HomeMy WebLinkAboutAQ_F_1300177_20200218_CMPL_CAV-Rpt i
I
NORTH CAROLINA DIVISION OF Mooresville Regional Office
AIR QUALITY StandardAero
NC Facility ID 1300177
Inspection Report County/FIPS: Cabarrus/025
Date: 02/06/2020 P
Facility Data Permit Data
StandardAero Permit n/a
6865 Belt Road Issued n/a
Concord,NC 28027 Expires n/a
Lat: 35d 22.8788m Long: 80d 41.7549m Class/Status Permit Exempt
SIC: 4581 /Airports,Flying Fields,And Services Permit Status-Inactive
NAICS: 48819/Other Support Activities for Air Transportation Current Permit Application(s)None
Contact Data ' Program Applicability
Facility Contact Authorized Contact Technical Contact SIP
Jason Hays Jason Hays Jason Hays
Manager Manager Manager
(704)720-7480 (704)720-7480 (704)7.20-7480
I,
Compliance Data
Comments:
Inspection Date 02/06/2020
j Inspector's Name Robert Papuga
Inspector's Signature: vim. 4"ra Operating Status Operating
IN ,( Compliance Code Compliance-inspection
Action Code FCE
Date of Signature: z „ 1 T. Z p? V On-Site Inspection Result Compliance
Total Actual emissions in TONS/YEAR:
TSP S02 NOX ,, VOC CO PM10 *HAP
No emissions inventory on record.
*Highest HAP Emitted inpounds)
Five Year Violation History:None
Date Letter Tyne Rule Violated Violation Resolution Date
Performed Stack Tests since last FCE:None
Date Test Results Test Method(s) Source(s)Tested
u
;I
!1
StandardAero
February 6,2020
Page 2 of 4
Type Action: _Full Compliance _Partial Compliance _Complaint Other: Compliance Assurance Visit
Evaluation Evaluation/Reinspection Investigation
Data Date submitted for initial review 02/07/2020 _IBEAM INFO, WARNING/OB,NOD,NOV,NRE
Tracking: X IBEAM Document
X IBEAM Inspection, list date inspected X IBEAM LAULONG,Facility Locked
X IBEAM Inspection,list date draft is submitted X IBEAM LAT/LONG, Coordinates checked
X IBEAM Inspection,pollutants/programs checked _IBEAM Complaint
X IBEAM Planning,Next Inspection Date 02/01/2022
Directions: Take NC-3 out of Mooresville,making a right onto Odell School Road.Follow until Odell
School Road turns into Derita Road. Turn left onto Concord Mills Boulevard. After crossing over I-85
make a left turn onto Weddington Road. Make a left onto Belt Road. The facility will be located on the
right.
Safety Equipment: This facility requires safety glasses and ear protection.
Safety Issues: No safety issues were noted by me during the visit.
LatlEone Coordinates: A review of the facility's coordinates on "Facilities Regulated by Air Quality"
indicate that the facility's latitude and longitude coordinates are accurate.
Email Contacts: The emails for the facility, authorized and technical contacts were verified by Mr.Jason
Hays,Manager. No changes to the email contacts in IBEAM are needed.
Compliance Assurance Visit:
1. The purpose of this site visit was to conduct a compliance assurance visit. StandardAero maintains,
and repairs Rolls Royce Model 250 turbine engines used in light helicopters.The company operates
this facility Monday Through Friday from 8 am to 5:00 pm(40 hours per week); 52 weeks per year.
Mr.Jason Hays,Manager,accompanied me during this inspection.
2. Facility Contact Information:
During the inspection,I verified the facility contact information in IBEAM with Mr. Hays.
No changes to the facility contact information are needed in IBEAM.
3. Compliance Histga:
No problems have been noted by DAQ, prior to this visit. The current compliance status is
discussed in the following sections.
StandardAero
February 6,2020
Page 3 of 4
4. Source Observations:
This facility has three glove boxes that use aluminum oxide grit for grit blasting maintenance and
repair of Rolls Royce Model 250 turbine engines used in light helicopters. They also use small
amounts (less than 55 gallons per year) of Safety-Kleen Premium Gold solvent to wash the parts
once they are removed from the glove box. The glove boxes and parts washer were not in operation
at the time of this visit.
This office has not received any fugitive dust emissions complaints regarding this facility. This
facility has paved roads. During this visit, I observed no fugitive dust and I also did not observe
any visible emissions at the facility. I discussed with Mr.Hays if any excess emissions had
occurred at this facility. Mr. Hays stated that no excess emissions had occurred.
