Loading...
HomeMy WebLinkAboutIDEM letter 3-18-2011�{arC yC Ob 05000-1 INDIANA DEPARTMENT OF ENVIRONMENTAL MANAGEMENT We Protect Hoosiers and Our Environment. Mitchell E. Daniels Jr. 100 North Senate Avenue Governor Indianapolis, Indiana 46204 (317) 232-8603 Thomas W. Easterly Toll Free (800) 451 -6027 Commissioner www.idem.IN.gov TO: Interested Parties Applicant DATE: Mar. 18, 2011 RE: Horton Fan Systems 057 29967 -00077 0 1l.J t4'€ t t r FROM: Matthew Stuckey, Branch Chief Permits Branch Office of Air Quality Notice of Decision Approval Please be advised that on behalf of the Commissioner of the Department of Environmental Management, have issued a decision regarding the enclosed matter. Pursuant to 326 IAC 2, this approval was effective immediately upon submittal of the application. If you wish to challenge this decision, IC 4- 21.5 -3 -7 requires that you file a petition for administrative review. This petition may include a request for stay of effectiveness and must be submitted to the Office of Environmental Adjudication, 100 North Senate Avenue, Government Center North, Suite N 501E, Indianapolis, IN 46204, within eighteen (18) calendar clays from the mailing of this notice. The filing of a petition for administrative review is complete on the earliest of the following dates that apply to the fling: the date the document is delivered to the Office of Environmental Adjudication (OEA); (2) the date of the postmark on the envelope containing the document, if the document is mailed to OEA by U.S. mail; or (3) The date on which the document is deposited with a private carrier, as shown by receipt issued by the carrier, if the document is sent to the OEA by private carrier. The petition must include facts demonstrating that you are either the applicant, a person aggrieved or adversely affected by the decision or otherwise entitled to review by law. Please identify the permit, decision, or other order for which you seek review by permit number, name of the applicant, location, date of this notice and all of the following: (1) the name and address of the person making the request; (2) the interest of the person making the request; (3) identification of any persons represented by the person making the request; (4) the reasons, with particularity, for the request; (5) the issues, with particularity, proposed for considerations at any hearing; and (6) identification of the terms and conditions which, in the judgment of the person making the request, would be appropriate in the case in question to satisfy the requirements of the law governing documents of the type issued by the Commissioner. If you have technical questions regarding the enclosed documents, please contact the Office of Air Quality, Permits Branch at (317) 233 -0178. Callers from within Indiana may call toll -free at 1- 800 -451- 6027, ext. 3 -0178. Recycled Paper Enclosures FNPER-AM.dot1 2/3/07 An Equal Opportunity Employer Please Recycle 0 IDEM INDIANA DEPARTMENT OF ENVIRONMENTAL MANAGEMENT We Protect Hoosiers and Our Environment. Mitchell E. Daniels Jr. 100 North Senate Avenue Governor Indianapolis, Indiana 46204 (317) 232 -8603 Thomas W. Easterly Toll Free (800) 451 -6027 Commissioner www.idem.IN.gov Jim Gleber Horton Fan Systems 201 West Carmel Drive Carmel, Indiana, 46032 Dear Jim Gleber: Recycled Paper Mar. 18, 2011 Re: Exempt Operation Status, 057 29967 -00077 The application from Horton Fan Systems, received on December 3, 2010, has been reviewed. Based on the data submitted and the provisions in 326 IAC 2- 1.1 -3, it has been determined that the following stationary fan blade manufacturing plant located at 201 West Carmel Drive, Carmel, Indiana 46032 is classified as exempt from air pollution permit requirements: (a) One (1) E -Coat Line, constructed prior to 2005, with a maximum capacity of 131,400 fans per year, consisting of the following: (1) One (1) natural gas -fired Dip Tank Heater, identified as E -1, with a maximum heat input capacity of 0.8 MMBtu /hr, utilizing no controls, exhausting inside the building; (2) One (1) natural gas -fired Dip Tank Heater, identified as E -2, with a maximum heat input capacity of 0.8 MMBtu /hr, utilizing no controls, exhausting inside the building; (3) One (1) natural gas -fired Water Heater, identified as E -3, with a maximum heat input capacity of 0.04 MMBtu /hr, utilizing no controls, exhausting inside the building; (4) One (1) natural gas -fired Cure Oven, identified as E-4, with a maximum heat input capacity of 1.6 MMBtu /hr, utilizing no controls, exhausting inside the building; (5) One (1) natural gas -fired Paint Line Oven, identified as E -5, with a maximum heat input capacity of 1.6 MMBtu /hr, utilizing no controls, exhausting outside the building; (6) Eleven (11) open -top dip tanks, with each tank containing a different washing, rinsing, cleaning, sealing, coating, or final rinse solution. Each part coated goes through each tank sequentially; therefore, this is considered one manufacturing process. The liquid