information Needs 	    73

3-2   Information Needed for EPA Air Headquarters
        Planning  	    75

3-3   Summary of SIP Revision Process 	    80

3-4   Information Needed to Implement Abatement Plans ...    84

3-5   Information Needed for New Source Review 	    88

3-6   Information Needed to Analyze and Develop New
        Programs 	,	    94

3-7   Summary of Non-Criteria Pollutant Sources and Areas
        of Concern  	    96

3-8   Information Needed for ESECA Analysis 	    103
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4-1   SAROAD Data Flows 	    Ill

4-2   SAROAD ADP Costs 	    121

4-3   NEDS Data Flows 	    125

4-4   NEDS ADP Costs 	    129

4-5   CDHS Contractor Costs 	    145



5-1   NCC Monthly Performance 	    178

5-2   ADP Air Costs by EPA User 	    190

5-3   Air Data System Costs 	    192



6-1   Comparison Summary of System Design Alternatives..    201

6-2   Utility Air Quality System Alternative	    203

6-3   Hybrid Air Quality System Alternative	    204

6-4   Current Air Quality System Alternative	    205

6-5   Functional Service Air Quality Data Systems
        Design Alternatives 	    209

6-6   Cost Evaluation of System Design Alternatives ....    212

6-7   Air Quality Data System Alternative Design Risks..    215

6-8   System Management Comparison of Design Alternatives   217

6-9   Summary of Emissions Data System Design Approaches    223



7-1   Time-Phased Action Steps for Implementing the
       Hybrid Air Quality System 	    248

7-2   Projected ADP Operating Costs by Organization 	    261

7-3   Projected ADP Operating Costs by System	,....    263



B-l   Costs Associated with Proposed Changes 	    291
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I.  MANAGEMENT SUMMARY
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                     I.  MANAGEMENT SUMMARY







During the period from January 19, 1976 through July 30, 1976,



Index Systems conducted a review of the major automated data



processing (ADP) requirements and systems operated on behalf of



the air pollution control programs of the U.S. Environmental



Protection Agency (EPA).   This report presents (1) the study



team's findings and conclusions regarding air program informa-



tion needs,  (.2) the efficiency and adequacy of current ADP usage



to support these needs, and (3) recommended long-term policies



and short-term action steps to reduce ADP costs and improve the



quality of ADP services in support of air program data requirements.







This management summary presents the key results contained in



the report.   It is divided into five sections, as follows:







        Project Objectives and Scope



        Project Approach



        Summary of Findings



        Summary of Recommendations



        Report Organization







1.  PROJECT OBJECTIVES AND SCOPE







    The main objective of this study has been to examine the



    legislative and programmatic requirements of the air program



    and to evaluate the degree to which current EPA air computer










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systems satisfy these requirements.  Particular emphasis was

to be placed upon evaluating the use of separate national and

state data systems, upon evaluating the need for separate

program and research air monitoring data systems, and upon

analyzing the relative merits of current system design philo-

sophies as opposed to more centralized and more distributed

design approaches.



The scope of the study included four groups of systems, as

follows:
        Systems operated by the Office of Air Quality,
        Planning and Standards (OAQPS) including:
           NEDS - National Emissions Data System

           SAROAD - Storage and Retrieval of Aerometric Data

           SOTDAT - Source Test Data System

           HATREMS - Hazardous and Trace Element Inventory
                     System

           SIPS - State Implementation Plans System

           QAMIS - Quality Assurance Management Information
                   System

           EDS - Energy Data System

           FPC (67)  - Federal Power Commission Data

           SIEFA - Source Inventory and Emission Factor
                   Analysis Program

           WSAP - Weighted Sensitivity Analysis Program

           REPS - Regional Emission Projection System

           CAASE - Computer-Assisted Area Source Emission
                   Gridding Procedure

           PRMS - Plans Review Management System

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            Data systems operated by the Office of Research and
            Development (ORD) to support air program research
            activities including:
               RAPS - Regional Air Pollution Study
               CHESS - Community Health and Environmental
                       Surveillance System
               CHAMP - Continuous Health Air Monitoring Program
               NASN - The filter bank system of non-criteria
                      pollutant data
            The Compliance Data System (CDS) operated by the
            Office of Enforcement (OE)
            The Comprehensive Data Handling Systems (CDHS)  operated
            by state and local agencies
    Each system or group of systems was reviewed with regard to
    its purpose, usage, efficiency, functional adequacy and impact
    upon air program activities.

2.   PROJECT APPROACH

    The activities undertaken to achieve the project objectives
    consisted of five tasks, as follows:

    (1)   Analyze User Needs

         During this task the Index project team reviewed and
         documented the overall national air pollution control
         strategy and characterized the data needs associated with
         each major program activity.

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     These information requirements were used during

     the subsequent tasks to evaluate the adequacy of

     current system support and to assess proposed changes

     in systems scope, design and operations.



(2)   Evaluate System Functional Capabilities



     During this task the project team reviewed the func-

     tional capabilities of the EPA air data systems and

     evaluated the adequacy of these capabilities in satisfying

     identified user information needs.



(3)   Evaluate System Technical Characteristics and Costs



     During this task the project team examined the technical

     efficiencies of the various air data systems.  This

     examination covered four areas, as follows:
             Efficiency of systems implementation
             and operation on the EPA computer
             facilities

             Conformity of systems design and
             documentation with  sound ADP principles

             Data volumes and data base management
             procedures employed

             Current and future  system costs for each
             system including personnel,  contractor
             and computer expenditures
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     As a result of this task the project team linked the
     identified system functional requirements with
     technical system design and operation efficiency and
     costs.   Based on this information the project team
     prepared preliminary system recommendations regarding
     system modifications or enhancements to improve the
     cost effectiveness of air system capabilities in
     meeting high priority user needs.

(4)   Evaluate System Management Procedures

     During this task the project team analyzed the adequacy
     of current ADP system management practices and procedures.
     Particular emphasis was placed upon the cost effective-
     ness of current system support organization and responsi-
     bilities, the adequacy of current system personnel
     resources and the responsiveness of system managers to
     the user community.

(5)   Develop Recommended Changes

     Based on the preceding tasks,  the project team developed
     recommendations to improve air data system capabilities,
     operations and management.  These changes and the continued
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         operation of current systems were cost-justified on



         the basis of legislative and programmatic requirements



         as determined during Task 1.  In addition, expected



         costs and resource requirements for continued operations,



         enhancements, and implementation of recommendations as



         well as expected cost savings from design efficiencies



         and system consolidation were projected.








3.   SUMMARY OF FINDINGS







    The study team reviewed the adequacy of current and anticipated



    future ADP systems in satisfying air program information needs.



    In addition, the study team assessed the technical efficiency



    of air data systems in providing required services.







    (1)  EPA's Overall Air Pollution Abatement Strategy Involves



         a Shift in Day-to*Day Operating Responsibilities to



         State and Local Agencies.







         Prior to the creation of EPA, most federal air pollution



         control programs were conducted in North Carolina by the



         organization which later became EPA's air program office.



         With the formation of EPA and with the passage of the



         Clean Air Act, the Office of Air Quality Planning and
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Standards (OAQPS) became responsible for developing a



national air pollution abatement program and for



assisting state and local agencies in developing and



implementing regulations and control strategies to



meet nationwide standards.  In recent years, as more



regional and state personnel have received training



in air pollution control methods, the relative responsi-



bilities of Headquarters and field personne] have been



changing.  Exhibit 1-1, on the following pa^e, summarizes



the current program functions.  Headquarters is responsi-



ble primarily for overseeing national progress, for



developing new strategies for the control of criteria



and non-criteria pollutants, and for developing new



tools for use in reducing current pollution levels.



EPA regions are responsible primarily for overseeing



and monitoring state progress in achieving air pollution



abatement objectives.  State and local agencies are



responsible primarily for developing and enforcing



regulations that are part of the State Implementation



Plans (SIP).  New programmatic functions, such as National



Emissions Standard for Hazardous Air Pollutants (NESHAPS)



regulations or non-significant deterioration regulations,



are developed by EPA but may be delegated to state agencies.
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                                      Exhibit 1-1
                                      U.S. Environmental Protection Agency
                                      Summary of Federal and State Air Program Responsibilities
      FUNCTION
Standards Develop-
             ment
Plan Development
and Implementation
Special Activities
                                           EPA
Establish national ambient standards
Establish NESHAPS
Revise standards
Analyze new pollutants
Establish mobile source emission standards
Develop new source performance standards
Review SIPS and SIP progress
Test mobile source emissions
Conduct fuels and vapor recovery programs
Review enforcement activity
Provide technical assistance
Develop and delegate NSD and AQMA programs
Conduct or delegate NESHAPS program
Perform health effects research
Develop new control strategies
Develop simulation models
ESECA
                                                                              STATE AGENCIES
Establish state standards
Revise standards
Develop, evaluate and revise SIPS
Develop TCP's
Conduct new source reviews
Write permits
Conduct inspections and undertake
enforcement actions
Monitor ambient air quality
                                                                                                                    CO
Land use planning

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(2)   State and Local Agencies Require Access to Detailed,


     Local Ambient and Emissions Information in Order to


     Conduct Abatement Control Functions.




     In order to carry out their day-to-day operational


     functions,  state and local agencies require comprehensive


     ambient air quality and emissions information to assure


     compliance  with standards and to support source-related


     control activities.   Most emissions and air quality data


     used by state and local agencies are provided by local


     monitoring  stations and through industrial or governmental


     source inspections.   Increasingly,  however, states have


     begun to use transportation and demographic data to deal


     with mobile source-related pollutants,  such as CO and oxi-


     dants,  in geographic areas with significant mobile source


     problems.   Nonetheless,  the majority of local data gathered


     and used, at present,  is TSP and S02  monitoring information.




(3)   EPA Requires National  Trend Data to Support Program Management


     Functions and Specialized Data to Support Program Planning.




     EPA planners and program management personnel require


     data on national air quality trends in  order to assess


     nationwide  performance in meeting Clean Air Act objectives.


     In addition,  EPA research and program personnel require


     very accurate and specialized ambient and industrial  data


     to assess health effects of criteria  and non-criteria





                             9
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    pollutants, and to develop new pollution  control  tools


    to  expedite abatement  activities.   The  Standing Air


    Monitoring Work Group  (SAMWG) task  force  has  determined


    that  a much smaller  number of trend stations  will be


    needed in the  future to  support  EPA Headquarters  program


    management functions,  that a slightly  larger  data base


    of  air monitoring data will be needed  by  regional


    offices/  and that  local data will be needed by state


    and local agencies.




(4)  Current  Air Data  Systems and ADP Expenditures Concentrate


    Primarily Upon Maintaining Detailed National  Data Bases


    of  Ambient Information.




    Approximately  one-half of air program expenditures for


    data  processing support  and for  related contractor and


    personnel activities relate to the  assembly,  storage  and


    review of raw  ambient  data produced by  state  and  EPA

    monitoring networks.   Exhibit 1-2,  on the following page,


    summarizes the current ADP expenditures in support of


    air program activities for fiscal years 1975  and  1976.


    The SAROAD, RAPS, CHESS/CHAMPS and  NASN expenditures  of

    $1.55 million  in  1976  are all for storing and manipulating
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Exhibit 1-2
U.S. Environmental Protection Agency
Air Data System Costs

SAROAD (includes regions)
NEDS
CDS
RAPS
CHESS/CHAMPS
EDS
CDHS
NASN
Other
TOTAL
1976
$ 903,000
150,000
105,000
250,000
347,000
183,000
300,000
54,000
834,000
$ 3,126.000
1975
$ 606,242
260,131
48,000
117,600
289,756
18,000
Not Available
89,000
875,378
$ 2,215,107
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     ambient air quality data.   These costs are in addition to



     state-incurred costs for CDHS and other state-operated



     systems to manage local ambient data.   This emphasis upon



     ambient air data acquisition and manipulation reflects



     a policy adopted in prior  years by OAQPS whereby EPA



     maintained a central data  bank of national ambient air



     quality information.  Recently, however, this policy has



     undergone revision and increasingly states have been



     encouraged to take responsibility for  acquiring their own



     data banks of ambient data,  as needed, to carry out



     abatement and enforcement  functions.







(5)   The Instability of the UNIVAC Computer Has Created



     Problems for All Users of  Air Data Systems.







     Since its installation in  1974, UNIVAC hardware problems



     at the National Computer Center (NCC)  have created an



     unstable system environment  which has  inhibited timely



     data processing operations and has limited the accessibility



     of the information stored  in the principle air data systems.



     Frequent system crashes and  prolonged  downtime have



     increased processing backlogs and have delayed software



     conversion and enhancement efforts.  In recent months,



     actions have been initiated  to correct hardware malfunctions.



     Although some improvements have been implemented,  the



     mean time between failure  is still below the  NCC goal of



     15 hours.









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(6)   Currently Planned Changes in Air Data Systems Will



     Make Them Less Sensitive to UNIVAC Hardware Problems.







     EPA has undertaken substantial changes in the design of



     its major air data systems, NEDS and SAROAD, which had



     been converted inappropriately when transferred to the



     UNIVAC.   These changes have been initiated in order to



     reduce the running time required to perform system updates



     and to facilitate report retrieval.  Most changes are



     scheduled for completion by the end of fiscal year 1976.



     Current estimates suggest that these changes will reduce



     SAROAD operating costs by 50%.  More importantly, however,



     these processing cost savings will greatly reduce the
         d


     risk exposure of NEDS and SAROAD to hardware and operating



     system failures on the UNIVAC computer.   For example,  a



     typical SAROAD update, which currently takes 30 hours



     to execute,  is estimated to take only six hours after



     the new changes are completed.  This shortening of the



     update time  requirements will reduce substantially the



     chances of the computer "crashing" while  a SAROAD update


     is in progress and thereby will reduce proportionately



     the number of times SAROAD must be reupdated to correct



     for the computer "crash".  As a result,  SAROAD will be



     updated on a more regular basis than at present and



     users will be able to access the data base without the



     week-or month-long delays which have been experienced



     recently.
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(7)   Data Handling Problems and Delays in State-submitted



     Data Contribute to Data Currency Problems.







     NEDS and SAROAD data handling and editing procedures



     require many separate steps and thereby delay the entry



     of current corrected data.  In addition,  poor interfaces



     and non-compatible edits between state and federal data



     systems complicate the data correction process.   As a



     result, Headquarters,  regional office and state  personnel



     must interact extensively to track data submittals and



     corrections.  However, various regional offices  and state



     and local agencies have placed low emphasis upon submitting



     and correcting submitted data.  Consequently, EPA air data



     system users have been hampered in analyzing some state-



     submitted air quality and emissions data because of data



     currency problems.







(8)   Proposed Changes in the Air Monitoring Strategy  Will Reduce



     the Volume of State-collected Data Stored Centrally by EPA.







     The Standing Air Monitoring Work Group (SAMWG) has



     undertaken a project to revise the requirements  for the



     submittal of state-collected air monitoring data.   Preliminary



     results from SAMWG indicate that EPA will reduce substantially



     the volume of data which it will require  on a regular basis
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from states.  State-collected air quality data will



be grouped into three groups, as follows:







        National trend station data



        State trend station data



        Special purpose monitoring data








Exhibit 1-3, on the following page, illustrates the



proposed air monitoring data reporting requirements



associated with these three classes of data.







Under this proposed strategy a subset of the state-



collected data, National Air Quality Trend Station  (NAQTS)



data, would be communicated bo EPA regularly and stored



on a central data base for analysis.  SAMWG estimates



that the number of monitoring sites reporting data regu-



larly to EPA will be reduced by 80 percent.  Some regional



offices may elect to require some non-National Trend Station



data reporting from states as may be defined in the future



by SAMWG.  In most cases, Regional Offices and others



requiring summary statistics or raw data from non-NAQTS



would obtain this information, as needed, from the



state office which collects this special purpose data.
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                                              Exhibit 1-3
                                              U.S.  Environmental Protection Agency
                                              Proposed Air  Monitoring Data  Reportino
                                              Requi reroen ts
    NAQTS
    Data
     SLAI1S
     Data
State-collected
Special Purpose
Monitoring Data
State

Office
                                 (NAQTS Data)
                                                         EPA
                                                      Headquarters
                                                       Regional

                                                        Offices
                                                    FPA
                                                                           Computer
                                             JNAQTS
                                             I Data
                                                      vo
                                                                       N
     State

    Computer
j NAQTS Data

^SLAMS Data

 JFpecial Purpose
 [  Data
  RegionalJ /Selected
   nf~.    •   SLAMS  Data
   0fflce  ! ,  and  Special
 Data Base' ]Purpose
          1   Monitoring
	'   Data
  1 NAQTS  -  National Air Quality Trend Stations
  2 SLAMS - State and Local Air Monitoring Stations

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(9)   The  Absence  of  Formal  ADP  Responsibilities  and Procedures



     Has  Lessened the  Efficiency  and Effectiveness  of  ADP



     Utilization  in  Support of  the  Air Program.








     Current EPA  policies place operating responsibilities



     for  national air  data  systems  within the  National Air



     Data Branch  (NADB)  in  OAQPS.   Although NADB contains



     the  largest  number  of  trained  ADP personnel with



     experience in project  management and development,



     current responsibilities do  not reflect centralized



     control of system development  projects within  OAQPS.



     For  example,  the  Energy Data System (EDS),  which  was not



     developed by NADB,  will cost 10 times as  much  in  ADP costs



     next year as the  original  feasibility study justified.







     More broadly, ADP users of the National Computer  Center's




     (NCC)  UNIVAC computer  are  unaccustomed to managing or



     controlling  their ADP  utilization to conform to budget



     ceilings.  Most system managers at the Research Triangle



     Park laboratories,  for example, were unable to provide



     estimates of current-  or future-year processing needs.



     Instead,  research managers tended to view ADP  budgets



     as interchangeable  with program budgets and were  not



     concerned, therefore,  with ADP budgets since they
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         intended to reprogram from research into ADP sub-



         allowances whenever necessary.  Air program personnel



         indicated a greater awareness of ADP budgeting but did



         not have good accounting tools available whereby they



         could monitor and control actual UNIVAC computing



         expenditures.  Regional ADP managers, by contrast,



         indicated the greatest sensitivity to NCC computing



         costs and demonstrated the most aggressiveness in



         developing methods to manage and control ADP expenditure



         levels.








4.  SUMMARY OF RECOMMENDATIONS








   \EPA should initiate actions to shift towards a  hybrid



    data processing philosophy for ambient air data and should



    complete currently-contracted system enhancements to reduce



    overall air data system expenditures,
;s. 1
    (1)   EPA Should Adopt a Hybrid Computer System Design Approach



         for Storing Air Quality Data in Conformity With the



         Revised Monitoring Strategy.








         Costs will be reduced slightly and service will be improved



         if EPA adopts a hybrid system design philosophy for the



         management of state-collected air quality data.  The
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hybrid system approach reflects the programmatic shift



in monitoring strategy as being developed by the Agency's



Standing Air Monitoring Work Group (SAMWG).  This pro-



grammatic shift will require far less raw ambient data



for Headquarters and regional use and will free states



and local agencies to allocate more monitoring resources



for special-purpose local projects.   Exhibit 1-4, on



the following page, contrasts the impact of a hybrid



design approach with a utility and the current design



approach.  The hybrid and utility system alternatives



would improve data handling and correction capabdlities



and would offer Headquarters and states flexible re-



porting and good data availability.  By comparison, under



the current system approach data handling and correction



problems would continue to contribute to completeness



and currency problems of EPA-maintained data as a result



of the large volumes of data transferred and the relative



distance and processing steps between the sources of data



and the EPA users.







A hybrid approach would reduce slightly aggregate computer



operating costs for EPA and state offices, yet would entail



development and installation costs comparable to those



needed to support the current design philosophy.







In addition, a hybrid system design would offer EPA lower



technical and cost risks than the utility or current
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                              Exhibit 1-4
                              U.S. Environmental Protection Agency
                              Comparison Summary of System
                              Design Alternatives
                       Utility
                      Hybrid
                     Current
Functional
Service
 mproved data
handling with
 ood availability
 f state-collectec
 ir quality data
Improved data
handling with
good availability
of monitoring
trend data
Good data
availability and
reporting flexi-
bility but poor
data handling
Annual Operating
Cost Impact
   $625,000
   $600,000
  $300,000
Development and
Installation
   $600,000 -

    $1,000,000
                                         $380,000
                    $330,000
Risk
 High technical
 and cost risk
Low technical
and cost risk
                                                        Moderate
                                                        technical risk
Management
Considerations
System management
problems with
state dependence
upon EPA for ADP
support
Less complex
system
management
Less dependence
of EPA and
states upon
each other
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     approaches.   Under  a  hybrid  design EPA would maintain



     a much  smaller  data base  consistent with  the SAMWG  data



     reporting  requirements.   This  smaller data  base would



     be  less sensitive to  hardware  problems.   Similarly,  the



     cost  risk  would be  reduced since  the majority  of  data



     processing would be controlled by the states who, in turn,



     would be free to decide and  pay for whatever data they



     needed  for local purposes.   A  hybrid design would provide



     EPA with a system which is easy to manage and  which would



     not entail heavy dependence  of states on  EPA-provided



     ADP support.







(2)   EPA Should Initiate Five  Major Action Steps During  the



     Next  2-3 Years  in Order to Establish a Hybrid  System for



     the Management  of Air Quality  Data.







     EPA should phase the  implementation of the  hybrid system



     approach over a 2-3 year  period after EPA acceptance of



     the SAMWG  data  reporting  recommendations.  The phasing



     of  this approach is necessary  to  facilitate management



     control and  to  insure a smooth and non-disruptive phasing



     of  individual states  into the  hybrid data reporting



     strategy.  The  implementation  process should be divided



     into  five  steps, as follows:
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        EPA should define the specific data reporting
        requirements and procedures needed to support
        the SAMWG-recommended changes in air monitoring
        strategy.   These definitions should include
        procedures for regional offices to acquire and
        maintain non-NAQTS data, as needed.  Furthermore,
        EPA should develop procedures for support of
        those states without air quality data systems.

        OAQPS and the regions should select three states
        as prototypes to test the new monitoring strategy
        data reporting requirements.

        The prototype states should test the new
        reporting procedures over a 6-9 month period.

        EPA should assess the performance of the new
        reporting procedures and revise these procedures
        accordingly.

        EPA should extend the new reporting procedures
        to the other states over an eighteen month
        period.
Exhibit 1-5, on the following page, indicates the relative

phasing of these actions.  Most of this work could be

performed by EPA personnel.  However, contractor assis-

tance would be required to design and implement a

management summary information system for use by EPA.

Contractor assistance could be used also to develop

detailed data reporting requirements consistent with

the SAMWG recommendations.  Overall contractor costs for

these services would be approximately $75,000.  Additional

contractor support for CDHS installation and EPA personnel

resource levels to coordinate these action steps would

not exceed currently budgeted resource levels.
                   22                       index systems inc

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                                                                              Exhibit 1-5
                                                                              U.S.  Environmental  Protection Agency
                                                                              Time-Phased Action  Steps  for Imple-
                                                                              menting the Distributed Air Quality
                                                                              System
ACTION STEPS


Define data reporting
requirements and pro-
cedures
Identify prototype
states to test new
data requirements
Test prototype states
over 6-9 month period
Assess performance
after test period
Extend data reporting
procedure to other
states
3 months
                      9 months
3
months
                                                                                                                               CN
                                                               18 months
         EPA Acceptance
         of SAMWG Recommendation
          1st Year
                                       2nd Year
                                                                     3rd Year

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(3)   EPA Should Refrain From Initiating Major New Changes to



     NEDS and SAROAD Until Currently-contracted Enhancements



     Have Been Completed and Tested.








     EPA should be able to achieve substantial reductions in



     current air data processing costs as a result of current design



     changes in its major systems.  However, in order to insure



     that anticipated benefits  are realized, EPA should



     refrain from making other major design changes to NEDS



     and SAROAD until Agency personnel have had an opportunity to



     confirm the  expected efficiencies.   In addition, these



     design changes should impact dramatically the accessi-



     bility of NEDS and SAROAD to field users and should



     provide more reliable edit, update and reporting services.



     Accordingly, the patterns of report retrievals and data



     submissions likely will change so that new processing



     statistics will be needed to determine whether additional



     opportunities for system efficiencies will be available.







     However, minor changes in NEDS edit and update procedures



     should be incorporated into current enhancement efforts.



     In particular, current changes in the NEDS edit should



     be expanded to allow regions to run validation checks



     and to edit input cards against the NEDS user file.



     These changes will reduce the time lags associated with



     the correction of NEDS data and will cost approximately



     $10,000 in additional contractor funds.
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Minor additional savings could be achieved through

additional design changes depending upon the operating

performance of the resulting air data systems.  Six

specific changes could further reduce operating costs

and improve service, as follows:
        Modify the method for calculating SAROAD
        running averages

        Revise the timing of SAROAD summary and
        frequency of file creation

        Develop a SAROAD violations file

        Develop an enhanced NEDS regional edit

        Enhance current CDHS data edit and validation
        capabilities

        Develop better interfaces between state and
        federal emissions systems
More substantial design changes, as proposed by EPA

program personnel, have not been found to reduce ADP

costs.  These proposed changes have included three

areas, as follows:
        A change in the current design approach for the
        management of emission data would not reduce
        ADP expenditures.

        Consolidating NEDS with CDS would not reduce
        ADP expenditures.

        The transfer of air data systems from the UNIVAC
        to other EPA computers is not cost-justifiable
        at this time.
                    25                      index systems inc

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     Overall,  the  currently  planned  technical  changes

     combined  with a  longer-term commitment  to a  distributed

     ambient data  system will  reduce ADP  costs without

     disrupting  program activities.



(4)   EPA Should  Conduct Immediately  a System Audit of  the

     Energy Data System (EDS)  Before Assigning Additional

     Resources for Support and Development.



     EPA should  conduct immediately  a system audit of  EDS

     to  determine  the value  of the current system and  to

     ascertain whether additional resources  should be

     applied to  support it.  The statement of  work for this

     audit should  include  five areas for  investigation,  as

     follows:
             The  air program information requirements  to
             be supported by the  system

             The  adequacy of the  current system in satis-
             fying  these  requirements

             The  efficiency  of  the  current system design

             Operating  cost  analyses in terms  of the decisions
             for  which  the system provides information

             System management  responsibilities
     The estimated cost for the EDS  audit is  $15,000 and the

     elapsed time is  estimated to be three months.
                         26                       index systems inc

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(5)   EPA Should Continue Its Support of CDHS and Insure

     Sufficient Resource Commitments.



     EPA should continue its support for CDHS by taking five

     system-related actions, as follows:
             Complete current identified modifications
             to CDHS

             Conduct a review of states to identify
             additional CDHS enhancements necessary to
             meet state information requirements

             Provide additional enhancements to CDHS
             reporting capabilities as specified by
             state users

             Improve current data handling procedures for
             CDHS by incorporating more extensive edit
             capabilities

             Review and develop interface procedures
             between state-operated systems and EPA-
             maintained systems
     These actions  will require an estimated $250,000 in

     contractor funds  over a 12-month period.   These con-

     tractor funds  have been requested and granted by OAQPS

     and do not represent an additional level  of effort

     above current  budget requests.



(6)   MIDSD Should Conduct a Detailed  Technical and Operating

     Analysis of the UNIVAC and Its Management.



     MIDSD should conduct a detailed  technical analysis of the

     UNIVAC in four areas,  as follows:
                         27
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             Hardware malfunctions
             Throughput volume
             Channel capacities
             Operating system performance

     This study should include an analysis of NCC processing
     characteristics and performance with other comparable
     UNIVAC installations.   In addition,  this study should
     analyze the adequacy of current staffing levels,  manage-
     ment procedures,  use of contractors  and organization.
     As a result of this study MIDSD should develop an
     organizational and operations plan to reduce the  overall
     failure rate at NCC.   This analysis  is estimated  to cost
     $50,000 and could be completed within four months.

(7)   EPA Should Consolidate Its Air Data  Processing Responsi-
     bilities and Formalize Its ADP Management Procedures.

     Air data system development and operation should  be
     centralized within OAQPS and personnel with experience
     in managing development projects should be allocated
     by senior OAQPS management in proportion to the relative
     priorities of each division's needs.   In addition,
     support for CDHS  should be formalized as a high priority
     responsibility of OAQPS data systems  managers  and
     suitable training and  assistance should be provided
                        2 s                       index systems inc

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     to  regional  coordinators  to  insure  that  states  receive

     adequate  data  systems  support.



     MIDSD  should provide assistance  to  OAQPS and  other  air

     data systems users  to  insure that good management

     principles are adhered to in the design, development

     and operation  of ADP systems.  This assistance  should

     include four areas, as follows:
             Formalize  statements  of work  to  contractors
             at  RTF  to  insure  that feasibility  studies
             are performed  separately  from system  develop-
             ment

             Confirm that actual design  and development
             activities are consistent with cost justifi-
             cations as produced in feasibility studies

             Require formal ADP budgets  from  all NCC  users
             and explain to program managers  that  program
             funds cannot always be interchanged with ADP
             sub-allowances

             Provide guidelines and accounting  tools  to NCC
             users to help  them to develop improved methods
             for reducing processing costs
    All  these  changes  can be  implemented  internally by  EPA

    staff without  contractor  assistance.



(8)  ADP  Expenditures in  Support  of  the Air  Program Should

    Remain  Relatively  Stable  Over the Next  Two  Years.



    Over the next  two  years ADP  expenditures will  remain

    relatively constant  while contractor  costs  will decrease

    by an average  of $250,000 annually.
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Exhibit  1-6, on the  following page, compares FY  '76



estimated ADP expenditures by organization with  the



projected future annual costs.  OAQPS will experience



the most significant reduction in computer operating



costs of approximately 37% compared to FY  '76 expenditure



levels.  On the other hand, regional and state ADP costs



will increase by approximately $275,000 as additional



CDHS systems are installed and as local and regional



personnel assume more responsibility for data analysis



and modeling activities.  Index has not been able to obtain



projected ADP operating costs from either ORD Headquarters



or laboratory personnel.  However, we have estimated ORD



operating costs to increase by 20% annually to reflect new



system development and continued research analysis.  This



20% assumed increase reflects growth in annual ORD expen-



ditures of almost $350,000 over current levels. Exhibit



1-7, on the page following Exhibit 1-6, compares FY'76



estimated expenditures by system with projected future



annual costs.  The most significant reduction in operating



costs will result from current technical SAROAD modifica-



tions.  These technical changes plus the shift towards a



hybrid approach for managing air quality data will reduce



SAROAD computer costs by approximately 67%.  On the other



hand, CDHS costs will increase significantly as additional



installations occur.   EPA system managers have projected
                   30                       index systems inc

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Exhibit  1-6
U.S. Environmental Protection Agency
Projected ADP Operating Costs by
Organization

OAQPS
ORD
OE
Regions
States
TOTAL
1976
($000)
1656
857
54
300
300
3126
1977
($000)
1360
1000
50
300
380
3090
1978
($000)
1066
1200
50
400
475
3190
      31

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Exhibit 1-7
U.S. Environmental Protection Agency
Projected ADP Costs by System

SAROAD
NEDS
CDS
RAPS
CHESS/CHAMPS
EDS
CDHS
NASN
Other OAQPS Systen
Other ORD Systems
Other (including
unallocated regio
usage)
TOTAL
__ 	
1976
($000)
903
150
105
250
347
183
300
54
s 380
200
254
lal
3126
1977
($000)
480
180
100
300
410
300
381
54
400
230
255
3090
1978
($000)
300
180
100
360
490
186
475
54
400
290
355
3190
        32

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         EDS operating costs to increase to $300,000 next year.



         However, we anticipate that an EDS system audit will



         identify areas where operating costs could be reduced



         back to current year levels.  Personnel levels in



         support of the air data systems are expected to remain



         stable during the next two years at Headquarters, in the



         regions and in the states.







5.   REPORT ORGANIZATION







    The remainder of this report is divided into seven chapters



    and three appendices.  Chapters II through V present findings



    regarding program strategy, user needs, data system functions



    and related problem areas.  Chapter VI presents an evaluation



    of alternative actions to remedy identified problems and



    Chapter VII presents the resulting recommendations.  Appendix



    A contains technical information on the air data systems



    reviewed.  Appendix B contains cost derivation information as



    employed in the study analysis and Appendix C summarizes the



    results of a questionnaire completed by system users throughout



    the country.
                             33                      index systems inc

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II.  AIR PROGRAM  STRATEGY
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                 II.  AIR PROGRAM STRATEGY
This chapter presents an overview of the EPA air pollution control

program and its associated strategies.  The chapter is divided

into six sections, as follows:



                 Legislative Basis for the Air Program

                 Regulations and Policy Development

                 Stationary Source Air Program

                 Mobile Source Air Program

                 Research and Development, Monitoring
                 and Enforcement Programs

                 Future Developments



1.  THE CLEAN AIR ACT AMENDMENTS OF 1970 PROVIDE THE LEGISLATIVE

    BASIS BY WHICH EPA HAS RESPONSIBILITY FOR DEVELOPING AND

    MANAGING PROGRAMS FOR THE REDUCTION OF NATIONAL AIR POLLUTION

    LEVELS.



    With the enactment of the 1970 amendments to the Clean Air

    Act and subsequent formation of the Environmental Protection

    Agency (EPA), the role of the federal government changed from

    one of limited authority in the abatement of air pollution

    to one of nationwide involvement in air pollution control.

    In 1955,  the Department of Health, Education, and Welfare

    was authorized to conduct research and provide technical

    assistance to state and local communities in their attempt
                                34                       index systems inc

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to prevent and control air pollution.  In legislation of 1963



and 1967, Congress reaffirmed the policy of state and local



responsibility for air pollution control while expanding



the federal government's research and development activities.



The Clean Air Act Amendments of 1970 provided the basis for



federal leadership in the development of national, regional,



state and local programs to prevent and control air pollution.







(1)  In Accordance With the Act, EPA Has Set National Primary



     and Secondary Ambient Air Quality Standards for Each



     Criteria Pollutant.







     In 1970, EPA published criteria documents which de-



     scribed the current scientific knowledge of the effects



     on public health and welfare which could be expected



     from the presence of various pollutants in ambient



     air.  Based on these documents, in April 1971 EPA



     established primary and secondary standards for six



     major pollutants, as follows:







               Sulfur dioxide   (S02)



               Particulate matter



               Carbon monoxide  (CO)



               Hydrocarbons  (HC)



               Nitrogen oxide   (N°x)



               Photochemical Oxidants
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    Exhibit  2-1 on the  following page,  summarizes  the



    major  source of  each pollutant  and  the associated



    general  health-related area of  concern.








    National primary ambient  air quality  standards define



    levels of air quality necessary to  protect  the public



    health with an adequate margin  of safety, while



    secondary standards are designed to protect the  public



    welfare,  specifically property,  vegetation, and



    wildlife.







    As  published in  the Federal Register, each  ambient



    air standard specifies a  reference  method for  sampling



    and analyzing the ambient air and the reference  condi-



    tions  to which measurements are to  be corrected.  Under



    the Act  states may  establish ambient  air quality



    standards more stringent  than the national  standard



    to  prevent significant deterioration  of existing air



    quality  within their state.







