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HomeMy WebLinkAboutAQ_F_0200005_20220822_PRMT_CmbPrmtFile_R15 ROY COOPER Governor �� ELIZABETH S. BISERo� Secretary `� 4,1 =t MICHAEL A.ABRACZINSKAS NORTH CAROLINA Director Environmental Quality August 26, 2022 Mr. Rick Ashley Operations Manager Mitchell Gold Company 135 One Comfortable Place Taylorsville,NC 28681 Subject: Air Permit No. 02815R15 Mitchell Gold Company Hiddenite, Alexander County,North Carolina Permit Class: Small Facility ID#0200005 Dear Mr. Ashley: In accordance with your completed application received July 11,2022, we are forwarding herewith Permit No. 02815R15 to Mitchell Gold Company, Hiddenite, Alexander County, North Carolina for the construction and operation of air emissions sources or air cleaning devices and appurtenances. Additionally, any emissions activities determined from your air permit application as meeting the exemption requirements contained in 15A NCAC 2Q .0102 have been listed for information purposes as an "ATTACHMENT" to the enclosed air permit. If any parts, requirements, or limitations contained in this permit are unacceptable to you, you have the right to file a petition for contested case hearing in the North Carolina Office of Administrative Hearings. Information regarding the right, procedure,and time limit for permittees and other persons aggrieved to file such a petition is contained in the attached "Notice Regarding the Right to Contest a Division of Air Quality Permit Decision." Unless exempted by a condition of this permit or the regulations,construction of new air pollution sources or air cleaning devices, or modifications to the sources or air cleaning devices described in this permit must be covered under a permit issued by the Division of Air Quality prior to construction. Failure to do so is a violation of G.S. 143-215.108 and may subject the Permittee to civil or criminal penalties as described in G.S. 143-215.114A and 143- 215.114B. This permit shall be effective from August 26, 2022 until July 31,2030, is nontransferable to future owners and operators, and shall be subject to the conditions and limitations as specified therein. —' North Carolina Department of Environmental Quality I Division of Air Quality Mooresville Regional Office 1 610 East Center Avenue,Suite 301 Mooresville,NC 28115 nep r rru=nr s onmc„a a„yi,ry 704.663.1699 T 704.663.6040 F Rick Ashley August 26, 2022 Page 2 Changes have been made to the permit stipulations. The Permittee is responsible for carefully reading the entire permit and evaluating the requirements of each permit stipulation. The Permittee shall comply with all terms, conditions, requirements,limitations and restrictions set forth in this permit. Noncompliance with any permit condition is grounds for enforcement action, for permit termination, revocation and reissuance, or modification, or for denial of a permit renewal application. Specific changes and additions are summarized below (note: this list may not include all changes and additions): ® The following conditions were removed since the boiler has been removed from the permit: 0 15A NCAC 2D .0503, "Particulates from Fuel Burning Indirect Heat Exchangers" 0 15A NCAC 2D .0516, "Sulfur Dioxide Emissions from Combustion Sources" 0 15A NCAC 2D .0524, (40 CFR Part 60, Subpart Dc) o Avoidance of 15A NCAC 2D .l 111, "Maximum Achievable Control Technology" (40 CFR 63 Subpart JJJJJJ) ® Condition 15A NCAC 2D .1806 "Control and Prohibition of Odorous Emissions"was added to the permit per DAQ policy. ® A condition 2Q .0102 for"Federal and State Rules Applicable to Sources Exempted from Air Permitting Requirements"was added to indicate that an exempt source is subject to NESHAP, Subpart CCCCCC. ® Based on the potential emissions for VOCs and HAPs,this facility will be reclassified from a Prohibitory Small to a Small facility; therefore, stipulation 2Q .0803 will be deleted from the permit. Should you have any questions concerning this matter,please contact Jennifer Manning at 704-235- 2224. Sincerely, Melinda Wolanin, Regional Supervisor Division of Air Quality,NC DEQ JAM Enclosures c: Mooresville Regional Office https://ncconnect.sharepoint.com/sites/DAQ-MRO/Counties/ALEXANDER/00005/R l5_PERMIT.docx NOTICE REGARDING THE RIGHT TO CONTEST A DIVISION OF AIR QUALITY PERMIT DECISION Right of the Permit Applicant or Permittee to File a Contested Case: Pursuant to NCGS 143- 215.108(e), a permit applicant or permittee who is dissatisfied with the Division of Air Quality's decision on a permit application may commence a contested case by filing a petition under NCGS 150B-23 in the Office of Administrative Hearings within 30 days after the Division notifies the applicant or permittee of its decision. If the applicant or permittee does not file a petition within the required time, the Division's decision on the application is final and is not subject to review. The filing of a petition will stay the Division's decision until resolution of the contested case. Right of Other Persons Aggrieved to File a Contested Case: Pursuant to NCGS 143- 215.108(el), a person other than an applicant or permittee who is a person aggrieved by the Division's decision on a permit application may commence a contested case by filing a petition under NCGS 150B-23 within 30 days after the Division provides notice of its decision on a permit application, as provided in NCGS 15013-23(f), or by posting the decision on a publicly available Web site. The filing of a petition under this subsection does not stay the Division's decision except as ordered by the administrative law judge under NCGS 150B-33(b). General Filing Instructions: A petition for contested case hearing must be in the form of a written petition, conforming to NCGS 15013-23, and filed with the Office of Administrative Hearings, 1711 New Hope Church Road, Raleigh NC, 27609, along with a fee in an amount provided in NCGS 15013-23.2. A petition for contested case hearing form may be obtained upon request from the Office of Administrative Hearings or on its website at https://www.oah.nc.gov/hearings-division/filing/hearing-forms. Additional specific instructions for filing a petition are set forth at 26 NCAC Chapter 03. Service Instructions: A party filing a contested case is required to serve a copy of the petition, by any means authorized under 26 NCAC 03 .0102, on the process agent for the Department of Environmental Quality: William F. Lane, General Counsel North Carolina Department of Environmental Quality 1601 Mail Service Center Raleigh, North Carolina 27699-1601 If the party filing the petition is a person aggrieved other than the permittee or permit applicant, the party must also serve the permittee in accordance with NCGS 15013-23(a). Additional information is available at littps://www.oali.nc.gov/hearings-division/heai-ing_ process/film_g-contested-case. Please contact the OAH at 984-236-1850 or oah.postmaster@oah.nc.gov with all questions regarding the filing fee and/or the details of the filing process. t Page intentionally left blank. NORTH CAROLINA ENVIRONMENTAL MANAGEMENT COMMISSION DEPARTMENT OF ENVIRONMENTAL QUALITY DIVISION OF AIR QUALITY AIR PERMIT NO. 02S15R15 Issue Date: August 26, 2022 Effective Date: August 26, 2022 Expiration Date: July 31, 2030 Replaces Permit: 02815R14 To construct and operate air emission source(s) and/or air cleaning device(s), and for the discharge of the associated air contaminants into the atmosphere in accordance with the provisions of Article 2 1 B of Chapter 143, General Statutes of North Carolina(NCGS)as amended, and other applicable Laws, Rules and Regulations, Mitchell Gold Company 375 Sharpe Lane Hiddenite, Alexander County,North Carolina Permit Class: Small Facility ID#0200005 (the Permittee) is hereby authorized to construct and operate the air emissions sources and/or air cleaning devices and appurtenances described below: Emission Emission Source Control Control System Source ID E Description System II) Description woad furniture finishing operation consisting of: ES-SB 1 (NESHAP), mine(9)dry filter-type spray ES-S132(NESHAP), lbooths ES-SB3 (NESHAP), i ES-SB4(NESHAP), ES-SB5 (NESHAP), N/A N/A ES-SB6(NESHAP), ES-SB7(NESHAP), ES-SB8 (NESHAP), ES SB9(NESHAP) ES-WTI (NESHAP), two(2)washoff tanks ES-WT2(NESHAP) ES GO(NESHAP) !gluing operation N/A [ N/A in accordance with the completed application 0200005.22A received July 11, 2022 including any plans, specifications,previous applications, and other supporting data, all of which are filed with the Permit No. 02815R15 Page 2 Department of Environmental Quality, Division of Air Quality(DAQ) and are incorporated as part of this permit. This permit is subject to the following specified conditions and limitations including any TESTING, REPORTING, OR MONITORING REQUIREMENTS: A. SPECIFIC CONDITIONS AND LIMITATIONS 1. Any air emission sources or control devices authorized to construct and operate above must be operated and maintained in accordance with the provisions contained herein. The Permittee shall comply with applicable Environmental Management Commission Regulations, including Title 15A North Carolina Administrative Code (NCAC), Subchapter 2D .0202, 2D .0512, 2D .0521, 2D .0535, 2D .0540, 2D .1111 (40 CFR 63, Subpart JJ), 2D .1806 and 2Q .0102. 