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                                                                                             Updated July 6, 2020

Ozone and Particulate Matter Air Standards: EPA Review


The Clean Air Act (CAA) requires the U.S. Environmental
Protection Agency (EPA) to review standards for national
ambient air quality every five years. In 2018, EPA
announced strategies to expedite the National Ambient Air
Quality Standard (NAAQS) review while concurrently
disbanding a pollutant-specific scientific review panel that
has historically advised agency staff during their reviews.
Although the CAA allows the EPA Administrator to specify
the procedures for review of the NAAQS, past EPA reviews
and revisions have garnered considerable congressional
oversight. This In Focus discusses EPA's current NAAQS
reviews for ozone and particulate matter (PM), which EPA
had sought to complete in 2020, and issues of potential
interest to Congress.


Ozone and PM are two of six principal pollutants referred
to as criteria pollutants for which EPA has promulgated
NAAQS under the CAA (42 U.S.C. §7408(a)(1)).

Ground-level ozone, the primary component of smog, is
formed when nitrogen oxides (NOx) react with volatile
organic compounds (VOCs) in sunlight. Ground-level
ozone is associated with health effects, such as aggravated
asthma, chronic bronchitis, heart attacks, and premature
death. EPA has identified natural and anthropogenic
sources of ozone and ozone precursors (e.g., NOx and
VOCs), including factories, lightning, power plants,
vegetation, vehicles, volatile chemical products (e.g., paints
and solvents), and wildfires.

PM refers to a mixture of solid particles and liquid droplets
in the atmosphere. PM components may include acids,
organic chemicals, metals, and soil or dust particles. The
size of PM varies, ranging from tiny particles that can be
seen only through a high-power microscope to larger
particles (e.g., soot). Exposure to PM has been associated
with adverse health effects (e.g., aggravated asthma,
chronic bronchitis, and premature death). PM has also been
linked with haze formation and other ecological effects.

Typical sources of fine PM (PM2.5) measured at 2.5
micrometers or less in diameter-include emissions from
vehicles, smokestacks, and fires. Coarse PM (PMo)
generally measuring 10 micrometers or less in diameter is
often associated with dust from paved and unpaved roads,
construction and demolition operations, certain industrial
processes and agriculture operations, and biomass burning.
In addition, precursor emissions (e.g., sulfur oxides, NO,
and VOCs) contribute to the formation of secondary PM.
PM2.5 contains a much greater portion of secondary
particles than PM0 does.


Notwithstanding air quality progress since 1970, ozone and
PM concentrations currently exceed the NAAQS in some
areas (nonattainment areas). Table 1 lists these NAAQS
and the estimated population in nonattainment areas.

Table I. Selected NAAQS and the Estimated U.S.
Population in Corresponding Nonattainment Areas
                                     Estimated U.S.
                    Primary           Population in
  NAAQS             Standard      Nonattainment Areas
2015 Ozone        70 ppb (8-hour)       122 million
2012 Fine PM    12.0 pg/M3 (Annual)     21 million
1987 Coarse PM  IS0 pg/M3 (24-hour)      6 million
Source: CRS, as adapted from EPA Green Book (May 31, 2020),
which lists nonattainment areas (https://www.epa.gov/green-bool<).
Estimated population based on 2010, rounded to nearest million.

Notes: Units of measure are parts per billion (ppb) and micrograms
per cubic meter of air (pg/M3). See 40 C.F.R. Part 50 for detailed
NAAQS. Table presents the most recent PM and ozone NAAQS.


NAAQS do not directly limit emissions. Rather, NAAQS
are concentration-based standards for ambient (outdoor)
pollution. Under the CAA, Congress mandated that EPA
establish two types of NAAQS for each criteria pollutant
a primary NAAQS, which must protect public health with
an adequate margin of safety, and a secondary NAAQS,
which must protect public welfare from any known or
anticipated adverse effects (42 U.S.C. §7409(b)). Public
welfare includes damage to crops, vegetation, property,
building materials, and climate (42 U.S.C. §7602(h)).

The CAA establishes a framework for EPA to set NAAQS
based on the latest scientific knowledge through a notice-
and-comment rulemaking process (42 U.S.C. § §7408,
7409). The CAA requires EPA to review the NAAQS and
the science upon which they are based every five years and
then revise the NAAQS if necessary. The CAA also
requires EPA to appoint an independent scientific review
committee composed of seven members, which has become
the Clean Air Scientific Advisory Committee (CASAC).
The act directs CASAC to review the NAAQS every five
years and recommend to the EPA Administrator any new
national ambient air quality standards and revisions ... as
may be appropriate (42 U.S.C. §7409(d)(2)).

, ' A'\, Rs\-,,kv  ,of kbte, NAAQ§'
Beyond the aforementioned CAA requirements, procedural
aspects of the NAAQS review are generally at the
discretion of the EPA Administrator. Historically, the
agency has undertaken a multi-step process to review each
NAAQS. Each NAAQS review typically begins with a
planning phase in which EPA seeks public input and


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