OAR 340-216-0020
AIR CONTAMINANT DISCHARGE PERMITS
Table 1
Part A: Activities and Sources
The following commercial and industrial sources must obtain a Basic ACDP under the procedures set forth in 340-216-0056 unless the source is required to obtain a different form of ACDP by Part B or C hereof: (Production and emission parameters are based on the latest consecutive 12 month period, or future projected operation, whichever is higher. Emission cutoffs are based on actual emissions.)
1. ** Autobody Repair or Painting Shops painting more than 25 automobiles in a year.
2. Concrete Manufacturing including Redimix and CTB more than 5,000 but less than 25,000 cubic yards per year output.
3. Crematory and Pathological Waste Incinerators with less than 20 tons/yr. material input.
4. Natural gas and propane fired boilers (with or without #2 diesel oil back-up****) of 10 or more MMBTU but less than 30 MMBTU/hr heat input constructed after June 9, 1989.
5. Prepared feeds for animals and fowl and associated grain elevators more than 1,000 tons/yr. but less than 10,000 tons per year throughput.
6. Rock, Concrete or Asphalt Crushing both portable and stationary more than 5,000 tons/yr. but less than 25,000 tons/yr. crushed.
7. Surface coating operations whose actual or expected usage of coating materials is greater than 250 gallons per month, excluding sources that exclusively use non-VOC and non-HAP containing coatings (e.g. powder coating operations).
Part B Activities and Sources
The following commercial and industrial sources must obtain either:
• a General ACDP, if one is available for the source classification and the source qualifies for a General ACDP under the procedures set forth in 340-216-0060;
• a Simple ACDP under the procedures set forth in 340-216-0064; or
• a Standard ACDP under the procedures set forth in 340-216-0066 if the source fits one of the criteria of Part C hereof.
1. Aerospace or Aerospace Parts Manufacturing subject to RACT as regulated by division 232
2. Aluminum, Copper, and Other Nonferrous Foundries subject to an Area Source NESHAP
3. Aluminum Production - Primary
4. Ammonia Manufacturing
5. Animal Rendering and Animal Reduction Facilities
6. Asphalt Blowing Plants
7. Asphalt Felts or Coating Manufacturing
8. Asphaltic Concrete Paving Plants both stationary and portable
9. Bakeries, Commercial over 10 tons of VOC emissions per year
10. Battery Separator Manufacturing
11. Lead-Acid Battery Manufacturing and Re-manufacturing
12. Beet Sugar Manufacturing
13. Boilers and other External Combustion Devices with a combined heat input greater than 10 MMBTU/hour, except exclusively Natural Gas and Propane fired units with a combined heat input (with or without #2 diesel backup) under 30 MMBTU/hour
14. Building paper and Buildingboard Mills
15. Calcium Carbide Manufacturing
16. *** Can or Drum Coating subject to RACT as regulated by division 232
17. Cement Manufacturing
18. * Cereal Preparations and Associated Grain Elevators 10,000 or more tons/yr. throughput
19. Charcoal Manufacturing
20. Chlorine and Alkalies Manufacturing
21. Chrome Plating and Anodizing subject to a NESHAP
22. Clay Ceramics Manufacturing subject to an Area Source NESHAP
23. Coffee Roasting (roasting 30 or more tons per year)
24. Concrete Manufacturing including Redimix and CTB 25,000 or more cubic yards per year output
25. Crematory and Pathological Waste Incinerators 20 or more tons/yr. material input
26. Degreasers (halogenated solvents subject to a NESHAP)
27. Stationary Electrical Power Generation from combustion, with a combined electrical output of 500 kW or more, excluding emergency generators
28. Stationary emergency generators with combined potential plant site emissions of any criteria pollutant greater than 10 tons per year based on a minimum of 50 hours of operation per year for each emergency generator
28. Commercial Ethylene Oxide Sterilization, excluding facilities using less than 1 ton of ethylene oxide within all consecutive 12-month periods after December 6, 1996
29. Ferroalloy Production Facilities subject to an Area Source NESHAP
30. *** Flatwood Coating regulated by Division 232
31. *** Flexographic or Rotogravure Printing subject to RACT as regulated by division 232
32. * Flour, Blended and/or Prepared and Associated Grain Elevators 10,000 or more tons/yr. throughput
