April 2017
Inventory of U.S. Greenhouse Gas Emissions and Sinks 1990-2015:
Revisions to Natural Gas Systems Processing Segment Emissions
New data are available on emissions from the natural gas processing segment. See Table 1 below for a
summary of the new data. The EPA evaluated approaches for incorporating this new data into its
emission estimates for the Inventory of U.S. GHG Emissions and Sinks (GHGI) This memorandum
provides an overview of the previous (2016) GHGI approach to estimating emissions from the processing
segment, summarizes available new data on processing emissions, discusses approaches considered for
the 2017 GHGI, and documents the approach used for the final 2017 GHGI.
In this memo, "2016 GHGI" refers to the Inventory of U.S. Greenhouse Gas Emissions and Sinks: 1990-
2014, published April 15, 2016, and "2017 GHGI" refers to the Inventory of U.S. Greenhouse Gas
Emissions and Sinks: 1990-2015, published in April 2017.
1. Background on the Processing Segment in the GHGI
In the natural gas processing segment, natural gas liquids and other constituents are removed from the
raw gas, resulting in pipeline quality gas, which is transferred to the transmission system. In the 2016
GHGI, the processing segment accounted for 14 percent of CH4 emissions from natural gas systems.
Fugitive CH4 emissions from compressors, including compressor seals, were the primary emission source
from this segment.
The 2016 GHGI includes emissions estimates for the following sources in the natural gas processing
segment:
•	General fugitive sources, pneumatic controllers and blowdowns, each estimated as a product of
a plant-level emission factor and the number of gas plants operating in the emission year.
•	Fugitive emissions for centrifugal and reciprocating compressors, estimated as a product of
compressor-wide emission factors, the number of compressors operating in gas plants in 1992,
and the change in dry gas production (excluding Alaska) since 1992.
•	Exhaust emissions from reciprocating engines and turbines, estimated as a product of emission
factors, the net compressor horsepower-hours for gas plants in 1992, and the change in dry gas
production (excluding Alaska) since 1992.
•	Exhaust emissions from acid gas removal units (AGR), estimated as a product of an AGR
emission factor, the ratio of AGR to gas plants in 1992 and the number of gas plants in the
emission year.
•	Emissions from kimray pumps and dehydrator vents, estimated as a product of emission factors
based on dehydrator throughput, the dehydrator throughput in 1992 and the change in dry gas
production (excluding Alaska) since 1992.
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The emission factors for most sources in the processing segment in the 2016 GHGI are based on a study
by the EPA and the Gas Research Institute (GRI/EPA 1996)1 on methane emissions from the U.S. natural
gas industry in 1992. For more information on emission factors used in 2016 GHGI, please see Appendix
A. For activity data, the GHGI uses the Oil and Gas Journal (O&GJ) publication as a source of gas plant
counts, the Energy Information Agency (EIA) as a source of national dry gas production, and other
sources of information, as discussed in emission source-level sections below.
2. Overview of Data Sources Available for Potential Updates
2.1 GHGRP
Petroleum and natural gas system facilities must report emissions of their greenhouse gas (GHG)
emissions including CH4 under subpart W of the EPA's GHG Reporting Program (GHGRP). Of interest for
this memorandum are those facilities that reported under the natural gas processing industry segment.2
The data reported under subpart W include activity data (AD) (e.g., frequency of certain activities,
equipment counts) and emissions. Emissions are calculated using differing methodologies depending on
the emission source, including the use of EFs or direct measurements. For the most part, the emission
sources included in subpart W are similar to those in the GHGI, but there are differences in coverage and
calculation methods. Facilities meeting the emissions reporting threshold of 25,000 metric tons of C02
equivalent (MT C02e) have been reporting data under subpart W since 2011. For the analyses discussed
in this memo, all subpart W data reported by facilities were used, including data from facilities that used
BAMM3 to calculate their emissions. The level of BAMM use in the processing segment has decreased
from 85% of facilities with some BAMM use in 2011 to 1% in 2015. The GHGRP subpart W data used in
the analyses discussed in this memorandum are those reported to the EPA as of August 13, 2016.
In 2015, 467 gas processing plants reported to the GHGRP, under subparts W and C covering process
and combustion emissions, respectively. GHGRP subpart W requires gas plants to calculate methane
emissions from six sources: reciprocating and centrifugal compressors, blowdown vent stacks,
dehydrator vent stacks, flares, and equipment leaks (from both compressor and non-compressor
components). For all process sources, except equipment leaks, the reporters must measure emissions or
calculate the emissions based on measurement of other parameters. See sections below for more
details. While source categories included in GHGRP are generally similar to the GHGI, three sources
included in the GHGI are not required to be reported (or are not required to report CH4 emissions) by
gas plants under subpart W (centrifugal compressors dry seal venting, AGR venting, and pneumatic
device venting) and one source included in GHGRP is not included in GHGI for processing (flaring).
1	GRI/EPA 1996. Methane Emissions from the Natural Gas Industry. EPA-600/R-96-080. June 1996.
2	In GHGRP, subpart W, defines natural gas processing as "the separation of natural gas liquids (NGLs) or non-
methane gases from produced natural gas, or the separation of NGLs into one or more component mixtures.
Separation includes one or more of the following: forced extraction of natural gas liquids, sulfur and carbon
dioxide removal, fractionation of NGLs, or the capture of CO2 separated from natural gas streams. This segment
also includes all residue gas compression equipment owned or operated by the natural gas processing plant. This
industry segment includes processing plants that fractionate gas liquids, and processing plants that do not
fractionate gas liquids but have an annual average throughput of 25 MMscf per day or greater."40 CFR 98.230(a)
3	In order to provide facilities with time to adjust to the requirements of the GHGRP, the EPA made available the
optional use of Best Available Monitoring Methods (BAMM) for unique or unusual circumstances. Where a facility
used BAMM, it was required to follow emission calculations specified by the EPA, but was allowed to use
alternative methods for determining inputs to calculate emissions.
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2,2 Mitchell et al. ami Marchese et al.
Two recent studies, Mitchell et al.4 and Marchese et al.5, evaluated emissions from gas processing
plants. Mitchell et al. measured downwind methane plumes from 16 gas plants owned by 3 companies
and ranging in size from 2 to 972 MMscfd. When performing the emissions measurements, rather than
determining emissions for specific sources (e.g., dehydrators or compressors), Mitchell et al. estimated
plant-level emissions with downwind tracer flux measurements. Emission sources that routinely release
emissions at processing plants were included in the plant-level estimate. Tracer flux measurements also
captured some emissions from non-routine events, such as blowdowns. However, any emissions
identified as non-routine were specifically excluded in the Mitchell et al. data analysis. Uncombusted
engine exhaust was captured to a very limited extent. Mitchell et al. noted that due to elevated stacks,
engine exhaust emissions were underestimated in the plant-level estimates.
Marchese et al. extrapolated the results from the Mitchell et al. study to represent the entire U.S.
population of gas plants based on Monte Carlo simulations and national data sets for processing plant
counts and throughput. These Monte Carlo simulations assigned emissions to each gas plant in the data
set by paring the plant to one of the seven most similar plants measured by Mitchell et al., based on
2012 natural gas throughput. These two studies observed that total methane emissions were higher for
larger plants, but the methane loss rate as a percent of methane throughput was higher for smaller
plants.
The scope and basis for GRI/EPA 1996, Mitchell et al. / Marchese et al., and subpart W are compared in
Table 1.
Table 1. Scope and Basis of the Data Sets
Parameter
GRI/EPA 1996
Mitchell et al. /
Marchese et al.
Subpart W
Year of data collection
~1992
2013-2014
2011-on
# plants studied
~lla
16
467 (in 2015)
Size range of plants
40 to 750
2 to 972
1 to 1800 (in 2015)
(MMscfd capacity)



