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HomeMy WebLinkAboutDAQ-2024-0121341 DAQC-CI120660001-24 Site ID 12066 (B1) MEMORANDUM TO: FILE – HAWLEY ROCK PRODUCTS – Crushing and Screening Operation THROUGH: Chad Gilgen, Minor Source Compliance Section Manager FROM: Jared James, Environmental Scientist DATE: September 10, 2024 SUBJECT: FULL COMPLIANCE EVALUATION, Minor, Sevier County INSPECTION DATE: August 14, 2024 SOURCE LOCATION: 780 West 1400 South Elsinore, UT 84724 DIRECTIONS: South of Richfield on I-70, take exit 31, drive east to Center Street and turn south, continue to 1400 South (some street signs also indicate the road as 2000 South) go west (past the Staker plant) to the entrance. SOURCE CONTACTS: John Hawley, Owner/Foreman john@hawleyrock.com Ryan Hawley, Concrete Plant Manager Randa Hawley, Owner/records randa@hawleyrock.com OPERATING STATUS: The concrete plant was operating at the time of inspection. The crushing circuit and wash plant were down due to lack of demand. PROCESS DESCRIPTION: Bank material is taken and run through the crushing circuit. A wash plant cleans material used in the concrete batch plant. APPLICABLE REGULATIONS: Approval Order (AO) DAQE-AN120660005-22, dated May 12, 2022 NSPS (Part 60) IIII: Standards of Performance for Stationary Compression Ignition Internal Combustion Engines, NSPS (Part 60) OOO: Standards of Performance for Nonmetallic Mineral Processing Plants, MACT (Part 63) -ZZZZ: National Emissions Standards for Hazardous Air Pollutants for Stationary Reciprocating Internal Combustion Engines, 0 0 2 SOURCE EVALUATION: Name of Permittee: Permitted Location: Hawley Rock Products - Crushing and Screening Operation P.O. Box 185 780 West 1400 South Annabella, UT 84711 Elsinore, UT 84724 SIC Code: 1442: (Construction Sand & Gravel) Section I: GENERAL PROVISIONS I.1 All definitions, terms, abbreviations, and references used in this AO conform to those used in the UAC R307 and 40 CFR. Unless noted otherwise, references cited in these AO conditions refer to those rules. [R307-101] I.2 The limits set forth in this AO shall not be exceeded without prior approval. [R307-401] I.3 Modifications to the equipment or processes approved by this AO that could affect the emissions covered by this AO must be reviewed and approved. [R307-401-1] I.4 All records referenced in this AO or in other applicable rules, which are required to be kept by the owner/operator, shall be made available to the Director or Director's representative upon request, and the records shall include the two-year period prior to the date of the request. Unless otherwise specified in this AO or in other applicable state and federal rules, records shall be kept for a minimum of two (2) years. [R307-401-8] I.5 At all times, including periods of startup, shutdown, and malfunction, owners and operators shall, to the extent practicable, maintain and operate any equipment approved under this AO, including associated air pollution control equipment, in a manner consistent with good air pollution control practice for minimizing emissions. Determination of whether acceptable operating and maintenance procedures are being used will be based on information available to the Director which may include, but is not limited to, monitoring results, opacity observations, review of operating and maintenance procedures, and inspection of the source. All maintenance performed on equipment authorized by this AO shall be recorded. [R307-401-4] I.6 The owner/operator shall comply with UAC R307-107. General Requirements: Breakdowns. [R307-107] I.7 The owner/operator shall comply with UAC R307-150 Series. Emission Inventories. [R307-150] I.8 The owner/operator shall submit documentation of the status of construction or modification to the Director within 18 months from the date of this AO. This AO may become invalid if construction is not commenced within 18 months from the date of this AO or if construction is discontinued for 18 months or more. To ensure proper credit when notifying the Director, send the documentation to the Director, attn.: NSR Section. [R307-401-18] Status: In Compliance. No limits appear to have been exceeded. No modifications have been made to equipment or process. Records are maintained and were provided for review during the inspection. No reportable breakdowns have occurred since the previous inspection. Emission inventories are not required of this source at