HomeMy WebLinkAboutAQ_F_1400222_20191212_CMPL_CAV-Rpt (4) 1 o ?. 7 - CA
NORTH CAROLINA DIVISION OF Asheville Regional Office
AIR QUALITY M&S Warehouse-Finishing Plant
NC Facility ID 1400222
Compliance assurance Visit Report County/FIPS: Caldwe1V027
Date: 12/16/2019
Facility Data Permit Data
M& S Warehouse-Finishing Plant Permit n/a
3174 Freezer Locker Road Issued n/a
Hudson,NC 28638 Expires n/a
Lat: 35d 51.4500m Lang: 8ld 28.0500m Class/Status Registered
SIC: 2512/Upholstered Household Furniture Permit Status Inactive
NAICS: 337121/Upholstered Household Furniture Manufacturing Current Permit Application(s)None
Contact Data Program Applicability
Facility Contact Authorized Contact Technical Contact SIP
William Minton David Miller David Miller
Plant Manager President President
(828)728-3733 (828)728-3733 (828)728-3733
Compliance Data
Comments:
Inspection Date 12/12/2019
// / J22� ✓ Inspector's Name Richard Morris
Inspector's Signature: � �*�' 1 Operating Status Operating
Compliance Code Compliance-inspection
Action Code FCE
Date of Signature: �� _ On-Site Inspection Result Compliance
Total Actual emissions in TONSIYEAR:
TSP S02 NOX VOC CO PM10 *HAP
2014 0.2000 --- 13.66 2175.00
*Highest HAP Emitted(inpounds)
Five Year Violation History:None
Date Letter Tvue Rule Violated Violation Resolution Date
Performed Stack Tests since last FCE:None
Date Test Results Test Method(s) Source(s)Tested
CAV Report:
1) Location: M & S Warehouse—Finishing Plant is located at 3174 Freezer Locker
Road in Hudson,NC. Caldwell County.
Directions: From ARO, take I-40 East to Hickory and take the 321 North exit. Go to
Hudson and turn right onto Pine Mountain Road. Veer left at fork onto Freezer
Locker Rd. Facility is on right across from Timber Wolf Forest Products.
2) Facility Overview: M& S Warehouse—Finishing Plant is a furniture finishing plant
that produces component parts for the furniture industry. This facility is now
registered with effective date of June 19, 2017. Last compliance inspection
conducted on January 8, 2019 by Richard Morris.
Safety: Steel toed shoes, safety glasses
Current throughputs:
2019
Hours: 40 hrs/wk, 50 wks/yr
Employees: _11
Pre-inspection Conference: On December 12, 2019, I, Richard Morris met with the
facility contact, William Minton, Plant Manager. Based on my conversation with
him, we discussed the following:
a) I informed Mr. Minton that I was there to conduct an annual inspection.
b) I went over their status as registered and answered any questions.
c) I requested their annual paint usage for the 2019 year. Mr. Minton had me
call Robin Hamm (828-738-3733) in the main office who handles accounts
and invoices. I told her what was needed,paint usage for year 2019 from both
paint suppliers, and requested she send me the emissions data after the new
year. She stated she would get it for me.
Process Description:
This company receives parts from their other facility and applies a finish coating
to furniture components. Parts are then shipped to customers.
Inspection:
a) Two paint spray booths were in operation. I did observe 0%visible emissions
from the SB1 and SB2 vent stacks while they were operating.
b) Overall,the facility VOC handling work practices are good.
3) Emission Source and Regulatory Review:
Current Sources are:
Emission Emission Source Control Control System 1
Source ID Description — j System ID J Description
one wooden furniture components finishing operation consisting of:
SBl, SB2 and three d fi tYPa
paint spray filter- a booths N/A N/A
Cn
SB3 Y
Insignificant Sources: None
Applicable Rule Review:
A.3 2D.0512—"Particulates from Wood Products Finishing Plants". In
compliance. All paint finishing operations were being properly controlled
in paint spray booths.
A.4 2D.0521 —Visible Emissions. In compliance. Visible emissions under
20%.
A.6 2D.0540—Non-Process Fugitive Emissions. Incompliance. Dust from
haul roads appeared adequately controlled.
A.7 2D.0958—Work Practices of VOC Compounds.
As required by 15A NCAC 21) .0958(c), for all sources at facilities that
use volatile organic compounds (VOC) as solvents, carriers, material
processing media, or industrial chemical reactants, or in similar uses that
mix, blend, or manufacture volatile organic compounds, or emit volatile
organic compounds as a product of chemical reactions; the Permittee shall
adhere to the following required work practices:
This rule was exempted November 1, 2016.
A.8 21).1806—Control and Prohibition of Odorous Emissions. In
compliance.
I did not detect any objectionable odors before entering the facility
property.
4) Compliance History Review:
This facility has no record of any violations since permit issuance on May 23, 2011.
5) Stack Test Review: There have been no stack test performed at this facility.
6) 112R Status: Based on the facility's inventory,it was decided that they are not
subject to I I2R reporting requirements
7) Comments and Compliance Statement:
M & S Warehouse—Finishing Plant appeared to be operating in compliance with
the Air Quality standards and regulations at the time of this inspection.