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HomeMy WebLinkAboutAQ_F_1400008_20200922_CMPL_InspRpt (4) NORTH CAROLINA DIVISION OF Asheville Regional Office AIR QUALITY Bernhardt Furniture Company-Plants 2&5 NC Facility ID 1400008 Inspection Report County/FIPS: Caldwell/027 Date: 09/22/2020 Facility Data Permit Data Bernhardt Furniture Company-Plants 2& 5 Permit 01755/R22 1828 Morganton Boulevard Issued 1/21/2015 Lenoir,NC 28645 Expires 12/31/2022 Lat: 35d 53.9275m Lang: 8ld 33.3791m Class/Status Synthetic Minor SIC: 2511 /Wood Household Furniture Permit Status Active NAICS: 337122/Nonupholstered Wood Household Furniture Manufacturing Current Permit Application(s)None Contact Data Program Applicability Facility Contact Authorized Contact Technical Contact SIP Eddie Pitts Peter(Pete)Craymer Eddie Pitts MACT Part 63: Subpart 6J, Subpart JJ Corporate Environmental Chief Financial Officer Corporate Environmental Manager and Senior VP Manager (828)759-6348 (828)759-6538 8)759-6348 Compliance Data Comments: Inspection Date 09/22/2020 Inspector's Name Patrick Ballard Inspector's Signature: Operating Status Operating Compliance Code Compliance-inspection Action Code FCE Date of Signature: fc7 )� On-Site Inspection Result Compliance Total Actual emissions in TONS/YEAR: TSP S02 NOX VOC CO PM10 *HAP 2013 3.16 0.1100 2.10 25.30 2.57 2.91 2579.78 2008 3.75 0.6000 4.23 15.21 5.06 2.82 1705.48 * 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 Directions: Facility is located on HWY 18 north of Lenoir(but south of the 321 By-pass). The order ofplants on the street is Bernhardt Plants S, 6, 2; Virginia Street, Minton Ventures(formerly Bernhardt Plant 1) and Bernhardt Plants 3 and 7. Safety Equipment: Shoes, glasses and hearingprotection.. - _ 1. On September 22,2020 I met with Eddie Pitts to conduct a routine air quality inspection of the Bernhardt Furniture Plants 2 and 5 facility in Lenoir,Caldwell County,North Carolina. This facility manufactures wood furniture. This facility is divided into two plants,Nos.2 and 5. Plant 5 manufactures chair legs and upholstery frames. Plant 6 (not permitted),which is adjacent to Plant 5,is an upholstery plant where the frames made at Plant 5 are upholstered. Plant 2 has shut down production operations and is primarily a warehouse. With the shutdown of Plant 2,the facility was reclassified from Title V to Synthetic Minor with the issuance of Permit 01755R20 on February 29,2008. However,the facility remains subject to MALT, Subpart JJ for the finishing operations. 2. The following permitted air emission sources were observed as follows: a. PLANT 2: Production at Plant 2 ended the first week of June 2005. Plant 2 is being used as a warehouse and distribution center for imported furniture. The facility continues to be permitted to operate the following equipment: i. Three spraybooths(ID Nos.226,240 and 241)and Wash off Tanks(ID Nos.271 and 272) Spraybooth 226 has been removed from the facility. Spraybooths 240 and 241 are used for touch- up of imported furniture but were not in operation during the inspection. The spraybooths have baffles or metal filters and one stack each. MALT, Subpart JJ requires monthly inspections of the spraybooths,including leak inspections. All records of inspections were adequate and up to date. Because Spraybooth 226 has been removed,records on this booth are currently not being kept. If this booth goes back into operation,then maintenance records will have to be resumed. There is no wash-off conducted at Plant 2, except with acetone(which is exempt). Two wash-off tanks remain at the plant but were not in use. They continue to be listed on the permit. Spraybooths 240 and 241 were subject to a 40 ton per year VOC PSD avoidance limit. However,because of the greatly reduced usage,the facility submitted a permit modification request in 2006 to have this requirement removed. The current permit retains the 40 ton per year limit,but the reporting requirement has been removed. ii. Bagfilter 219 and Cyclone 203 Bagfilter 219 continues to operate for some woodworking equipment in a mockup lab. The bagfilter was in operation during the inspection with no visible emissions from the main exhaust. Collected wood dust from this bagfilter drops into a truck bed. The truck loading operation is enclosed with a new feed system(installed in about 2016). An annual internal inspection