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2022-014
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Last modified
2/21/2022 3:10:24 PM
Creation date
2/21/2022 3:09:22 PM
Metadata
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Template:
Official Documents
Official Document Type
Work Order
Approved Date
01/18/2022
Control Number
2022-014
Agenda Item Number
15.B.2.
Entity Name
Geosyntec Consultants, Inc
Subject
Work Order No. 14 for Annual Permit, Compliance Monitoring, and Reporting for 2022.
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Mr. Himanshu H. Mehta, P.E. <br />14 December 2021 <br />Page 8 <br />current Title V Air Operation Permit No. 0610015 -007 -AV with an expiration date of July 2022. <br />The following permit compliance support services will be provided: <br />• Statement of Compliance: Geosyntec will prepare and submit the annual Statement <br />of Compliance for the Class I Landfill. This compliance document must be submitted to <br />FDEP within 60 days after the end of the calendar year, as required by subparagraph 62- <br />213.440(3)(a)(2), F.A.C. <br />• Electronic Annual Operating Report (EAOR): Geosyntec will prepare and submit to <br />FDEP the EAOR for the Class I landfill for the calendar year 2020. This report be <br />submitted on or before April 1 of each calendar year, as required by subsection 62- <br />210.370(3), F.A.C. As part of this task, Geosyntec will perform calculations to estimate <br />the annual emission rates of non -methane organic compounds (NMOCs) and VOCs from <br />the LFG to determine if the facility designation has changed from voluntary to mandatory <br />with regard to operation and reporting requirements of the active GCCS under the New <br />Source Performance Standards (NSPS) requirements. The results of the annual LFG <br />sulfur content test will be used in the EAOR calculations. In the event of a status change, <br />Geosyntec will advise SWDD of its implications. <br />• Semi -Annual Monitoring Report: Geosyntec will prepare and submit two semi-annual <br />monitoring reports to demonstrate compliance with the federal requirements of the Title <br />V permit. The reports will address the following permit conditions or compliance <br />requirements: <br />o Submittal of reports of any required monitoring at least every 6 months. All instances <br />of deviations from permit requirements must be clearly identified in such reports. <br />o Reporting, in accordance with requirements of subsection 62-210.700(6) and Rule 62- <br />4.130, F.A.C.., of deviations from permit requirements, including those attributable to <br />upset conditions defined in the permit. Reports shall include the probable cause of <br />such deviations, and any corrective actions or preventative measures taken. <br />o Reports shall be accompanied by a responsible official, pursuant to subsection 62- <br />213.420(4), F.A.C. <br />The reports will only address deviations from the Title V permit conditions. Landfill and <br />LFG operation and maintenance (O&M) data are not required to be reviewed and <br />submitted to FDEP per the Title V permit. <br />• Annual Title V Emissions Fee: The EAOR application used for reporting to FDEP will <br />automatically calculate the annual emission fee for the facility. Geosyntec will notify <br />NCP2021-3441/JL21090 2022 Compliance :Monitoring Proposal.Final.doc <br />
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