Measurement/survey
Source-specific
Down-wind Tracer
Source-specific
methods
measurements
flux
measurements, engineering
calculations, and EFs
a. Number of sources varies depending on the emission source measured.
Methane emissions and a more detailed breakdown by source from the GHGI, Marchese et al., and
subpart W data sources are compared in Table 2. The methodologies used in these three studies are
compared in the Appendix A. Note that the first column in Table 2, "Emission Source," is presented
generally by how sources are grouped and named within the current GHGI. The data from Mitchell et
al./Marchese et al. and subpart W do not correspond to the exact same source groupings used in GHGI.
The differences between the data from the various sources are discussed in the following sections.
4	Mitchell, A. L; Tkacik, D. S.; Roscioli, J. R.; Herndon, S. C.; Yacovitch, T. I.; Martinez, D. M.; Vaughn, T. L; Williams,
L.L.; Sullivan, M.R.; Floerchinger, C.; Omara, M.; Subramanian, R.; Zimmerle, D.; Marchese, A.J.; Robinson, A.L.
Measurements of Methane Emissions from Natural Gas Gathering Facilities and Processing Plants: Measurement
Results. Environmental Science & Technology, 49, 3219-3227. 2015.
5	Marchese, A. J.; Vaughn, T. L; Zimmerle, D.J.; Martinez, D.M.; Williams, L. L; Robinson, A. L; Mitchell, A. L;
Subramanian, R.; Tkacik, D. S.; Roscioli, J. R.; Herndon, S. C. Methane Emissions from United States Natural Gas
Gathering and Processing. Environmental Science & Technology, 49,10718-10727. 2015.
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Table 2. Comparison of Methane Emissions for Gas Processing Segment (kt)
Description of GHGI ChU Emission
Source
2016 GHGI
(for year
2014)J
Marchese
et al.
As Reported in
subpart Wc
(2015)
Description of subpart W ChU
Emission Sources
Plant Fugitives (leaks from non-
compressor valves, connectors,
open ended lines, pressure relief
valves, and blowdown open ended
lines)
37
506
11
Equipment Leaks (compressor
and non-compressor
components including: valves,
connectors, open-ended lines,
pressure relief valves, meters)
Reciprocating Compressor Fugitives
(Leaks from blowdown open-ended
lines, pressure relief valves, starter
open-ended lines, compressor
seals, valve covers, and fuel valves)
474
50
Reciprocating Compressor
Venting (blowdown valve leaks,
isolation valve leaks, rod packing
leaks)
Wet-seal Centrifugal Compressors
Fugitives (Leaks from blowdown
open-ended lines, starter open-
ended lines, compressor wet-seals,
valve covers, and fuel valves)
240
15
Wet-seal Centrifugal Compressor
Venting (blowdown valve leaks,
seal oil degassing vents, isolation
valve leaks)
Dry-seal Centrifugal Compressors
Fugitives (Leaks from blowdown
open-ended lines, starter open-
ended lines, compressor wet-seals,
valve covers, and fuel valves)
54
1
Dry-seal Centrifugal Compressor
Venting (blowdown valve leaks,
isolation valve leaks)
AGR Vents
14
-

Kimray Pumps
5
12
Dehydrator vents and gas
assisted pump emissions
Dehydrator vents
33
Pneumatic Devices (includes
controllers, excludes pumps and
starters)
2
-

Reciprocating Engine Exhaust
200
1
Combined engine and turbine
exhaust emissions.
Turbine Engine Exhaust
6

-
15
Flare Stacks
Blowdowns and Venting (routine,
maintenance and emergency
releases)
52
40b
25
Blowdown Vent Stacks
(emissions from depressurization
of equipment, including planned
and emergency shutdowns)
Voluntary GasSTAR & Regulatory
Reductions
-157

-

a.	Individual values exclude GasSTAR and Regulatory reductions for the source.
b.	Estimate developed by Marchese et al. to account for sources not captured in plume measurements: episodic
emissions (upsets and blowdowns) and a portion of exhaust emissions,
c. Includes dedicated fractionators and plants that do not fractionate NGL but have a throughput >25 MMscfd,
excludes sources <25,000 MTCChe.
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3, 2017 GHGl Update Information by Emission Source
This section describes previous GHGl methods, available data, trends and revisions by source category.
In the 2017 GHGl, certain sources (reciprocating and centrifugal compressors, fugitives, flaring and
dehydrators) are grouped for time series interpolation. The approach to time series interpolation for
these sources is described in section 4.
Reciprocating Compressors
Previous GHGl method and data
In the previous GHGl, the year 2014 emissions estimate for reciprocating compressors was a product of
(1) a composite multi-source emission factor for a compressor, (2) the number of compressors in 1992,
and (3) the difference in dry gas production, excluding Alaska production, in 2014 compared to 1992.
The composite compressor emission factor was based on the GRI/EPA 1996 study of compressor
emissions in 1992 and includes emissions from leaking blowdown lines, pressure relief valves, cylinder
valve covers, fuel valves, starter OEL, and compressor seals. The GRI/EPA 1996 study screened all
compressor components at 8 gas plants for leaks, and estimated the leak rate for each component
based on EPA's Protocol for Equipment Leak Emission Estimates.6 EPA developed these leak correlations
from hundreds of measurements on components across the oil and gas industry. The GRI/EPA 1996
study compiled the composite compressor emission factor using the emissions estimates per
component at the 8 plants and component counts per compressor based on a survey of compressors in
21 gas plants. The number of compressors in 1992 was estimated by EPA/GRI 1996 based on site visits
to 11 gas plants and the gas plant population in 1992. In the 2016 GHGl, the number of compressors in
any year other than 1992 was determined based on the change in gas production compared to 1992.
lew data available from subpart W» and Mitchell et al.
Table 3 below shows key data on reciprocating compressors from the 2016 GHGl, subpart W, and
Mitchell et al. In subpart W, reciprocating compressor reporting includes data for rod packing, and
blowdown valve and isolation valve leakage. Reporters must measure emissions from some of the
reciprocating compressor sources at least once per year, with all sources measured at least once over 3
years in general. The specific compressor sources to be measured depend on the operating status of the
compressor when the measurement is conducted. Specifically, rod packing emissions and blowdown
valve leakage are measured while the compressor is operating, blowdown valve leakage is measured
when the compressor is in standby pressurized mode, and isolation valve leakage is measured when the
compressor is not operating and depressurized. For operating modes not measured, the facility may use
emission factors developed from their other compressors.
There is a difference in emissions and activity data between the 2016 GHGl and other sources. Subpart
W facilities report an average of 5.7 reciprocating compressors per plant, similar to the value in the
Mitchell et al. study and similar to the value of 6 per plant found in the original GRI/EPA study, but lower
than the year 2014 value in the 2016 GHGl of 9 per plant. Gas production has increased over the time
series at a faster rate than the number of gas processing plants. As a result, in the 2016 GHGl, from 1992
to recent years, the number of compressors (which is scaled based on gas production) per gas plant
estimated in the GHGl also increased (from 6 reciprocating compressors per station in 1992 to 9
reciprocating compressors per station in 2014).
6 https://www3.epa.gov/ttnchiel/efdocs/equiplks.pdf
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Table 3. Comparison of Reciprocating Compressor Data from the 2016 GHGI, subpart W, and Mitchell
et al.