33. Galvanizing and Pipe Coating (except galvanizing operations that use less than 100 tons of zinc/yr.)
34. Gasoline Bulk Plants, Bulk Terminals, and Pipeline Facilities
35. Gasoline dispensing facilities, excluding gasoline dispensing facilities with monthly throughput of less than 10,000 gallons of gasoline per month*****
36. Glass and Glass Container Manufacturing
37. * Grain Elevators used for intermediate storage 10,000 or more tons/yr. throughput
39. Gray iron and steel foundries, malleable iron foundries, steel investment foundries, steel foundries 100 or more tons/yr. metal charged (not elsewhere identified)
40. Gypsum Products Manufacturing
41. Hardboard Manufacturing (including fiberboard)42. Hospital sterilization operations subject to an Area Source NESHAP
43. Incinerators with two or more ton per day capacity
44. Lime Manufacturing
45. *** Liquid Storage Tanks subject to RACT as regulated by division 232
46. Magnetic Tape Manufacturing
47. Manufactured and Mobile Home Manufacturing
48. Marine Vessel Petroleum Loading and Unloading subject to RACT as regulated by division 232
49. Metal Fabrication and Finishing Operations subject to an Area Source NESHAP, excluding facilities that meet all the following:
a. Do not perform any of the operations listed in OAR 340-216-0060(2)(b)(Y)(i) through (iii);
b. Do not perform shielded metal arc welding (SMAW) using metal fabrication and finishing hazardous air pollutant (MFHAP) containing wire or rod; and
c. Use less than 100 pounds of MFHAP containing welding wire and rod per year
50. Millwork Manufacturing (including kitchen cabinets and structural wood members) 25,000 or more bd. ft./maximum 8 hr. input
51. Molded Container Manufacturing
52. Motor Coach Manufacturing
53. Motor Vehicle and Mobile Equipment Surface Coating Operations subject to an Area Source NESHAP, excluding motor vehicle surface coating operations painting less than 10 vehicles per year or using less than 20 gallons of coating and 20 gallons of methylene chloride containing paint stripper per year, mobile equipment surface coating operations using less than 20 gallons of coating and 20 gallons of methylene chloride containing paint stripper per year, and motor vehicle surface coating operations registered pursuant to OAR 340-210-0100(2)
54. Natural Gas and Oil Production and Processing and associated fuel burning equipment
55. Nitric Acid Manufacturing
56. Non-Ferrous Metal Foundries 100 or more tons/yr. of metal charged
57. Organic or Inorganic Chemical Manufacturing and Distribution with ½ or more tons per year emissions of any one criteria pollutant (sources in this category with less than ½ ton/yr. of each criteria pollutant are not required to have an ACDP)
58. Paint and Allied Products Manufacturing subject to an Area Source NESHAP
59. Paint Stripping and Miscellaneous Surface Coating Operations subject to an Area Source NESHAP, excluding paint stripping and miscellaneous surface coating operations using less than 20 gallons of coating and 20 gallons of methylene chloride containing paint stripper per year
60. *** Paper or other Substrate Coating subject to RACT as regulated by division 232
61. Particleboard Manufacturing (including strandboard, flakeboard, and waferboard)
62. Perchloroethylene Dry Cleaning Operations subject to an Area Source NESHAP, excluding perchloroethylene dry cleaning operations registered pursuant to OAR 340-210-0100(2)
63. Pesticide Manufacturing 5,000 or more tons/yr. annual production
64. Petroleum Refining and Re-refining of Lubricating Oils and Greases including Asphalt Production by Distillation and the reprocessing of oils and/or solvents for fuels
65. Plating and Polishing Operations subject to an Area Source NESHAP
66. Plywood Manufacturing and/or Veneer Drying
67. Prepared Feeds Manufacturing for animals and fowl and associated grain elevators 10,000 or more tons per year throughput
68. Primary Smelting and/or Refining of Ferrous and Non-Ferrous Metals
69. Pulp, Paper and Paperboard Mills
70. Rock, Concrete or Asphalt Crushing both portable and stationary 25,000 or more tons/yr. crushed
71. Sawmills and/or Planing Mills 25,000 or more bd. ft./maximum 8 hr. finished product
72. Secondary Nonferrous Metals Processing subject to an Area Source NESHAP
73. Secondary Smelting and/or Refining of Ferrous and Non-Ferrous Metals
74. * Seed Cleaning and Associated Grain Elevators 5,000 or more tons/yr. throughput
75. Sewage Treatment Facilities employing internal combustion engines or flares for digester gasses
76. Soil Remediation Facilities using thermal desorption and not exempt based on CLEANUP rules and statues (stationary or portable)