2. PERMIT RENEWAL AND EMISSION INVENTORY REQUIREMENT- The Permittee, at least 90 days prior to the expiration date of this permit,shall request permit renewal by letter in accordance with 15A NCAC 2Q .0304(d) and (f).Pursuant to 15A NCAC 2Q .0203(i), no permit application fee is required for renewal of an existing air permit(without a modification request). The renewal request(with application Form A) should be submitted to the Regional Supervisor, DAQ. Also, at least 90 days prior to the expiration date of this permit, the Permittee shall submit the air pollution emission inventory report (with Certification Sheet) in accordance with 15A NCAC 2D .0202,pursuant to N.C. General Statute 143 215.65. The report shall be submitted to the Regional Supervisor, DAQ and shall document air pollutants emitted for the 2029 calendar year. 3. PARTICULATE CONTROL REQUIREMENT -As required by 15A NCAC 2D .0512 "Particulates from Wood Products Finishing Plants," the Permittee shall not discharge particulate matter caused by the working, sanding, or finishing of wood without providing, as a minimum for its collection, adequate duct work and properly designed collectors, or other such devices as approved by the Commission. 4. VISIBLE EMISSIONS CONTROL REQUIREMENT -As required by 15A NCAC 2D .0521 "Control of Visible Emissions," visible emissions from washoff tank(ID No. ES- WT2), spray booth (ID No. ES-S135), spray booth (ID No.ES-SB8),spray booth(ID No. ES-SB9) and gluing operation(ID No. ES-GO), 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 a visible emissions standard in 15A NCAC 2D .0524 "New Source Performance Standards" or .1110 "National Emission Standards for Hazardous Air Pollutants" shall meet that standard instead of the 2D .0521 visible emissions standard. Permit No. 02815R15 Page 3 5. VISIBLE EMISSIONS CONTROL REQUIREMENT- As required by 15A NCAC 2D .0521 "Control of Visible Emissions," visible emissions from washoff tank(ID No. ES- WTI), spray booth (ID No. ES-SB 1), spray booth(ID No. ES-S132), spray booth(ID No. ES-S133), spray booth (ID No. ES-SB4), spray booth (ID No. ES-SB6) and spray booth(ID No. ES-S137), manufactured as of July 1, 1971, shall not be more than 40 percent opacity when averaged over a six-minute period, except that six-minute periods averaging not more than 90 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 a visible emissions standard in 15A NCAC 2D .0524 "New Source Performance Standards" or .1110 "National Emission Standards for Hazardous Air Pollutants" shall meet that standard instead of the 2D .0521 visible emissions standard. 6. NOTIFICATION REQUIREMENT -As required by 15A NCAC 2D .0535, the Permittee of a source of excess emissions that last for more than four hours and that results from a malfunction, a breakdown of process or control equipment or any other abnormal conditions, shall: a. Notify the Director or his designee of any such occurrence by 9:00 a.m. Eastern time of the Division's next business day of becoming aware of the occurrence and describe: i. the name and location of the facility, ii. the nature and cause of the malfunction or breakdown, iii. the time when the malfunction or breakdown is first observed, iv. the expected duration, and V. an estimated rate of emissions. b. Notify the Director or his designee immediately when the corrective measures have been accomplished. This reporting requirement does not allow the operation of the facility in excess of Environmental Management Commission Regulations. 7. 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 are received 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(0. Permit No. 02815R15 Page 4 "Fugitive dust emissions" means particulate matter 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). 8. 15A NCAC 2D .I I I I "MAXIMUM ACHIEVABLE CONTROL TECHNOLOGY" - The wood furniture manufacturing operations washoff tank(ID No. ES-WTI), washoff tank(ID No. ES-WT2), spray booth(ID No. ES-SB1), spray booth(ID No. ES-S132), spray booth (ID No. ES-SB3), spray booth(ID No. ES-S134), spray booth(ID No. ES-S135), spray booth(ID No. ES-S136), spray booth(ID No. ES-S137), spray booth(ID No. ES-S138), spray booth(ID No. ES-S139) and gluing operation(ID No. ES-GO) shall comply with all requirements of 15A NCAC 2D .1111 "Maximum Achievable Control Technology" and 40 CFR Part 63, Subpart JJ "National Emission Standards for Wood Furniture Manufacturing Operations." [40 CFR 63.800] Regulated Material Emission Limitation Thinners 10%by weight HAP .stains, washcoats, sealers,topcoats,basecoats, and enamels 1.0 lb VHAP/lb solids, as applied coatings - 1.0 lb VHAP/lb solids washcoat, basecoat, or enamel formulated onsite thinners- 3.0%by weight VHAP _ strippable spray booth coatings 0.8lb VOC per lb solids, as applied foam contact adhesives used in products which meet �� � ���� ��� flammability requirements per California Technical Bulletin 116, 117, or 133, the Business and Institutional 11.8 lb VHAP per lb solids, as applied Furniture Manufacturers Association's (BIFMA's) X5.7, UFAC flammability testing, or any similar requirements from local, State, or Federal fire regulatory agencies all other contact adhesives 1.0 lb VHAP/solids, as applied m _ m...: ..�..... 1.0%by weight formaldehyde or 400 coatings and contact adhesives pounds formaldehyde emissions per rolling 12 month period a. Definitions and Nomenclature - For the purpose of this permit condition, the definitions and nomenclature contained in 40 CFR 63.801 shall apply. b. Regulated Pollutants -Volatile Hazardous Air Pollutants (VHAPs) and Volatile Organic Compounds (VOCs) as defined in 40 CFR 63.801. c. General Provisions - The Permittee shall comply with the requirements of 40 CFR Part 63, Subpart A "General Provisions," according to the applicability of Subpart A to such sources, as identified in Table 1 of 40 CFR Part 63, Subpart JJ. d. Work Practice Standards -The Permittee shall adhere to the work practice standards as specified by 40 CFR 63,803. Permit No. 02815R15 Page 5 e. Recordkeeping Requirements - The Permittee shall prepare,maintain, and follow a written work practice implementation plan in accordance with 40 CFR 63.806(e)that defines environmentally desirable work practices for each wood furniture manufacturing operation and addresses each of the work practice standards specified below: i. Operator Training - in accordance with 40 CFR 63.803(b); ii. Inspection and Maintenance Plan - in accordance with 40 CFR 63.803(c); iii. Cleaning and Washoff Solvent Accounting System -in accordance with 40 CFR 63.803(d); iv. Chemical Composition of Cleaning and Washoff Solvents -in accordance with 40 CFR 63.803(e); V. Spray Booth Cleaning - in accordance with 40 CFR 63.803(f); vi. Storage Requirements - in accordance with 40 CFR 63.803(g); vii. Application Equipment Requirements - in accordance with 40 CFR 63.803(h); Effective November 21, 2014 conventional air spray guns are allowed only when emissions are vented to a control device; viii. Line Cleaning-in accordance with 40 CFR 63.803(i); ix. Gun Cleaning - in accordance with 40 CFR 63.8030); X. Washoff Operations - in accordance with 40 CFR 63.803(k); and xi. Formulation Assessment Plan- in accordance with 40 CFR 63.803(1). f. Reporting Requirements -The Permittee shall submit the compliance status report to the Regional Supervisor by in accordance with 40 CFR 63.804(f)(8) and 40 CFR 63.807(b). The Permittee shall submit semi-annual reports to the Regional Supervisor in accordance with 40 CFR 63.804(g)(8) and 40 CFR 63.807(c). The Permittee shall follow the reporting requirements in 40 CFR 63.807(e) as required and 40 CFR 63.807(a) following the applicability criteria in 40 CFR 63.800(d). g. Finishing Operations -Per 40 CFR 63.804(a)(4), the Permittee has chosen to use both the compliant coatings and the facility averaging compliance options for the finishing operations washoff tanks (ID Nos. ES-WT2 and ES-WT1), spray booths (ID Nos. ES-S135, ES-S136, ES-SB4, ES-S137, ES-S132, ES-SB 1,ES-SB9,ES-S138 and ES-S133) and gluing operation (ID No. ES-GO). Compliance with each of these options is considered a separate ALTERNATIVE OPERATING SCENARIO (AOS) and the Permittee, contemporaneously with making a change from one AOS Permit No. 02815R15 Page 6 to another, shall record in a log the scenario under which it is operating. Records shall be retained for five years. [15A NCAC 2Q .0508(p)] AOS1: Compliant Coatings Option i. Emission Limits -The Permittee shall comply with all provisions of 40 CFR 63.802(a)(1) and 63.804(a)(2) as applicable to the finishing operations washoff tanks (ID Nos. ES-WT2 and ES-WTI), spray booths (ID Nos. ES- SB5, ES-SB6, ES-SB4, ES-SB7, ES-SB2,ES-SB1, ES-SB9, ES-SB8 and ES-SB3) and gluing operation(ID No. ES-GO). All thinners, stains, washcoats, sealers, topcoats, basecoats, and enamels used at the facility shall meet the emission limitations as detailed in the following table: ..... . . ...... ...... , Regulated Material Emission Limitation Thinners 10% by weight HAP .,.____...__._. ._____...._.....