(2)  States Are Required by Law to Develop and Carry  Out



    State  Implementation Plans (SIP's)  to Achieve  and



    Maintain National Ambient Air Quality Standards  (NAAQS)



    Established by the  EPA.
                            36                     index systems inc

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                                                            Exhibit 2-1
                                                            U.S. Environmental Protection Agency
                                                            Summary of Criteria Pollutants and
                                                            Associated Sources and Areas of
                                                            Concern
POLLUTANT
MAJOR SOURCE
GENERAL AREA OF CONCERN
Sulfur Dioxide
Particulate Matter
Carbon Monoxide
Hydrocarbons
Nitrogen Oxides
Photochemical
  Oxidants
Stationary Sources
Stationary Sources
Mobile Source
Mobile Sources
Mobile Sources
Formed in the Atmosphere
from NO  and HC
       X.
       Respiratory Illness
       Respiratory illness
       Lethal Gas
       Contributes to Formation
       of Oxidants
       Respiratory,  Contributes
       to Formation of Oxidants
       Respiratory Illness
r-
ro

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     The ambient air standards became the basis for the

     development of SIP's in 1972.   State plans specified

     the steps to be taken to control emissions from

     existing sources of pollutants in order to achieve

     ambient air quality standards.  The Clean Air Act

     gives EPA the authority to approve or disapprove

     SIP's and all subsequent revisions that the states

     may develop.  Furthermore, EPA was required to

     develop the implementation plan for any state if

     one of the following three conditions existed:
             The state failed to submit a plan within the
             time prescribed by the Clean Air Act

             EPA determined that the plan did not meet
             the requirements of Section 110 of the
             Clean Air Act

             The state failed to make appropriate revisions
             as deemed necessary by the EPA to achieve
             NAAQS
     The primary responsibility for  enforcement of  the SIP

     rests with the state while EPA  has concurrent  authority

     to enforce the SIP's,  when necessary.



(3)   Although the Clean Air Act Emphasizes  State Responsi-

     bility,  the Clean  Air Act  Gives EPA Special Authority

     in Certain Areas That Are  Interstate in  Nature or

     Pose a Severe Threat to Health
                              30                    index systems inc

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Special federal authority exists to control new



stationary sources of criteria pollutant emissions,



motor vehicle emissions, sale of fuel and fuel



additives, and emission of hazardous air pollutants.








EPA directly regulates new stationary sources by



setting uniform national standards for various new



sources of pollution.  The standards of performance



published in the Federal Register are designed to



limit emissions through the use of the Best Available



Control Technology (BACT).








Since the abatement of mobile source pollution requires



national standards, the Clean Air Act dictated a schedule



for the abatement of automobile pollution.  In accordance



with the Act, EPA prohibits the sale of new cars unless



the cars are based upon a tested and approved prototype



model.







In addition, EPA, in coordination with the Federal Energy



Administration (FEA), has written regulations concerning



fuels, and fuel additives.  In 1974, EPA and FEA coordi-



nated actions to make non-leaded gasoline available at



service stations so as not to interfere with the perfor-



mance of the catalyst pollution control devices.
                      39                       index systems inc

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    After  the  1973 oil embargo, Congress passed  the Energy



    Supply and Environmental Coordination Act  (ESECA)



    of  1974.   ESECA  required the FEA  to issue  orders



    prohibiting power  plants with coal burning  capabilities



    from burning natural gas or oil as a primary source



    of  energy.  The  act gives EPA responsibility for  the



    certification of FEA prohibition  orders.   Before  an



    FEA order  becomes effective EPA must determine if



    primary air quality standards will be violated as a



    result of  a conversion.  The Clean Air Act was



    amended in 1975  to authorize EPA  to suspend  temporarily



    fuel and emission limitations for those sources which



    have been  issued orders by FEA and certified by EPA.







    EPA has set national standards for air pollutants that



    have proven to contribute to increased death rates.



    Once promulgated, these standards are applicable  to



    all new and existing sources.







(4)  As  Specified in  the Clean Air Act, EPA Has Established



    a National Research and Development Program  for the



    Prevention and Control of Air Pollution .







    The Office of Research and Development  (ORD)  conducts



    a comprehensive  and integrated research and  development



    program in support of the objectives of the  Clean Air
                             40
                                                   index systems inc

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         Act.  ORD supports the Air Program in four general

         areas, as follows:
                 Providing research on both the short and
                 long-term effect of air pollutants on human
                 health to be used as the scientific basis
                 for standards and regulations

                 Prescribing standard methods to measure and
                 assure quality control in programs to assess
                 environmental quality, implement plans and
                 enforce strategies

                 Identifying cost-effective pollution control
                 technology which is capable of achieving
                 short-term abatement objectives and possesses
                 long-term viability

                 Providing expert scientific assistance through
                 the dissemination of technical information
                 and technological transfer of capabilities
2.   THE AIR PROGRAM STRATEGY IS DESIGNED TO ACHIEVE AND MAINTAIN

    NATIONAL AMBIENT AIR QUALITY STANDARDS.



    EPA has developed an air program strategy to achieve the

    objectives of the Clean Air Act by taking six actions, as

    follows:



            Divide the nation into Air Quality Control Regions

            Encourage states to develop and enforce implementa-
            tion plans to achieve and maintain NAAQS

            Develop performance standards for new stationary
            sources

            Conduct programs to prevent the further deteriora-
            tion of air quality
                                41                     index systems inc

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        Develop a national mobile source air program

        Establish national emissions standards for
        hazardous air pollutants
These actions are designed to specify local air pollution

abatement objectives and to achieve these objectives through

the control of existing and new sources of pollution.




(1)  EPA has Divided the Nation Into Air Quality Control

     Regions (AQCR's) in Order to Develop and Implement

     Plans Which Specify the Manner in Which NAAQS Will

     Be Met and Maintained.




     Under Section 107 of the Clean Air Act each state has

     the primary responsibility for assuring air quality

     within its boundaries.  The country is divided into

     247 AQCR's which reflect the unique features of local

     air pollution features.  An AQCR is a geographic unit

     within which states analyze existing ambient air con-

     ditions, develop plans, and determine priorities for

     action.  Each region is classified separately with re-

     spect to each criteria pollutant so that the time and

     resources expended in developing the SIP can be com-

     mensurate with the complexity of the air pollution

     problem,   Each region is classified into one of three

     categories, as follows:
                              A *5
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             Priority I - most restrictive

             Priority II

             Priority III -  least restrictive



     Exhibit 2-2,  on the following page,  summarizes  the

     classification mechanism for each pollutant.



(2)   EPA's Air Strategy Requires States to Develop and

     Implement Plans to Achieve and Maintain  NAAQS for

     Each AQCR Within Their  Geographic Jurisdiction.



     State Implementation Plans (SIP)  detail  the steps

     to  be taken to abate and control  emissions from

     existing sources within an AQCR to insure attainment

     of  air quality standards.   An implementation  plan

     includes four major elements,  as  follows:
             Information  on  existing  air  quality  and
             source  emissions

             Control plan for  achieving standards

             Programs for monitoring  ambient  air  quality
             and  source emissions

             Description  of  legal authority
    EPA may require  a  SIP revision under any of three

    circumstances, as  follows:
                           43                       index systems inc

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                                                           Exhibit 2-2
                                                           U.S. Environmental Protection Agency
                                                           Summary of Classification of Regions
POLLUTANT
BASIS FOR
CLASSIFICATION
 APPLICABLE
  CLASSES
METHOD OF CALCULATION
Sulfur Oxides
Measured Ambient Air
Quality, or

Estimated Air Quality
in Area of Maximum
Concentration
I,II or III
Annual Arithmetic  Mean,
24-hour Maximum and 3-hour
Maximum
Particulate
  Matter
Measured Ambient Air
Quality, or

Estimated Air Quality
in Area of Maximum
Concentration
I,II or III
Annual Geometric Mean and
24-hour Maximum
Carbon Monoxide
Measured Ambient Air
Quality, or
1970 Bureau of Census
Population Information
I or III
1-hour Maximum and 8-hour
Maximum
Nitrogen Dioxide
Measured Ambient Air
Quality, or

1970 Bureau of Census
Population Information
I or III
Annual Arithmetic  Mean
Photochemical
  Oxidants
    and
Hydrocarbons
Measured Ambient Air
Quality, or

1970 Bureau of Census
Population Information
I or III
1-hour Maximum

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             Changes  of  national  primary or  secondary
             national air quality standards

             Evidence to EPA that the SIP is substan-
             tially inadequate  to achieve NAAQS

             Changes  in  the  availability of  methods
             and control technology  necessary for
             source compliance
     In  addition,  in  the  development of a SIP,  the state

     must  consider the effect of  urban and economic growth

     on  a  region's future air quality and adapt its con-

     trol  programs accordingly.



(3)   New Source Reviews (NSR)  and Environmental Impact

     Statements (EIS)  Are Mechanisms to Prevent the

     Further  Deterioration of Air Quality.



     As  a  result of a 1972 District Court decision and sub-

     sequent  affirmation  in 1974  by the U.S.  Supreme Court,

     EPA is required  to disapprove SIP's which  do not provide

     a plan to prevent the significant deterioration of air

     quality  in areas that did not exceed national ambient

     standards during 1974 for sulfur dioxide and particu-

     late  matter.   Accordingly, EPA published regulations in

     the Federal Register in 1974 establishing  three classes

     of  AQCR's based  on how much  increase of  ambient concentra-

     tions of sulfur  dioxide and  particulate  matter could be
                                                   index systems inc

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permitted without significant deterioration of air

quality.  The three classes are defined, as follows:
     CLASS I      AQCR's where practically any
                  air quality deterioration would
                  be considered significant

     CLASS II     AQCR's where well-planned growth
                  would not be considered to add
                  significantly to the air quality
                  deterioration

     CLASS III    AQCR's where intense industrial
                  growth is desired but national
                  air standards for particulate
                  and sulfur dioxide must be
                  maintained
EPA designated all ACQR's as Class II, originally;

however, states may request redesignation of a region

in order to meet various social and economic objectives.

For purpose of significant deterioration determination,

areas designated as Class I or II are limited to

specific increases in particulate matter and sulfur

dioxide concentrations above January, 1975 ambient

air quality levels for those pollutants.



Nineteen source categories have been established for

the review of new or modified sources commencing

construction or modification after June, 1975.   The

non-significant deterioration reviews are designed

to determine the effect on air quality of the proposed
                    46                        index systems inc

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     new source or source modification in conjunction with
     changes in emissions from other sources in the area of
     concern.   EPA may delegate the responsibility for im-
     plementing procedures for conducting non-significant
     deterioration reviews to the individual states.


     The National Environmental Policy Act of 1970 requires
     each federal agency to prepare a statement of environ-
     mental  impact in advance of each major action that may
     affect  ambient air quality significantly.   EIS's pro-
     vide a  mechanism by which federal agencies,  the public,
     and Congress can review the air quality consequences
     associated with a pending government decision.   The
     Council on Environmental Quality (CEQ)  is  responsible
     for coordinating actions relating to EIS production.


(4)   EPA's Mobile Source Program Is Designed to Reduce the
     Levels  of Harmful Pollutants Emitted From  Motor Vehicles.

     In  1971,  motor vehicles contributed 50% of all carbon
     monoxide  (CO),  40% of all hydrocarbons (HC)  and 25% of
     all nitrogen oxides (NO )  emitted into the air within the
                            H
     United  States.   The Clear Air Act legislated strict
     mobile  source emission standards for the control of
     these three pollutants.  Exhibit 2-3,  on the following
                            47                      index systems inc

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     page,  summarizes the mobile source abatement goals



     as legislated in 1970.   In 1973,  EPA granted a one-



     year extension for the  1975 statutory standards.








     The choice of how to meet the legislated standards



     has been left to mobile source manufacturers.   In



     the early 1970's,  most  U.S. automakers elected to



     use catalysts as a means of converting HC and CO



     exhaust emissions into  carbon  dioxide and water.   The



     catalyst represented a  control technology which could



     reduce emissions to required levels while protecting



     auto manufacturers'  capital and technical investment



     in the internal combustion engine.







(5)   EPA Established National Emissions Standards for



     Hazardous Air Pollutants  (NESHAP).







     EPA has established emission standards for air pollu-



     tants  which have been found to be harmful to the



     public health and to which no ambient air quality



     standard is applicable.   Three hazardous pollutants



     have been identified, as follows:






             Asbestos



             Beryllium



             Mercury
                          4 8                        index systems inc

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                             Exhibit 2-3
                             U.S.  Environmental Protection Agency
                             Summary of Legislated Mobile Source
                             Pollution Abatement Goals
POLLUTANT
   GOAL
Hydrocarbons
1975 new models reduction of
90% of 1970 model emissions
Carbon Monoxide
1975 new models reduction
of 90% of 1970 model emissions
Nitrogen Oxide
1976 new models reduction of
90% of 1971 model emissions
                            49

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         Once promulgated,  NESHAP's are applicable to both
         new and existing stationary sources.   States may
         submit procedures for implementing and enforcing
         NESHAP's for stationary sources located within their
         geographic jurisdiction.  Upon review and approval
         of the procedures EPA may delegate the authority
         to implement and enforce the NESHAP.

3.  EPA'S STATIONARY SOURCE AIR STRATEGY IS DESIGNED TO CONTROL
    THE LEVELS OF EMISSIONS EMANATING FROM MAJOR POINT SOURCES.

    The identification of point sources is the first step in
    attaining NAAQS.  A point source is defined as any facility
    capable of emitting more than 100 tons per year of any
    single pollutant without pollution controls.  Source
    parameters and emissions information are needed to develop
    and evaluate control strategies to be used in setting
    compliance schedules for sources in non-attainment areas.
    Of 20,000 major stationary sources of air pollution in
    1975, 84% are complying currently with emissions regulations
    or are meeting abatement schedules.

    (1)  SIP's Detail the Steps to be Taken for the Abatement
         and Control of Emissions for Existing Point Sources.
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     As a part of SIP development,  states identify major

     point sources,  set source emissions limitations,  and

     establish schedules for compliance so that total

     emissions are reduced to levels which permit ambient

     air quality standards to be achieved.   Included in

     the SIP are provisions for monitoring and gathering

     data to track source compliance with state-established

     timetables.



(2)   Emission Control Regulations (ECR)  Are Based on

     Control Strategies That Are Capable of Achieving

     Desired Air Quality While Minimizing Overall Costs.



     Emission control regulations are legally  enforceable

     emission control requirements  which consist of emission

     standards covering significant source types.   The de-

     velopment of the ECR1s is based on a review of four

     areas,  as follows:



             Existing ambient pollution levels

             Source  and emissions inventories

             Available control technology

             Projections of increased source emission
             due to  urban growth



     In the  formulation of control  regulations,  states

     evaluate various strategies in terms of their  capability

     of achieving desired air quality in the least  costly

     or disruptive manner.


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(3)   EPA Has  Established  New Source  Performance  Standards
     (NSPS) to  Control  Emissions  From New Stationary  Sources.

     EPA has  promulgated  NSPS requiring  all  new  sources  of
     pollution  within specified industries to  install the
     best available  control  technology as an effective means
     of  controlling  current  and future air pollution  levels.
     Stationary sources are  classified by types  and sizes
     for the  formulation  of  NSPS.  To date,  EPA  has
     established standards for twenty industrial activities,
     which can  be grouped in eleven  categories,  as follows:

             Fossil  Fuel-Fixed Steam Generators
             Municipal  Incinerators
             Cement  and Asphalt Plants
             Sulfuric and Nitric  Acid Plants
             Sewage  Treatment Plants
             Petroleum  Refineries
             Phosphate  Fertilizer Industry
             Iron and Steel  Plants
             Zinc, Lead and  Copper Smelters
             Coal Preparation Facilities
             Aluminum Reduction Plants
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     States  may submit procedures  for  implementing and en-



     forcing NSPS  for sources  within their geographic juris-



     diction.   Upon review and approval  of the procedures



     EPA may delegate to  the state the authority to imple-



     ment and enforce the NSPS.







(4)   Models  and Monitoring Are Used to Evaluate Control



     Strategies and to Revise  SIP's Where Necessary.







     EPA and states have  utilized  models as tools to assist:



     in the  development of programs that lead to the attain-



     ment of air quality  standards. Monitoring information



     and diffusion models are  used to  ascertain the effect



     that the distribution of  emissions  from a point source



     has on  the ambient air quality.   Monitoring, itself,  is



     expensive in  terms of manpower and  resources;  therefore,



     models  are used as supplements to the monitoring effort.



     In addition,  accurate models  provide a more comprehensive



     picture of ambient air quality than do monitors, which



     tend to reflect air  quality only  in the immediate vicinity



     of the  individual stations.







     Once a  control strategy is selected, state offices employ



     air quality sampling to monitor progress toward achieving



     SIP goals and national standards.  Monitoring also serves



     as a validation tool by which model developers observe how



     well the relationship between air quality and source
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         emissions is simulated.   In this way, modeling and

         monitoring supplement each other in identifying ap-

         propriate control strategies.



4.   EPA'S MOBILE SOURCE AIR STRATEGY IS DESIGNED TO LIMIT MOBILE

    SOURCE EMISSIONS BY REGULATING MANUFACTURERS, REGULATING

    MOTOR FUEL DISTRIBUTION AND FACILITATING THE DEVELOPMENT OF

    TRANSPORTATION PLANS.



    Although the Clean Air Act legislated strict emissions standards,

    the proliferation of automobiles has hindered the abatement

    process and contributed to a national energy shortage.  In

    1970, mobile vehicles traveled over a trillion miles.  Statistics

    have revealed that the majority of these auto trips were less

    than five miles long and that 85% of commuting was done by car

    with usually just the driver inside.  This analysis demonstrated

    that the mobile source problem had three facets, as follows:
                 Development of effective means of reducing
                 pollutants emanating from motor vehicles

                 Development of efficient transportation
                 systems

                 Land use planning and other methods of
                 reducing geographical concentrations of
                 automobile pollutants
    Consequently, solutions to transportation and land use issues

    are needed also to improve air quality and energy resource

    utilization.



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(1)   Mobile  Source  Program Personnel Interact With  Auto-



     mobile  Manufacturers  and  Importers  to Certify  Com-



     pliance With Emissions Standards as Legislated in



     the  Clean  Air  Act.







     Each year  motor vehicle manufacturers apply  to EPA



     for  certification of  compliance with emission  stan-



     dards.   EPA provides  this  certification  by testing



     prototype  vehicles prior  to  their introduction to



     assure  that each new  model is  engineered to  conform



     to emissions regulations  over  its useful life.   As



     a part  of  this program, EPA  is authorized to inspect



     records, procedures,  and  production facilities.







     All  motor  vehicles manufactured abroad for sale in



     the  United States also must  meet EPA auto emission



     standards.  Foreign manufacturers have been  given



     the  same compliance schedules  as domestic producers.



     EPA  coordinates its certification activities with



     the  U.S. Customs Department  for the importation of



     foreign-made vehicles.  Any  individual who purchases



     a car overseas for importation into this country



     is responsible for verifying compliance  with emission



     standards.
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(2)   EPA Is  Working  With States  and  Municipalities  to
     Establish Transportation  Control  Plans  (TCP's),
     Inspection Maintenance  Programs and Vapor Recovery
     Programs.

     The automobile  emissions  problem  is especially serious
     in  certain urban  areas; consequently, EPA has  initiated
     transportation  control  strategies to deal with the
     problems  unique to  these  areas.

     Transportation  Control  Plans  are  designed to reduce
     aggregate emission  of pollutants  from vehicles by
     decreasing total  vehicle  miles  traveled (VMT)  through
     five strategies,  as follows:

            Limited access  areas
          .  Mass  transit improvements
            Traffic flow improvements
            Carpool programs
            Priority  bus lanes

     TCP's impose  a  social burden  on the general
     public  because  they affect  the  way people move from
     one place to  another and  thereby  impact urban
     lifestyles.
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     In  addition, EPA  is providing program guidance and
     technical  support to  states and  localities  in developing
     emissions  inspection  maintenance programs.  These pro-
     grams  are  designed to insure that vehicles  continue  to
     achieve  the  same  level of  emission  control  as when they
     were manufactured.  EPA also conducts a  vapor recovery
     program  to reduce the emission of hydrocarbon vapors
     at  gasoline  filling stations as  fuel is  transferred
     from storage tanks and trucks to stations and from
     gasoline pumps  to vehicles.

(3)   The Mobile Source Program  Monitors  the  In-Use Per-
     formance of  Motor Vehicles to Determine  Emission Levels
     After  the  Vehicles Have Been Purchased  and  Driven by
     Their  Owners.

     Emission performance  tests of vehicles  in actual use
     provide  data to assure that vehicles continue to fulfill
     federal  emission  requirements.   Where  necessary, enforce-
     ment orders  are given to manufacturers  stipulating  a re-
     call of  vehicles  for  corrective  action.   Under  the  Clean
     Air Act, car manufacturers must  provide a warranty  of
     five years or  50,000  miles 01  the  emission  control  system
     of  their cars.
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The Office of Research and Development  (ORD) derives

its activity priorities from the objectives set by

EPA in fulfillment of the legislative mandate of the

Clean Air Act.  Exhibit 2-4, on the following page,

summarizes the ORD activities in support of the air

program.



Air pollution generally has been recognized as an

environmental influence on the public health.  Con-

sequently, ORD conducts on-going research directed

toward the understanding of the relationship between

air pollution levels and public health.  Research

continues on the six pollutants for which criteria

documents have been published; however, continual

emphasis is given also to pollutants not presently

controlled.  In support of this research, EPA conducts

toxicological, clinical, and epidemiological studies

to gather information on four areas of concern, as

follows:
        Exposure/response of various pollutants
        over time

        Development of standards that provide
        an adequate margin of safety

        Health benefits in meeting standards

        Health risks in exceeding standards
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                                                          Exhibit  2-4
                                                          U.S. Environmental Protection Agency
                                                          Summary  of  Research and Development
                                                          Activities  in  Support of Air
                                                          Program
AREA OF ACTIVITY
              ASSOCIATED OBJECTIVES
Health Effects
Understand relationship between air quality and public
health

Identify pollutants to be controlled

Develop criteria documents to be used for standard
setting
Technological
Assessment
Identify control technologies and ascertain effectiveness
viability, and economic implications

Evaluate health implications of control equipment and
future technological processes
Scientific
Methodologies
Understand atmospheric processes governing transport
and dispersion of pollutants from various sources

Develop, evaluate, and validate models for predicting
and analyzing emissions from a variety of sources
Quality
Assurance
Develop standardized measurement methods, reference
methods, and manuals

Evaluate laboratory instruments and data handling
capabilities

-------
Health effects research includes exposure/response
relationships of both criteria and non-criteria
pollutants by themselves and in combination with
each other.

ORD provides emission characteristics, measurement
methods, and health-related data for new control de-
vices, fuel additives and technical processes.  For
example, the adoption of catalytic converters to con-
trol pollutants from mobile sources is under review
by research scientists.  Toxicological studies are
being conducted to establish the health implications
of sulfates and sulfuric acid mist that are produced
by catalyst-equipped cars.  Similarly, as new source
performance standards are proposed, ORD identifies and
evaluates available technology to meet the standards
in the most cost-effective manner.

In addition, ORD develops air quality simulation models
for predicting ambient concentration levels and for
analyzing emissions from various sources.  In order
to develop effective models, scientific knowledge on
the transport and dispersion of pollutants in the
atmosphere is needed.  During the past three years,
ORD has conducted a major Regional Air Pollution
Study  (RAPS) in St. Louis to develop, evaluate, and

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    validate urban air quality models for the criteria

    air pollutants.



    Air pollution monitoring methods  require high per-

    formance reliability  at very  low  concentration  levels

    because of  the nature and degree  cf ambient pollution

    levels.  Although ORD does not have responsibility

    for air monitoring, it is responsible for developing

    and implementing a comprehensive  quality assurance

    program.  The quality assurance program consists of

    three  activities, as  follows:
             Develop and  publish  standard measurement
             methods and  quality  control manuals

             Provide technical  assistance to  state and
             regional offices for establishing quality
             control programs

             Review state proposals  for assuring
             quality control
     As  necessary,  performance  audits of monitoring  sites

     are conducted  to  assure  that accurate and defensible

     data are  being gathered.



(2)   EPA's Primary  Ambient Air  Monitoring Goal Is  to

     Provide Data of Adequate Quality to Arrive at Decisions

     Regarding the  Attainment of NAAQS.
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Data produced from the ambient air monitoring net-

works form the basis for the evaluation of air quality

trends and for the evaluation of the success of a SIP.

Moreover, monitoring data provide information to eval-

uate which areas are attaining NAAQS and which will re-

quire SIP revisions in order to attain air quality

standards.



EPA is concerned especially with three aspects of mon-

itoring data, as follows:
        Enhancement of the quality of data through
        development of site and laboratory quality
        assurance programs

        Optimal collection and use of data in order
        to minimize collection of unnecessary data

        Review of existing data for their adequacy
        in support of SIP evaluation and strategy
        development
The Standing Air Monitoring Work Group (SAMWG) is an

EPA task force analyzing the continuing need for and

use of monitoring data at Headquarters, the regions,

and in state and local agencies.  Preliminary findings

of SAMWG indicate that less monitoring data will be

needed in the future by EPA to assess national trends,

but that more short-term monitoring will be needed by

state and local agencies to pursue abatement and en-

forcement activities.
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(3)   The  Air  Enforcement Program Is  Designed to Identify

     and  Investigate  Suspected  Violations  and Establish

     Compliance  Schedules to Bring Violators into Con-

     formity  With  Published  Regulations.



     EPS's  current air enforcement programs  consist of

     nine major  activities/as follows:



             Enforcement of  State  implementation Plan

             Regional and state coordination in moni-
             toring compliance  schedules of  major
             stationary sources

             Enforcement of  transportation control
             plans

             New Source Performance  Standards enforce-
             ment

             NESHAPS  enforcement

             Establishing priorities in non-attainment
             AQCR's for resource allocation

             Providing technical,  legal, and case de-
             velopment assistance  to state and regional
             programs

             Participation in ESECA  coal conversion program

             Participation in non-significant deterioration
             programs



     EPA  efforts are  aimed at encouraging  states to assume

     a larger role in enforcement  as a  key to national

     compliance.
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6.    THE FUTURE ACTIVITIES OF THE AIR PROGRAM WILL BE AFFECTED




     BY THE IDENTIFICATION OF NEW POLLUTANTS, THE DEVELOPMENT




     OF NEW TOOLS TO MEET AIR PROGRAM OBJECTIVES AND THE




     CONTINUING DELEGATION OF AUTHORITY TO REGIONAL AND STATE




     OFFICES.
     The current air program strategy and activities are involved



     primarily in the planning for and control of the criteria



     pollutants through the SIP and NSPS mechanisms.  These activ-



     ities will be affected over time as new pollutants are identi-



     fied and as new methods are developed for controlling pollution.



     In addition, shifting emphasis from Headquarters to the field



     likewise will change the levels and types of activities in which



     pollution control officials will be involved.







     (1)  ORD Is Giving Special Emphasis to the Identification of



          Pollutants Which Are Not Controlled Presently and Which



          Would Require the Promulgation of Additional NAAQS and



          NESHAP's.








          In the past, health effects research has been conducted



          primarily to ascertain the diseases which may be related



          to criteria pollutants.  Although this activity will con-



          tinue, ORD will focus also on the environmental factors



          which are associated with the causes of three categories



          of diseases, as follows:
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             Chronic Respiratory Diseases


             Cardiovascular Diseases


             Cancer






     Through this effort new pollutants may be identified


     which will require control.  Emerging problems such


     as vinyl chloride, sulfates and other potential haz-


     ardous substances will receive increased attention.


     Similarly, since the majority of most people's time


     is spent indoors, EPA will expand its effort in


     assessing the health effects associated with indoor


     pollutant levels.





(2)   As the Air Program Evolves, New Approaches Will Be


     Developed to Assist in Accomplishing the Objectives


     of the Clean Air Act.






     As the SIP revision process continues,  the rollback


     strategy basis for plans is proving to be inadequate


     and not appropriate in many cases.   States increasingly


     are using simulation models to evaluate control


     strategies.   Consequently,  programs such as RAPS


     play a key role in developing models which can simulate


     accurately the dispersion of pollutants into the at-


     mosphere.   Emission inventories and demographic infor-


     mation are important input data to  support these efforts
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As motor vehicle emissions continue to be reduced



because of manufacturer design changes and the use



of the catalytic converter, transportation control



plans will shift emphasis from decreasing total ve-



hicle miles traveled to reducing the total number of



trips.  Exhibit 2-5, on the following page, illustrates



the pattern of emissions over the course of an auto-



mobile trip.  The start and end of the trip represent



the periods of largest concentration of emission.



Various air program planners from the State of California



believe that a strategy designed to reduce the number



of trips, rather than the total vehicle miles, may prove



effective in reducing aggregate emissions as part of a



TCP.







Different approaches may be needed to reduce ambient



air pollution levels because of unique characteristics



of specific pollutants.  For example, ozone and other



oxidants have been considered to be an urban problem



because they were produced by photochemical reactions



of local emissions of hydrocarbons and nitrogen oxides.



In recent years, however, standard violations of am-



bient oxidant levels have been observed in several rural



areas of California and other states, far from major



sources of hydrocarbons and nitrogen oxides.  Accordingly,



oxidant transport has been characterized as a phenomenon










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                                                          Exhibit 2-5
                                                          U.S.  Environmental Protection Agency
                                                          Graphic Representation of
                                                          Automobile Emissions Over The Course
                                                          of  a  Trip
EMISSIONS
                                                                                                     00
                                                                                                     vo
             START OF TRIP
END OF TRIP

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     which can affect population clusters  distributed over
     relatively large geographic areas.  The atmospheric
     formation of oxidants  is  a complex  issue of which there
     is limited scientific  understanding.   Similarly, there
     is little knowledge  of the atmospheric chemistry associ-
     ated with sulfate formation and transport.   As  a result,
     fundamental questions  arise concerning the  chemicals,
     methods  and siting of  monitoring stations.   Furthermore,
     these questions  pose added difficulties with regard to
     the use  of data  to plan and formulate control strategies.

(3)   EPA Is Striving  to Delegate Authority and Responsibility
     for Accomplishing the  National  Air  Program  Objectives
     to Regional and  State  Offices.

     The air  program  has  evolved from a  centralized  group
     setting  standards and  national  policy to one of regional
     and state development,  implementation,  and  enforcement
     of programs to achieve and maintain national ambient
     air quality standards.  While various centralized functions
     will continue, regional and state offices have  the re-
     sponsibility for the success or  failure of  accomplishing
     national  air program objectives  within their geographical
     areas.   To this  end, EPA  is training  personnel  and allo-
     cating resources to  regions in  the  form of  increased
     regional  budgets.
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This effort is augmented by regions supplying grant
monies to states in support of air pollution control
programs.  The Office of Air Quality Planning and
Standards (OAQPS) has established the Air Pollution
Training Institute and Air Pollution Technical Infor-
mation Center to train state and local personnel and
to distribute instruction manuals and various
technical publications in support of air programs.
 *******
In summary,  the air pollution control strategy rep-
resents a cooperative effort between the federal,
state and local governments in reducing the level
of ambient air pollution as specified by the Clean
Air Act.  The federal government develops air quality
standards and finances research into related technical
and medical areas; the state and local governments
establish and implement plans to achieve the federal
air quality standards.  Most air quality control
efforts, at present, are designed (1) to reduce
emissions from current large point sources, (2) to
control the introduction of new point sources of
pollution, (3) to modify the design of motor vehicles
in order to reduce emission of pollutants and  (4) to
influence driving patterns in order to reduce the
total amount of mobile source pollutants generated.
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As the air program continues to develop, increasing



emphasis will be placed upon refining the methods of



identifying and rectifying pollution problems.  Im-



provements in modeling and control technology will



provide pollution control experts with better tools



to decrease the total amount of ambient air pollution



while minimizing the associated social or economic



disruption.  In addition, as the program continues to



mature, proportionately more technical and personnel



resources may be required in the field to implement



and enforce the control plans whereas proportionately



fewer resources will be retained centrally for national



program planning, development and technical assistance.
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III.  AIR DATA NEEDS
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                     III.  AIR DATA NEEDS
This chapter discusses user information requirements associated

with air program activities.  The chapter is divided into

three sections, as follows:

         Information Needed to Plan and Review Air Program
         Strategies

         Information Needed to Implement Abatement Plans
         and Programs

         Information Needed to Analyze Problem Areas and
         to Develop New Programs



1.  REGIONAL AND STATE OFFICES REQUIRE COMPREHENSIVE,

    ACCURATE AND CURRENT DATA TO REVISE STATE IMPLEMENTATION

    PLANS WHEREAS HEADQUARTERS NEEDS SELECTED DETAIL AND ANNUAL

    SUMMARY INFORMATION FOR VARIOUS PLANNING AND REVIEW FUNCTIONS.



    Different types of information are needed at various

    levels of involvement in the air program to plan and

    review strategies in order to achieve the goals of the

    Clean Air Act.  Exhibit 3-1, on the following page,

    summarizes the information need characteristics associated

    with the four major planning and review activities.



     (1)  EPA Headquarters Needs Summary Information to

         Develop and Rank National Air Program Plans and

         to Report to Congress on the Progress in Achieving

         the Objectives of the Clean Air Act.
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                                                                    Exhibit 3- 1

                                                                    2.S. Environmental Protection Agency
                                                                    Planning and  Review Information
                                                                    Needs


Rank National Air
Program Plans and
Report to Congress

SIP Development



SIP Revision





TCP Development




Annual


Annual



V Quarterly




Annual
HC, CO,
NOx

r


-------
EPA Headquarters  uses  summary information on



the status of the national air program in order



to report to the public on the condition of the



environment and to prepare program guidance for



regional and state offices.  This information



includes air quality, stationary source emissions



and compliance status data, which are collected



primarily from state and local agencies.  In



addition, EPA itself assembles mobile source



emissions, technological, fuels and research



information for use in program planning.  Exhibit



3-2, on the following page, illustrates the flows



and uses of this information.







Each fiscal year EPA prepares an Annual Air Program



Planning Guidance document for regional, state and



local offices to review in preparing program plans.



The environmental priorities contained in the



guidance are to assist regions and states in



allocating resources to achieve and maintain national



standards.  EPA Headquarters uses trend information



on ambient air quality together with knowledge of



the availability of appropriate control technology



to formulate and order program plans.  In addition,



information on the size and characteristics of
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                                 Exhibit 3-2
                                 U.S.  Environmental Protection Agency
                                 Information Needed for  EPA Air
                                 Headquarters  Planning and Reporting
AMBIENT
AIR QUALITY
STATIONARY
SOURCE
EMISSIONS
SOURCE
EMISSIONS
COMPLIANCE
STATUS
TECHNOLOGICAL
INFORMATION
FUELS
CONSUMPTION
DEMOGRAPHIC
INFORMATION
RESEARCH
STATUS
   CEQ AND

   CONGRESS
                                     EPA  AIR
                                     HEADQUARTERS
PROGRAM GUIDANCE
      TO
REGIONS & STATES
                                 75

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population segments affected by current pollution
levels and collected by other agencies is used to
assess the scope of the national air pollution problem.
EPA also uses air quality and emissions data summaries
to determine national manpower and resource needs.
Where possible, this summary information should be
complete and no more than one year old.