of the bagfilter was conducted on June 26,2020. The cyclone is no longer used. iii. The boilers and lumber kilns have been removed from the permit and are no longer in operation. iv. Located at Plant 2 are two R&D spraybooths exempt from permitting per 2Q .0102(g)(3)(B). Also,40 CFR 63.800(c)exempts research and laboratoryspraybooths from MACT Subpart JJ. b. PLANT 5: i. Boiler and Woodworking Observations of the boiler and woodworking operations during the inspection are summarized in the following table: Equipment Comment Boiler ES-515 Woodwaste/Coal boiler 25 mmBtu/hr. Not operating during the inspection. The boiler is typically used during the colder months for building heat. Boiler manufacture date- 1968. Firetube boiler. The facility has not received any coal in several years. The current permit has a 0.88%sulfur synthetic minor limit. The last annual internal inspection of the multicyclone(CD-515)was conducted on June 2,2020. See additional comment on the boiler below. Bagfilter CD-501 Operating with no visible emissions. Located on the ground. Cyclone CD-503 This cyclone is no longer used. Located on the ground. Cyclone CD-506 Operating,venting to Bagfilter CD-507. Located on the roof. Bagfilter CD-507 Operating with no visible emissions. Located on the ground. Unlisted Cyclones At the facility are one unused cyclone CD-505 and one closed loop cyclone CD- 504. These cyclones are not listed on the permit. Both are located on the roof. No leaks were observed in the woodworking or boiler ductwork or control equipment. The last annual inspection of the bagfilters and cyclones was on April 29,2020. Bagfilters require an internal inspection,cyclones are not typically designed for internal inspections. The facility continues to conduct monthly external visual inspections of the bagfilters and cyclones(this is a carryover from when the facility was Title V. Boiler GACT The facility is subject to the requirements of GACT 6J for the Boiler ES-515. The initial compliance notification was received on November 1,2011 (see file). An initial boiler tune-up was due by March 21,2012 and then every 25 months thereafter. Boiler tune-ups have been conducted as follows: January 5,2012 February 21,2014 November 14,2016(delayed because boiler was shut down) November 27,2018 September 9,2020. A one-time energy assessment was due by March 21,2014 and was conducted on January 19, 2012. Boiler Coal Usage The current permit includes the combustion of coal in the boiler,with combustion limited to 626 tons per year at a maximum 0.88%sulfur. The facility has not received any coal in several years. Boiler Stack Test The 2D .0504 particulate limit for Boiler ES-515 while combusting wood is 0.57 lb/mmBtu. On March 11,2014,this boiler stack tested at 0.57 lb/mmBtu(see file). Because the boiler stack tested at the limit,Permit 01755R22 requires an additional stack test,with a due date of December 31,2016. This stack test was conducted on November 16,2016 and the boiler tested at 0.388 lb/mmBtu(see file). I Finishing The finishing operation consists of eight (8) baffle-type spray booths (ES-520 to ES-527), one automated chair leg finishing system consisting of two dry filter-type spray booths (ES-528 and ES-529), one drying oven(ES-530)and one washoff tank(ES-531). Because of the COVID virus, I did not go into the finishing room during this inspection. Documentation of the finishing operations were provided during the inspection and are summarized in the following table. Except for the automated chair leg system,the conveying system is all push carts. There is no pump room for this plant,just a storage room. 520 Lacquer AAA T75FH71 0.19 521 Stain 432-2540 0 522 Sealer AAA T65FH14 0.40 523 Repair Booth Not Used 524 Stain HVLP 434-2557 0.02 525 Sealer AAA T65FH14 0.40 526 Glaze HVLP 560-7040 0.01 527 Lacquer HVLP T75FH71 0.19 528 Automated chair leg HVLP 450-6883 0.37 (Base Coat) 529 Automated chair leg HVLP T65FH14 0.40 (Sealer) Drying steam heat Oven 530 (not used) Boothcoat 7-8576 0.72 lb VOC/lb solids Washoff Not used(a small amount Tank of washoff is conducted using acetone(HAPs free) Thinner 480-1847 0.07 VHAP Gluing PVA(conducted throughout the facility) iii. MACT Check List Results: A. Finish/solvent/adhesive records [63.806(b)]. Certified product data sheets(CPDS)for each finishing material,thinner,and strippable spray booth coating subject to the limits were available. A random check of finishes reviewed indicated compliance with the 1 lb VHAP/lb solid limit(see table above). The Strippable Booth Coat contains 0.72 lb VOC/lb solid. No contact adhesives are used at this plant. Formaldehyde is limited to 1.0%by weight or 400 pounds per year, Formaldehyde emissions of 38.23 pounds are reported in the 2019 annual synthetic minor report(received 01/15/2020, see facility file(note,this also includes combustion emissions)). B. Work practice implementation plan [63.803(a)]. 