HomeMy WebLinkAboutAQ_F_0400030_20200310_CMPL_InspRpt NORTH CAROLINA DIVISION OF Fayetteville Regional Office
AIR QUALITY Columbus McKinnon Corp-Wadesboro Operations
NC Facility ID 0400030
Inspection Report County/FIPS: Anson/007
Date: 03/27/2020
Facility Data Permit Data
Columbus McKinnon Corp-Wadesboro Operations Permit 03671 /Rl l
2020 Country Club Road Issued 5/14/2018
Wadesboro,NC 28170 Expires 4/30/2026
Lat: 34d 56.5990m Long: 80d 3.1730m Class/Status Small
SIC: 3536/Hoists,Cranes,And Monorails Permit Status Active
NAICS: 333923 /Overhead Traveling Crane,Hoist,and Monorail System Current Permit Application(s)None
Manufacturing
Program Applicability
Contact Data
Facility Contact Authorized Contact Technical Contact SIP
MACT Part 63: Subpart 6H.
Steve TefB Evan Archer Steve Tefft
Customer Fulfillment General Manager Customer Fulfillment
Manager (919)559-6154 Manager
(704)994-6290 (704)994-6290
Compliance Data
Comments:
Inspection Date 03/10/2020
Inspector's Name Jeffrey Nelson
Inspector's Signature: / P, Operating Status Operating
Compliance Code Compliance-inspection
Action Code FCE
Date of Signature: `1`( I On-Site Inspection Result Compliance
Total Actual emissions in TONS/YEAR:
TSP S02 NOX VOC CO PM10 * HAP
2017 0.0100 --- 2.12 --- 0.0100 1409.95
2012 0.0006 --- 2.05 --- 0.0006 1329.99
* Highest HAP Emitted(in pounds)
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
1) DIRECTIONS:
From FRO take Green Street to Gillespie and merge onto 195 BUS/301 S. Merge onto 301 S.,then take a
right onto NC 71. Continue to follow signs for NC 71. Merge onto HWY 74 W. and continue for 49 miles
to Wadesboro. From the intersection of HWY 74 and HWY 52 in Wadesboro,take Hwy 52 South and go
1 '/2 miles to Country Club Road. Turn left and the entrance to building is about 50 yards on right hand side.
Enter through front office.
2) SAFETY CONSIDERATIONS: Standard DAQ safety equipment.Be aware of forklift traffic in the
warehouse, as well as the heavy hoists that are transferred via overhead conveyor systems to the paint
booths.
3) FACILITY AND PROCESS DISCRIPTION:
The facility produces electric and hand-operated chain and cable hoists,as well as support
components for hoists. Hoists range in size from 250 pounds to 20 tons lifting capacity. Housing
castings and hoist parts are received from outside vendors, and the hoists are assembled and painted at
this facility. There is a small metal grinding operation for removal of any extraneous metal or burrs
from the metal castings. After full assembly,the hoists are painted in one of three paint spray booths.
The paint booths are equipped with integral panel filters to capture paint overspray droplets.
The painting operations became subject to NESHAP Subpart 6H because the facility utilized coatings
that contained Chromium in excess of 0.1%or Lead in excess of 1%by weight.
Note that the facility has now discontinued the use of coatings with 6H Target HAP. However,the
facility has requested that the Subpart 6H requirements be retained in the permit and has not
requested an exemption from the regulation for not using the target HAP.
4) PERMITTED EMISSION SOURCES:
Ell=I" d y
I ES-1375 One paint spray booth with integral panel filters N/A N/A
(NESHAP) Not Operating
ES-SPR-9 One paint spray booth with integral panel filters N/A N/A
(NESHAP) Operating with 0% V.E.
ES-SPR-14 One paint spray booth with integral panel filters N/A N/A
(NESHAP) Operating with 0% V.E.
INSIGNIFICANT/EXEMPT ACTIVITIES:
IES-FP 2Q .0102(h)(5) No
Foam Pa Yes
Packaging
IES-MG 2Q .0102(h)(5) No Yes
Metal Grinding Operation
5) INSPECTION CONFERENCE:
On 10 March 2020,I Jeff Nelson of FRO DAQ arrived at Columbus McKinnon to conduct a
compliance inspection. I met with the new facility contact Steve Tefft, Customer Fulfillment
Manager. We discussed the following:
a) Mr. Tefft verified the FACFINDER; Mr. Stillwell has left the company and the new facility contact is
Steve Tefft. Changes were made into IBEAM.
b) I inquired if any of the plant's operations had change. Mr. Tefft stated that their operations were the
same and their production levels were about the same as last year. Mr. Tefft explained that he was not
as knowledgeable about the air quality regulations and would need time to get the production numbers
for the 2019 year.
c)
d) Production:
Year ES-1375 ES-SPR-14 ES-SPR-9 Total Paint Total VOCs
gallons gallons gallons Usage Tons
gallons*
2018 1,320 2.34
2017 1,104 533 260 2.10
2016 4,400 450 975 3.08
2015 4,410 476 993 7.0
2014 4,595 494 138 7.79
*For the last permit renewal the facility grouped all of the painting sources together and are now reporting the total
amount of paint used in gallons.
