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HomeMy WebLinkAboutAQ_F_0400037_20180718_CMPL_InspRpt NORTH CAROLINA DIVISION OF Fayetteville Regional Office AIR QUALITY The Quikrete Companies-Peachland Plant NC Facility ID 0400037 Inspection Report County/FIPS: Anson/007 Date: 08/O112018 Facility Data Permit Data The Quikrete Companies-Peachland Plant Permit 06907/R09 13471 Highway 74 West Issued 11/25/2014 Peachland,NC 28133 Expires 10/31/2022 Lat: 34d 59.3110m Long: 80d 17.8790m Classification Synthetic Minor SIC: 3272/Concrete Products,Nec Permit Status Active NAICS: 32739/Other Concrete Product Manufacturing Current Permit Application(s)None Contact Data Program Applicability Facility Contact Authorized Contact Technical Contact SIP Dave Snyder Dave Snyder Steve Pettitt Plant Manager Plant Manager Quikrete-Corporate (704)272-7677 (704)272-7677 Engineering (678)407-0927 Compliance Data Comments: Inspection Date 07/18/2018 Inspector's Name Mike Thomas Inspector's S' nature: OiO6 Operating Status Operating Compliance Code Compliance-inspection Action Code FCE Date of Signature: On-Site Inspection Result Compliance R-Z-69 Total Actual emissions in TONS/YEAR: TSP SO2 NOX VOC CO PMIO *HAP 2013 1.87 -- 0.8400 0.1300 0.9700 0.7441 --- 2008 0.4870 --- 1.78 0.1400 1.03 0.2750 *Highest HAP Emitted(inpounds) Five Year Violation History:None Date Letter Type Rule Violated Violation Resolution Date Performed Stack Tests since last FCE:None Date Test Results Test Method(s) Source(s)Tested 1) Directions: Quikrete Company-Peachland is located at 13471 Hwy 74 West,right on the Anson/Union County Line, in Peachland,NC,Anson County. From Wadesboro,take HWY 74 west for 13.5 miles. The Quikrete facility will be on the left right before the Union County line. 2) Safety Considerations: Standard DAQ safety equipment.Be alert to trucks entering and exiting property. 3) Facility and Process Description: The Quikrete Company-Peachland is a dry concrete mixing facility that dries and packages play sand, concrete,mortar and mason mix, and grout. This facility is permitted under Air Permit No. 06907R09, effective from 25 November 2014 until 31 October 2022. The facility receives cement and mortar in powder form and stores these materials in silos. The facility dries sand and gravel in a rotary dryer and stores these materials in silos. The facility has single silos for dry sand/gravel,all-purpose sand,and play sand. The fourth is a"split'silo that holds masonry cement,fly ash,and Portland cement. The materials are metered out of the silos and mixed prior to packaging in 50 pound bags or large bulk bags. Particulate emissions from the silos,the dryer and the mixing/packaging operation are controlled by a total of seven bagfilters. The packaging system for filling bags is located inside a building. There is a central dust collection system that captures dust that comes from bag filling and from several other points along the packaging process. The company has 30 employees(including drivers)and operates two shifts (S:OOAM—2:30PM and 2:30PM- 10:30PM), 5 days/week,52 wks/yr. Silos are typically filled at the end of first shift, so a later PM inspection would be in order to see a filling. This facility is permitted under Air Permit No. 06907R09, effective from November 25, 2014 until October 31,2022. Mike Thomas conducted the last compliance inspection on 28 July 17 by Dan Thoma and Mike Thomas. 4) Permitted Emission Sources: Control Control System Aej Ljbstem ID Description One LPG-fired rotary dryer F140 tons per hour maximum throughput Bagfilter ES-1 20 mmBtu/hr maximum heat input CD-8 (3,240 square feet of filter area) Not Operating Cement packaging operation Bagfilter ES-4 Not Operating CD-2 (2,403 square feet of filter area) One Sand silo Bagfilter ES-6 Not Operating CD-14 (125 square feet of filter area) One compartment of split silo Bagfilter ES-9S1F (cement or flyash) CD-9 Not Operating (125 square feet of filter area) One compartment of split silo FES-9S2 (cement or of split CD-9 Bagfilter Not Operating (125 square feet of filter area) One compartment of split silo FES-11SF (cement or flyash) CD-I1 Bagfilter Not Operating (125 square feet of filter area) One compartment of split silo Bagfilter FES-12S (cement or flyash) FCD-12 Not Operating (125 square feet of filter area) Two sand/aggregate silos CD-13 Bagfilter ES-13S Not Operating (250 square feet of filter area) 5) Inspection Conference: On 18 July 2018,I, Mike Thomas of DAQ FRO, met with Dave Snyder,the Plant Manager and Facility Contact at Quikrete-Peachland Plant. The facility was not operating at the time of inspection. We discussed the following: a) I verified the FACFINDER information. No changes were needed. b) I reviewed the facility's bagfilter logbooks. Entries are arranged by process and appeared to be complete and up to date. c) Mr. Snyder stated