1. The facility provided a list of employees with training records [63.803(b)]. The last annual training was October 30,2019. 2. Inspection and maintenance plan [63.803(c)]. MACT, Subpart JJ,requires monthly inspections of the spraybooths, including leak inspections. Inspection reports were reviewed and appeared to be adequate. No problems have been noted. 3. Cleaning and washoff solvent accounting system [63.803(d)]. The facility uses acetone(non-HAP/VOC)solvent for washoff. 4. Formulation Assessment Plan for finishing operations [63.803(1)]. Reviewed and appeared adequate(see facility file,last received 01/15/2020). C. Spray booth cleaning[63.803(f)]. This facility does not use anything but the strippable booth coat. D. Storage requirements(solvent containers without lids are NOT allowed) [63.803(g)]. All containers observed were closed. All containers at the spray booths were observed closed. E.Application equipment requirements[63.803(h)]. The use of"conventional"air spray guns are not allowed unless emissions are vented to a control device. There are no VOC emission control devices at this facility. The facility is using all HVLP,air assisted airless or airless guns. The air pressure limit for HVLP spray guns is 10 psi. Because of the COVID virus,I did not go into the finishing room during this inspection. 3. The following nonpermitted air emission sources were observed as follows: Listed on permit as an insignificant activity—one natural gas-fired boiler(8.375 mmBtu/hr)—not in operation and not even hooked up. Boiler plate date:9/25/69. 4. Recordkeeping and Reporting Requirements: a. Synthetic Minor Limits: This facility was reclassified from Title V to Synthetic Minor with the issuance of Permit 01755R20 on February 29,2008. Woodwaste combustion is limited to 10,159 tons per year. Coal combustion is limited to 626 tons per year at a maximum 0.88%sulfur. VOC emissions are limited to less than 100 tons per year. HAP emissions are limited to 10 tons per year for any single HAP and 25 tons per year for total HAPs. The synthetic minor annual report for 2019(due by January 30,2020 and received on 01/15/2020)indicated 543 tons of wood combusted and no coal combusted. VOC emissions from 2019 were 7.26 tons while the largest HAP(toluene) emissions were 0.31 tons. Total HAP emissions were 0.84 tons per year. The bagfilters, cyclones and multicyclones are subject to inspection and maintenance(I&M)requirements. Compliance with the I&M requirements was indicated during the inspection(see above). b. PSD Avoidance Limits: The facility retains subject to a 40 tpy VOC limit for spraybooths ES-240 and ES-241. However,because of the greatly reduced usage,the reporting requirement for this condition has been removed. The recordkeeping requirement remains in the permit. c. NESHAP Semi-Annual Com fiance Certification: The facility remains subject to MACT,Subpart JJ for the finishing operations,which requires Semi-Annual Compliance Certification. This report is due January 30 and July 30 of each year. This report was last received on 07/20/2020. No deviations were noted. 5. Compliance History: There have been no documented air quality compliance issues at this facility in the past five years. A summary of compliance problems which resulted in NOVs during the past several years is tabulated below: Inspection/Test Notice of Violation Description of violation(s) 01/28/2009 02/05/2009 NOV issued for violation of the 0.88% coal sulfur synthetic minor limit. 03/22/2006 04/10/2006 NOV for failure to conduct weekly inspections of s raybooths. NA 11/30/2004 NOV(issued by RCO)for late submittal of annual report to EPA. NA 11/16/04 NOV/NRE for failure to timely submit a quarterly report. The company was assessed$1000 for this violation. 