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MC Magazine |
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Clean Air: Looking Beyond
the Visible
Dust is only one of the air pollutants that
may be government regulated.
By Russell Ellis
Russell Ellis is the Regional Environmental
Manager for Hanson Building Products America and a member
of NPCA’s Safety, Health & Environmental Committee.
If asked to discuss significant environmental
issues facing precast concrete plants, the average plant worker
would likely describe the most visible, most obvious pollutant:
dust.
Dust, otherwise known as particulate matter,
or PM, is a heavily regulated pollutant in the United States
and abroad. Point sources of PM, such as weigh hoppers, mixers,
silos, conveyors and drop points, are commonly controlled
by fabric filters, enclosures, water sprays or moist, raw
materials. Fugitive or non-point sources of PM, such as raw
material stockpiles, yard dust and roadway dust, are usually
controlled by sprinklers, water trucks or some form of chemical
dust suppressant.
These types of specific “best available
control technologies” are nothing new to the industry
or its workforce, but are they enough? What other airborne
pollutants are wafting around in a typical precast plant that
workers might be breathing?
It is often easy to overlook these hazards.
This may be because of a lack of knowledge or understanding
of the many types of regulated pollutants, complacency or
even the lack of a plan or systems to monitor plant changes
that can impact air emissions. Whatever the reason for any
such environmental management pitfalls, the important thing
to know is that you may be required to have an air permit
on file at the local, state or federal level.
Regulated air pollutants
In order to identify the types of precast industry activities
that might create emissions other than PM, we must understand
the different types of pollutants that are regulated and that
might need to be in a facility’s air permit. The U.S.
Environmental Protection Agency (EPA) regulates six criteria
pollutants: Particulate Matter (PM); Particulate Matter less
than 10 microns in diameter (PM-10); Nitrogen Oxide (NOx);
Carbon Monoxide (CO); Volatile Organic Compounds (VOCs); and
Sulfur Dioxide (SO2). The EPA also regulates chemicals known
as Hazardous Air Pollutants (HAPs), which include a list of
chemical compounds that have been determined to cause adverse
health effects and/or atmospheric reactions at emission levels
even less than that of the six criteria pollutants. HAPs are
a subcategory of VOCs, and in general terms can be thought
of as the most health-impacting types of VOCs. States are
mandated by EPA to permit and enforce compliance of these
criteria pollutants and HAPs up to certain emission levels.
With this delegation, each state has its own rules for what
triggers the need for air permits associated with specific
industrial activities. Some states require permits for every
emission no matter the amount, and others have low-level cutoffs
or exemptions that industrial activities must exceed before
needing a permit. It is the responsibility of plant and company
officials to acquire professional help, as needed, to determine
these levels. We must assume that any emission requires a
permit, unless it is determined otherwise. In cases where
emissions or emissions potential exceed designated levels,
plant-wide activities must be regulated by EPA under a federal
Title V Major Source Permit.
Targeting industry
emissions
Table 1 describes activities common within the industry. The
table is not meant to represent an exclusive list of activities
or pollutants, but it highlights activities that can generate
emissions other than those created from the production of
concrete.
Table 1:
| Emission Source |
Description of
Industrial Activity |
Potential Pollutants
of Concern |
| Release Agents |
Surface coating of metal forms
by
spraying or brushing |
VOCs |
| Paints |
Surface coating plant equipment
or products by brushing or spraying |
VOCs, PM |
| Sealers |
Surface coating of sealers
to products by brushing or spraying |
VOCs, PM |
| Epoxy |
Surface coating of epoxy to
products by brushing or spraying |
VOCs, PM |
| Thinners |
Mixing of thinner with other
coating products prior to application or for use in cleaning |
VOCs, PM |
| Primers |
Surface coating of metal or
concrete by brushing or spraying prior to applying paint
or sealers |
VOCs |
| Degreasers |
Cleaning of greases and oils
from metal parts |
VOCs, PM |
Cleaners |
Cleaning of process equipment |
VOCs |
Boilers |
The process of burning natural
gas, fuel oil, diesel or other fuel to heat water and
create steam necessary for curing concrete products; emissions
exit the exhaust pipe of the boiler |
NOx, CO, VOCs, SO2, PM-10 |
| Steam Generators and Cure Paks |
The process of burning natural
gas, fuel oil, diesel or other fuel to heat water and
create steam necessary for curing concrete products; emissions
exit with the steam |
NOx, CO, VOCs, SO2, PM-10 |
| Fuel Tanks |
The venting/breathing loss
of gasoline and diesel tanks |
VOCs |
Discovering a plant’s
emissions potential
Certainly all precast concrete plants do not perform each
of the activities listed in the table. However, as a whole,
these are all very common activities within the industry.
Knowing this, there is a systematic way
to audit a plant’s activities to determine if all permitting
needs have been met. The key information required for this
process can be pieced together from a variety of sources,
including chemical manufacturers equipment manufacturers and
plant usage records, among other things. Always look at the
MSDS for a chemical to find its chemical properties, such
as VOC content – every plant is required by the OSHA
Hazard Communication standards to have an MSDS for each chemical
on site. However, realize that the exact VOC content is not
a legal requirement for an MSDS, so it is not uncommon for
this information to be excluded from a particular MSDS –
you may have to call the manufacturer to obtain this important
information. Depending on your perceived exposure to regulatory
risk, it may be a good idea to seek protection under your
state’s environmental audit privilege act during the
audit/discovery period. Regardless if the audit/discovery
method chosen utilizes such state programs where they are
offered, help and direction from an experienced environmental
consultant or attorney makes good sense. Air permit work is
a very technical process that most individuals should not
perform alone.
Is Your Plant in Compliance?
If you are interested in learning more
about industry pollutants, their sources and how to effectively
gather and review information regarding your plant’s
level of compliance in this area, a course entitled “Clean
Air: Is Your Plant in Compliance” will be offered
by NPCA at the annual MCPX 2006 in Anaheim, Calif., Feb. 23.
For more information, please visit the MCPX Web site at www.mcpx.org
or contact Marti Harrell
at (317) 571-9500.
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