The Council on Environmental Quality provides infor-
mation about the condition of air quality and trends
in air quality factors to environmental scientists,
Congress and the general public.  Annual government
publications and reports provide information on six
areas, as follows:

        Ambient Air Quality
        Stationary Source Emissions
        Mobile Source Emissions
        Compliance Status
        Research Status
        Technological Information

Other government agencies report annual national
fuel consumption and demographic information.
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     EPA requires historical data to evaluate the progress of



     national control efforts.   Since the 1970-71 period



     is  the baseline period for evaluating overall progress



     toward attainment of NAAQS,  EPA would like to have data



     representing ambient air quality for each period since



     1970-71 to prepare trend reports and analyses.   Trend



     information concerning emission reduction requires



     comparable historic data for comparison against current



     emissions levels.   However,  most state agencies had only



     limited air monitoring and data handling resources in



     1970-71.   Therefore,  air pollution  control programs have



     been limited to whatever historic data had been assembled



     during that period.







(2)   Regional and State Offices Have Used Ambient Moni-



     toring Information and Have Acquired Stationary Source



     Emissions Data  to Develop  State Implementation  Plans.







     In  1971,  as part of the SIP development process,



     regional and state offices began to engage in three



     activities,  as  follows:







             Analysis of Ambient Air Quality



             Identification of  Sources of Pollution



             Development of Control  Strategies
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Regional and state offices evaluated the air quality of
each AQCR using  available data  to  determine  pollution
levels with respect  to  national standards.   Detailed
annual ambient air data were  collected from  existing
monitoring sites to  identify violations of national
primary standards.

Regional offices utilized contractors and state
agencies to identify sources of pollution within
problem AQCR's.  The objectives in building the
source inventories were first, to identify all
potential contributing  sources, and second, to
collect detailed emissions and parametric data for
these sources.  Because of the time constraint
associated with the SIP development and the magnitude
of data collection, accurate and complete information
concerning the sources was often unavailable.

In most cases, roll-back strategies were used to
develop control regulations.  Under the roll-back
approach an analysis was made to ascertain what
percentage pollution levels should be lowered to
meet national ambient air quality standards.   The
required reduction was applied to the emissions of
the identified stationary sources and source compliance
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     schedules  were  developed as  a  result.

(3)   Regional and  State  Offices Need Detailed Monitoring
     Information and Current  Emissions Data  to  Revise
     State  Implementation  Plans.

     The  FY 1976 air program  guidance asked  regional
     offices to determine  the attainment  status of  all
     AQCR's for each criteria pollutant and  to  call for
     needed SIP revisions  by  July,  1976.  Exhibit  3-3, on
     the  following page, summarizes the data needs  for
     this SIP revision process.

     Accurate,  complete  and reasonably current  ambient
     air  monitoring  data are  needed for each criteria
     pollutant  to  identify non-attainment areas.   Data
     must be consistent  with  the  measurement units  and
     the  averaging time  for the respective NAAQS.   Non-
     attainment may  result from the lack  of  an  adequate
     SIP  or from the lack  of  appropriate  enforcement efforts
     under  the  existing  plan.  For  this reason, accurate,
     current and complete  source  compliance  information
     is needed  also  by regional offices.  In addition,
     short-term emissions  data and  expanded  information
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                              Exhibit  3-3
                              U.S. Environmental Protection Agency
                              Summary  of SIP Revision Process
AMBIENT AIR QUAINT? DATA
IDENTIFY NON-ATTAINMENT
          AREAS
     COMPLIANCE STATUS
 IDENTIFY AREAS REQUIRING
      SIP REVISION
   EMISSIONS INVENTORIES
  EVALUATE CONTROL STRATE-
  GIES AND REVISE SIP
                           SO

-------
on seasonal and diurnal patterns of source operations



would be desirable to evaluate and revise SIP's.  However,



these short-term and diurnal data are oftentimes



prohibitively expensive to acquire.







A SIP revision will culminate in the promulgation of



new control regulations.  Regional, state and local



agencies must interact and review the restrictiveness



of existing regulations before new control strategies



which yield more stringent emissions limitations are



developed.







With the availability of representative source and



emissions data and validated models, air planners are



relying less on roll-back approaches to pollution



abatement.  Consequently, modeling is being used



increasingly to evaluate control strategies.  General



topographic information has a direct relationship to



the effectiveness of models because of the state-of-



the-art in model development.  Additionally, the



effective utilization of models requires detailed



source parameters, emissions inventories and meteoro-



logical data to set initial conditions.  Also, specific



and accurate local ambient data are required to



calibrate models.  Modeling provides regional and state



offices with the capability to project changes in air



quality that may result from future source emissions or



new control strategies.
                     81                       index systems inc

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     In addition,  regional and  state offices require
     general  research information  as to the  availa-
     bility of  cost-effective control technology.
     Regions  need  information concerning the short-
     term abatement  capabilities of  differing classes
     of control equipment  and their  associated long-
     term viabilities.

(4)   Regional and  State Offices Require Localized
     and Summary Data to Develop Transportation
     Control  Plans (TCP).

     TCP's are  used  primarily in metropolitan areas
     in order to control the aggregate emissions of
     hydrocarbons, nitrogen dioxide  and carbon
     monoxide from mobile  sources.   Consequently,
     annual air quality information  is needed for
     these three pollutants to  identify urban areas
     where TCP's would be  appropriate.

     Traffic  flow  information,  fuel  availability and
     mobile source emissions for various model years are
     needed to  analyze pollution problems and to develop
     appropriate control mechanisms.   However,  these data  are
     prohibitively expensive to acquire except on  a  very se-
     lective  basis.   Localized  demographic and meteorological
     data are needed also  to support the limited modeling
     that is  being done as a part  of TCP development.   For
                        .„                     index systems inc

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           example, the State of California has projected
           mobile source emissions in five-year intervals
           from 1975 to 1995.  Transportation data  (CALTRANS),
           emissions factors and growth indices are used in
           conjunction with transportation models to update
           regional transportation plans for the urbanized
           areas of California.  As a result of this
           analysis, California determined that it
           needed to establish stringent motor vehicle
           emissions standards in order to achieve its
           pollution reduction objectives.

2.  EPA AND STATE OFFICES NEED COMPLIANCE AND SITE-SPECIFIC
    MONITORING INFORMATION IN ORDER TO IMPLEMENT ABATEMENT
    PLANS AND PROGRAMS.

    Detailed and localized air quality,  emissions and com-
    pliance data are needed by regional and state offices
    to carry out plans which will achieve the objectives of
    the Clean Air Act.  Exhibit 3-4, on the following page,
    summarizes the information needs characteristics associated
    with the implementation of abatement programs.

         (1)   EPA and States Require Compliance Status and
              Emissions Information on Stationary Sources
              to Monitor the Progress in State Plan Imple-
              mentation.

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                                                                        Exhibit  3-4
                                                                        U.S.  Environmental  Protection Agency
                                                                        Information Needs to Implement
                                                                        Abatement Plans
Site Surveillance
SIP Enforcement
Non-Significant
Deterioration Reviews
Mobile Source
missions Performance
Monitor TCP, Fuels
and Vapor Recovery
Programs
Quality Assurance
Programs
1 r
NA N/A N/A
/ / /
/ y
Current
NA N/A N/A
Annual
>/ Annual \/

/
V
/
/
v

N/A
	
. 	 r 	
10% Regions
Annual
100% State
/
/
/ y
Current
Annual y

N/A N/A
	 1 	
Current
Ccnplete
Current
Complete
Neighboring
Sources
In-use
Surveillance
Inspection
Results


Technical
Legal
Meteorological
Topographic
Demographic

Source
Inventories
Management
Control
Plans
D
D
D
D
S
D
L
L
L
N
L
L
                                                                                                                 CO
   Bnportant characteristic
Blank represents  less impor-
 tant characteristic
N/A = Not applicable

-------
     The successful  implementation of state plans requires
     that regional and state offices monitor major stationary
     sources for compliance with established abatement
     schedules.   Regional  Surveillance and Analysis (S&A)
     divisions are advised by program plan guidance to
     inspect at least 10%  of the major point sources within
     their jurisdiction each year.  Moreover, in fulfillment
     of EPA grant requirements,  state inspectors must visit
     all the major sources within their geographical area
     annually.

     SIP monitoring  requires detailed and  site-specific
     source and emissions  information along with status  informa-
     tion on source  compliance with abatement schedules.
     S&A divisions gather and  analyze the field inspection
     reports and advise Enforcement personnel of suspected
     violations.

(2)   EPA and States  Need Current Detailed  Technical and
     Emissions Information to Support Enforcement Actions.

     Enforcement actions may result from the analysis
     and investigation of  five sources of  information,
     as follows:
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        Compliance status reports
        Field inspection reports
        Section 114 inquiries
        Source performance reports associated
        with NSPS or NESHAPS
        Citizen complaints
Regional and state enforcement offices require
detailed, accurate and current emissions information
to conduct investigations and support case development.
Contractors are used often to augment EPA efforts to
collect technical data from state and plant files and
to conduct comprehensive source performance tests.

Regional enforcement personnel receive technical and
legal assistance from Headquarters offices, as needed.
Engineering expertise concerning abatement methods,
equipment and industrial processes is needed to
provide technical support in enforcement actions.
Legal information is obtained through oral and
written communications between state, regional and
Headquarters attorneys.

The Division of Stationary Source Enforcement (DSSE)
at Headquarters needs various air quality and emissions
information to support three activities, as follows:
                        86
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             Development  of  national  enforcement
             strategies

             Assessment of quarterly  enforcement  progress
             for  reporting to  the Administrator

             Preparation  of  annual  reports  to Congress
             on source compliance status
     To  support  these  efforts  DSSE  has  noted the  need for data

     which are no  more than  three-to-six months old.   Furthermore,

     base  year data  are needed to assess progress in  attaining

     goals.



(3)   Regional Offices  Require  Ambient Monitoring,  Technical

     Source and  Emission Information to Conduct New Source

     Reviews (NSR).



     Regional offices  conduct  NSR's to  determine  the

     incremental effect on air quality  of a  proposed  sta-

     tionary source.   Exhibit  3-5,  on the following page,

     summarizes  the  information needed  for a review.



     Localized and complete  ambient monitoring and emission

     data  are needed for the January, 1975 baseline and for

     the current period to perform  analyses  associated with

     non-significant deterioration  reviews.   Regional

     offices use models to project  pollution levels and

     to  analyze  the  associated increments in air  quality.
                             87
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                           Exhibit  3-5
                           U.S. Environmental Protection Agency
                           Information Needs for New Source  Review
AIR QUALITY
DATA
                       NEIGHBORING
                       SOURCE
                       EMISSIONS
                       DATA
 TOPOGRAPHIC
 DATA
                        NEIGHBORING
                        SOURCE
                        COMPLIANCE
                        SCHEDULES &
                        STATUS
NON-SIGNIFICANT


DETERIORATION

   REVIEW
METEOROLOGICAL
DATA
                       DEMOGRAPHIC
                       DATA
                           88

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     Consequently,  current,  complete  and  accurate demo-



     graphic  and meteorological  data  concerning  the  area



     surrounding the  proposed  source  are  needed  as input



     to  various models.  Additionally,  regional  offices



     need  compliance  status  and  emissions history informa-



     tion  about neighboring sources to augment and interpret



     model results.







(4)   Prototype Test Results  and  In-use  Monitoring Informa-



     tion  Are Needed  to  Assure Mobile Source  Emissions



     Performance.







     Each  year the  mobile  source program  reviews applica-



     tions from manufacturers  to certify  that new vehicles



     comply with emission  standards prior to  their intro-



     duction  and sale.   Detailed and  accurate emission



     data  are collected  on 600 prototype  vehicles every



     5,000 miles for  50,000  miles.  The test  procedures



     generate data  which are representative of the actual



     use of the vehicles under various  normal driving



     conditions.  EPA also needs actual use emissions data



     on  vehicles which have  been purchased and driven by



     owners.  The results  of this testing are used to



     support  four functions  as follows:
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             Analysis  of vehicle  emissions  for  compliance
             with EPA  requirements

             Calculation of  emissions  rates for TCP  and
             SIP  development

             Analysis  of control  equipment  for  possible
             enforcement orders to manufacturers for
             recall

             Investigation of  possible emission control
             tampering
     As  a  by-product of  the  national  emission  testing,  EPA

     collects  and  publishes  fuel  economy  data  in  cooperation

     with  the  Federal Energy Administration.



(5)   Compliance  Status Information  Is Required to Monitor

     the Effective Implementation of  Transportation  Control

     Plans,  Vapor  Recovery and  Fuels  Programs.



     Regional  and  state  offices need  to review annual

     ambient air data to ascertain  the effectiveness of

     TCP's in  reducing mobile source-related emissions  of

     hydrocarbons,  nitrogen  dioxide and carbon monoxide

     in  selected urban areas.



     Complete  source inventories  of service stations, fuel

     distributors  and bulk terminals  are  needed to schedule

     inspections in order to review compliance with  vapor

     recovery  regulations.   When  a  plan is not on schedule,
                          30                       index systems inc

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     enforcement action can  be  taken  to  re-establish



     conformity  with  schedules.








     Regional  offices visit  service stations  to inspect



     for compliance with regulations  concerning signs,



     equipment and lead content.   Data are  gathered from



     quick screening  tests to find gross violations of  the



     unleaded  standard and from an atomic absorption measure-



     ment scheme for  more precise quality control.   Either



     test may  be used as a basis  for  an  enforcement action.



     Data from both tests are reported to Headquarters  and



     stored in the Fuels Data Base.







(6)   Management  Control Plans and Analyses  of Detailed



     Ambient Data Are Required to Support Regional  and



     State Quality Assurance Programs for Monitoring Sites.







     Air quality data produced by federal,  state and local



     monitoring  sites must be accurate and  legally  defensible,



     Accordingly, states develop  quality assurance  programs



     in conjunction with EPA personnel in order to  correct



     seven deficiencies associated with  ambient monitoring,



     as follows:
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        Improper location of monitoring sites

        Improper placement of instruments

        Inadequate calibration of instruments

        Improper measurement methods and materials

        Inadequately trained site operators

        Cumbersome data handling

        Inadequate laboratory support facilities



Regional offices use statistical validation of air

quality data and audit results of equipment calibra-

tion, data handling and operational procedures to

evaluate monitoring site performance.



To support these effortsfthe Monitoring and Technical

Support Program within ORD, together with OAQPS,develop

agency-wide quality assurance guidelines and technical

information for use by regional and state offices.

This guidance includes four areas, as follows:



        Standard measurement methods

        Standard analytical reference materials

        Monitoring site selection and validation
        criteria

        Training and technical assistance



EPA anticipates that efforts to upgrade state and

local monitoring programs will result in improved

data quality.




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3.   EPA NEEDS DETAILED MONITORING,  SOURCE AND METEOROLOGICAL




    DATA AND CLINICAL TEST RESULTS  TO ANALYZE PROBLEM AREAS




    AND TO DEVELOP NEW PROGRAMS.
    Various types of engineering and scientific information



    are needed by Headquarters planners and research personnel



    to deal with specific pollution problems and to develop



    new control programs.  Exhibit 3-6, on the following page,



    summarizes the information needs associated with these



    areas.







    (1)  EPA Needs Detailed Non-Criteria Ambient Air and



         Clinical Test Data to Identify New Pollutants to



         Be Controlled.







         The Health and Ecological Effects program within ORD



         collects data and provides information for the estab-



         lishment and subsequent reevaluation of air quality



         criteria.  In support of this activity, detailed and



         accurate short-term ambient air data are needed to



         determine exposure-response relationships of various



         pollutants.  Specific health effects data are



         collected from three sources, as follows:







                 Clinical studies



                 Toxicological studies



                 Epidemiological studies










                               93                       index systems inc

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                                                                Exhibit 3-6
                                                                U.S. Environmental Protection Agency
                                                                Information Needs to Analyze Problem
                                                                Areas and to Develop New Programs
Identify New
Pollutants
Revise NAAQS
Develop
Simulation Models
New Source
Performance
Standards
ESECA
y
'
/






Annual




/
• 	 1

y •





Annual
Annual


/
Y
.
y
N/A
N/A
N/A
N/A

Health Studies
NASN Analysis,
Demographic
Health Studies
Topographic
Meteorological
Control
Technology
Source
Parameters,
Fuels
Availability
D
D
D
S
D
L
L
L
N
N
  Y = Important characteristic

N/A = Not applicable

blank represents less important characteristic

-------
Most of the air quality monitoring in recent years has
been for the determination of ambient concentrations of
total particulate matter, sulfur dioxide, carbon monoxide
and oxidants.  The section of these four pollutants has
been based primarily upon the state of scientific knowledge
about air pollution effects.

Recently, there has been an increasing need for air quality
information on non-criteria pollutants such as sulfates.
Exhibit 3-7, on the following page, summarizes some important
non-criteria pollutants and the associated areas of concern.
Data on ambient concentrations of non-criteria pollution
are collected primarily through the National Air Surveillance
Network (NASN) and analyzed by the Environmental Monitoring
and Support Laboratory within ORD.  This federal network
consists of 250 monitoring sites located around the country,
primarily in urban areas.
                          95                       index systems inc

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                                                           Exhibit  3-7
                                                           U.S.  Environmental  Protection Agency
                                                           Summary  of Non-Criteria  Pollutant
                                                           Sources  and Areas of Concern
POLLUTANTS
Sulfates
Nitrates
Asbestos



Lead



Mercury


Beryllium
MAJOR SOURCES
Atmosphere reactions sulfur oxide pre-
cursors  (in moist environment appears
as sulfuric acid mist or rain)
Atmospheric reactions of nitrogen
oxide precursors  (in moist environment
appears as nitric acid mist or rain)
Asbestos mining and processing
Automotive emission;  lead smelting
and processing
Mining and refining of mercury
Mining, smelting and machining of
beryllium
                                                          GENERAL AREA OF CONCERN
                                                          Aggravation of respiratory
                                                          diseases;  corrosion of metals
                                                          and other substances
                                                          Aggravation of respiratory and
                                                          cardiovascular illnesses
Fibrosis, calcification and
cancer of the lungs
Impairment of nervous system,
bones and kidneys
Impairment of nervous system
Suspected cause of bone and
lung cancer
                                                                                                to
                                                                                                a\

-------
     Non-criteria  pollution  data  for  a  larger  number of

     areas  are  needed  to  allow more complete analyses of

     ambient and population  dosage levels.



     Ambient monitoring data for  pollution  assessment and

     research must be  collected under rigorous quality

     control conditions to assure validity  and accuracy.

     Consequently,  prior  to  each  study,  researchers need

     information concerning  at least  five areas,  as follows:
             Purpose  for  which  data  are  collected
             and  used

             Number and placement  of monitoring  sites
             for  spatial  resolution

             Frequency of sampling

             Quality  control  associated  with sampling
             and  analysis

             Specific data constraints
     Data  needs are  seldom identical  from study  to  study;

     therefore,  raw  ambient data  collected through  state

     programs  are  not  sufficient  for  the  specific research

     needs.



(2)   EPA Needs Research Information to  Reevaluate Air

     Quality Criteria  and  Revise  NAAQS.
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On a continuing basis EPA conducts research on both



the short- and long-term exposure effects on air



pollution on animals, materials and vegetation.  This



effort provides the basis by which EPA reevaluates air



quality criteria and recommends revised NAAQS.  EPA's



research is augmented by studies conducted by universi-



ties, other government agencies and other countries.







New research is being conducted also in various areas



to reassess the adequacy of current ambient air



standards.   These research activities include analyses



of the effects of varying sizes of particulate material,



of the synergistic effects of combinations of chemicals



and of the feasibility of limiting or controlling the



presence of hazardous combinations of chemicals.



Researchers require a wide variety of specialized sta-



tistical and data-handling tools to assist them in these



efforts.  In most cases the data and tools required to



support these analyses are very unique and cannot be



provided economically by national data bases of trend



and monitoring information.
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(3)   EPA Requires  Detailed Ambient,  Emissions,  Meteorological



    and Topographic Information to  Develop, Evaluate and



    Validate Air Quality  Simulation Models.








     The Ecological Processes and  Effects program of ORD



     develops analytical techniques  that relate source



     emissions to  ambient air pollution levels.  The



     monitoring sites associated with the Regional Air



     Pollution Study (RAPS) in St. Louis collect detailed



     and accurate  air quality information that can be used



     to calibrate  and validate simulation models for



     criteria pollutants.







     Accurate and  complete emissions inventories, meteorological



     data and other scientific data are needed by ORD model



     developers and contractors.  Emission and process  data are



     required for  a variety of industrial processes to  develop



     and update emissions factors.  Additionally, ambient data



     around large point sources, monitoring site informa-



     tion that allows for spatial resolution and short-



     term emissions data are needed to calibrate models



     and to validate results.  Appropriate meteorological



     data are difficult to obtain.  Information concerning
                          99                       index systems inc

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    wind speed and direction above and around stacks is
    important for diffusion modeling; however, weather
    information collected at high altitudes and at ground
    level is usually the only data available.  Furthermore,
    topographic area characteristics are needed to provide
    guidelines for physical model utilization.  St. Louis
    represents a relatively flat terrain; consequently,
    models developed for that area would not be appropriate
    for use  in evaluating strategies in the more mountainous
    western  states, for example.

(4)  The Office of Air Quality Planning and Standards
     (OAQPS)  Needs Summary Stationary Source Emissions
    Data to  Establish New Source Performance Standards.

    EPA has  initiated an assessment program to determine
    which industries should be  controlled by new source
    performance  standards.  This effort is complicated
    because  of the  large number of  sources that can be
    addressed.   Accordingly, EPA ranks industrial  source
    categories by analyzing five types of information,
    as follows:
                           100                      index systems inc

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     .   National annual emissions by industrial
        class for specific pollutants

        Relative toxicity of the pollutants

        Population in proximity to sources

        Control technology availability, effec-
        tiveness and costs

        Physical configuration and industrial
        processes associated with sources
OAQPS personnel gather this data with the assistance

of the Industrial Processes Program of ORD to

establish emissions standards which can achieve

desired levels of control economically.



For example, in January, 1976, EPA promulgated a

fluoride standard for new sources associated with

the primary aluminum industry.  As part of its

analysis EPA considered the more stringent standards

that had been established previously by the State of

Oregon.  There were several reasons why EPA elected

not to adopt standards equivalent to those of Oregon.

In particular, EPA believed that the Oregon standards

would require the installation of relatively ineffi-

cient, costly secondary scrubbing systems at virtually

all new primary aluminum plants.  This action would

have had a substantial adverse economic impact on the

aluminum industry.  By contrast, EPA's standard
                      101                      index systems inc

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    requires use of  secondary control  systems only  for a



    specific classification  of aluminum plants.   Therefore,



    EPA concluded  that cost  considerations  precluded



    adopting the Oregon standards  as NSPS for the primary



    aluminum industry.








(5)  EPA Requires Stationary  Source Inventories,  Fuels



    Availability,  and  Ambient Monitoring  Information



    to Evaluate Conversion Plans Associated With the



    Energy Supply  and  Environmental Coordination Act



     (ESECA).







    Under ESECA the  Federal  Energy Administration (FEA)



    may issue  orders prohibiting power plants and other



    facilities from  burning  scarce petroleum products  or



    natural gas.   Exhibit 3-8,  on  the  following page,



     summarizes the information  required by EPA  to analyze



     and plan its  actions associated with ESECA.







     EPA and FEA have used source  inventories to  identify power



     plants for potential conversion orders.  Detailed  and



     complete air  quality, emissions and meteorological



     data are needed to model areas to determine the



     incremental effect on pollution levels that would



     result from conversion of these fuel-burning sources



     to coal.   In addition, information relating to the
                          102                      index systems inc

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                                          Exhibit 3-8
                                          U.S. Environmental Protection Agency
                                          Information Needs for ESECA Analysis
Source
Inventories
Identify
Potential
Sources
Air Quality, Emissions
Meteorological
Control Technology
Determine Incremental
Effect on Pollution
Levels
n
o
Fuel and Control
Technology
Availability
Establish Ordered
Conversion Schedules

-------
availability and associated transportation costs of
low-sulfur coal are needed to assess the feasibility
of conversion.  If a conversion order is deemed
feasible, then EPA and FEA use the model results,
associated control technology information and demo-
graphic data to determine whether a suspension of
SIP requirements is required and justifiable in
order to convert the designated facility to coal.
In summary, air program personnel require a variety
of ambient, emissions, demographic, engineering and
research information.  National summary ambient and
emissions data are needed by EPA program planners
and policy makers.  Regional, state and local
personnel, by contrast, require significantly more
detailed local information to support SIP revision,
AQMA evaluations and modeling. Regions, in particular,
require detailed local source data for NSD, NSPS, NSR,
NESHAPS and enforcement activities.  The increasing
use of models for SIP revision, new source review
and transportation control strategy development
requires complete localized source inventories and
comprehensive meteorological, topographical and
demographic information.
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The availability of required data is dependent upon

two factors, as follows:
        The economic and scientific feasibility of
        acquiring the information

        The technical data processing considerations
        associated with storing and reporting acquired
        data
In most cases the data processing costs for storing and

reporting data are small compared to the costs for

measuring accurately the ambient, emissions, meterological

and other desired data.  Program managers have made the

cost determinations feasible to capture.  The next

chapter discusses the data processing systems which have

been employed to edit, store and report on these captured

data.
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IV.  CURRENT AIR ADP SYSTEMS
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             IV.  CURRENT AIR ADP SYSTEMS

This chapter describes  the ADP  systems  that  support the
air program.   These  systems  fall  into six  areas,  as follows:

     .  Storage and  Retrieval of Aeromatic Data  (SAROAD)
        National Emissions Data System  (NEDS)
        Compliance Data System  (CDS)
        Comprehensive Data Handling System  (CDHS)
     .  Other Aeros  Systems
        Research Systems

Each of the systems  are discussed with  regard to  six para-
meters, as follows:

        History, purpose and uses
        Data flows
        Reporting capabilities
        Technical efficiencies
        System management
        System costs

More detailed technical data on each system appear  in
Appendix A.
                          106
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1.  THE STORAGE AND RETRIEVAL OF AEROMATIC DATA (SAROAD)




    SYSTEM STORES AND REPORTS AIR QUALITY AND SAMPLING SITE




    DATA COLLECTED FROM MONITORING STATIONS AROUND THE COUNTRY.
    SAROAD operates on the UNIVAC 1110 computer at the National



    Computer Center (NCC)  at Research Triangle Park (RTP),



    North Carolina.  It is maintained by the National Air Data



    Branch (NADB)  within the Office of Air Quality Planning and



    Standards (OAQPS).  SAROAD is designed to store and report



    air quality-related data collected from air monitoring sites



    around the country.  Its data base consists of monitoring



    site descriptive data, air quality sampling values, and sum-



    mary statistics such as means, maximum values, and running



    averages.







    (1)  SAROAD Is Used to Monitor, Analyze, and Plan Programs



         for the Abatement of Air Pollution Levels.







         SAROAD was developed initially in 1966 to store air



         quality data collected from 250 federally maintained



         monitoring sites associated with the National Air



         Surveillance Network (NASN).  In 1972, NADB was created



         to maintain data supplied by states as part of their



         state implementation plans.  SAROAD was selected



         by NADB to store these air quality data submitted by



         the states.  As a result, the number of active sites



         tracked by SAROAD has increased to approximately 4,000.









                            107                       index systems inc

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Since 1966, SAROAD has undergone two major conversions



to accommodate hardware changes.  The latest conversion



occurred in 1974-1975 when SAROAD was shifted to the



UNIVAC.  Problems associated with these equipment changes



and hardware malfunctions  have  impaired greatly  NADB's



ability to provide SAROAD users with the level and quality



of ADP service which NADB desires to provide.  Currently,



SAROAD is undergoing major modifications by contractors to



increase throughput, to improve data storage efficiencies,



and thereby to reduce the exposure of the current system



to UNIVAC hardware malfunctions.







EPA uses the data stored in SAROAD for four major



purposes, as follows:







        Perform trend analysis



        Determine compliance with ambient air standards



        Evaluate abatement strategies



        Support air quality maintenance planning







Users of SAROAD data have indicated that the system report



formats and flexibility are generally sufficient to meet



program needs.  Major criticisms have been raised, however,



regarding data quality, completeness and currency.  These



deficiencies are due primarily to the scientific complexity



of the air monitoring strategy and not to the SAROAD data



system itself.  Regional users have noted, however, that









                      1°8                      index systems inc

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     the unstable UNIVAC hardware environment and the prolonged



     data edit and correction procedures associated with SAROAD-



     submitted data has  resulted in regional and state reluctance



     to insure that submitted data is examined sufficiently



     and corrected promptly.








     State usage of SAROAD is limited primarily to verifying



     the accuracy of data which have been submitted to SAROAD.



     States may request  reports for analysis purposes, but



     usually they do not rely on the SAROAD data to perform



     analyses.   Instead, states rely on data contained in



     their own local automated or manual systems.







     Other government agencies and private institutions also use



     SAROAD information.  Private industry can request informa-



     tion under the Freedom of Information Act.  These requests



     are placed through  the regions or through OAQPS.





(2)   SAROAD Data Originate Primarily From the States and



     Are Submitted Through the Regional Offices.





     Most SAROAD data originate with the states,  who are



     required to submit  quarterly air quality data to EPA



     as part of their state implementation plans (SIPS).



     Regional offices have been designated by EPA to act as



     intermediaries for  data transferred between the states



     and the SAROAD system.   The regions receive state data,
                          109                     index systems inc

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initiate data input and editing, and review data

anomalies and errors with the states.  Regional and

state personnel have indicated that they are often

late in submitting and correcting SAROAD data because

they have insufficient personnel resources to provide

all data and to correct erroneous data in a timely

fashion.



States do not have access to SAROAD directly.  Instead,

the states must rely on regional contacts for informa-

tion regarding SAROAD contents.  Exhibit 4-1, on the

following page, depicts the SAROAD data flow from states

through the regional offices into SAROAD.



Currently, SAROAD data must pass through six steps,

as follows:
         State personnel code monitoring site
         data

         State personnel submit data to EPA
         regional office

         Regional personnel run edit programs on
         state-submitted data

         Regional personnel correct errors or
         return to states for resolution

         NADB consolidate regional data and update
         SAROAD

         NADB generate reports for EPA and others
                     110                      index systems one

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                                                Exhibit 4-1
                                                U.S.  Environmental  Protection Agency
                                                SAROAD Data Flows
Monitor-
  ing

 Sites
 States
  Code
  Data
Data
Submitted
to
Regions
Regions
Edit
Data
NADB
Consolidates
Regional Data
and Updates
SAROAD
Reports
for EPA,
States,
Other
      Error List-
      ings return
      to regions
      and states
      for
      correct-
      ion

-------
     The states  are required  to  submit data  on  sites,
     pollutants,  and sampling values.   They  may submit
     these data  on coding  forms,  cards,  or magnetic  tape,
     depending upon each state's data  processing capabili-
     ties.   Regions,  in  turn, input these data  into  a
     series of SAROAD edit routines which check for  proper
     formats,  valid codes,  and reasonable data  values.
     Edited data from the  regions are  updated periodically
     into the  SAROAD data  base.   These updates  are initiated
     only by NADB.   Updates are  scheduled based upon the
     number of data values received by NADB  and upon soft-
     ware and  hardware problems  with SAROAD  and the  UNIVAC.

     Regions usually enter data  and retrieve reports via
     RJE terminal.   In cases  where regions do not have
     tape drives or where  large  quantities of data must
     be transmitted,  the regions mail  data to the National
     Computer  Center.

(3)   SAROAD Produces a Wide Range of Statistical and Raw
     Data Reports.

     SAROAD can  produce  about 20 standard reports and  also
     can support user-generated  report programs. These
     user reports can be produced by employing  a wide
     variety of  selection  parameters,  such as geography,
     pollutant and year.   EPA users can access  reports

                        112                      index systems inc

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directly via RJE or through on-line low-speed termi-

nals.  States, private industry and other federal

agencies can request data through either the regional

offices or OAQPS.



There are three major types of reports produced by

SAROAD, as follows:



        Raw data reports

        Summary reports

     .  Management reports



Raw data reports can show four different types of

data, as follows:



        Sampling values

        Site descriptions and sampling methodologies

        Means, maximum values, standard deviations
        and other arithmetic values for a specified
        time period

        Values which exceed standards



Summary reports do not show the actual interval values

but summarize these values by quarter or year.  Other

descriptive information on sites and sampling methods

is similar to that on the raw data reports.  Summary

reports include such values as minima, maxima, percen-

tiles and standard deviations.




                    113                      index systems inc

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    Management reports record the activity status of

    sampling  stations.  These reports  show four types

    of  data,  as  follows:



            Measurements  required by EPA

            Measurements  proposed in SIPS

            Measurements  actually reported

            Minimum and maximum values for each
            quarter by site



    These  reports  can be  accessed by batch terminal  access

    to  the UNIVAC.   Interactive reports can  be retrieved

    for certain  select summary  reports.



(4)  Headquarters and Regional Users Are Satisfied with

    SAROAD Reporting Capabilities.



    Overall,  users at OAQPS  make extensive use of SAROAD

    reporting features.   Regional users have made more limited

    use of SAROAD  reports in the past  because of problems with

    the UNIVAC equipment  and questions regarding the quality

    and currency of SAROAD data. Regions have indicated, how-

    ever,  that SAROAD report formats meet their needs and that

    they will increase their report  request  rate as  the UNIVAC

    hardware  stabilizes.   Some  regions have  begun  to use SAROAD

    reports to perform more  comprehensive edit checks on state-

    submitted data from CDHS.   These regions have  indicated that

    the superior reporting capabilities of SAROAD  enable them to

    flag anomalous values which CDHS does not catch.

                          114                     index systems inc

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(5)   SAROAD  Requires  Substantial Computing  Resources  to

     Perform Updates  and  Generate  Reports.



     SAROAD  is  a  tape-oriented  system  operating  on  the

     UNIVAC  1110  at the National Computer Center.   All raw

     data  values  are  maintained on 26  tapes.   These tapes

     contain about sixty  million values  and are  expanding

     at the  rate  of twenty million values annually.  For

     each  day's worth of  data there is a key  containing

     ten parameters such  as  state,  area, site, agency and

     project.  These  keys are used by  report  programs and

     system  update routines  to  access  specific data,  as

     required.



     In addition  to raw data tapes, SAROAD  also  contains

     quarterly  and yearly summary  and  frequency  data  stored

     on sequential disk files.  These  files are  accessed

     by most summary  report  programs.  Random access  quar-

     terly and  yearly summary and  frequency files are main-

     tained  also  to facilitate  direct  access  by  system users,

     These files  are  accessed by the AEROS  Timesharing

     System   (ATS) to  produce on-line summary  reports.



