vvEPA

FACT SHEET

Louisiana Underground Injection Control Program Class VI Primacy

Proposed Rule

Under the Safe Drinking Water Act (SDWA), Underground Injection Control (UIC) Class VI programs ensure that
groundwater resources are protected while authorizing geologic sequestration of carbon dioxide (C02) that
reduces greenhouse gas emissions and helps mitigate climate change. States and EPA play an important role in
working to ensure that these activities are permitted in a manner protective to groundwater resources while
considering potential impacts to nearby communities. With this proposed rule, EPA is asking for public input on
the agency's intent to approve the State of Louisiana's request to have primary responsibility (primacy) for
implementing and enforcing the state's UIC Class VI program.

Why did EPA Issue this Proposal?

On September 17, 2021, Louisiana submitted to EPA a program revision application to add Class VI injection
wells to the State's SDWA existing UIC program. Under the SDWA, EPA is required to review primacy
applications to determine if the applicant's program is as stringent as the federal regulations and to evaluate the
effectiveness of the proposed program.

What are the Requirements for Class VI wells?

The UIC Class VI program provides multiple safeguards that work together to protect underground sources of
drinking water (USDWs). Owners or operators that wish to inject carbon dioxide for the purpose of geologic
sequestration must demonstrate that their injection well will meet all regulatory requirements and receive a
Class VI permit for each well. The UIC Class VI program requires applicants to meet strict technical, financial, and
managerial requirements to obtain a Class VI permit, including:

•	Site characterization to ensure the geology in the project area will contain the carbon dioxide within the
zone where it will be injected.

•	Modeling to define the predicted area influenced by injection activities over the lifetime of operation.

•	Evaluation to ensure all potential pathways for fluid movement have been identified and addressed
through corrective action.

•	Well construction requirements that ensure the Class VI injection well will not leak carbon dioxide.

•	Testing and monitoring throughout the life of the project, including after carbon dioxide injection has
ended. Requirements include, testing to ensure physical integrity of the well, monitoring for seismic
activity near the injection site, monitoring of injection pressure and flow, chemical analysis of the carbon
dioxide stream that is being injected, and monitoring the extent of the injected carbon dioxide plume
and the surrounding area (e.g., ground water) to ensure the carbon dioxide is contained as predicted.

•	Operating requirements to ensure the injection activity will not endanger USDWs or human health.

•	Financial assurance mechanisms sufficient to cover the cost for all phases of the geologic sequestration
project including the post injection site care period and until the Director approves site closure.

•	Emergency and remedial response plans.

•	Reporting of all testing and monitoring results to the permitting authority to ensure the well is operating
in compliance with all permit and regulatory requirements.

The permitting authority ensures that these protective requirements are included in each Class VI permit. A
draft of each Class VI permit is made available to the public for comment before a final permit is issued.

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What is in the Proposed Rule?

EPA conducted a comprehensive review of the state's application. The Agency is proposing to approve
Louisiana's application because EPA has determined, subject to public comment, that the application meets all
applicable requirements for approval. Upon approval, the State of Louisiana would be the permitting authority
for Class VI UIC wells. EPA would oversee Louisiana's administration of the SDWA Class VI program and will
continue to oversee Louisiana's administration of the programs for SDWA Class I, II, III, IV, and V wells.

Were Environmental Justice Considerations included as a part of the Proposal?

Yes, EPA is firmly committed to securing environmental justice (EJ) for environmentally overburdened
communities while meeting the Agency's mission to protect human health and the environment. On December
9, 2022 and January 11, 2023, EPA Administrator Regan sent letters to governors and Tribal leaders calling for
partnership to advance the twin goals of combatting climate change and supporting EJ goals. As part of
developing this proposal, EPA worked with the State of Louisiana to adopt the approaches encouraged in the
letter and in doing so set a strong foundation of practices to protect vulnerable communities in the State. EPA
has reviewed Louisiana's approach to environmental justice as described in LDNR's primacy application and
considers Louisiana's Class VI primacy application to fully integrate environmental justice and equity
considerations into their UIC Class VI program including permitting.

Does the State of Louisiana Have Primary for Other UIC Programs?

Yes, the State of Louisiana received primacy for Class I, III, IV, and V injection wells under SDWA section 1422,
and Class II injection wells under SDWA section 1425 on March 23, 1982.

Where Can I Find More Information?

EPA will hold an in-person public hearing on June 15, 2023 in Baton Rouge, LA. To sign up for the hearing and
learn more information please visit: https://www.epa.gov/uic/underground-iniection-control-epa-region-6-ar-
la-nm-ok-and-tx. In addition to the public hearing, EPA requests that comments be sent via the Federal Register,
docket number EPA-HQ-OW-2023-0073.

Background

Class VI Wells Under the UIC Program

Class VI wells are used to inject C02 into deep rock formations for the purpose of long-term underground
storage, also known as geologic sequestration. Geologic sequestration, when used as a part of carbon capture
and storage and carbon dioxide removal projects, is a promising tool for reducing the amount of carbon dioxide
in the atmosphere. Class VI injection wells are regulated under an existing, rigorous Safe Drinking Water Act
(SDWA) permitting framework that protects underground sources of drinking water (USDWs).

The UIC Class VI program provides multiple safeguards that work together to protect USDWs. Owners or
operators that wish to inject carbon dioxide for the purpose of geologic sequestration must demonstrate that
their injection well will meet all regulatory requirements and receive a Class VI permit for each well. The UIC
Class VI program requires applicants to meet strict technical, financial, and managerial requirements to obtain a
Class VI permit. The permitting authority ensures that these protective requirements are included in each Class
VI permit. A draft of each Class VI permit is made available to the public for comment before a final permit is
issued.

UIC Program and Primary Enforcement Authority (Primacy)

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SDWA Section 1422 directs EPA to establish requirements that states, territories, and federally recognized tribes
(hereafter referred to as applicants) must meet to be granted primary enforcement responsibility or "primacy"
for implementing a UIC program, including a Class VI program. An applicant seeking primacy under SDWA
Section 1422 for a Class VI program must demonstrate to EPA that the applicant's Class VI program is as
stringent as the federal requirements and is protective of USDWs, including that the applicant has jurisdiction
over underground injection and regulatory provisions for necessary administrative, civil, and criminal
enforcement penalty remedies under SDWA. To be approved for Class VI primacy under SDWA Section 1422, an
applicant must have a UIC program that meets federal requirements (40 CFR Parts 124, 144, 145, and 146).

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