Loading...
HomeMy WebLinkAboutAQ_F_0100237_20191211_CEM_RptRvwLtr (8) Chu STATEq ROY COOPER NORTH CAROLINA Governor Environmental Quality MICHAEL S.REGAN Secretary MICHAEL ABRACZINSKAS December 11, 2019 Director Mr. Mark Blalock General Manager Canfor Southern Pine—Graham Plant 4408 Mt. Hermon-Rock Creek Road Graham,North Carolina 27253-8909 SUBJECT: Review of 2019 Semiannual COMS Report,First Half Canfor Southern Pine—Graham Plant Graham,Alamance County,North Carolina Air Permit No. 06740T22 Facility ID No. 0100237 Dear Mr. Blalock: Thank you for your timely submittal of the subject report, dated July 30, 2019, from Canfor Southern Pine's Graham Plant. The report included an assessment of the continuous opacity monitoring system (COMS)that operated on Boilers Nos. 2, 3 and 4 (ID Nos. B-2, B-3 &B-4) during the first half of 2019. The Division of Air Quality(DAQ)has completed its review of the COMS-related information in the report and has the following comments: 1. Certification reports for wood fuel-fired boilers B-2 and B-3 were reviewed in my letter of November 11,2019, which certified the COMS effective May 16, 2019. Thus,both COMS operated about two weeks in the first half of 2019. 2. Wood fuel-fired boilers B-2, B-3 and B-4 were reviewed for compliance with the 10% opacity operating limit(6-minute period, daily block average) set forth in NCAC 02D .1111 (40 CFR, Subpart 63, DDDDD—National Emission Standards for Hazardous Air Pollutants for Major Sources:Industrial, Commercial, and Institutional Boilers and Process Heaters) and Air Permit No. 06740, Specific Condition 2.2.C.La. The COMS report indicated there were no violations of the applicable standard. 3. Wood fuel-fired boiler B-4 was also reviewed for compliance with the underlying opacity standard set forth at NCAC 2D .0524 (40 CFR Part 60, Subpart Dc—Standards of Performance for Small Industrial-Commercial-Institutional Steam Generating Units) and Air Permit No. 06740 specific condition 2.1.AAA. The COMS report indicated there were no violations of the applicable standard. Excess emissions from the wood-fired boiler were North Carolina Department of Environmental Quality I Division of Air Quality 217 West Jones Street 11641 Mail Service Center I Raleigh,North Carolina 27699-1641 919,707.8400 Mr. Mark Blalock December 11,2019 Page 2 attributed to either startup, shutdown, malfunction, or other exempt emissions. These emissions were reviewed and allowed in accordance with applicable monitoring rules. 4. A review was also conducted for compliance with good operation and maintenance(O&M) practices pursuant to NCAC 2D .0524(NSPS Dc, including Subpart A- General Provisions), 40 CFR 60.11(d), 40 CFR 60.13(e), and Specific Condition 2.1.A.4;NCAC 2D .l 111 (NESHAPS DDDDD including Subpart A- General Provisions), 40 CFR 63.7500(a), 40 CFR 63.8(c)(4), and Specific Condition 2.2.C.1. When compared to the total operating time of the boilers,percent excess emissions (%EE)were reported as follows: SourceQuarter %EE %MD Boiler B-2 1st - - 2nd 0.0 0.0 - Boiler B-3 1st -2nd 0.0 0.0 Boiler B-4 I st 0.0 0.0 2nd 0.1 0.4 Each of the COMS units appear to indicate the use of good O&M practices for minimizing emissions since quarterly%EE and%MD were less than'6% for any single calendar quarter and less than 3%for two consecutive quarters. 5. The first and second quarter audits of the COMS unit were reviewed in accordance with Procedure 3 of 40 CFR Part 60,Appendix F - Quality Assurance Procedures. The QA test results for the COMS appear to have met the quarterly specifications. If you should have any questions, please contact me at (919) 707-8493 or alan.drake@ncdenr.gov. S'ncerely, I Alan Drake, Environmental Engineer Division of Air Quality,NCDEQ c: Kristie Hill, Canfor Southern Pine(e-copy) Lisa Edwards, DAQ WSRO Gary Saunders, DAQ RCO IBEAM Documents, 0100237 Central File, Alamance County