     A SAROAD update  involves three steps,  as follows:
             Updating the raw data tapes from edited input
             transactions
                        115                       index systems inc

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        Creating the sequential quarterly and yearly
        frequency and summary files

        Creating the direct access quarterly and yearly
        summary and frequency files
The profile of resource hours required to perform

an update is shown in TABLE 1.  These time estimates

assume an update volume of approximately 2,500,000

data values.
                 TABLE 1


Step                          SUP Time

Raw data files updated         7     hours

Summary                       11.5   hours

Frequency files               12.5   hours

Total                         31     hours
Thus SAROAD consumes approximately 31 SUP hours of

UNIVAC resources to complete an average update.



Report retrievals from the sequential tape files or

sequential disk files are time consuming, since

many records must be searched before a desired record
                                            index systems inc

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     is located.   Total SAROAD update and report retrieval

     time accounts for about 27% of the annual UNIVAC resource

     utilization.



(5)   SAROAD  Currently Is Undergoing Technical Modifications

     to Improve Data  Storage and Throughput Capabilities.



     Modifications to SAROAD are underway currently to

     reduce  data  storage requirements and to improve pro-

     cessing efficiencies.   Some modifications have been

     completed and others are scheduled to be finished by

     the beginning of fiscal year 1977.



     Preliminary  estimates show that these changes

     will reduce  costs for updates and report retrievals.

     Seven major  changes are being implemented to the

     system, as follows:
             Store  less  than  24-hour  data  on  disk  rather
             than tape and  eliminate  a  large  number  of
             tape files

             Place  summary  and frequency files  onto  a
             random access  file  and eliminate current
             sequential  files

             Create summary and  frequency  files directly
             from the raw data files  rather than from
             intermediary tape files
                         117                       index systems inc

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             Produce running averages during system up-
             dates and store these averages within the
             raw data file

             Compress data from full-word to half-word,
             thereby reducing the data base size by 50%

             Reduce daily keys with one key for a year's
             worth of data,  thereby saving disk space

             Produce summary and management reports from
             direct access random files, thereby reducing
             report retrieval times and eliminating tape
             contention problems
     These changes are expected to reduce SAROAD update

     times from 31 SUP hours to approximately 8 SUP hours

     and report retrievals by a smaller percentage.



(7)   The National Air Data Branch Is Responsible for

     Maintaining SAROAD.



     The National Air Data Branch (NADB)  in Durham,

     North Carolina,  is responsible for maintaining

     SAROAD and the other AEROS systems.   NADB is com-

     posed of three sections, as follows:



             Systems Development Section (SDS)

             Data Processing Section (DPS)

             Requests and Information Section (RIS)
                         118                      index systems inc

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SDS has primary responsibility for system develop-

ment work, and system and user documentation.

Most contractor development activities related to

SAROAD and other AEROS systems are managed by

this section.



DPS is responsible for collecting and processing

all data submitted to EPA under state reporting

requirements and for formulating regional procedures

for data entry and retrievals.  Under certain cir-

cumstances DPS will edit data for regional offices.

In addition, DPS initiates all SAROAD updates.



RIS coordinates with SAROAD users through three

activities, as follows:
        Receives, coordinates and tracks the status
        of all requests received by NADB, including
        those by regions and those under the
        Freedom of Information Act

        Communicates with SAROAD user contacts within
        each region

        Distributes AEROS newsletters and coordinates
        user training sessions
                    119                      index systems inc

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    (8)   SAROAD ADP Costs Are $903,000 for Fiscal Year 1976.

         SAROAD is the most expensive computer system running on
         the UNIVAC.  Fiscal 1976 costs, including regional and
         OAQPS charges, are estimated at $903,000.  Exhibit 4-2,
         on the following page, presents a breakdown of these
         ADP costs.

         Approximately 23% of these costs are attributable to
         modifications to the SAROAD system associated with
         changing the system design to run more efficiently
         within the UNIVAC environment.  These costs are expected
         to decrease substantially in 1977.  Maintenance costs of
         $314,000 include OAQPS editing and report generation.
         Report costs of $390,000 include both regional and
         OAQPS reporting.  Contractor costs for 1976 are approxi-
         mately $220,000.  EPA personnel costs are difficult to
         estimate because the responsibilities of personnel in
         each of the three NADB sections include other AEROS
         systems also.  However, the EPA manpower in support of
         all AEROS systems is approximately 20-25.

2.   THE NATIONAL EMISSIONS DATA SYSTEM (NEDS)  STORES AND
    RETRIEVES POINT AND AREA SOURCE EMISSIONS  DATA.

    The National Emissions Data System is maintained by the
    National Air Data Branch and is operated on the  UNIVAC
                            12°                      index systems inc

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                    Exhibit  4-2
                    U.S.  Environmental  Protection Agency
                    SAROAD ADP Costs

Development
Maintenance
Reports
TOTAL
1975
$ 11,000
263,700
331,542
$ 606,242
1976
$ 199,000*
314,000
390,000
$ 903,000
* Most of these development costs are for the
  redesign of SAROAD to run more efficiently
  on the UNIVAC.
                        121

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1110 at NCC.  NEDS contains emissions and descriptive



information on point and area sources throughout the



United States.  NEDS was designed and developed initially



by EPA personnel  to provide  a basic  source  inventory for



program planners.  It currently  supports  trend  analysis



and modelling as  well.  Point source data were  collected



initially by  EPA  and by outside  contractors.  Since  1973,



states have been  responsible for submitting point  source



data to EPA semi-annually  on selected sites as  part  of the



state implementation plans.  EPA continued  to maintain the



NEDS area source  and emission factor information.







(1)   NEDS Is Used to Support Modeling and Control Stra-



     tegy Evaluation.







     NEDS stores descriptive data, emission factors and



     emission estimates on 160,000 point sources and 3,200



     area sources.  These data are used mostly by OAQPS



     and regional offices.







     OAQPS uses NEDS primarily for generating national



     emissions summaries and for refining emission



     factors.   OAQPS employs several customized analysis



     programs to process NEDS data in support of these



     functions.   Regional offices use NEDS for three



     additional purposes,  as follows:
                        122                       index systems inc

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             Evaluating state air pollution control
             strategies

             Inputting, editing and reviewing state data

             Modeling



     States do not use NEDS directly but are responsible

     for verifying their input data.  Instead, states

     maintain local automated or manual systems for tracking

     local emissions data.  Some NEDS data are used by

     other government agencies and by private institutions.



     Overall, NEDS has been used primarily by OAQPS.

     Regions have tended to do less modeling than they would

     like and have used state- or source-provided data when

     doing modeling.  Regions indicated a reluctance to use

     NEDS because of the incomplete and non-current data

     contained in the system.  NADB noted that most of this

     incompleteness was attributable, however, to state

     offices which have failed to submit their data and to

     regional offices which have failed to enforce these

     reporting requirements.



(2)   NEDS  Data Originate Primarily With  the States and

     Are Submitted Through  the Regional  Offices.



     Most  NEDS data come from state  and  local  agencies.

     States are  required to maintain accurate  data on

     all point  sources which emit more than 100 tons

     per year of criteria  pollutants.


                        1?3                      index systems inc

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States collect data on point sources through site



visits, audits and reviews of industry-submitted



documentation.  Depending upon the data processing



capabilities of the submitting states, these data are



sent by states to regions on either coding forms,



cards or tape.







After the regions receive the state data, they mail or



transmit the data to NCC.  NADB then edits the data



and mails edit listings back to the regions.  These



listings are returned by the regions to the states for



verification.  The flow of data from states to regions



to NADB and back to the regions for editing may take



as long as two months.  States and regions have indi-<



cated that these delays in NEDS data flows hamper their



ability to assure that accurate and complete data is



submitted.  Because of these delays, NADB has under-



taken the development of a NEDS edit for use directly



by regional offices.  Exhibit 4-3, on the following



page, depicts the data flow for NEDS.  Data edits and



updates occur concurrently for NEDS.  Updates are



scheduled bi-weekly and are initiated only by NADB



The update process consists of an update to a master



tape file and the re-creation of a direct access user



file.
                   124                      index systems inc

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                           Exhibit 4-3
                           U.S. Environmental Protection Agency
                           NEDS Data Flows
                  States  Collect
                  and  Code
                  Emissions
                  Data
                     Regional
                     Offices
                     Receive
                     Data
                     Data Are
                     Mailed To
                     NCC for
                    Processing,
                   NADB
                   Initiates
                   Edits and
                   Updates
Error List-
ings Mailed
to Regions
Reports to
EPA, States
and Others
                            125

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(3)   The  NEDS  Data  Base  Supports  Point and Area  Source
     Data Retrievals  and Various  Modeling and  Statistical
     Analysis  Applications.

     NEDS produces  approximately  twenty  batch  and  on-line
     reports for  different  selection criteria.   Reports
     can  be printed locally or centrally at NCC  and
     mailed to the users.  Specialized reports also
     can  be written by system users.

     NEDS produces three types of reports, as  follows:

            Raw data reports
            Summary reports
            Management reports

     These reports cover both area source and point
     source files.  Raw data reports for point sources
     can  include five types of information, as follows:

            Plant identification and location
            Plant operating characteristics
            Stack and control equipment data
            Emission estimates
            Fuel or raw material processing rates

    Area source raw data reports can contain three
     types of information,  as follows:

                       126                       index systems inc

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             Area identification

             Emissions and activity levels of the area
             source processes

             Total emissions  of  the five criteria pollutants
     Summary reports  may be  generated for geographic areas

     or by SCC  codes  for emission and fuel usage data.

     System management reports  describe the data base con-

     tents,  including missing values  and recent updated

     sources.



(4)   NEDS  Is Currently Undergoing Modifications to Improve

     Updating and Data Storage  Efficiencies.



     NEDS  operates on the UNIVAC  1110 at the National Computer

     Center. Its primary file  is an  indexed sequential user

     file  occupying 1-1/2 disk  packs.  This file contains

     point and  area source descriptive data and emissions

     estimates  for each source.   This file is updated from a

     tape  containing  the descriptive  data and from various

     smaller files containing geographic parameters and SCC

     emission factors.   NEDS calculates emissions based on

     three factors, as follows:



             Emission methods and estimates stored within
             the  descriptive file

             Operating characteristics of the source

             Relevant SCC emission factors
                       127                      index systems inc

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     All  emissions  are  recalculated during each update,
     regardless  of  whether the values  have changed.   The
     current NEDS update  procedure  takes about two SUP hours.
     Modifications  are  underway by  contractors to alter the
     NEDS updating  procedure so that only records that
     change  are  updated in the user file.  This change is
     expected to reduce NEDS updating  costs by 50%.

(5)   The  National Air Data Branch Is Responsible
     for  Maintaining NEDS.

     Procedures  for operating and maintaining the NEDS are
     similar to  those for SAROAD.   NADB is responsible for
     updating the system  and for managing new system devel-
     opment  activities.  The three  sections within NADB are
     responsible for system development, operations, user
     requests and engineering and scientific support.   Doc-
     umentation  for NEDS  is maintained by a central document-
     ation group responsible for all AEROS systems.   NEDS
     user information appears in the monthly AEROS newsletter.

(6)   NEDS Computer  Costs  for 1976 are  $150,000.

     The  NEDS system is expected to cost $150,000 in fiscal
     year 1976.  Exhibit  4-4, on the following page, shows
     the  associated costs for OAQPS and regional offices.
     The  regional costs of $11,000  for 1976 reflect the
     limited regional reporting activity during most of the
     fiscal  year.   Overall costs for 1977 are not expected
                       128                     index systems inc

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Exhibit 4-4
U.S. Environmental Protection Agency
NEDS ADP Costs

Development
Maintenance
Reporting
TOTAL
1975
$ 4,687
49,573
205,871
$ 260,131
1976
$ 32,000
14,000
104,000
$ 150,000
  129

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        to increase.  However, there will be a shift of
        some costs from OAQPS to regions as a result of
        the decentralization of the NEDS edits and as a
        result of increased regional reporting.

3.  THE COMPLIANCE DATA SYSTEM (CDS)  RECORDS AND REPORTS
    STATIONARY AIR COMPLIANCE AND ENFORCEMENT DATA.

    The Compliance Data System (CDS)  operates on the IBM/370
    at the  Optimum Systems,  Inc.  (OSI)  facility  in Maryland.
    The system was designed and developed in 1972-1973 by
    the Division of Stationary Source Enforcement (DSSE)
    within the Office of Enforcement.  CDS provides  automated
    support to regional and Headquarters Air Enforcement
    personnel.  It records and retrieves information regarding
    source increments of progress and enforcement actions
    relating to SIPS, NSPS, and NESHAPS schedules.   All data
    input,  file update, and data retrievals use batch processing.

    (1)  CDS Supports Regional Compliance Monitoring and DSSE
         National Trends Analysis.

         The primary users of CDS are regional office
         compliance clerks and compliance engineers.  Program
         managers, and section, branch, and division chiefs
         also use the printouts and summary reports.  In addition,
         DSSE personnel use system printouts prepared on a

                           130                      index systems inc

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     national  basis  for  tracking  enforcement  progress  for



     major  industrial  categories  and  the  nation  as  a whole.








     CDS was developed in  response  to the long-range sta-



     tionary source  air  pollution program plan which pre-



     scribed a means of  managing  the  vast amounts of facility-



     related compliance  information to be generated by the



     air program.  Headquarters planners  defined the



     essential requirements  to be (i)  to  forecast when



     increments  of progress  of compliance schedules were



     to be  completed by  any  source, and (ii)  to  track  other



     enforcement actions and compliance conditions. The



     system was  not  considered to be  a replacement  for the



     hardcopy  files  which  are maintained  in the  regional



     offices but rather  to be a tool  for  managing and  sum-



     marizing  the data contained  in those files.







(2)   Compliance  Data Are Obtained From States and Are



     Entered Into CDS  by Regional Offices.







     Regional  offices  are  responsible for gathering



     compliance  information  from  state offices.



     Information is  obtained from state and local air



     pollution personnel via standard reporting  mechanisms,



     routine daily conversations, and region/state



     agreements  on data  exchange.  In addition,  regional



     engineers,  attorneys, and compliance clerks gather
                          131                      index systems inc

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and provide information to the regional CDS clerks
for encoding.  Generally, information is coded onto
regionally-customized forms prior to keypunching.

The EPA regional offices are responsible for the col-
lection, preparation and submission of data for input.
The regions review, edit and update reports and correct
any data errors or omissions.  In addition, regions
formulate, code and execute retrievals at the regional
data centers for use by local personnel.

Presently, data are submitted in card image form for
editing.  Transactions passing the edit are collected
on a storage file to be held and subsequently processed
during the next update.

Once entered and verified, data remain relatively un-
changed with the exception of the action-related records,
compliance condition items, and any comments records.
All regions are expected to keep these items current
within three months.
                      132                      index systems inc

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(3)   CDS  Produces  Reports for Tracking Stationary



     Compliance Status and for Scheduling Enforcement



     Activities.







     The  system was designed for use in tracking the



     status of stationary air compliance with schedules



     and  emission  regulations and for scheduling and



     tracking the  occurrence of enforcement-related



     events.   By providing the users with listings of



     events that either are to occur, have occurred,



     or should have occurred, the completion of an event



     can  be noted  in the system files.  Enforcement



     action can begin and be noted on the system for those



     sources which are delinquent in complying with



     emission abatement schedules.







     Four basic report formats are available from the system,



     as follows:







             Source Data Report



             Quick Look Report



             Action Questionnaire



             Action Summary Report







     These reports are available through a customized CDS



     retrieval package.
                         , 33                      index systems inc

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(4)   CDS  Employs a  Tape  Master  File  and  a  Disk-based  Retrieval




     Capability.







     CDS  was developed in COBOL for  operation on an IBM/370



     computer.   It  contains a sequential tape master  file



     which is copied to disk after each  update for use by



     the  retrieval  program.  System  software, source  pro-



     grams, load modules, procedures,  files and related data



     sets are maintained on two IBM  3330 disk packs.








     CDS  provides a list of facilities,  emission points, and



     compliance schedule actions that  were to occur in the



     previous six-month period.  Facility and emission points



     can  be matched to NEDS records  through the use of the



     state, county, NEDS source cross  reference, and NEDS



     point cross reference codes.







     The  CDS files  record data on over 30,000 major and



     minor air facilities throughout the country.  Each



     week an average of 10,000 transactions are processed



     in the update  run.







(5)  CDS  Is Maintained and Operated By the Division



     of Stationary Source Enforcement (DSSE).








     DSSE is responsible for the overall operation and



     maintenance of CDS.  DSSE secures funds and manages










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     contractor  support  for system operation,  program
     maintenance,  system enhancement,  data  coding  and key-
     punching  assistance.   In  addition,  DSSE  acts  as  a
     central focal point for solving problems with system
     operation and for coordinating and  approving  sug-
     gestions  for  improvement.   Modifications and  enhance-
     ments  to  the  system are managed by  DSSE  under the
     recommendation of an annual Headquarters/Regional user
     meeting.

(6)   CDS  Computer  Costs  for Fiscal Year  1976  Are
     $105,000.

     CDS  computer  costs  are divided into regional  and
     DSSE processing.  The table below shows  manpower
     requirements  and ADP contractor costs  for 1975
     and  1976  for  both regions  and Headquarters.
                         Computer        Personnel      Contractors
     Headquarters
FY
FY
75
76
$
$
50,
54,
000
000
1
1
$
$
75,
75,
000
000
Regions
FY
FY
75
76
$
$
30,
51,
000
000
5
5
$
$
125,
125,
000
000
    Regional  contractor  costs  are  for  data encoding.   These
    costs  are expected to  decline  slightly for  fiscal  year 1977.

                           135                      index systems inc

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4.   THE COMPREHENSIVE DATA HANDLING SYSTEM (CDHS) SUPPORTS




    STATE EMISSION INVENTORY AND AIR QUALITY DATA PROCESSING




    REQUIREMENTS.
    CDHS is a combination of two separate computer systems,



    the Air Quality Data Handling System (AQDHS-II) and the



    Emission Inventory System (EIS/PR).   AQDHS-II handles



    air quality monitoring data and EIS processes emission



    inventory, permit and registration data.  AQDHS-II is



    designed to interface with SAROAD, and EIS/PR is designed



    to interface with NEDS.  Both systems were developed by



    EPA with outside contractor assistance and are implemented



    on state ADP facilities with EPA contract funds.  Currently,



    25 AQDHS-II and 21 EIS/PR systems are operational or are



    scheduled for installation.   Either system can be operated



    independently of the other.







    (1)  CDHS Supports State Collection, Editing and



         Retrieval of Air Quality and Emissions Data.







         In 1973, EIS/PR and AQDHS-II were developed by EPA



         to support the data handling and reporting require-



         ments of state agencies and to perform SAROAD and NEDS



         functions, respectively, at the state level.



         EIS/PR also contains permit and registration infor-



         mation and local site data that are not contained



         in NEDS.  These systems support three functions,









                             136                      index systems inc

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     as  follows:
             Edit and store aeroraetric data

             Provide  reporting capabilities for retrieving
             information from the data base

             Produce  card or tape formatted output that
             can be used as input into NEDS and SAROAD
     As of March,  1976,  eleven states were using AQDHS-II

     and fourteen  states were using EIS.   EPA managers

     estimate  that the  number of states using these systems

     will increase by 100%-150% over the next two years.

     Currently,  five-to-ten states maintain their own

     local systems for  performing AQDHS-II and EIS/PR

     functions.  The remaining states use manual filing

     procedures.



     Occasionally, regions request data from states to

     compare state data against those found in EPA systems

     or to correct currency or completeness deficiencies

     in the EPA  data bases.



(2)   AQDHS and EIS Receive Data From State Air Pollution

     Agencies  and  Produce Output Data for EPA AEROS

     Systems.



     Data gathering methods of EIS/PR and AQDHS-II data

     are similar to those of NEDS and SAROAD.   States




                        I37                      index systems inc

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collect emission inventory data from site audits



and from data supplied by point sources and submit



those data into EIS.  Air quality data from



selected monitoring sites operated within the states



are collected, encoded, keypunched and entered into



AQDHS-II.  Data can be loaded also from SAROAD or



NEDS into the AQDHS-II or EIS/PR data basis,respec-



tively.  For EIS/PR, area source data can be taken



from NEDS, or can be input manually by the states.







Both AQDHS-II and EIS maintain edit routines to



check for proper formatting and to identify data



anomalies.  Data which have passed edit routines



successfully are updated into the master files.



These updates are initiated by the individual states



or local agencies responsible for maintaining the



systems.








EIS/PR and AQDHS-II output information on cards or



tape for input to SAROAD and NEDS.  These outputs



are in proper format for processing by the EPA systems.



However, since the AQDHS-II and EIS/PR edits have not been



identical to those of SAROAD and NEDS, not all CDHS



transactions  have  been accepted  by  the EPA systems.   SAROAD



and NEDS edit listings are returned to the regions



and subsequently are returned to the state for veri-



fication.  Since comparisons between the state and









                       13d                    index systems inc

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     EPA systems must be done in a time-consuming manual

     fashion,  states often do not reconcile all  data

     inconsistencies between the local systems and NEDS

     and SAROAD.  For example,  EIS/PR provides no automated

     method, at present, of monitoring which data have

     been submitted to NEDS and which transactions still

     must be posted to reconcile the two systems.

     By contrast,  AQDHS-II maintains internal flags which

     indicate  the specific transactions which have been

     used to generate SAROAD update transactions.  However,

     some regional offices submit all AQDHS-II and EIS/PR

     data into the EPA systems   periodically, rather than

     attempt to identify the specific change transactions

     which would be needed to reconcile the differences

     between the data bases.



(3)   AQDHS-II  and EIS/PR Offer  Standard Reporting and

     Specialized Programming Capabilities.



     AQDHS-II  and EIS/PR produce standard reports but

     users can also produce  customized reports by using

     COBOL or  the CDHS report-generator package.   There

     are four  standard AQDHS-II reports,  as follows:



            Detailed list reports by sampling interval

            Sliding average reports,  which include
            the number of readings,  mean and maximum
            values
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            Data analysis reports, which display arith-
            metic values and percentiles for various
            selection criteria

            Formatted SAROAD output  file dumps
    There are three  standard reports  for EIS/PR, as

    follows:
            File  lists, which  show one point  source
            or  area  source record per page

            Summary  reports on emissions data across
            various  selection  criteria

            Formatted NEDS output file dumps
     These  standard  reports  are  enhanced  by  user-generated

     report retrieval  programs which  provide additional

     information  needed  by state managers.



(4)   CDHS Systems Are  Designed to  Operate on Different

     Computer  Configurations While Maintaining  Standard

     Edit,  Report and  File Maintenance Procedures.



     AQDHS-II  and EIS/PR are designed to  operate on both

     tape and  disk files.  The systems are written  and

     have been installed on  a variety of  different  com-

     puters including  IBM, UNIVAC  and CDC equipment.



     EIS/PR is composed  of three major components,  as

     follows:



                         140                     index systems inc

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        Master file



        Edit, update and retrieval routines



        Emission factors table







The master file can reside on either tape or disk.



It contains files similar to those of NEDS, although



the files are accessed only by plant segment, point



source, or fuel and process keys.  The plant segment



contains descriptive data on the site, including



codes for geographical and plant identification.



Each point source contains information on operating



characteristics, compliance status, control equip-



ment and emissions.  The fuel and process keys con-



tain data on process output and emission factors.



The EIS/PR master file also contains area source



parameters similar to those used within NEDS.







The EIS master file is constructed from information



supplied on add, change or delete transactions.



Unlike NEDS, which only tracks emissions data on



five pollutants, EIS/PR is capable of storing data



on as many as sixteen different pollutants.  This



enables states to maintain emissions inventories



on non-criteria pollutants, such as lead or flouride,



which may be included in state regulations.
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EIS/PR also contains a special report-generator



program which allows the user to program special



reports.  In addition, EIS/PR has routines for



converting EIS/PR point and area source data into



NEDS input format and for converting NEDS data



into EIS/PR readable formats.







AQDHS-II contains many of the same features as does



EIS/PR.  AQDHS-II maintains a similar report retrieval



capability, and can convert data to SAROAD input



format.  The AQDHS-II data base also contains data



similar to those which are maintained by SAROAD on



monitoring stations, sampling intervals and sampling



values.  However, there are no summary or frequency



files maintained in AQDHS-II.  Furthermore, CDHS



does not provide for on-line retrieval of information.







Editing capabilities for both EIS/PR and AQDHS-II are



more limited than those available from NEDS and SAROAD.



CDHS edits are adequate for screening out most for-



matting errors but do not provide good tools for



identifying unrealistic input values.
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(5)   AQDHS-II  and  EIS/PR Are Maintained and  Installed



     by  EPA and  Contractors But Are Operated by



     State  Agencies.








     The CDHS  systems were first  conceived in  1970  and



     were developed with EPA funds during the  period 1972-



     1974.   The  first systems  were installed in  late 1973.



     Systems generally  are installed  by EPA  contractors



     on  computer systems used  by  the  states.  Installation



     costs  average $17,000 and include a  one-week user



     training  session.   Once a system is  installed, the



     state  is  responsible  for  subsequent  operating costs



     associated  with  the system.







     The CDHS  system  software  is  maintained  by NADB.   An



     EPA contractor is  available  to perform  trouble-shooting,



     when necessary,  and to provide additional system



     enhancements  for implementation  by the  states.



     Currently,  there is one person responsible  for coordi-



     nating enhancements, programming problems,  and user



     interfacing.  Periodically,  NADB distributes a CDHS



     newsletter  to state and regional users  which informs



     users  of  changes in system capabilities.







     The contract  costs for AQDHS-II  and  EIS/PR  are



     difficult to  identify separately since  some contracts
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involve work related to both systems.  Estimated



contractor costs for CDHS system development and main-



tenance, user support and documentation are shown



in Exhibit 4-5, on the following page.  They amount



to $521,000 for fiscal year 1976.  Seventy-two per-



cent of these costs are related to implementing the



systems within the states.  The remainder is



associated with development and continuing user



support.  NADB personnel responsible for CDHS



estimate that $400,000 will be needed over the



next two years to continue system development



and user support.  Another $100-200,000 are expected  to



be spent on state implementations.  This estimate  is



based on an additional five-to-ten systems being



implemented in the states over the next two years.







Actual computer processing costs for CDHS are difficult



to determine precisely, since usage varies with



state size and reporting needs, and state costs



differ depending upon state hardware and billing



algorithms.  However, CDHS personnel estimate that



12-24 CPU hours are used annually by small states,



and 24-48 CPU hours for large states, at an average



of $300 per CPU hour.
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Exhibit 4-5
U.S. Environmental Protection Agency
CDHS Contractor Costs

State Implementations
Development &
Enhancements
User Support &
Documentation
Trouble-Shooting
TOTAL
1975
$123,000
$109,000
$ 55,000
$ 50,000
$337,000
1976
$380,000
$ 96,000
$ 20,000
$ 25,000
$521,000
1977-1978
(2 year estimate)
$100-200,000
$ 250,000
$ 50,000
§ 100,000
$500-600,000
     145

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    (6)  The Enforcement Management System (EMS) Is Being

         Replaced by State Systems Compatible with the

         Compliance Data System (CDS).




         EMS was developed in 1972 for use by state and

         local agencies.  Its purpose was to monitor the

         compliance status of point sources.  It is installed,

         at present, in five states.  The EMS system design

         was used as the basis for the Compliance Data System,

         which is operated by the Office of Enforcement.

         However, EMS currently cannot interface easily with

         CDS.  Instead, the Division of Stationary Source

         Enforcement (DSSE) is adapting CDS for use by states

         to facilitate the interface between state data and

         the EPA version of CDS.  There are no plans to expand

         the capabilities of EMS or to install it in additional

         locations.



5.  OTHER AEROS SYSTEMS ARE USED TO RETRIEVE AIR QUALITY OR

    EMISSION DATA, AND TO PERFORM STATISTICAL ANALYSES.




    There are ten other AEROS systems which are used to

    support air program activities, as follows:




            Energy Data System

            Form 67

            Quality Assurance Management Information
            System  (QAMIS)




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        State Implementation Planning System  (SIPS)

        Source Test Data System  (SOTDAT)

        Hazardous and Trace Elements Inventory
        System (HATREMS)

        Weighted Sensitivity Analysis Program (WSAP)

        Regional Emission Projection System  (REPS)

        Source Inventory and Emission Factor
        Analysis (SIEFA)

        Computer-Assisted Area Source Emissions
        Guiding Procedure (CAASE)



These systems are designed to operate on the UNIVAC

1110, and in many cases, access data from either

SAROAD or NEDS.



(1)  The Energy Data System (EDS) and the Federal

     Power Commission Form 67 System Report Energy-

     Related Data on Power Plants.



     EDS and Form 67 are two separate computer systems

     used by EPA for enforcement, modeling and planning.

     EDS is being developed currently with contractor

     support to operate on the UNIVAC 1110.  Form 67

     is maintained by the Federal Power Commission.  EPA

     receives a copy of the data base annually and operates

     the system on the UNIVAC.
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The Strategies and Air Standards Division  (SASD)

has developed EDS to aid in assessing the air

quality and energy impacts of environmental legis-

lation.  EDS provides interactive access to energy-

related data collected from other EPA data banks.

EDS receives its data from NEDS, SAROAD, CDS and

Federal Power Commission Form 67.  In addition,

emission regulations and environmental policy data

are entered manually into the system.  When fully

developed, the data base will contain seven types

of data, as follows:



        Fuel quantity and consumption data

        Plant design and operating data

        Emission regulations

        Compliance information

        Future megawatt capacities

        Diffusion modeling results

        Air quality data



EDS produces interactive reports that cover five

major areas, as follows:
        Fuel use summaries by geographical region
        and by categories

        Emission and equipment information for
        large fuel-burning sources

        Compliance schedules and status
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        Modeling results for large power plants

        Air quality data in the vicinity of large
        power plants
ADP costs for EDS for fiscal year 1976 are

approximately $186,000.  EDS zero-based budget

estimates for 1977 are $300,000.  EDS requires two man-

years of EPA staff to maintain  the system and data

base.  Development contractor obligations since 1974

have amounted to $402,000.  These contract monies

include work scheduled for completion through 1977.



Since 1969, the Federal Power Commission  (FPC)

has collected information on monthly and annual

fuel use by boiler, and associated sulfur and ash

content from each power plant over 25 megawatt

capacity.  This information is  stored in the

FPC's Form 67 system.  EPA receives magnetic tapes

from FPC each year for inclusion in its data base.

Approximately 400 items are submitted annually for

each power plant.  Currently, there are about 800

power plants in the file.  Form 67 can report

power plant information according to various selec-

tion criteria and sort options.  Fiscal year 1976 com-

puter costs are about $175,000.  Contractor costs for

1976 and 1977 are expected to be $160,000.
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(2)   The  Quality  Assurance Management  Information System



     (QAMIS)  Stores  and  Retrieves  Quality Control Data on



     Air  Pollution Collection  Agencies.






     QAMIS  was  designed  in 1974  by the National  Air



     Data Branch  to  record questionnaire  data submitted



     to agencies,  and  laboratories involved in monitoring,



     collecting,  and interpreting  air  quality data.   Data



     were collected  on approximately 250  agencies and



     laboratories which  collectively operated and



     maintained 2,500  monitoring sites.   The purpose



     of the data  was to  evaluate the existing air



     quality monitoring  networks which were submit-



     ting data  to SAROAD.  QAMIS provides the ability



     to analyze quality  assurance  information relating



     to SAROAD  sites,  agencies and measurement methods.






     QAMIS  produces  reports  by five standard selection



     criteria,  as follows:






             Agency



             Laboratory



         .   Site



             Pollutant



             Opinion survey
                        150
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     The QAMIS  system has  not been  updated since 1974


     and there  are  no current plans by either  OAQPS or

     ORD to expand  the system.   Current annual costs

     for computer usage are  approximately $2,000.




(3)   The State  Implementation Planning System  (SIPS)

     Stores and Reports Text on  State  Implementation Plans.




     In  1974, the SIPS system was designed by  NADB as

     a tool for storing, retrieving and analyzing  text

     associated with  state implementation plans.   With

     the assistance of the Division of Stationary  Source

     Enforcement and  regional offices,  NADB input  approxi-

     mately 5,000 state regulations into the SIPS  data

     base.   Parameter codes  were established for legal

     authorities, control  strategies,  geographic areas

     and other  identifying criteria.   Currently, NADB

     and the Standards Implementation  Branch within

     OAQPS  are  verifying and updating  the text.  The

     primary source of current changes and modifications

     to  SIPS are taken from  the  Federal Register.




     SIPS produces  listings  upon request of selected

     portions of state implementation  plans.   Approxi-

     mately 18  selection codes can  be  used to  access

     specific regulatory information.   In addition,
                       151
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     reports can be produced according to various selection



     criteria,  such as state,  region,  regulation status



     and date.   SIPS contractor development and maintenance



     costs for  1976 are $38,000 and are expected to increase



     slightly over the next two years.   Manpower support



     for SIPS is currently one-to-one-and-a-half manyears



     and is expected to stabalize at two manyears in the



     future. Computer costs for fiscal year 1976 will be



     approximately $13,000.







(4)   The Source Test Data (SOTDAT)  System Stores,  Analyzes



     and Retrieves Stationary  Source Test Data.







     SOTDAT operates on the UNIVAC  1110 at the  National



     Computer Center and is maintained and operated by



     the National Air Data Branch.   This system was



     developed  beginning in 1973, with contractor



     assistance,  and became operational in January,  1976.



     SOTDAT stores and retrieves data  gathered  from



     stack tests  and other emission measurements.   SOTDAT



     data differ  from those stored  in  NEDS in that  SOTDAT



     data represent actual stack emissions data, whereas



     NEDS data  reflect estimated emission information



     only.   Currently,  there are about  700 point source



     test records stored within  SOTDAT.   These  records



     contain four major  types  of information stored  on
                        152                      index systems inc

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each test source, as follows:



        Plant and fuel data

        Process team parameters

        Pollutant test results

        Control device data



The primary purpose of SOTDAT is to provide a means

of updating and improving emission factors for

specific SCC codes.   In addition, SOTDAT also

provides data for evaluating equipment performance

and for providing construction site cost estimates.

Furthermore, SOTDAT can be used to store information

related to enforcement activities.



There are three major types of report retrieval

capabilities within the SOTDAT system.  Reports

can be produced by three criteria, as follows:



       uata for all test runs by pollutant

       Emission factors by SCC code

       Descriptive data on source sites that
       had associated test runs



These reports can be retrieved on-line or in

batch mode.
                    153                     index systems inc

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     Source tests are conducted by both EPA and non-EPA
     sources for both enforcement and research purposes.
     Stack test data are collected and coded by OAQPS
     staff or contractors.   Data sources include both
     published articles as  well as test results submitted
     directly to OAQPS from other EPA offices or outside
     sources.  The current  data base is expected to
     increase by approximately 400~to-500 point source
     records annually.  It  is estimated that two manyears
     of effort are required to gather and encode data
     and to update the SOTDAT system.   Computer costs
     for fiscal year 1976 are estimated at approximately
     $38,000.  This usage level is expected to remain
     stable over the next several years.