77. Steel Works, Rolling and Finishing Mills
78. *** Surface Coating in Manufacturing subject to RACT
79. Surface Coating Operations with actual emissions of VOCs before add on controls of 10 or more tons/yr.
80. Synthetic Resin Manufacturing
81. Tire Manufacturing
82. Wood Furniture and Fixtures 25,000 or more bd. ft./maximum 8 hr. input
83. Wood Preserving (excluding waterborne)
84. All Other Sources not listed herein that DEQ determines an air quality concern exists or one which would emit significant malodorous emissions
85. All Other Sources not listed herein which would have actual emissions, if the source were to operate uncontrolled, of 5 or more tons a year of PM10 if located in a PM10 non-attainment or maintenance area, or 10 or more tons of any single criteria pollutant in any part of the state
Part C: Activities and Sources
The following sources must obtain a Standard ACDP under the procedures set forth in 340-
216-0066:
1. Incinerators for PCBs and / or other hazardous wastes
2. All Sources that DEQ determines have emissions that constitute a nuisance
3. All Sources electing to maintain the source’s netting basis
4. All Sources subject to a RACT, BACT, LAER, NESHAP adopted in OAR 340-244-0220, NSPS adopted in OAR 340-238-0060, State MACT, or other significant Air Quality regulation(s), except:
a. Source categories for which a General ACDP has been issued.
b. Sources with emissions less than the significant emission rate for any applicable pollutant that are subject to RACT, NSPS adopted in OAR 340-238-0060 or a NESHAP adopted in OAR 340-244-0220 which qualify for a Simple ACDP.
c. Sources registered pursuant to OAR 340-210-0100(2).
d. Stationary electrical power generation units used exclusively as emergency generators and units less than 500 kW.
e. Gasoline dispensing facilities, provided the gasoline dispensing facility has monthly throughput of less than 10,000 gallons of gasoline per month
f. Motor vehicle surface coating operations painting less than 10 vehicles per year or using less than 20 gallons of coating and 20 gallons of methylene chloride containing paint stripper per year, mobile equipment surface coating operations using less than 20 gallons of coating and 20 gallons of methylene chloride containing paint stripper per year, and motor vehicle surface coating operations registered pursuant to OAR 340-210-0100(2).
g. Paint stripping and miscellaneous surface coating operations using less than 20 gallons of coating and 20 gallons of methylene chloride containing paint stripper per year
h. Commercial ethylene oxide sterilization operations using less than 1 ton of ethylene oxide within all consecutive 12-month periods after December 6, 1996.
i. Metal fabrication and finishing operations that meet all the following:
A. Do not perform any of the operations listed in OAR 340-216-0060(2)(b)(Y)(i) through (iii);
B. Do not perform shielded metal arc welding (SMAW) using metal fabrication and finishing hazardous air pollutant (MFHAP) containing wire or rod; and
C. Use less than 100 pounds of MFHAP containing welding wire and rod per year.
j. Chemical manufacturing facilities that do not transfer liquids containing organic HAP listed in Table 1 of 40 CFR part 63 subpart VVVVVV to tank trucks or railcars and are not subject to emission limits in Table 2, 3, 4, 5, 6, or 8 of 40 CFR part 63 subpart VVVVVV.
k. Prepared feeds manufacturing facilities with less than 10,000 tons per year throughput.
