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HomeMy WebLinkAboutAQ_F_1900077_20210114_CMPL_InspRpt (4) NORTH CAROLINA DIVISION OF Raleigh Regional Office WTW AIR QUALITY Triangle Brick Company-Merry Oaks Brick Manufacturing Plant Inspection Report NC Facility ID 1900077 Date: 01/19/2021 County/FIPS: Chatham/037 Facility Data Permit Data Triangle Brick Company-Merry Oaks Brick Manufacturing Plant Permit 06897/T12 294 King Rd Issued 5/14/2018 Moncure,NC 27559 Expires 4/30/2023 Lat: 35d 38.5250m Long: 79d 0.0560m Class/Status Title V SIC: 3251 /Brick And Structural Clay Tile Permit Status Active NAILS: 327121 /Brick and Structural Clay Tile Manufacturing Current Permit Application(s)None Contact Data Program Applicability Facility Contact Authorized Contact Technical Contact SIP/Title V Buck Reece Howard Brown,Jr. Buck Reece NSPS: Subpart 000, Subpart UUU Plant Manager President&CEO Plant Manager (919)387-9258 (919)226-5623 (919)387-9258 Compliance Data Comments: Compliance Inspection—Appears to be in compliance. Inspection Date 01/14/2021 Inspector's Name Jeff Harris Inspector's Signature: C , Operating Status Operating Compliance Status Compliance-inspection Action Code FCE Date of Signature: 1/19/21 Inspection Result Compliance Total Actual emissions in TONS/YEAR: TSP S02 NOX VOC CO PM10 *HAP 2019 76.06 5.54 11.24 5.70 51.08 73.42 2.779.16 2018 68.11 4.94 10.08 6.21 45.61 65.76 2479.91 2017 61.67 4.48 9.11 5.73 41.30 59.53 2245.56 *Highest HAP Emitted inpounds) Five Year Violation History: Date Letter Type Rule Violated Violation Resolution Date Performed Stack Tests since last FCE:None Date Test Results Test Method(s) Source(s)Tested (I) DIRECTIONS: Triangle Brick Company's Merry Oaks Plant is located off US-1 South in Merry Oaks, Chatham County,North Carolina. From Raleigh, take US-1 South to exit 84 onto Old US-1 South. Turn right onto Old US 1, follow approximately 1/4 mile, and take a left onto SR 1912, Christian Chapel Church Road. Cross the train tracks and turn left onto SR 1911, King Road. The facility is easily visible from King Road& US-1. (II) FACILITY DESCRIPTION: The Merry Oaks Plant operates three brick kilns (Kiln ID Nos. 1, 2, 3) and historically has manufactured approximately 4 million bricks per week. Kilns 1 and 2 were installed in 1991 and each has a capacity of 24 cars/day. Each brick car serving Kilns 1 and 2 can hold a maximum of 6,408 bricks. Using a conservative factor of 4.5 poundsibrick, the ton per hour process rate for Kilns 1 and 2 calculates to 13.8 tons/hour. The maximum permitted production rate for each kiln is 14.5 tons/hour. Kiln 3 began operation in 1999. According to staff, the kiln has a capacity for 25 cars/day. The brick cars serving Kiln 3 can hold 18,144 brick each. The ton per hour process rate for kiln 3 calculates to 27.2 tons per hour. The maximum permitted production rate for Kiln 3 is 29 tons/hour. Safety Note: Personal protective equipment for this facility should include: hard hat, safety glasses, hearing protection, and safety shoes. (III) INSPECTION SUMMARY: On January 14, 2021, I (Jeff Harris) met with Mr. Buck Reece, Director of Manufacturing for Triangle Brick, for the purpose of conducting an air quality permit compliance inspection. Prior to the on-site inspection, I e-mailed Mr. Reece requesting relevant records, which he provided quickly. At the time of this compliance inspection, the facility was operating Kiln 3 at a 15 car per day schedule, and the facility appeared to be operating well from an air quality standpoint with no visible emissions (VE) from the Kiln 3 stack and no odorous emissions (OE) from the facility. Details regarding each of the emission sources and specific air quality regulations listed in the facility's current air permit are included below. (IV) PERMITTED EMISSION SOURCES: At the time of the inspection, Triangle Brick Company was operating under Air Quality Permit No. 06897T12, which became effective on May 14, 2018, expires on April 30, 2023, and includes the following emission sources and control devices: (a)Primary Crushing and Associated Conveyance including: Shale Feeder (ID No. PC-]) and NSPS affected facilities consisting of a scalp screen (ID No. PC-2),jaw crusher(ID No. PC-3), and three conveyors (ID Nos. PC-4, PC-S, and PC-6); This equipment was not operating at the time of the inspection. This equipment provides the raw material for all three kilns. The raw material used comes from a nearby site owned by Triangle Brick. The equipment appeared to be in sound condition. (b) Clay Grinding Operations (Feeders (ID Nos. CG-1 and CG-29) and NSPS affected facilities consisting of conveyors, screens, and hammer mills (ID Nos. CG-2 thru CG-20, CG-22 thru CG-28, and CG-30 thru CG-49); This equipment was operating at the time of the inspection. This equipment helps prepare the raw material for all three kilns. The equipment appeared to be in sound condition. (c)Brick Tunnel Kilns (ID Nos. K-1, K-2, and K-3; 14.5, 14.5, and 29 tons per hour fired-brick capacity, respectively) with associated dry lime cascade adsorber units; Kiln K-3 was observed in operation and was on a fifteen(15) car per day schedule at the time of my visit. Kiln K-1 and Kiln K-2 were not operating and have not run since approximately 2008. (d)Natural Gas Fired Rotary Coatings Dryer(ID Nos. SD-1). This equipment was not in operation at the time of the inspection. The coatings dryer dries the coating material itself, prior to its application to the uncured bricks, so its operation is intermittent. (V)APPLICABLE AIR QUALITY REGULATIONS: As is the case with all Title V permits, Air Quality Permit No. 06897T 12 lists all of the air quality regulations that apply to each of the permitted emission sources. To avoid redundancy in this report, the applicable air quality regulations are discussed individually, and the permitted emission sources that are subject to a specific regulation are noted. (1) 15A NCAC 2D.0515: PARTICULATE FROM MISCELLANEOUS INDUSTRIAL PROCESSES— The following emission sources are subject to 2D .0515: The shale feeder(ID No. PC-1), clay feeders (ID Nos. CG-1 and CG-29), and brick kilns (ID Nos. K-1, K-2, and K-3). APPEARED TO BE IN COMPLIANCE—The particulate emission limit for each of the subject emission sources is determined based on the individual process weight rates for each source. According to previous permit reviews, all of these sources should meet the applicable 15A NCAC 2D .0515 emission limit under normal operating conditions. No monitoring, recordkeeping, or reporting is required for the particulate matter emissions from these sources. (2) 15A NCAC 2D.0516: SULFUR DIOXIDE EMISSIONS FROM COMB USTION SOURCES— The following emission sources are subject to 2D .0516: The three brick kilns (ID Nos. K-1, K-2, &K-3) and the rotary coatings dryer (ID Nos. SD-1). APPEARED TO BE IN COMPLIANCE—The sulfur dioxide emission limit for each of the subject emission sources is 2.3 pound per million Btu heat input. There is no testing, monitoring, record keeping, or reporting requirements for sulfur dioxide emissions from the firing of natural gas and No. 2 fuel oil. To demonstrate compliance with the sulfur dioxide limitation when firing No. 6 fuel oil, the facility is required to monitor all fuel oil shipments to the plant site to ensure that the sulfur content does not exceed 2.1 percent by weight. Records of fuel oil certifications must be kept on site. The facility is also required to submit a semiannual summary report and clearly document any deviations to the monitoring and record keeping requirements. Based on a review of facility records and RRO files, the facility appeared to be complying with the requirements of 15A NCAC 2D .0516. The facility utilized natural gas exclusively during 2020, and no new deliveries of fuel oil of any type were received. Accordingly, the S02 emission levels of natural gas would be far below the limits. (3) 15A NCAC 2D.0521: CONTROL OF VISIBLE EMISSIONS— The following emission sources are subject to 2D .0521: The shale feeder (ID No. PC-]), the clay feeders (ID Nos. CG-1 and CG-29), and the three brick kilns (ID Nos.K-1, K-2, &K-3). APPEARED TO BE IN COMPLIANCE—The visible emission limit for each of the subject emission sources is 