__._.._ �.. stains, washcoats, sealers, topcoats,basecoats, and enamels10 lb VHAP/lb solids, as applied washcoat basecoat or enamel formulated onsite coatings- 1.0 lb VHAP/lb solids ' ;thinners y weight 3.0%by VHAP ii. Compliance Procedures and Monitoring Requirements -Emission sources washoff tanks (ID Nos. ES-WT2 and ES-WT 1), spray booths (ID Nos. ES- SB5, ES-SB6, ES-SB4, ES-SB7, ES-SB2, ES-SB1, ES-SB9, ES-SB8 and ES-SB3) and gluing operation(ID No. ES-GO) are using both non- continuous and continuous coaters. The Permittee shall demonstrate that only compliant thinners are used and that all stains,washcoats, sealers, topcoats, basecoats, and enamels; are compliant, as applied,in accordance with 40 CFR 63.804(g)(2) for non-continuous coaters and 40 CFR 63.804(g)(3) for continuous coaters. iii. Performance Test Method -EPA Method 311 [Appendix A of 40 CFR Part 63] shall be used to determine the VHAP content of liquid coatings in accordance with 40 CFR 63.805(a). iv. Recordkeeping Requirements - The Permittee shall keep records in accordance with 40 CFR 63.806(a) following the applicability criteria in 40 CFR 63.800(d), 40 CFR 63.804(g)(2), 40 CFR 63.806(b)(1) and (b)(2), 40 CFR 63.806(h), 40 CFR 63.806(1), and 40 CFR 63.8060). V. Reporting Requirements - The Permittee shall submit the compliance stats report to the Regional Supervisor by in accordance with 40 CFR 63.804(f)(7) and 40 CFR 63.807(b). The Permittee shall submit semi-annual reports to the Regional Supervisor in accordance with 40 CFR 63.804(g)(7) and 40 CFR 63.807(c). The Permittee shall follow the reporting requirements in 40 CFR 63.807(a) following the applicability criteria in 40 CFR 63.800(d). Permit No. 02815R15 Page 7 AOS2: Facility Averaging Option vi. Emission Limits - The Permittee shall comply with all provisions of 40 CFR 63.802(a)(1) and 63.804(a)(1) as applicable to the finishing operations washoff tanks (ID Nos. ES-WT2 and ES-WTI), spray booths (ID Nos. ES- SB5, ES-SB6, ES-SB4, ES-SB7, ES-SB2,ES-SB1, ES-SB9, ES-S138 and ES-SB3) and gluing operation(ID No. ES-GO). The weighted average VHAP content across all coatings, as applied,shall not exceed 1.0 kg VHAP per kg solids. vii. Compliance Procedures and Monitoring Requirements -The Permittee shall demonstrate that the monthly average VHAP content for all finishing materials used at the facility is no greater than 1.0 kg VHAP per kg solids, as applied, in accordance with 40 CFR 63.803(g)(1). viii. Performance Test Method- EPA Method 311 [Appendix A of 40 CFR Part 63] shall be used to determine the VHAP content of liquid coatings in accordance with 40 CFR 63.805(a). ix. Recordkeeping Requirements -Permittee shall keep records in accordance with 40 CFR 63.806(a) following the applicability criteria in 40 CFR 63.800(d), 40 CFR 63.804(g)(1), 40 CFR 63.806(b)(1) and (b)(2), 40 CFR 63.806(c), 40 CFR 63.806(h), 40 CFR 63.806(i), and 40 CFR 63.8060). X. Reporting Requirements -The Permittee shall submit the compliance status report to the Regional Supervisor by in accordance with 40 CFR 63.804(f)(7) and 40 CFR 63.807(b). The Permittee shall submit semi-annual reports to the Regional Supervisor in accordance with 40 CFR 63.804(g)(7) and 40 CFR 63.807(c). The Permittee shall follow the reporting requirements in 40 CFR 63.807(a) following the applicability criteria in 40 CFR 63.800(d). h. Cleaning Operations - i. Emission Limits - The Permittee shall comply with the limits of 40 CFR 63.802(a)(3) applicable to the strippable spray booth operations washoff tanks (ID Nos. ES-WT2 and ES-WTI), spray booths (ID Nos. ES-S135, ES- SB6, ES-SB4, ES-SB7, ES-SB2, ES-SB1, ES-SB9, ES-S138 and ES-S133) and gluing operation(ID No. ES-GO) as detailed in the following table: _.:. Regulated Material Emission Limitation stoppable spray booth coatings08 lb VOCTper lb solids,as applied ii. Compliance Procedures and Monitoring Requirements - When the emission source is using foam and other contact adhesives, the Permittee shall Permit No. 02815RI5 Page 8 demonstrate that only compliant adhesives are used in accordance with 40 CFR 63.804(g)(5). iii. Performance Test Method-EPA Method 311 [Appendix A of 40 CFR Part 63] shall be used to determine the VHAP content of liquid coatings in accordance with 40 CFR 63.805(a). iv. Recordkeeping Requirements - The Permittee shall keep records in accordance with 40 CFR 63.806(a) following the applicability criteria in 40 CFR 63.800(d), 40 CFR 63.806(b)(1) and(b)(3),40 CFR 63.806(h), 40 CFR 63.806(i), and 40 CFR 63.8060). V. Reporting Requirements -The Permittee shall submit the compliance status report to the Regional Supervisor by in accordance with 40 CFR 63.804(f)(7) and 40 CFR 63.807(b), The Permittee shall submit semi-annual reports to the Regional Supervisor in accordance with 40 CFR 63.804(g)(1) and 40 CFR 63.807(c). The Permittee shall follow the reporting requirements in 40 CFR 63.807(a) following the applicability criteria in 40 CFR 63.800(d). i. Contact Adhesive Operations - i. Emission Limits - The Permittee shall comply with all provisions of 40 CFR 63.802(a)(2) and 63.804(b) and (c) as applicable to the contact adhesive operations washoff tanks (ID Nos. ES-WT2 and ES-WTI), spray booths(ID Nos. ES-SB5, ES-SB6, ES-SB4, ES-SB7, ES-S132, ES-SB 1, ES-SB9, ES- SB8 and ES-SB3) and gluing operation(ID No. ES-GO) as detailed in the following table: ...., Regulated Material Emission Limitation foam contact adhesives used in products which meet flammability requirements 1.8 lb VHAP I er California Technical Bulletin 116, 117, or 133,the Business and Institutional per lb solids, as Furniture Manufacturers Association's (BIFMA's) X5.7, UFAC flammability applied testing, or any similar requirements from local, State, or Federal fire regulatory agencies all other contact adhesives 11.0 lb VHAP/lb solids, as applied ii. Compliance Procedures and Monitoring Requirements -When the washoff tanks (ID Nos. ES-WT2 and ES-WTI), spray booths (ID Nos. ES-SB5, ES- SB6, ES-SB4, ES-SB7,ES-SB2, ES-SB1, ES-SB9, ES-SB8 and ES-SB3) and gluing operation (ID No. ES-GO) is using foam and other contact adhesives. The Permittee shall demonstrate that only compliant thinners are Permit No. 02815R15 Page 9 used and that all stains, washcoats, sealers,topcoats,basecoats, and enamels, are compliant, as applied, in accordance with 40 CFR 63.804(g)(5). iii. Performance Test Method -EPA Method 311 [Appendix A of 40 CFR Part 63] shall be used to determine the VHAP content of liquid coatings in accordance with 40 CFR 63.805(a). iv. Recordkeeping Requirements - The Permittee shall keep records in accordance with 40 CFR 63.806(a) following the applicability criteria in 40 CFR 63.800(d), 40 CFR 63.806(b)(1) and(b)(2),40 CFR 63.806(h), 40 CFR 63.806(i), and 40 CFR 63.8060). V. Reporting Requirements -The Permittee shall submit the compliance status report to the Regional Supervisor by in accordance with 40 CFR 63.804(f)(5) and 40 CFR 63.807(b). The Permittee shall submit semi-annual reports to the Regional Supervisor in accordance with 40 CFR 63.804(g)(5) and 40 CFR 63.807(c). The Permittee shall follow the reporting requirements in 40 CFR 63.807(a) following the applicability criteria in 40 CFR 63.800(d). j. Formaldehyde Requirements - The permittee shall comply with one of the following two options by November 21, 2014 and thereafter: i. Option#1 (400 pounds formaldehyde limit per rolling 12 month period) - A. Emissions Limits - In accordance with 40 CFR 63.802(a) and (b), limit total formaldehyde (Ftotal) use in coatings and contact adhesives to no more than 400 pounds per rolling 12 month period. B. Compliance Procedures and Monitoring Requirements - In accordance with 40 CFR 63.804(h),calculate total formaldehyde emissions from all finishing materials and contact adhesives used at the facility using Equation 5 and maintain a value of Ftotal no more than 400 pounds per rolling 12 month period. C. Recordkeeping Requirements - In accordance with 40 CFR 63.806(b), the Permittee shall keep records of the formaldehyde content, in pounds per gallon, as applied, of each finishing material and contact adhesive subject to the emission limits of 40 CFR 63.802(a) and (b). D. Reporting Requirements -The Permittee shall submit semi-annual reports to the Regional Supervisor in accordance with 40 CFR 63.807(c). Permit No. 02815RI5 Page 10 ii. Option#2 (CPDS < 1.0%by weight formaldehyde) - A. Emissions Limits - In accordance with 40 CFR 63.802(a) and(b), use coatings and contact adhesives only if they are low-formaldehyde coatings and adhesives, in any wood furniture manufacturing operations.Low formaldehyde means,in the context of a coating or contact adhesive, a product concentration of less than or equal to 1.0 percent formaldehyde by weight, as described in a certified product data sheet for the material. B. Compliance Procedures and Monitoring Requirements - In accordance with 40 CFR 63.804(h),demonstrate compliance by use of coatings and contact adhesives only if they are low formaldehyde coatings and contact adhesives maintaining a certified product data sheet for each coating and contact adhesive used and submitting a compliance certification with the semi-annual report. C. Recordkeeping Requirements - In accordance with 40 CFR 63.806(b), the Permittee shall keep a certified product data sheet for each coating and contact adhesive used. D. Reporting Requirements -The Permittee shall submit semi-annual reports to the Regional Supervisor in accordance with 40 CFR 40 CFR 63.807(c) and 40 CFR 63.804(h).The compliance certification shall state that low-formaldehyde coatings and contact adhesives, as applicable, have been used each day in the semiannual reporting period or should otherwise identify the periods of noncompliance and the reasons for noncompliance. An affected source is in violation of the standard whenever a coating or contact adhesive that is not low- formaldehyde, as demonstrated by records or by a sample of the coating or contact adhesive, is used.Use of a noncompliant coating or contact adhesive is a separate violation for each day the noncompliant coating or contact adhesive is used.The compliance certification shall be signed by a responsible official of the company that owns or operates the affected source. 