(5)   The Hazardous and Trace Elements Inventory System
     (HATREMS)  Is Designed  to Store and Retrieve Operating
     Parameters and Estimated Emissions Data for Non-Criteria
     Pollutants.

     HATREMS is being developed currently by OAQPS  and
     contractors to store and report emissions information
     on non-criteria pollutants.   HATREMS is expected to  be
     operational  during fiscal year 1977.   It is designed
     to store point source  descriptive  data,  emission
     factors,  and SCC data  for non-criteria pollutants.
     The data base will have a similar  structure to that
                        154
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     of  NEDS  in that  it  will maintain  both  a  point  source



     and area source  file.  The majority  of source  sites



     in  HATREMS will  be  taken  directly from NEDS.   It  is



     estimated that an additional  100-to-500  point  sources



     will have to be  input  to  make a complete inventory of



     non-criteria pollutant sources.








     HATREMS  will be  used by OAQPS staff  to monitor and pro-



     ject non-criteria pollutant emissions  and to develop



     emission factors for those pollutants.  The initial



     point source data will be taken directly from  NEDS.



     It  is estimated  that this system  will  cost between



     $25,000  and $50,000 annually  and  require approximately



     one manyear to maintain.  The system will operate on the



     UNIVAC 1110 and  will be accessible by  batch processing



     only. Anticipated  contractor costs  for  1976 are  approxi-



     mately $50,000 and  are expected to remain constant



     for 1977.







(6)   Four Analysis Packages Are Used by EPA to Perform



     Emission Forecasts  and Statistical Analyses Using



     NEDS or  SAROAD-Related Data.







     NADB maintains four small reporting  and  analysis



     packages that perform  emission projections and analyze



     existing emission data, as follows:
                                                index systems inc

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        Weighted Sensitivity Analysis Program  (WSAP)

        Regional Emission Projection System  (REPS)

        Source Inventory and Emission Factor Analysis
        (SIEFA)

        Computer-Assisted Area Source Emissions Guiding
        Procedure  (CAASE)
WSAP allows users to analyze quantitatively the

effects of potential errors in air pollution source

emissions inventories.  The primary objective of

WSAP is to calculate the maximum variation in emissions

for each of the component sub-categories of the emis-

sion inventory.  An acceptable error in total emissions

of a criteria pollutant is specified for a geographical

area.  WSAP then calculates the maximum variance in

emissions for each sub-category in order to produce

the acceptable error rate for the total inventory.



REPS is a computerized air pollution emissions pro-

jection model.  It combines national and regional

economic forecasts with NEDS point and area source

emission inventories for AQCR's.  it projects annual

air pollution levels for the five criteria pollutants

up to the year 2000.  REPS produces projections based

on three parameters, as follows:
        Calculation of growth factors from economic
        and demographic forecasts
                   156                      index systems inc

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        Projection  of  emissions  from  base  year
        inventories

        Inclusion of the  effects of emission  control
        devices  on  emission  levels
REPS uses  three primary  sources  for economic and

demographic  forecasts, as follows:
       EPA developed national economic growth
       projections from the Strategic Environmental
       Assessment System  (SEAS)

       The Department of Commerce regional activity
       projections  (OBERS)

       The NEDS data base
SIEFA is an analysis package that estimates the

imprecisions associated with the NEDS inventory for

any given geographic area.  Internal SIEPA tables store

pre-calculated errors and variances associated with

NEDS emission factors.  NEDS area and point source

files are used to estimate the precision of the associated

emissions.  A major part of the SIEFA system is devoted

to estimating the precision associated with mobile

sources.  The SIEFA report includes the calculated pre-

cision and accuracy of emissions for each source category.

Precision is reported as the standard deviation of the

emission estimate.  The accuracy is estimated by

counting those point sources within a source category

which had inadequate data for NEDS to calculate emissions.


                     157                      index systems inc

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SIEFA substitutes standard values for these missing data



items and estimates the resultant source emission values,



These values are added to the NEDS emissions to present



an approximate indication of the accuracy of the NEDS



inventory.  SIEFA reports can be printed by specifying



a criteria pollutant and a geographical area.







CAASE is used to restructure the NEDS county-organized



area source data into uniform grid areas.  These grid



formats are necessary input to three mathematical



models, as follows:







       Implementation Planning Program  (IPP)



       Comprehensive Dispersion Model (COM)



       Air Quality Dispersion Model  (AQDM)







CAASE apportions fuel and emissions  data  from the



NEDS area file based on demographic  characteristics



within the respective areas,  it provides activity



levels and emissions for each criteria pollutant.








REPS, SIEFA, CAASE, and WSAP are routines which



access the NEDS data base.  Overall NEDS computer



costs include costs for these four programs.
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6.   DATA SYSTEMS ARE USED WITHIN THE OFFICE OF RESEARCH AND
    DEVELOPMENT TO SUPPORT HEALTH EFFECTS RESEARCH, TO DEVELOP
    AIR QUALITY MODELS AND TO ANALYZE NON-CRITERIA POLLUTANTS.

    The Office of Research and Development conducts various
    studies which require large quantities of highly-reliable
    data.   Most of the ADP support related to air pollution
    research is associated with three programs, as follows:
            Community Health Environmental Surveillance
            System (CHESS)/Community Health Air Monitoring
            Program (CHAMP)
            Regional Air Pollution Study (RAPS)
            National Air Surveillance Network  (NASN)
    The principal data banks associated with each system are
    maintained at the National Computing Center in RTF.   ORD
    use of these systems represents approximately 35% of
    current UNIVAC 1110 utilization.

    (1)   The Community Health Air Monitoring Program (CHAMP)
         and the Community Health Environmental Surveillance
         System (CHESS)  Provide Information on the Effects
         of Specific Air Pollutants on Human Health.

         The CHESS program was initiated in 1970 to gather
         air quality and health information from 22 communities

                              159                      index systems inc

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located in five metropolitan areas around the

country.  Air quality data were collected over a

five-year period for various pollutants including

total and respiratory particulates, sulfur dioxide

and nitrogen oxides.  In addition, health informa-

tion was collected from individuals and families

residing within two miles of the air monitoring

stations.  Epidemiologic studies associated with

CHESS included three areas, as follows:



       Chronic respiratory disease

       Acute lower respiratory disease

    .  Asthmatic attacks



The CHESS system consists of 240 COBOL and FORTRAN

programs which were used to store and analyze the

daily averaged air quality data and health ques-

tionnaire responses.  Four types of reports are

available from the system, as follows:



       Air quality summaries

       Demographic information

    .  Acute, episode and respiratory disease
       summaries

       Statistical analyses
                    160                      index systems inc

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Currently, EPA researchers are analyzing  the data

and proceeding with the publication of results of

the various CHESS studies.



In 1973,  the CHAMP program was initiated  to gather

data on short-term human exposures to various air

pollutants.  The system collects air quality from

23 air monitoring stations located in five commu-

nities.   Presently, the CHAMP system stores air

quality date for eight pollutants, as follows:



       Nitric oxide

       Nitrogen dioxide

       Ozone

       Sulfur dioxide

       Methane and non-methane hydrocarbons

       Carbon monoxide

       Peroxyacetylnitrate (PAN)

       Suspended particulate matter (total and
       respirable)



In addition, each monitoring site collects meteoro-

logical information on wind speed and direction,

temperature, humidity and barometric pressure.
                     161                      index systems inc

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    The principal distinction between CHESS and CHAMP



    is the  sophistication of the monitoring network



    and data  flow.  CHAMP has been designed to acquire



    continuous air quality  information  through the use



    of mini-computer-controlled monitoring stations



    and to  transmit the data to the National  Computing



    Center  (NCC) via  telephone lines.   In addition,



    each  field mini-computer monitors various system



    parameters against present limits to facilitate



    equipment calibration.







    Fiscal  year  1976  computer charges for CHAMP/CHESS



    are $342,000.  These costs are expected to remain



    stable  for fiscal year  1977.







(2)  The Regional Air  Pollution Study  (RAPS) Stores Emissions



    and Air Quality Data for Use by Researchers in the



    Development, Evaluation and Validation of Criteria



    Pollutant Air Quality Models.







    The RAPS  program  was initiated in FY  1973 to  collect



    detailed  air quality and emissions  data on the



    criteria  pollutants to  be used by researchers in



    the development and validation of urban dispersion/



    diffusion models. The  St. Louis AQCR was selected
                         162                      index systems inc

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for study under the RAPS program because of its


relatively flat terrain and its isolation from


other major sources of pollution.




The Meteorology Laboratory at RTF within the


Office of Research and Development has overall


responsibility for the RAPS project with specific


responsibility for collecting ambient air quality


data and for operating the Regional Air Monitoring


System  (RAMS).  Twenty-five mini-computer-controlled


monitoring stations located around St. Louis


comprise the RAMS network.  Sampling is done every


half-second and voltages from each station are


communicated to a central mini-computer in St. Louis


where a daily tape of one-minute averages is created.


A copy of this tape is sent to RTP for data validation


and archiving of hourly averages.




In addition, RAPS requires a detailed and compre-


hensive source and emission inventory.  The National


Air Data Branch (NADB) has developed the emission


inventory techniques and is participating in the


collection of source/emission data.
                     163
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     NCC  charges associated  with RAPS for FY 76  are


     expected to be $250,000.   $38,000 of these  costs


     are  attributable  to OAQPS  emissions  inventory data


     collection.   The  remainder is attributable  to ORD.


     ORD  costs are expected  to  remain constant for fiscal year


     1977.   OAQPS costs  will be eliminated.





(3)   The  NASN System Is  Used by Research  Personnel to


     Store  and Analyze Air Quality Data on Non-Criteria


     Pollutants.





     The  Environmental Monitoring and Support Laboratory


     (EMSL)  maintains  and reports data on ambient levels


     of non-criteria pollutants collected from 250 EPA


     maintained NASN sites generally located in  urban


     areas.   In 1966,  the SAROAD system was  designed  to


     store  air quality data  collected by  the NASN network.


     With the creation of the National Air Data  Branch


     in 1972,  The SAROAD system increased in scope to


     include air  monitoring  data reported to EPA by


     state  and local agencies.





     EMSL continues to collect  non-criteria  data from


     NASN and others.  Filters  from the various  NASN  sites


     are  sent to  regional offices where they are


     weighed and  forwarded to EMSL for laboratory


     analysis.  Air quality  data associated  with NASN



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and other EMSL programs are stored in a data bank
similar in format and design to SAROAD.  This
system, referred to as "mini-SAROAD", utilizes
specialized edit and report programs, although its
data base structure is essentially the same as
SAROAD.  In 1974, the Filter Bank System  (FBS)
was designed to assist the laboratory analysis
performed by EMSL.  Various filter information and
test results are entered into FBS on-line.  Approx-
imately every two weeks a transaction tape of filter
analysis data is created by FBS for an update of
"mini-SAROAD".

Subsequently, "mini-SAROAD" is used for validation
of data, report retrieval and non-criteria pollutant
analysis.  On a periodic basis validated data are
provided to NADB for inclusion in the national
SAROAD data base.

Total NCC charges for FBS and "mini-SAROAD" in FY
76 are expected to be $54,000.
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 In  summary, air data  systems operate primarily on  the
 UNIVAC  1110 in support of program  personnel within OAQPS
 and ORD.  State personnel are  supported primarily  by
 CDHS  in those states  which have operational versions of
 CDHS, by  locally developed systems or by manual  record-
 keeping systems.   Regional personnel make limited  use
of NEDS and SAROAD reports, and expend most of their
 air data  processing resources  in entering and correcting
 state-supplied ambient and emissions data.
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V.  PROBLEM AREAS
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                      V.   PROBLEM AREAS






This chapter presents an analysis of the problem areas



associated with ADP support for the air program.  The



chapter is divided into five sections, as follows:






        Systems Deficiencies and Scientific Limitations

        Hindering Air Program Data Activities


        Data Flow Problems


        Technical and Operations Problems



        Cost-related Problems



        System Management Problems






1.  THE SCIENTIFIC COMPLEXITY OF CURRENT MONITORING ACTIVITIES


    LIMITS THE USEFULNESS OF CAPTURED DATA WHICH ARE STORED IN


    THE AEROS SYSTEMS.






    Completeness, accuracy and currency problems associated with



    air quality and emissions data arise from the complex siting


    and quality assurance problems associated with EPA's monitor-


    ing strategy.  These monitoring strategy problems limit the


    usefulness of the data systems, NEDS and SAROAD in support-


    ing modeling applications, significant deterioration review,


    trend analysis and compliance monitoring/since the infor-


    mation contained in the data systems can be no better than


    the data acquired as part of the monitoring strategy.
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(1)   The  Incompleteness  of  State-submitted Air Quality

     Data Limits  the  Scope  of Trend and Compliance Analysis.



     EPA  air  program  personnel need to evaluate air quality

     and  emissions  trends and compliance with  standards in

     order to perform three planning and review functions,

     as follows:



             Review national abatement plan progress

             Develop  and rank new  national air program
             activities

             Prepare  the national  report for Congress  and
             the  general public on the condition and trends
             in air quality and emissions



     However,  limitations in the availability  of S02 and TSP

     air  quality  data and the absence of good  quality  nation-

     wide ambient motor  vehicle pollutant data have con-

     strained EPA's ability to perform these functions.



     EPA  has  established two criteria definitions concerning

     the  ambient  data reported from a monitoring station,  as

     follows:
            Minimal year of data - at least three  24-hour
            monitor samples or 400 hourly values from
            continuous samples

            Valid year of data - at least five 24-hour
            monitor samples or 75 percent of the possible
            hourly values for a continous monitor  in each
            quarter of a calendar year
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Using these definitions, the Council on Environmental
Quality (CEQ)  noted that only 15% of TSP stations
and 46% of S02 stations reporting minimal data sub-
mitted data sufficiently complete to allow for cal-
culation of a valid annual mean as needed to review
and analyze program progress.  Approximately half of
the reporting stations could not be evaluated for
compliance with annual standards for these pollutants.

Furthermore, CEQ found that states had failed to sub-
mit sufficient data to determine the attainment status
of each AQCR by pollutant.  This determination requires
that at least one station report a valid year of data
in order to evaluate annual standard compliance and
that at least one station report a minimal year of data
in order to evaluate short-term standard compliance.
In 1974, 37% of the AQCR's reported insufficient ambient
S02 data to determine annual standard attainment and 15%
of the AQCR's reported insufficient data to assess com-
pliance with any ambient 802 standard.

In addition, SAROAD received only limited historical
monitoring data for oxidants, carbon monoxide and
nitrogen dioxide, as needed to measure progress in air
pollution abatement of motor vehicle-related pollutants.
California is the primary source of most of the historical
air quality oxidant data.  Consequently, most analyses

                     169                      index systems inc

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     are limited to the California area.   Because of changes
     in measurement methods for nitrogen  dioxide, no areas
     have sufficient historical data to assess NO- trends.
     As a result,  the historical monitoring data submitted
     to and therefore available from SAROAD have proven
     inadequate to assess  national trends in oxidant formation
     or in developing corresponding control strategies.

(2)   Incomplete and Inaccurate  State-submitted Emissions
     Data Limit the Usefulness  of NEDS-provided Information.

     National  emissions analysis and trend reporting are
     hampered  by completeness,  currency and accuracy problems
     associated with the source information submitted by
     states to NEDS data base.   In contrast to the direct
     measurement used co report ambient air quality,  emissions
     estimates are the  result of calculations  obtained by
     applying  emission  factors  to source  inventory informa-
     tion.   The accuracy,  currency and  completeness  of NEDS
     point source  information is deficient because states
     fail to notify Regions regarding new  sources  that come
     into operation,  cease  operation, modify operation or
     change fuels.   Over 50% of the  source records in NEDS
     have not  been updated  since  1972 because  of  the  low
     priority  given to  submitting updated  emissions data
     by  states.
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     In  the  absence of  good quality emissions data, analysts



     have  projected emission  levels on  the basis of industry



     forecasts,  fuel utilization  and economic indicators.



     These different estimating techniques, data sources,



     working assumptions  and  definitions have produced



     conflicting emissions estimates and have exposed EPA



     and state  agencies to legal  attack from affected



     companies.







(3)   The Siting and Selection of  Monitoring and Emissions



     Information Does Not Satisfy the Data Needs of Modelers



     and Researchers.







     Simulation models  are being  used increasingly by state



     and regional offices to  support new source reviews, SIP



     revisions,  and air quality maintenance planning



     activities.  The models  that are available currently  for



     use are concerned  primarily  with non-reactive pollutants



     such  as TSP, SO> and CO. Since most monitoring stations



     are sited  for reasons other  than collecting data for



     model calibration, most  air  quality data are only



     partially  adequate for calibration purposes.  Submitted



     emissions  data available from NEDS are often inappro-



     priate  for use in  modeling as well.  As a result,



     modelers use whatever ambient and  emissions data have



     been  assembled in  AEROS  as part of the monitoring  network
                         171                      index systems inc

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strategy as a first pass.  They then supplement these
data with specially acquired data to improve the
accuracy and validity of their modeling results.

Similarly, researchers are not always able to rely upon
the monitoring network data stored in SAROAD to support
special research projects for three reasons, as follows:
        National monitoring stations are sited
        primarily to provide a general index to
        pollution levels and not to satisfy specific
        research requirements.
        The quality of the collected national monitor-
        ing data is unknown in many cases.
        The time interval over which air quality data
        are sampled and averaged is not appropriate
        for various research studies.
As a result, research programs have established their own
monitoring networks to supply specialized monitoring
information to support their research projects.  For
example, the CHAMP program has selected certain
municipalities in which to study the health impact of
exposure to specific pollutants.  The siting of stations
within these municipalities is far more concentrated
than would be needed to monitor SIP progress or to
perform related trend analysis.

In addition, both CHAMP and RAPS utilize mini-computers
to control and calibrate the various instruments used

                     172                     index systems inc

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         to acquire air quality data.   By contrast,  because

         of cost considerations, most state and local monitoring

         networks rely on human operators to record data from

         strip charts and to perform various calibration efforts.



2.  DEFICIENCIES IN NEDS AND SAROAD DATA FLOWS CONTRIBUTE TO

    DATA INACCURACIES AND CAUSE UNNECESSARY MANUAL PROCESSING.



    NEDS and SAROAD data originate primarily with states and then

    are forwarded to EPA regional offices for entry into the

    respective EPA systems.  Numerous bottlenecks and inefficiencies

    occur during these data flows.



    (1)  NEDS Data Flow Problems Stem From Cumbersome Procedures

         Involving Multiple Organizations.



         The flow of emissions data among states, regions and

         NEDS is complicated by five factors, as follows:



                 Lengthy turnaround time for edits

                 The natural complexity of emissions data and
                 the NEDS input forms

                 Need for technical expertise at the regional
                 level to review state submittals

                 State procedures and organization whereby the
                 recorders of data (engineers) do not use the
                 data but view data recording as an externally
                 imposed burden

                 Late state submittals
                              173                      index systems inc

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These  factors affect the reliability of data submitted



to NEDS, and contribute to increased workloads  for



regional and state offices.  For example, regions



generally do not receive edit feedback on NEDS  data



for three-to-four weeks after submittal.  Corrections



to these data then require an additional three-to-four



weeks.  Given the reluctance of state engineers to



"waste time" submitting or correcting NEDS forms,



these  time delays contribute to the high incidence of



late or non-submittals.







Similarly, filling out portions of the NEDS input form



requires specialized engineering or technical expertise,



However, state offices have only limited trained man-



power available to perform these functions.  As a



result, state clerical staff oftentimes are used to



fill out portions of the form.  However, these clerical



personnel have difficulty filling in the correct SCC



and method codes.  This problem is compounded by the



fact that NEDS does not maintain adequate SCC codes for



all plant types.  NADB staff have estimated that 20% of



all SCC codes within NEDS are assigned incorrectly to



plants, either because of improper recording by state



personnel, or because no valid SCC code exists for the



plant.
                    174                      index systems inc

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     Regional offices also require  technical  expertise



     to review state input and to identify incorrect or



     suspicious data values.   In addition, regions  must



     record which data have been submitted to NEDS.  This



     record-keeping is necessary to prevent the  redundant



     entry of NEDS data and to prevent the entry of data



     which are out of sequence.








     NEDS data completeness and currency are  affected also



     by late state submittals.   By  regulation, states are



     required to submit NEDS  data within forty-five days



     after each semi-annual reporting period.  In practice,



     states are frequently late in  submitting required data.



     NADB personnel have estimated  that as much  as  65%-70%



     of states submit data late or  submit incomplete data.



     Only one-third of the states meet the complete reporting



     requirements on time.







(2)   SAROAD Data Flow Problems Stem Primarily From  Univac



     Hardware Problems and Related  System Design Inefficiencies.







     The flow of ambient data among states, regions and



     Headquarters is constrained by three factors,  as follows:







             Unstable hardware environment



             Resulting infrequent system updates



             Resulting slow report  turnaround time








                         I?5                     index systems inc

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         SAROAD has been updated only three times between


         December,  1975 and June, \916.   The infrequency of


         these updates has caused SAROAD data to be incomplete


         and out of date.   Data base inaccuracies are due also


         to slow report turnaround times for regional offices


         which wish to verify their SAROAD data.  These delays


         have been  caused primarily by the instability of the


         UNIVAC, by contention problems with data stored on


         tape, and  by system design characteristics which required


         lengthy program runs which were more susceptible to


         hardware failures.




3.   COMPUTER HARDWARE AND SYSTEM DESIGN PROBLEMS HAVE REDUCED


    THE USEFULNESS  OF AIR DATA SYSTEMS.




    Hardware instability of the UNIVAC together with various


    data system design deficiencies have contributed to


    inefficient computer resource utilization and have limited


    the accessibility of stored data.




    (1)  The Instability of the UNIVAC System Environment


         Has Created Problems for All Users of Air Data Systems.




         Since its  installation in 1974, hardware problems at


         NCC have created an unstable system environment which


         has inhibited timely data processing operations and


         has limited the accessibility of the information


         stored in the principle air data systems.  Frequent



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                             176

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system crashes and prolonged downtime have resulted

in three problems,  as follows:



        Data destruction

        Increased processing backlogs

        Delayed software conversion associated
        with hardware transition



These problems have affected principally the ADP

operations associated with ORD and OAQPS which

together represent approximately 90% of the utili-

zation of UNIVAC.



Exhibit 5-1, on the following page, depicts recent

monthly NCC performance.  The UNIVAC configuration

performed relatively better during the period October

through December, 1975.  However, in January, 1976, the

equipment performance deteriorated substantially.  The

high failure rate that has been experienced since

January is primarily attributable to the incorporation

of new hardware into the UNIVAC system on January 5.

These system failures have been attributable to five

general causes, as follows:
        Direct hardware difficulties (memory, CAU,
        disk subsystems and computer console mal-
        functions)

        Software deficiencies
                                             index systems inc

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                                                                               Exhibit  5-1
                                                      U.S.  Environmental Protection Agency
                                                                    NEC Monthly Performance
Month
Oct 75
Nbv 75
Dec 75
Jan. 76
Feb 76
March 76
April 76
May 76
MTBP1
16.3
13.7
15.6
9.6
8.2
10.2
10.5
10.4
^Failures
32
33
29
57
65
59
54
50
Total
Batch
11094
9477
9781
11624
11420
13648
12001
11603
Jobs
Demand
10294
9137
9574
13520
12418
16039
13951
14040
SUP He
Batch
822
685
682
782
854
997
864
799
TUTS
Demand
181
163
161
220
203
302
252
251
                                                                                                             CO
Mean Time Between Failures.
Standard Unit of Processing (SUP)  includes CPU,  I/O times and executive requests.

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             Computer and computer-room environment-
             related problems  or  failures

             Procedural  and operational stops

             Other unidentified causes
     In recent months,  actions  have  been  initiated to

     correct hardware malfunctions.   Certain hardware

     problems have  been isolated  and traced to  the disk

     subsystems and temperature problems  in the computer

     room.   Operating system software problems  have

     been identified also  and have been communicated to

     UNIVAC  for resolution.   Although some  improvements

     have been implemented,  the mean time between  failure

     is still below the NCC  goal  of  15 hours.



(2)   SAROAD  System  Design  and UNIVAC Operating  Problems

     Have Contributed to Delays in Updating and

     Retrieving Air Quality  Data.



     Over the past  year SAROAD  updates and  retrievals

     have been delayed  because  of three factors, as follows:
             Inadequate  SAROAD  program conversion  from IBM
             to  UNIVAC hardware

             Inefficient data base design

             Cumbersome  data files
                         179                      index systems inc

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These  factors together with the hardware instability



of the UNIVAC have contributed to operations and



scheduling problems at NCC.  For example, because



SAROAD raw data have been stored on over 18 tape



reels, the processing of data file updates and



retrievals has necessitated sequential scheduling



of jobs to avoid data file contention problems.  These



scheduling requirements together with frequent system



crashes have contributed to system backlogs and poor



turnaround time for users.







Many of the program modifications for SAROAD associated



with the IBM-to-UNIVAC hardware conversion were



performed inadequately by EPA contractors.  Approximately



75% of the programs that were converted from PL/1 and



MARK IV to COBOL had to be modified again by EPA before



the UNIVAC SAROAD could be installed.







Prior to system modification to UNIVAC hardware, SAROAD



operated as a disk-based system with the data base



residing on 11 disk packs.   Because of the growth



potential of the data base, NCC recommended that NADB



transform SAROAD into a tape-oriented system.   The



data base has since more than doubled to over 25 tapes.







The SAROAD file structure and size have resulted in an



excessive amount of computer time needed to update and







                   180                       index systems inc

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     retrieve  ravr data due to> file^rcontention problems. Further-

     more,  these  long processing  runs have made  SAROAD

     susceptible  to  UNIVAC system crashes.   Over the  past

     year data file  updates  and summary  file creation

     frequently have utilized over 40 SUP hours.  As  a

     result of frequent  UNIVAC crashes,  NADB has required

     an  average of three-to-four  weeks to complete routine

     data base maintenance functions.



(3)   SAROAD Design and UNIVAC Operating  Problems Have Forced

     EPA to Implement Significant System Modifications.



     Because of the  serious  design and operating problems

     associated with running the  poorly-converted SAROAD

     on  the UNIVAC 1110, EPA engaged Integrated  Services, Ind.

     (ISI)  to  undertake  a major modification effort  for

     SAROAD.  After  careful  analysis of  data file structure

     and content, ISI developed a scheme for a compacted

     and technically efficient data  base involving five

     design changes, as  follows:
             Separate the raw data file by interval code
             (less than 24-hour data and daily data)

             Archive raw data creating a historical file
             (1957-1973)  and a current file (1974-present)

             Create a compact key structure storing one
             year's worth of data in half-words

             Utilize fixed length records for less than
             24-hour data
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             Utilize random access devices for less than

             24-hour data
     The ISI SAROAD enhancement project is in the final


     system testing phase.   The preliminary results of


     the system test demonstrate a dramatic reduction in


     computer utilization for hourly raw data retrievals.


     For example,  raw data  listings for all 1975 ambient


     oxidant data  formerly  took  four SUP  hours, but have


     taken only five SUP minutes when  run off the new disk


     version.  These changes will eliminate also the


     need to sequence retrieval requests.   As a result,


     typical turnaround time will be reduced  from two-to-three


     days to one day.  ISI has  projected that the new data


     file update and summary file creation will utilize


     less than eight SUP hours  compared to the current average


     of 31 SUP hours.  Overall, these  modifications will


     make SAROAD less susceptible to hardware crashes


     and will make the data more  easily accessible  for


     update and retrieval activities.






(4)   NEDS System Design and  UNIVAC Operating Problems Have


     Contributed to Data Accuracy,  Reporting and System


     Performance Problems.






     Over the past year, NEDS  technical performance  and


     data quality  have been  affected by three factors,  as


     follows:



                         182
                                                  index systems inc

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        Inadequate NEDS report program conversion

        from IBM to UNIVAC



        Inefficient system updating routines



        Limited editing capability







These factors have made it difficult for regions



and NADB to maintain timely and accurate NEDS data.



At present, regions cannot edit their NEDS data



directly but must rely upon NADB to initiate data



edits.  Consequently, regions experience a delay of



two-to-three weeks, on average, before receiving



error reports.  Notwithstanding this delay, the NEDS



data may still be in error since the edit routines



do not validate incoming data for reasonableness.



These delays and limited editing capabilities



contribute to data accuracy problems and require



additional effort to resolve.







Many of the retrieval programs associated with the



IBM-to-UNIVAC conversion were not converted adequately.



Programs were changed from PL/1 to COBOL using a



converter program which did not document programs



and which, in some cases, generated codes which did not



run properly.  In addition, NADB analysts found that



subsequent enhancements could be performed more easily



by re-coding the converted programs than by trying to



patch the converted code.  In order to rectify the
                     183
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problem, NADB used contractor assistance to modify



and enhance NEDS programs, and to prepare user documen-



tation to facilitate regional NEDS use.  However,



regions had difficulty executing report programs while



these modifications were being implemented.  These



problems were due, in part, to NADB and regional



pressure to provide regional reporting capabilities



as quickly as possible.







Despite the conversion and subsequent contractor efforts,



NEDS update procedures are still inefficient.  After



every update, the entire user file is recreated.  This



process would be more efficient if only those records



which have changed since the last update were modified.



Although this inefficiency does not affect NEDS data



flows or data accuracy, it does contribute to excess



processing cost since it takes as long to update one



record as it does to update the entire file.  Processing



time reductions could be achieved by modifying the



update to modify only those records which change.  NADB



has issued a contract to correct this problem.
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(5)   CDHS Systems  Require Minor  Enhancement  to Meet
     State and EPA Needs.

     The  CDHS  systems  were  designed to  give  states  retrieval
     and  analysis  capabilities similar  to  those offered by
     NEDS and  SAROAD,  and to  facilitate state  submittals
     of air quality and  emissions  data  to  EPA.   However,
     CDHS has  three limitations  which reduce the effective-
     ness of these systems, as follows:
             CDHS  provides  few standard reports  and requires
             states  to  develop their  own customized reports.
             User  documentation is  too  technical for many
             state personnel.
             Only  limited editing capabilities are  provided
             by  the  systems.
     CDHS was  designed  to  offer  states  versatile  reporting
     capabilities  through  the  use  of  a  report generator
     package.   However,  most state and  local  agencies  have
     only limited  ADP personnel  available.  As a  result,
     they have not been able to  develop as  many local
     reports as they would prefer.  Many of these states
     have indicated that they  would prefer  EPA to develop
     more standard CDHS  reports  to relieve  state  agencies
     from this report design burden.

     Although  states are supplied  with  a training course
     and system documentation, state  managers have indicated

                         185                      index systems inc

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     that CDHS user documentation is generally too



     technical for state employees who are involved with



     coding,  data entry or report generation.   These



     managers have stated that they require more complete



     and descriptive documentation designed for use by



     less technically-oriented state personnel.







     Manpower expenditures for EIS/PR and AQDHS-II data



     entry and correction could be reduced if  CDHS edits



     were more comprehensive and if CDHS/AEROS interfaces



     were controlled more effectively.  For example, EIS/PR



     does not flag data that have been sent to NEDS.



     Consequently, states track these transmittals manually



     or resubmit data in order to insure that  NEDS data will



     be current.  Region IV, for example, has  instituted



     a policy of resubmitting all EIS data to  NEDS rather



     than to  attempt to track the specific data items which



     have been updated successfully in the past.  These



     policies require more state and regional  manpower and



     ADP expenditures than should be needed otherwise.







(6)   Interface Incompatibilities Between CDHS  and EPA



     Systems  Contribute to Data Incompleteness and Non-



     Currency.







     The CDHS systems (EIS/PR and AQDHS-II)  are designed to



     facilitate the transmittal of air quality and emissions
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     data to EPA air systems.   However,  technical features



     of CDHS affect data completeness,  accuracy and currency.







     Data which are entered successfully into a state system



     may be rejected subsequently when  they are submitted



     to NEDS or SAROAD.   This  occurs  because CDHS and AEROS



     do not employ the same edit and  validation checks.   As



     a result,  state,  regional and Headquarters personnel



     all become involved in modifying and correcting the  EPA



     system data.   Region IV,  for example,  has identified



     24 distinct steps which must occur  in order to adjust



     for data errors which result from  these edit and



     validation differences.   As a result,  the currency and



     completeness  of AEROS data suffers  since the correction



     process can take many months or  more to complete.







(7)   The System Objectives and Design of NEDS and SAROAD  Have



     Made Them  Inappropriate for Supporting Selected New



     Program Requirements.







     Not all special studies and programs have been supported



     adequately by the fixed set of reports and large,



     cumbersome data bases associated with  the principal



     AEROS systems.   NEDS and  SAROAD  were designed to provide



     standard reports  and not  to be used as a universal data



     base management system.   Consequently,  various other
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systems have been developed to fulfill specific needs



of air program personnel.








The Energy Data System  (EDS) has been developed as a



tool for SASD planners to use in determining air



quality and energy impacts associated with environ-



mental legislation.  Much of the data stored in EDS



is extracted from existing data systems such as NEDS,



SAROAD and CDS.  EDS was designed to satisfy the need



for easier access and retrieval of emissions, fuel



consumption and air quality data than are available



from the individual systems.







Other systems have been developed also to fulfill



other emissions-related data needs.  Since NEDS was



designed to store calculated emissions data for the



five criteria pollutants only, NADB is developing



the Hazardous and Trace Emissions System (HATREMS)



as an adjunct to NEDS in order to maintain and report



non-criteria emissions data.  Similarly, the Source



Test Data System (SOTDAT) was developed to supply



EPA engineers with more detailed information with which



to update and improve emission factors than can be



provided by NEDS.
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4.  AIR ADP SYSTEMS COSTS OF OVER THREE MILLION DOLLARS IN

    1976 ARE EXPECTED TO BE REDUCED IN 1977.



    EPA ADP system costs for the entry, storage and retrieval

    of aerometric data are expected to be $3,126,000 in fiscal

    year 1976.  These costs include the operating costs for

    state CDHS systems.  Exhibit 5-2, on the following page,

    shows air system costs for 1975 and 1976 for the four

    principal EPA users, as follows:
            The Office of Air Quality Planning and Standards
            (OAQPS)

            The Division of Stationary Source Enforcement
            (DSSE)

            The Office of Research and Development

            The Regional Offices
    These costs were taken from the Time-Sharing Services

    Management System (TSSMS).   The 1976 costs were annualized

    from the June TSSMS report.



    State costs are difficult to ascertain directly, since

    state usage varies with data base size, reporting usage

    and billing algorithms for each state computer facility.