used in each of the rinse tanks is water. (b) One (1) Laser cutting Operation, consisting of two (2) lasers, identified as D -1, constructed prior to 2005, with a maximum throughput capacity of 131,400 fans per year, controlled by dust collector D -1, exhausting through stack D -1. The laser cutting operation cuts plastic and steel materials. (c) One (1) Touch -up Paint Booth, identified as P -1, constructed prior to 2005, using handheld spray paint cans for occasional use, with maximum capacity of 365 cans per year, utilizing an exhaust hood for particulate and fume control, exhausting inside the building. (d) One (1) closed- system Plastic Injection Molding Operation, consisting of two machines, identified as IM -1, constructed prior to 2005, with a maximum capacity of 200 pounds of non VOC plastic per hour, each, utilizing no controls, exhausting inside the building. (e) Twenty (20) natural gas -fired Comfort Heating Units, constructed prior to 2005, with a combined maximum heat input capacity of 6.14 MMBtu /hr, utilizing no controls, exhausting inside the building. An Equal Opportunity Employer Please Recycle 3 Horton Fan Systems Carmel, Indiana Permit Reviewer: Jack Harmon The following conditions shall be applicable: Page 2 of 2 Exemption 057 29967 -00077 (a) Pursuant to 326 IAC 5 -1 -2 (Opacity Limitations), except as provided in 326 IAC 5 -1 -3 (Temporary Alternative Opacity Limitations), opacity shall meet the following, unless otherwise stated in this permit: (1) Opacity shall not exceed an average of forty percent (40 in any one (1) six (6) minute averaging period as determined in 326 IAC 5 -1-4. (2) Opacity shall not exceed sixty percent (60 for more than a cumulative total of fifteen (15) minutes (sixty (60) readings as measured according to 40 CFR 60, Appendix A, Method 9 or fifteen (15) one (1) minute nonoverlapping integrated averages for a continuous opacity monitor) in a six (6) hour period. (b) Pursuant to 326 IAC 6-4 (fugitive Dust Emissions Limitations), the source shall not allow fugitive dust to escape beyond the property line or boundaries of the property, right -of -way, or easement on which the source is located, in a manner that would violate 326 IAC 6-4. This exemption is the first air approval issued to this source. A copy of the Exemption is available on the Internet at: http: /www.in.00v /ai /appfiles /idem caats for additional information about air permits and how the public and interested parties can participate, refer to the IDEM's Guide for Citizen Participation and Permit Guide on the Internet at: www.idem.in.qov An application or notification shall be submitted in accordance with 326 IAC 2 to the Office of Air Quality (OAQ) if the source proposes to construct new emission units, modify existing emission units, or otherwise modify the source. If you have any questions on this matter, please contact Jack Harmon, OAQ, 100 North Senate Avenue, MC 61 -53 IGCN 1003, Indianapolis, Indiana, 46204 -2251, at 317 -233- 4228 or at 1- 800 451 -6027 (ext 3- 4228). IC /jh cc: File Hamilton County Hamilton County Health Department Compliance and Enforcement Branch Billing, Licensing and Training Section Sincerely, Iryn lilung, Section Chief Permits Branch Office of Air Quality Pollutant Designation S0 Better than national standards. CO Unclassifiable or attainment effective November 15, 1990. 0 ttainment effective October 19, 2007, for the 8 -hour ozone standard.' PM, Unclassifiable effective November 15, 1990. NO Cannot be classified or better than national standards. Pb Not designated. 'Unclassifiable or attainment effective October 18, 2000, for the 1 -hour ozone standard, which was revoked effective June 15, 2005. Basic nonattainment designation effective federally April 5, 2005, for PM2.5. Source Description and Location Source Name: Source Location: County: SIC Code: Exemption No.: Permit Reviewer: Indiana Department of Environmental Management Office of Air Quality Technical Support Document (TSD) for an Exemption On December 3, 2010, the Office of Air Quality (OAQ) received an application from Horton Fan Systems related to the operation of an existing stationary fan blade manufacturing plant. Additional information was received February 21, 2011 and March 7, 2011. Existing Approvals There have been no previous approvals issued to this source. The source is located in Hamilton County. Horton Fan Systems 201 West Carmel Drive, Carmel, Indiana 46032 Hamilton 3764 057 29967 -00077 Jack Harmon Page 1 of 6 County Attainment Status (a) (b) Ozone Standards Volatile organic compounds (VOC) and Nitrogen Oxides (NOx) are regulated under the Clean Air Act (CAA) for the purposes of attaining and maintaining the National Ambient Air Quality Standards (NAAQS) for ozone. Therefore, VOC and NOx emissions are considered when evaluating the rule applicability relating to ozone. Hamilton County has been designated as attainment or unclassifiable for ozone. Therefore, VOC and NOx emissions were reviewed pursuant to the