HomeMy WebLinkAboutAQ_F_1400188_20201209_CMPL_InspRpt (4) NORTH CAROLINA DIVISION OF Asheville Regional Office
AIR QUALITY Vulcan Construction Materials,LLC-North 321
Quarry
Inspection Report NC Facility ID 1400188
Date: 12/11/2020 County/FIPS: Caldwell/027
Facility Data Permit Data
Vulcan Construction Materials,LLC-North 321 Quarry Permit 08589/R06
3540 Blowing Rock Road Issued 11/8/2019
Lenoir,NC 28645 Expires 12/31/2025
Lat: 36dl.5000m Long: 8ld34.6166m Class/Status Small
SIC: 1442/Construction Sand And Gravel Permit Status Active
NAICS: 212321 /Construction Sand and Gravel Mining Current Permit Application(s)None
Contact Data Program Applicability
Facility Contact Authorized Contact Technical Contact SIP
Jason Hutchens Richard Roper Tony Johnson NSPS: Subpart 000
Plant Foreman VP Finance Environmental Engineer
(828)754-5348 (336)744-7022 (336)744-2083
Compliance Data
Comments:
Inspection Date 12/09/2020
y Inspector's Name Bob Graves
Inspector's Signature:"U At Operating Status Operating
Compliance Code Compliance-inspection
Action Code FCE
Date of Signature: Z t 2-°Z.' On-Site Inspection Result Compliance
Total Actual emissions in TONS/YEAR:
TSP S02 NOX VOC CO PM10 *HAP
2016 --- ---
2011 0.0150 --- --- --- --- 0.0070 ---
Highest HAP Emitted(inpounds)
Five Year Violation History:None
Date Letter Type Rule Violated Violation Resolution Date
Performed Stack Tests since last FCE:None
Date Test Results Test Method(s) Source(s)Tested
Inspection Report:
1) Location: Vulcan Construction Materials, LLC -North 321 Quarry is located at
3540 Blowing Rock Blvd in Lenoir,NC, Caldwell County.
Directions: From Lenoir,travel north on Hwy 321 for about 4 miles towards
Patterson and continue north for another 3 to 4 miles past the Patterson turn-off(Hwy
268). The facility is located on the right.
2) Facility Overview:Vulcan Construction Materials, LLC -North 321 Quarry is a rock
quart'producing crushed stone for the construction industry. This facility is
permitted under Air Permit No. 08589R06, effective from November 8,2019, until
December 31, 2025. Last compliance inspection conducted on August 6, 2020,by
Richard Morris.
Safety: Hard Hat, safety shoes, hearing protection
Current throughputs: Employees, Hours of operation, production numbers
Not operating
Inspection: On December 10, 2020, I Bob Graves drove to the facility and observed
the facility's gate closed and locked. It appears to be shutdown. On December 10,
2020, I Bob Graves called and spoke with the facility contact Jason Hutchens, Plant
Manager. We discussed the following:
a) I informed Mr. Hutchins that because of COVID-19 pandemic,NCDAQ is not
physically inspecting facilities. I requested he answer some questions about
the facility which he was glad to answer.
b) Mr. Hutchins said the facility is closed (shutdown)and currently not operating
with no plans to operate in the foreseeable future. No equipment is located at
this site.
Process Description: (from AP-42)
Rock and crushed stone products generally are loosened by drilling and blasting,then are
loaded by power shovel or front-end loader into large haul trucks that transport the
material to the processing operations. Techniques used for extraction vary with the
nature and location of the deposit. Processing operations may include crushing,
screening, size classification,material handling, and storage operations. All of these
processes can be significant sources of PM and PM-10 emissions if uncontrolled.
Quarried stone normally is delivered to the processing plant by truck and is dumped into
a hoppered feeder,usually a vibrating grizzly type, or onto screens. The feeder or screens
separate large boulders from finer rocks that do not require primary crushing,thus
reducing the load to the primary crusher. Jaw, impactor, or gyrator crushers are usually
used for initial reduction. The crusher product, normally 7.5 to 30 centimeters (3 to 12
inches) in diameter, and the grizzly throughs (undersize material) are discharged onto a
belt conveyor and usually are conveyed to a surge pile for temporary storage, or are sold
as coarse aggregates. The stone from the surge pile is conveyed to a vibrating inclined
screen called the scalping screen. This unit separates oversized rock from the smaller
stone. The undersize material from the scalping screen is considered to be a product
stream and is transported to a storage pile and sold as base material. The stone that is too
large to pass through the top deck of the scalping screen is processed in the secondary
crusher. Cone crushers are commonly used for secondary crushing (although impact
crushers are sometimes used), which typically reduces material to about 2.5 to 10
centimeters (1 to 4 inches). The material (throughs) from the second level of the screen
bypasses the secondary crusher because it is sufficiently small for the last crushing step.