that production has been very steady and similar to the previous year. d) Throughputs: 7 Portland Cement Masonry Cement _ d(Ibs.) (Ibs.) (lbs.) lbs. 2017 25,275,000 —6,525,000 —107,000,000 —59,800,000 —4,300,000 2016 —25,300,000 —6,600,000 —107,000,000 —59,800,000 —4,300,000 2015 —25,300,000 - 6,600,000 —107,000,000 �59,800,000 —41300,000 2014 —25,300,000 —6,600,000 —107,000,000 —59,800,000 —4,300,000 2013 28,406,000 8,954,000 112,694,000 65,974,000 4,324,000 2012 25,298,000 6,602,000 107,164,000 59,752,000 4,294,000 2011 24,000,000 6,000,000 99,866,000 58,556,000 3,834,000 6) Inspection Summary: I was led on a tour of the facility by Mr. Snyder which was not operating at the time. I observed the facility's operations from start to finished product. I observed the driveways,which have been the source of fugitive dust,to be well maintained with no evidence of dust issues. I did not observe any dust on the highway in front of the facility. 7) Permit Stipulations: A.2 15A NCAC 2D .0202 &2Q.0304-PERMIT RENEWAL AND EMISSION INVENTORY REQUIREMENT-The facility shall submit a permit renewal request and a completed air emissions inventory at least 90 days prior to permit expiration. APPEARED IN COMPLIANCE— Previous renewal and inventory were due on 1 Oct. 2014. Both were received in September 2014. Next renewal and inventory are due Aug 8,2022,for calendar year 2021. A.3 15A NCAC 2D.0515 PARTICULATE CONTROL REQUIREMENT—"Particulates from Miscellaneous Industrial Processes",particulate matter emissions from the emission sources shall not exceed allowable emission rates. APPEARED IN COMPLIANCE— Compliance was determined during the most recent permit review based on operating the source as described in the permit conditions. No changes have been made to operations since that determination. A.4 15A NCAC 2D.0516 SULUR DIOIIIDECONTROL REQUIREMENT—Sulfur dioxide emissions from Dryer(ID No. ES-1)shall not exceed 2.3 pounds per mmBtu heat input. APPEARED IN COMPLIANCE— The facility combusts LP gas in their 20 mmBtu rotary dryer. The AP-42 S02 EF is 0.001 lb/mmBtu resulting in emissions well below their limit. A.5 15A NCAC 2D.0521 VISIBLE ENIISSIONS REQUIREMENT-"Control of Visible Emissions",visible emissions from the emission sources manufactured after July 1, 1971, shall not be more than 20%opacity. APPEARED IN COMPLIANCE— The facility was not operating at the time of my inspection;however,nothing indicated a problem with visible emissions. A.6 15A NCAC 2D .0535 NOTIFICATION REQUIREMENTS—The Permittee of a source of excess emissions lasting more than four hours and that results from a malfunction,breakdown of process or control equipment or any other abnormal conditions shall notify the Director or his designee. APPEARED IN COMPLIANCE— Mr. Snyder stated that there were no instances of excess emissions requiring notification. A.7 15A NCAC 2D.0540 FUGITIVE DUST CONTROL REQUIREMENT—Facility shall not cause or allow fugitive dust emissions to cause or contribute to substantive complaints or excess emissions beyond property boundary. APPEARED IN COMPLIANCE— No dust was observed leaving the boundaries of the facility and Mr. Snyder stated that there have been no dust complaints. I did not see any indications of dust on the highway in front of the facility. A8 15A NCAC 2D .0611 FABRIC FILTER REQUIREMENTS—Particulate matter emissions shall be controlled as described in the permitted equipment list. The permittee shall perform, at a minimum, an annual internal inspection of each particulate collection system. The permittee shall also perform periodic inspections and maintenance as recommended by the equipment manufacturer. The results of all inspections maintenance activities shall be recorded in the logbook and kept onsite. APPEARED IN COMPLIANCE— Logbooks are kept and are grouped according to process. Last internal inspections: Interior BH(CD-2)—packaging 2/12/18, Dryer BH(CD-8)4/21/18, Rock/Sand silos BH(CD-13,CD-14)3/15/18, and Flyash/Lime silo BH (CD-9, CD-I1, CD-12) 2/12/18. A.9 2Q .0315 LIMITATION TO AVOID 15A NCAC 2Q .0501 — Facility wide PM 10 emissions shall be less than 100 tons per year. Permittee shall perform an annual inspection of bagfilter system,as well as keep records of all inspection and maintenance. APPEARED IN COMPLIANCE— Facility met the requirements by performing the required inspections,maintenance, and record keeping as prescribed in 15A NCAC 2D .0611 BAGFILTER REQUIREMENTS. 8) Non-compliance 11istory Since 2010: None 9) 112R Status: This facility does not store chemical compounds that require a written risk management plan under the Clean Air Act, Section 112R. 10) Comments and Compliance Statement: The Quikrete Company-Peachland Plant appeared to be in compliance with the conditions outlined in their current Air Permit on 18 July 2018. 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