requirements for Prevention of Significant Deterioration (PSD), 326 IAC 2 -2. PM2.5 U.S. EPA, in the Federal Register Notice 70 FR 943 dated January 5, 2005, has designated Hamilton County as nonattainment for PM On March 7, 2005 the Indiana Attorney General's Office, on behalf of IDEM, filed a lawsuit with the Court of Appeals for the District of Columbia Circuit challenging U.S. EPA's designation of nonattainment areas without sufficient data. However, in order to ensure that sources are not potentially liable for a violation of the Clean Air Horton Fan Systems Carmel, Indiana Permit Reviewer: Jack Harmon Page 2 of 6 TSD for Exemption No. 057 29967 -00077 Act, the OAQ is following the U.S. EPA's New Source Review Rule for PM promulgated on May 8, 2008. These rules became effective on July 15, 2008. Therefore, direct PM and S0 emissions were reviewed pursuant to the requirements of Nonattainment New Source Review, 326 IAC 2- 1.1 -5. See the State Rule Applicability Entire Source section. (c) Other Criteria Pollutants Hamilton County has been classified as nonattainment in Indiana for PM2.5. Therefore, these emissions were reviewed pursuant to the requirements for Emission Offset, 326 IAC 2 -3. Fugitive Emissions The fugitive emissions of criteria pollutants and hazardous air pollutants are counted toward the determination of 326 IAC 2 -1.1 -3 (Exemptions) applicability. Background and Description of Emission Units and Pollution Control Equipment The Office of Air Quality (OAQ) has reviewed an application, submitted by Horton Fan Systems on December 3, 2010, relating to a stationary fan blade manufacturing plant. Horton Fan Systems acquired this facility in 2005, and the equipment had already been constructed in this existing facility. The plant will manufacture plastic fan blades and steel fan blades. The manufacturing system includes plastic injection molding systems, laser cutting operations for steel and plastic, multiple combustion units, and an E-Coat Line, coating plastic and steel substrate. Emissions calculations are shown in Appendix A of this document. The potential uncontrolled emissions are within the Exemption threshold; therefore, an Exemption will be issued. The source consists of the following existing emission units: (a) One (1) E -Coat Line, constructed prior to 2005, with a maximum capacity of 131,400 fans per year, consisting of the following: (1) One (1) natural gas -fired Dip Tank Heater, identified as E -1, with a maximum heat input capacity of 0.8 MMBtu /hr, utilizing no controls, exhausting inside the building; (2) One (1) natural gas -fired Dip Tank Heater, identified as E -2, with a maximum heat input capacity of 0.8 MMBtu /hr, utilizing no controls, exhausting inside the building; (3) One (1) natural gas -fired Water Heater, identified as E -3, with a maximum heat input capacity of 0.04 MMBtu /hr, utilizing no controls, exhausting inside the building; (4) One (1) natural gas -fired Cure Oven, identified as E-4, with a maximum heat input capacity of 1.6 MMBtu /hr, utilizing no controls, exhausting inside the building; (5) One (1) natural gas -fired Paint Line Oven, identified as E -5, with a maximum heat input capacity of 1.6 MMBtu /hr, utilizing no controls, exhausting outside the building; (6) Eleven (11) open -top dip tanks, with each tank containing a different washing, rinsing, cleaning, sealing, coating, or final rinse solution. Each part coated goes through each tank sequentially; therefore, this is considered one manufacturing process. The liquid used in each of the rinse tanks is water. (b) One (1) Laser cutting Operation, consisting of two (2) lasers, identified as D -1, constructed prior to 2005, with a maximum throughput capacity of 131,400 fans per year, controlled by dust collector D -1, exhausting through stack D -1. The laser cutting operation cuts plastic and steel materials. (c) One (1) Touch -up Paint Booth, identified as P -1, constructed prior to 2005, using handheld spray paint cans for occasional use, with maximum capacity of 365 cans per year, utilizing an exhaust hood for particulate and fume control, exhausting inside the building. (d) One (1) closed- system Plastic Injection Molding Operation, consisting of two machines, Horton Fan Systems Carmel, Indiana Permit Reviewer: Jack Harmon Page 3 of 6 TSD for Exemption No. 057 29967 -00077 identified as IM -1, constructed prior to 2005, with a maximum capacity of 200 pounds of non VOC plastic per hour, each, utilizing no controls, exhausting inside the building. (e) Twenty (20) natural gas -fired Comfort Heating Units, constructed prior to 2005, with a combined maximum heat input capacity of 6.14 MMBtu /hr, utilizing no controls, exhausting inside the building. Enforcement Issues There are no pending enforcement actions related to this source. Emission Calculations See Appendix A of this TSD for detailed emission calculations. Permit Level Determination Exemption The following table reflects the unlimited potential to emit (PTE) of the