9. CONTROL AND PROHIBITION OF ODOROUS EMISSIONS- As required by 15A NCAC 2D .1806 "Control and Prohibition of Odorous Emissions" 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. Permit No. 02815R15 Page I 10. Federal and State Rules Applicable to Sources Exempted from Air Permitting Requirements - Your facility is subject to the following federal and state rules: 40 CFR 63 -NESHAP/GACT -- Subpart CCCCCC --Gasoline Dispensing =Facilities 40 CFR 63 -NESHAP/GACT -- Subpart ZZZZ -- Stationary Reciprocating ?Internal Combustion Engines which are applicable to some of the emission sources at your facility listed on the "Insignificant/Exempt Activities" list attached to this permit. The purpose of this permit condition is to inform you of your compliance obligations to these applicable rules as they are enforceable. B. GENERAL CONDITIONS AND LIMITATIONS I. In accordance with G.S. 143-215.108(c)(1), TWO COPIES OF ALL DOCUMENTS REPORTS,TEST DATA, MONITORING DATA, NOTIFICATIONS,REQUESTS FOR RENEWAL, AND ANY OTHER INFORMATION REQUIRED BY THIS PERMIT shall be submitted to the: Regional Supervisor North Carolina Division of Air Quality Mooresville Regional Office 610 East Center Avenue, Suite 301 Mooresville,NC 28115 704-663-1699 For identification purposes, each submittal should include the facility name as listed on the permit, the facility identification number, and the permit number. 2. RECORDS RETENTION REQUIREMENT - In accordance with 15A NCAC 2D .0605, any records required by the conditions of this permit shall be kept on site and made available to DAQ personnel for inspection upon request. These records shall be maintained in a form suitable and readily available for expeditious inspection and review. These records must be kept on site for a minimum of 2 years, unless another time period is otherwise specified. 3. ANNUAL FEE PAYMENT - Pursuant to 15A NCAC 2Q .0203(a), the Permittee shall pay the annual permit fee within 30 days of being billed by the DAQ.Failure to pay the fee in a timely manner will cause the DAQ to initiate action to revoke the permit. Permit No. 02815R15 Page 12 4. EQUIPMENT RELOCATION- In accordance with 15A NCAC 2Q .0301, anew air permit shall be obtained by the Permittee prior to establishing, building, erecting,using, or operating the emission sources or air cleaning equipment at a site or location not specified in this permit. 5. REPORTING REQUIREMENT - In accordance with 15A NCAC 2Q .0309, any of the following that would result in previously unpermitted, new, or increased emissions must be reported to the Regional Supervisor, DAQ: a. changes in the information submitted in the application regarding facility emissions; b. changes that modify equipment or processes of existing permitted facilities; or c. changes in the quantity or quality of materials processed. If appropriate, modifications to the permit may then be made by the DAQ to reflect any necessary changes in the permit conditions. In no case are any new or increased emissions allowed that will cause a violation of the emission limitations specified herein. 6. In accordance with 15A NCAC 2Q .0309, this permit is subject to revocation or modification by the DAQ upon a determination that information contained in the application or presented in the support thereof is incorrect, conditions under which this permit was granted have changed, or violations of conditions contained in this permit have occurred. In accordance with G.S. 143-215.108(c)(1), the facility shall be properly operated and maintained at all times in a manner that will effectuate an overall reduction in air pollution. Unless otherwise specified by this permit, no emission source may be operated without the concurrent operation of its associated air cleaning device(s) and appurtenances. 7. CHANGES NOT REQUIRING PERMIT REVISIONS - Pursuant to 15A NCAC 02Q .0318, changes to the facility that are not exempt pursuant to 15A NCAC 02Q .0102 may be allowed without first modifying an applicable air permit if the change(s)meet(s) the requirements of 15A NCAC 02Q .0318(b)(1) through(b)(5) and the owner or operator notifies the Director in writing, using forms provided by the Division, seven calendar days before the change is made. Within 10 business days of receipt of the notice,the Division shall notify the owner or operator of its determination of whether the change(s) meet(s) the requirements of 15A NCAC 02Q .0318(b)(1) through(b)(5). 8. In accordance with G.S. 143-215.108(c)(1), this permit is nontransferable by the Permittee. Future owners and operators must obtain a new air permit from the DAQ. 9. In accordance with G.S. 143-215.108(c)(1), this issuance of this permit in no way absolves the Permittee of liability for any potential civil penalties which may be assessed for violations of State law which have occurred prior to the effective date of this permit. Permit No. 02815R15 Page 13 10. In accordance with G.S. 143-215.108(c)(1), this permit does not relieve the Permittee of the responsibility of complying with all applicable requirements of any Federal, State, or Local water quality or land quality control authority. 11. In accordance with 15A NCAC 2D .0605, reports on the operation and maintenance of the facility shall be submitted by the Permittee to the Regional Supervisor,DAQ at such intervals and in such form and detail as may be required by the DAQ. Information required in such reports may include, but is not limited to,process weight rates, firing rates, hours of operation, and preventive maintenance schedules. 12. A violation of any term or condition of this permit shall subject the Permittee to enforcement pursuant to G.S. 143-215.114A, 143-215.114B, and 143-215.114C, including assessment of civil and/or criminal penalties. 13. Pursuant to North Carolina General Statute 143-215.3(a)(2), no person shall refuse entry or access to any authorized representative of the DAQ who requests entry or access for purposes of inspection, and who presents appropriate credentials,nor shall any person obstruct,hamper, or interfere with any such representative while in the process of carrying out his official duties. Refusal of entry or access may constitute grounds for permit revocation and assessment of civil penalties. 14. In accordance with G.S. 143-215.108(c)(1), this permit does not relieve the Permittee of the responsibility of complying with any applicable Federal, State, or Local requirements governing the handling, disposal, or incineration of hazardous, solid, or medical wastes, including the Resource Conservation and Recovery Act(RCRA)administered by the Division of Waste Management. 15. PERMIT RETENTION REQUIREMENT - In accordance with 15A NCAC 2Q .0110, the Permittee shall retain a current copy of the air permit at the site. The Permittee must make available to personnel of the DAQ, upon request, the current copy of the air permit for the site. 16. CLEAN AIR ACT SECTION 112(r) REQUIREMENTS -Pursuant to 15A NCAC 2D .2100 "Risk Management Program," if the Permittee is required to develop and register a risk management plan pursuant to Section 112(r) of the Federal Clean Air Act, then the Permittee is required to register this plan with the USEPA in accordance with 40 CFR Part 68. 17. PREVENTION OF ACCIDENTAL RELEASES - GENERAL DUTY -Pursuant to Title I Part A Section 112(r)(1) of the Clean Air Act "Hazardous Air Pollutants - Prevention of Accidental Releases -Purpose and General Duty," although a risk management plan may not be required, if the Permittee produces,processes, handles,or stores any amount of a listed hazardous substance, the Permittee has a general duty to take such steps as are necessary to prevent the accidental release of such substance and to minimize the consequences of any release. This condition is federally-enforceable only. Permit No. 02 815R 15 Page 14 18. GENERAL EMISSIONS TESTING AND REPORTING REQUIREMENTS - If emissions testing is required by this permit, or the DAQ, or if the Pennittee submits emissions testing to the DAQ in support of a permit application or to demonstrate compliance, the Permittee shall perform such testing in accordance with 15A NCAC 2D .2600 and follow all DAQ procedures including protocol approval, regional notification,report submittal, and test results approval. Additionally, in accordance with 15A NCAC 2D .0605, the Permittee shall follow the procedures for obtaining any required audit sample and reporting those results. Permit issued this the 26th of August, 2022. NORTH CAROLINA ENVIRONMENTAL MANAGEMENT COMMISSION Melinda Wolanin Regional Supervisor By Authority of the Environmental Management Commission Air Permit No. 02815R15 ATTACHMENT to Permit No. 02815R15, August 26, 2022 Insignificant/Exempt Activities ._... ._.......... ..... _____._.,. a--.