8/24/04 9/13/04 NOV/NRE for permit recordkeeping on Boiler ID No. 515. The company was assessed$5000 for this violation. MACT Subpart JJ Requirements (tip pressure). The company was assessed$4000 for this violation. NA 6/16/04 NOV for failure to timely submit a quarterly report 9/15/03 10/16/03 NOV/NRE for Permit Recordkeeping and MACT Subpart JJ Requirements (tip pressure). The company was assessed $5400 for this violation. NA 4/4/03 Failure to include NOV in compliance certification 7/31/02 8/9/02 NRE for MACT Recordkeeping 7/24/2001 I1/06/2001 Emissions from Boiler ID No. 221 in excess of 2D .0504 limit during 7/24/2001 Method 5 stack test. Inspection/Test Notice of Violation Description of violations 4/10&11/2001 07/02/2001 Emissions from Boiler ID Nos. 221 and 515 in excess of 2D .0503 limits during 4/10 and 4/11 Method 5 stack tests. 01/31/2001 02/13/2001 Visible emissions violation documented on Boiler ID No.,515. 09/29/1999 10/14/1999 Visible emissions violation documented on Boiler ID No. 515. 04/01/1999 04/20/1999 Visible emissions violation documented on Boiler ID No. 515. 01/07/1999 01/08/1999 Visible emissions violation documented on Boiler ID No. 515. 12/18/1997 01/30/1998 Violation of 2D .0512 citing several sources of excessive fugitive wood dust coming from the facility 04/16/1997 04/28/1997 Visible emissions violation documented on Boiler ID No.220. 6. This facility does not appear to be subject to the requirements of 112(r). 7. Based on my observations during the inspection, Bernhardt Furniture Plants 2 and 5 appeared to be in compliance with the applicable air quality regulations and Air Permit No. 01755R22 during this inspection. No permit modifications were determined to be necessary at the time of the inspection. (4(2w0 S BERNHARDT PLANT 5 BOOTH AND FINISHING MATERIAL LIST BOOTH 520 LACQUER SHERWIN WILLAMS T75FH71 BOOTH 521 REL STAIN AKZO 432-2540-HlCL BOOTH 522 SEALER SHERWIN WILLAMS T65FH14 BOOTH 523 UTILITY (NOT USING ATTHIS TIME) BOOTH 524 751 STAIN AKZO 434-2557-H55OA1 BOOTH 525 SEALER SHERWIN WILLAMS T65FH14 BOOTH 526 GLAZE AKZO 560-7040A-H550A1 BOOTH 527 LACQUER SHERWIN WILLAMS T75FH71 BOOTH 528 BASECOAT AKZO 450-6883-H55OA1 BOOTH 529 SEALER SHERWIN WILLAMS T65FH14 OTHER FINISHING MATERIALS THINNER AKZO 480-1847-H55RA1 BOOTH COATER CAROLINA SOLVENTS 7-8576 i 2029 Spray Training FiMshln Dsteo &0 nature 1 Chester Tucker 2 Gilberto Cespedes 3 Rebecca Smith n. r A ,,i Y4 4 Cynthia Townsend C� 5 Robert Earp 6 Susan Perkins 7 Maria Ballesteros G')Y _ I Ili -L , cJ` 8 Walter Dula 9 Kathy Browning 10 12 4-%bt+ 00 c- 13 14 15 16 17 18 19 20 Topic Presenter Signature - f I it ENVIRONMENTAL DATA SHEET (Certified Product Data Shoot) I Date of Preparation 0001 [1063] j Apr 16,2013 PRODUCTNUMBER T75X>XV-4407 03 ,8 PRODUCT NAME SHER-WOOD*CAB Acrylic La,cquer,t;Tv7 VftHEEW, , MANUFACTURER'S NAME THE SHERWIN-WILLIAMS COMPANY 101 Prospect Avenue N.W. Cleveland, OH 44115 This document includes all data required by 40 CFR 63.801(a)for a Certified Product Data Sheet under criteria specified In 40 CFR 63.805(a).. All data given below are MAXIMUM THEORETICAL VALUES based on the product AS:CURRENTLY FORMULATED.Variations may occur on individual':batches due to adjusflments made during production. Product Weight ( Specific Gravity PLASH POINT 7.61.lb/gal 0.92 28"FYCC Hazard Category(for SARA 311.312)- I Acute I Chronic I Fire I Volatile ingredients Chemical/Compound SARA 302 EHS cERCLA. SARA313'TC HAPS112. %by Wet"fit %by Volume V.M.&P.Naphtha 64742.89-8 N N N N 7 8 Ethylbenzene 100.41-4 N Y Y Y 0:7 <1 Xylene N Y Y Y 4 4 1330-20-7 2-Propanol N I N N N 11 12 67-63-0 2-Methyl-1-propanot 78-83-1 N Y N N B 6 Acetone N Y N N 4 5. 67-64-1 Methyl Ethyl Ketone N Y N N 8 9 78-93-3 Methyl n-Amyl Ketone N N N N 4 5 110-43-0 n-Butyl Acetate 123-80-4 N Y N N 31 33 I Volatile Organic Compounds (follows U.S. EPA VOC Data Sheet) A. Coating Density 7.61 lb/gal 911.gll B. Total Volatiles 75.6%by wt. 83.3%by Vol. C. Federally exempt solvents: Water 00%by m1. 0.0%by vol. Acetone 4.3%by wt. 5,0%by vol. D. Organic Volatiles 71,2%by wt. 78.3%by vol. E. Percent Non-Volatile 24.4%by wt, 16.7%by vol. F. VOC Content 5.41 lb/gal 649 gll total 1. 5.70lb/gal 683'gh less exempt solvents 2. 