entire source before controls. Control equipment is not considered federally enforceable until it has been required in a federally enforceable permit. (a) The potential to emit (PTE) (as defined in 326 IAC 2 -1.1- 1(16)) of all regulated criteria pollutants are less than the levels listed in 326 IAC 2- 1.1- 3(e)(1). Therefore, the source is subject to the provisions of 326 IAC 2 -1.1 -3 (Exemptions). Potential To Emit of the Entire Source (tons /year) Total Worst Process/ Emission Unit PM PM10 PM2.5 SO 2 NOx VOC CO HAPs Single HAP E -Coat Line Combustion E -1 0.05 0.39 0.39 0.01 2.47 0.14 2.08 4.66E -02 4.45E -02 through E -5 (Hexane) E -Coat Line Dip 2.36 Tanks and Cleaning 0.00 0.00 0.00 0.00 0.00 4.53 0.00 2.36 (Glycol 11 units Ethers) Laser Operation D -1 1.81 1.81 1.81 0.00 0.00 0.00 0.00 4.35E -02 3.07E -02 (Manganese) Touchup Paint P -1 0.00 0.00 0.00 0.00 0.00 0.12 0.00 0.00 0.00 Plastic Injection negl. negl. negl. 0.00 0.00 0.00 0.00 0.00 0.00 Molding IM -1 Comfort Heaters (20) 0.05 0.05 0.05 0.02 2.69 0.15 2.26 5.07E -02 4.84E -02 Hexane Total PTE of Entire 2.36 Source 1.91 2.08 2.20 0.03 5.16 4.93 4.33 2.50 (Glycol Ethers Exemptions Levels 5 5 5 10 10 10 25 25 10 Registration Levels 25 25 25 25 25 25 100 25 10 negl. negligible Under the Part 70 Permit program (40 CFR 70), particulate matter with an aerodynamic diameter less than or equal to a nominal 10 micrometers (PM10), not particulate matter (PM), is considered as a "regulated air p ollutant". PM2.5 is assumed to beequal to PM10. (a) The potential to emit (PTE) (as defined in 326 IAC 2 -1.1- 1(16)) of all regulated criteria pollutants are less than the levels listed in 326 IAC 2- 1.1- 3(e)(1). Therefore, the source is subject to the provisions of 326 IAC 2 -1.1 -3 (Exemptions). Horton Fan Systems Carmel, Indiana Permit Reviewer: Jack Harmon Page 4 of 6 TSD for Exemption No. 057 29967 -00077 (b) The potential to emit (PTE) (as defined in 326 IAC 2 -1.1- 1(16)) of any single HAP is less than ten (10) tons per year and the PTE of a combination of HAPs is less than twenty -five (25) tons per year. Therefore, this source is an area source under Section 112 of the Clean Air Act (CAA) and not subject to the provisions of 326 IAC 2 -7. 1 Federal Rule Applicability Determination 1 New Source Performance Standards (NSPS2 (a) There are no New Source Performance Standards (NSPS) {326 IAC 12 and 40 CFR Part 60) included in the permit. National Emission Standards for Hazardous Air Pollutants (NESHAP) (a) The requirements of the National Emission Standards for Hazardous Air Pollutants (NESHAPs) for Surface Coating of Miscellaneous Metal Parts and Products, 40 CFR 63, Subpart MMMM, are not included in the permit, since this source is not a major source of HAPs. Therefore, the requirements of 40 CFR 63, Subpart MMMM do not apply. (b) The requirements of the National Emission Standards for Hazardous Air Pollutants (NESHAPs) for Surface Coating of Plastic Parts and Products, 40 CFR 63, Subpart PPPP, are not included in the permit, since this source is not a major source of HAPs. Therefore, the requirements of 40 CFR 63, Subpart PPPP do not apply. (c) The requirements of the National Emission Standards for Hazardous Air Pollutants (NESHAPs) for Paint Stripping and Miscellaneous Surface Coating at Area Sources, 40 CFR 63, Subpart HHHHHH, are not included in the permit, since this source does not perform any paint stripping, or spray application of coatings that contain target HAPs, or spray application of coating to motor vehicles and motor equipment. Therefore, the requirements of 40 CFR 63, Subpart HHHHHH do not apply. (d) The requirements of the National Emission Standards for Hazardous Air Pollutants (NESHAPs) for Area Source Standards for Plating and Polishing Operations, 40 CFR 63, Subpart WWWWWW, are not included in the permit, since this source does not perform any plating. Therefore, the requirements of 40 CFR 63, Subpart WWWWWW do not apply. (e) The requirements of the National Emission Standards for Hazardous Air Pollutants (NESHAPs) for Area Source Standards for Nine Metal Fabrication and Finishing Source Categories, 40 CFR 63, Subpart XXX)UCX, are not included in the permit, since this the activities at this source are not listed as one of the source categories listed in the rule. Therefore, the requirements of 40 CFR 63, Subpart XXXXXX do not apply. There are no other National Emission Standards for Hazardous Air Pollutants (NESHAPs) (326 IAC 14, 326 IAC 20 and 40 CFR Part 63) included in the permit. (f) Compliance Assurance Monitoring (CAM) (a) Pursuant to 40 CFR 64.2, Compliance Assurance Monitoring (CAM) is not included in the permit, because the unlimited potential to emit of the source is less than the Title V major source thresholds and the source is not required to obtain a Part 70 or Part 71 permit. 