2016
Subpart W
Mitchell et
Data Element
GHGI
as reported
al. 16 Plant

(2014)
(2015)
Study
Reported fugitive emissions from
reciprocating compressors (kt)
474
50
N/A
Number of reciprocating compressors
6,020
2,662
90
Average number of reciprocating
compressors per plant
9.0
5.7
5.6
Quantity of gas processed4 (Bscfd 2014)
50.9
49.4
5.1
Average annual emissions per
compressor (metric tons Cm)
79
19
N/A
Average compressors per unit gas
0.12
0.054
0.018
processed4 (compressors/mmscfd)
Average compressor emissions per unit
gas processed (metric ton/Bscf)
25.5
2.8
N/A
Percent of reciprocating compressors
flaring or recovering emissions
11%
34%
N/A
Portion of time the compressor is under
line pressure
90%
82%
N/A
Blowdown and Seal Emission totals,



subset of "fugitive emissions from
370
50
N/A
reciprocating compressors" (kt)



Blowdown and Seal Emissions per



Compressor, subset of "fugitive



emissions from reciprocating
61
19
N/A
compressors" (metric tons



Cm/compressor)



+ The quantities of gas processed represent the total volume of gas processed by the plant, and not the volume
flowing through the reciprocating compressors specifically. For subpart W this value is estimated based on 2014
O&GJ data for the subpart W facilities.
Subpart W and 2016 GHGI emissions estimates from reciprocating compressors are not directly
comparable because of different definitions. For example, reciprocating compressor emissions in
subpart W are expected to be lower than 2016 GHGI emissions because certain fugitive sources that are
included in the reciprocating compressor category in the 2016 GHGI are reported separately, under
equipment leaks, in subpart W. Several other factors may also contribute to the differences in
emissions. GRI/EPA 1996 estimated that 11% of all compressors vent their blowdown lines to flares and
that reciprocating compressors are under line pressure for 90% of the year. Data reported to subpart W
show a 34% rate for flaring or vapor recovery of all or a portion of compressor emissions, and 82% for
the time under line pressure. Higher rates of flaring and vapor recovery, reduced time under pressure,
and advances in seal and maintenance technologies are likely contributors to the lower methane
emissions from the blowdown line and compressor seal leaks reported in subpart W compared to the
GRI/EPA study (61 tonnes/compressor in GRI/EPA to 19 metric tons/compressor in subpart W).
Mitchell et al. measured total plant-level emissions and did not measure emissions from individual
reciprocating compressors.
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1990-2015 Trends
The 2012 NSPS OOOO impacts new and modified processing plants. Under the NSPS, reciprocating
compressors are required to replace rod packing every 26,000 hours of operation, or every 36 months.
Compressors are also subject to LDAR requirements. 1985 NSPS KKK requires LDAR at new and modified
units. Some of the difference in more recent studies and GRI/EPA could be explained by the effects of
these regulations.
Over the 1990-2014 time-series, the Gas STAR program data show reductions achieved due to activities
including replacing compressor rod packing and inspection and maintenance of components. In the
GHGI, rod packing replacement reductions reported to Gas STAR reduce potential emissions by less than
1% each year for gas plant reciprocating compressor emissions. Inspection and maintenance activities
are included within the category of "other" gas plant Gas STAR emission reductions; reductions are not
specifically assigned to compressor or non-compressor components because Gas STAR data are not
available at this level of detail.
2	IGI Revision
In the 2017 GHGI, EPA applied the reciprocating compressor average emissions value (19 metric tons
CH4 per compressor) from subpart W to the national compressor count. For year 2015, this national
count was developed by applying a value for compressors per plant from subpart W (5.7) to the total
national processing plant count. To create time series consistency between earlier years' per plant
compressor count estimates (1990 to 1992) and recent years' per plant compressor count estimates
(2011 to 2015) that were calculated using subpart W data, compressor counts for the years 1993
through 2010 were calculated using linear interpolation between the data endpoints of 1992 and 2011.
For additional information on the calculation of emissions over the time series, please see section 4.
3,2 Centrifugal Compressors
Previous GHGI method and data
In the previous GHGI, the year 2014 GHGI emissions from centrifugal compressors (other than exhaust
emissions) were developed by calculating activity data (the number of wet seal compressors and the
number of dry seal compressors) using the number of compressors in 1992, the change in dry gas
production, excluding Alaska production, since 1992 and the growth in compressors using dry seals.
Then composite emission factors for each category of compressor (wet seal and dry seal) was applied.
The compressor emission factors were based on the GRI/EPA 1996 study of compressor emissions in
1992, a World Gas Conference paper, and EPA GasSTAR Lessons Learned. The composite compressor
factor included leaking blowdown lines, cylinder valve covers, fuel valves, starter OEL, and compressor
seals. The GRI/EPA study compiled their composite compressor emission factor using the emissions
estimates per component and component counts per compressor based on a survey of compressors in
21 gas plants. The GRI/EPA composite emission factors were modified for the GHGI in 2010, based on
data from newer wet and dry seals.7 The number of compressors employed in 1992 was estimated by
GRI/EPA based on site visits to 11 gas plants and the gas plant population in 1992.
7 Bylin, C. et al. Methane's Role in Promoting Sustainable Development in the Oil and Natural Gas Industry.
Proceedings of the 24th World Gas Conference. October 2009. https://www.epa.gov/sites/production/files/2016-
09/documents/best_paper_award.pdf
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lew data available from subpart W and Mitchell et al.
Table 4 below shows key data on centrifugal compressors from the 2016 GHGI, subpart W, and Mitchell
et al., including the emission estimates of subpart W and Mitchell et al.
In subpart W, centrifugal compressor reporting includes design and operating data for each compressor
and emission estimates for the blowdown valve and isolation valve leakage and, in the case of wet seals,
the emissions from the oil degassing vents. Reporters must measure emissions from some of the
centrifugal compressor sources at least once per year, with all sources measured at least once over 3
years in general. The specific compressor sources to be measured depend on the operating status of the
compressor when the measurement is conducted. Specifically, wet seal degassing vents and blowdown
valve leakage are measured if the measurement is conducted while the compressor is operating, and
isolation valve leakage is measured if the measurement is conducted when the compressor is not
operating and depressurized. For operating modes not measured, the facility may use emission factors
developed from their other compressors.
Table 4. Comparison of Centrifugal Compressor Data from the 2016 GHGI, subpart W, and Mitchell et
al.
Data Element
Wet Seal Compressors
Dry Seal Compressors
Mitchell et al.
16 Plant Study
2016 GHGI
(2014)
Subpart W,
as reported
(2015)
2016 GHGI
(2014)
Subpart W,
as reported
(2015)
Fugitive emissions from Compressors (kt)
240
15
54
0.75
N/A
Number of centrifugal compressors
665
264
306
214
43
Quantity of gas processed15 (Bscfd)
50.9
49.4
50.9
49.4
5.1
Avg. number of compressors per plant
1.0
0.6
0.5
0.5
2.7
Average annual emissions per compressor
(metric tons Cm)
361
57
177
4
N/A
Average emissions per unit of gas
processed (metric tons/Bscf)
12.9
0.83
2.91
0.042
N/A
Percent of compressors flaring or
recovering emissions (%)
11
43
11
37
N/A
Portion of time the compressor is under
line pressure (%)
44
72
44
81
N/A
Blowdown line and seal emissions, subset
of "fugitive emissions from compressors"
(kt)
221
15
42
0.75°
N/A
Blowdown line and seal emissions per
compressor, subset of "fugitive emissions
from compressors" (metric tons Cm)
330
57
140
4°
N/A
a.	These values exclude dry seal emissions that are not reported to subpart W.
b.	The quantities of gas processed represent the total volume of gas processed by the plant, and not the volume
flowing through the centrifugal compressors specifically. For subpart W this value is estimated based on 2014
O&GJ data for the subpart W facilities.
As was the case with reciprocating compressors, there is a difference in emissions between the 2016
GHGI and other data sources for centrifugal compressor emissions. Key differences in activity data that
contribute to the discrepancies in emissions include the percent of compressors that flare emissions and
the fraction of compressors with wet seals versus dry seals. The 2016 GHGI estimates more centrifugal