5. All sources having the potential to emit more than 100,000 tons CO2e of GHG emissions in a year.
6. All Sources having the potential to emit more than 100 tons of any regulated air pollutant in a year
7. All Sources having the potential to emit more than 10 tons of a single hazardous air pollutant in a year
8. All Sources having the potential toeEmit more than 25 tons of all hazardous air pollutants combined in a year
Notes:
* Applies only to Special Control Areas
** Portland AQMA only
*** Portland AQMA, Medford-Ashland AQMA or Salem SKATS only
**** “back-up” means less than 10,000 gallons of fuel per year
***** “monthly throughput” means the total volume of gasoline that is loaded into, or dispensed from, all gasoline storage tanks at the gasoline dispensing facility during a month. Monthly throughput is calculated by summing the volume of gasoline loaded into, or dispensed from, all gasoline storage tanks at the gasoline dispensing facility during the month, plus the total volume of gasoline loaded into, or dispensed from, all gasoline storage tanks at the gasoline dispensing facility during the previous 11 months, and then dividing that sum by 12
jinahar, 2013-02-11T15:59:00Z
Grunow:
Was this on the table for any reason other than surface coating regulated by Div. 232???
jinahar, 2013-02-11T15:59:00Z
Grunow:
Remove as a unique (non-Category 85) item?
AMMONIA IS NOT A REGULATED POLLUTANT. IF CRITERIA POLLUTANT EMISSIONS > 10 TPY, WOULD BE CAPTURED IN 85.
jinahar, 2013-02-12T08:04:00Z
Grunow: Is this the intent?
jinahar, 2013-02-12T08:04:00Z
Grunow:
CATEGORY 85 HAS DEFINED LEVELS OF SIGNIFICANCE (5 OR 10 TONS). FOR BOILERS, IT’S NOT AN EMISSION TRIGGERING THRESHOLD BUT A BOILER RATING THRESHOLD. WHAT IS UNIQUE ABOUT BOILERS OR FUEL BURNING EQUIPEMNT THAT WE WOULD WANT TO AGGREGATE THEM AND TRIGGER A PERMIT REQUIREMENT. WHY DO WE WANT LOWER THAN 10 TPY?
jinahar, 2013-02-11T15:59:00Z
Grunow:
Chrome anodizing should be included; some chrome plating is not subject to the NESHAP
SOME CHROME PLATING IS NOT SUBJECT TO A NESHAP AND WE DON’T WANT TO PERMIT THEM.
jinahar, 2013-02-11T15:59:00Z
emergency generators over a certain size (or combined size) need to get permit rather than using the emissions
jinahar, 2013-02-11T15:59:00Z
RENUMBER
Preferred Customer, 2013-02-11T15:59:00Z
Includes marine loading/unloading?
jinahar, 2013-02-11T15:59:00Z
get rid of special control areas because all grain elevators should be able to get a general ACDP. Redo general permit and notice/reassign
Preferred Customer, 2013-02-12T07:23:00Z
MSF: This addition means that sources outside Portland don’t need a permit. OK with e if VOC > 10 tons need permit based on category 85.
Preferred Customer, 2013-02-11T15:59:00Z
need rule citation
jinahar, 2013-02-11T15:59:00Z
Grunow:
I don’t think we have any of these left in the State, but we should create a distinction from soil remediation projects using in situ soil vapor extraction.
jinahar, 2013-02-12T07:21:00Z
Grunow: Is this category necessary… they are equally captured under category 85.
MSF: I agree but maybe need it for NESHAP change to surface coating operations subject to NESHAP
jinahar, 2013-02-11T15:59:00Z
Grunow: As I mentioned the other day, there’s an issue we currently have in Table 1 Part C that identifies criteria for distinguishing Simple ACDP’s from Standard ACDP’s that I think needs to be reconsidered and revised. Part C: item 4.b. requires all sources subject to a RACT, BACT, LAER, NESHAP, NSPS, State MACT, or other significant Air Quality regulation, with > 10 tons/yr. actual emissions have a Standard ACDP (unless exempted elsewhere - see below). The history of this criteria, as best I can determine, is that it represents the old Minimal Source ACDP threshold of ancient DEQ rules. The problem this presents us is that all of our regional offices likely have sources operating with Simple permits that actually should have Standard permits under this requirement. This is especially true now with the advent of the area source NESHAPs for which many of our sources are now subject. I suggest that we cut this requirement from the rule and make the Simple/Standard applicability distinction based on IMD or policy statement.