32.53 le/gal 3897 g/I of solids 2.91:1bfib 2.91 kglkg. of solids Hazardous Air Pollutants (Olean Air Act,Section 112(b)) •;�. Volatile.HAPS 0.35 lb/gal 0.042 kg11 2.14 Ib/gal 0.7150 kgll of solids 0.19 lb/lb 0.19 kglkg of solids page 1 of 2 775XXCI44074373 Via✓ , Air quality Data Density of Organic Solvent Blend 6.90 lb/gal Photochemically Reactive j No Maximum incremental Reactivity(MI (California Air Resources Board Aerosol Products Regulation,MIR Value July 18,2001) 1.11 Maximum Incremental Reactivity(MI (per US EPA Aerosol Ctg Rule). 1.14 WasteDsposaf Waste from this product maybe hazardous as defined under the Resource Conservation and Recovery Act(RCRA)40 CFR 261. Waste must be tested for ignitability to determine the applicable EPA hazardous waste numbers.. I Addition of reducers or other additives t this product may substantially alter the above data.Since conditions of use are outside our control,we make no warrant[as,expross or Implied,and town a no liability In connection with any use of this information. I page 2 of 2 AkzNbd Tomorrow''Answers Today V®CNHAPS CPDS "AS SUPPLIED" Customer: Bernhardt Furniture Plant#5 1904 Morganton Blvd Lenoir, NC 28655 Customer No.: 0000111 326 Date: 1/22/2013 Product Sales No.: ;ASS 254�uHIOIL­ MSDS Date Revised: 1/10/2013 Product Description: REL STAIN BINDER i Theo. Batch Formulation: Lbs VOC/LB Solids = NA Density (lbs/gal) = 7.75 Theo. Batch Formulation: Lbs VHAPS/Lb Solids = 0.00 % Solids by Weight = 36.63 Theo. Batch Formulation: %V i APB by Weight = 0.00 %VOC by Weight = NA Certified Lbs VOC/Lb Solids <or= NA Certified Los VHAPS/Lb Solids I <or= 1.0 I Certified %VHAPS by Weight <or= NA *Any occurrence of NC means Not Compliant *Any occurrence of NA means Not Applicable *Any occurrence.of NR means Not Regulated "Trace means less than the reportabl! quantity per OSHA Hazard Communication Standard(29 CFR Part 1910) t The above product information was derived from formulation data and verified by Akzo Test:Conditions on:similar types:of products. EPA Test Method 311 requires that Independent analytical analysis of the product be.performed according to the Akzo Test Conditions listed below. For Akzo.Nobel.Coatings.products known as Aqua Plaz(680Solos No.),no known Method 311 test condition for VHAPS content exists,.the reportable VHAPS content is derived from formulation data. **AKZO Test Conditions" i For VHAPS Analysis use METHOD 311 For Exempt use ASTM D-4457 For Water Analysis: Wltlj Solvent Based Coatings use ASTM D-3792 With Water Based Coatings use ASTM D-4017 I For Density, % SOLIDS, and %sVOC Analysis use EPA REFERENCE METHOD 24 Certified: Akzo,Nobel Coatings Inc. Disclaimer: While Akzo Nobel Coatings Inc. believes that the data contained herein are accurate and derived from qualified sources the data are not to be taken as a warranty or representation for which Akzo Nobel Coatings Inc. Akzo Nobel Coatings Inc. ass mes legal responsibility. They are offered solely for your consideration, 1431 Progress Ave. investigation and verification. Any use of these data and information must be determined by the user to P.O.Box 2124 be in accordance with applicable Federal, State; and local laws and regulations. High Point.NC 27261 Tel.(335)641-5111 Fax(336)883-7920 i ENVIRONMENTAL DATA SHEET (Certified Product Data Sheet) Date of Preparation 11 00 It 5101 Jun 2,2020 PRODUCT NUMBER PRODUCT NAME SHER-WOOD®HS Lacquel'Sealor MANUFACTURER'S NAME THE SHERWIN-WILLIAMS OMPANY 101 W. Prospect AVE Cleveland, OH 44115 This document includes all data r0ulred by 40 CFR.63.801(a)for a Certified Product Data Sheet under criteria specified in 40 CFR 63.805(a). All data given below are MAXIMUM THEORETICAL VALUES based on the product AS.CURRENTLY FORMULATED.Variations may occur on individual batches due to adjustments made during production. Hazard Category(for SARA 311.312j T65FH14=.I Acute I Chronic I Fire Product.Weight Specific Gravity FLASH POINT 7.42 lb/gal 0.89 4 IF PMCC Volatile Ingredients j Chemical!Compound SARA 302EHS CERCLA SARA 313 TC HAPS 112 %by Weight %by Volume Lt.Aliphatic Hydrocarbon Solvent N N N N 15 18 64742-89-8 Toluene 108-88-3 N Y Y Y 2 2 Ethylbenzene N Y 100-41-4 Xylene N Y Y Y 5 5 1330.20-7 Methanol N Y Y Y 3 3 67-56.1 2-Propanol N N N N 13 14 67-63-0 24,Aethyl-1-propanol N Y N N 2 2 78.83.1 2-Butoxyethanol. N N Y-Glycol Ethers(SARA). N 1 1 111.76-2 Acetone I N Y N N 10 11 67.64-1 Methyl n-Amyl Ketone N N N N 3. 3 110-43-0 n-Butyl Acetate N Y N' N 2 2 123-86-4 Isobutyl'Acetate N Y N N 20 21 110-19-0 Regulated Compounds SARA 302 EHS CERCLA ISARA313TC HAPS 112 %by Weight by Volume Zinc Compound H N IY I N 11 Glycol Ethers(SARA) I N IN ly N 11 page 1 of 4 T65FH14 Volatile Organic COMPOL rids - U.S.EPA!Canada T65FH14 " '. B)Gal g!L Coating Density 7. 