6) INSPECTION SUMMARY:
Mr. Stillwell led me on a tour of the facility,which was operating. I observed the paint booths all of
which were clearly labeled, according to the permit Emission Source 1D. All of the booths appeared
to be clean and well maintained. ES-SPR-9 and ES-SPR-14 were operating. Operators keep a filter
log outside of each booth,noting when the filters are changed. We checked each log and all had
current entries. Magnahelics on all three appeared to be functioning properly and were within the
appropriate range compared to logbook readings. We observed no problems with any of the paint
booths.
7) PERMIT STIPULATIONS:
A. A.2 2Q .0304 PERMIT RENEWAL and EMISSIONINVENTORY REQUIREMENT—
Entire facility subject. Submit permit renewal application and EI at least 90 days prior to
permit expiration.
Appeared to be in compliance—The facility's most recent emissions inventory and permit
renewal were received on time. The next deadline for emissions inventory and permit
renewal is December 2025 for the 2024 calendar year.
B. A.3 2D .0515 PARTICULATES FROMMISCELLANEOUS INDUSTRL4L PROCESSES
Particulate matter emissions shall not exceed allowable emission rates
Appeared to be in compliance—Compliance was determined during the most recent permit
review based on operating the source as described in the permit conditions. No changes have
been made to operations since that determination.
C. AA 2D .0521 VISIBLE EMISSIONS CONTROL REQUIREMENT-Visible emissions
from the emission sources manufactured after July 1, 1971, shall not be more than 20%
opacity.
Appeared to be in compliance-I observed 0%VE from the two operating sources during
this inspection.
D. A.5 2D .0535 NOTIFICATION REQUIREMENT- The facility is required to notify DAQ
if excess emissions occur for more than a 4-hour period caused by a breakdown or other
abnormal condition.
Appears to be in compliance—Mr.Tefft stated that he was unaware of any exceedances,
breakdowns, or abnormal conditions that would require notification.
E. A.6 2D .0540 FUGITIVE DUST CONTROL REQUIRMENT—The Permittee shall not
cause or allow fugitive dust emissions to contribute to complaints or excessive visible
emissions beyond the property boundary.
Appeared to be in compliance—I observed no fugitive dust emissions. This facility has all
paved roads and parking. FRO DAQ has received no complaints against the facility. Mr.
Tefft stated that he has not received any dust complaints.
F. A.7 2D .I I I I M4XIMUMACHIEVABLE CONTROL TECHNOLOGY—Applicability of
GACT Subpart H1-1HH"Paint Stripping and Miscellaneous Surface Coating Operations at
Area Sources"—Facility must use High Volume Low Pressure(HVLP) spray heads for
painting, paint booth filters must provide at least 98% capture efficiency,maintain records of
training and certifications for each employee conducting paint spraying operations.
Appeared to be in compliance—The facility maintains the three spray paint booths in
compliance with 6H requirements including HVLP spray guns. Records are kept for each
employee that operates a spray booth documenting their training history. Records are
maintained documenting the filter efficiency(98%) and frequency of maintenance for each
spray booth. The last training session for the paint staff was on 5 June 2018. The facility
continues to adhere to the requirements of 6H even though the paints in use do not contain the
subject chemicals.
G. A.8 2Q .0711 TOXICAIRPOLLUTANTEMISSIONLIMITATIONREQUIREMENT—
The Permittee shall maintain records of operational information demonstrating that the TAP
emissions do not exceed the TPER listed as MLBK 52 lbs/day, Toluene 98 lbs/day,and
Xylene 57 lbs/day.
Appeared to be in compliance—Compliance was determined during the most recent permit
review based on operating the source as described in the permit conditions.No changes have
been made to operations since that determination.
H. A.9 2Q .0803 COATING,SOLVENT CLEANINGAND GRAPHICARTS
EXCLUSIONARYRULE REQUIREMENTS-The facility potential emissions shall be less
than 100 tons per year VOC, 10 tons per year each HAP, and 25 tons per year all HAPs. The
Permittee shall maintain records and submit an annual report of facility emissions.
Deficiency Noted—The facilities emission totals were not available during the inspection. I
believe that the numbers are available; however,Mr. Tefft is new to the position and didn't
know where to access the information at the time of the inspection. Mr. Tefft explained that
he would be sending those numbers to FRO when he could. An NOD was sent on March 12,
2020 to this facility for not sending their annual report.
8) 112R STATUS:
This facility does not store any of the listed chemicals above the threshold quantities, and is not
required to maintain a written Risk Management Plan(RMP).
9) NON-COMPLIANCE HISTORY SINCE 2010:
March 12: Reporting
10) COMMENTS AND COMPLIANCE STATEMENT:
Columbus McKinnon Corp.—Wadesboro Operations appeared to be in compliance with the
conditions in their current air permit with deviation noted above(See section H)on 10 March 2020. I
recommend sending an NOD for not sending in the annual report required under 2Q.0803.
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