compressors, and that more centrifugal compressors have wet seals and do not have flaring than
subpart W data show. Gas production has increased over the time series at a faster rate than the
number of gas processing plants. As a result, in the 2016 GHGI, from 1992 to recent years, the number
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of compressors (estimated based on gas production) per gas plant estimated in the GHGI also increased
(from 0.9 centrifugal compressors per station in 1992 to 1.5 centrifugal compressors per station in
2014). Subpart W shows 1.0 centrifugal compressors per station, only a very small increase in the
number of compressors per station compared to the 1992 estimate. The Mitchell et al. study showed 2.7
compressors per station. GRI/EPA 1996 estimated that 11% of all compressors vent their blowdown
lines to flares, while data reported to subpart W show that 43% of wet seal compressors, and 37% of dry
seal compressors flare or recover some portion of compressor emissions. Subpart W reporters also
report that centrifugal compressors are maintained under line pressures for a greater period than
estimated by the 2016 GHGI. The additional time under line pressure might be expected to increase the
leak rate.
Per compressor emissions are higher in the 2016 GHGI than in subpart W. Emissions per wet seal
compressor are around 5 times higher in the 2016 GHGI, while emissions per dry seal compressor are
around 28 times higher (though note that subpart W does not include emissions from dry seal venting).
Mitchell et al. measured total plant-level emissions and did not measure emissions from individual
centrifugal compressors.
1990-2015 Trends
The 2012 NSPS OOOO impacts new and modified gas processing plants. Since 2012 new and modified
centrifugal compressors have been required to reduce emissions from wet seal fluid degassing systems
by 95% and are also subject to LDAR. In addition, 1985 NSPS KKK requires LDAR at new and modified
units. Some of the difference in more recent studies and GRI/EPA could be explained by the effects of
these regulations.
Over the 1990-2014 time-series, the Gas STAR program data show reductions achieved due to activities
including controlling wet seal degassing vents, converting wet seals to dry seals, and routine inspection
and maintenance of components. Generally, reductions are not specifically assigned to compressor or
non-compressor components in GHGI because Gas STAR data are not available at this level of detail.
2	IGI Revision
For the 2017 GHGI, EPA used 2015 subpart W data to develop a value for compressors per plant from
subpart W (0.6 for wet seals, and 0.5 for dry seals) to apply to the total national processing plant count.
EPA also used 2015 subpart W data to develop an emission factor for wet seal compressors of 57 metric
tons/compressor-year. EPA developed an emission factor for dry seals (30 metric tons/compressor-yr)
as the sum of the subpart W value for dry seal compressor emissions (4 metric tons/compressor-yr), and
the 2016 GHGI factor for emissions from dry seals (26 metric tons/compressor-yr) as this is not included
in the subpart W data. For compressors, in order to create time series consistency between earlier
years' per plant compressor count estimates (1990 to 1992) and recent years' per plant compressor
count estimates (2011 to 2015) that were calculated using subpart W data, compressor counts for the
years 1993 through 2010 were calculated using linear interpolation between the data endpoints of 1992
and 2011. For additional information on the calculation of emissions over the time series, please see
section 4.
3,3 Flares
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Previous GHGI method and data
The previous GHGI did not include an estimate of CH4 emissions from flares at gas plants. The 1996
GRI/EPA study that is the basis of many GHGI emission factors reported that this source was negligible
and did not estimate flaring emissions from gas plants.
New data available from subpart W
Subpart W requires gas plants to report flaring emissions based on the gas flow to the flare and assumed
flare efficiency. Gas flow to the flare can be either measured or estimated from plant records. In Table 2,
subpart W facilities reported 15 kt of methane emissions from flaring activities in 2015. These flaring
emissions include all flaring activities, throughout the gas plant, which includes multiple flares for
numerous waste gas sources. For 2015, emissions from flaring compressors and blowdown vents are
reported in the flaring sections of the reporting form and emissions from combusting dehydrator
emissions are reported in the dehydrator tables. Flaring emissions from these two reporting form
sections were combined to generate the subpart W flare stack value in Table 2. (Note: for years prior to
2015, subpart W emissions from flaring compressor vents were reported in the compressor section of
the form as opposed to the subpart W flare section.) The ratios of flare emissions to plant throughput
and plant population are presented in Table 7.
Table 7. Comparison of Flaring Emissions from the 2016 GHGI and subpart W
Data Element
2016 GHGI
(2014)
Subpart W as
reported
(2015)
Flare stack emissions (kt)
N/A
14.5
Number of plants
668
467
Average annual emissions per plant
(metric tons Cm)
N/A
31.1
Quantity of gas processed4 (Bscfd 2014)
50.9
49.4
Average annual emissions per unit
throughput (metric tons/Bscf)
N/A
0.80
+ The quantities of gas processed represent the total volume of gas processed by the plant. For
subpart W this value is estimated based on 2014 O&GJ data for the subpart W facilities.
1990-2015 Trends
Several regulatory and voluntary actions may have resulted in increased flaring over the time series. The
2012 NSPS OOOO impacts new and modified processing plants. Since 2012, new and modified
centrifugal compressors have been required to reduce emissions from wet seal fluid degassing systems
by 95%. The 1999 NESHAP HH requires dehydrators to control process vent emissions by 95%. Over the
1990-2014 time-series, the Gas STAR program data show blowdown emission reductions due to
activities, such as routing blowdown emissions to flares. Generally, reductions are not specifically
assigned to specific emission sources in the 2016 GHGI because Gas STAR data are not available at this
level of detail.
2	IGI Revision
For the 2017 GHGI, EPA applied the 2015 average per-plant emissions from subpart W (33 metric tons
CH4) to national plant counts. For additional information on the calculation of emissions over the time
series, please see section 4.
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3,4 Plant Fugitives
Previous GIIGI method and data
The previous GHGI calculated plant fugitives as a product of a plant-wide, non-compressor related
fugitive emission factor and the estimated number of gas plants. As shown in Table 2 and Table 8 below,
the plant fugitive emissions in 2014 were estimated by the 2016 GHGI to be 37 kt. The plant-wide, non-
compressor related emission factor was based on the GRI/EPA 1996 study of gas plant fugitive emissions
in 1992 and included fugitive emissions from leaking blowdown lines, pressure relief valves, open ended
lines, connectors, and valves. The GRI/EPA study screened all non-compressor components at 8 gas
plants for leaks, and estimated the leak rate for each component based on EPA's Protocol for Equipment
Leak Emission Estimates.8 EPA developed these leak correlations from hundreds of measurements on
components across the oil and gas industry. The GRI/EPA study compiled the composite plant-wide,
non-compressor emission factor using the emissions estimates per component at the 8 plants and
component counts based on a survey of 21 gas plants. The number of gas plants was obtained from Oil
and Gas Journal - Worldwide Gas Processing Survey.9
Table 8. Comparison of Fugitive Emissions from the 2016 GHGI and subpart W
Data Element
2016 GHGI
(2014)
Subpart W as
reported
(2015)
Plant fugitives/equipment leak emissions (kt)
37
11
Number of plants
668
467
Average annual emissions per plant (metric tons
CH4)
55.6
24.1
Quantity of gas processed4 (Bscfd)
50.9
49.4
Average annual emissions per unit throughput
(metric tons/Bscf)
2
0.6
lew data available from subpart VV
Subpart W requires reporters to screen all valves, connectors, open-ended lines, pressure relief valves,
and meters in the plant for leaking components. This includes both compressor and non-compressor
components. The count of leaking components is multiplied by an emission factor for the component
type. Emissions from leaking compressor components equaled 4 kt and emissions from leaking non-
compressor components equaled 7 kt, for total fugitive emissions of 11 kt (as shown in Table 8). The
subpart W non-compressor component emissions (7 kt) most closely correspond to the GHGI plant
fugitive emissions (37 kt estimated for 2014).
1990-2015 Trends
The 1985 NSPS KKK and the 2012 NSPS OOOO require LDAR at new and modified plants. Some of the
difference in more recent studies and GRI/EPA could be explained by implementation of the various
