HomeMy WebLinkAboutAQ_F_1900082_20200304_CMPL_CAV-Rpt (4) r'x
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NORTH CAROLINA DIVISION OF Raleigh Regional Office
AIR QUALITY Goldston Lumber,Inc.
NC Facility ID: 1900082
Inspection Report Date: 03/16/2020 County/FIPS: Chatham/037
Facility Data Permit Data
Goldston Lumber,Inc. Permit:N/A
2304 South Main Street Issued:N/A
Goldston,NC 27252 Expires:NIA
Lat: 35d 35.2260m Long: 79d 19.6040m Class/Status:Permit Exempt
SIC: 2421/Sawmills&Planing Mills General Permit Status: Inactive
NAICS: 321113/Sawmills Current Permit Application(s):None
Program Applicability
Contact Data SIP
Facility Contact Authorized Contact Technical Contact
Paul Shields Paul Shields Paul Shields
President President President
(919)777-8803 (919)777-8803 (919)777-8803
Compliance Data
Comments:Facility appears to be ' ompliance.
Inspection Date: 03/04/2020
Inspector's Signature: Inspector's Name: Jeff Bouchelle
Operating Status: Operating
leffAy L. Bouchelle Compliance Code: Compliance-inspection
Action Code:FCE
Date of Signature: March 16,2020 On-Site Inspection Result: Compliance
Total Actual emissions in TONS/YEAR:
TSP S02 NOX VOC CO PM10 *HAP
-2012 52.14 --- --- --- --- 17.16 ---
2007 61.82 --- --- --- --- 12.84 ---
Highest HAP Emitted(in pounds)
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
(I) DIRECTIONS TO FACILITY: From the Raleigh Regional Office(RRO), take I-440 (West) to US Highway 1
(South) to US Highway 64 (West) to Pittsboro. Take NC Highway 902 (West) to Main Street in Goldston, NC.
Turn left on Main Street,and Goldston Lumber,Incorporated,will be one half(0.5) of a mile on the right.
(II) FACILITY DESCRIPTION: Goldston Lumber,Inc.,saws and planes green lumber primarily for pallet cants and
landscaping timbers. Goldston Lumber,Inc., currently employs nine(9)employees working a 40-hour work week.
(IIn SPECIAL SAFETY NEEDS: Personal Protective Equipment(PPE)includes,but is not limited to: 1). steel-toed
shoes; 2).hard hat; 3). safety glasses; 4). hearing protection; and 5). a high-visibility safety vest.
(IV) INSPECTION SUMMARY: On March 4, 2020,I(Jeff Bouchelle)met with Mr.Paul Shields,President/Owner,
for a Compliance Assurance Visit(CAV). A little over two(2)years ago(November 17,2017),Goldston Lumber,
Inc.,experienced a major fire(at night)in the plant. One ofthe main buildings burned-to-the ground along with two
(2)large heavy pieces of equipment (loaders)that were destroyed in the fire. After the fire,Mr.Paul Shields was
scrambling to keep his employees working with only skeleton equipment left operational. With a major part of his
facility now destroyed by fire, he was having to change up operation a bit, and only produce planed timbers for
landscaping. As of the writing of this report, Goldston Lumber, Inc., still produces(for the most part)landscaping
timbers and a much smaller amount of cut green boards for pallet cants. Based on information supplied by Goldston
Lumber, Inc., the facility qualified for exemption from permitting since facility-wide actual emissions for
particulate matter (PM10), sulfur dioxide, nitrogen oxides, volatile organic compounds, carbon monoxide,
hazardous air pollutants(HAPs), and toxic air pollutants (TAPs) from previous years, each had been less than five
(5)tons per year, and the total actual aggregate emissions of these pollutants had been less than ten(10) tons per
year. It was also noted there are no future plans to make any changes that would increase emissions above these
exemption thresholds. Therefore, in accordance with the request from Goldston Lumber, Inc., to rescind Air
Quality Permit No.: 07640R04,the permit was rescinded effective February 8, 2019.
(V) CLEAN AIR ACT SECTION 112(r)REQUIREMENTS: Pursuant to 40 CFR Part 68,if the Permittee
is required to develop and register a Risk Management Plan(RMP)pursuant to Section 112(r)of the
Federal Clean Air Act,then the Permittee is required to register this plan to the EPA.