- Source Exemption Source of Source of Title V Regulation TAPs? Pollutants? IES-1 - diesel-fired pump (220 hp) for the fire suppression system (subject to NESHAP 12Q .0102 (h)(5) I Yes Yes _Subpart ZZZZ) ..._........... .......... ........... I-GAS - gasoline storage tank(600 gallon ,capacity) subject to NESHAP Subpart 2Q .0102 (g)(4) No No CCCCCC 1. Because an activity is exempted from being required to have a permit or permit modification does not mean that the activity is exempted from an applicable requirement or that the owner or operator of the source is exempted from demonstrating compliance with any applicable requirement. 2. When applicable, emissions from stationary source activities identified above shall be included in determining compliance with the permit requirements for toxic air pollutants under 15A NCAC 2D .1100 "Control of Toxic Air Pollutants" or 2Q .0711 "Emission Rates Requiring a Permit." 3. Sample permit conditions showing the regulatory requirements for exempt sources subject to NESHAP,NSPS, and NCAC rules may be found here: ht!ps:Hdeq.nc.gov/agpermitconditions http s://nceonne ct.sharepoint.com/sites/DAQ-MRO/Counties/ALEXAND EP,/00005/R 15_RE V IEW.doex NORTH CAROLINA DIVISION OF AIR QUALITY Region: Mooresville Regional Office County: Alexander Application Review NC Facility ID: 0200005 Inspector's Name: Sandra Sherer Date of Last Inspection: 06/02/2021 Compliance Code: W/Violation-procedures Facility Data Permit Applicability(this application only) Applicant(Facility's Name): Mitchell Gold Company SIP: Y NSPS: N Facility Address: NESHAP:Y Mitchell Gold Company PSD: N 375 Sharpe Lane PSD Avoidance: N Hiddenite,NC 28636 NC Toxics: N 112(r): N SIC:2512/Upholstered Household Furniture Other:N/A NAILS: 337121 /Upholstered Household Furniture Manufacturing Facility Classification: Before: Proh. Small After: Small Fee Classification:Before: Small After: Small Contact Data Application Data Facility Contact Authorized Contact Technical Contact Application Number: 0200005.22A Rick Ashley Rick Ashley Rick Ashley Date Received: 06/06/2022 Operations Manager Operations Manager Operations Manager Application Type: Renewal (828)632-9200 (828)632-9200 (828)632-9200 Application Schedule: State 135 One Comfortable 135 One Comfortable 135 One Comfortable Existing Permit Data Place Place Place Existing Permit Number: 02815/R14 Taylorsville,NC 28681 Taylorsville,NC 28681 Taylorsville,NC 28681 Existing Permit Issue Date: 09/24/2014 Existing Permit Expiration Date: 08/31/2022 Review Engineer: Jennifer Manning Comments/Recommendations: Issue 02815/R15 Review Engineer's Si nature: Dat : Permit Issue Date: 1 Permit Expiration Date: 1. Purpose of Application: Application is made for renewal of the air permit. 2. Application Chronology: The application was received on June 6, 2022. The acknowledgment letter was sent on June 13, 2022 requesting a signed certification form. The certification form was received on July 11, 2022. Mitchell Gold Company Permit Review Page No. 2 3. New or Modified Equipment: The following air emission sources and/or control devices are to be deleted from the Air Permit: Emission F Emission Source i Control Control System Source ID Description System ID Description ES-B 1 (NSPS) No. 2 fuel oil/natural gas-fired �� � "�"�� ,boiler(25.2 million Btu per hour N/A N/A ;maximum heat input) ....... ... ..�..�.. ..,. ,...,,......... .............. E ........... -------- iES-DO1 (NESHAP), two (2)steam-heated drying ovens N/A N/A ES-D02 (NESHAP) 4. The Company must comply with the following EMC Regulations for this application. The Permittee shall comply with the following Environmental Management Commission Regulations, including Title 15A North Carolina Administrative Code(NCAC). Existing regulations addressed in previous reviews and/or inspection reports will only be discussed below, as indicated in bold, if affected by this application, deemed necessary by this permit writer,or if regulatory changes have been made. 0 15A NCAC 2D .0512, "Particulates from Wood Products Finishing Plants" 0 15A NCAC 2D .0521, "Control of Visible Emissions" 0 15A NCAC 2D .0535,"Excess Emissions Reporting and Malfunctions" 0 15A NCAC 2D .0540, "Particulates from Fugitive Non-process Dust Emission Sources" 0 15A NCAC 21) .1111, (40 CFR Part 63, Subpart JJ) 0 15A NCAC 2D .1111, (40 CFR Part 63, Subpart ZZZZ) 0 15A NCAC 2D .1111, (40 CFR Part 63, Subpart CCCCCC) 0 15A NCAC 2D .1806"Control and Prohibition of Odorous Emissions" a. 21) .1111,"National Emission Standards for Hazardous Air Pollutants, Subpart CCCCCC" The gasoline storage tank(I-GAS) is considered a gasoline dispensing facility(gdf)at an area source with a throughput of less than 10,000 gallons of gasoline per month. This facility must operate and maintain the tank and dispensing equipment in a manner consistent with safety and good air pollution control practices for minimizing emissions in 63.11116(a). To comply with the requirements in 63.11116(a),this facility must not allow gasoline to be handled in a manner that would result in vapor releases to the atmosphere for extended periods of time,including minimizing gasoline spills and cleaning them up as quickly as practicable, covering all open gasoline containers and all gasoline storage tank fill-pipes with a gasket seal when not in use, and must minimize the amount of gasoline sent to open waste collection systems that collect and transport gasoline to reclamation and Mitchell Gold Company Permit Review Page No. 3 recycling devices such as oil/water separators. This facility is not required to submit notifications or reports in 63.11116(b). However,records must be available to document the gasoline throughput within 24 hours of a request. Sandy Sherer inspected the facility on June 2, 2021 and found that this company appeared to be complying with all requirements. Therefore,the facility is considered to be in compliance with 2D. 1111, Subpart 6C. b. 15A NCAC 2D .1806 "Control and Prohibition of Odorous Emissions" The facility shall not operate 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. The facility was inspected on June 2,2021 by Sandy Sherer of this office, and the inspection report did not note any objectionable odors beyond the facility's boundary at the time of the inspection while operating similar sources.In addition,this office has not received any complaints regarding odors from this facility. Therefore,the facility is considered to be in compliance with 2D .1806. 5. NSPS,NESHAPS, PSD,RACT, and 112(r)Applicability: The facility is not subject to the requirements of NSPS, PSD, FACT, or 112(r). Based on this facility's potential emissions shown below,this facility is not a PSD major source. a. NSPS There are no sources subject to NSPS. b. NESHAPS The facility is subject to Subpart JJ, the furniture MACT. This MACT only applies to major sources of HAPs, however, since the facility was subject to this regulation when they were a Title V facility and considered a major source of HAPs,they will continue to be subject to it since this MACT is "once in, always in". Subpart ZZZZ -Stationary Reciprocating Internal Combustion Engines (RICE)applies to the diesel-fired pump for the fire suppression system(ID No. IES-1). The gasoline storage tank is subject to 40 CFR 63, Subpart CCCCCC. C. PSD This renewal does not affect PSD increment tracking. Mitchell Gold Company Permit Review Page No. 4 d. RACT This facility is located in an area that is either in attainment or unclassifiable for all pollutants. e. 112(r) Based on the permit application,the facility is not subject to 112(r). 6. Facility-Wide Air Toxics: This facility has not yet triggered toxics. The facility has had modifications that increased emissions of toxic pollutants. However, it did not trigger the facility into toxics since the modifications only involved sources subject to the furniture MACT, Subpart JJ. All sources subject to that rule are exempt from toxics. This renewal will not affect toxics applicability. 