this time. All equipment was installed prior to the issuing of the current AO. 3 Section II: SPECIAL PROVISIONS II.A The approved installations shall consist of the following equipment: II.A.1 Hawley Crushing and Screening Plant (Manufacturers' names are listed for identification purposes only) II.A.2 Pioneer Roll Crusher - 54 x 24 Rating: 154 TPH Manufacture Date: 1951 Associated Engine Rated Capacity: 245 hp Manufacture Date: prior to 1973 MACT 40 CFR 63 Subpart ZZZZ Equipment II.A.3 Symons Cone Crusher Rating: 145 TPH Manufacture Date: 1951 II.A.4 Cedarapids Roll Crusher - 40 x 24 Rating: 154 TPH Manufacture Date: 1954 II.A.5 Pioneer Jaw Crusher - 10 x 36 Rating: 440 THP Manufacture Date: 1959 II.A.6 Nordberg Cone Crusher Rating: 220 THP Manufacture Date: 1967 II.A.7 Pioneer Roll Crusher - 30 x 40 Rating: 154 TPH Manufacture Date: 1968 II.A.8 Eagle Jaw Crusher - 20 x 36 Rating: 600 TPH Manufacture Date: 1968 II.A.9 Telsmith Cone Crusher - 6 x 16 Rating: 205 THP Manufacture Date: 1970 II.A.10 Cedarapids Jaw Crusher - 16 x 48 Rating: 500 TPH Manufacture Date: 1970 II.A.11 Cedarapids Jaw Crusher - 18 x 36 Rating: 140 TPH Manufacture Date: 1971 II.A.12 El Jay Cone Crusher - 54" Rating: 330 TPH Manufacture Date: 1979 II.A.13 Acrowood Impact Crusher Rating: 145 TPH Manufacture Date: 1987 NSPS Subpart OOO Equipment 4 II.A.14 Nordberg Cone Crusher Rating: 400 THP Manufacture Date: 1993 NSPS Subpart OOO Equipment II.A.15 Cedarapids Jaw Crusher - 30 x 42 Rating: 600 THP Manufacture Date: Unknown NSPS Subpart OOO Equipment II.A.16 Cedarapids Screen Plant - 4 x 14 and 4 x 12 Twin screens Manufacture Date: 1965 II.A.17 El Jay Screen - 6 x 20 Manufacture Date: 1979 II.A.18 El Jay Screen - 6 x 16 Manufacture Date: 1983 NSPS Subpart OOO Equipment II.A.19 El Jay Screen - 6 x 16 Manufacture Date: 1983 NSPS Subpart OOO Equipment II.A.20 El Jay Screen Plant - 6 x 16 Manufacture Date: 1983 NSPS Subpart OOO Equipment II.A.21 El Jay Screen Plant - 6 x 16 Twin Screens Manufacture Date: 1985 NSPS Subpart OOO Equipment II.A.22 El Jay Screen Plant - 6 x 20 Manufacture Date: 1988 NSPS Subpart OOO Equipment II.A.23 JCI Screen - 6 x 20 Manufacture Date: 1997 NSPS Subpart OOO Equipment II.A.24 Simplicity Screen - 6 x 20 Manufacture Date: 1997 NSPS Subpart OOO Equipment II.A.25 Screens (chip wash) Listed for informational purposes only II.A.26 Diesel Generator Rating: 400 kW (536 hp) Manufacture Date: 1976 MACT 40 CFR 63 Subpart ZZZZ Equipment II.A.27 Diesel Generator Rating: 200 kW (268 hp) Manufacture Date: 1977 MACT 40 CFR 63 Subpart ZZZZ Equipment 5 II.A.28 Diesel Generator Rating: 455 kW (610 hp) Manufacture Date: 2015 MACT 40 CFR 63 Subpart ZZZZ Equipment NSPS 40 CFR 60 Subpart IIII Equipment II.A.29 Conveyors and Stacks Various conveyors and stacks Manufacture Date: pre-2008 NSPS Subpart OOO Equipment II.A.30 One (1) Truck-Mix Concrete Batch Plant The plant is rated at 80 cubic yard/hr of concrete Major equipment includes: Sand and aggregate hoppers and storage bins Conveyors Cement and fly ash silos and associated baghouses Concrete mixing trucks Status: In Compliance. No unapproved equipment was observed on site. II.B Requirements and Limitations II.B.1 Site-Wide Requirement II.B.1.a The owner/operator shall not produce more than 875,000 tons of processed aggregate per rolling 12-month period. [R307-401-8] II.B.1.a.1 The owner/operator shall: A. Determine production with belt scale records, scale house records, or bucket scale records B. Record production on a daily basis C. Use the production data to calculate a new rolling 12-month total by the 20th day of each month using the data from the previous 12 months D. Keep the production records for all periods the plant is in operation. [R307-401-8] Status: In Compliance. Records supplied during the inspection reported 114,117 tons of processed aggregate during the 12-month period of August 2023 through July 2024. II.B.1.b The owner/operator shall not produce more than 350 tons of aggregate per hour. [R307-401-8] II.B.1.b.1 The owner/operator shall: A. Comply with the limit using data generated from a load cell monitor and associated software B. Keep the records of hourly production for all periods when the plant is in operation. [R307-401-8] Status: In Compliance. The max production rate of the crusher is 350 tons/hour, but the source never operates at full capacity. II.B.1.c The owner/operator shall not operate the facility for more