    The aggregate state CDHS costs of $300,000 are based on

    annual computer resource estimates provided by NADB system

    managers.  The annual state computer utilization estimates

    were extended by the number of new state installations and




                            189                       index systems inc

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Exhibit 5-2
U.S. Environmental Protection Agency
ADP Air Costs by EPA User

OAQPS
ORD
OE
Regions
States
TOTAL
1976
l,656f 000
857,000
54,000
300,000
300,000
3,126,000
1975
1,299,205
590,822
48,000
277,080
Not Available
2,215,107
  190

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were based on  an average computer  billing  rate  of  $300



per hour.







Exhibit 5-3, on the following page, shows a breakdown of



costs by major system.  SAROAD accounts for $903,000 of



total air system costs for fiscal year 1976.  This figure



includes an estimated $55,000 of regional SAROAD usage



during the year and also $199,000 in SAROAD development



costs.  SAROAD costs attributable to OAQPS account for



49% of the OAQPS computing costs, and total SAROAD costs



account for 28% of all air systems costs.  OAQPS costs



are expected to decrease in 1977 by $300,000.  Sixty per-



cent of this savings will be attributable to reporting



and maintenance due to current SAROAD enhancements.  The



remaining 40% will be due to a reduction in total system



development work.







ORD costs are attributable primarily to the Regional Air



Pollution Study  (RAPS), the Community Health Air Monitoring



Program (CHAMP) and the Community Health Environmental



Serveillance System (CHESS).  Combined ORD expenditures



for these three systems amount to $597,000 for fiscal year



1976.  Modeling efforts and analysis of data collected from



the NASN network accounts for the bulk of the remaining



$260,000 in ORD expenditures.  Overall costs for ORD systems



are expected to increase for fiscal year 1977, although



exact figures could not be estimated by ORD system managers.








                         191                       index systems inc

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Exhibit 5-3
U.S. Environmental Protection Agency
Air Data System Costs

SAROAD (includes regions)
NEDS
CDS
RAPS
CHESS/CHAMPS
EDS
CDHS
NASN
Other
TOTAL
1976
903,000
150,000
105,000
250,000
347,000
183,000
300,000
54,000
834,000
3,126,000
1975
606,242
260,131
48,000
117,600
289,756
18,000
Not Available
89,000
875,378
2,215,107
   192

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    RAPS is expected to increase  slightly.   CHAMPS  is  still

    undergoing development work but  operating costs should

    increase.



    The Division of Stationary Source  Enforcement maintains

    the Compliance Data System (CDS) and has spent  $54,000

    to operate the system during  1976.  In  addition, $51,000

    has been spent by regional offices for  data input, reporting

    and related air enforcement computing.   These costs are

    expected to remain constant.



    Because of various technical  inefficiencies resulting from

    faulty IBM-to-UNIVAC conversion, air system costs have

    been higher than necessary.   As  a  result, EPA has provided

    funding for various system modifications which  will have

    the affect of reducing the related ADP  costs.



5.  DEFICIENCIES IN THE MANAGEMENT OF  SYSTEM DEVELOPMENT AND

    OPERATIONS HAVE LIMITED THE EFFECTIVENESS OF AIR DATA SYSTEMS.



    The development and utilization  of air  data systems by EPA

    and state offices have been hindered by management defi-

    ciencies in three areas, as  follows:



            Ambiguous system management responsibilities

            Non-rigorous management  of ADP  usage at NCC

            Inadequate management of the UNIVAC computer and
            related conversion efforts


                              193                     index systems inc

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These deficiencies have limited the effectiveness of various



air data systems.







(1)  The Lack of Clearly Defined System Management



     Responsibilities Within OAQPS Contributes to Inefficient



     Use of Computing Resources.







     The management of ADP contractors and system development



     efforts is a complex task which requires full-time



     monitoring by personnel with a sound foundation in ADP



     management principles.  The National Air Data Branch



     (NADB) is the organization within OAQPS with the



     greatest experience in system development and management.



     Nonetheless, some system development within OAQPS has



     been managed by other OAQPS divisions.  For example, the



     Energy Data System (EDS) was designed and developed,



     principally, under the direction of the Strategies and



     Air Standards Division  (SASD) within OAQPS.  Contrary to



     other system  development work within OAQPS, such as



     the SIPS project, NADB undertook only a secondary review



     role concerning the EDS feasibility study, system design



     and system interfaces.  The primary development respon-



     sibility rested with SASD personnel who were not as



     familiar with system management principles as were



     personnel within NADB.
                         194                      index systems me

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The resulting data system, EDS, has proven extremely
expensive to develop and contains a variety of features
which make  it very costly to operate.  In retrospect,
it appears  that an adequate feasibility study was
not undertaken for EDS.  The EDS contractor was not
required to define specific data needs nor was he
required to analyze the costs and benefits associated
with all relevant alternatives.  Rather, a preliminary
design was prepared which addressed functional capa-
bilities, availability of source data and an implemen-
tation approach.  The missing system justification and
cost benefit analysis is precisely what more experienced
ADP managers would have required of their contractors.
As a result, the current EDS does not make efficient
use of computing resources both because its functional
design is no longer appropriate  for  serving management
needs efficiently and because it utilizes costly on-
line storage and retrieval of non-current redundant
data.  For these reasons, OAQPS would have been served
better by limiting the management of new projects and
contractors to those personnel within OAQPS with the
most experience and training in ADP management practices
and policies.
                    195                      index systems inc

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(2)   ORD and OAQPS  Will Need to Tighten Their Budgetary




     Control Over NCC Utilization.







     Historically,  the EPA computing center at RTF served



     ORD and OAQPS  users exclusively and was regarded



     essentially as a free resource by these offices.



     Recently,  the  Management Information and Data Systems



     Division (MIDSD)  has prepared  a plan to develop the



     NCC into an Agency-wide resource subject to stricter



     budgetary controls.  Consequently, all Agency ADP users



     will be allowed to shift their data processing to the



     UNIVAC as their ADP sub-allowances and NCC resources



     permit.  Since the UNIVAC will be priced competitively



     to the IBM computer at OSI, MIDSD anticipates increased



     pressure for UNIVAC support from EPA program offices.



     Furthermore, Agency-wide ADP budgets have been severely



     constrained by Congress.  Therefore, the program offices



     will be less free to shift program funds into their ADP



     sub-allowances to make up for  ADP overruns.  As a result,



     competition for UNIVAC resources will increase and not all



     air program requests necessarily will be satisfied.



     Rather, OAQPS  and ORD will need to manage their ADP



     utilization more carefully than in the past to preserve



     sufficient ADP funds to support high priority programs.



     This will require increased management attention and



     technical expertise to insure  that current and future



     applications operate as efficiently as possible.









                          196                      index systems inc

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(3)   Inadequate  Management  of  the  UNIVAC  Computer and  Related



     Conversion  Activities  Has Created  Major  Operating Problems



     For  NCC  Users.








     MIDSD is responsible for  operating the UNIVAC 1110 at  NCC



     yet  it has  failed  to demonstrate any long-term improve-



     ment in  UNIVAC  operating  performance.  This  has occurred



     despite  the fact that  other UNIVAC 1110  installations



     have been operated without comparable downtime.   During



     late 1975,  the  UNIVAC  finally began  to meet  established



     operating performance  objectives.  However,  rather than



     continuing  to operate  the machine  at this  level,  MIDSD



     decided  to  expand  the  equipment configuration despite



     the  fact that such expansion  in the  past consistently  had



     resulted in a deterioration in operating system per-



     formance.   As a result, the UNIVAC has never returned  to



     its  1975 performance level.







     Major conversion efforts  undertaken  in transferring AEROS



     systems  to  the  UNIVAC  also indicate  serious  historic



     deficiencies in NCC planning  and technical judgement.



     The  line for line  conversion  approach adopted is  an



     extremely dangerous method for transferring  complex file-



     sensitive systems  such as NEDS and SAROAD.   Instead,



     significant redesign analysis should have  been undertaken



     at conversion time to  insure  that  the resulting systems



     would operate efficiently under the  new  UNIVAC environment.









                         197                      index systems inc

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In summary, EPA's primary air data systems do not



satisfy all user requirements in a timely and efficient



manner.  For the most part, these deficiencies are



attributable to limitations in the data available from



the current monitoring networks and to hardware and



operating problems associated with the current UNIVAC



computing environment.  In addition, however, the current



size of the major air computer data bases makes them



more susceptible to hardware failures.  The large



volume of data submitted to these systems also has



proven cumbersome to state and regional personnel.  As



a result, state and regional submitters have not expended



as much effort as necessary to submit and confirm the



accuracy of all collected data.







The  Standing Air  Monitoring Work  Group  (SAMWG)  has



undertaken a project to revise the requirements for



state submittal of data.  Preliminary results from SAMWG



indicate that EPA will reduce substantially the volume



of data which it will require from states.  This change



in monitoring strategy and reporting requirements will



permit a change in air data processing strategy whereby



EPA could maintain AEROS systems containing far fewer



data values than at present.  This change in data pro-



cessing strategy could reduce AEROS system sensitivity to



hardware problems and could free state and regional personnel







                      198                      index systems inc

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to  insure the quality  and  accuracy  of  the  much  smaller



volume of submitted data.







The next chapter examines the implications of such



a change in data processing strategy.  It examines also



the implications of other changes to current systems



and practices.
                     199                      index systems inc

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VI.  EVALUATION OF ALTERNATIVE ACTIONS
                                             index systems inc

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             VI.   EVALUATION OF ALTERNATIVE ACTIONS



    The preceding chapters have described the air program strategy,

    information needs,  current ADP support and associated problem

    areas.   This  chapter presents an evaluation of alternative ac-

    tions to deal with  the identified problem areas.   This analysis

    is divided into four sections, as follows:
            Data system design philosophy for managing
            ambient air quality data

            Data system design philosophies for emissions
            and compliance data systems

            Technical data system actions to improve functional
            service and data system efficiencies

            Changes in ADP management responsibilities
    Cost data related to the analyses performed in this chapter are

    contained in Appendix B.



1.   A HYBRID COMPUTER SYSTEM DESIGN APPROACH FOR STORING AIR QUALITY

    DATA IN CONFORMITY WITH THE REVISED MONITORING STRATEGY CAN

    IMPROVE SERVICE TO EPA AND CAN REDUCE ASSOCIATED OPERATING COSTS.



    Cost can be reduced and service can be improved if EPA adopts a

    hybrid system design philosophy for the management of air quality

    data in conformity with the revisions to EPA's monitoring strategy.

    Exhibit 6-1, on the following page, contrasts the impact of the
                                 20 o                      index systems inc

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                              Exhibit 6-1
                              U.S. Environmental Protection Agency
                              Comparison Summary of System
                              Design Alternatives
                       Utility
                      Hybrid
                     Current
Functional
Service
Improved data
landling with
good availability
   state-collectec
air quality data
Improved data
handling with
good availabilit;
of monitoring
trend data
Good data
availability and
reporting flexi-
bility but poor
data handling
Annual Operating
Cost Impact
   $625,000
   $600,000
  $300,000
Development and
Installation
   $600,000 -
    $1,000,000
                                         $380,000
                    $330,000
Risk
 High technical
 and cost risk
Low technical
and cost risk
Moderate
technical risk
Management
Considerations
System management
problems with
state dependence
upon EPA for ADP
support
Less complex
system
management
Less dependence
of EPA and
states upon
each other
                               201

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current design approach with a utility and a hybrid design

approach.  The hybrid alternative is less costly and provides

better service at less risk than do the other approaches.  The

hybrid system approach reflects the programmatic shift in

monitoring strategy as being developed by the Agency's Standing

Air Monitoring Work Group (SAMWG).  This programmatic shift

will require far less raw ambient data for Headquarters and

regional use and will free states and local agencies to allocate

more monitoring resources for special-purpose local projects.



(1)  Three Major Computer System Design Alternatives Could Be

     Used to Manage Air Quality Data.



     EPA could adopt three different computer system design

     philosophies for managing air quality data, as follows;
             A utility approach in which states input all
             ambient data into a centralized EPA-operated
             data base

             A hybrid approach in which the bulk of data
             resides on state data files with a subset
             stored centrally on an EPA data base

             The current approach in which data are stored
             both on state data files and centrally on an
             EPA data base

     Exhibits 6-2 through 6-4, on the following pages, illustrate

     the flow of data between state offices and EPA for each

     alternative.  Each approach represents a generic type of
                             202                       index systems inc

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                                  Exhibit 6-2
                                  U.S. Environmental Protection Aqency
                                  Utility Air Quality System Alternative
  NAQTS
   Data
   SLAMS
   Data
State-collected
Special Purpose
Monitoring Data
                      State
                     Office
                                            EPA

                                        Headquarters
                                          Regional
                                          Offices
                                            EPA

                                         Computer
INAQTS  Data
 5LAMS  Data

 Special Purpose
   Data
  1 NAQTS - National Air Quality Trend Stations
  2 SLAMS - State and Local Air Monitoring Stations
                               203

-------
                                           Exhibit 6-3
                                           U.S. Environmental Protection Aqency
                                           Hybrid Air Quality System Alternative
1
NAQTS
Data



2
SLAMS
Data




State-collected
Special Purpose
Monitoring Data














•••••^••••1






State (NAQTS Data)
' Office *"
v1**.
%fT^^.
•fr*t?o ,• ^^^
\ ^4?<>-
\ ^<£?e
V ***>
\

State f NAQTS Data
_ . \SLAMS Data
Computer \
Special Purp
Data




EPA

Headquarters


Regional

Offices

ose







^_^ FPA JNAQTS
~m . pata ^'
Computer I o
1 
-------
                                         Exhibit 6-4
                                         U.S. Environmental Protection Agency
                                         Current Air Oualitv cvster" Alternative
  NAQTS
  Data
   SLAMS
   Data
  State-
collected
  Special
  Purpose
Monitoring
   Data
State

Office
                                tState-collected
                                Monitoring Data)
                                                 •>
                             FPA


                           Headquarters
                                                     Regional

                                                      Offices
                                                                                            n
                                                                                            .3
FPA

Computer


f N^OTP Data
TSLAMS Data
1 Special
^ Purpose
Data
 State

Computer
               I*
 NAQTS Data

I SLAMS Data

 {Special Puroose
 j  Data
1 NAQTS - National  Air Quality Trend Stations

2 SLAMS - State and Local Air Monitoring Stations

-------
system design.  In turn, each generic type may have different



technical variations involving minor differences in data



flows, management and reporting responsibilities.







The utility alternative assumes that state offices would



communicate to a central air quality data base at an EPA



computing facility.  All state-collected data, including



State and National Air Quality Trend Station data (as de-



fined by SAMWG) and special purpose monitoring data, would



be maintained centrally.  Both EPA and state offices would



utilize the same data base for analysis.  This approach is



similar to the system design for STORET, EPA's storage and



retrieval system for water quality data.







The hybrid alternative presumes that most air quality data



would reside on state data bases.  States would utilize



their own air quality data systems to edit, update and



analyze local data.  A subset of this data, National Air



Quality Trend Station (NAQTS) data, would be communicated



to EPA and stored on a central data base for analysis.  Those



states which require air quality data systems support but



could not operate their own system economically could trans-



fer their data to EPA regions or Headquarters and could rely



on regional or central systems for update and report retrieval



of local data.  Some Regional Offices may elect to operate a
                        206                      index systems inc

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     CDHS  system either  on  the  central  EPA computer  or on a regional



     mini-computer.  The  regional  systems  could be  used  to provide



     automated  support to smaller states  or to provide  supplemen-



     tary  information regionally  as  may be defined in the future



     by  SAMWG.   In most  cases under  the hybrid approach, Regional



     Offices  and others  requiring summary statistics or raw data



     from  non-National Trend Monitoring Stations would  obtain



     this  information, as needed,  from  the state office which



     collects this special  purpose data.







     The current alternative is represented by the current



     SAROAD/AQDHS-II system design.   State offices and  EPA  would



     continue to maintain separate systems operating at their



     respective computer facilities.  All state-collected data



     would be transferred to EPA,  periodically.  EPA would  utilize



     its own  data base for  analysis  and would supplement its



     information, when necessary,  by communicating with state



     offices.







(2)   The Hybrid and  Utility Design Approaches Provide Better



     Functional Service  to  EPA  and State  Offices Than Does  the



     Current  Approach.







     Hybrid and utility  system  alternatives for air  quality data



     would improve data  handling  and correction capabilities  and
                             207                     index systems inc

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would offer Headquarters and states flexible reporting and



good data availability.  Exhibit 6-5, on the following page,



illustrates these advantages by comparing the functional



service provided by the three alternatives to Headquarters,



regional and state users.







The current design approach provides EPA and states with



good data availability and reporting flexibility since each



group uses its own data base for analysis.  However, as a



result of the large volumes of data transferred and the



relative distance and processing steps between the sources



of data and the EPA users, data handling and correction



delays are created which contribute to completeness and



currency problems of EPA-maintained data.







A utility design would improve the functional service to



EPA.  On the other hand, state service would be reduced



with a utility approach because a large centralized data



base would not allow for customized reporting to the same



degree as would a state data base.  Although a utility



approach would eliminate date reconciliation problems be-



cause data would be entered only once, the size of the data



base and associated system management problems would create



additional operational problems.
                        208
                                                 index systems inc

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                                                        Exhibit 6-5
                                                        U.S. Environmental Protection Agency
                                                        Functional Service Air Quality
                                                        Data System Design Alternatives

Reporting
Flexibility
Data
Availability
Data Handling
Editing and
Correction
Overall
Functional
Service
Utility
S R
Fair
Good
Good
Good
Good
Good
H
Good
Good
Good
Improved data
handling with good
availability of
state-collected air
quality data
Hybrid
S R H
Very
Good
Very
Good
Good
Fair
Fair
Good
Good
Good
Good
Improved data
handling with good
availability of
monitoring trend
data
Current
S R H
Very
Good
Very
Good
Good
Good
Good
Poor
Good
Good
Poor
Good data
availability and
reporting flexi-
bility but with poor
data handling
                                                                                              CTi
                                                                                              O
                                                                                              CN
S = State Offices
R = Retional Offices
H = Headquarters

-------
    The hybrid approach would improve data handling because less



    data would be transferred to EPA and fewer opportunities for



    errors would arise.  Current SAMWG estimates indicate that



    90% of the current reporting stations could be eliminated



    from the central EPA data base under the hybrid approach.



    States would be serviced equally well by current or hybrid



    designs since the states would maintain control over their



    own data bases and reporting.  However, state-collected



    special study data would not be as available to regional



    offices under the hybrid approach.  Regional offices would



    need to rely on states to supply data in support of various



    special programs, such as modeling applications.







    The hybrid and utility approaches are comparable in functional



    service because each approach would service the states and



    Headquarters well while improving data handling and correction.



    Regional offices and others requiring non-national trend data



    would deal with data availability problems by communicating



    with state offices, as needed.







(3)  The Hybrid Approach Is Slightly Less Expensive Than the



    Other Alternatives.







    A hybrid approach  for air quality data would reduce slightly



    aggregate computer operating costs  for EPA and state  offices



    yet would entail development and installation costs comparable



    to those necessary to support the current design philosophy.
                             210                      index systems inc

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Exhibit 6-6, on the following page, contrasts various cost



considerations for the three alternatives.  Appendix B



presents more detailed derivations for the development and



operating costs associated with each of these alternatives.







The combined computer operating costs to EPA and state



offices with the current design approach are estimated to



total $800,000.  These estimates assume the completion of



currently contracted modifications to reduce the operating



costs of SAROAD.  Included in the total cost estimate is



the cost of additional data reporting that states provide



to EPA because of EPA data correction problems resulting



from reconciliation of the separate data bases.   The system



modifications and development work associated with AQDHS-II



together with installation costs for additional states are



estimated to total $330,000.







The computer operating costs for a utility design would be



lower than those incurred with the current approach.  However,



the costs associated with developing and installing a user-



oriented utility system would be $600,000 to $1,000,000.  The



utility approach would allow larger states to reduce manpower



slightly but would require a slight increase in EPA staffing.



Overall, comparable numbers of personnel would still be needed



to handle data, initiate reports,  coordinate and customize
                        211                      index systems inc

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                              Exhibit 6-6
                              U.S.  Environmental Protection Agency
                              Cost  Evaluation Air Quality
                              Data  System  Design Alternatives
                     Utility
                 Hybrid
                Current
Computer
Operating Cost
 $700,000
$600,000
$800,000
Development and
Installation
Cost
 $  600,000
 $1,000,000
$380,000
$330,000
Personnel
Cost
Lower by
approximately
five people*
Same as
present
Sane as
present
* This reduction could be translated into $75,000
                                212

-------
system usage and oversee system update and operations.  Net



personnel savings in the states and EPA are estimated not to



exceed five positions.







The computer operating costs for a hybrid approach are esti-



mated to total $600,000, which is lower than the other two



alternatives.  The development and installation costs would



be comparable to the current approach but lower than the



utility approach.  In addition, personnel costs would be



similar to the levels experienced with the current design.



However, these staffing levels would be sufficient to insure



timely submission and correction of national trend station



data.  By contrast, these same staffing levels have proven



inadequate to insure timely submission and correction of data



under the current approach.  Regional offices have indicated



that as much as one extra person per region might be needed



to insure the accuracy of current volumes of data.







The hybrid approach is perferable because combined EPA and



state computer operating costs are lower than the other



alternatives and because system development and installation



costs are comparable to those that would be incurred under the



current mode of operation.
                        213                     index systems inc

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(4)   The Hybrid Approach  Is  the  Least Risky  of  the  Three
     Alternatives.

     A hybrid  system design  would  offer  EPA  lower technical  and
     cost risks than the  utility or  current  approach.   Exhibit  6-7,
     on the  following page,  compares risk  and timing considerations
     for the three  alternatives.


     The current approach presents a fairly  high technical risk
     to EPA  because  of the large EPA data  base  size and the
     related UNIVAC  system problems.   The  associated cost risk
     is moderate, but manageable, because  EPA and states control
     their own  systems,,  that is, states can decide for themselves
     how much special purpose storage  and  retrieval is  cost-
     effective  without requiring that  EPA  store all state-desired
     data as well.

     On  the other hand,  the utility  approach would present a very
     high technical and cost risk potential because many users
    would be dependent upon one large centralized system for all
     air quality data.  Therefore,  EPA would need to store all
     state-desired data  whether or not these data were  relevant
     for national reporting or analysis.   Moreover,  because of the
    service philosophy  associated with the utility approach, data
    base size and operating costs  would not be controlled easily.
                            214                       index systems inc

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                              Exhibit 6-7
                              U.S.  Environmental Protection Agency
                              Air Quality Data System
                              Alternative Design Risks
                       Utility
                      Hybrid
                    Current
Technical Risk
Highly sensitive
to hardware
problems
Less sensitive
to hardware
problems
Sensitive to
hardware
problems
Cost Risk
Data base size
and operating
costs not easily
controlled
EPA and state
control of
respective
operating costs
EPA and state
control of
respective
operating costs
Timing
   1-2 Years
  2-3 Years
  1-2 Years
Overall Risk
High technical
and cost risk
Low technical
and cost risk
Moderate
technical risk
                                215

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     Conversely, the hybrid approach would present a lower technical
     risk to EPA because EPA would maintain a much smaller data
     base consistent with the SAMWG data reporting requirements.
     Similarly, the cost risk would be reduced since the majority
     of data processing would be controlled by the states who, in
     turn, would be free to decide and pay for whatever data they
     needed for local purposes.  However, the hybrid approach may
     require more time to become operational than would the other
     alternatives because it presupposes  a coordinated  phasing of
     data system strategy with SAMWG monitoring strategy.

     Overall,  the hybrid approach is preferable because of its
     lower technical and cost risks.

(5)   Management Considerations Favor the  Hybrid Approach.

     A hybrid  design for air quality data would provide EPA with
     a system  which is easy to manage and which would not  entail
     heavy dependence of states on EPA-provided ADP  support.
     Exhibit 6-8,  on the following page,  compares  three management
     considerations for the feasible alternatives.

     With a hybrid approach system management problems  would be
     limited since EPA and states would maintain their  own systems
     and only  a small amount of data would be subject to recon-
     ciliation problems.   However,  EPA would be forced  to  rely
                            216                      index systems inc

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                              Exhibit 6-8
                              U.S.  Environmental Protection Agency
                              Management Considerations of Air
                              Quality System Design Alternatives
                      Utility
                      Hybrid
                     Current
EPA Dependence
on States
EPA relatively
independent
of states
 EPA dependent
 on states for
 special study
 data
EPA relatively
independent
of states
State Dependence
on EPA
States highly
dependent on EPA
for ADP support
 States
 independent
 of EPA
States
independent
of EPA
Ease of System
Management
Very complex
system which
is difficult
to manage
 Easy to manage
 at EPA and
 state levels
Easy to manage
at state level
but sensitive
to hardware
problems at EPA
Overall
Management
Evaluation
High system
management pro-
blems with state
dependence on EPA
for ADP suDoort
Good ease of
system management
with EPA depen-
dent on states
for special study
data	
Low dependence
of EPA and
states upon
each other
                               217

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on  states to  supply non-national  trend data, as needed,  to



support various  special  studies.  On  the other hand, state



dependence upon  EPA for  ADP  support would be maintained  at



a relatively  low level.  Furthermore, the hybrid  approach



would be consistent with the data reporting and handling



requirement which SAMWG  is developing currently.









The current approach presents more system management problems



than a hybrid design would present because of the large EPA



data base and associated data reconciliation problems.   With



the current design,  EPA dependence upon state offices is



better than the hybrid approach since EPA has its own data



base to support special studies.  Still,  EPA would need to



communicate with states to reconcile data and to acquire



missing data, as at present.   Under both the current and



hybrid design approaches, states would not need to depend



heavily on EPA systems support.







The utility approach would impose more difficult management



problems.   Management difficulties would increase as a



natural result of the use of a large central data base to



service a diverse set of users whose system objectives



would tend to differ over time.  Although a utility approach



would reduce the dependence of EPA on state offices for



additional data support, states would be much more dependent



upon EPA for ADP resources than under the hybrid or current
                        218                      index systems inc

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     approaches.   EPA managers  have indicated that minimizing state
     ADP reliance on EPA is  a very significant policy objective
     and that  the federal-state political relationship can be
     serviced  best by allowing  the greatest state flexibility.
     This concern has resulted  from state fears that Congressional
     budget pressures could  force  EPA to sever its continuing
     support for  utility-type services to the states which,  in
     turn,  would  impose  serious information processing problems
     on  state  programs.

     The hybrid approach is  preferable because it entails the
     fewest system management problems and does not increase
     state dependence upon EPA  for ADP support above current levels.

(6)   The Hybrid Approach for Air Quality Data Could Be Imple-
     mented by EPA Over  a Two-to*Three-Year Period.

     The implementation  of a hybrid system design for the manage-
     ment of air  quality data would require phased action steps
     over a two-to-three-year period.   This transition from the
     current approach to a hybrid  approach would be coordinated
     with the  SAMWG-proposed changes in monitoring strategy and
     could be  accomplished through eight actions, as follows:
                             219                      index systems inc

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        Define the EPA air quality data reporting and
        handling requirements associated with the
        monitoring strategy developed by the Standing
        Air Monitoring Work Group  (SAMWG)

        Complete modifications to AQDHS-II and proceed
        with state installations

        Identify several prototype states to test new
        data reporting requirements associated with the
        SAMWG study over a period of at least six
        months

        Define procedures for EPA regions and Headquarters
        to acquire detailed state-maintained non-national
        data, when needed

        Define summary and violations data needed by EPA
        for management analysis

        Conduct preliminary system design and prototype
        tests for ambient violations reporting

        Define procedures for EPA support for those states
        without data systems

        After prototype testing, develop a phased plan for
        other states to change data reporting to EPA over
        a one-to-two-year period
These actions would require planning and coordination

between Headquarters, regional and state offices in order

to insure that functional service would be maintained for

system users during the system design transition period.
                        220                      index systems inc

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2.    CHANGES IN DESIGN PHILOSOPHIES FOR EMISSIONS AND COMPLIANCE



     DATA SYSTEMS WOULD PRODUCE ONLY MARGINAL BENEFITS AT HIGHER



     COSTS THAN PRESENTLY INCURRED.








     Major changes in other air data system designs are not cost-



     justifiable at this time.   Only marginal benefits would be



     realized by changing the current system design approach for



     managing emissions data.  Likewise,  the integration of CDS



     and NEDS or the consolidation of air research data would pro-



     duce no substantial benefits.








     (1)   Changing the System Philosophy for Managing Emissions



          Data Would Not Reduce ADP Expenditures*








          Emissions data are used by EPA and state offices to sup-



          port nine activities  as follows:








                 Revising and evaluating SIPS



                 Reviewing new sources



                 Preventing significant deterioration of air quality



                 Maintaining air quality standards



                 Running simulation models



                 Developing and revising emissions factors



                 Performing energy studies



                 Establishing new source performance standards



                 Developing national emission summaries
                                 221                      index systems jnc

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EPA managers have questioned whether a different system



design, such as a utility or hybrid approach, would improve



the completeness and currency of the emission data used to



support these activities.  In addition, preliminary SAMWG



data reporting requirements indicate that small point



source emitters could be eliminated from a centralized EPA



data bank.  Although these small sources are important to



state and local agencies, SAMWG has indicated that EPA has



little, if any, need for such data.  Exhibit 6-9, on the



following page, summarizes the advantages and disadvantages



associated with the utility, hyprid and current approaches.



For the purposes of analysis, the utility approach assumes



that most point sources in the nation are stored centrally.



The current approach allows for a phased elimination of



smaller sources from the data base, whereas the hybrid



approach assumes a massive reduction in the number of



stored sources and source parameters.  As indicated in the



Exhibit, the current approach remains the most practical.







A hybrid system design does not represent a feasible alter-



native at this time since EPA emissions information require-



ments could not be serviced adequately if this approach were



adopted.  With a hybrid approach the majority of emissions



data would reside on the state data bases.  As a result,



Headquaters would not have the necessary national emissions
                        222                      index systems inc

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                          Exhibit  6-9
                          U.S. Environmental Protection Agency
                          Summary  of Emissions Data System
                          Design Approaches
                        Utility
                   Hybrid
                   Current
  Computer
  Operating Costs
   $400,000
     N.E,
                 $400,000
  Development and
  Installation
  Cost
$  600,000 -
$1,000,000
     N.E.
                 $250,000
                 $430,000
  Functional
  Service
Good data
availability
and improved
data handling
               Good data
               availability
    Headquater^and reporting
               feasibility
Poor data
availability
for
programs
  Risk
High technical
and cost risk
Low technical
and cost risk
               Moderate
               technical risk
  Management
System manage-
ment problems
and state de-
pendence upon
EPA for ADP
support	
Less complex
system manage-
ment
               Low dependence
               of EPA and
               states upon
               each other
N.E.  =  Not estimated because the hybrid approach would not
         provide adequate functional support.
                                 223

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data available to support a variety of air planning and



review activities.  For example, the development and



evaluation of new source performance standards and EPA's



ability to analyze nationwide trends in industry emissions



of specific pollutants would be hindered.  Also, analyses



associated with various energy studies could not be per-



formed adequately without national emissions inventories.



In addition, intra-regional activities, such as modeling



applications that cross state geographic boundaries, would



be hampered.  For these data availability considerations,



the hybrid approach is not justified currently as a



feasible alternative.







A utility approach would provide for good data availability



as does the current approach.  However, a large central-



ized data base would not allow for customized reporting to



the same degree as would separately controlled state data



bases.  Although the utility approach would eliminate data



reconciliation problems between EPA and state data bases,



the large centralized data base would present a high tech-



nical risk because of associated computing resource require-



ments and the susceptibility to ADP hardware failures.







The aggregate computer operating costs to EPA and state



offices are estimated to total $400,000 for both the current



and utility approaches.  However, the cost risk potential
                        22 f                       index systems inc

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is less for the current approach because EPA and states
control their own system.  The development and installa-
tion of a user-oriented utility system would be $600,000-
$1,000,000 whereas system modifications, development
work, and additional installation costs associated with
the current NEDS - EIS/PR are estimated to total $250,000 •
$430,000.  Furthermore, by changing to a utility approach,
no substantial personnel reductions would be realized.
(Appendix B presents more detailed cost derivations for
these alternatives}.


Current and utility approaches present systems management
difficulties,  while the current design creates data
reconciliation problems for EPA, a utility design would
be more difficult to manage because of diverse user re-
quirements.  Also, states would be much more dependent
upon EPA for ADP resources with a utility approach.


As a result of the increased cost potential and technical
risk associated with the utility approach, the current
system design should continue to be used to manage
emissions data.  However, EPA will heed to coordinate
any reductions in the scope of centrally-maintained point
source data with future SAMWG recommended changes in
emissions data reporting requirements.
                       .225                      index systems inc

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(2)   The Integration of CDS and NEDS  Would Not Reduce ADP Expenditures


     Air program and enforcement managers  have questioned whether
     emissions  and enforcement data should be integrated into a
     single  data base in order to improve  reporting capabilities
     and reduce computer operating costs.   They  have suggested
     that the consolidation of the two  systems would eliminate
     redundant  data storage and would enable  analysts to relate
     compliance status to emission abatement.


     Although the two systems  both contain data  about station-
     ary sources,  less than 10% of the  actual data  values stored
     within  the systems are common to both CDS and  NEDS.  Con-
     sequently,  under an integrated system neither  the volume
     of  transactions  nor the size  of  the data  base  would be
     reduced substantially.  In addition,  the  sources of CDS
     and  NEDS data  differ  so that  consolidated data  entry would
     not  be feasible.   Overall,  an integrated  system would not
     reduce operating costs but would require  new systems devel-
     opment expenditures of at  least  $200,000.


     Furthermore, the  integration of data bases would not im-
     prove substantially the functional service to EPA,  since
    most  EPA personnel who need emissions data and those that
     need compliance  information tend not to need both.   Air
     program personnel use emissions data for planning,  review
    and abatement activities,  whereas air enforcement personnel


                            226                     index systems inc

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need source compliance information to monitor conformity with



SIP regulations.  NEDS emission calculations are not current



or precise enough to support enforcement actions.  Rather, en-



forcement personnel use data acquired from source inspections,



114 inquiries and stack tests to support enforcement actions.



Air program personnel use source compliance status data to



support limited planning and review functions.  NEDS currently



has a facility for storing a one-character compliance status



indicator which is sufficient for planning purposes.







In addition, the integration of CDS and NEDS would create



substantial system management problems.  Currently, CDS is



supported by the Division of Stationary Source Enforcement



(DSSE) within the Office of Enforcement and NEDS is supported



by the National Air Data Branch (NADB) within the Office of



Air Quality Planning and Standards.  An integrated data base



would be difficult to maintain because of the coordination



and communication problems that would result from the differ-



ent geographic locations and distinct organizational respon-



sibilities of the system users.  Also, the nature and timing



of the compliance data flows differ from those associated



with emissions information.  These differences in data sources,



timing and management responsibilities would cause serious



disruption in functional priorities and services.  The inte-



gration of CDS and NEDS would not improve system capabilities



substantially nor would it reduce computer costs appreciably.



Consequently, the current separate system approach remains



the most practical.