LDAR regulations.
Over the 1990-2014 time-series, the Gas STAR program data show reductions achieved due to activities,
such as direct inspection and maintenance and equipment redesign. Generally, these reductions are not
assigned to specific emission sources in the 2016 GHGI because Gas STAR data are not available at this
level of detail.
8	https://www3.epa.gov/ttnchiel/efdocs/equiplks.pdf
9	http://www.ogj.com/index/ogj-survey-downloads.html
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2 1G1 Revision
For the 2017 GHGI, EPA applied the 2015 average per plant emissions from subpart W (24 metric tons
CH4, Table 8) to national plant counts. For additional information on the calculation of emissions over
the time series, please see section 4.
3.5 Dehydrator Sources
Previous GHGI method and data
In the previous GHGI, the year 2014 emissions estimate for dehydrators and Kimray pumps were
calculated as the product of an emission factor and the volume of gas treated by the dehydrator in 2014.
The emission factors for the two sources were based on data collected from gas plants in the 1996
GRI/EPA study. Since not all dehydrators use Kimray pumps, separate activity factors were used for the
gas volumes treated by all dehydrators and by the portion of dehydrators equipped with Kimray pumps.
Dehydrator and Kimray pump CH4 emissions were estimated to be 52 kt in 2014, as shown in Table 2
and Table 9 below.
Table 9. Comparison of Dehydrator and Kimray Pump Emissions from GHGI and subpart W
Data Element
GHGI
(2014)
Subpart W as
reported
(2015)
Dehydrator emissions (kt)
33
12
Kimray pump emissions (kt)
5
Number of plants
668
467
Combined average annual emissions per
plant (metric tons Cm)
57
25
Quantity of gas processed4 (Bscfd 2014)
50.9
49.4
Average annual emissions per unit
throughput (metric tons/Bscf)
2.1
0.7
+ The quantities of gas processed represent the total volume of gas processed by the plant. For
subpart W this value is estimated based on 2014 O&GJ data for the subpart W facilities.
lew data available from subpart VV
In subpart W, combined dehydrator and pump emissions are estimated based on process simulation
models for units greater than 0.4 million scf/d and based on emission factors for smaller units. Reporters
using process simulation models must also report the 16 model input parameters. As shown in Table 9,
the emissions reported by 467 plants to subpart W totaled 12 kt in 2015.
1990-2015 Trends
The 1999 NESHAP HH requires dehydrators to control emissions by optimizing glycol pumping rates and
by controlling all process vents. Over the 1990-2014 time-series, the Gas STAR program data show
reductions achieved due to activities including installing vent controls, replacing gas-assisted pumps
with electric pumps, optimizing glycol circulation rates and installing flash tank separators. Generally,
reductions are not specifically assigned to sources in the 2016 GHGI because Gas STAR data are not
available at this level of detail.
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2	IGI Revision
For the 2017 GHGI, EPA applied the 2015 average per-plant emissions from subpart W (25 metric tons
CH4, Table 9) to national plant counts. For additional information on the calculation of emissions over
the time series, please see section 4.
3,6 Reciprocating Engine and Turbine Exhaust
Previous GHGI method and data
In the previous GHGI, exhaust emissions from reciprocating engines and turbines were estimated as a
product of emission factors, the net compressor horsepower-hours for gas plants in 1992, and the
change in dry gas production (excluding Alaska) since 1992. Separate emission factors were used for
engines and turbines. These factors were used for the processing and transmission and storage
segments and were obtained from GRI/EPA 1996, based on Southwestern Research Institute's testing of
902 engines and 105 turbines. The net compressor horsepower-hour requirements in 1992 were also
reported in GRI/EPA based on a survey of 28 gas plants operating 203 engines and 9 turbines. These
data were used in the 2016 GHGI to estimate the national compressor exhaust methane emissions of
206 kt in 2014, as presented in Table 2 above. The 2016 GHGI factors for engines and turbines are
presented in Table 5 below.
lew data available from GHGRP and Zimmerle et al,
For GHGRP, facilities report compressor exhaust methane emissions as a product of their fuel usage and
a single emission factor applied to engines and turbines of all sizes and designs, and in any industry. This
same factor is also applied by GHGRP to boilers and heaters in all industries. The application of this
approach resulted in the reporting of 1 kt of methane emissions from compressor exhaust in 2015, as
presented in Table 2 above. The methane factor used by GHGRP is shown in Table 5. The gas plants
reporting under subpart W generally have engines that range in size between 400-5,000 hp and turbine
sizes that range between 1,000-30,000 hp.
Zimmerle et al.10 measured the methane emissions from 10 turbines and 80 reciprocating engines
located at transmission and storage facilities. Because their measurement results were very similar to
the EPA emission factors in AP-42, they combined their test data with EPA AP-42 data (based on 6
turbines and 87 engines, published in 2000) to develop the emission factors presented in Table 5. The
engines in their study generally ranged in size between 200-10,000 hp and the turbines ranged between
4,000-25,000 hp.
As shown in Table 5, the methane emission factors used in GHGRP for generic natural gas combustion
are lower than the emissions measured by Zimmerle et al. for large gas fired engines and turbines, such
as the ones used in gas processing plants. There was relatively little difference between the Zimmerle
factors based on recent measurements and measurements dating prior to 2000, and GRI/EPA factors
developed from tests in the 1990s, as compared to the GHGRP factors. The small difference in emissions
between the GHGI factors and the more recent Zimmerle factors may be due to developments in engine
and turbine emission controls.
10 Zimmerle, D.J., Williams, L.L., Vaughn, T.L, Quinn, C., Subramanian, R, Duggan, G.P., Willson, B.D, Opsomer, J.D.,
Marchese, A.J., Martinez, D.M., Robinson, A.L. Methane emissions from the natural gas transmission and storage
system in the United States. Environ. Sci. Technol.
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Table 5. Comparison of Methane Emission Factors for Gas-fired Engines and Turbines from Various
Sources
Data Source and Combustion Type
Reported Factor
Factor Expressed as
scf/hp-hr
GHGRP engines and turbines
1.0 x 10"3 kg/mmBtu
0.000363
GHGI reciprocating engines
0.24 scf/hp-hr
0.24
GHGI gas turbines
0.0057 scf/hp-hr
0.0057
Zimmerle factor for gas fired reciprocating engines
3.7 g/hp-hr
0.19
Zimmerle factor for gas fired combustion turbines
0.031 g/hp-hr
0.0016
1990-2015 Trends
Federal turbine rules were promulgated in 2000 and engine rules were promulgated in 2008.
Over the 1990-2014 time-series, the Gas STAR program data show reductions achieved due to activities
such as installing automatic fuel/air controls and routine inspection and maintenance of combustion
components. Generally, reductions are not specifically assigned to specific emission sources in the 2016
GHGI because Gas STAR data are not available at this level of detail.
2; IGI Revision
In the final 2017 GHGI for this source, EPA retained the existing GHGI emission factor (0.24 scf/hp-hr for
reciprocating engines, and 0.0057 scf/hp-hr for gas turbines) and applied activity data (75 and 59
MMHP-hr/plant, respectively) from subpart W to national plant counts. The value for MMHPhr per plant
were applied to plant counts for years 2011 to 2015. The previous estimates of MMHPhr per plant were
retained for 1990 through 1992, and values for 1993 to 2010 were developed by linear interpolation
between the 1992 and 2011 values. EPA retained the existing GHGI emission factor and applied it for all
years of the time series.
Routine Maliitenaii.ce- Blowdown and Venting
Previous GHGI method and data
In the previous GHGI, the year 2014 emissions estimate for blowdown and venting activities during
routine maintenance was calculated as the product of a plant-wide emission factor and the estimated
number of gas plants in 2014. The emission factor was based on data collected from gas plants in the
1996 GRI/EPA study. The emission factor included blowdowns from compressor starts and purges,
pipelines, vessels, and emergency pressure releases. Blowdown and venting CH4 emissions were
estimated to be 52 kt in 2014, as shown in Table 2 and Table 6 below.
Table 6. Comparison of Blowdown and Venting Emissions from the 2016 GHGI and subpart W
Data Element
2016 GHGI
(2014)
Subpart W as
reported
(2015)
Blowdown and venting
emissions (kt)
52.3
24.9
Number of plants
668
467
Average annual emissions per
plant (metric tons CH4)
78
53
Quantity of gas processed4
(Bscfd 2014)
50.9
49.4
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Average annual emissions per