than 10 hours per day. The owner/operator shall comply with the following operating schedules: A. The owner/operator shall not operate the concrete batch plant prior to 4 am or after 10 pm each day during the months of June, July, and August; prior to 6 am or after 10 pm each day during the remaining months from September through May. B. The owner/operator shall not operate all other equipment on site prior to 6 am or after 10 pm each day. [R307-401-8, R307-410-4] 6 II.B.1.c.1 The owner/operator shall: A. Determine the hours of operation with supervisor monitoring and maintenance of an operations log B. Record the start and end times, and the hours of operation on a daily basis for the concrete batch plant and all other equipment on site C. Keep the records for all periods when the plant is in operation. [R307-401-8, R307-410-4] Status: In Compliance. Plant operation is eight hours (8:00 am to 4:00 pm) or less per day. Hours are tracked by the scale house operator. II.B.1.d The owner/operator shall not operate the generator engines on site for more than the following limits: A. 200 hours per rolling 12-month period for the 245-hp engine (II.A.2) B. 2,500 hours per rolling 12-month period for the 400-kW generator engine (II.A.26) C. 600 hours per rolling 12-month period for the 200-kW generator engine (II.A.27) D. 2,500 hours per rolling 12-month period for the 455-kW generator engine (II.A.28). [R307-401-8] II.B.1.d.1 The owner/operator shall: A. Determine the hours of operation with a supervisor monitoring and maintenance of an operations log B. Record the hours of operation daily C. Use the hours of operation to calculate a new rolling 12-month total by the 20th day of each month using data from the previous 12 months D. Keep the hours of operation records for all periods when the plant is in operation. [R307-401-8] Status: In Compliance. The 200 kW engine has operated for 312 hours and the 455 kW engine has operated for 336.7 hours during the 12-month period. The other two engines have not operated in the last 12 months. II.B.1.e The owner/operators shall limit operations to the following number of units at one time: A. Two (2) screens; B. One (1) fines screen; and C. Four (4) crushers. [R307-401-8] II.B.1.e.1 Records of plant configuration shall be kept on a weekly basis for all periods when the plant is in operation. [R307-401-8] Status: In Compliance. The configuration has not changed since the AO was issued. The crushing circuit contains two screens and two crushers. II.B.1.f Visible emissions from the following emission points shall not exceed the following values: A. All crushers - 15% opacity B. All screens - 10% opacity C. All conveyor transfer points - 10% opacity D. All diesel engines - 20% opacity E. All conveyor drop points - 20% opacity F. The truck-mix concrete batch plant and associated equipment - 10% opacity G. All other fugitive dust emissions - 20% opacity. [40 CFR 60 Subpart OOO, R307-205, R307-401-8] 7 II.B.1.f.1 Opacity observations of emissions from stationary sources shall be conducted according to 40 CFR 60, Appendix A, Method 9. [R307-401-8] Status: In Compliance. No visible emissions were observed from the concrete batch plant during the inspection. The crushing circuit was down at the time of inspection. II.B.2 Roads and Fugitive Dust II.B.2.a The owner/operator shall not allow visible fugitive dust emissions from haul-road traffic, mobile equipment, and all other sources in operational areas to exceed 20% opacity on site. [R307-401-8] II.B.2.a.1 Visible emission determinations for fugitive dust from haul roads and operational areas shall use procedures similar to Method 9. The normal requirement for observations to be made at 15-second intervals over a six-minute period, however, shall not apply. Visible emissions shall be measured at the densest point of the plume but at a point not less than one-half vehicle length behind the vehicle and not less than one-half the height of the vehicle. [R307-401-8] Status: In Compliance. Only minimal visible emissions were observed from haul road traffic. II.B.2.b The owner/operator shall use water application and chemical suppressant on all haul roads and operational areas used by mobile equipment to maintain opacity limits listed in this AO. The owner/operator may stop applying water to the haul roads and operational areas when the temperature is below freezing. [R307-401-8] II.B.2.b.1 Records of