2 889 '.. By wt :.. By Vol Total Volatiles 75. % ask% Federally exempt solvents Water 0. % 0,0% Acetone 9: % 11.0% Organic Volatiles 65.(% 72.0% Percent Non-Volatile 24. % 17.0% VOC Content I B/Gal gill. _ Total 4,17 583 Less exempt solvents 5. 7 655 Of solids 28.14 3431 Of solids 2A 6 Wile 2.66 kg/kg ay wt By wt LVP-VOC 65. % ' Maximum Incremental Reactivity(MIR (per US EPA Aerosol Gig Rule,MIR Values 2009)1.00 Volatile Organic COMPOU ds-California Tfi5FH14 L lGal g/L Coating Density 7.4 889 ywl By Vol Total Volatiles 75.40 83.0% Exempt solvents Water 0.01 0 0.0% Acetone 9.81 a 11.0% Organic Volatiles 65.6.0 72.0% Percent Non-Volatile. 24.611. 17.0% VOC.Content L /Gat " g/L Total 4.8 583 Less exempt solvents 5.4 655 Of solids 28,6 3431 Of solids 2.6 to/lb 2.66 kg/kg ywt By wt LVP•VOC 65.6.1. Maximum Incremental Reactivlly(MIR)(per California Air Resources Board Aerosol Products Regulation,MIR Values 2010)1.05 S page 2 of 4 T65FH14 Volatile Organic'Co—rnpot.rids-South Coast Air Quality Management District, California, US '"'T65FH74 ' i LIBIGal r g/L Coating Density 7.42 889 y wt By Vol Total Volatiles 75. % 83.0% Exempt solvents Water 0.0M 0.0% Acetone 9.8/6 11.0% Organic Volatiles 05.6/ 72.0% Percent Non-Volatile 24.6/, 17.09% VOC Content L !fiat gIL Total 4:8 583. Less exempt solvents 5.4 655 Of solids 28.5 3431 Of solids 2.6. Ib/Ib 2:66 kgfkg Volatile Organic Co'rnpou "ds-EU Directive2004/42/EC T65FH14 By Wt B Vol Total Volatiles 75.40 8 .0% VOC Content LB/Gal g/L Total 5.59 67 Volatile Organic Cornpau ds-EU Directive 20.10/751EU r/ _T65FH14 77----By—Wt—f—BVvol Total Volatiles 75.4% 8 .01A VOC Content LB/Gal g/L Total. 6.59.. 67 Volafile Organic Compou ds- Mexico T65PH14' L [Gal 'a: :g/L Coating Density 7.4 889 wt i13y Vol Total Volatiles 75.416 83.0% Exempt solvents Water 0.01 0.0% Acetone 9.8° 11.0% Organic Volatiles 65.kp 72,0% PercentNon-Volafile 24.6° 1TG VOC Content LEUCtal gIL Total 4.8A 583 Less exempt solvents 5.4 655 01 solids 28.61 3431 Of solids 2.6E Ibllb 2.66 kg/kg page 3 of 4 8 T65FH14 Hazardous Air,Pollutant (Clean Airl4ct,Section 112(b)) / T65FH14 `LBIOal : ,kglC Volatile HAPS 0.74 0.08g Of solids 4.37 0.524 Of solids 0.40 lb/lb 0.40 kg/kg Air Quality Data Density of Organic Solvent Blend 6.74 lb/gal Photochemlcally Reactive No Additional Regulatory Int 3irmation US EPA TSCA: Not Applicable Relevant Identified uses of the subs,Lance or mixture and uses advised against: Not Applicable Waste Disposal Waste from this product may be hazardous as defined under the Resource Conservation and Recovery Act(RCRA)40 CFR261. Waste must be tested for IgnitabIlIV.,to determine the applicable EPA hazardous waste numbers. Admuon of rolucers or other addlllve to thisproduct may substantially after the above data.Since conditions of use are outside our control,we make no warmrnles,express or Implied,and as ume no liability In connection with any use of this Information. t page 4 of 4 j i . i I AlaoNobel V UUI N UAPS CPDS "AS SUPPL,IIED" Customer: Bernhardt Furniture Plant#5 _ 1904 Morganton Blvd Lenoir, NC 28655 i Customer No.: 0000111826 Date: 211912018 Product Sales No.: i;.,, MSDS Date Revised: 8/22/2017 Container Codes: 4:34-2557-H550A1', 434-2557-1-15PRS Product Description: 751 STAIN Density (lbs/gal) = 6.76 Theo. Batch Formulation: Lbs VOC/LB Solids = NA % Solids by Weight = 4.20 Theo. Batch Formulation: Lbs VHAPS/Lb Solids = 0.02 %VOC by Weight = NA I i Theo. Batch Formulation: %VHAPS by Weight = 0.07 Theo. Batch Formulation: % Formaldehyde by Weight = 0.00 Certified Lbs VOC/Lb Solids < or= NA Certified Lbs VHAPS/Lb Solids < or= 1.0 Certified %VHAPS by Weight < or= NA I 'Any occurrence of NC means Not Compliant `Any occurrence of NA means Not Applicable 'Any occurrence of NR means Not Regulated 'Trace means less than the reportabli quantity per OSHA Hazard communication Standard(29 CFR Part 1910) The above product information was derived from formulation data and verified by:Akzo Test Conditions on similar Types of I products. EPA Test Method 311 requires that independent analytical analysis of the product be performed according to the Akzo Test Conditions listed below. ***AKZO Test Conditions` For VHAPS Analysis use METHOD 311 For Exempt