unit throughput (metric
2.8
1.4
tons/Bscf)


+ The quantities of gas processed represent the total volume of gas processed by the plant. For
subpart W this value is estimated based on 2014 O&GJ data for the subpart W facilities.
lew data available from subpart VV, and Marchese et al.
Subpart W requires gas plants to calculate emissions from the depressurization of compressors,
pipelines, and vessels. These emission calculations can be based on direct measurement of the volume
of gas released, or calculated based on the measured volume and conditions of the equipment that is
vented. The GHGI and subpart W cover similar sets of activities in their definition of blowdown
emissions. As shown in Table 2, Marchese et al. provided a national estimate of blowdown and venting
activities of 40 kt in 2014, using EIA data for total plant counts.
1990-2015 Trends
Over the 1990-2014 time-series, the Gas STAR program data show reductions achieved due to activities,
such as redesign of blowdown systems, altering blowdown practices, and routing blowdown emissions
to flares and vapor recovery units. Generally, reductions are not specifically assigned to specific
emission sources in the 2016 GHGI because Gas STAR data are not available at this level of detail.
2	IGI Revision
To revise the GHGI for this source, EPA applied the average per plant emissions from the 2015 subpart
W (53 metric tons CH4, Table 6) to national plant counts for years 2011 through 2015. The existing GHGI
emission factors were retained for 1990 through 1992, and values for 1993 through 2010 were
developed by linear interpolation between the 1992 and 2011 values.
4.	Additional Information on 2017 GHGI Time Series for Compressors,
Plant Fugitives, Flares, and Dehydrators
As discussed above, subpart W data were used to update the estimates for station fugitives,
compressors, flares, and dehydrators. Linear interpolation was used to create time series consistency
between earlier years' emission factors and activity factors (1990 through 1992) that generally rely on
data from GRI/EPA 1996 and the subpart W emission and activity factors for recent years. However, the
plant fugitive emission factors in previous GHGIs included plant fugitives but not compressor fugitives,
and separate emission factors were applied for compressor emissions (including compressor fugitive
and vented sources). There is also some overlap between those categories and the flare and dehydrator
categories. Because of these considerations, the two sets of emission factors (GRI/EPA and factors
calculated from subpart W) cannot be directly compared. For the purpose of interpolating for the time
series, EPA developed plant-level emission factors for processing stations that include plant and
compressor fugitive sources, compressor vented sources, flares, and dehydrators. The previous GHGI
emission factors were used for 1990 through 1992; emission factors from subpart W were used for 2011
through 2015. Emission factors for 1993 through 2010 were developed through linear interpolation.
5,	Gas STAR Reductions
The approach implemented in the 2017 GHGI results in net emissions calculated for each time series
year. In the 2017 GHGI, EPA used new data from EPA's subpart W to calculate emission factors and
corresponding activity factors that account for the adoption of control technologies and emission
reduction practices. To develop estimates over the time series, EPA retained emission factors from the
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EPA/GRI study for early time series years (1990-1992), applied updated emission factors in recent years
(e.g., 2011 forward), and used interpolation to calculate emission factors for intermediate years.
Voluntary reductions (derived from Gas STAR data) and regulatory reductions (based on NESHAP
implementation) are inherently taken into account with this approach; therefore, it is no longer
necessary to retain these reduction line items. In the final 2017 GHGI, EPA removed the Gas STAR
reductions for the processing segment.
6, January 2017 Request for Stakeholder Feedback
The EPA initially sought feedback on the questions below in the version of this memo released January
2017. The EPA discusses feedback received, and further planned improvements to the GHGI
methodology, in Chapter 3.6 of the Inventory of U.S. Greenhouse Gas Emissions and Sinks: 1990-2015
(April 2017). The EPA continues to welcome additional stakeholder feedback on these questions for
potential updates to future GHG inventories.
1.	This memo focuses on two available data sets for processing plants: GHGRP and Marchese et al.
2015. The EPA is seeking stakeholder feedback on additional data sets that could be considered
for updates to the GHG Inventory.
2.	The EPA is seeking stakeholder feedback on the options (station-level Marchese-based estimate,
GHGRP throughput-basis, and GHGRP plant-basis) for updating emissions estimates and to
reflect national trends.
3.	For the options that use GHGRP, the EPA seeks stakeholder feedback on the following options,
including on the impacts of BAMM data:
a.	Use of 2015 data for all recent years
b.	Use of average values for 2011-2015 for all recent years
c.	Application of year-specific values for 2011-2015 using GHGRP data for each year.
4.	The EPA is seeking stakeholder feedback on approaches for developing the 1990-2015 time-
series using the new data. One approach, consistent with many updates made in last year's GHG
Inventory, would be to use GRI emission factors for years 1990-1992, and interpolate between
the 1992 GRI value and the most recent year of the emission factor data used (i.e., for
Marchese, 2014, for GHGRP 2011 or 2015 depending on the approach used). Under any
approach, the key activity data for all years would be the national count of gas plants and/or gas
throughput.
5.	The EPA is seeking feedback on approaches for calculating emissions for reciprocating
compressors using GHGRP data (e.g. plant-based, throughput-based, disaggregation by control
category).
6.	GHGRP average reported emissions per reciprocating compressor are about 3 times lower than
in GHGI on comparable sources, with the largest difference being between the vented
blowdown line methane emissions per compressor, which are around 8 times higher in GHGI
than GHGRP. This can be partially explained by the higher rates of flaring reported in GHGRP
compared to the GHGI and by voluntary and regulatory actions to increase frequency of leak
repair and rod packing replacement. The EPA is seeking stakeholder feedback on these and
other factors that may have contributed to the lower emissions reported to the GHGRP
compared to GHGI and the GRI/EPA study.