20 percent opacity when averaged over a six-minute period. No visible emissions were noted from any of the permitted emission sources during the inspection. No visible emission testing is required by the facility's air permit. The permit requires the facility to perform monthly visible emissions observations, record the results of the VE evaluations in a logbook, and submit a summary report of the daily observations on a semiannual basis. According to the logbooks of visible emissions observations that I reviewed for this equipment, monthly observations are being performed by Mr. Reece and none of the observations indicated anything but"normal". The facility has established "normal" as no visible emissions. Mr. Reece performed his monthly VE observations during our inspection. (4) 15A NCAC 2D.0524: NEW SOURCE PERFORMANCE STANDARDS(40 CFR 60 SUBPART 000- STANDARDS OF PERFORMANCE FOR NONMETALLIC MINERAL PROCESSING PLANTS) — The following emission sources are subject to 2D .0524, Subpart 000: Scalp screen (ID No. PC-2),jaw crusher (ID No. PC-3), conveyor under PC-2 &PC-3 (ID No. PC-4), cross- over conveyor (ID No. PC-5), shuttle conveyor (ID No. PC-6), hammer mills (ID Nos. CG-6& CG-34), screens, conveyor belts, &feeders (ID Nos. CG-2 thru CG-20;ID Nos. CG- 22 thru CG-28;ID Nos. CG-30 thru CG-49; respectively). APPEARED TO BE IN COMPLIANCE—To comply with the requirements of Subpart 000, the facility must maintain particulate and visible emissions below the source specific limits defined in the permit. The permit requires the facility to conduct monthly visible observations on all NSPS-affected equipment. The facility must also record the results of the monthly observations in a logbook and submit a summary report of all visible emission observations on a semiannual basis. Based on a review of facility records, the facility appeared to be complying with the requirements of 15A NCAC 2D .0524, Subpart 000. (5) 15A NCAC 2D.0524: NEW SOURCE PERFORMANCE STANDARDS(40 CFR 60 SUBPART UUU- STANDARDS OF PERFORMANCE FOR CALCINERS AND DRYERS INMINERAL INDUSTRIES) — The following emission source is subject to 2D.0524, Subpart UUU The rotary coatings dryer(ID Nos. SD-1). APPEARED TO BE IN COMPLIANCE—To comply with the requirements of Subpart UUU, the facility must maintain particulate and visible emissions below the source specific limits defined in the permit. The rotary coatings dryer started operation on July 5, 2006. The permit requires the facility to conduct a performance test within 180 days of initial startup. This test was completed on February 2, 2007, and the results demonstrated compliance with the applicable standards. The permit also requires the facility to conduct monthly visible observations and perform periodic inspections and maintenance as needed and as recommended by the manufacturer(at a minimum a semiannual internal inspection) of the rotary sand dryer. The facility must also record the results of the monthly observations and the results of inspection and maintenance in a logbook and submit a summary report of all visible emission observations and the periodic inspections and maintenance on a semiannual basis. Based on a review of facility records and RRO files, the facility appeared to be complying with the requirements of 15A NCAC 2D .0524, Subpart UUU. (6) 15A NCAC 2D.I100 and 2Q.0711: TOXIC AIR POLL UTANT REQUIREMENTS— The following emission sources are subject to 2D .1100 and 2Q.0711: The three brick kilns (ID Nos. K-1, K-2, and K-3). APPEARED TO BE IN COMPLIANCE - In conjunction with a prior permit application, the permittee submitted air modeling results that demonstrated that emissions of the Toxic Air Pollutants (TAPS) listed in the permit were below state Ambient Air Standards (AALs)beyond the fence line of the facility. To comply with 15A NCAC 2D .1100, the permittee must maintain actual emissions of these TAPS below the emission limits outlined in the permit. To comply with 15A NCAC 2Q .0711, the Permittee must ensure that emissions of specified TAPS do not exceed the Toxic (Permit Emission Rates (TPERs) specified in the permit. If any of the TPERs are exceeded, the facility must obtain a permit to emit TAPS and demonstrate compliance with state AALs. According to the facility's 2019 annual emissions inventory, all actual toxic pollutant emissions are well below the applicable emission limits. 