use ASTM D-4457 For Water Analysis: With Solvent Based Coatings use ASTM D-3792 With Water Based Coatings use ASTM D-4017 For Density, %SOLIDS, and %VOC Analysis use EPA REFERENCE METHOD 24 Certified: Akzo Nobel Coatings Inc. Disclaimer: While Akzo Nobel Coatings Inc.believes that the data contained herein are accurate and Alan Nobel Coatings Inc. " derived from qualified sources, the data are not to be taken as a warranty or representation for which High Pint,NC 272 High Point,NC 27260 Akzo Nobel Coatings Inc. assymes legal responsibility. They are offered solely for your consideration, P.O. Box 2124 investigation and verification. Any use of these data and information must be determined by the user to High Point,NC 27260, be in accordance with applicable Federal,State;and local laws and regulations. Tel.(336)841-5111 Fax(336)883-7920 i F AkzoNobel Vo NHAPS CPDS "AS SUPPLIED" i Customer: Bernhardt Furniture Plant#5 1904 Morganton Blvd Lenoir, NC 28655 Customer No.: 000011116 Date: 1/3/2020 Product Sales No.: 5e0 7040 MSDS Date Revised: 1 D/8/2019 Container Codes: 560-7040i-H500A1, 560-7040A-H5PUS, 560-7040-H500A1, 560-7040-H5PRS Product Description: 751 GLAZE Density (Ibstgal) = 7.54 Theo. Batch Formulation: Lbs V C/LB Solids = NA % Solids by Weight = 34.05 Theo. Batch Formulation: Lbs VHAPS/Lb Solids = 0.01 %VOC by Weight = NA Theo, Batch Formulation: %VHAAPS by Weight = 0.29 Theo. Batch Formulation: % For by Weight = '0.00 Certified Lbs VOClLb Solids i<or= NA Certified Lbs VHAPS/Lb Solids <or= 1.0 Certified % VHAPS by Weight <or= NA `Any occurrence of NC means Not Compliant *Any occurrence of NA means Not Applicable *Any occurrence of NR means Not Regulated *Trace means less than.the reportable,quantity per OSHA Hazard Communication Standard(29 CFR Part 1910) The above product information was derived from formulation data and verified by Akzo Test Conditions on similar types of products. EPA Test Method 311 requires that independent analytical analysis of the product be performed according to the Akzo Test Conditions listed below. *** AKZO Test Conditions** i For VHAPS Analysis use METHOD 311 For Exempt use ASTM D-4457 For Water Analysis: With`SolventBased Coatings use ASTM D-3792 WithlWater Based Coatings use ASTM D-4017 For Density, % SOLIDS, and %y OC Analysis use EPA REFERENCE METHOD 24 Certified: Akzo Nobel Coatings Ino. ,gkzo Nobel Coatings Inc. Disclaimer: While Akzo Nobel Coatings Inc. believes that the data contained herein are accurate and 1431 Progress Ave. derived from qualified sources,{he data are not to be taken as a warranty or representation for which High Point,NC 27260 Akzo Nobel Coatings Inc. assumes legal responsibility. They are offered solely for your consideration, P.O.Box 2124 investigation and verification. Any use of these data and information must be determined by the user to High Point,NC 27260, be in accordance with applicable Federal,State,and local laws and regulations. Tel. (336)841.5111 I Fax(336)883-7920 i i i l 10 'l AkzoNobel Tomorrows Answers Today Y&NIIAPS QVIS "AS SUPPLIED[° Customer: Bernhardt Furniture Plant#5 1904 Morganton Blvd Lenoir, NC 28655 Customer No.: 0000111826 Date: 3!6/2013 Product Sales No.: 450 688 =H5`5Q41 "' MSDS Date Revised: 1/24/2013 Product Description: 751 BAS'`ECOAT Theo. Batch Formulation: Lbs VOCILB Solids = NA Density (lbs/gal) = 7.30 Theo. Batch Formulation: Lbs VHAPS/Lb Solids = 0.37 % Solids by Weight = 19.42 Theo. Batch Formulation: %VH,APS by Weight = 7.14 % VOC by Weight = NA Certified Lbs VOC/Lb Solids <or= NA Certified Lbs VHAPS/Lb Solids < or= 1.0 Certified%VHAPS by Weight < or= NA 'Any occurrence of NC means Not Compliant *Any occurrence of NA means Not Applicable "Any occurrence of NR means Not Regulated 'Trace means less than the reportable quantity per OSHA Hazard Communication standard(29:CFR Part 1910) The above product Information was derived from formulation data and verified by Akzo Test Conditions on similar types of products. EPA Test Method 311 requires that Independent analytical analysis of the product be performed according to the Akzo Test Conditions listed below. For Akzo Nobel Coatings products known as Aqua Piaz(680 Sales No.),no:known Method 311 test condition for VHAPS contentiexists,the reportable VHAPS content Is derived from formulation data. ***AKZO Test Conditions*** For VHAPS Analysis use METHOD 311 For Exempt