7.	Zimmerle et al. found that rod packing vent emissions from the standby pressurized mode on
reciprocating compressors (which may not be fully captured in the GHGRP data set) were large
sources of methane emissions at natural gas transmission/storage facilities. Recent
measurement data for this source are unavailable for the processing segment. The EPA is
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seeking stakeholder feedback on the relevance of the Zimmerle et al. results for the processing
segment.
8.	Average emissions per centrifugal compressor are higher in GHGI than in the GHGRP data.
Emissions per wet seal compressor are around 5 times higher than GHGRP in GHGI, while
emissions per dry seal compressor are around 28 times higher. The EPA seeks stakeholder
feedback on factors that may have contributed to the lower emissions observed in the GHGRP
compared to GHGI and the GRI/EPA study.
9.	For RY2011-RY2014, GHGRP reporting included uncontrolled emission results in addition to
estimated vented emissions, flared compressor emissions, and net compressor emissions. The
flared emissions and the vented emissions comprise the net emissions. For approaches that
would incorporate GHGRP data from RY2011-RY2014, EPA is seeking feedback on whether to:
a.	develop a methodology based on reported vented compressor emissions (similar to the
approach discussed in this memo based on RY2015 data), or
b.	develop a methodology based on the reported uncontrolled emission factors and in a
separate step applies an emission reduction to adjust for emission controls; and
c.	report flared compressor emissions with compressor emissions or with flare emissions.
10.	The EPA is seeking stakeholder feedback on approaches for calculating emissions for plant
engine and turbine exhaust, blowdown venting, flaring, fugitives, dehydrator vents, pneumatic
controllers and AGR.
11.	There are differences between the average per plant emissions in the Mitchell et al. results and
the per plant emissions in the Marchese et al. results. The EPA is seeking stakeholder feedback
on those differences.
12.	Dedicated fractionators are generally not considered part of the natural gas processing sector
and are not included in GHGI, Marchese, Mitchell, or similar studies of natural gas processing.
This is likely because methane has largely been extracted from their input materials by upstream
processing. The EPA is seeking stakeholder input on whether and how fractionators should be
included in the GHGI.
13.	The EPA is seeking stakeholder feedback on the data source for national gas plant population
count. The GHGI currently estimates gas plant population based on O&GJ data. O&GJ has not
yet reported an estimate for 2015, and may not continue reporting this information.
14.	The approaches under consideration would calculate all processing emissions as net emissions,
and not include a step of calculating potential emissions (e.g. uncontrolled emissions). Under
these approaches, the EPA would not apply reduction data from Gas STAR. The EPA seeks
comment on use of the net emissions approach, versus the potential emissions approach in the
current GHGI.
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Appendix A. Measurement Methodologies from Data Sources Considered
for Revisions
Emission Source
Measurement
and/or Calculation
Type
# Sources
Location &
Representativeness
EF Calculation
Method
Data in 2016 GHGI
2016 GHGI--GRI/EPA 1996
Plant-wide normal
fugitive emissions
Reciprocating
compressor
fugitive emissions
Centrifugal
compressor
fugitive sources,
excluding seal
leaks.
Leak screening to
determine frequency
of leaking
components and leak
concentration (ppm)
EPA leak correlations
to determine the leak
rate (scfh) for each
component type.
Leak screening was
conducted on all
components at 8 gas
plants.
EPA leak correlations
are based on
hundreds of
measurements on
components across
the oil and gas
industry.
Component counts
per plant or
compressor were
based on component
populations at 21 gas
plants.
The gas plants
represented all three
processing approaches:
cryogenic, absorption,
refrigeration. The plants
ranged in size from 40
to 900 MMscfd
capacity, and
collectively employed
10 centrifugal
compressors and 62
reciprocating
compressors.
EF = sum across
component types
of (component
emission factor
x component
count)
AGR Vents
Used the ASPEN-
PLUS model to
develop emission
data for a typical
AGR.
Inputs to ASPEN
model are based on
data from 287 AGR
surveyed in 1982.
Data from 287 AGR
surveyed in 1982 was
applied to an estimated
371 units in 1992.
Modeled directly
per AGR unit
Kimray Pumps
Based on design data
by the manufacturer
N/A
N/A
Modeled directly
Dehydrator vents
Used ASPEN/SP
model to develop
emissions from a
typical dehydrator
Inputs to ASPEN
model are based on
data from 207
dehydrators at gas
plants.
Used data from 207
dehydrators out of an
estimated industry total
of 498 dehydrators.
Modeled directly
per dehydrator
unit
Pneumatic devices
Based on
manufacturer
specifications
Visited 9 gas plants w/
72 devices
The gas plants
represented all three
processing approaches:
cryogenic, absorption,
refrigeration. The plants
ranged in size from 40
to 900 MMscfd
capacity.
EF = emissions per
event
x events per year-
device
x devices per plant
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Emission Source
Measurement
and/or Calculation
Type
# Sources
Location &
Representativeness
EF Calculation
Method
Blowdowns &
venting
Based on
transmission
company records
Based on all events in
the records of multiple
sites at 8 transmission
companies
Used data from 8
transmission companies
from an estimated 46+
U.S. companies
EF = sum of
blowdown
volumes per
transmission
station. Applied
to processing
plants.
Reciprocating
engine exhaust
Direct measurement
of exhaust emissions
902 tests - 229
models
Test results were
weighted based in data
from 775 engines out of
a national population of
4,000 engines
EF = emissions per
unit of fuel
x fuel use per HP-
hr
Turbine engine
exhaust
Direct measurement
of exhaust
105 tests-12 models
Test results were
weighted based in data
from 86 turbines out of
a national population of
726 turbines
EF = emissions per
unit of fuel
x fuel use per HP-
hr
2016 GHGI-World Gas Conference Paper
Centrifugal
compressor wet
seal leaks
Direct leak
measurement with
anti-static calibrated
vent bags of known
volume.
48 centrifugal
compressors at 4 gas
plants
The four plants were
located in western U.S.
and ranged from 20 to
50 years in age, with an
average age of 35 years.
The paper reports
total emissions for
all measured
compressors. The
EPA developed an
EF using operating
data from the
GRI/EPA 1996
study described
above.
2016 GHGI-GasSTAR Lessons Learned
Centrifugal
compressor dry
seal leaks


