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HomeMy WebLinkAboutAQ_F_0100010_20121212_CEM_RptRvwLtr A74L)A.. RCDENR North Carolina Department of Environment and Natural Resources Division of Air Quality Beverly Eaves Perdue Sheila C. Holman Dee Freeman Governor Director Secretary December 12, 2012 Mr. Alan Skrzypczak Facility Manager Stericycle,Inc. Post Office Box 310 Haw River,North Carolina 27258 SUBJECT: Review of 2012 CO/02 CEMS RATA Stericycle, Inc. Haw River, Alamance County,North Carolina Facility ID# 0100010 Air Permit No. 05896T20 Dear Mr. Skrzypczak: Thank you for the timely submittal of the subject report received,December 6, 2012, from Stericycle, Inc. - Haw River. The Division of Air Quality(DAQ) has completed its review of the relative accuracy test audit(RATA) conducted by Custom Stack Analysis, LLC. Testing was conducted on both of Stericycle's hospital,medical and infectious waste incinerators (HMIWI ESO 1 and ES02) on October 23-24, 2012. The results reported for the carbon monoxide (CO) continuous emission monitoring systems(CEMS) and oxygen(02)diluent monitors are summarized below. Emission Source Analyzer Relative Accuracy ESO1 CO 1.24 ppmv* 02 14.79% ES02 CO 1.43 ppmv* 02 18.92% - *Alternative demonstration: RA<5 ppmv when the RA is calculated as absolute average difference between reference method and source's CEMS plus 2.5 percent confidence coefficient. Based on our review, we offer the following comments: 1. Test results from the RATA indicate all CO and 02 analyzers appear to have met the relative accuracy requirements set forth in Performance Specifications(PS) 4A & 3, which are found in 40 CFR Part 60, Appendix B. Technical Services Section 1641 Mail Service Center,Raleigh,North Carolina 27699-1641 One 217 West Jones Street,Raleigh,NC 27603 NorthCarohna Phone: 919-707-8407/FAX 919-715-0718/Internet: www.ncair.org )Vatmally An Equal Opportunity/Affirmative Action Employer—50%Recycled/10%Post Consumer Paper Mr. Alan Skrzypczak December 12, 2012 Page 2 2. 40 CFR Part 60, Appendix F (permit specific condition 2.1.A.l.h.) requires that quarterly audits must be conducted, with a RATA being conducted at least once every four calendar quarters. The next RATA for ESO 1 and ES02 should be completed by December 31,"2013. Please ensure that the QA/QC requirements are met and complied with at all times. In addition, please notify this office at least 45 days prior to performing the annual RATA so that arrangements can be made to observe the test. 3. During our October 24, 2012, facility visit, you indicated that Stericycle was testing a like- kind (i.e., same manufacturer and model number as primary monitor) backup CO CEMS for possible use on ESO1 and ES02. You requested DAQ approval to use the backup analyzer as a replacement monitor in the event one of the primary monitors failed. DAQ has considered your request and will consider data obtained from backup CO CEMS (Mfg/model: Thermo Scientific/48i; Serial#: CM 09080034) to be valid provided the following conditions are met: a. Daily calibration drift test. Consistent with PS-4A, the CEMS calibration must not drift or deviate from the reference value of the calibration gas by more than 5 percent of the established span value. This test should be conducted immediately after installing the backup CO CEMS. b. Linearity error test. This is a three-point gas audit using calibration gases in the following ranges (as percent of analyzer span): low (20-30%), mid (50-60%) and high (80-100%). The error in linearity for each calibration gas concentration (low-, mid-, and high levels) shall not exceed or deviate from the reference value by more than 5.0 percent as calculated by the equation: LE_ (JR-Al/R)*100% where LE = Percent Linearity Error; R= Reference value of calibration gas; A = Average of monitoring system response. This test should be conducted as soon as practicable after installing the backup CO CEMS. c. RATA. If the backup analyzer is used for more than 720 cumulative hours during any calendar year, a RATA must be conducted. If you should have any questions, please contact me at (919) 707-8493 or alan.drake@ncdenr.gov. Sincerely, Alan Drake Environmental Engineer cc: Michael Pjetraj, RCO Central Files, Alamance County Margaret Love, WSRO IBEAM (0 1000 10)