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Mr. Himanshu Mehta, P.E. Managing Director <br />5 October 2018 <br />Page 4 <br />application meeting with FDEP-DARM and SWDD to discuss specific permitting requirements. <br />Geosyntec has assumed that both meetings will be held via teleconference in order to reduce <br />overall costs to the project. <br />Phase 2 — Title V Permit Modification Applications <br />Geosyntec understands that the first emergency standby generator for the administrative building <br />was installed on May 18, 2018. The second generator for the lift station, however, will be <br />installed in the first quarter of 2019. Since the regulations typically require submittal of permit <br />applications within 180 days of installation of an emission unit, it is likely that two separate <br />permit modification applications would have to be submitted to FDEP, one for each generator. <br />However, Geosyntec will explore the possibility of submitting one combined application for the <br />two generators. Geosyntec will prepare the FDEP Title V Air Operation Permit modification <br />applications for the IRCL facility. Geosyntec will complete FDEP, DARM Form No. 62- <br />210.900(1) titled "Application for Air Permit - Long Form" and address the additional <br />information items required by the form. The following items will be prepared as part of the <br />permit renewal application: <br />• Facility plot plan; <br />• Process flow diagram; <br />• Precautions to prevent emissions of unconfined particulate matter; <br />• List of insignificant activities; <br />• Identification of applicable requirements; <br />• Compliance report and plan; <br />• Description of proposed changes to the current Title V Air Operation Permit; <br />• Fuel analysis or specification; <br />• Detailed description of control equipment; <br />• Procedures for startup and shutdown; <br />• Operation and maintenance plan; <br />• Previously submitted information; and <br />• Identification of applicable requirements. <br />Geosyntec will describe the two additional emission units (i.e., the emergency standby <br />generators) for the IRCL facility, and calculate the emissions of air pollutants expected to be <br />released into the environment by their operation. Geosyntec will complete the required FDEP <br />Form 62-210.900(1) and prepare a transmittal letter(s) to FDEP that summarizes the permit <br />modification application package(s). <br />engineers I scientists I innovators <br />