1 State Rule Applicability Determination 1 The following state rules are applicable to the source: Horton Fan Systems Carmel, Indiana Permit Reviewer: Jack Harmon Page 5 of 6 TSD for Exemption No. 057 29967 -00077 (a) 326 IAC 2 -1.1 -3 (Exemptions) Exemption applicability is discussed under the Permit Level Determination Exemption section above. (b) 326 IAC 2-4.1 (Major Sources of Hazardous Air Pollutants (HAP)) The potential to emit of any single HAP is less than ten (10) tons per year and the potential to emit of a combination of HAPs is less than twenty -five (25) tons per year. Therefore, this source is an area source under Section 112 of the Clean Air Act (CAA) and not subject to the provisions of 326 IAC 2-4.1. (c) 326 IAC 2 -6 (Emission Reporting) Pursuant to 326 IAC 2 -6 -1, this source is not subject to this rule, because it is not required to have an operating permit under 326 IAC 2 -7 (Part 70), it is not located in Lake, Porter, or LaPorte County, and it does not emit lead into the ambient air at levels equal to or greater than 5 tons per year. Therefore, 326 IAC 2 -6 does not apply. (d) 326 IAC 5 -1 (Opacity Limitations) Pursuant to 326 IAC 5 -1 -2 (Opacity Limitations), except as provided in 326 IAC 5 -1 -3 (Temporary Alternative Opacity Limitations), opacity shall meet the following, unless otherwise stated in this permit: (g) (1) Opacity shall not exceed an average of forty percent (40 in any one (1) six (6) minute averaging period as determined in 326 IAC 5 -1-4. (2) Opacity shall not exceed sixty percent (60 for more than a cumulative total of fifteen (15) minutes (sixty (60) readings as measured according to 40 CFR 60, Appendix A, Method 9 or fifteen (15) one (1) minute nonoverlapping integrated averages for a continuous opacity monitor) in a six (6) hour period. (e) 326 IAC 6 -3 (Particulate Emission Limitation for Manufacturing Operations) The source is not subject to the requirements of 326 IAC 6 -3, because uncontrolled potential to emit is less than 0.551 pounds per hour. Therefore, the requirements of 326 IAC 6 -3 do not apply. (f) 326 IAC 6-4 (Fugitive Dust Emissions Limitations) Pursuant to 326 IAC 6-4 (Fugitive Dust Emissions Limitations), the source shall not allow fugitive dust to escape beyond the property line or boundaries of the property, right -of -way, or easement on which the source is located, in a manner that would violate 326 IAC 6-4. 326 IAC 6 -5 (Fugitive Particulate Matter Emission Limitations) The source is not subject to the requirements of 326 IAC 6 -5, because the source does not have potential fugitive particulate emissions greater than 25 tons per year. Therefore, 326 IAC 6 -5 does not apply. (h) 326 IAC 8 -1 -6 (VOC Rules: General Reduction Requirements for New Facilities) Each of the emission units at this source is not subject to the requirements of 326 IAC 8 -1 -6, since the unlimited VOC potential emissions from each emission unit is less than twenty -five (25) tons per year. Conclusion and Recommendation Unless otherwise stated, information used in this review was derived from the application and additional information submitted by the applicant. An application for the purposes of this review was received on December 3, 2010. Additional information was received February 21, 2011 and March 7, 2011. Horton Fan Systems Carmel, Indiana Permit Reviewer: Jack Harmon Page 6 of 6 TSD for Exemption No. 057 29967 -00077 The operation of this source shall be subject to the conditions of the attached proposed Exemption No. 057 29967- 00077. The staff recommends to the Commissioner that this Exemption be approved. 1 IDEM Contact 1 (a) Questions regarding this proposed permit can be directed to Jack Harmon at the Indiana Department Environmental Management, Office of Air Quality, Permits Branch, 100 North Senate Avenue, MC 61 -53 IGCN 1003, Indianapolis, Indiana 46204 -2251 or by telephone at (317) 233- 4228 or toll free at 1- 800 451 -6027 extension 3 -4228. (b) A copy of the findings is available on the Internet at: http: /www.in.gov /ai /appfiles /idem caats/ (c) For additional information about air permits and how the public and interested parties can participate, refer to the IDEM's Guide for Citizen Participation and Permit Guide on the Internet at: www.in.gov /idem cx Cl) e a_ k E k U) Q U) k 2 U) E 3 W 2 a 0 x CL E N 2 Q k 2 E »Z E 0 a E E 0 a 2 w co W S S Co w q a c W 9 E v U) w U E k c (D k C? p 0 i Co o C� o C4 o t k I Co Co G E N 2 Q k 2 E »Z E 0 a E E 0 a 2 2 w 2 0 k CL b k 0 o a v c G v 7 2 c c g k An L) 2 a) E/ (D C e o ƒ 2 k a cu k k 5 k g E k U CL k 0 f k b 2 E o 5 o m 2 E 2 m J 6 0 w 2 S P -0 c s E E W 2 c Rk .0 E g (D G k 0 L w co W S S Co w q a d W 9 a C? kG� k 6 E R w w E G G w$ CL q§ w o b 2 a a o W o a I a v b o q o 7 8 8 c Q o o a a 1 v C) G 2 8 G q o a a d o v U) x o 0 0 0 co 2 f 7 2 U) a to v o U) E CL o q q S q q k U) o o a o 0 0 v q S R CL E v C14 a. d o o r W 9 2 S q o a s 0 c v U) 2 E M CD M c 5 m c CL 0 0 6 o k M o t 2 E O OL m c f D G o c Ems' e 2 2 k ƒ g R k w E 2 3 a E 2 w 2 0 k CL b k 0 o a v c G v 7 2 c c g k An L) 2 a) E/ (D C e o ƒ 2 k a cu k k 5 k g E k U CL k 0 f k b 2 E o 5 o m 2 E 2 m J 6 0 w 2 S P -0 c s E E W 2 c Rk .0 E g (D G k 0 L I k S j 0 k k 0 0 0 0 0 0 9 CD 9 3 8- m 2 2 9 R !9 2 zs o 0 Ci 0 0 a C14 9 c cq it 8 9 (L k» E o o 0 0 0 0 r a 3 2Im 92 E k\ v5.E ��i�d��k= m I� 9;» �--1 c 2� o o 0 0 0 0 _a c'nS3: u x CS! i 200 {7 B&k�t� t §2 2 (b B� 4 m CC 2§ o 0 0 0 0 0 2 2 t�# /JJ �k( k 2 k III 0. o o f IEE •a k #�ƒ Cc 0 .