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5.1 AIR QUALITY <br /> applicant will submit to the APCO for approval proposals for an Alternate Monitoring <br /> System for NO,,and CO emissions and a parametric monitoring system to track SO,,and <br /> PMlo emissions. <br /> Rule 4703 (Stationary Gas Turbines). Emissions from the new turbine will be well below the <br /> limits in this rule. The applicant is requesting SJVAPCD's approval of startup times up to 6 <br /> hours as necessary. As discussed in the BACT analysis of startup emissions provided in <br /> Appendix 5.1C, startup emissions from the CTG will be minimized through the use of the <br /> Rapid Response technology. However,because there is no operational experience with this <br /> technology,LEC cannot ensure that this new technology will allow the turbine to come into <br /> compliance with the Rule 4703 NOX and CO limits within 2 hours. <br /> Rule 4801 (Sulfur Compound Emissions). Because the project will use only natural gas fuel, <br /> all of the Rule 4801 limits will easily be complied with. <br /> Rule 7012 (Hexavalent Chromium-Cooling Towers).The cooling tower will not use <br /> hexavalent chromium. <br /> Rule 8011 (Fugitive PM10 Prohibitions, General Requirements).This rule includes <br /> definitions, exemptions,requirements and fees related to the control of fugitive PMio• <br /> Rule 8021 (Fugitive PMlo Prohibitions, Construction,Demolition,Excavation,Extraction <br /> and other Earthmoving Activities). This rule requires the use of specified control measures <br /> to control fugitive dust emissions during construction activities, and the submittal of a Dust <br /> Control Plan prior to the commencement of construction. NCPA has committed to use dust <br /> control measures during construction to minimize fugitive dust emissions. <br /> A summary of LORS compliance is provided in Table 5.1-45 below. <br /> 5.1-70 SAC/371322/082410013(LEC_5.1_AIR_QUALITY.DOC) <br />