Last updated: 4/11/2007
OAQ General Source Data Application GSD-07 Criteria Pollutant Emissions Summary {51602}
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Description
GSD-07 Criteria Pollutant Emissions Summary INSTRUCTIONS Microsoft Word version of GSD-07 Adobe PDF version of GSD-07 The purpose of GSD-07 (State Form 51602) is to provide the actual and potential emissions of each criteria pollutant emitted from the source. GSD-07 is required for all air permit applications submitted to IDEM, OAQ. For the purposes of this form, the term "source" refers to the plant as a whole and NOT to the individual emissions units. If you have any questions, contact the Air Permit Reviewer of the Day (PROD) at (317) 233-0178 or 1-800-451-6027 extension 3-0178 (toll free call within Indiana). Part A: Unit Emissions Summary: Part A provides the actual and potential emissions of each criteria pollutant emitted from each emissions unit. If you do not provide the enough information to adequately describe the emissions from each emissions unit, the application process may be stopped. 1. Unit ID: Provide the identification number for each emissions unit. The identification numbers listed on this form should correspond to the emissions unit identified on the Plant Layout and Process Flow diagrams. 2. Stack / Vent ID: Provide the identification number for each stack or vent to which this emissions unit exhausts. The identification numbers listed on this form should correspond to the stacks and vents identified on the Plant Layout and Process Flow diagrams. 3. Criteria Pollutant: For each emissions unit identified, list each criteria pollutant emitted to the atmosphere during normal operation. If there are multiple criteria pollutants for an emissions unit, use a new row for each pollutant. 4. Actual Emissions: For each emissions unit specific pollutant identified, provide the actual emissions level based on normal operating conditions (i.e., actual hours of operation, using control equipment, etc.) in standard units and also in tons per year (tpy). Since the units will vary depending on the process, appropriate units must be included or the application process may be stopped. The standard units used for this form should correspond to the units used on form CD-01, Facility/Unit Compliance Status. The annual emissions level should be calculated using data from the previous year of operation and should correspond to the emissions reported on the Annual Emission Statement (if required). It is important to provide an estimate of actual emissions so we can compare this number to the potential to emit. 5. Potential Emissions: For each emissions unit specific pollutant identified, provide the total potential to emit in standard units and also in tons per year (tpy) based on the maximum design capacity of the emissions unit and operating at 8760 hours/year. Since the units will vary depending on the process, appropriate units must be included or the application process may be stopped. The standard units used for this form should correspond to the units used on form CD-01, Facility/Unit Compliance Status. NOTE: Indiana Law requires permit emission limits to be based on the potential to emit (PTE) air pollutants as if the process was operating at full capacity 24 hours per day, seven (7) days per week and 365 days per year. Some sources may opt to take a limit on the potential to emit for the entire source, or individual processes, in order to better reflect the actual operating scenario. Limitations on operations (work practices) or emissions (control equipment) may be included in the calculations only to the extent that the limitations are federally enforceable (required by NSPS, NESHAP, approved SIP requirement, NSR/PSD permit condition, etc.). Limitations that are not federally enforceable cannot be included (state only requirement, local agency permit condition, etc.). Part B: Pollutant Emissions Summary: Part B provides the total actual and potential emissions of each criteria pollutant emitted from the source (including all emissions units and fugitive emissions at the source). If you do not provide the enough information to adequately describe the total source emissions, the application process may be stopped. 6. Criteria Pollutant: List each criteria pollutant emitted to the atmosphere during normal operation of the source. American LegalNet, Inc. www.FormsWorkflow.com 7. Actual Emissions: Provide the total source-wide actual emissions level for each pollutant based on normal operating conditions (i.e., actual hours of operation, using control equipment, etc.) in standard units and also in tons per year (tpy). Since the units will vary depending on the process, appropriate units must be included or the application process may be stopped. The standard units used for this form should correspond to the units used on form CD-01, Facility/Unit Compliance Status. The annual emissions level should be calculated using data from the previous year of operation and should correspond to the emissions reported on the Annual Emission Statement (if required). It is important to provide an estimate of actual emissions so we can compare this number to the potential to emit. 8. Potential Emissions: Provide the total source-wide potential to emit in standard units and also in tons per year (tpy) based on the maximum design capacity of each emissions unit and operating at 8760 hours/year. Since the units will vary depending on the process, appropriate units must be included or the application process may be stopped. The standard units used for this form should correspond to the units used on form CD-01, Facility/Unit Compliance Status. NOTE: Indiana Law requires permit emission limits to be based on the potential to emit (PTE) air pollutants as if the process was operating at full capacity 24 hours per day, seven (7) days per week and 365 days per year. Some sources may opt to take a limit on the potential to emit for the entire source, or individual processes, in order to better reflect the actual operating scenario. Limitations on operations (work practices) or emissions (control equipment) may be included in the calculations only to the extent that the limitations are federally enforceable (required by NSPS, NESHAP, approved SIP requirement, NSR/PSD permit condition, etc.). Limitations that are not federally enforceable cannot be included (state only requirement, local agency permit condition, etc.). Part C: Fugitive VOC Emissions (If applicable) Part C summarizes the sources of fugitive VOC emissions at the source and estimates VOC emissions from these emission points. Complete
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