7) 15A NCAC 2D .1806: CONTROL AND PROHIBITION OF ODOROUS EMISSIONS(STATE ONLY REQUIREMENT)— The following emission sources are subject to 2D.1806: All facility-wide affected emission sources. APPEARED TO BE IN COMPLIANCE—To comply with 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. No objectionable odors were detected during the compliance inspection. No odorous emissions testing/monitoring/record keeping/reporting is required by the facility's air permit. (8) 15A NCAC 2Q.0317: PREVENTION OF SIGNIFICANT DETERIORATION(PSD)AVOIDANCE CONDITIONS — The following emission sources are subject to the 2D .0530 avoidance condition: The three brick kilns (ID Nos.K-1, K-2, &K-3). APPEARED TO BE IN COMPLIANCE—To avoid applicability of 15A NCAC 2D .0530, sulfur dioxide (S02) emissions from the facility must not exceed 250 tons per consecutive 12-month period each. The permit requires the facility to monitor the amount of natural gas and fuel oil combusted in the three kilns, keep monthly records of fuel combustion and S02 calculations, and submit quarterly reports demonstrating compliance with the S02 emission limit. Representative samples of required logs were provided. All recent quarterly reports from this facility have been submitted on time and have demonstrated compliance with the PSD avoidance limit. (9) 15A NCAC 2Q.0317: MAHMUMACHEIVABLE CONTROL TECHNOLOGY(MACT)AVOIDANCE CONDITIONS— The following emission sources are subject to the 2D.II I I avoidance condition: The three brick kilns (ID Nos.K-1. K-2. &K-3). APPEARED TO BE IN COMPLIANCE—To avoid the applicability of 15A NCAC 2D .1111 and remain classified a minor source for hazardous air pollutants (HAPs), facility-wide emissions of any individual HAP must be less than 10 tons per year and all HAPs combined must be less than 25 tons per year. The facility reported in their first semi- annual report for 2020 that the greatest individual HAP was hydrogen fluoride with an emission for the first half of 2020 of 2,745 pounds. The total for all HAPs for the same period was reported at 6,228 pounds. This permit condition became effective on January 23, 2018 with the issuance of revision T11. Compliance is expected. Additionally, representative copies of records required for maintenance and multiple process parameters were provided. (VI) EXEMPT EMISSION SOURCES: The facility currently has several emission sources listed on the Insignificant Activities List attached to the current air permit. No additional emission sources were observed during the inspection that would need to be added to the Insignificant Activities List, and no concerns were noted with regard to the operation or permit exemption status of the current sources on the list. (VII) COMPLIANCE HISTORY: The facility was issued a Notice of Deficiency (NOD) on May 31, 2017 for late quarterly reporting. On May 12, 2017, a Notice of Violation(NOV) was issued for a failed stack test of Kiln 3 which was originally tested on September 12, 2016. On April 3, 2008, the facility was issued a Notice of Violation/Notice of Recommendation for Enforcement(NOV/NRE) and was fined $2,190 for the associated report violation. On June 6, 2007, a Notice of Violation(NOV) was issued regarding incomplete reporting for the 2nd half of 2006. Prior to that an NOV was issued on March 30, 2004 for incomplete reporting in your 2003 annual compliance certification. Prior to that an NOV was issued on December 15, 2003 for failure to submit a semiannual report for the first half of 2003 by the July 30, 2003 due date. (VIII) EMISSIONS INVENTORY REVIEW: Kiln 3 was the only kiln that operated in 2019 and most changes resulted from an increase in overall production of approximately 12 percent over 2018. Higher percentage changes in formaldehyde and metals were the result in changes to the emission factors employed. (IX) 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. RMP