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2017-10-23_GENERAL DOCUMENTS - C1980007
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2017-10-23_GENERAL DOCUMENTS - C1980007
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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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E. Pursuant to AQCC Regulation 6, Part A, Subpart A, General Provisions, and Permit <br />09GU1382 Condition 9.a, at all times, the facility and control equipment shall, to the <br />extent practicable, be maintained and operated in a manner consistent with good air <br />pollution control practices for minimizing emissions. At the time of the inspection, <br />opacity was observed coming from the baghouse of the rock dust silo during <br />product loading, and the area surrounding the baghouse had significant material <br />buildup from longer-term escaping emissions. Following the inspection, the source <br />reported that the opacity was the result of an incorrectly installed access door <br />gasket, which was replaced immediately following the inspection. Based on this <br />information, the Division has determined that the source was not operating control <br />equipment in a manner consistent with good air pollution control practices for <br />minimizing emissions during product loading, violating AQCC Regulation 6, Part A, <br />Subpart A, General Provisions, and Permit 09GU1382 Condition 9.a. <br />Enforcement Action is recommended to address the violations listed above. <br />Following the inspection, the Division received APENs for the main office building server <br />emergency generator and the rock dust silo on February 15,-2013. <br />As noted on pages 7 and 8 of this report, the Division suspects that MCC may also have <br />uncontrolled VOC emissions in excess of APEN-reporting and permit thresholds. In a <br />request letter dated January 11, 2013, the Division requested additional information from <br />MCC regarding potential VOC emissions. At the time of this revised report submission, <br />the Division has not yet received the necessary records, and is unable to determine <br />compliance concerning the VOC issue mentioned above. Similarly, the source has not yet <br />submitted any APENs for VOC emissions from ventilation/methane drainage systems at <br />the facility. The Division will continue to work with MCC to gather information in order to <br />address the APEN/Permit applicability of VOC emissions from all points at this facility. <br />COMPLIANCE STATUS: IN COMPLIANCE [ ] OUT OF COMPLIANCE [ X <br />2012 Air Pollution Inspection <br />0510015-INSP-2012.docz Page 27 of 30 <br />
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