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2017-10-23_GENERAL DOCUMENTS - C1980007
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2017-10-23_GENERAL DOCUMENTS - C1980007
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Entry Properties
Last modified
10/24/2017 7:12:12 AM
Creation date
10/24/2017 6:56:38 AM
Metadata
Fields
Template:
DRMS Permit Index
Permit No
C1980007
IBM Index Class Name
General Documents
Doc Date
10/23/2017
Doc Name
Compliant and Request for Inspection Over Failure of West Elk
From
Wild Earth Gurdians
To
DRMS
Permit Index Doc Type
General Correspondence
Email Name
MPB
JRS
LDS
Media Type
D
Archive
No
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the system can continue to operate with a certain level of uncontrolled emissions, and thus the <br />baghouse is a control device on the system, not an intrinsic component that must be correctly <br />operational in order to load the silo. The source was requested to submit an APEN for this Point <br />on January 28, 2013. In a response received by the Division on February 14, 2013, MCC <br />reported total rock dust throughput in 2012 of 15,609 tons. At a requested throughput of 20,000 <br />tons per year, MCC calculated total uncontrolled PM emissions to be 31.4 tons, thus requiring a <br />permit for this activity. In the February 14th response, MCC indicated that they would overnight a <br />copy of the APEN and associated filing fee to the Division for this Point. The appropriate forms <br />were received February 15th, 2013. <br />-NSPS Subpart IIII Engines: MCC reported in their June 29, 2012 Title V application that due to <br />recent changes regarding APEN exemptions for engines, they are unsure as to whether certain <br />engines at their facility are subject to permitting. Following the inspection, the source submitted <br />information on applicable stationary engines at the facility which may be subject to NSPS Subpart <br />IIII. Due to the current 'catch-all' requirement in Regulation 3, Part B, Section II.D., all sources <br />subject to a Division -adopted NSPS (including NSPS Subpart IIID, regardless of size or fuel <br />consumption, are required to obtain a permit. Once informed of this requirement, MCC submitted <br />the following information concerning possible NSPS Subpart IIII engines: <br />-Generator for Main Office building Server: Diesel 50 hp engine, manufactured in 2009 <br />and installed in 2010. This engine is subject to NSPS Subpart IIII Tier 3 emissions <br />standards, and requires a Permit. The source was requested to submit an APEN for this <br />unit on January 28 h, 2013, and the APEN was received on February 15, 2013. <br />-Start-up generator for main Emergency fan generator: Diesel 66.9 hp engine, <br />manufactured in September 2005 and installed in 2010. The manufacture date of this <br />engine is prior to the applicability dates of NSPS Subpart IIII. The unit was bought from a <br />dealer in Brighton, and MCC submitted confirmation on March 8, 2013 from the supplier <br />(see attached) that the unit was purchased new at that time. If operated outside of <br />Colorado and brought into the state during the applicability dates of NSPS Subpart IIII, <br />the unit would be subject to the State -only 'new to Colorado relocation provisions'. These <br />provisions state that units brought into Colorado are considered 'New' as of the date of <br />relocation into the State (Ref: Regulation 6, Part B, Section I.B. and PS Memo 10-03). <br />As this unit was not operated outside of the State and relocated into Colorado during the <br />applicability dates of NSPS Subpart 1111, and the unit has fuel consumption and emissions <br />below applicable thresholds, this engine does not require an APEN submission or permit. <br />No additional action is required for this engine. <br />-Generator for Emergency escape hoist on Shaft #1: This diesel engine was purchased <br />and installed prior to 2000, and is thus not subject to NSPS Subpart IIII. Similarly, as this <br />small emergency generator is rarely used for testing and emergencies only, emissions <br />from the unit are below APEN/Permitting thresholds. No additional action is required for <br />this engine. <br />-Generator for'New' Emergency Escape Hoist: This engine is propane -fired, and thus <br />not subject to NSPS Subpart IIII. Similar to the Shaft #1 hoist, the unit is rarely used for <br />testing and emergencies only, and emissions from this unit are below APEN/Permitting <br />thresholds. No additional action is required for this engine. <br />The recent APEN exemption changes referenced in the Title V application were not associated <br />with the NSPS catch-all requirement in Regulation 3. Although the requirement for permitting <br />small stationary engines is not intuitive, according to permit engineer notes listed in the Division's <br />Permit Tracking System, the issues regarding genset permit applicability were discussed with the <br />source on November 30, 2010, and they indicated that APENs would•be submitted (See Picture <br />#5). Based on the information provided following this inspection, the source appears to have one <br />(1) engine located on-site which was previously unreported, but requires a permit. Once informed <br />2012 Air Pollution Inspection <br />0510015-INSP-2012.docx Page 6 of 30 <br />
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