Appendix B-3

 

 

Guidelines on the Use of Alternative Computer Models

in Air Quality Assessment

 

 

[The information contained in this Appendix is only meant to assist the Applicant in performing the air quality assessment.  The Applicant must exercise professional judgment in applying this general information for the Project.]

 

1.            Background

 

1.1                       In Hong Kong, a number of Gaussian plume models are commonly employed in regulatory applications such as application for specified process licences and environmental impact assessments (EIAs). These frequently used models (as listed in Schedule 1 attached; hereafter referred to as Schedule 1 models) have no regulatory status but form the basic set of tools for local-scale air quality assessment in Hong Kong.

 

1.2                       However, no single model is sufficient to cover all situations encountered in regulatory applications. In order to ensure that the best model available is used for each regulatory application and that a model is not arbitrarily applied, the project proponent (and/or its environmental consultants) should assess the capabilities of various models available and adopt one that is most suitable for the project concerned.

 

1.3                       Examples of situations where the use of an alternative model is warranted include:

 

(i)           the complexity of the situation to be modelled far exceeds the capability of the Schedule 1 models; and

(ii)the performance of an alternative model is comparable or better than the Schedule 1 models.

 

1.4               This paper outlines the demonstration / submission required in order to support the use of an alternative air quality model for regulatory applications for Hong Kong.

 

2.                    Required Demonstration / Submission

 

2.1               Any model that is proposed for air quality applications and not listed amongst the Schedule 1 models will be considered by EPD on a case-by-case basis.  In such cases, the proponent will have to provide the followings for EPD's review:

 

(i)            Technical details of the proposed model; and

(ii)           Performance evaluation of the proposed model

 

                    Based on the above information, EPD will determine the acceptability of the proposed model for a specific or general applications. The onus of providing adequate supporting materials rests entirely with the proponent.

 

2.2               To provide technical details of the proposed model, the proponent should submit documents containing at least the following information:

 

(i)            mathematical formulation and data requirements of the model;

(ii)           any previous performance evaluation of the model; and

(iii)         a complete set of model input and output file(s) in commonly used electronic format.

 

2.3                       On performance evaluation, the required approach and extent of demonstration varies depending on whether a Schedule 1 model is already available and suitable in simulating the situation under consideration. In cases where no Schedule 1 model is found applicable, the proponent must demonstrate that the proposed model passes the screening test as set out in USEPA Document "Protocol for Determining the Best Performing Model" (Ref. 1).

 

Ref.(1): William M. Cox, ¡¥Protocol for Determining the Best Performing Model¡¦; Publication No. EPA-454/R-92-025; U.S. Environmental Protection Agency, Research Triangle Park, NC.

 

2.4                       For cases where a Schedule 1 model is applicable to the project under consideration but an alternative model is proposed for use instead, the proponent must demonstrate either that

 

(i)            the highest and second highest concentrations predicted by the proposed model are within 2 percent of the estimates obtained from an applicable Schedule 1 model (with appropriate options chosen) for all receptors for the project under consideration; or

 

(ii)           the proposed model has superior performance against an applicable Schedule 1 model based on the evaluation procedure set out in USEPA Document  "Protocol for Determining the Best Performing Model" (Ref. 1).

 

2.5                       Should EPD find the information on technical details alone sufficient to indicate the acceptability of the proposed model, information on further performance evaluation as specified in Sections 2.3 and 2.4 above would not be necessary.

 

2.6                       If the proposed model is an older version of one of the Schedule 1 models or was previously included in Schedule 1, the technical documents mentioned in Section 2.2 are normally not required.  However, a performance demonstration of equivalence as stated in Section 2.4 (i) would become necessary.

 

2.7                       If EPD is already in possession of some of the documents that describe the technical details of the proposed model, submission of the same by the proponent is not necessary. The proponent may check with EPD to avoid sending in duplicate information.

 

 


 

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Schedule 1

Air Quality Models Generally Accepted by

Hong Kong Environmental Protection Department for

Regulatory Applications as at 1 July 1998*

 

 

Industrial Source Complex Dispersion Model - Short Term Version 3 (ISCST3) or the latest version developed by U.S. Environmental Protection Agency

 

California Line Source Dispersion Model Version 4 (CALINE4) or the latest version developed by Department of Transportation, State of California, U.S.A.

 

Fugitive Dust Model (FDM) or the latest version developed by U.S. Environmental Protection Agency

 

 

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*                                              EPD is continually reviewing the latest development in air quality models and will update this Schedule accordingly.