Monitoring, Recordkeeping, and Reporting Requirements Sample Clauses
Monitoring, Recordkeeping, and Reporting Requirements. The Consent Agreement requires Ameren to determine compliance with the emission restrictions by use of the SO2 CEMS installed at Sioux. Additional details in the Consent Agreement include references to the sections in the Code of Federal Regulations (CFR) that Ameren must follow regarding the operation of the CEMS. The CEMS will be operated in accordance with 40 CFR 75. However, Ameren is not required to use the bias and substitution methods included in 40 CFR 75 when determining compliance with the emission limits included in the Consent Agreement. Instead, the CEMS bias and substitution data that will be used to determine compliance with the Consent Agreement limits will be handled in the same manner as limits associated with federal New Source Performance Standards included in 40 CFR 60. Ameren will also maintain all hourly data and computations related to demonstrating compliance with the 24-hour block average emission limit and keep this data for a period of at least five years. Ameren shall report on compliance with the emission limits in Table 1 on the same schedule as the annual compliance certification required in accordance with the operating permits issued under 40 CFR Part 70.
Monitoring, Recordkeeping, and Reporting Requirements a) Compliance with the caps for VOC and HAP emissions will be measured by the FTIR-CEMS and the flow measurement CEMS, in accordance with EPA approved protocols.11 Compliance with the 10 Since the total VOC/HAP control efficiency for all lines together must be 95%, based on a 72-hour rolling average, the Agency assumes that individual lines are also being controlled at 95%. This level of control is sufficient to meet the HAP control standard of the EE MACT and the VOC control standard of all NSPS for which Imation is pre-approved (the standard is actually more stringent than required by a number of the NSPS). See Appendix 2 for a more detailed explanation of Imation’s compliance with multiple standards for VOC and HAP control in a mixed stream environment. 11 Fugitive VOC emissions, which are also counted under the VOC PAL (see section II.A.1.d of this FPA), are not measured with the FTIR; rather, they are estimated using agreed upon methods described in the title V permit. caps for other pollutants will be measured through recordkeeping and/or source testing requirements defined in the title V Permit.
b) Compliance by the existing SRU with the 95% control efficiency requirement will be determined by a flame ionization detector continuous emission monitoring system (FID-CEMS), in accordance with EPA approved protocols.
c) Imation will provide the agencies with a monthly report of facility operations that will also be made readily available to the public by posting to the Internet, and through other means that may be appropriate (e.g., providing a hard copy of the report to the public library). Providing a monthly report will provide the Agencies with a timely description of completed and planned, emissions-related modifications at the facility, while assuring compliance with all applicable requirements. The monthly report, whose specific content requirements are described in Imation’s title V permit, will include the following:
i) Actual/calculated air emissions of VOCs, NOx, CO, PM, SO2, and HAPs for each month. The report will include a 12- month rolling average of air emissions for each of these pollutants, with a comparison to the annual facility caps;
ii) A description of emission-related modifications to the facility that occurred over the past month, as well as any planned modifications for the upcoming two months (including all changes that occur below the VOC PAL). Completed and planned modification descriptions will include estimates of any emiss...
