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HomeMy WebLinkAboutAQ_F_0400052_20111215_CMPL_InspRpt (4) NORTH CAROLINA DIVISION OF Fayetteville Regional Office AIR QUALITY Anson County Waste Management Facility NC Facility ID 0400052 Inspection Report County/FIPS: Anson/007 Date: 12/20/2011 Facility Data Compliance Data Anson County Waste Management Facility Inspection Date 12/15/2011 375 Allied Rd Inspector's Name Mitch Revels Polkton, NC 28135 Operating Status Operating Lot: 35d 0.2610m Long: 80d 9.7720m Compliance Code Compliance-inspection SIC: 4953/Refuse Systems Action Code FCE NAILS: 562212/Solid Waste Landfill On-Site Inspection Result Compliance Contact Data Permit Data Facility Contact Authorized Contact Technical Contact Permit 09835/R00 J.Fitzgerald J.Fitzgerald Kurt Shaner Issued 10/30/2007 District Manager District Manager Regional Engineering Expires 9/30/2012 (704)694-6900 (704)694-6900 Manager Classification Synthetic Minor (901)259-8249 Permit Status Active Inspector's Signature: �A . } �? _ /J _ Comments: 2b 1 /7,011 This facility has no RIC ,therefore not subject to MACT ZZZZ. 1) Location: Anson County Waste Management Facility is located at 375 Allied Rd. near Polkton, NC. Anson County. Directions: From FRO, take Raeford Road, Hwy 401, south to Wagram, —32 miles. Just past Wagram, turn right onto Old Wire Road (SR 144) to Laurel Hill. Turn right(west) on Highway 74 and go approx 41 miles. Turn right between NC DMV office building and bridge over Brown Creek. Go approx 0.4 mile and the landfill office is on the right. Safety: Helmet, safety boots and safety vest is required when near the working face of the landfill. The principal hazards are from truck traffic and falls/sprains from walking on the uneven ground. 2) Description: Anson County Waste Management Facility (ACWMF)is a municipal solid waste (MSW)landfill. The MSW landfill facility is not required to have a permit as an emission source, because 2Q .0102(c)(1)(K) exempts MSW LF from air permit until Title V threshold as reached or exceeded. ACWMF applied for a synthetic minor permit to install and operate a landfill gas capture and control system with a candlestick flare. Therefore,ACWMF has a state air permit for the candlestick flare. ACWMF first accepted waste in CY 2001. During CY2012, the amount of in place waste is projected to exceed both 2.5 million megagrams and 2.5 million cubic meters. Therefore, when these limits are exceeded in an operational permit(PTO) issued by NC Solid Waste, the facility must apply within 90 days for a Title V air permit. Presently ACWMF has a solid waste permit to construct (PTC) for a capacity of 4.67 mm yd3. NOTE: 1 yd3 =0.7646 m3 and 1 ton=0.9072 Mg. The next issued SW PTO will most likely trigger the TV permit requirements and NSPS WWW and MACT AAAA requirements. The facility already has a gas collection and control system(GCCS)required by NSPS WWW. Facility chose to install a GCCS before the required date where calculated NMOC reach 50 Mega Grams per year. This allowed them to build carbon credits and pursue a gas-to energy project. The facility may test out per Tier 2 as outlined in NSPS WWW. The facility performed a Tier II test and tested out of a gccs until Sept 2012. On 15 Dec 2011, the facility performed an additional Tier II in hope to increase the time of testing out. This inspection was performed in conjunction with the Tier II test observation. The facility was operating around 280 cfm at 60% methane and no 02. FRO concludes that the facility was operating at optimum conditions for Tier II sampling. This facility is permitted under Air Permit No. 09835R00, effective from 30 Oct 2007, until 30 Sept 2012. 3) Current throughputs: Per the most recent data online indicates NC DENR MSW Annual Report FY 2008-2009, total waste in place was 2.07 million tons, with 208,982 tons disposed in FY 2007-2008. During this inspection on 12/15/11, the landfill gas flow rate, 280 acfm, with 60%methane. This was verified at the flare recorder. 4) Permitted Sources are: Emission Emission Source Cmrtrol Control System Source ID Description System ID Description (Mmricipal Solid Waste Landfill,NSPS W W W,including. CD 4 Candlestick flare, 75 mmBtu per hour maximum heat N/A N/A input 5) Inspection Conference: On 15 Dec 2011, 1, Mitchell Revels met with the Mr. Tyler Fitzgerald. We discussed the following a) Verified the contacts based on FACFINDER printout. b) We discussed the design capacity of the facility and the TV permit requirements when modification of SW PTO increases to or greater than 2.5 MM cubic meters and 2.5 MM Mg. c) We discussed that facility presently holds a state only permit with a limit of 2000 acfm to flare and a weekly recordkeeping requirement. d) The facility has completed the ownership change. e) The facility presently has 19 operating gas extraction wells,4 leachate clean headers and an average acceptance rate of 800 TPD. 6) Inspection Summary: Mr. Fitzgerald and I, Mitchell Revels tour the LF. The flare was observed operating with no opacity. Mr. Fitzgerald indicated that the control system is engineered to close and not vent to atmosphere(bypassing control device)during flare downtime. This was verified by observing the physical design of the system(no bypass vent and auto shut-off valve). The wellheads appeared to be well maintained and no LF gas odor was detected, a good indication of no leaks. The LF flow recorder was observed and recording around 280 c5n. I indicated that when the GCCS is required by NSPS the complete system will need to meet all requirements and gas flow recording is included as a requirement. Presently the facility holds a permit for the flare,however when Title V, NSPS WWW and NESHAP AAAA requirement began the facility will need to comply accordingly. 