HomeMy WebLinkAboutDAQ-2024-010531Department of
Environmental Quality
Kimberly D. Shelley
Executive Director
DTVISION OF AIR QUALITY
Bryce C. Bird
DireclorSPENCER J. COX
Coventor
DEIDRE HENDERSON
Lieulenant Goventor
September L7,2024 DAQC-927-24
Site ID 11793 (B1)
Re:
Sent Via Certified Mail No. 70190700000208347433
Bill Kaiser
Savage Services Corporation
901 West Legacy Center Way
Midvale, UT 84047
Dear Mr. Kaiser:
Compliance Advisory - Savage Services Corporation - Savage Energy Terminal -
Condition II.B.6.a of Approval Order DAQE-ANI I79300I3-24,Carbon County
On August 27,2024, a representative of the Utah Division of Air Quality (DAQ) conducted an
inspection of Savage Services Corporation Savage Energy Terminal in Carbon County, Utah. The
DAQ observed an exceedance of the rolling 12-month transloading throughput limit of MJ
WATE (barite), which may be a violation of Condition II.B.6.a of Approval Order
DAQE-ANrt79300t3-24.
Savage Services Corporation is required to comply with the above regulations. A written response
to this letter is required within ten (10) business days of receipt of this letter.
Additional details about the above observations and regulations are attached to this letter. Please
contact Kyle Greenberg at 385-306-6533 or kgreenberg@utah.gov if you have any questions
about this letter.
Sincerely,
/'a. - ,-eirt" ''-
Rik Ombach, Manager
Minor Source Oil and Gas Compliance Section
RO:KG:rh
Southeast Utah Health Department
195 North 1950 West. Salt Lake City, UT
Mailing Address: P.O. Box 144820. Salt Lake City, UT 841144820
Telephone (801 ) 5364000 . Fax (801) 5364099' T.D.D. (801 ) 903-3978
ww.deq.uluh.gov
Printed on 100% recycled paper
Potential Violation(s)
On August 27,2024, an inspector from the DAQ observed Savage Services Corporation
Savage Energy Terminal in Carbon County, Utah.
At the time of the inspection the DAQ documented the potential violation of exceeding the
rolling l2-month transloading throughput limit of M-I WATE (barite) which may be a
violation of Condition II.B.6.a of Approval Order (AO) DAQE-ANl 17930013-24, dated
htly 3,2024.
The records reviewed revealed the following rolling 12-month throughput of M-I WATE
(barite) to exceed the 18,000-ton limit:
March 2023 - February 2024:18,301.87 tons
April2023 - March 2024: 18,876.06 tons
May 2023 - April 2024: 78,977.56 tons
June 2023 - May 2024:20,063.05 tons
Ju,ly 2023 - June 2024: 19,487.13 tons
August 2023 - J:u/ry 2024:20,080.13 tons
September 2023 - August 2024: 19,586.90 tons
DAQC-927-24
Page2
AO Conditions/Rules
Condition II.B.6.a of AO DAQE-ANll79300l3-24:
The owner/operator shall not transload more than the following:
A. 12,000 tons of magnesium hydroxide per rolling l2-month period.
B. 18,000 tons of M-I WATE per rolling l2-month period.
The purpose of a Compliance Advisory (CA) is to document observations made by the DAQ. You
are responsible for complying with the Utah Air Conservation Rules. There are possible
administrative and civil penalties for failing to do so. Section 19-2-115 of the Utah Code
Annotated provides that violators of the Utah Air Conservation Act and/or any order issued there
under may be subject to a civil penalty of up to $ 10,000 per day for each violation.
The written response to this CA will be considered in resolving the deficiencies documented in
this letter. It may include information demonstrating compliance with the regulations or a
schedule to bring your company back into compliance with the applicable regulations. The DAQ
will review your response and this CA may be revised as a result of that review. Failure to
respond in writing within ten (10) business days of receipt of this CA will be considered in any
subsequent enforcement action and the assessment of penalties.
Possible DAQ actions to resolve a CA include: No Further Action Letter, Warning Letter, Early
Administrative Settlement with reduced civil penalty, Settlement Agreement with civil penalty, or
Notice of Violation and Order to Comply.
DAQC-927 -24
Page 3
This CA does not limit or preclude the DAQ from pursuing enforcement options concerning this
inspection. Also, this CA does not constitute a bar to enforcement action for conditions that the
DAQ did not observe or evaluate, or any other conditions found during future inspections.
A meeting may be requested to discuss this CA. Please contact Kyle Greenberg at 385-306-6533
or kgreenberg@utah.gov if you would like to request a meeting or if you have any questions about
this letter.
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TAH DIVISION OF AIR QUALITY
)OMPLIANCE SECTION
o Box 144820
ALT LAKE CITY UT 84I 14-4820
I Complete items 1,2, and B.r Print your name and address on the reverse
so that we can return the card to you.I Attach this card to the back of the mailpiece,
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SAVAGE SERVICES CORPORATIONI
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