use ASTM D-4457 For Water Analysis: With';Solvent Based Coatings use ASTM D-3792 Withl Water Based Coatings use ASTM D-4017 I For Density, % SOLIDS,and %VOC Analysis use EPA REFERENCE METHOD 24 Certified: Akzo Nobel Coatings IInc. Disclaimer: While Akzo Nobel Coatings Inc. believes that the data contained herein are accurate and derived from qualified sources,the data are not to be taken as s warranty or representation for which Akzo Nobel Coatings Inc. Akzo Nobel Coatings Inc. assumes legal responsibility. They are offered solely for your consideration, 1431 Progress Ave. investigation and verification. +use of these data and information must be determined by the user to P.O.Box 2124 be in accordance with applicabl federal. State, and local laws and regulations. High Point,NC 27261 Tel.(330)841--51I1 Fax(330)883.7920 I r� kacNabe� Tomorrows Ansvcoi s Today VOCNH PS CPDS "AS SUPPLIE rr Customer: BERNHARDT FURNITURE - PLANT 5 LENOIR, NC 28645 1 I Customer No.: 0000100742 Date: 5/2/2013 i Product Sales No.: ff$ 1i845I RKA;1 MSDS Date Revised: 4/5/2013 Product Description: LACQUER THINNER Theo. Batch Formulation: LbsVOC/LB Solids = NA Density (lbs/gal) = 6.77 Theo. Batch Formulation: Lbs V'HAPS/Lb Solids = NA % Solids by Weight = 0.00 Theo. Batch Formulation: %V I APS by Weight = 0.07 %VOC by Weight = NA Certified Lbs VOC/Lb Solids < or= NA Certified Lbs VHAPS/Lb Solids < or= NA Certified % VHAPS by Weight < or= Trace "Any occurrence of NC means Not Compliant *Any occurrence of NA means Not Applicable *Any occurrence of NR means Not Regulated `Trace means less than the reportable quantity per OSHA Hazard Communication Standard(29 CFR Part 1910) The above product information was derived from.formulation data and verified by Akzo Test Conditions on similar types of products. EPA Test Method 311 requires that independent analytical analysis of the product be performed according to the Akzo Test Conditions listed below. FlI r Akzo Nobel Coatings products(mown as Aqua Plaz(680.Sales:No.),no known Method 311 test condition for VHAPS.contentexists,the reportable VHAPS content is derived from formulation data. ***AKZO Test Conditions*** For VHAPS Analysis use METHICD 311 For Exempt use ASTM D-4457 For Water Analysis: WitH Solvent Based Coatings use ASTM D-3792 With Water Based Coatings use ASTM D-4017 i For Density, % SOLIDS, and %VOC Analysis use EPA REFERENCE METHOD 24 i Certified: Akzo Nobel Coatings Inc. Disclaimer: While Akzo Nobel Coatings Inc.believes that the data contained herein are accurate and derived from qualified sources,the data are not to betaken as a warranty or representation for which Akzo Nobel Coatings Inc. assumes legal responsibility. They are offered solely for your consideration, Akzo Nobel Coatings Inc. investigation and verification. Any use of these data and information must be determined by the user to 1431 Progress Ave. be in accordance with applicable Federal, State, and local laws and regulations. P.O.Box 2124 High Point,NC 27261 Tel,(336)841-5111 Fax(336)883-7920 CAROLINA SOLVENTS, INC, HICKORY, NO CERTIFIED PRODUCT DATA SHCET "AS SUPPLIEC" CSI Product r7-8b76 COMPLIANT DOOTHCOAT Date of Reports 01126/2002 the following information is based per Ab CF'R e3.805(a) on the approved formula for this product as of 01123/2002. Any changes in formulation can change the values in this certification and will be documented. While Carolina Solvents, Inc. (CSI) belleves that the data is accurate and derived from qualified sources, the data is not to be taken as a warranty or representation for which CSI assumes legal responsibility. Product Density (LSIrAL)t 7.23 Volatile Density in Product (LB/GAL); 1 .37 Solids; 26.14 by Weight; 20.54 by Volume. Volatile: 18.86 by Weight; 14.11 by Volume. Water 8 Exempt VOC's 54.99 by Weight; $0.35 by Volume. LB VOClGAL Solids in Product as Supplied; 6.65 LB VOClLB Solids in Product as Supplied; 0.72 LB VHAP/LB Sal ids in Product as Supplied, 0.72 % VHAP's: 18.88 by Weight. kg VOC's/1 Solids 0.796 PRODUCT BREAKDOW OF VOLATILE CONSTITUENTS FOR NC Ain PERMIT FORM 01 VOC CAS 0 % BW in % BV in Reactivity constituents ( Volatile Volatile l Acetone 00067-64-1 74.69 7G.16 EE Mathyl Ethyl Ketone 00076-93-3 5.35 5.35 NR Toluene 00108-88-3 19.96 18.49 R3 Total % By Volume of Vc atlles: R1 = 0, R2 = 0, R3 = 18.4901 R1�R2�R3 = 18.490 Product 1s NOT Photoohei I icaIIV Reactive I v i