7. Facility Compliance Status: The facility was inspected on June 2, 2021 by Sandy Sherer of this Office. The facility appeared to be in compliance with all the applicable North Carolina Air Quality regulations at the time of this inspection. S. Facility Emissions Review: Based on the potential emissions shown below,this facility is classified as a small facility. The facility was previously classified as prohibitory small,but the emissions are now low enough for the facility to be considered a true small. Facility Emissions Summary Pollutant Potential Emissions Potential Emissions After Controls/Limitations Before Controls/Limitations TSP 0.12 0.12 PM10 0.12 0.12 S02 0.22 0.22 NOx 1.71 1.71 VOC 57.12 57.12 CO 0.37 0.37 Highest HAP 3.88 3.88 (toluene) Total HAP 5.81 5.81 Mitchell Gold Company Permit Review Page No. 5 Finishing operations Potential VOC and HAP emissions were determined by ratioing the actual emissions reported in the 2021 Emissions Inventory to 8760 hours per year. The particulate emissions from these sources are considered negligible. The facility operated 8 hrs/day, 5 days/wk, 50 wks/yr (2,000 hrs/yr). VOC Emissions (13.01 tons/yr VOCs)x(8,760 hr/2,000 hr)=56.98 tpy VOC Total HAP Emissions (2,653.94 lb/yr HAPs) x(8,760 hr/2,000 hr)x(1 ton/2,000 lb)= 5.81 tpy HAPs Largest HAP (toluene) (1,773.08 lb/yr)x(8,760 hr/2,000 hr)x(1 ton/2,000 lb)=3.88 tpy toluene Diesel-fired pump for the fire suppression system See the attached DAQ spreadsheet for emissions from diesel-fired pump for the fire suppression system (ID No. IES-1, 220 hp). The potential emissions are based on 500 hours of operation per year(memo from Laura Butler dated May 7, 1996). Facility-Wide Potential Emissions Before and After Controls PM PM10 S02 NOx CO CO2e VOC Total HAPs Largest HAP* (tpy) (tpy) (tpy) (tpy) (tpy) (tpy) (tpy) (tPY) (tpy) Finishing Operations 0 0 0 0 0 0 56.98 5.81 3.88 Fire Pump 0.12 0.12 0.22 1.71 0.37 63 0.14 0.0015 0.00016 otals 0.12 0.121.7 0.37 63 57.12 5.181 3.88 *toluene 9. Stipulation Review: ® The following conditions were removed since the boiler has been removed from the permit: 0 15A NCAC 2D .0503, "Particulates from Fuel Burning Indirect Heat Exchangers" 0 15A NCAC 2D .0516, "Sulfur Dioxide Emissions from Combustion Sources" 0 15A NCAC 2D .0524, (40 CFR Part 60, Subpart Dc) o Avoidance of 15A NCAC 2D .1111, "Maximum Achievable Control Technology" (40 CFR 63 Subpart JJJJJJ) ® Condition 15A NCAC 2D .1806 "Control and Prohibition of Odorous Emissions" was added to the permit per DAQ policy. Mitchell Gold Company Permit Review Page No. 6 ® A,condition 2Q .0102 for"Federal and State Rules Applicable to Sources Exempted from Air Permitting Requirements"was added to indicate that an exempt source is subject to NESHAP, Subpart CCCCCC. ® Based on the potential emissions for VOCs and HAPs, this facility will be reclassified from a Prohibitory Small to a Small facility; therefore, stipulation 2Q .0803 will be deleted from the permit. 10. Changes to the exempt sources list- A gasoline storage tank was added: ........... Source 'I-GAS -gasoline storage tank(600 gallon capacity) subject to NESHAP 'Subpart CCCCCC 11. Control Device Evaluation: N/A 12. Emission Inventory Review: The Emission Inventory was submitted on June 6,2022. The certification form was received on July 11, 2022. The review was completed on August 18, 2022. 13. Conclusions,Comments, and Recommendations: MRO will issue Air Pen-nit No. 02 815 R 15 to Mitchell Gold Company,Alexander County,North Carolina, JAM GAS&DIESEL INTERNAL COMBUSTION ENGINES EMISSIONS CALCULATOR REVISION S 6/22/2015-OUTPUT SCREEN Instructions: Enter emission source/facility data on the"INPUT"tab/screen. The air emission results and summary of input data are A`PA viewed/printed on the"OUTPUT"tab/screen.The different tabs are on the bottom of this screen. This spreadsheet is for your use only and should be used with caution.DENR does not guarantee the accuracy of the information contained. This spreadsheet is subject to continual revision and updating, it is your responsibility to be aware of the most current information available. NCDENR DENR is not responsible for errors or omissions that may be contained herein, r 7O y- 1 a,,_ COMPANY: Mitchel)Gold FACILITY ID NO �200005 PERMIT NUMBER: 02815R15 - EMISSION SOURCE DESCRIPTION: 220 HP POWER OUTPUT DIESEL INTERNAL COMBUSTION ENGINE FACILITY CITY: Hiddenite EMISSION SOURCE ID NO.: IES-1 FACILITY COUNTY: Alexander SPREADSHEET PREPARED BY: JAM POLLUTANT CONTROL EFF. ACTUAL THROUGHPUT 0 GALS COMBUSTED FUEL HEATING VALUE:1 1460001 BTU/GAL PM 0 REQUESTED ANNUAL LIMITATION 500 HRS OF OPERATION CALCULATIONS: 0.1381 mm BTU/GAL PM10 0 SULFUR CONTENT OF DIESEL FUEL(%) 1 PM2.5 0 METHOD USED TO COMPUTE ACTUAL GHG EMISSIONS: TIER 1: DEFAULT HIGH NEAT VALUE AND DEFAULT EF S02 0 CARBON CONTENT USED FOR GHGS(kg C/gal): CARBON CONTENT NOT USED FOR CALCULATION TIER CHOSEN NOX 0 CO 0 VOC 0 i:: .,CRtC,R�'':g1RPt)LL ,ANT€�t45lt?N�ityFORitt'A�'EQN ACTUAL EMISSIONS POTENTIAL EMISSIONS EMISSION FACTOR (AFTER CONTROLS I LIMITS) (BEFORE CORTROLMIMITS) (-RCONTROLB&IMITS) Hdhp-hr AIR POLLUTANT EMITTED Ib/hr tons/yr Ib1hr tons/yr Ib/hr ions/yr uncontrolled PARTICULATE MATTER PM 0.48 0.00 0.48 2.12 0.48 0.12 2.20E-03 PARTICULATE MATTER<10 MICRONS(PMIB) 0.48 0.00 0.48 2.12 0.48 0.12 2.20E-03 PARTICULATE MATTER<2.5 MICRONS(PM2.5) 0.48 0.00 0.48 2.12 0.48 0.12 2.20E-03 SULFUR DIOXIDE(S02) 0.89 0.00 0.89 3.90 0.89 0.22 4.05E-03 NITROGEN OXIDES(NOx) &82 0.00 6.82 29.87 6.82 1.71 3.10E-02 CARBON MONOXIDE CO 1.47 0.00 1.47 & 1.47 0.37 6.66E-03 VOLATILE ORGANIC COMPOUNDS(VOC) 0.55 0.00 0.55 2A2 0.55 0.14 2.51 E-03 y ACTUALEMISSIONS POTENTIAL EMISSIONS EMISSION FACTOR CAS 0MRCORTROLSILIM-) (BEFORE CORTROLSIIIMFFE) WMRCONTROLSM1IMRB) Ih/hp-hr TOXIC/HAZARDOUS AIR POLLUTANT NUMBER Ib/hr Ib/yr Ib/hr Ib/yr Ib/hr Ib/yr uncontrolled Acetaldehyde(H,T) 75070 1.18E-03 0.00E+00 1.18E-03 1.03E+01 1.18E-03 5.91E-01 5.37E-06 Acrolein(H,T) 107028 1.42E-04 0.00E+00 1.42E-04 1.25E+00 1.42E-04 7.12E-02 6.48E-07 Arsenic unlisted compounds(H,T) ASC-Other 6.16E-06 0.00E+00 6.16E-06 5.40E-02 6.16E-06 3.08E-03 2.80E-08 Benzene(H,T) 71432 1.44E-03 O.GOE+00 1.44E-03 1.26E+01 1.44E-03 7.18E-01 6.53E-06 Benzo(a)pyrene(H,T) 50328 2.90E-07 O.o0E+00 2.90E-07 2.54E-03 2.90E-07 1.45E-04 1.32E-09 Beryllium metal(unreacted)(H, 7440417 4.62E-06 O.o0E+00 4.62E-06 4.05E-02 4.62E-06 2.31 E-03 2.10E-08 1,3-Butadiene(H,T) 106990 6.02E-05 O.00E+00 6.02E-05 5.27E-01 6.02E-05 3.01E-02 2.74E-07 Cadmium metal(elemental unreacted)(H,T) 7440439 4.62E-06 0.00E+00 4.62E-06 4.05E-02 4.62E-06 1 2.31E-03 2.10E-08 Chromic Acid I) H,T) 7738945 4.62E-06 0.00E+00 4.62E-06 4.05E-02 4.62E-06 1 2.31E-03 2.10E-08 Formaldehyde(H,T) 50000 1.82E-03 0.00E+00 1.82E-03 1.59E+01 1.82E-03 9.09E-01 8.26E-06 Lead unlisted compounds(H) PBC-Other 1.39E-05 0.00E+00 1.39E-05 1.21E-01 1.39E-05 6.93E-03 6.30E-08 Manganese unlisted compounds(H,T) MNC-Other 9.24E-06 0.00E+00 9.24E-06 8.09E-02 9.24E-06 4.62E-03 4.20E-08 Mercury vapor(H, 7439976 4.62E-06 O.00E+00 4.62E-06 4.05E-02 4.62E-06 2.31 E-03 2.10E-08 Napthalene(H) 91203 1.31E-04 O.00E+00 1.31E-04 1.14E+00 1.31E-04 6.53E-02 5.94E-07 Nickel metal(H,T) 7440020 4.62E-06 0.00E+00 4.62E-06 4.05E-02 4.62E-06 2.31 E-03 2.10E-08 Selenium compounds(H) SEC 2.31E-05 0.00E+00 2.31E-05 2.02E-01 2.31E-05 1.16E-02 1.05E-07 Toluene(H,T) 108883 6.30E-04 0.00E+00 6.30E-04 5.52E+00 6.30E-04 3.15E-01 2.86E-06 Xylene H,T) 1330207 4.39E-04 0.00E+00 4.39E-04 3.84E+00 4.39E-04 2.19E-01 2.00E-06 Highest HAP(Formaldehyde) 50000 1.82E-03 0.00E+00 1.82E-03 1.59E+01 1.82E-03 9.09E-01 8.26E-06 Total HAPs 5.91E-03 0.00E+00 5.91E-03 5.16E+01 5.91E-03 I 2.96E+00 EXPECTED ACTUAL EMISSIONS AFTER CONTROLS/LIMITATIONS EMISSION FACTOR Ib/hp-hr TOXIC AIR POLLUTANT CAS Num. Ib/hr lb/day Ib/r uncontrolled _ Acetaldehyde H,T) 75070 1.18E-03 2.83E-02 5.91E-01 5.37E-06 Acrolein(H,T) 107028 1.42E-04 3.42E-03 7.12E-02 6.48E-07 Arsenic unlisted compounds(H, ASC-Other 6.16E-06 1.48E-04 3.08E-03 2.80E-08 Benzene H,T) 71432 1.44E-03 3.45E-02 7.18E-01 6.53E-06 Benzo(a)pyrene(H,T) 50328 2.90E-07 6.95E-06 1.45E-04 1.32E-09 Beryllium metal(unreacted)(H,T) 7440417 4.62E-06 1.11E-04 2.31E-03 2.10E-08 1,3-Butadiene(H,T) 106990 6.02E-05 1.45E-03 3.01E-02 2.74E-07 Cadmium metal(elemental unreacted)(H,T) 7440439 4.62E-06 1.11E-04 2.31E-03 2.10E-08 soluble chromate compounds,as chromium(VI)equivalent SOLCR6 4.62E-06 1.11E-04 2.31E-03 2.10E-08 Formaldehyde H,T) 50000 1.82E-03 4.36E-02 9.09E-01 8.26E-06 Manganese unlisted compounds(H,T) MNC-Other 9.24E-06 2.22E-04 4.62E-03 4.20E-08 Mercury vapor(H,T) 7439976 4.62E-06 1.11E-04 2.31E-03 2.10E-08 Nickel metal(H,T) 7440020 4.62E-06 1.11E-04 2.31E-03 2.10E-08 Toluene(H,T) 108883 6.30E-04 1.51E-02 3.15E-01 2.86E-06 Xylene(H,T) 1330207 4.39E-04 1.05E-02 2.19E-01 2.00E-06 - TlcrvausctNnv �tucrlEE�+rE,rrrEu �a g ,ar�� (+fiTEEp� c Ere%(rEE > Df¢Tl�.LATF#H'- ACTUAL EMISSIONS POTENTIAL EMISSIONS-utilize max heat input capacity or horsepower and EPA MRR Emission Requested Emission Limitation-utilize GREENHOUSE GAS EMITTED EPA MRR CALCULATION METHOD:TIER 1 Factors requested fuel limit and EPA MRREmission Factors metric tons(r metric tons/r,CO2e short tons/r shod tonsi r short tons/r,CO2e short tons/r short tons/r,CO2e CARBON DIOXIDE(CO2) 0,00 0.00 0.00 1.099.83 1,099,83 62.78 62.78 METHANE(CHq) 0.00E+00 0.00E+00 0.00E+00 4.46E-02 1.12E+00 2.55E-03 6.37E-02 NITROUS OXIDE(N20) 0.00E+00 0.00E+00 O.GOE+00 8.92E-03 2.66E+00 5.09E-04 1.52E-01 TOTAL 0.00 TOTAL 1,103.60 TOTAL 62.99 NOTE: CO2e means CO2 equivalent. NOTE:The DAQ Air Emissions Reporting Online(AERO)system requires short tons be reported.The EPA MRR requires metric tons be reported, NOTE: Do not use greenhouse gas emission estimates from this spreadsheet for PSD(Prevention of Significant Deterioration)purposes. - GAS&DIESEL INTERNAL COMBUSTION ENGINES with power rating of<=600 HP for diesel engines and<=250 HP for gasoline engines EMISSIONS CALCULATOR REVISION S 6/22/2015-INPUT SCREEN Instructions: Enter emission source/facility data on the"INPUT'tab/screen. The air emission results and summary of input data are viewed/printed on the"OUTPUT"tab/screen. The different tabs are on the bottom of this screen. 