There are no gasoline storage tanks, engines/generators/fire pumps, boilers or any other sources at
this facility. Therefore,this facility is not subject to the requirements of NSPS,NESHAP/MACT,
RACT or 112(r).
5. Exemption Qualification:
This facility submitted a request for applicability determination for a grit blasting and solvent usage.
Since the actual facility-wide emissions of particulate matter(PM10)and volatile organic
compounds(VOCs)are less than five tons per year and the total actual aggregate emissions of these
pollutants are less than ten tons per year.
This office sent a letter dated July 8, 2016 exempting this facility from permitting, since the facility-
wide actual particulate emissions(PM10) and VOCs are less than five tons per year and total
aggregate emissions are less than ten tons per year. This facility has not changed or modified the
equipment to increase emissions above the exemption thresholds since the rescission request.
Therefore,this facility still qualifies for exemption under 15A NCAC 2Q .0102(d).
6. Compliance determination:
Based on my observations,this facility appeared to be in compliance with the air quality rules(2D
.0521-visible emissions; 2D .0515-particulates from miscellaneous industrial process; 2D .0535-
excess emissions; 2D .0540-fugitive dust emissions; and 2D .0958-work practices for sources of
VOCs)at the time of the visit. The compliance assurance visit checklist is attached on page 4.
RJP:Ihe
c: MRO File
https://ncconnect.sharepoint.com/sites/DAQ-MRO/Counties/CABARRUS/00177/INSPECT 20200206_CAV.docx
StandardAero
February 6,2020
Page 4 of 4
� �— _ ��—T Compliance Assurance Visit Checklist rev.11/oa/ie
IFacilityName: StandAero
IPhysical Site Address: 6865 Belt Road ( I I 1 I I
ICity: Concord I I (Zip Code: 28027 I (County: Cabarrus ) I
I Facility Contact: Jason Hays I I ITitle: Manager I I I I I
(Phone No.: 704-720-7480 I I (
I Mailing Address: 6865 Belt Road Concord,NC 28027 ( _—
I Facility Contact Email Address: jason.hays@stamdardaero.com I ( I ( ( I
i I I
Its the facility contact the person that you met? If not,fill out the following:) I I I I
IContact Name: I I ITitle: I I I ( I
(Phone No.: —
I Mailing Address:
IEmail Address: I f I I I I C ! I
Safety requirements:safety shoes(yes)-safety glasses(yes)-hearing protection(yes)-hardhat(no)
other(please desc(ibe): —�� --�— T I I
Normal operating schedule(hr/d,d/wk,wk/ r): Monday-Friday 8am-5pm. 52wekks peryear.) I I
--J_ _...._._._�----
Opacity(%)-indicate any non-zero opacities observed: 0% --� -- — —
Odors-indicate if any objectionable odors were detected beyond the property boundary: None
Fugitive dust-indicate whether fugitive dust was observed leaving property boundary: None I I I
Since last inspection,have there been any changes_inneequipment or operation? No
Throughput and/orfuel usage with units:
Control devices)(list):^ _I
Properly operated and maintained? I I I I I I I I
Fora permit exempt facility found to be improperly�erating or maintaining plant equipment:1)�rovide compliance_
assistance as_a first option;2)initiate enforcement action in egregious/repeat cases;3)re-evaluate facility's emissions using a —
more representative control efficiency/emission factor;4)If re-evaluated actual emissions result in a classification/registration
change,follow enforcement guidelines for operation without a permit/registration;and 5)increase compliance visit frequency.
Notes or calculations ace: ---
I ln CY 2019this facility used 250 pounds of a]umunum oxide gritthat could result in up to 250 pounds per year of
IPM/PM10emissions. I I I I I I I Ir I — -- __
IIn CY 2019 this facility used less than 55 gallons of Safety-Kleen Gold Solvent that could result in up to 368.5 Ib/yr I—
(of VOC. I I I I I I I
Permit Exemption:
•Actual emissions from the previous year(s)(and projected actual)of PM10,5O2,NOx,VOCs,CO,HAPs,and TAPs
are each<5 tpy and whose actual total aggregate of these emissions are<10 tpy
•Can be subject to 40 CFR Part 63(MACT or GACT)and 40 CFR Part 60(NSPS)____-_— _.....
•Cannot be subject to Rule 2Q.0315(Synthetic Minor Facilities)or 2Q_0500(Title V Procedures) — _ �—