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HomeMy WebLinkAboutAQ_F_1300005_20221208_PRMT_PmtRvw_R23 https://ncconnect.sharepoint.com/sites/DAQ-MRO/Counties/CABARRUS/00005/R23_REVIEW.docx NORTH CAROLINA DIVISION OF Region: Mooresville Regional Office AIR QUALITY County: Cabanas Application Review NC Facility ID: 1300005 Inspector's Name: Joe Foutz Date of Last Inspection: 06/21/2022 Com fiance Code: 3/Compliance-inspection Facility Data Permit Applicability(this application only) Applicant(Facility's Name): Atrium Health Cabarrus SIP: NSPS: Facility Address: NESHAP: Atrium Health Cabarrus PSD: 920 Church Street North PSD Avoidance: Concord,NC 28025 NC Toxics: 112(r): SIC: 8062/General Medical& Surgical Hospitals Other: NAILS: 62211 /General Medical and Surgical Hospitals Facility Classification:Before: Synthetic Minor After: Fee Classification:Before: Sypthetic Minor After: Contact Data Application Data Facility Contact Authorized Contact Technical Contact Application Number: 1300005.22A Greg Mackin Gene Monago Greg Mackin Date Received: 09/27/2022 Plant Operations Support VP of Facilities Mgmt Plant Operations Support Application Type: Renewal Services (704)667-9461 Services Application Schedule: State (704)996-4740 9401 Arrowpoint (704)996-4740 Existing Permit Data 9401 Arrowpoint Boulevard,3rd Floor 9401 Arrowpoint Existing Permit Number: 03570/R22 Boulevard Charlotte,NC 28273 Boulevard Existing Permit Issue Date: 07/20/2020 Charlotte,NC 28273 Charlotte,NC 28273 Existing Permit Expiration Date: 01/31/2023 Review Engineer: Jennifer Manning Comments/Recommendations: Review Engineer's Signature: Date: Issue 03570/R23 L P/,, Ks /16 1. PURPOSE OF APPLICATION: Application is made for renewal of the air permit. 2. CHRONOLOGY: Date Event"'. September 27,2022 The application was received. October 3,2022 ,The acknowledgment letter was sent. November 28,2022 An additional information request was sent pertaining to the inventory. December 1,2022 jThe information requested was received. Permit Review Page 2 3. EMISSION SOURCE CHANGES: a. Permitted Emission Sources There are no changes to the equipment from this application. b. Insignificant/Exempt Activities There are no changes to the equipment from this application. 4. REVIEW OF REGULATIONS: The Permittee shall comply with the following Environmental Management Commission Regulations, including Title 15A North Carolina Administrative Code(NCAC). These existing regulations have been reviewed in previous reviews and/or inspection reports and it was determined that the facility was in compliance with all regulations at that time. There are no changes expected to continued compliance. • 2D .0202—Registration of Air Pollution Sources • 2D .0503 —Particulates from Fuel Burning Indirect Heat Exchangers • 2D .0516—Sulfur Dioxide Emissions from Combustion.Sources • 2D .0521 —Control of Visible Emissions • 2D .0524—New Source Performance Standards (Subpart Dc and IIII) • 2D .0535 Excess Emissions Reporting and Malfunctions • 2D .0540—Particulates from Fugitive Dust Emission Sources • 2D .1111 —NESHAP(Subpart ZZZZ) • 2D .1806—Control and Prohibition of Odorous Emissions • 2Q .0102—Activities Exempted from Permit Requirements • 2Q .0315—Synthetic Minor Facilities • 2Q .0317—Avoidance Conditions (avoidance of 2D .1402 and to NESHAP Subpart 6J) 5. APPLICIBILITY TO THE FOLLOWING: a. NSPS— The boilers (ID Nos. B1 through B4) are subject to NSPS Subpart Dc. The emergency generators (ID Nos. 11 through 15) are subject to NSPS IIII. b. NESHAP— The facility is not subject to the boiler NESHAP, Subpart JJJJJJ, since the boilers (ID Nos. B 1 through B4) are natural gas-fired,and No. 2 fuel oil is only used in times of curtailment. The emergency generators (ID Nos. 11 through 15) are subject to NESHAP, Subpart ZZZZ, since they are considered new sources per the regulation. Permit Review Page 3 c. PSD INCREMENT TRACKING— This renewal does not affect PSD increment tracking. d. ATTAINMENT STATUS— This facility is located in the Concord township of Cabarrus County,which is an area that was previously considered nonattainment for ozone. It is still considered to be in . maintenance for the ozone standard and DAQ regulations per 2D .0900,2D .1400, and 2Q .0207 still apply if applicable although avoidance conditions of 2D .0531 and 21) .0902 can be removed. The facility is either in attainment or unclassifiable for all other pollutants. e. 112(r)— This facility is not subject to RMP requirements of the 112(r)program since it does not use or store any of the regulated chemicals in quantities above the threshold levels in the rule. f. TOXICS— This facility is not subject to toxics and this application will not trigger a toxics review. 6. FACILITY-WIDE EMISSIONS: The emissions are taken from the previous air permit review since there are no changes expected from this renewal. Potential Emissions " " Potential Emissions Pollutant After Controls/Limitations Before.Controls/Limitations TSP 9.24 9.24 PM10 5.12 5.12 S02 <99.9 127.5 NOx <99.9 154.9 VOC 4.67 4.67 CO 46.75 46.75 Highest HAP 6.45 0.45 hexane Total HAP 0.53 0.53 7. TEXT FOR"CHANGES"PARAGRAPH IN PERMIT COVER LETTER: The condition limiting the NOx emissions to under 100 tons per year to avoid applicability to "New Source Review"per 21) .0531 has been removed. The facility is no longer in an area of nonattainment for ozone, and therefore,new/modified sources cannot trigger this requirement. Permit Review Page 4 • Condition 2Q ..0317 for"Avoidance of PSD"was removed since the potential S02 emissions do not exceed 250 tons per year. This condition appears to have been erroneously added in the R21 revision. 8. RECOMMENDATION: It is recommended that permit 03570R23 be issued. JAM