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3.    TECHNICAL SYSTEM ACTIONS COULD IMPROVE FUNCTIONAL SERVICE

     AND SYSTEM EFFICIENCIES.



     Various system modifications to improve data base design and

     to reduce computing resource requirements would make current

     data systems less susceptible to UNIVAC system failures.  These

     changes would make the transfer of various air systems to another

     computing facility inappropriate and unnecessary.  Additional

     system modifications to NEDS, SAROAD and CDHS, however, could

     streamline system operation further and, as a result, could

     improve system utilization.



     (1)  Additional SAROAD Modifications Could Streamline System

          Operation Still Further.



          The current contractor modifications to SAROAD should im-

          prove system efficiency by at least 50% and, as a result,

          should improve data availability to the various system

          users.  However, three additional SAROAD design modifica-

          tions could further reduce processing time and make  SAROAD

          more responsive to user needs, as follows:
                 Modify the method for calculating running
                 averages for certain pollutants

                 Revise the  timing of summary and frequency
                 file  creation

                 Develop a violations file
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The specific cost impact of each of these changes will



depend heavily upon the results of current contractor



enhancements.  Whether or not to undertake these changes



will depend therefore upon the resulting SAROAD efficiency



and processing characteristics once the current enhance-



ments are completed.







Current enhancements will cause running averages to be cal-



culated from hourly monitoring data for SO-, NO-, and CO



during the update of raw data.  As a result, 38% of the



values stored on the less-than-24-hour raw data file will



be associated with running averages.  However, storage



costs could be reduced if running averages were not stored



but were calculated and reported only when needed.  Whether



or not the frequency and distribution of running average



requests would justify this design change cannot be ascer-



tained from current NADB report logs.  Instead, NADB should



track reporting activity once the enhancements are com-



pleted to determine whether running averages need to be



stored or could be recalculated when needed.







Under current modes of operation, summary and frequency



files are created after each raw data update.  However,



the two processing steps do not have to be executed con-



currently.  Instead, computer operating costs could be



reduced if the summary files were created at fixed time



intervals over the year independently of raw data updates.





                        22 g                       index systems inc

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Various system users rely on SAROAD retrievals to pro-

vide information on air quality standards violations.

Presently, this reporting is accomplished by comparing

collected ambient data averaged over the appropriate

time interval to the associated NAAQS.  Computer proces-

sing time could be reduced, however, if a violations file

were created which indicated all violations for a given

site and time period.  In this way, subsequent calcula-

tions would not be needed to reidentify violations for

other analyses.  Violations could still be calculated

from raw data files, however, if ambient values were

changed or if analysts wished to evaluate the violations

impact of changed ambient standards.



None of these changes can be cost-justified at present

with currently available information.  Instead, NADB will

need to analyze the costs and benefits of these proposed

changes after current modifications have been completed.



Three areas could be analyzed in order to evaluate ac-

curately these costs and benefits, as follows:
       Evaluate SAROAD modifications over a two-to-four
       period to ascertain achieved processing effic-
       iencies
                        230                      index systems inc

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            Analyze the  frequency of various  retrievals
            by system user and determine the  geographic
            distribution of retrieval requests

            Analyze the  frequency of redundant violation
            calculations
     This information is not available now because SAROAD mod-

     ifications  are still underway.   However,  it is anticipated

     that the  frequency of retrievals will increase as the en-

     hancements  provide improved data availability.



(2)   EPA and Emissions Inventory Information Support Could

     Be  Improved Substantially Through Minor Enhancements to

     NEDS Edit Procedures.



     Current enhancements to NEDS,  including a regional edit

     capability  and improved update  efficiencies,  will not be

     sufficient  to  improve emissions inventory accuracy and

     currency  because regions still  will  have  only limited

     editing capabilities.   Many edit checks,  and  all valida-

     tion checks, are scheduled to be performed during the

     NADB-initiated update and therefore  cannot be executed

     by  regions.  As a result,  regions still will  have to wait

     two-to-three weeks to receive update listings and valida-

     tion reports from NADB.   These  processing characteristics

     will continue  to require extra  regional effort to reconcile

     errors and will delay  further the input of corrected NEDS data.
                                                     index systems inc
                             231                            '

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If regions had the ability to run validation checks and
to edit input cards against the user file, then these prob-
lems would be reduced substantially.  Current contractor
efforts to modify the NEDS edit could be redirected to
this end for only a minor additional cost since current
enhancements have not yet been finalized and since the
design specifications employ a modular approach, which
could facilitate the redesign of the edits to run indepen-
dently of the update.

This enhanced complete regional NEDS edit capability, sim-
ilar to that offered by SAROAD, is necessary to maintain
higher emissions inventory data quality and to facilitate
regional processing efforts.  This enhancement, in addition
to the improved reporting capability which has recently
been made available to regions, should improve significantly
NEDS data accuracy problems.  Approximately $5,000 - $10,000
in additional contractor funds are needed to give regions
this enhanced edit capability.

It is anticipated that these changes should increase sub-
stantially the number of states submitting data to EPA on
time.  To date,  some states have not been submitting data
regularly because they felt that NEDS did not work.   Fur-
                        232                       index systems inc

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     thermore,  in some cases,  regions  have not discouraged

     this  attitude because they were backlogged with data

     themselves and,  as a result,  were unable to input data

     quickly enough to maintain the data base currency.   A

     workable system should improve state and regional re-

     porting response.



(3)  EPA Could  Improve  CPUS Performance  by  Proceeding With Five

    Identified System-related  Actions.



     Pressure for dependable CDHS  support will increase sub-

     stantially as EPA moves towards a hybrid approach for

    their management of  ambient air quality  data.   Without

    enhancements, neither EIS/PR  nor  AQDHS-II would meet

    the data flow timing requirements of EPA and states

     as effectively  as  would be needed to support a   hybrid

     systems approach.   Rather, state  and EPA users  of hybrid

     systems would require  better  reporting,  editing and  tracking

     capabilities than  are  provided by CDHS  at  present.   These

     features could  be  provided through  five  NADB-identified

    CDHS actions, as follows:
           Conduct  review of  states  for both EIS/PR and
           AQDHS-II to  identify additional system enhance-
           ments necessary to meet state  information needs
                             233                      index systems inc

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       Complete current identified modifications to
       CDHS

       Perform additional enhancements to CDHS re-
       porting capabilities as specified by state users

       Improve current data handling procedures for
       CDHS by incorporating more extensive edit capa-
       bilities

       Review and develop interface procedures between
       state-operated systems and EPA-maintained systems
The completion of currently identified CDHS modifications

is necessary to improve the effectiveness of the system

to state users.  In addition, a joint EPA/contractor review

of state users would identify additional areas for function-

al system enhancement.  For example, many states have indi-

cated that they would prefer EPA to develop more standard

CDHS reports.  A state review would provide EPA with a

consolidated needs statement which would facilitate cen-

tralized enhancement efforts.



Improved data edit and validation procedures for CDHS would

facilitate the transmittal of state data to EPA and would

reduce the manpower required to correct data anomalies.

Furthermore, improved CDHS/AEROS interfaces would eliminate

the need to track data transmittals manually.



NADB has requested funding for these CDHS actions and has

developed plans for their implementation during 1977.  These
                        234                      index systems inc

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    CDHS enhancements will  improve the  usefulness  of



    state-operated data systems and  thereby  service more



    effectively EPA and state information  requirements.
(4)   The  Transfer  of  Various  Air  Data  Systems From the National



     Computing  Center (NCC) to Another Computing Facility Is



     Not  Cost-Justified  at  This Time.








     EPA  systems personnel  have questioned  whether the transfer



     of air data systems to a system environment more  stable



     than the NCC  would  improve the usefulness of the  systems.



     They have  suggested that data processing operations  could



     be performed  in  a more timely manner and that the accessi-



     bility of  information  would  improve if data systems  were



     operated on a facility that  was less prone to frequent



     system crashes and  prolonged downtime.







     Although the  NCC has experienced  hardware and software



     problems since the  beginning of the year,  these difficulties



    are expected to be resolved and performance, improved



    in the future.  In addition,  various system modifications



     are being  implemented  to  improve  data  base design and to



     reduce computing resource  requirements.   These modifications
                            235                      index systems inc

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should make the current data systems far less susceptible
to computer failures.

In addition, the costs for running jobs at NCC will remain
lower than the costs for running these programs at other
EPA facilities such as OSI.  EPA computer planning and
operations personnel estimate that air systems costs at
OSI would cost almost double the charge at NCC.  In
addition, since EPA owns the UNIVAC, the cost to the
Agency for operating the UNIVAC would be incurred regard-
less of the computing load at NCC.  As a result, overall
agency ADP expenditures would increase if current NCC-
operated systems were transferred to OSI or other computer
facilities.

Should UNIVAC performance deteriorate once again, however,
and should the dramatic reductions in AEROS processing
time requirements not prove sufficient to allow adequate
turnaround, then EPA will need to reconsider the possibility
of moving AEROS to another computer.  In particular, EPA
should await the completion and testing for several months
of current design changes before reconsidering such a move.
                        236                     index systems inc

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(5)   A Management Audit of the Energy Data System Would

     Establish Whether the Current System Design Efficiently

     Fulfills  Its Intended Purposes.



     Energy  Data  System ADP costs  have caused various  EPA

     system  managers  to question the  feasibility of the EDS

     system  design and operation.



     EDS was developed under contract to  SASD in order to

     satisfy three needs,  as follows:
            To provide an automatic means of correlating
            energy-related data  from various sources

            To provide quicker turnaround of data analysis
            than would be available otherwise

            To provide an easier means of correcting erroneous
            data than is available for related systems
    The energy data base currently maintains over 58 million

    characters on-line.  The data base is increasing this year by

    approximately six million values.  The data base size is ex-

    pected to grow at a lesser rate in future years depending upon

    system manager and user needs.  A large portion of these data

    are stored also in other AEROS systems.  NADB managers have

    questioned whether the computing resources necessary to

    support the storage of this volume of redundant data are

    warranted.  EDS support personnel estimate that FY 77 ADP

    costs will be $300,000.  However, the original EDS feasibility

    study, which was used to authorize the system, had projected

    that ADP costs would average only $25,000 per year.  However,


                            237                     index systems inc

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the  feasibility study did not anticipate that EDS would  con-
tinue to require ADP expenditures for on-going enhancements
and  reporting.  EDS managers have estimated that approximately
$190,000 to $219,000 of these ADP costs are used for these
enhancements.  In addition, the structure of the data bases
which supply information to EDS has changed since the original
EDS  feasibility study in 1974.  As a result, EPA system  mana-
gers have suggested that a different system design which
directly accesses the principle source data bases may be
more efficient than the current EDS design.

EDS  system managers argue that because of the atl hoc nature
of data requests, most system inquiries require a selective
flexibly formatted reply within one day in order to be meaningful
to decision-makers.  Although this short response time and
flexibility may be optimal, this rapid turnaround, in itself,
may not cost-justify an interactive retrieval system.  Further-
more, proposed modifications to the supplying AEROS data sys-
tems should improve their response time so that one-day
turnaround might be possible from AEROS and thereby obviate
the need for some of EDS's more expensive capabilities.

A common complaint expressed by various EDS users has been
related to the completeness and currency of data contained
in the supplying data systems.  EDS system managers have ex-
pressed a need to update and to change data in EDS indepen-
dently of changes in the other systems.  Such modifications


                        238                      index systems inc

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create data reconciliation problems between EDS and

the supplying systems.  Moreover, subsequent data trans-

fers from emissions and air quality data bases could re-

place corrected data with erroneous data if the data base

management between the affected systems were not coordi-

nated.



A management audit is needed at this point in time to

determine in what manner system operations should continue

and to determine the level of ADP resources needed for

continued EDS support.  A management audit would answer

five questions, as follows:
       For what purpose is EDS used?  By whom?
       What are its information system require-
       ments?

       Presently, how does EDS satisfy these re-
       quirements?

       How efficient is EDS as an information
       storage and retrieval system?

       Are the ADP costs of EDS justified
       in terms of decisions for which the sys-
       tem supplies data?

       Who should retain management responsibil-
       ity for EDS?
This audit would enable EPA management to ascertain the

value of the current system and to determine whether ad-

ditional resources should be applied to it.
                        23?                      index systems inc

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4.    THE CLARIFICATION OF MANAGEMENT RESPONSIBILITIES WILL IMPROVE



     THE DEVELOPMENT AND USE OF AIR DATA SYSTEMS.








     The development and operation of selected air data systems



     could be enhanced if EPA system managers would utilize more



     rigorous ADP management principles and would employ tighter



     controls on the use of computing resources.
     (1)   The Development and Operation of Air Data Systems Could



          Be Improved by Centralizing System Management Responsi-



          bilities Within OAQPS.







          The management of system development efforts and data



          system operations requires full-time monitoring by per-



          sonnel with a sound foundation in ADP management prin-



          ciples.  This is necessary both to insure that data sys-



          tems make efficient use of computing resources and to



          coordinate system development and operations between



          interrelated data systems.







          The National Air Data Branch (NADB) is the organization



          within OAQPS with the widest expertise in system develop-



          ment and operation.  NADB has been responsible for most



          of the data system development and operations associated
                                  240                      index systems inc

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     with air program data systems.  In those cases where



     NADB has not been primarily responsible for system man-



     agement, such as with EDS, ADP management principles



     have not always been employed because of the unavaila-



     bility of experienced ADP managers.  In these instances,



     feasibility studies and design efforts have been under-



     taken without a full appreciation of the potential cost



     and complexity of seemingly simple system features.



     Only organizations with sufficiently broad and extensive



     experiences with multiple systems can be expected to



     have the level of expertise necessary to manage large



     development activities.   For this reason,  system manage-



     ment responsibilities should be centralized in OAQPS



     within NADB and should be administered by those personnel



     with the most experience and training in ADP management



     practices.   However,  in order to insure adequate service



     to the other divisions within OAQPS,  NADB  should receive



     formal direction from OAQPS senior management regarding



     office-wide priorities and support responsibilities.







C2)   A  Detailed  Technical  and Operating Analysis of the UNIVAC



     and Its Management Is Needed to Improve Computer Reliability.







    NCC's  recurring hardware failures have caused significant



     delays and  complications for the air  data system and  other  NCC



     users.   A detailed analysis of hardware malfunctions, throughput



     volumes,  channel capacities and operating  system performance is




                             241                     index systems inc

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     needed to isolate  specific  areas  for  technical  improvement.


     In  addition,  this  analysis  would  examine  the  effectiveness  of


     current NCC organization, management  procedures,  staffing levels


     and contractor  utilization.   As a result  of such  an analysis,


     EPA could determine  whether or not to shift its current opera-


     ting mix of batch  and  demand processing,  to curtail future


     hardware changes or  to revise its current data  center manage-


     ment structure.  This  analysis is estimated to  cost approxi-


     mately $50,000.




(3)   The More Widespread  Utilization of Standard EPA ADP


     Policies and  Procedures Would Force a Closer  Alignment


     of  System Capabilities with High  Priority Program Needs.




     In  order to improve  system  effectiveness  and  performance,


     EPA system managers  should  adhere to  EPA  policies and


     procedures in three  ADP related areas,  as follows:




             Development  and review of system  feasibility studies


             Data  system  design  and use


             Consistent documentation  and  training




     Appropriate guidelines and  procedures for these areas are


     discussed in  the EPA Automated Data Processing  Manual and


     other related documentation.




     Although managers  and  technical personnel within  NADB and DSSE


     have tended to  conform to these principles, systems personnel in
                                                     index systems inc
                             242

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other parts of OAQPS and ORD have not always been as rigorous
in their use of formal development controls.  The contracting
office in RTF has allowed some systems development projects
to proceed without requiring formal and separate feasibility
studies.  For example, work is currently underway to enhance
the CHAMPS data system using contractor personnel.  This con-
tractual effort was initiated without explicit design objectives
or acceptance conditions established.  Instead, the statement
of work specified that the work effort would include both a
feasibility analysis and development effort by the contractor.

EPA system managers often utilize contractors to develop
feasibility studies for proposed data systems.  However,
conflicts of interest and objectivity problems arise when
the same vendor is asked to assess the need for and to
build a system.  Accordingly, contracting officials should
write and award feasibility study contracts independently
of subsequent system design efforts so as not to compro-
mise contractor efforts and to assure that an adequate
cost-benefit analysis is performed.  Furthermore, feasi-
bility study preparation should be overseen and reviewed
subsequently by EPA personnel with appropriate ADP manage-
ment and technical expertise and not solely by program
personnel with little or no systems background.

In addition, air data systems should make use of consistent
documentation conventions and user training material.  At
present, air systems documentation and user training vary
among the systems depending upon the standards employed
                                                 index systems inc
                        243

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     by the  original  system developers.   NDB  has  established
     documentation  conventions  to  be  used for all systems
     operated  under its  jurisdiction.   These  same guidelines
     should  be applied to  systems  operated within ORD and  to
     those CDHS systems  provided to states.


(4)   Tighter Controls on the Use of ADP Resources Need to  Be
     Employed  by EPA  System Managers.

     As a result of Agency-wide ADP budget constraints,  tighter
     controls  on the  use of ADP resources will need to be  em-
     ployed  by EPA  system  managers.   Since a  plan has been pre-
     pared to  develop the  NCC into an Agency-wide resource which
     will be priced competitively  with  the IBM computer  at OSI,
     MIDSD anticipates that the competition for UNIVAC resources
     will increase.   As  a  result,  not all air program computing
     requests  will  be satisfied.   Consequently, EPA system
     managers  will  need  to analyze their ADP  utilization to in-
     sure that current and future  applications operate effi-
    ciently in order to free enough system resources  to preserve
     sufficient funds for  high  priority or emergency projects.

     Better  computing accounting records than have been main-
     tained  currently would provide system managers with more
     detailed  information  on ADP utilization.   System managers
     should  establish ADP  project  codes to reflect the develop-
                             244                       index systems inc

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     ment, maintenance and reporting costs associated with
     the various data systems and system users.  With these
     sub-categories, system managers could ascertain the ADP
     costs associated with data reporting for program offices
     other than their own.  Furthermore, this cost information
     could provide MIDSD with a basis with which to reallocate
     portions of various ADP sub-allowances to reflect the data
     reporting that one program office performs on behalf of
     another.
In summary, over the next two^to-three years a fundamental change in
the data system philosophy employed by EPA will be needed to manage
air quality data.  A hybrid system design approach will improve
service to EPA while reducing associated operating costs.  On
the other hand, comparable design changes to other systems will
not be needed.  Rather, technical system changes will suffice in
improving system efficiencies and usefulness and thereby will
minimize many of the data handling and reporting problems which
have been experienced to date.  These changes will require also
certain shifts in ADP resource allocations and management re-
sponsibilities.  Overall, air data system design and utilization
need not undergo major additional changes, but rather can evolve
in a more gradual manner to satisfy changing functional require-
ments .

                             245                      index systems inc

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VII.  RECOMMENDATIONS
                                    index systems inc

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                        VII.  RECOMMENDATIONS



    This chapter presents the recommended actions which EPA

    should perform in order to improve the effectiveness and

    functional adequacy of the air data systems.  The recom-

    mendations are grouped into three categories, as follows:
            Actions to implement a hybrid system for
            the management of air quality data

            Technical system actions to improve air data
            system efficiency and utilization

            EPA management actions to improve ADP resource
            utilization
    In addition, this chapter presents the projected ADP

    expenditures, contractor funding and EPA staffing asso-

    ciated with the air data systems over the next two years.

    The cost estimates for the proposed actions in this chapter

    are summarized in Appendix B.



1.  EPA SHOULD INITIATE FIVE ACTION STEPS OVER THE NEXT TWO-TO-THREE

    YEARS IN ORDER TO ESTABLISH A HYBRID SYSTEM FOR THE

    MANAGEMENT OF AIR QUALITY DATA.



    EPA should adopt a hybrid system approach for managing

    air quality data.  The implementation of this hybrid system

    should be phased over the next two-to-three years to facilitate

    management control and to insure a smooth and non-disruptive
                                 246                      index systems inc

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phasing of individual states into the hybrid reporting
system.

The implementation process should be divided into five
steps, as follows:

        Define data reporting requirements, procedures
        and control agency grant implications
        Identify prototype states to test new data require-
        ments
        Test prototype states over a six-to-nine month period
        Assess performance after test period
        Extend data reporting procedures to other states

Exhibit 7-1, on the following page, illustrates the time-
phasing for each action step.  The segmentation of the
implementation process into well-defined phases will facili-
tate control by providing checkpoints whereby management
can evaluate the progress of each phase and initiate
corrective actions where necessary.

 (1)  EPA Should Define the Specific Date Reporting
     Requirements and Procedures Needed to Support the
     Air Monitoring Strategy Developed by the Standing
     Air Monitoring Work Group  (SAMWG).

     OAQPS should develop a data system plan to support
     the EPA air monitoring strategy and should assume

                             247                      index systems inc

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                                                                              Exhibit  7-1
                                                                              U.S. Environmental Protection Agency
                                                                              Tine-Phased Actions Step for Imple-
                                                                              menting  the Hybrid Air Quality
                                                                              System
ACTION STEPS
Define data reporting
requirements and pro-
cedures
Identify prototype
states to test new
data requirements
Test prototype states
over 6-9 month period
Assess performance
after test period
Extend data reporting
procedure to other
states
3 months
3
months
                      9 months
3
months
                                                                                                                      CO
                                                               18 months
               EPA Acceptance
               of SAMWG
               Recommendations
          1st Year
2nd Year
3rd Year

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responsibility for its phased implementation.  The

first step in this plan should be the definition of

the specific data reporting requirements and proce-

dures needed to support the monitoring strategy.

These procedure and requirements definitions should

include seven items, as follows:
        Timing, mode and format of the raw national
        trend station data to be submitted from state
        offices to OAQPS

        Specific summary and violations information
        needed from states

        EPA system requirements to support management
        analysis of state summary and violations
        information

        Plans for additional installations of AQDHS-II

        Procedures to interface with state-developed
        data systems other than AQDHS-II

        Procedures for EPA Headquarters and regional
        offices to acquire non-national trend station data
        from states

        Procedures to support those states without
        air quality data systems either with region-
        ally-operated systems or with manual systems
These definitions can be formulated by OAQPS and regional

personnel should require approximately three months'

elapsed time after the publication of the air monitoring

strategy by SAMWG.  Alternatively, this analysis

could be performed by outside contractors for approxi-

mately $25,000 during the same elapsed time period.

In addition, EPA should examine the implications of




                        249                      index systems inc

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     these changes  on regulations and control  agency grant

     policies and revise  these  policies as deemed appro-

     priate .



(2)   OAQPS Should Coordinate With Regional Offices the

     Identification of Several  Prototype States to Test

     the  Monitoring Strategy Data Requirements.



     Three states should  be  identified by EPA  to serve

     as prototypes  in testing the data reporting requirements

     and  procedures associated  with the EPA air monitoring

     strategy.   These states should be selected to reflect

     four criteria  classes,  as  follows:



             Differing industrial and residential mixes

             Different geographical and environmental
             regions of the  country

             Varying population distributions

             Varying local data handling and analysis
             capabilities



     The  selection  of these  states should be a coordinated

     effort between OAQPS, regional offices and interested

     states.   This  identification and selection process

     should be completed  within three months after the

     data reporting requirements are defined.   During this

     same time period,  EPA should design and develop a

     management  summary and  violations data system to
                            250                      index systems inc

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     process  the  summary  data  to be  submitted by  the  state.
     This management  summary and violations data  system
     is  estimated to  cost $50,000  to design and implement
     and may  be developed from existing  SAROAD reporting
     modules.

(3)   The New  Data Reporting Procedures Should Be  Tested
     for the  Selected Prototype States Over a  Six-to Nine
     Month  Period.

     The data reporting procedures should  be tested  for
     the selected states  over  two  or three reporting periods
     so  as  to provide enough operating experience to
     assess performance.   In order to coordinate  activities
     during the test  period, senior  management within
     OAQPS, regional  and  state offices must commit adequate
     resources for support.  Index estimates that one person
     within OAQPS and one-half person in each associated region
     and state office will be  needed for the duration of
     the test period  to coordinate activities.

(4)   After  the Test Period EPA Should Assess the  Performance
     of  the Data  Reporting Procedures.

     After  approximately  nine  months of  operation EPA
     should assess the performance of the  data reporting
     procedures in the prototype states.  The performance


                            251                       index systems inc

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     should be evaluated on three criteria,  as follows:
             Accessibility of data to users in support
             of their respective program objectives
             Cost history
             Ease of management
     With the assistance of the state offices,  EPA should
     identify problem areas and should develop  solutions
     before extending the procedures to additional states
     Should special problems arise,  it may be appropriate
     to select additional prototype  states and  to test
     for an extended period of time.

(5)   EPA Should Extend the Data Reporting Procedures to
     Other States Over an 18-Month Period.

     After the problems associated with the new data re-
     porting have been identified and solutions have been
                                      —	7—-——
     developed,  EPA should extend the ljistribu_teq~approach
     to other states in phased steps.  To insure control,
     EPA should rank states in terms of risk and priority,
     and should implement the hybrid approach first
     in those states which would be  least susceptible to
     a  change in their data handling interaction with EPA.
     In most cases,  regional CDHS coordinators  will take
     responsibility for assisting the states in the reporting
     changeover.   The 18-month implementation period

                             252                      index systems inc

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         should be segmented so as to provide interim checkpoints
         which would allow for periodic progress evaluation.
         By the end of the implementation period all additional
         AQDHS-II installations should be completed.  Furthermore,
         EPA should provide data processing support to those
         states that  require/but  can not support economically,
         automated data handling capabilities.

2.   EPA SHOULD PERFORM FOUR TECHNICAL SYSTEM ACTIONS OVER THE
    NEXT SIX MONTHS TO IMPROVE AIR DATA SYSTEM EFFICIENCY AND
    EFFECTIVENESS.

    The short-term changes to NEDS and SAROAD should be limited
    to those currently contracted including the use of contractor
    funds to implement CDHS enhancements.  Before allocating
    additional resources for EDS support and system enhancement,
    however, EPA should conduct a system audit to reconfirm the
    need for proposed new and expensive current features.

    (1)  EPA Should Conduct Immediately a System Audit of EDS
         Before Assigning Additional Resources for Support and
         Development.

         EPA should conduct immediately a system audit of EDS
         to determine the value of the current system and to
         ascertain whether additional resources should be applied
                                253                      index systems inc

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     to support it.   The statement of work for this audit
     should include  five areas for investigation,  as follows:
             The air program information requirements
             to be supported by the system objectives
             The adequacy of the current system in satisfying
             these requirements
             The efficiency of the current system design
             Operating cost analyses in terms of the decisions
             for which the system provides information
             System management responsibilities
     The  estimated cost for  the EDS audit is  $15,000  and the
     elapsed time  is estimated  to be three months.

(2)   Short-Term Changes to SAROAD Should  Be Limited to Those
     Currently Being Performed  by Outside Contractors.

     Modifications to SAROAD should be  limited to  those currently
     underway by contractors.   Long-term  changes should not
     be authorized until a plan is developed  by OAQPS for
     the  implementation of the  hybrid approach for
     managing air  quality data  and until  NADB assesses
     the  performance of the  current enhancements under a
     stable  AEROS  software environment.
                            254                      index systems inc

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(3)   Modifications  to NEDS  Should Be Limited to Those Currently
     Contracted  Except  That Data Edits  Should Be Made Available
     to  Regional Offices.

     Enhancements to NEDS should be limited to those currently
     contracted, including  a  regional edit capability and  im-
     proved update  efficiencies.  Furthermore, the  current con-
     tractor efforts to modify the NEDS edit should be  redi-
     rected to provide  the  regions with the ability to  run
     validation  checks  and  to edit input cards against  the
     user file.   Approximately $10,000  in additional contractor
     funds are estimated to be needed for this effort.

(4)   EPA Should  Use Its Budgeted $250,000 in Contractor
     Funds for CDHS Enhancements.

     EPA should  maintain its  support  for CDHS by  taking five
     system-related actions,  as follows:
             Complete current identified modifications to
             CDHS
             Conduct review of states to identify additional
             CDHS enhancements necessary to meet state infor-
             mation requirements
             Perform additional enhancements to CDHS reporting
             capabilities as specified by state users
             Improve current data handling procedures for
             CDHS by incorporating more extensive edit capa-
             bilities
             Review and develop interface procedures between
             state-operated systems and EPA maintained systems
                             255                      index systems inc

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          NADB has estimated that these enhancements will

          require $250,000 in funds included in the FY 77

          budget.  The elapsed time for these actions is

          estimated to be approximately 18 months.



3.  AFTER CURRENT AEROS SYSTEM MODIFICATIONS ARE COMPLETED EPA

    SHOULD EVALUATE SYSTEM PERFORMANCE BEFORE AUTHORIZING ADDI-

    TIONAL ENHANCEMENT EFFORTS.



    EPA should evaluate AEROS system performance after current

    system modifications have been completed.   This assessment

    should be performed over a three-month period to evaluate

    system efficiency and functional adequacy in a stable soft-

    ware environment.   After this test period,  NADB should analyze

    four areas for further modification,  as follows:
            Consider alternative methods for calculating running
            averages for ambient data

            Revise the timing of summary and frequency file
            creation

            Analyze the need for a violations file for ambient
            data

            Consider altering the scope of source emissions data
            stored in NEDS consistent with any SAMWG recommended
            change in data reporting requirements


    This analysis  is necessary to ascertain costs and  benefits

    of  additional  changes in light of the direction of future

    air program data requirements.   This analysis can  be performed
                                 256                      index systems inc

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    by NADB personnel and should not require outside contractor
    assistance.

4.   EPA SHOULD TAKE FOUR MANAGEMENT ACTIONS TO IMPROVE ADP
    RESOURCE UTILIZATION.

    System development and operation responsibilities should be
    be centralized within OAQPS.  MIDSD should conduct a detailed
    analysis of  the UNIVAC system problems.  In addition,
    MIDSD  should encourage the  use of  standard ADP management
    policies,  especially  within ORD, and should provide guidelines
    to  system managers  on ADP accounting procedures  and cost control,

    (1)  OAQPS Should Centralize  System Operation and Development
        Responsibilities.

        System  management and  development  responsibilities  should
        be  centralized in OAQPS  within NADB.   Furthermore,  in
        order to insure  adequate service to  the other divisions
        within  OAQPS,  NADB should receive  formal direction  from
        senior  OAQPS management  regarding  office-wide priorities.
        The establishment of formal office-wide rather than divi-
        sional  priorities should eliminate the need for the other
        divisions  within OAQPS to develop  new ADP systems on their
        own.
                                257                      index systems inc

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(2)   NEDS and CDS Should Not Be Integrated and Separate  System

     Management Responsibilities Should Be Retained  by OAQPS

     and DSSE.




     The current separate system approach for  the management

     of  compliance and  emissions data  should be maintained.

     Correspondingly, the system management responsibilities

     for NEDS and CDS should be retained by OAQPS and  DSSE,

     respectively, as at present.   In  this way each  organiza-

     tion will  continue to control  its own data base in  a

     manner  which is both practical and manageable.




(3)   MIDSD Should Conduct a Detailed Technical and  Operating

     Analysis of the UNIVAC and Its Management.




     MIDSD should conduct a detailed technical analysis  of the

     UNIVAC  in four areas, as follows.




             Hardware malfunction

             Throughput volumes

             Channel capacities

             Operating  system performance




     This study should  include an analysis of  NCC processing  char-

     acteristics and performance with  other comparable UNIVAC

     installations.  In addition, this study  should analyze the

     adequacy of current staffing levels, management procedures,  use

     of  contractors and organization.   As a result  of  this study

     MIDSD should develop an organizational and operations plan to

                                                     index systems inc
                             258

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     reduce the overall  failure  rate  at NCC.   This  analysis  is  esti-
     mated to  cost  $50,000  and could  be completed within four months.

(4)   MIDSD Should Encourage the  Use of Formal  ADP Management
     Policies  and Procedures.

     ADP  policies and  procedures are  discussed in the  EPA
     Automated Data Processing Manual and  other related
     documentation.  MIDSD  should encourage  the use of these
     procedures in  four  areas, as follows:
             Development and review of  system feasibility
             studies
             Data system design conventions  and utilization
             System and user documentation and training
             Development of  formal  ADP  budgets reflecting
             full anticipated computer  usage
     The adherence by EPA system managers to these procedures
     will reduce the likelihood of developing inefficient
     data systems whose usefulness may be outweighed by their
     costs.   The Office of Research and Development, in particu-
     lar, should be encouraged to adopt these standard ADP
     management control procedures.   Correspondingly, senior
     ORD managers and their technical ADP support personnel
     should  stop treating ADP budgets as if they are inter-
     changeable with other research funds and should begin to
     manage  their ADP sub-allowances more rigorously so as to
     insure  more effective use of computing resources.

                             259                      index systems inc

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5.   ADP EXPENDITURES IN SUPPORT OF THE AIR PROGRAM SHOULD REMAIN
    RELATIVELY STABLE OVER THE NEXT TWO YEARS.

    As a result of technical efficiencies, combined contractor
    and ADP costs will not increase significantly compared
    to current expenditure levels.  Over the next two years
    annual ADP expenditures will remain relatively constant
    while contractor costs will decrease by an average of
    $250,000 annually.
    Exhibit 7-2,  on the following page,  compares FY '76 estimated
    ADP expenditures by organization with the projected future
    annual costs.   OAQPS will experience the most significant
    reduction in  computer operating costs of approximately 40%
    compared to FY '76 expenditure levels.   The Office of
    Enforcement has estimated that ADP expenditures will decrease
    slightly over  the next two years.   On the other hand, regional
    and state ADP  costs will increase by approximately $375,000
    as additional  CDHS systems are installed and as local and
    regional personnel assume more responsibility for  data analysis
    and modeling activities.  Index has  not been able  to obtain
    projected ADP  operating costs from either ORD Headquarters
    or laboratory  personnel.  However, we have estimated ORD
    operating costs to increase by 20%  annually to reflect
    new system development and continued research analysis.
                                260                      index systems inc

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Exhibit 7-2
U.S. Environmental Protection Agency
Projected ADP Operating Costs by
Organization

OAQPS
ORD
OE
Regions
States
TOTAL
1976
($000)
1656
857
54
300
300
3126
1977
($000)
1360
1000
50
300
380
^^^^^^^^^•^^^••••••^•^^^^^^••^•HMIBM^^
3090
1978
($000)
1066
1200
50
400
475
3190
      261

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Exhibit 7-3, on the following page, compares FY  '76 estimated



expenditures by system with projected future annual costs.



The most significant reduction in operating costs will re-



sult from current technical SAROAD modifications.  These



technical changes plus the shift towards a hybrid



approach for managing air quality data will reduce SAROAD



computer costs by approximately 67%.  On the other hand,



CDHS costs will increase significantly as additional instal-



lations occur.  EPA system managers have projected EDS



operating costs to increase to $300,000 next year.  However,



we anticipate that an EDS system audit will identify areas



where operating costs could be reduced back to current-



year levels.  ORD personnel were unable to provide Index



with projected system operating costs.  However, Index



estimates that RAPS and CHESS/CHAMPS costs will  increase



by approximately 20% annually while system costs associated



with the NASN program will remain stable.