£f� a77§ 2 a. 0IL b w kA cI %Ek/ 2 I 0 ;a�a�� ,ma�4\ |7a CIL 3 k k 2 0 m m f 5 EinC) Im CL a 7 o o J 0 IL 0 F. ;22mam 2 fn 0. 6 $I CD CD v tm co 2; m cq }ow VI CL E R5 k0 ui cq z Ci Lo cq lo a) Lo cq cq cli Lo CD ci Lo Lo cq cq co o ci to cq Lo c> lo Lo Lo k ri Lo cli cn f§ 2 k E� 30 kaa -k�� ok ca m.41, E 77 I��W 0 cm 03 ©gym 0 0^© a22f 3 zci K &kgt! CL 2f |M 0 Gf 2 )7 E.§ m m (34 z Ci Lo cq lo a) Lo cq cq cli Lo CD ci Lo Lo cq cq co o ci to cq Lo c> lo Lo Lo k ri Lo cli cn 2 j j ti Lh a LL 7 m m Q 2 j j In 9 9 9 Lo k w lo A k to w I s k E k w 9 c lo E A J 0 2 3 cm k j j c w o E k w 3 2 c lo j E A J 0 y C O 7 u U c O f!1 E W X a1 CL CL Q y C 0 N E W 01 C 0 0 U Y C H a t0 ell w a1 C 0 O C E AS U ai y E o N C r O O Li a e E 0 3 N O S O L Y N S N o o n of a m p y d Enia m z d c K A v E CL y 0 a v v Q 5 0 L 01 7 O L O _T U CIS a E 7 E x E a) y v L 3 a) r N O B C 0) E y o L e W W c u N C r o U d d U Q N O> S 7 y x y X C U S a a a a- 0 a U Co m 0 y al W M O O. O c O U O• Y N U) m E aa) F N L U c a y y O m n a a 'o a it U 5 y .0 c O Q a o y i o o c 0 O N y a S u s c CL S a Q, S y Om000001n N 0 0 0 0 0 C 0) o O O� w O O O m 10' M ip O O G O O O O 0 0 O�� O O O O CV .CO.. H N C O N 5 a O' m 0 0 0 0 0 O 0 f'1 O O O� r 0 0 0 0 0 0 0 0 0 0 0 p n i co o O�fI o 0 o 0 i Q� ,6 n a W N Q S a W a a o a o 0 0° 0 °0 0 °0 C 'i 1'i O O G G O N O 0 0 OI N co O IT U U O 10 O O O O O W N N cV� O O O c0 M 0. N V c0 c+] v ao O O O M H N C fA N 5` a 01 0) t0 0 0 0 0 0 N 0 a co O O t0 O E a iOOOOOO -W c 46 000 W U m 0 0 0 O O o W W 0 0 0 U O N 1+1 O 0 0000000 °0°0°0 U O lh f7 O O O O O N N O O 1°o000 N O O O CD �a O a 0 f0 O C m 1, O v O O 0 0 0 col a o O G N 0 O O G Lo O j N a0 CL al al C L c0 ap N r 0 10 0 N O t0 0 0 0 O 0 a r V C, 0 0 O G O G 0 fa N C OI r N a0 O 0 y D c a c0 N t7 w I; cn cn f M 0 co H 0 y Ol tp cq C L w coJ w m y a nj O O 0 t0 c0 N v O 0. N d In m a C Y C co O U C y D C Q a/ 01 1c co co 10 m x m m U N N m r y 0 N C 0 C 0 O (n a Q Y m E E3 al w N 0 E3 m �u>v a1 E L L E3 L.2:. L O O O Q U Q O O O O L U U U U U U It d d U Q U F It It U C_ S N T N a1 y al y Y a C C N S S C m m m d N F a1 N 0 N O y a1 y O C 33w vnit w aaa� 0 z Y r N M V O (0 h CC 0) C C fil F a) 5 0 L 01 7 O L O _T U CIS a E 7 E x E a) y v L 3 a) r N O B C 0) E y o L e W W c u N C r o U d d U Q N O> S 7 y x y X C U S a a a a- 0 a U Co m 0 y al W M O O. O c O U O• Y N U) m E aa) F N L U c a y y O m n a a 'o a it U 5 y .0 c O Q a o y i o o c 0 O N y a S u s c CL S Q 0 O N F- n O Im m m a N C O R 7 H c o U m y O W N C W U Q m X w to C J m CL CL t0 M N t0 v m c m v C t6 U E D m m rA 0 CO U t• t• c 01 O S O N o N O O 7 0 A N c A z z E a c' z C U a N N m U d •O Q O C N O t• U O co N c c O 1. O C O U 11 p m O N N m O a Q c u O o m C C N O C N O N CL N C m O_ c N (A CM 6mi w a a 2 L Q CA D c d m 2 a O II f6 C 0 m o O T R O. N N 11 y c v O c m C C E 0 6 w CL O O a 00 c o c Q v m m 6i x c o m m a m E 11 N m L m m m O E c E v rn m o x (D (D c a m x O d 0 m m m O (n v m E o m x E f6 L N CD l6 N E O c m m w a� o 0 m a m CO CL o E c w c x m m o o m 0 o y 11 a c n m— 16 m E o m m 0 o. o t6 (D o o a E c Q O. m h 7 Y m m m E C II ya D O a N e 3 v w m c m o 0i) a N j w N N l6 E c N N 0 0 CL U m o C O. o 0 'a E 0 U g 2 m e E 4 (D a E E c c 'D m m o m o E 'c a N d Co X m a Q 2 2 a a 4 N M N N Q O O O O co to C7 Cn �2 CO LO O O Cn N r• M qq U') u) u) v Co O Co O W W W W m O J O O U) O CI) CO CO N CO E m M m M N a O O O o W W W O W Q r M `O O L U N V N v ri O of m c 0 0 o Co rn Y W W W W c CD U O O CO M V 'T (0 Z C, O m r• C) M CO N CL tri ri a N C Q w N N M N N m H m c 0 C) 0 W W O W Cn C6 c O O W O N W r U U W U c c o V/ m W C m O U -i In N U) O N O 2 CO N CO CO n. Co Co 0 v Co r- r- _O C N C C a Co Co o a cq N C C O O o v c m v m o w Co 0 D 0 E 7 m Co Co Co O Co Co D o o U N m E W c uD a m cn a m Im m 12 c m 7 V z U c O N N (D J U) J O C N O t• U O co N c c O 1. O C O U 11 p m O N N m O a Q c u O o m C C N O C N O N CL N C m O_ c N (A CM 6mi w a a 2 L Q CA D c d m 2 a O II f6 C 0 m o O T R O. N N 11 y c v O c m C C E 0 6 w CL O O a 00 c o c Q v m m 6i x c o m m a m E 11 N m L m m m O E c E v rn m o x (D (D c a m x O d 0 m m m O (n v m E o m x E f6 L N CD l6 N E O c m m w a� o 0 m a m CO CL o E c w c x m m o o m 0 o y 11 a c n m— 16 m E o m m 0 o. o t6 (D o o a E c Q O. m h 7 Y m m m E C II ya D O a N e 3 v w m c m o 0i) a N j w N N l6 E c N N 0 0 CL U m o C O. o 0 'a E 0 U g 2 m e E 4 (D a E E c c 'D m m o m o E 'c a N d Co X m a Q 2 2 a a C O A m U c 0 N E W x v c a CL N c 0 U, E w O O m C a M N ID W C A C m E A U N E o d y r cn E Co c o O Li a e E 0 3 N O S 0 t Y N S N o O n d d N 61 E z E a c Z K o U N E 0 d U d v` v d r 0 0 m c A CL R a W l0 0 O OD C6 r M It cq c N N c0 M c m U U