7) Stipulation Review: a. SULFUR DIOXIDE CONTROL REQUIREMENT- As required by 15A NCAC 2D .0516 "Sulfur Dioxide Emissions from Combustion Sources," sulfur dioxide emissions from Flare (ID No. CD-I) shall not exceed 2.3 pounds per million Btu heat input. Appears in Compliance. The AP42 emission factor for flare combustion of MSW landfill gas is equivalent to natural gas at 0.006 lbs/mmBtu. b. VISIBLE EMISSIONS CONTROL REQUIREMENT- As required by 15A NCAC 2D .0521 "Control of Visible Emissions," visible emissions from Flare (ID No. CD-I),manufactured after July 1, 1971, shall not be more than 20 percent opacity when averaged over a six-minute period,except that six-minute periods averaging not more than 87 percent opacity may occur not more than once in any hour nor more than four times in any 24-hour period. However, sources which must comply with 15A NCAC 2D .0524 'New Source Performance Standards" or.1110 'National Emission Standards for Hazardous Air Pollutants" must comply with applicable visible emissions requirements contained therein. Appears in Compliance. Opacity from the flare was 0 %.. 15A NCAC 2D .0524 "NEW SOURCE PERFORMANCE STANDARDS" - Appears in Compliance. NSPS W W W not yet applicable but will likely apply at next modification. c. FUGITIVE DUST CONTROL REQUIREMENT- As required by 15A NCAC 2D .0540 "Particulates from Fugitive Dust Emission Sources," the Permittee shall not cause or allow fugitive dust emissions to cause or contribute to substantive complaints or excess visible emissions beyond the property boundary. If substantive complaints or excessive fugitive dust emissions from the facility are observed beyond the property boundaries for six minutes in any one hour(using Reference Method 22 in 40 CFR, Appendix A), the owner or operator may be required to submit a fugitive dust plan as described in 2D .0540(f). "Fugitive dust emissions" means particulate matter from process operations that does not pass through a process stack or vent and that is generated within plant property boundaries from activities such as: unloading and loading areas, process areas stockpiles, stock pile working, plant parking lots, and plant roads (including access roads and haul roads). Appears in Compliance. No dust or fugitive PM was observed leaving property. The facility has a large buffer with no nearby neighbors. The access road is paved and the dirt road around the actual LF id watered each day if not rainy. d. TOXIC AIR POLLUTANT EMISSIONS LIMITATION AND REPORTING REQUIREMENT- Pursuant to 15A NCAC 2D .1100 "Control of Toxic Air Pollutants," and in accordance with the approved application for an air toxic compliance demonstration, the following permit limits shall not be exceeded: Affected Source Toxic Air Pollutant Emission Limit (Candlestick flare (CD-1) Hydrogen chloride (7647 01-0) 0.47 Ib/hr Appears in Compliance. Modeling was based on LANDGEM-generated flow rates and indicated less than 7% AAL. e. CONTROL AND PROHIBITION OF ODOROUS EMISSIONS - As required by 15A NCAC 2D .1806 the Permittee shall not operate the facility without implementing management practices or installing and operating odor control equipment sufficient to prevent odorous emissions from the facility from causing or contributing to objectionable odors beyond the facility's boundary Appears in compliance DAQ has not received any odor complaints. I detected typical landfill gas odor onsite,but not offensive. No odor was detected offsite. f. LIMITATION TO AVOID 15A NCAC 2Q .0501 -Pursuant to 15A NCAC 2Q .0315 "Synthetic Minor Facilities," to avoid the applicability of 15A NCAC 2Q .0501 "Purpose of Section and Requirement for a Permit," as requested by the Permittee, facility-wide CO emissions shall be less than 100 TPY. Appears in compliance Based on the LANDGEM flow rate, CO was 40 tons in 2007, and will peak at 98 TPY (controlled). The expected 2007 emissions are base on a landfill gas flow rate of 618 cfm, as projected in the permit application. The potential emissions after control are based on 2,000 cfm, as requested in the permit application. The potential emissions before control are based on 2,500 cfm. The present LF gas flow rate was indicated to be 280 cfm. g. TOXIC AIR POLLUTANT EMISSIONS LIMITATION REQUIREMENT- Pursuant to 15A NCAC 2Q .0711 "Emission Rates Requiring a Permit," for each of the below listed toxic air pollutants (TAPS), the Permittee has made a demonstration that facility-wide actual emissions do not exceed the Toxic Permit Emission Rates (TPERs) listed in 15A NCAC 2Q .0711. The facility shall be operated and maintained in such a manner that emissions of any listed TAPS from the facility, including fugitive emissions, will not exceed TPERs listed in 15A NCAC 2Q .0711. The Permittee shall maintain records of operational information demonstrating that the TAP emissions do not exceed the TPERs as listed below: Appears in Compliance. Per the permit review,under normal MSW landfill operations, these levels cannot be exceeded. 8) Reporting requirements: Presently no reporting is required. 9) 112R Status: Typical MSW landfill does not use or store chemical compounds subject to requirement for a written RMP. 10) Comments and Compliance Statement: Facility appears in compliance. Based on inspection and NC Solid Waste documentation, this facility will become subject to TV after next modification to increase capacity per a Solid Waste Permit to Operate. Next inspection should be after extended dry weather to evaluate fugitive dust control. 11) 5 Year Compliance IIistory: None /mr cc: FRO Facility Files