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HomeMy WebLinkAboutAQ_F_0400047_20200519_CMPL_InspRpt NORTH CAROLINA DIVISION OF Fayetteville Regional Office AIR QUALITY B.V.Hedrick Gravel and Sand Company NC Facility ID 0400047 Inspection Report County/FIPS:Anson/007 Date: 05/19/2020 Facility Data Permit Data B.V.Hedrick Gravel and Sand Company Permit 09572/R04 403 Gravel Plant Rd. Issued 6/10/2015 Lilesville,NC 28091 Expires 5/31/2023 Lat: 34d 56.7302m Long: 79d 55.8806m Class/Status Synthetic Minor SIC: 1442/Construction Sand And Gravel Permit Status Active NAICS: 212321 /Construction Sand and Gravel Mining Current Permit Application(s)None Contact Data Program Applicability Facility Contact Authorized Contact Technical Contact SIP TimothyJones Dann Settle Jason Conner MACT Part 63: Subpart ZZZZ Y NSPS: Subpart IIII,Subpart 000 Superintendent President-Eastern VP Land Management (704)8484165 Division (828)686-3844 (704)827-8114 Compliance Data Comments: Inspection Date 05/19/2020 Inspector's Name Jeffrey Nelson Inspector's Signature: ®, Operating Status Operating Compliance Code Compliance-inspection Action Code FCE Date of Signature: On-Site Inspection Result Compliance Total Actual emissions in TONSIYEAR: TSP SO2 NOX VOC CO PM10 *HAP 2014 --- --- --- --- --- --- --- 2009 0.0400 0.0200 0.3100 0.0300 0.0700 0.0300 0.1670 *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 44 miles to Lilesville. In Lilesville,turn right at the flashing caution light onto 5th Street(at elementary school). Follow 5th Street,and bear left to continue on Wall Street,go—'/z mile to Stanback Ferry Road. Turn right and go %mile to Ingram Mountain Road,turn right and go—1 mile. Proposed quarry site is located on the left past gate. 2) SAFETY CONSIDERATIONS: Currently there are no mining activities taking place at this facility. Standard DAQ safety gear will be required if mining operations ever commence. 3) FACILILTY PROCESS AND DESCRIPTION: This facility has never been built. The following description is what was proposed for the facility originally.This facility is a 350 ton per hour throughput capacity crushing/screening operation that processes granite aggregate products,using a primary jaw crusher with a capacity of 250 tons per hour. The granite is mined from the quarry by drilling and blasting the material.Material from the quarry is loaded into haulage trucks via power shovel or front end loader and conveyed to the primary crusher. A grizzly feeder is utilized to remove undersize material,and oversize material is fed to the primary crusher, which is described as a jaw crusher,250 tons per hour maximum throughput with a 6-inch crusher setting. Discharged material from the crusher is sent to various secondary screens and a secondary crusher in order to obtain various sizes of aggregate materials.The materials are stored in piles on site, and loaded into trucks via front end loader for shipment to the customer. There is no washing of product at this site. Particulate emissions are controlled by water sprays on the crusher, screens,and conveyor transfer points. There are no stationary reciprocating internal combustion engines at this site. 4. INSPECTION SUMMARY: On May 19,2020, 1, Jeff Nelson, of FRO DAQ,made a call to B.V.Hedrick Gravel and Sand and spoke with Jason Connor,Land Management Geologist.The purpose of this call was to perform a partial compliance inspection during the COVID-19 outbreak.No physical inspection of the facility was performed. Items discussed during this call were the following: a. Is the facility operating? No,the facility did not operate in 2019 and has no plans to operate in 2020. b. Is the facility continuing to operate all relevant control devices? No,the facility is not operating. c. Are all the required monitoring, inspection, and recordkeeping activities being conducted as required in the air permit? No monitoring is being conducted because the facility is not operating. d. Are all periodic reports being submitted per the permit requirements? No reports are required. e. Is the permit nearing expiration? No. The permit expires on May 31, 2023. The company plans to submit a permit renewal application on time. f.Is the Air Quality Emission Inventory due soon? No the Emission Inventory is not due until the next permit renewal,which will be during 2023. g. Is there any upcoming testing required? There is no upcoming testing. h. Are there any operating issues at this time, or do they foresee any operating issues that will affect their ability to meet the air quality requirements? There are no operating issues at this time because the facility is not operating. i.Do they require any assistance from DAQ at this time? No assistance is required at this time. 5) 112R Status This facility does not store any of the listed chemicals above threshold limits and is not required to maintain a written Risk Management Plan (RMP). 6)Non-compliance History Since 2010 There have been no prior DAQ violations in this facility's permitted history. 7)Comments and Compliance Statement The facility has not operated since 2012.B.V. Hedrick has no plans to reopen the mining operation in the foreseeable future. B.V.Hedrick Gravel & Sand Company appeared to be in compliance with the conditions specified in the facility's current air permit on 19 May 2020. Pink sheet:No comments. /jln