O e x c c o m a a a o a o N O O r t0 N X U CL U O c O B ti B 0 Z H 0 a o U U U 000 B B B 0 0 0 F- F F c N N d U O Q a n Q O N F n 0 n d O� m a N N C C O O m N 7 N u m U) c o 0 N E W O u Q d X C C U Q a 10 Cl) N t0 tt m C m v c d E m U d E o d d U) E o c i0 0 0 v E to r- L o3c o 0 O N N m n o o n O L d a z z c w m U a N E E N d v a Q Cl. N L O L O U m N c 0 y N E d 0 0 c Y O C d m d d L ui a a 0 N U O 0 c c C O U 4) d N 7 N C d 0) m O) C r m CL d v c m v m N U N m a m d N F3 O) N d O C O .0 v o O d Z E m H N N m EE i cn m N C O C W N O N E d O m U d U C c m U O. N m O. d L What if you are not satisfied with this decision and you want to file an appeal? Who may file an appeal? The decision described in the accompanying Notice of Decision may be administratively appealed. Filing an appeal is formally known as filing a "Petition for Administrative Review" to request an "administrative hearing If you object to this decision issued by the Indiana Department of Environmental Management (IDEM) and are: 1) the person to whom the decision was directed, 2) a party specified by law as being eligible to appeal, or 3) aggrieved or adversely affected by the decision, you are entitled to file an appeal. (An aggrieved or adversely affected person is one who would be considered by the court to be negatively impacted by the decision. If you file an appeal because you feel that you are aggrieved, it will be up to you to demonstrate in your appeal how you are directly impacted in a negative way by the decision). The Indiana Office of Environmental Adjudication (OEA) was established by state law see Indiana Code (IC) 4- 21.5 -7 and is a separate state agency independent of IDEM. The jurisdiction of the OEA is limited to the review of envirorunental pollution concerns or any alleged technical or legal deficiencies associated with the IDEM decision making process Once your request has been received by OEA, your appeal may be considered by an Environmental Law Judge. What is required of persons filing an appeal? Filing an appeal is a legal proceeding, so it is suggested that you consult with an attorney. Your request for an appeal must include your name and address and identify your interest in the decision (Or, if you are representing someone else, his or her name and address and their interest in the decision)_ In addition, please include a photocopy of the accompanying Notice of Decision or list the permit number and name of the applicant, or responsible party, in your letter. Before a hearing is granted, you Hurst identify the reason for the appeal request and the issues proposed for consideration at the hearing. You also must identify the permit terms and conditions that, in your judgment, would appropriately satisfy the requirements of law with respect to the IDEM decision being appealed. That is, you must suggest an alternative to the language in the permit (or other order, or decision) being appealed, and your suggested changes must be consistent with all applicable laws (See Indiana Code 13- 15 -6 -2) and rules (See Title 315 of the Indiana Administrative Code, or 315 IAC) The effective date of this agency action is stated on the accompanying Notice of Decision (or other IDEM decision notice). If you file a "Petition for Administrative Review" (appeal), you may wish to specifically request that the action be "stayed" (temporarily halted) because most appeals do not allow for an automatic "stay." If, after an evidentiary hearing, a "stay" is granted, the IDEM- approved action may be halted altogether, or only allowed to continue in part, until a final decision has been made regarding the appeal I lowever, if the action is not "sta yed" tl IDEM- approved activity will be allowed to continue during the appeal process. re (See reverse side) Where can vou file an appeal? If you wish to file an appeal, you must do in writing. There are no standard forms to G11 out and submit, you must state your :.3se in a Ictte; (called a petition for administrativL re\ the Indiana Office of Environmental Adjudication (OEA). Do not send the original copy of your appeal request to IDEM. Instead, send or deliver your letter to The Indiana Office of Environmental Adjudication 100 North Senate Ave. Indiana Government Censer North Room N501 E Indianapolis, IN 46204 if you file an appeal, also please send a copy of your appeal letter to the IDEM contact person identified in the Notice of Decision, and to the applicant (person receiving an [DEM permit, or other approval) Your appeal (petition for administrative review) must be received by the Office of Environmental Adjudication in a timely manner_ Different types of pennit approvals have different deadlines for filing an appeal. The accompanying Notice of Decision (NOD) explains how to determine the due date for filing an appeal for this particular permit decision. To ensure that you meet this filing requirement, your appeal request must be: 1) Delivered in person to the OEA by the close -of- business on the due date. (If