HomeMy WebLinkAboutSVCS APEN #13GA2629AIRS ID: 045/2325/004 Page 1 of 1
January 28, 2014 ACTION: PERMIT EXEMPT
APEN EXEMPT
Nathan Knell
Rocky Mountain Natural Gas, LLC
600 12th Street, Suite 300
Golden, CO 80401
Re: APEN #13GA2629 Submittal for TK-4 Condensate Tank Battery
Dear Mr. Knell:
The Air Pollution Control Division (the Division) reviewed your APEN submittal for the following source located at
the oil and gas facility known as the Spring Valley Compressor Station, in the NWNE of Sec. 3, T7S, R88W,
Garfield County, Colorado:
One (1) 95 barrel tank used for the storage of condensate.
The Division has determined that the filing of an Air Pollutant Emissions Notice (APEN) is not required for this
source since the unit is located in an attainment area, the uncontrolled emissions of volatile organic compounds
are less than two (2) tons per year and emissions of non-criteria reportable pollutants are below de minimus
levels (Regulation 3, Part A, II.D.1.a and II.D.1.b). The unit is also exempt from permit requirements per
Regulation 3, Part B, II.D.1.a.
Please be advised that annual records of condensate throughput shall be maintained by the source and made
available to the Division for inspection upon request.
This exemption from APEN and permit requirements is issued in reliance upon the accuracy and completeness of
information supplied by the applicant and is conditioned upon construction, installation, and operation in
accordance with this information and with representations made by the applicant or the applicant's agents.
Please refer to Regulation 3, Part A, Section II.C for guidance on when a revised APEN is required to be filed with
the Division for this point source. Appropriate forms and fees must be submitted to the Division prior to making
changes to the equipment.
It should be noted that although exempted emission points may not need air emission permits, they still are
required to meet all applicable standards and regulations of the Air Quality Control Commission, including visible
emissions shall not exceed 20% opacity.
Sincerely,
Stephanie Chaousy, PE
Permit Engineer
Air Pollution Control Division