RMP Not Required—Goldston Lumber, Inc., is subject to the 112(r)program general duty clause,but
does not maintain regulated chemicals onsite above the threshold quantities,which would require a risk
management plan.
(VI) COMPLIANCE HISTORY: A review of I-BEAM revealed a Notice of Deficiency(NOD)in May,2013,
for 15A NCAC 2D.0202"Registration of Air Pollution Sources", and 15A NCAC 2Q .0304
"Applications".
In June, 2012,the facility was issued a Notice of Violation(NOV) for 15 NCAC 2D .0512 and General
Conditions B6"operating while not properly maintained". June, 2008, a Notice of Violation(NOV) was
issued for 15A NCAC 2D.0202"Registration of Air Pollution Sources", and 15A NCAC 2Q .0304
"Applications".
(VII) CONCLUSIONS/RECOMMENDATIONS: At the time of this Compliance Assurance Visit(CAV), it
appears that Goldston Lumber,Inc., was in compliance with all air quality regulations. It is recommended
Goldston Lumber, Inc.,be revisited again in two(2)years. ---JL$�i
Attachment Compliance Assurance Visit Woodworking and Wood Kiln Checklist
Compliance Assurance Visit Woodworking and Wood Kiln Checklist
Facility ID 1900082
Facility Name Goldston Lumber, Inc.
Physical Address 2304 South Main Street
City Goldston Zip Code 27252 County I Chatham
Facility Contact Paul Shields Title President
Phone Number 919-777-8803(cell)
Mailing Address P.O. Box 219,Goldston,INC 27252
Facility Contact Email poldston.lumber@gmail.com
Is the facility contact the person that you met? If not,fill out the following:
Contact Name Same as above. Title
Phone number
Mailing Address
Facility Contact Email
Safety Requirements Safety Shoes Y V N
Safety Glasses Y V N
Hearing Protection Y V N
Hard Hat Y V N
Other(Specify)
Normal Operational Schedule(H/D, D/W,W/YR) 7:30 am-4:30 pm;Monday-Friday;50 weeks/yr
Since last inspection, have there been any changes in equipment or operation? I Y I N V
Throughput and/or fuel usage with units: Eight(8)million board feet/year
List of Control Device(s):
Cyclone at chipper(heavy green chips)
Properly Maintained Y V N If No, Details:
Rules:
2D.0521 Opacity(%)-indicate any non-zero opacities observed:
No opacity observed.
2D .0540 Fugitive dust-indicate whether fugitive dust was observed leaving property boundary:
No fugitive dust observed.
2D 1806 Odors-indicate if any objectionable odors were detected beyond the property boundary:
No odors detected.
Must total= 100%
Wood waste(tpy) approximately 500 tpy Planing 0%
or Sawing/chipping 50%
Throughput(board ft/yr) Eight(8)million board feet/year Rough sawing 50%
Wet/dry wood? Wet Fine sawing 0%
Bagfilter or cyclone? Cyclone(heavy green chips) Milling(&hog) 0%
Molding 0%
Sanding 0%
Total 100%
Wood Kiln
Throughput(board ft/yr) Not Applicable
Hardwood Not Applicable
Softwood Not Applicable
For softwood, circle one kiln type
Steam Heated
Direct-Fired Suspension
Direct-Fired Kiln Gasifier
Permit Exemption:
• Actual emissions from the pr"e iv ous 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)
Registration:
• Actual aggregate emissions>= 5 tpy and < 25 tpy: PM10, CO, NOx, 5O2,VOCs, HAPs, and TAPs.
• Cannot meet permit exemption under 2Q.0102(d)
• Cannot be subject to Rule 2Q.0315 (Synthetic Minor Facilities) or 2Q.0500 (Title V Procedures)
• Cannot be subject to 40 CFR Part 63 (MACT) {Can be subject to 40 CFR Part 63 (GACT)}
• Cannot emit volatile organic compounds or nitrogen oxides if the facility is located in a nonattainment area
• Cannot be subject to 40 CFR Part 60 (NSPS) except for sources which are exempt under 2Q.0102 (g) or(h)