U.S.
EPA developed an
EF by using the
mid-range of
emissions cited in
Gas STAR
technology
reports and
operating data
from the GRI/EPA
1996 study
described above.
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New Data Sources under consideration for use in 2017 GHGI
Potential new data source—Mitchell et al. and Marchese et al.
Plant-level
emissions
Dual gas down-wind
tracer flux
measurements
(Mitchell et al.)
16 gas plants (Mitchell
et al.)
Located in 7 states,
owned by 3 companies
(Mitchell et al.)
Emissions were
estimated for each
U.S. gas plant by
paring the plant to
one of the seven
most similar
measured plants
using the 2012
natural gas
throughput of the
plant. National
emissions were
compiled as the
sum of emissions
estimated for each
plant. (Marchese
et al.)
Potential new data source-GHGRP (2015)
Plant-wide normal
fugitive emissions
(non-compressor
and compressor
components)
Default EFs are
applied for leaking
components (valves,
connectors, OELs,
PRVs, and meters).
Emissions data (for
2015) are available for
467 reporting plants
Processing plants in the
U.S. that exceed 25,000
mt C02e reporting
threshold.
For this memo,
the EPA used
reported data to
calculate
unweighted
average EFs
Centrifugal and
reciprocating
compressor
component
emissions
Hi-Flow sampler,
anemometer,
acoustic device, &
calibrated bag are
allowed by rule for
compressor major
components.
Emissions data (for
2015) are available for
2,662 reciprocating
compressors and 478
centrifugal
compressors
For this memo,
the EPA used
reported data to
calculate
unweighted
average EFs
Dehydrator vents
EOS model of each
dehydrator based on
site operating
parameters
Emissions data (for
2015) are available for
942 dehydrators
For this memo,
the EPA used
reported data to
calculate
unweighted
average EFs
Blowdowns and
venting
Calculated for each
event based volume
of equipment vented
and methane
concentration of
vented gas
All events at467
reporting plants (for
2015)
For this memo,
the EPA used
reported data to
calculate
unweighted
average EFs
Turbine and
Reciprocating
engine exhaust
Measure all fuel use
and apply EF
published by EPA
All combustion
sources at 467
reporting plants (for
2015)
For this memo,
the EPA used
reported data to
calculate
unweighted
average EFs
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Flares
Measure gas flow to
715 flares at 467

For this memo,

flare and measure
reporting plants (for

the EPA used

gas composition and
2015)

reported data to

apply assumption of


calculate

98% combustion


unweighted

efficiency


average EFs
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