6 This spreadsheet is for your use only and should be used with caution.DENR does not guarantee the accuracy of the information contained. This spreadsheet is subject to continual revision and updating. It is your responsibility to be aware of the most current information available. DENR is INNIALODENR not responsible for errors or omissions that may be contained herein. FIELDS SELECTIONS COMPANY NAME: ®m®_®Mitchell Gold FACILITY ID NUMBER: __ 200_005 PERMIT NUMBER 02815R15 FACILITY CITY: Hiddenite FACILITY COUNTY: Alexander SPREADSHEET PREPARED BY: JAM EMISSION SOURCE ID NO.: IES-1 RATING and FUEL TYPE 220.Op HP POWER OUTPUT,DIESEL SULFUR CONTENT OF DIESEL FUEL FUEL HEATING VALUE FUEL HEATING VALUE(BTU/GAL): 140,000 BTU/GAL is equal to 0.1400 mm Btu/gal DEFAULT VALUES BY FUEL TYPE(not used for Greenhouse Gas calcs--See below for GHG defaults): 116,485 BTU/GALLON GASOLINE 140,000 BTU/GALLON DIESEL USAGE DATA ACTUALS(GALLONS COMBUSTED OR HRS OF OPERATION) © GALS COMBUSTED REQUESTED ANNUAL LIMITATION 500 HRS OF OPERATION (GALLONS COMBUSTED OR HRS OF OPERATION) ADDITIONAL INFORMATION FOR GREENHOUSE GAS(GHG)EMISSIONS ENTER CALCULATION TIER TIER 1: DEFAULT HIGH HEAT VALUE AND DEFAULT EF from EPA Mandatory Reporting Rule(MRR)Subpart C- www.epa.gov/climatechange/emissions/ghgrulemaking.html NOTE: EF is"Emission Factor" SELECT FUEL TYPE(more detailed fuel type needed for GHGs) DISTILLATE#2 SINCE TIER 3 IS NOT BEING USED, 7.0000 kg Carbon/gal FUEL CARBON CONTENT WILL NOT BE USED HIGH HEAT VALUE(HHV)FOR GHGs FOR TIER 1 and TIER 3,the FUEL HEATING VALUE entered above is overriden with the EPA DEFAULT from Table C-1 of the EPA MRR: GASOLINE(Motor) 0.125 mm Btu/gal DISTILLATE#1 0.139 mm Btu/gal DISTILLATE#2 0.138 mm Btu/gal THIS VALUE WILL BE USED DISTILLATE#4 0,146 mm Btu/gal RESIDUAL#5 0.14 mm Btu/gal RESIDUAL#6 0.15 mm Btu/gal FOR TIER 2,the FUEL HEATING VALUE entered above is used. The value entered must be the annual average HHV of the fuel determined using procedures in the EPA MRR(see 98.33(a)(2)) HHV TO BE USED FOR GHG IS: DEFAULT 0.13B0 n1m THIS VALUE WILL BE USED DISTILLATE#2 HHV OF BtU/gal ROY COOPER Governor ELIZABETH S.BISER Secretary v�- Y� MICHAEL A.ABRACZINSKAS Director NORTH CAROLINAFILL � Environmental Quality CERTIFIED MAIL RETURN RECEIPT REQUESTED 7015 1520 0002 6985 0603 June 13, 2022 Mr. Rick Ashley Operations Manager Mitchell Gold Company 375 Sharpe Road Hiddenite, NC 28636 SUBJECT: Receipt of Permit Application Renewal of Permit No. 02815R14 Application No. 0200005.22A Mitchell Gold Company Facility ID: 0200005, Hiddenite,Alexander County Dear Mr. Ashley: Your air permit application (0200005.22A) for Mitchell Gold Company, located in Alexander County,North Carolina received by this Division on June 6, 2022 has been deemed to be incomplete. Your air permit application request must include the following items: Emissions Inventory Requirement: Your application for renewal did contain the required air emissions inventory submitted via AERO as well as the supporting documentation. However, it did not contain the certification form with the date and time stamp on the top, signed by the authorized official. Your application for renewal is placed on hold until a signed certification form is submitted to our office. North Carolina Department of Environmental Quality I Division of Air Quality Mooresville Regional Office 1 610 East Center Avenue,Suite 301 Mooresville,NC 28115 tv��r.ichtiCl,\hOW704.663.1699 T 1704.663.6040 F �ftpenment a�fnvxpnmental�alftY Mr.Ashley June 13, 2022 Page 2 In summary,this application did not contain all the required elements as indicated above and has not been accepted for processing. This information must be submitted and contain the above requested information. All requested information must be submitted to our office within thirty (30) days or the application may be terminated. REMINDER: DEQ now provides the option for application fees to be paid online with a debit card, credit card or eCheck. If you did not include a check with your application package for the full amount due, you may make payment through the DEQ ePayment website. Please email Jennifer Manning at jennifer.manning@ncdenr.gov with your request to make an ePayment and an email will be sent with details on how to make your payment. If you requested the ePayment option on Form A of your submitted application form, please refer to the email you should have already received. Should you have any questions concerning this matter,please contact Jim Vanwormer at 704-235-2211 or by email at jim.vanworiner@ncdenr.gov. Sincerely, Melinda Wolanin,Regional Supervisor Division of Air Quality, NCDEQ JRV cc: Mooresville Regional Office Files https://nceonnect.sharepoint.com/sites/DAQ-MRO/Counties/ALEY,ANDER/00005/R 15_ACK_20220613.doex i Banning, Jennifer A From: Rick Ashley (MG) <Rick.Ashley@mgbwhome.com> Sent: Monday,July 11, 2022 3:50 PM To: Manning,Jennifer A Cc: Matt Jenkins Subject: [External] RE: Air Quality permit application acknowledgement letter Attachments: Rick Ashley.pdf CAUTION,External email, Do not click links or open attachments unless you verify.Send all suspicious email as an attachment to Re ort Spam. Rick Ashley Operations Manager Mitchell Gold + Bob Williams 135 One Comfortable Place Taylorsville, NC 28681 828.632.9200/c828.455.9049 Mitchel101d +BobWilliams click HERE to see our Summer Catalog We Love What We Do.You Will Too! Click HERE to 'oin our team! Our commitment to LGBTQ+equality and inclusion has been recognized in the Human Right Campaign Foundation's Corporate Equality Index.We're proud to have been awarded one of the Best Places To Work For LGBTQ+ Equality!Along with our LGBTQ+ workforce and entire team,we celebrate this achievement.#CE12022. This electronic communication(including attachments)may contain confidential or attorney privileged information intended only for the use of the named recipient. If you are not the intended recipient,you are prohibited from disseminating,distributing or copying this communication. If you have received this communication in error,please immediately notify us by return message or by telephone at 828.632.9200 and delete this communication from your system.Thank you. From: Manning,Jennifer A<Jennifer.Manning@ncdenr.gov> Sent: Monday,July 11, 2022 3:35 PM To: Rick Ashley(MG) <Rick.Ashley@mgbwhome.com> Cc: Matt Jenkins<Matt.Jenkins@mgbwhome.com> Subject: RE:Air Quality permit application acknowledgement letter Per conversation with Matt, I have downloaded the necessary form. See attached...you only need to print,sign, and mail in the first page.lust cross through Scott's name/email and write yours. Jennifer Manning, EIT(she/her/Ms.) Environmental Engineer/ Permits Coordinator Division of Air Quality North Carolina Department of Environmental Quality 1 704-235-2224 office 'ennifer.mannin ncdenr. ov 610 East Center Avenue Suite 301 Mooresville, NC 28115 DE Frail correspondence to and from this address is sub ec;t to the North Carolina Public Records Law and inay be disclosed to third parties. From: Manning,Jennifer A Sent: Monday,July 11, 2022 9:59 AM To: rLiick.ashlev@mgbwhome.com Cc: matt.jenkins@mgbwhome.com Subject:Air Quality permit application acknowledgement letter My office sent you'a permit acknowledgement letter in response to your application which we received on June 6,2022. Unfortunately,the letter was addressed to 375 Sharpe Road instead of Lane.As such, it has been returned to my office as undeliverable. The letter(word copy attached) indicated that the application did not contain the required certification form for the emissions inventory. I don't plan to remail the hard copy unless you request it. As discussed in the letter, please submit the certification form that shows the copy of record date at the top (which is downloadable from the closeout page in the AERO system that was used to submit the inventory). Feel free to call me with questions. Thank you, Jennifer Manning, EIT(she/her/Ms.) Environmental Engineer/Permits Coordinator Division of Air Quality North Carolina Department of Environmental Quality 704-235-2224 office }ennifer.mannin �ncdenr.gov 610 East Center Avenue Suite 301 Mooresville, NC 28115 Du.E Email correspondence to and from:this address is subject to the North Czar«Tina Public Records Lake and may be disclosed to third parties. 2 135 one comfortable place Mitchell GoldTaylorsville, nc 28681 T 828.632.9200 + BobWilfiams F 828.632.2693 www.mgandbw.com June 1, 2022 Bruce Ingle Regional Supervisor North Carolina Division of Air Quality 610 East Center Ave., Suite 301 Mooresville, NC 28115 Subject: Air Permit Renewal Application, Facility I.D.0200005 Mr. Ingle: Please find enclosed with this letter two copies of the air permit renewal application including; Form A (General Facility Information), emission inventory forms,and usage report as supporting data. Don't hesitate to reach out with any questions or comments regarding this submittal. Sincerely, Rick Ashley Operations Manager Mitchell Gold+ Bob Williams 375 Sharpe Ln,Hiddenite,NC 28636 828-632-9200 Enclosure: (2) Form A (2) Emissions Inventory Forms (2) Supporting Documentation FORM A GENERAL FACILITY INFORMATION REVISED 04/18/19 NCDEQ/Division of Air Quality-Application for Air Permit to Construct(Operate A NO'!'