The output from the secondary crusher and the throughs from the secondary screen are
transported by conveyor to the tertiary circuit, which includes a sizing screen and a
tertiary crusher. Tertiary crushing is usually performed using cone crushers or other
types of impactor crushers. Oversize material from the top deck of the sizing screen is
fed to the tertiary crusher. The tertiary crusher output, which is typically about 0.50 to
2.5 centimeters (3/16th to 1 inch), is returned to the sizing screen. Various product
streams with different size gradations are separated in the screening operation. The
products are conveyed or trucked directly to finished product bins, open area stockpiles,
or to other processing systems such as washing, air separators, and screens and classifiers
(for the production of manufactured sand).
3) Emission Source and Regulatory Review:
Permitted Sources are:
Emission Emission Source Control Control System
Source ID Description System ID Description
iiNon-Metallic Mineral Processing Plant equipped with water suppression,with no other control devices,
jincluding:
ES-Crush(NSPS) Crushing Operations N/A N/A
ES-Screen(NSPS) Screening Operations N/A N/A
ES-Convey(NSPS) Conveying Operations N/A N/A
Insignificant Sources: None
Stipulation Review:
A.3 PARTICULATE CONTROL REQUIREMENT - As required by 15A NCAC 2D
.0510 "Particulates from Sand, Gravel, or Crushed Stone Operations," the
following requirements apply:
a. The Permittee of a sand, gravel, recycled asphalt pavement(RAP), or crushed
stone operation shall not cause, allow, or permit any material to be produced,
handled,transported, or stockpiled without taking measures to reduce to a
minimum any particulate matter from becoming airborne to prevent exceeding the
III
ambient air quality standards beyond the property line for particulate matter, both
PMIo and total suspended particulates.
b. Fugitive dust emissions from sand, gravel, RAP, or crushed stone operations shall
be controlled by 15A NCAC 2D .0540 "Particulates from Fugitive Dust Emission
Sources."
c. The Permittee of any sand, gravel, RAP, or crushed stone operation shall control
process-generated emissions:
i. From crushers with wet suppression(excluding RAP crushers); and
ii. From conveyors, screens, and transfer points
such that the applicable opacity standards in 15A NCAC 2D .0521 Control
of Visible Emissions," or 15A NCAC 2D .0524 "New Source Performance
standards" are not exceeded.
Not observed. Not operating (in compliance).
A.4 2D.521 —Visible Emissions 20%. Not observed. Shutdown.
A.5 2D.521 —Visible Emissions 40%. Not observed. Shutdown.
A.6 2D.524—NSPS. In compliance. For the nonmetallic mineral processing
equipment(wet material processing operations, as defined in 60.671, are not
subject to this Subpart) including Conveying Operations (ID No. ES-Convey),
Crushing Operations (ID No. ES-Crush) and Screening Operations (ID No. ES-
Screen), the Permittee shall comply with all applicable provisions, including the
notification,testing,reporting, recordkeeping, and monitoring requirements
contained in Environmental Management Commission Standard 15A NCAC 2D
.0524 'New Source Performance Standards" (NSPS) as promulgated in 40 CFR
60, Subpart 000, including Subpart A "General Provisions."
Not observed. Shut down.
A.8 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(f).
Not observed. Shut Down.
A.9 QUARRY EQUIPMENT REPORTING - As required by 15A NCAC 2D .0605,
the Permittee shall maintain on-site an equipment list and a plant(or flow)
diagram of all equipment covered under this permit.
d. The equipment list shall include the following information for each piece of
equipment:
i. A description of equipment including applicability of New Source
Performance Standards, and:
A. Width of belt conveyors,
B. Dimensions and configuration(e.g.,triple deck) of screens, and
C. Rated capacity(tons or tons/hr) of all nonmetallic mineral
processing equipment.
ii. A unique ID number.
iii. The date the equipment was manufactured.
iv. The dates any required performance testing was conducted and submitted
to the Regional Supervisor, DAQ.
e. The equipment list and plant(or flow) diagram shall bear the date when the
current list and diagrams were revised.
f. The Permittee shall provide documentation to the Regional Supervisor, DAQ, for
any required performance testing within seven days of a written request.
Notwithstanding General Conditions and Limitations titled "Equipment
Relocation" and 'Reporting Requirement," the Permittee may install new and
relocate existing nonmetallic mineral processing equipment. The Permittee shall
provide written notification to the Regional Supervisor, DAQ, including a revised
equipment list and plant (or flow) diagram, each time nonmetallic mineral
processing equipment is installed or relocated at a facility. This notification shall
be submitted at least 15 days before the equipment is installed or relocated at the
facility unless otherwise approved by the Director. Nonmetallic mineral
processing equipment includes all crushers, screens, conveyors and load out bins.
Not observed. No equipment is currently located at this site.
Reporting requirements: There are not reporting requirements in the current permit.
4) Compliance History Review: No document violations in past five years.
I
5) Stack Test Review: No stack tests have been conducted to date.
6) 112R Status: Based on the facility's inventory, it was decided that they are not
subject to 112R reporting requirements
7) Comments and Compliance Statement: Based on review of records and discussions
with facility contact,this facility appeared to be in compliance with the Air Quality
standards and regulations at the time of this inspection by shutdown.