Overall ADP contractor costs will decrease over the next



two years.   The table below compares current EPA contractor



expenditures for OAQPS, OE and state offices with those



anticipated in future years.

OAQPS
OE
States
1976
($000)
800
75
510
1977
($000)
750
60
205
1978
($000)
550
60
205
                              262                     index systems inc

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Exhibit 7-3
U.S. Environmental Protection Agency
Projected ADP Operating Costs by System


SAROAD
NEDS
CDS
RAPS
CHESS/CHAMPS
EDS
CDHS
NASN
Other OAQPS Systei
Other ORD Systems
Other (including
unallocated regio
usage)
TOTAL
1976
($000)
903
150
105
250
347
183
300
54
s 380
200
254
lal

3126
1977
($000)
480
180
100
300
410
300
381
54
400
230
255

3090
1978
($000)
300
180
100
360
490
186
475
54
400
290
355

3190
       263

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Most ADP contractor expenditures were estimated from detailed



contract listings contained in the Contracts Information



System (CIS) and adjusted, where necessary, by system manager



estimates.







OAQPS contractor expenditures for air data systems will decrease



over the next two years.  SAROAD and NEDS contractor costs will



be offset by budgeted increases in CDHS support.  While EDS con-



tractor costs are expected to continue through FY '77, they



are expected to be eliminated in FY'78 as a result of the



proposed audit.  In addition, approximately $75,000 in con-



tractor support may be needed to implement the hybrid approach



for air quality data.  The Office of Enforcement cost has been



estimated to decrease slightly in the future.  State contractor



costs will decrease slightly over the next two years.  Index



has not been able to obtain ADP contractor costs from either



ORD Headquarters or laboratory personnel.  Personnel levels



in support of the air data systems are expected to remain



stable during the next two years at Headquarters, in the regions



and in the states.
                             264
                                                      index systems inc

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APPENDIX A - INVENTORY  OF  CURRENT SYSTEMS
                                               index systems inc

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       APPENDIX A - INVENTORY OF CURRENT SYSTEMS








The major ADP systems currently used by EPA and state



air program personnel are described in this appendix.  Each



system write-up contains three types of information, as



follows:







        System description



        System costs



        System management







Information contained in this appendix was obtained through



interviews with EPA system managers and through the reviews



of various system documentation.
                          255                      index systems inc

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         STORAGE AND RETRIEVAL OF AEROMETRIC DATA (SAROAD)
SYSTEM DESCRIPTION

    Computer

    Facility

    Update Frequency


    Data Base Accessible On-Line


    Number of Standard Reports

    Year Installed

    Data Entry Transactions per Month

    Transaction Size (Average)

    Input Frequency

    Data Editing


    Programming Language for Update

    Estimated Program Size

    Data Retrieval Method Used

    Master File Size

    Retention Period for Master Files


    Data Base Management System Used
UNIVAC 1110

NCC

Scheduled bi-weekly but,
in practice, irregular.

Yes


32

1974-1975

170,000

6-9 data elements/transaction

Continuous

Pre-edit uses no master files
Edit uses two files

COBOL, FORTRAN

104 programs

FORTRAN, COBOL

88,000,000 values

After three years old data
stored on historical file

None
SYSTEM COSTS

    Fiscal 75 Computer costs

    Fiscal 76 Computer Costs
 $   606,242

 $   903,000
                                 266
                                                          index systems inc

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         STORAGE AND RETRIEVAL OF AEROMETRIC DATA  (SAROAD)
SYSTEM MANAGEMENT
    System Documentation
    Documentation Update Procedures
    Contractors for System Operation
    Contractors for System Maintenance
    User Training Manuals
Yes
Yes
No
No
Yes
                               267
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              NATIONAL EMISSIONS DATA SYSTEM (NEDS)
SYSTEM DESCRIPTION
    Users
    Computer

    Facility

    Year Installed

    Update Frequency

    Data Base Accessible on-line


    Number of Standard Reports

    Data Entry Method

    Software Package Used

    Average Number of Transactions/Month

    Transaction Size (Average)

    Entry Input Schedule

    Programming Language for Update

    Estimated Program Size

    Data Retrieval Method Used

    Number of Master File Records

    Master File Record Size

    Retention Period for Master Files

    Data Base Management System Used
OAQPS, regional offices,
states, other EPA, outside
agencies and private
institutions

UNIVAC 1110

NCC

1975

Bi-weekly

No, although reports can be
requested interactively

39

Batch

None

30,000-40,000 cards

5-8 values per card

Continuous

COBOL

57 COBOL,  23 FORTRAN

COBOL, FORTRAN

93,200

552 characters

Indefinite

None
SYSTEM COSTS

    Fiscal 75 Computer Costs

    Fiscal 76 Computer Costs
$260,000

$150,000
                                 268
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                  NATIONAL EMISSIONS DATA SYSTEM
SYSTEM MANAGEMENT
    System Documentation
    Documentation Update Procedures
    Contractors for System Operation
    Contractors for System Maintenance
    User Training Manuals
Yes
Yes
No
No
Yes
                                269
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                   COMPLIANCE DATA SYSTEM (CDS)
SYSTEM DESCRIPTION

    Users


    Computer

    Facility

    Year Installed

    Update Frequency

    Data Base Accessible On-Line

    Number of Standard Reports

    Method

    Software Package Used

    Transactions per Month

    Data Entry Input Frequency

    Programming Language for Update

    Data Retrieval Method Used

    Number of Master File Records

    Retention Period for Master Files

    Average Number of Transactions
    per Update


    Data Base Management System Used
DSSE, regional and state
air enforcement personnel

IBM/370

OSI

1973

Weekly

No

4

Batch

None

40,000

Continuous

COBOL

COBOL

30,000

Permanent

10,000



None
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                   COMPLIANCE DATA SYSTEM  (CDS)
SYSTEM COSTS

    Fiscal 75 Computer Costs


    Fiscal 76 Computer Costs


    Fiscal 75 Contractor Costs(DSSE)

    Fiscal 76 Contractor Costs(DSSE)

    Current Manpower Support
$50,000  (DSSE)
$30,000  (Regions)

$54,000  (DSSE)
$51,000  (Regions)

$75,000

$75,000

1  (DSSE)
5  (Regions)
SYSTEM MANAGEMENT

    System Documentation

    Documentation Update Procedures

    Contractors for System Operation

    Contractors for System Maintenance

    User Training Manuals
Yes

Yes

Yes

Yes

Yes
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                     ENERGY DATA SYSTEM  (EDS)
SYSTEM DESCRIPTION

    Users

    Computer

    Facility

    Year Installed

    Data Base Accessible On Line

    Update Frequency



    Average Record Size

    Number of Data Values

    Annual Data Base Increase

    Data Base Management System

    Programming Language
SASD

UNIVAC 1110

NCC

1975

Yes

Yearly or quarterly
depending on data
values, or as needed

N/A

58,000,000

6,000,000

System 2000

COBOL, FORTRAN
SYSTEM COSTS

    1975 Computer Costs

    1976 Computer Costs

    1974-75 Contractor Obligations

    1976 Contractor Obligations

    Current Manpower Support
 $ 18,000

 $183,000

 $273,000

 $129,000

 2 man years
SYSTEM MANAGEMENT

    Management

    System Documentation

    Documentation - update procedures

    Contractors for system operation

    Contractors for system maintenance

    User documentation

    EPA support personnel
SASD and NADB

Not complete

Not complete

No

Yes

Yes

2+
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                 EMISSIONS INVENTORY SYSTEM (EIS)
SYSTEM DESCRIPTION

    Users

    Computer

    Facility

    Year Installed

    Update Frequency

    Data Base Accessible on-line

    Number of Standard Reports

    Number of Systems in Operation

    Data Entry Method

    Transactions per Month

    Transaction Size (Average)

    Input Frequency

    Editing Procedure

    Programming Language for Updates

    Estimated Program Size

    Data Retrieval Method Used

    Number of Master File Records

    Master File Record Size



    Retention Period for Master Files
States

Varies

State facilities

1973

Any time

Batch only

17

14

Batch

500

3,000

Varies

Edit occurs during update

COBOL

16

COBOL

45,000-300,000

500-1,400 depending on
number of pollutants,
permits and registrations

Permanent
SYSTEM COSTS

    Initial Development Costs

    Implementation Costs

    Fiscal 75 Computer Costs

    Fiscal 76 Computer Costs
$150,000

$17,000/each

$9,000 annually per state

$9,000 annually per state
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                 EMISSIONS INVENTORY SYSTEM (EIS)
SYSTEM MANAGEMENT

    System Documentation

    Documentation Update Procedures

    Contractors for System Operation

    Contractors for System Maintenance

    User Training Manuals

    Number of EPA Personnel in System
     Management and Operations

    Number of State Personnel in System
     Management and Operations
Yes

Yes

No

Yes

Yes

1


1-2 per state
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           AIR QUALITY DATA HANDLING SYSTEM (AQDHS-II)
SYSTEM DESCRIPTION

    Users

    Computer

    Facility

    Year First Installed

    Number of Systems in Operation

    Update Frequency

    Data Base On-Line Accessibility

    Number of Standard Reports

    Data Entry Method

    Software Package Used

    Transactions per Month

    Transaction Size (Average)

    Input Frequency

    Data Editing Procedures
States

Varies

State facilities

1973

11

Depends on state

No

4

Batch

No

4,000

6-8 data elements/transaction

Varies

Uses site and parameter files
DATA MANAGEMENT

    Programming Language for Update

    Estimated Program Size

    Data Retrieval Method Used

    Number of Master File Records


    Master File Record Size

    Retention Period for Master Files

    Average Number of Transactions
    per Update

    Data Base Management System Used
COBOL, FORTRAN

15

Report retrieval package

Varies between states
 (40,000-500,000)

Variable  length -  41-133

Indefinite

Varies


None
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           AIR QUALITY DATA HANDLING SYSTEM (AQDHS-II)
SYSTEM COSTS

    Initial Development Costs

    Implementation Costs

    Fiscal 75 Computer Costs

    Fiscal 76 Computer Costs
$150,000

$17,000 per system

$9,000 per state

$9,000 per state
SYSTEM MANAGEMENT

    System Documentation

    Documentation Update Procedures

    Contractors for System Operation

    Contractors for System Maintenance

    User Training Manuals

    Number of EPA Personnel in System
     Management and Operations

    Number of State Personnel in
     System Management and Operation
Yes

Yes

No

Yes

Yes

1


1-2 per state
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                 SOURCE TEST DATA SYSTEM  (SOTDAT)
SYSTEM DESCRIPTION



    Year Installed



    Computer



    Facility



    Update Frequency
1976



UNIVAC



NCC



Variable
SYSTEM COSTS



    Fiscal 76 Computer Costs



    Fiscal 74-75 Contractor Costs



    Fiscal 76 Contractor Costs




    Manyears
$12,000



$34,442



$62,653



's-l many ear
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           STATE IMPLEMENTATION PLANNING SYSTEM (SIPS)
SYSTEM DESCRIPTION
    Users
    Computer
    Facility
    Year Installed
    Update Frequency
Regions, OAQPS
UNIVAC 1110
NCC
1975
Variable
SYSTEM COSTS
    Fiscal 75 Computer Costs
    Fiscal 76 Computer Costs
    Fiscal 75 Contractor Costs
    Fiscal 76 Contractor Costs
    Current Manpower
$ 2,426
$ 9,600
$24,690
$38,000
11/2 many ears
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   THE HAZARDOUS AND TRACE SUBSTANCE INVENTORY SYSTEM (HATREMS)
SYSTEM DESCRIPTION



    Computer



    Facility



    Year Installed



    Update Frequency
UNIVAC 1110



NCC



Projected for fiscal year 77



Unknown
SYSTEM COSTS



    Fiscal 76 Computer Costs



    Fiscal 75 Contractor Costs



    Fiscal 76 Contractor Costs



    Current Manpower



    Expected Manpower
Not yet implemented



$25,000



$50,000



Jj  manyear



1-2  manyears
                                279
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               REGIONAL AIR POLLUTION STUDY (RAPS)
SYSTEM DESCRIPTION

    Users

    Computer

    Facility

    Year Installed

    Update Frequency

    Data Base Accessible On-Line

    Number of Standard Reports


    Storage Medium

    Software Package Used

    Transaction Size per Month

    Data Entry Input Frequency

    Programming Language for Update

    Estimated Program Size

    Data Retrieval Method Used

    Master File Record Size

    Retention Period for Master Files

    Average Number of Transactions
    per Update


    Data Base Management System Used
SYSTEM COSTS

    Fiscal 75 Computer Costs

    Fiscal 76 Computer Costs

    Fiscal 74-75 Contractor Costs

    Fiscal 76 Contractor Costs

    Current Manpower Support
ORD

UNIVAC

NCC

1973

Every ten days

Yes

10, plus numerous special
reports

Tape

None

38,000,000

One tape every ten days

FORTRAN, assembler

Over 100 programs

FORTRAN, assembler

2404 for minute file

Permanent

12,500,000



None
$117,000

$249,762

Not available to Index

Not available to Index

6 EPA
6-8 Contractors
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               REGIONAL AIR POLLUTION STUDY  (RAPS)
SYSTEM MANAGEMENT



    System Documentation



    Documentation Update Procedures



    Contractors for System Operation



    Contractors for System Maintenance



    User Training Manuals
Yes



Yes



Yes



Yes



Yes
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      COMMUNITY HEALTH AIR MONITORING PROGRAM (CHAMP)
SYSTEM DESCRIPTION
     User
     Computer



     Facility
Health Effects Research Laboratory,ORD



UNIVAC
NCC
Although data gathering associated with CHESS has ended, data are



are being analyzed by researchers for report publication.  Fiscal



1975 computer costs were $231,000.  The CHAMP program is in the



data gathering phase.  Currently, a feasibility study is under



way to evaluate system designs for managing air quality data



associated with CHAMP.  However, cost data associated with the



feasibility study and projected operating costs were not available



to Index.  An interim data system is operational for the capture



of air quality data associated with CHAMP.  The fiscal 1976



computer costs for this system and the continuing CHESS analysis



are approximately $350,000.  Other descriptive system and cost



related information were not available for CHESS and CHAMP.
                              282

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APPENDIX B - COST  ESTIMATES
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                   APPENDIX B - COST ESTIMATES



     This Appendix presents the estimation rules and assumptions

     employed for evaluating alternative system actions and for

     projecting ADP expenditures resulting from proposed changes.

     Section 1 describes the estimation procedures as applied to

     the evaluation of system design alternatives for managing air

     quality and emissions data.  Section 2 describes the consulting

     and system development costs which result from proposed changes.



1.    COST ESTIMATES FOR ALTERNATIVE SYSTEM DESIGNS ASSOCIATED

     WITH THE MANAGEMENT OF AIR QUALITY AND EMISSIONS DATA



     Cost estimates utilized for evaluating alternative system de-

     sign philosophies were obtained from four sources, as follows:
                 Annualized data system operating costs from EPA
                 TSSMS reports

                 EPA system managers'  ADP cost estimates

                 Development and operational costs of similar EPA
                 data systems adjusted for differences in data
                 volumes and scope

                 Cost estimates utilized in earlier studies per-
                 formed by Index and other contractors, where
                 appropriate
     Cost estimates presented in this section do not include EPA

     personnel costs.
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(1)   Air Quality  Data  System  Computer Operating  Costs



     The following  cost  estimates  and assumptions were  used  to

     approximate  air quality  computer operating  costs:
            Current SAROAD  modifications  have  been  estimated by
            the current  systems  contractor  to  reduce  annual data
            retrievals and  maintenance  ADP  costs  by at  least 50%
            to  approximately  $190,000 and $160,000, respectively

            Index estimates state  computer  billing  rates  to aver-
            age $300 per hour

            EPA system managers  have projected that 35  states will
            utilize either  AQDHS-II or  a  locally-developed ambi-
            ent air data system

            A typical state-operated system requires  30 hours of
            computer time to  operate annually

            An EPA-operated data system  for states that
            cannot support their own system requires 9 hours
            of computer time to operate  annually

            The aggregate operating costs to EPA associated with
            the states that cannot support their own data system
            would be approximately $40,000

            State coordination and data  handling costs associated
            with providing ambient monitoring data to EPA,
            quarterly,  have been estimated by Index to be $50,000

            The operation and reporting  associated with a summary
            or violations information system are expected to
            cost $35,000.  This system would be similar in
            complexity to the Formal Reporting System

            Data communication costs for a utility approach would
            constitute approximately 20% of the annual maintenance
            and reporting costs
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The following cost parameters were defined in order to

estimate computer operating costs associated with the al-

ternative data system designs:
    S = aggregate state maintenance and retrieval costs =
        30 hours/year x 35 states x $300/hr = $315,000

    E = EPA retrieval costs = $190,000

    X = EPA maintenance costs for its data system = $160,000

    Z = EPA operating costs for states that cannot support
        their own data system = 9 hours/year x 15 states
        x $300/hr = $40,500

    M = operating and reporting costs associated with
        management summary violations data = $35,000
The computer operating costs associated with the current,

hybrid and utility design approach have been estimated

by Index to be represented by three equations, as follows:



    Current     =     S+1.5E+    X         = $795,000

    Hybrid      -     S+1.1E+0.1X+Z+M= $615,000

    Utility     =  1.5S +    E        + Z       $705,000



These equations are adjusted to account for the relative

contribution of the previously mentioned parameters to the

aggregated operating costs for each alternative.




The operating costs associated with the current approach

include both EPA and state maintenance and retrieval
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     costs (S,  X,  E).   Because of completeness  and currency

     deficiencies  associated with the current EPA-maintained

     data base,  data  retrievals are supplied at present by

     states to  EPA.   With a hybrid approach data system, the

     operating  costs  to states would be similar to the cur-

     rent approach.   On the other hand,  EPA reporting and main-

     tenance costs (E,  X)  would be reduced substantially.

     However, EPA  would have to maintain air quality data (Z)

     for those  states that cannot support their own systems.

     States would  continue to supply data reports to EPA, as

     needed.  Furthermore, with a hybrid design EPA would

     maintain a management reporting system (M)  of summary and

     violations data.   With a utility approach  operating costs

     (S)  to states would increase over the current and

     hybrid approaches because of data communication costs and

     additional costs associated with maintaining a central

     utility data  system for a diverse group of users.



(2)   Air Quality Data System Development and Installation Costs



     The following cost estimates and assumptions were  used to

     approximate air  quality data system development and instal-

     lation costs:
            Installation costs  for AQDHS-II  are approximately
            $17,000  per state
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       An additional 10-15 states are expected to install
       AQDHS-II  within the next five years

       Modifications to AQDHS-II necessary for the
       current and hybrid design approaches are
       estimated to total $100,000 - $125,000

       Based on the scope of work necessary to develop
       a utility-oriented air quality data system,
       development costs would range between $500,000 -
       $800,000

       The installation and user training costs associated
       with implementing a utility-oriented data system
       for 35 states would be approximately $175,000

       The development of a management reporting system
       for violations information would be similar in
       work scope to the Federal Water Supply System or
       Federal Reporting System and would cost approxi-
       mately $50,000
The current approach would involve additional AQDHS-II

installations and modifications and would cost approximately

$330,000.  The development and installation costs necessary

for a hybrid approach would be similar to those costs

incurred for the current design, but would involve the

development of a management reporting system for violations

and summary information.  These costs would total approxi-

mately $380,000.  System development, installation and

training costs necessary for a utility design would cost

between $600,000 and $1,000,000.
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(3)   Emissions  Data System Computer Operating Costs



     The  following  cost estimates  and  assumptions  were used

     to approximate emissions  computer operating costs:
            EPA system managers  have  projected  that  35  states
            would  utilize  either EIS/PR or  a  locally-developed
            emissions  data system

            A  typical  state-operated  system requires 15 hours
            of computer  time  to  operate annually

            Index  estimates state computer  billing rates to
            average  $300 per  hour

            Maintenance  costs for the EPA maintained data sys-
            tem NEDS will  remain stable at  $30,000

            EPA retrieval  costs  from  NEDS would increase by
            50% to $150,000

            State  coordination and data handling costs  associ-
            ated with  providing  machine-readable data to EPA
            semi-annually  are estimated to  be $25,000
    The cost estimates and assumptions were utilized to estimate

    the computer operating costs for the current and utility

    data system design.  The various cost parameters for each

    approach are illustrated below in Table 1.

                          Table 1
                                        Current     utility
    State maintenance and retrievals   $160,000     $240,000
    EPA maintenance                    $ 30,000
    State retrievals for EPA           $ 50,000
    EPA retrievals                     $150,000     $150,000
    Semi-annual reporting costs        $ 25,000
       for states to EPA
       TOTAL                           $415,000     $390,000
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     The computer operating costs  for  the current and utility

     approaches do not differ substantially  considering the im-

     precision of the estimation parameters.   The elimination

     of  EPA maintenance,  state reporting and  retrieval  costs

     would be  offset  approximately by  an increase of maintenance

     and data  communication costs  with a utility design.



(4)   Emissions Data System Development and Installation Costs



     The following cost estimates  and  assumptions were  used to

     approximate emissions data system development  and  installa-

     tion costs:
            Installation costs  for EIS/PR  are  approximately
            $17,000 per state

            An  additional 10-15 states are expected  to  install
            EIS/PR over the next  five years

            Modifications to EIS/PR necessary  for the cur-
            rent design approach  are estimated to total $175,000

            Based on the scope of work necessary to  develop
            a utility-oriented emissions data  system, costs
            would range between $500,000 - $800,000

            The installation and  user training costs associated
            with implementing a utility-oriented data system
            for 35 states would be approximately $175,000
    The current approach involves additional  EIS/PR installa-

    tions and modifications and would cost approximately

    $380,000.  On the other hand, system development, install-

    ation and training costs necessary for a  utility design

    would cost between $600,000 and $1,000,000.


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2.   CONSULTING AND SYSTEM DEVELOPMENT COSTS WHICH RESULT FROM

    PROPOSED CHANGES



    Cost estimates utilized for projecting consulting and system

    development efforts which result from proposed changes

    were based on four factors, as follows:
            EPA system managers'  ADP cost estimates

            Scope and magnitude of the consulting or system
            development effort

            Number of people and elapsed time appropriate
            for each project

            Travel time and associated expenses
    For estimation purposes/  we have assumed the following average

    manmonth ratesi



         Contractor-consulting project         $6000

         Contractor-system development         $4500



    Exhibit B-l,  on the following page,  shows the cost derivation

    of each of the proposed consulting and system development efforts,
                                 290                     index systems inc

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                                                             Exhibit B-l
                                                             U.S. Environmental Protection Agency
                                                             Costs Associated With Proposed Changes
                                 Estimated Cost
                    Elapsed Time
                   Basis for Cost
Procedure and Requirements
definition for distributed
approach
 $25,000
 3 months
3.5 mm x $6,000 = $21,000
       expenses = $ 4,000
                  $25,000
Management summary and
violations data system
development
EDS system audit
 $50,000
 6 months
 $15,000
 3 months
2 mm x $6,000
7 mm x $4,500
     expenses
2 mm x $6,000
     expenses
                $12,000
                $31,500
                $  6,500
                $50,000
                $12,000
                $ 3,000
                 15,000
                                                                                                    (Tl
                                                                                                    CN
Regional NEDS edit and data
validation development
 $10,000
 2 months
2 mm x $4,500 = $ 9,000
     expenses = $ 1,000
                 10,000
CDHS enhancements
NCC Technical Review
$250,000


 $50,000
18 months


 4 months
EPA system managers'  estimates


7 mm x $6,000 = $42,000
     expenses = $ 8,000
                $50,000

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APPENDIX C - QUESTIONNAIRE  RESPONSE SUMMARY
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        APPENDIX C - QUESTIONNAIRE RESPONSE SUMMARY







The information contained in this appendix was obtained from



a questionnaire prepared by the Standing Air Monitoring Work



Group and the Management Information and Data Systems Division.



This appendix summarizes eight categories of information



reported on the questionnaire, as follows:







        Primary uses of air data



        Types of air data required



        Problems with air data, information flows and



        systems



        Scope of air data requirements



        Computer systems used



        Preferred system design philosophy



        Summary of respondants



        Approximate Annual ADP -related costs







Questionnaires were completed by various EPA Headquarters,



Research and Regional offices.  The findings from the



questionnaires provided additional background information



on the scope of air program data needs and various



aspects of the results were incorporated in the data



needs and analysis chapters of this report.
                             292                      index systems inc

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The responses have been summarized by five respondent groups,



as follows:







        Office of Air Quality and Planning Standards  (OAQPS)



        Office of Planning and Evaluation  (OPE)



        Division of Stationary Source Enforcement  (DSSE)



        Office of Research and Development (ORD)



        Regional Offices







Apparent contradictory statements may appear within a group



as a result of the grouping of various responses.  Also, the



responses have been separated into the eight information



categories listed above.
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SUMMARY CF AIR MONITORING AND SOURCE DATA NEEDS QUESTIONNAIRE

Primary Uses
of Air Data



























a = Air Quality
Data
e = Emissions
Data
o = Other Data
OFFICE OF AIR QUALITY
AND PLANNING STANDARDS
.Determine air quality
status (a)

.Prepare annual trend
reports (a,e)

.Develop and revise
emission factors (e,
0)

.Determine environ-
mental impact of
NSPS, NESHAPS, FMVES
(a,e,o)

.Evaluate need to
revise standards
and to control new
pollutants (a,e,o)

.Perform special
studies (a,e,o)

.Develop and test
control strategies
(a,e,o)
.Determine national
manpower and re-
source needs





OFFICE OF PLANNING
AND EVALUATION
.Determine trends in
population exposure,
actual and potential
emissions (a,e)

.Determine impact of
new sources on
ambient air quality
(a,e,o)

.Validate air quality
models (a,e)

.Establish daily
ambient air pollu-
tion indicator (a)


















DIVISION OF STATIONARY
SOURCE ENFORCEMENT
.Plan and order future
enforcement activ-
ities (a,e,o)

.Determine compliance
status (o)

.Measure progress in
emissions reduction
(e,o)
























OFFICE OF RESEARCH
AND DEVELOPMENT
.Develop and evaluate
air quality and
source models (a,e,o)

.Research and poll-
utant assessment
studies (a,o)

.Identification of
new pollutants (a,o)
























REGIONS
.Revise SIP's (a,e,o)

.New source review
(a,e,o)

.Enforcement actions
(a,e,o)

.Evaluate control
strategies (a,e,o)

.Modeling applications
(a,e,o)

.Air quality mainten-
ance planning
(a,e,o)

.TCP development
(a.e.o)

. Non-significant
deterioration (a,e,o)

.Determine source
compliance (e,o)









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                 OFFICE OF AIR QUALITY
                 AND PLANNING STANDARDS
                         OFFICE OF PLANNING
                         AND EVALUATION
                          DIVISION OF STATIONARY
                          SOURCE ENFORCEMENT
                         OFFICE OR RESEARCH
                         AND DEVELOPMENT
                                                                                                                       REGIONS
Air Data
Needs
Scope of
Air Data
.Raw and sumnazy
  air quality data
   (criteria and non-
  criteria)

.Timely and conplete
  air quality data
   (representing 90
  days or more)

.Area and point source
  emissions for urban
  areas

.Industrial process
  data

.Ambient site infor-
  mation

.Short-term emissions
  data

.Modal and diurnal
  data on source
  operations

.Land use based
  emissions

.Historical emissions
National  (sane local
  data needs for
  modeling applic-
  ations)

Historical (5 years)
.Ambient and source
  data to allow
  isopleths to be
  drawn

.Timely, complete
  and historical
  emissions data

.Background and source
  data for criteria
  and non-criteria
  pollutants

.Inclusion of new
  sources, planned
  technologies and
  construction
  schedules

.Meteorological data
.Complete ambient
  data no more than
  6 months old

.Annual emisssions data

.Compliance status
.Raw data  for criteria
  pollutants, metals
  and toxic substances

.Power plant emissions
  data

.Meteorological data

.Quality assurance in-
  formation

. "CAMP" type data for
  more non-urban
  stations

.Sulfates  and acid rain
  data

.Particulate character-
  ization
National (sane local
  data needs for
  modeling applic-
  ations)

Historical (5 years)
National summery

Historical data not
necessary
National (some local
  data needs)

Historical (5-20
  years)
.Raw and sumnary air
  quality data

.Meteorological data

.Ambient data for
  non-criteria  poll-
  utants

.Compliance data

.Fuels data

.Automobile emission
  data

.Quality assurance
  information

.Point and area source
  emissions inven-
  tories

.Accuracy (- 10%)
                                                                                                                                                un
                                                                                                                                                cs\
                                                                                                                                                CN
Regional and local

Historical (5 years)

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                OFFICE OF AIR QUALITY
                AND PLANNING STANDARDS
                         OFFICE OF PLANNING
                         AND EVALUATION
                          DIVISION OF STATIONARY
                          SOURCE ENFORCEMENT
                         OFFICE OF RESEARCH
                         AND DEVELOPMENT
                                                                                                                      REGIONS
Problems
Associated
With Data,
Information
Flows and
Systems
.Insufficient data
  accuracy, complete-
  ness and currency

.Non-criteria data
  from more areas are
  needed

.Limited software
  capabilities

.Unstable hardware

.Slow turn-around
  time

.More complete data
  from fewer sites
  needed

.Insufficient quality
  control by data
  collectors
.Less data needed per
  site but covering
  additional sites

.Incomplete, out-of-
  date arvJ poor quality
  data

.Methods not stand-
  ardized

.Siting not always
  appropriate

.Meteorological data
  not localized enough

.Systems not designed
  to store special
  study data for
  future use

.Limited state access
  to EPA data bases

.Historical emissions
  not maintained

.Ambient data presented
  on site-by-site basis
  are inadequate for
  interpretation
.Ambient data too
  old

.Unnecessary steps in
  information flow
  process

.Outdated and in-
  complete emissions
  data

.Unstable hardware
.Quality of data
  unknown

.Access to raw data
  difficult

.Inflexible software and
  time delays in data
  flow

.Limited mixing depth
  data available

.More complete data
  needed for fewer
  locations

.Unfamiliarity with
  UNIVftC software and
  operations
.Poor quality and
  outdated data

.Insufficient meteor-
  ological data

.Siting and calibration
  problems

.Operational costs for
  CDHS not accurately
  projected

.Slow turn-around time

.No plot capabilities

.No polygon retrievals

.Greater fliexibility
  in retrieval programs
  needed

.Training programs and
  technical assistance
  needed

.Awkward and time-con-
  suming data flows

.ADP suballowance is not
  sufficient to allow
  increased NOC usage
  without reprogramning
  actions

.Qualification of data
  by quality indicators
  needed

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                OFFICE OF AIR QUALITY
                AND PLANNING  STANDARDS
                         OFFICE OF PLANNING
                         AND EVALUATION
                          DIVISION OF STATIONARY
                          SOURCE ENFORCEMENT
                          OFFICE OF RESEARCH
                          AND DEVELOPMENT
                                                                                                                       REGIONS
Preferred
System
Design
Philosophy
.Centralized data bank
  with standard data
  formats, collection
  and quality assur-
  ance procedures
.Less lag time, more
  believable data,
  with Regional/state/
  local access (at
  cost)
.Highly decentralized
  system

.Regional responsibil-
  ity for operation
  of data system

.Centralized processing
  at regional level
  with headquarters
  access to regional
  data bases
.Data collection,
  reduction, storage
  and retrieval auto-
  matic with little
  human interface

.Hybrid system with in-
  depth data for Region!
  on all monitoring
  stations within
  their geography
  and smaller network
  of reporting stations
  with national rep-
  resentation for head-
  quarters use

.Hybrid system with
  decentralized data
  reporting and analy-
  sis
.There can be no one
  optimal system.
  Systems are designed
  for specific purposes

.State access and up-
  date control of EPA
  data systems

.Centralized data base
  and control

.Decentralization of
  all systems  oper-
  ations where econom-
  ically feasible

.Partial interfaces
  among all systems

.Data management pro-
  gram at each level of
  system usage

.Hybrid system with
  limited trend data
  fron a small number
  of stations being
  centralized and more
  extensive data from
  states handled by a
  decentralized regional
  system

.Direct edit capability
  at NCC for states
                                                                                                                                           tN

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                 OFFICE OF AIR QUALITY
                 AND PUNNING STANDARDS
                         OFFICE OF PLANNING
                         AND EVALUATION
                         DIVISION OF STATIONARY
                         SOURCE ENFORCEMENT
                         OFFICE OF RESEARCH
                         AND DEVELOPMENT
                          REGIONS
Computer
Systems
Used
SAROAD, NEDS, CDS,
RAPS, EOS, REPS,
CAASE, SOTDAT, HATREMS
SAROAD, NEDS, CDS
SAROAD, NEDS, CDS
SAROAD, NEDS, RAPS
other
SAROAD, NEDS, CDS
State Implementation of
CDHS
Respondents
Monitoring and Data
  Analysis Division
                 Emission Standards and
                   Engineering Division

                 Strategies and Air
                   Standards Division

                 Control Programs Dev-
                   elopment Division
Office of Planning
 and Evaluation
Division of Stationary
 Source Enforcement
.Environmental Mon-
  itoring and Support
  Labs
  -Corvallis
  -RTF  (2)
  -Las Vegas

.Office of Health
  and Ecological
  Effects

.Monitoring Tech-
  nology Division
All Regional Offices
                                                                                                                                            CO
                                                                                                                                            crt

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                                     ESTIMATED ANNUAL ADP COSTS *
Organization
Office of Air Quality Planning
and Standards Monitoring and
Data Analysis Div.
Office of Planning and
Evaluation
Division of Stationary
Source Enforcement
Office of Research and
Development
Las Vegas
System
SAROAD
NEDS
Modeling
Other
Total
SAROAD,
NEDS, CDS
CDS

Computer
$ (000)
900
350
200
75
1525

65

Personnel
$ (000)
250
60
160
45
515

1 Man
Year

Contractor
$ (000)
250
210
300
200
960

35

Total
$(000)
1400
620
660
320
3000
60

47
                                                                                                                    CTl
                                                                                                                    CM
^Estimated annual ADP cost represent those costs stated on the questionnaire and do not
 reflect necessarily the costs as projected by Index Systems.

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Organization *

Region II
Region III
Region IV
Region V
Region VI
Region VII
Region VIII
Region IX
System



CDS
Only


SAROAD
NEDS
CDS
AQDM
COM
SAROAD
CDS
CDS
AEROS
Other
Computer
$ (000)

14.7
15.0
10.0

10.0
2.7
1.6
12.6
.7
.4
8.9
1.3
7.0
3.0
6.0
Personnel
$ (000)

13.5
2 Man
Years
1 Man
Year

25.0
4.6
4.5
12.8
4.4
4.4

18.0
9.0
5.0
Contractor
$ (000)


3.0
50.0




6.0
6.0
Total
$ (000)




75-0

7.3
6.1
25.4
5.1
4.8


*  Region I and X cost estimates not received by Index Systems.

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