�=A1�RLI�AT1OAl �I�L���� P�Q��SS�D WIT1'tC?11T 1'� �ALl:OWIidG'„".. Loc al cal Zoning Consistency Determination Appropriate Number of Copies of Application Application Fee(please check one option below) ew or modification only) Responsible OfficiaVAuthorized Contact Signature P.E.Seal(if required) Not Required11 ePayment 11 Check Enclosed Legal Corporate/Owner Name: Site Name: Site Address(911 Address)Line 1: Site Address Line 2: City: ; State: /J Zip Code: County: Q r �Ol�``A 'I INFO�t Responsible Official/Authorized Contact: invoice Contact: Name/Title: l� fGi a t— Name/Title: Z ' [JG.�IJ�S Mailing Address Line 1: ? Mailing Address Line 1: h L A y Mailing Address Line 2: Mailing Address Line 2: , City: t State: Zip Code: ffG3ro City: , State: /U G Zip Code: (? (� Primary Phone No.: 0 I.FaxNo.: Primary Phone No.:epir` -V—'1,200 Fax No.. Secondary Phone No.: Secondary Phone No.: Email Address: , p Emal Address: , 19,A Al N AD ' Facility//nspection Contact. Permit/Technical Contact: Nameffitie; )G -e rt eP5 Nameffitle: 1 "CKW02 ✓ Mailing Address Line 1: Mailing Address Line 1: 3 y Mailing Address Line 2: Mailing Address Line 2: City: Slate: Zip Code: A(0 City: , p, State: Zip Code: p� Primi No.: Primary Phone No.: 2— a`} iFax No.; Secondary Phone No.: Secondary Phone No.: Email Address: 111 hWkDA1f, Emat Address: [:]New Non-permitted Facility/Greenfield Modification of Facility(permitted) Renewal Title V Renewal Non-Title V Name Change ®Ownership Change Administrative Amendment Renewal with Modification �l>uIl l IYL,AS aIIC�ATit�A} AP?L1GATtt}N.`{ h , General matl Prohibitory Small Synthetc Minor Title V AICI'tY{Planf"Site})P11�C}�i4�ATlt!!d Describe nature of(plant site)operation(s): g /1 t Oo0 wrno-�urc� �r +� &SS1,o+ �1� anc>< �tin�5�th�t e�Uoty ia�, blood' p rc c Atv Gb- tfm6Iut in If rar►..1'�w� Tturwe5� �pat��fal ,n 4.t- too^ �r{�Jtra�a� 9-o b•G a~A�oJS Facility ID No. dU OS Primary SIC/NAICS Code: ) CurrenUPrevious Air Permit No j2 Expiration Date: ,3) e10,P Facility Coordinates: Latitude: Longitude: Does this application contain confidential data? 0 YES NO If yes,please contact the DAQ Regional Office prior to submitting this application.— (See Instructions) PERO�I;C>F#.Fl, TiAT PRP1 Af�Pf IGA1ICtt=777777, Person Name: W Firm Name: Mailing Address Line 1: O Mailing Address Line 2: City: (M State: IVL Zip Code: Counly: Phone No.: I Fax No.: Emall Address: p s tylj ✓�, atl(iP1 4F, PNa`.1 ( T imm! Name(typed): X Signature(Blue Ink): Date: Attach Additional Sheets As Necessary Page 1 of 2 FORM A GENERAL FACILITY INFORMATION REVISED 04/18/19 NCDEQ/Division of Air Quality-Application for Air Permit to ConstructfOperate r A IdEaTE- 1PI'Lt+GATIC3N WILL PLOT P t .1 5 17-V{flTHOUT IH FALL?WING Local Zoning Consistency Determinationro riate Number of Co of A (new or modification only) IJ �p p pies PPlication Application Fee(please check one option below) Responsible OfficiaVAuthorized Contact Signature ® P.E.Seal(if required) Not Required ePayment Check Enclosed Legal GorporatelOwner Name:Mitchell Gold Company site Name:Mitchell Gold+Bob Williams Plant Too(Frame Plant) Site Address(911 Address)Line 1:375 Sharpe Ln Site Address Line 2: city.Hiddenite State:NC Zip code:28636 county:Alexander 4Otd3/ f;INEt3Rl1A70N... , . Responsible OfFrcial/Authorized Contact Invoice Contact: Namerntle:Rick Ashley/Operations Manager Name/Title: Mailing Address Line 1:375 Sharpe Ln Mailing Address Line 1: Mailing Address Line 2: Mailing Address Line 2: City.Hiddenite State:NC Zip Code:28636 City: State: Zip Code: Primary Phone No.:828-632-9200 Fax No.: Primary Phone No.: Fax No.: Secondary Phone No.: ISecondary Phone No.: Email Address:Rick.Ashley(a)mgbwhome.com Email Address: Facilityllnspection Contact: Permit/fecbnfcal Contact: Namefrtfe:Rick Ashley/Operations Manager Name/Title: Mailing Address Line 1:375 Sharpe Ln Mailing Address Line 1: Mailing Address Line 2: Mailing Address Line 2: City:Hiddenite State:NC Zip Code:28636 City: State: Zip Code: Primary Phone No.:828-632-9200 Fax No.: Primary Phone No.: Fax No.: Secondary Phone No.: Secondary Phone No.: Email Address:Rick.Ashley(a)mgbwhome.com Email Address: " ' ; . . ,.:..`. :'Af►PL[GA7'IUN't$'��1N��>~tAlE Ft�Ft.. ; "x". New Nowpermitted Facility/Greenfield ®Modification of Facility(permitted) ❑Renewal Title V Renewal Non-Title V ®Name Change ❑Ownership Change ®Administrative Amendment ®Renewal with Modification ;.F1tifr11!1 Y.GLAiI. 1P1CA itF1tF fEft Ai?f?I;[ 11 :{C$@CIC".{ill�i tlfte} General Small ®v Prohibitory Small Synthetic Minor Title V FACILITY{Plant;Site}"itv(FQFtIMAFIOAI Describe nature of(plant site)operation(s): Facility ID No.0200005 Primary SIC/NAICS Code:337121 Current/Previous Air Permit No.028151114 Expiration Date:8/31/2022 Facility Coordinates: Latitude: Longitude: Does this application contain confidential data? 0 YES 0 NO *"tf yes,please contact the DAQ Regional Office prior to submitting this application.— (See Instructions) PEFdSOPI;UR FIRMTIIA'1`Pt�EP�Rt_E�`"APl`'1::tGATIt�P,i , Person Name: Firm Name: Mailing Address Line 1: Mailing Address Line 2: City: State, Zip Code: County Phone No.: Fax No.: Email Address: SIGNATURE aF"REPSIAIIBLE OFFI6IAt#AUTIFIZED COITA 1 Name(typed): Title: X Signature(Blue Ink): Date: Attach Additional Sheets As Necessary Page 1 of 2 FORM A (continued, page 2 of 2) GENERAL FACILITY INFORMATION REVISED 04/18/19 NCDEQ/Division of Air Quality•Application for Air Permit to Construct/Operate A SECl'IOI�1 AA'I'��APPLI,CATION FOI2:NC?N TI?LE,1%PERMIT RENEWAI. .. q p (Company Name)hereby formally requests renewal of Air Permit No. L There have been no modifications to the Sriginallf permitted facility or the operations therein that would require an air permit since the last permit was it ed. Is your facility subject to 40 CFR Part 68"Prevention of Accidental Releases"-Section 112(r)of the Clean Air Act? 0 YES NO If yes,have you already submitted a Risk Manage Plan(RMP)to EPA? 0 YES 0 NO Date Submitted: Did you attach a current emissions inventory? ES 0 NO If no,did you submit the inventory via AERO or by mail? Via AERO ® Mailed Date Mailed: ' � �� SE6TIONAA2=APPUCATIONFt R fITL V.I�ERMIT RENEW AL In accordance with the provisions of Title 15A 2Q.0513,the responsible official of (Company Name) hereby formally requests renewal of Air Permit No. (Air Permit No.)and further certifies that: (1) The current air quality permit identifies and describes all emissions units at the above subject facility,except where such units are exempted under the North Carolina Title V regulations at 15A NCAC 2Q.0500; (2) The current air quality permit cites all applicable requirements and provides the method or methods for determining compliance with the applicable requirements; (3) The facility is currently in compliance,and shall continue to comply,with all applicable requirements. (Note: As provided under 15A NCAC 2Q.0512,compliance with the conditions of the permit shall be deemed compliance with the applicable requirements specifically identified in the permit); (4) For applicable requirements that become effective during the term of the renewed permit that the facility shall comply on a timely basis; (5) The facility shall fulfill applicable enhanced monitoring requirements and submit a compliance certification as required by 40 CFR Part 64. The responsible official(signature on page 1)certifies under the penalty of law that all information and statements provided above,based on information and belief formed after reasonable inquiry,are true, accurate,and complete. SECTIONAA3 �APPLiCATi`ON FOR NAME CHANGE= New Facility Name: Former Facility Name: An official facility name change is requested as described above for the air permit mentioned on page 1 of this form. Complete the other sections if there have been modifications to the originally permitted facility that would require an air quality permit since the last permit was issued and if there has been an ownership change associated with this name change. SECTION AA4-APPLICATION FOR AN OWNERSHIP CHANGE _,-77 By this application we hereby request transfer of Air Quality Permit No. from the former owner to the new owner as described below. The transfer of permit responsibility,coverage and liability shall be effective (immediately or insert date.) The legal ownership of the facility described on page 1 of this form has been or will be transferred on (date). There have been no modifications to the originally permitted facility that would require an air quality permit since the last permit was issued, Signature of New(Buyer)Responsible Official/Authorized Contact(as typed on page 1): X Signature(Blue Ink): Date: New Facility Name: Former Facility Name: Signature of Former(Seller)Responsible Official/Authorized Contact: Name(typed or print): Title: X Signature(Blue Ink): Date: Former Legal Corporate/Owner Name: In lieu of the seller's signature on this form,a letter may be submitted with the seller's signature indicating the ownership change SECTION AA5'ARpLICATION"FOKADMINISTRATIVE AMENDMENT Describe the requested administrative amendment here(attach additional documents as necessary): 8 Attach Additional Sheets As Necessary Page 2 of 2