the due date falls on a day when the Office of Environmental Adjudication (OEA) is closed for the weekend or for a state holiday, then your petition will be accepted on the next business day on kvhich OEA is open.); or 2) Given to a private carrier who will deliver it to the OEA on your behalf, (and from whom you must obtain a receipt dated on or before the due date); or 3) For those appeal requests sent by U.S. Mail, your letter must be postmarked by no later than midnight of the due date; or 4) Faxed to the OEA at 317/233 -9372 before the close -of- business of the due date, provided that the original signed "Petition for Administrative Review" is also sent, or delivered, to the OEA in a timely manner. What are the costs associated with filing an appeal? The OEA does not charge a fee for filing documents for an administrative review or for the use of its hearing facilities. However, OEA does charge a fifteen cent ($.l5) per page fee for copies of any documents you may request. Another cost that could be associated with your appeal would be for attorney's fees. Although you have the option to act as your own attorney, the administrative review and associated hearing are complex legal proceedings; therefore, you should consider whether your interests would be better represented by an experienced attorney What can you expect from the Office of Environmental Adjudication (OEA) after you file for an appeal? The OEA will provide you with notice of any prehearing conferences, preliminary hearings, hearings, "stays," or orders disposing of the review of this decision. In addition, you may contact the OEA by phone at 317/232 -8591 with any scheduling questions. However, technical questions should be directed to [DEM at the number indicated on the Notice of Decision Do not expect to discuss details of your case with the OEA other than in a fonnal setting such as a prehearing conference, a formal hearing, or a settlement conference. The O[ is not allowed to discuss a case without all sides being present. All parties to the proceeding are expected to appear at the initial prehearing conference. 3/28/2011 Particulate Matter Particulate Matter 1 Air Radiation 1 U... http: /www.epa.gov /air /particlepollution Last updated on Wednesday, March 16, 2011 You are here: EPA Home Air Radiation Particulate Matter "Particulate matter," also known as particle pollution or PM, is a complex mixture of extremely small particles and liquid droplets. Particle pollution is made up of a number of components, including acids (such as nitrates and sulfates), organic chemicals, metals, and soil or dust particles. The size of particles is directly linked to their potential for causing health problems. EPA is concemed about particles that are 10 micrometers in diameter or smaller because those are the particles that generally pass through the throat and nose and enter the lungs. Once inhaled, these particles can affect the heart and lungs and cause serious health effects. EPA groups particle pollution into two categories: "Inhalable coarse particles," such as those found near roadways and dusty industries, are larger than 2.5 micrometers and smaller than 10 micrometers in diameter. "Fine particles," such as those found in smoke and haze, are 2.5 micrometers in diameter and smaller. These particles can be directly emitted from sources such as forest fires, or they can form when gases emitted from power plants, industries and automobiles react in the air. Basic Information Basics about particle pollution. Health and Welfare Effects of particle pollution. PM Standards Links to technical information related to setting the national air quality standards for particle pollution. PM Designations Regional, state and local information related to PM nonattainment. PM Implementation Programs and requirements for reducing particle pollution. Regulatory Actions Links to proposed and final rules, fact sheets, and other rulemaking documents. Nonattainment Areas Status of nonattainment areas (the Green Book) January 15, 2009 EPA is seeking comments on a proposal to revise the Agency's Air Quality Index (AQI) states use to report daily concentrations for fine particle pollution. Read More Good Announcer Your Air Quality Moderate Unhealthy Unhea No data available The AIRNow Web site offers daily air quality forecasts for ozone pollution as well as real -time air quality conditions for over 300 cities across the U.S. PM Research Links to PM research and development, monitoring, and daily reporting and forecasting. Unhealthy for Sensitive Groups Hazardous Air Quality Trends Progress made in reducing particle pollution. Air Emission Sources Summarizes particulate matter emissions by source at national, state and http: /www.epa.gov /air particlepollution/ 1/2 3/28/2011 local levels. Particulate Matter 1 Air Radiation 1 U... Publications Publications related to particle pollution. Related Links Other information related to particle pollution. http: /www.epa.gov /air /particlepollution/ 2/2