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Mr. Himanshu Mehta, P.E. Managing Director <br />1 July 2021 <br />Page 4 <br />Each of these phases is briefly described below. <br />GeosMtect'-- <br />consultants <br />Phase 1— General Consulting/Meeting Support/Project Management <br />Under this phase, Geosyntec will perform project planning and management responsibilities, <br />such as correspondence with SWDD and FDEP, invoice review, project coordination, budget and <br />schedule tracking and project administration. Geosyntec has also included a budget for <br />preparation and attendance (by two Geosyntec personnel) at two meetings: (i) kickoff meeting <br />with _SWDD staff to obtain information required to complete the application; and (ii) a meeting <br />with FDEP and SWDD to discuss specific permitting issues. Geosyntec has assumed that the <br />FDEP meeting will be held via teleconference in order to reduce overall costs to the project. <br />Phase 2 — Design Capacity and NMOC Emission Rate Reports <br />Under this phase, Geosyntec will prepare the Design Capacity Report and NMOC Emission Rate <br />Report that need to be submitted to the EPA by September 20, 2021 and then use the NMOC <br />Emission Rate Report to prepare the Title V permit renewal application under Phase 3. <br />Geosyntec will collect the required data and information from SWDD (and Republic Services, <br />the landfill operator,. if necessary) to prepare the Design Capacity Report. <br />The NMOC Emission Rate Report would require Tier 2 sampling and analytical testing of <br />landfill gas. The scope of the Tier 2 testing and reporting phase includes the development of a <br />test plan, field gas sampling, laboratory analysis, data evaluation, and reporting. We will collect <br />gas samples from the existing gas collection system at a location prior to the flare station's <br />blower and condensate knockout. Three samples will be collected into 6 or 8 liter SUMMA <br />passivated canisters. Eased on the construction schedule provided by SWDD, Geosyntec <br />understands that expansion of the GCCS into Segment 3, Cell 1 should be substantially <br />completed by 20 July 2021. Therefore, collecting gas samples at the flare station should be <br />enough to meet the requirements of Tier 2 testing and NMOC emission rate calculations. <br />The three samples will be sent under chain -of -custody protocol to an analytical laboratory for <br />testing. Samples will be analyzed for: (i) NMOC by EPA Method 25C; (ii) Oxygen (02) by EPA <br />Method 3C; (iii) Nitrogen (N2) by EPA Method 3C; (iv) Methane (Cl -l4) by EPA Method 3C; and <br />Carbon Dioxide (CO2) by EPA Method 3C. Sample collection and analysis will be performed <br />by TRC Environmental Corporation (TRC), Alachua, Florida as a subcontractor to Geosyntec. A <br />copy of TRC's proposal is included as Attachment A. <br />Geosyntec will review the analytical results, estimate annual NMOC mass emission rates, and <br />prepare an NSPS Tier 2 NMOL emissions rate report that summarizes sampling and analysis <br />activities and results. Data analysis will include the calculation of NMOC concentrations based <br />NCP2021-3236\JL21050 IRC Title V Air Permit Renewal Proposal <br />engineers I scientists I innovators <br />