Not Required—Triangle Brick Merry Oaks is subject to the 112(r)program general duty clause, but does not maintain regulated chemicals onsite above the threshold quantities, which would require a risk management plan. (X) STACK TEST REVIEW: The most recent stack test at this facility was a"retest"performed on February 9, 2017, on Kiln 3 to demonstrate compliance with 2D .1109 Case by Case MACT. Prior to that, on September 12, 2016, the initial performance test for Kiln 3 to show compliance with 2D .1109 Case by Case MACT was conducted but the test results indicated an exceedance of the particulate limit and thus the need to retest. (XI) CONCLUSIONS/RECOMMENDATIONS: At the time of this inspection, Triangle Brick Company-Merry Oaks appeared to be in compliance with the terms and conditions of air quality permit number 06897T12. It is recommended that this facility be inspected again in a year. Good Morning Jeff: I feel fairly confident that I have supplied answers and documentation for all of your questions. If there is something that I missed, please let me know. This is a lot of Documentation and I could have easily missed something. Here We go. Answers in BOLD • Is the facility operating on a modified schedule or modified production? No • Are the facility staff whose tasks are directly related to air compliance monitoring working on a modified schedule or remote location? No • The facility permit requires periodic visible emissions tests and maintenance of process equipment. Do you anticipate any problems performing these activities? No • Has the facility experienced any episodes of excess emissions lasting more than 4 hours due to malfunction, breakdown, etc? No • Has the facility experienced any episodes of excess emissions lasting more than 4 hours due to malfunction, breakdown, etc? No • Has the facility received any complaints regarding dust or odors? No 1) A copy of your current air permit 06897T12 (The first page showing the date is sufficient.) Attached 2) A summary of any currently permitted equipment which is out of service, and reasons why. Nothing Out of Service 3) Which Kilns are currently operational?What is their typical throughput in cars/day? Kiln 3, 15 Cars per Day 4) 15A NCAC 02D .0521 Visible Emissions: a) Log of monthly VE observations & Maintenance for the following: Shale feeder PC-1 ATTACHED Screening operation and belt conveyors PC-2, PC-4, PC-5 ATTACHED Jaw Crusher PC-3 ATTACHED Shuttle conveyor PC-6 ATTACHED Clay feeders CG-1, CG-29 ATTACHED Hammer mills CG-6, CG-34 ATTACHED Enclosed conveyor transfer points Building ATTACHED Building Containing Clay Grinding& Building ATTACHED Enclosed affected facilities Kilns K-1, K-2, K-3 ATTACHED (Found in KILN DATA) Rotary sand dryer SD-1 ATTACHED ( Found in CG-1 Through CG-46 Form) b) Does the facility have a Method 9 certified observer on staff? No 5) 02D.0516: Sulfur Dioxide Emissions from Combustion Sources a) Fuel certification logbooks for Kilns K-1, K-2, and K-3 No Loads of No. 2 or No. 6 fuel received in 2019 or 2020 6) 02D .0530: PSD Avoidance a) Monthly log of No. 2, No. 6, and NG burned in Kilns K-1, K-2, K-3 ATTACHED ( Found in Natural Gas Usage, No.2 Usage and No. 6 Usage) b) Monthly log of SO2 emissions calculations ATTACHED 7) MACT Avoidance (40 CFR Part 63,Subpart JJJJJ): Kilns & Lime Adsorber (CD-K1,2,3): a) Logbooks showing the following operations: i) Daily hopper status check ATTACHED (Found in Kiln Data) ii) Limestone source &grade record ATTACHED (Found in Limestone Source and Grade Record) iii) Daily limestone feed status (Min 60lb/hr?)ATTACHED(Found in Kiln Data-Feeder Settings) iv) Monthly limestone feed rate check ATTACHED (Found in Kiln Data- Feeder Settings) v) Daily bypass damper check ATTACHED (Found in Kiln Data) vi) Log of DLA bypass for maintenance & SSM ATTACHED (Found in Kiln Data) b) Monthly Log of brick production per kiln, bypass time, and associated HAP calculations ATTACHED ( Found in Monthly Brick Production),,HAP Attached BYPASS Time sent in separate email due to size of monthly reports. Again let me know if there is anything I missed. Thanks Buck