water and chemical suppressant application on all haul roads and operational areas used by mobile equipment shall be kept for all periods when the plant is in operation. The records shall include the following items: A. Date and time treatments were made B. Number of treatments made and quantity of water applied C. Rainfall amount received, if any D. Records of temperature, if the temperature is below freezing. [R307-401-8] Status: In Compliance. Water records were provided for review during the inspection and included the necessary information. II.B.2.c The owner/operator shall apply water to all storage piles on site to control fugitive emissions. Sprays shall operate as required to maintain the opacity limits listed in this AO when the temperature is above freezing. Records of water treatment shall be kept for all periods when the plant is in operation. [R307-401-8] Status: In Compliance. The water truck is equipped with a side cannon which is used to wet storage piles. No visible emissions were observed from storage piles. II.B.2.d The owner/operator shall not exceed 3 acres of total area of storage piles on site. [R307-401-8] Status: In Compliance. Storage piles appeared to occupy less than one acre. II.B.3 Aggregate Processing Equipment II.B.3.a The owner/operator shall install water sprays on all crushers, all screens, all conveyor transfer points, and all conveyor drop points on site to control emissions. Sprays shall operate as required to maintain the opacity limits listed in this AO when the temperature is above freezing. [40 CFR 60 Subpart OOO, R307-401-8] Status: In Compliance. Water sprays are installed as outlined. 8 II.B.3.b The owner/operator shall perform monthly periodic inspections to check that water is flowing to discharge spray nozzles associated with each crusher, screen, and conveyor. If the owner/operator finds that water is not flowing properly during an inspection of the water spray nozzles, the owner/operator shall initiate corrective action within 24 hours and complete corrective action as expediently as practical. [40 CFR 60 Subpart OOO, R307-401-8] II.B.3.b.1 Records of the water sprays inspections shall be kept and maintained in a logbook for all periods when the plant is in operation. The records shall include the following items: A. Date the inspections were made B. Any corrective actions taken C. Control mechanism used if sprays are not operating. [40 CFR 60 Subpart OOO, R307-401-8] Status: In Compliance. Monthly water spray inspections are conducted. Records were provided for review at the time of inspection. II.B.3.c The owner/operator shall conduct an initial performance test for all crushers, screens, and conveyor transfer points listed as new in this AO and subject to 40 CFR 60 Subpart OOO within 60 days after achieving the maximum production rate but not later than 180 days after initial startup. Performance tests shall meet the limitations specified in Table 3 to Subpart OOO. Records of initial performance tests shall be kept and maintained with the equipment for the life of the equipment. [40 CFR 60 Subpart OOO] II.B.3.c.1 Initial performance tests for fugitive emissions limits shall be conducted according to 40 CFR 60.675(c). The owner/operator may use methods and procedures specified in 40 CFR 60.675(e) as alternatives to the reference methods and procedures specified in 40 CFR 60.675(c). [ 40 CFR 60 Subpart OOO] Status: Not Observed. All crushing circuit equipment has been on site for many years. OOO initial observations are only required to be maintained for two years. All equipment that would fall under OOO was on site prior to the requirement in II.B.3.c to maintain initial performance test for the life of the equipment. II.B.3.d The owner/operator shall submit written reports to the Director of the results of all performance tests conducted to demonstrate compliance with the standards set forth in 40 CFR 60.672. [40 CFR 60 Subpart OOO] Status: Not Observed. All crushing circuit equipment has been on site for many years. OOO initial observations are only required to be maintained for two years. The source has hired Bryant Bunnell (Method 9 certified) to conduct OOO observations on the equipment in the crushing circuit. II.B.4 Diesel Engines II.B.4.a The owner/operator shall only combust diesel fuel that meets the definition of ultra-low sulfur diesel (ULSD), which has a sulfur content of 15 ppm or less. [R307-401-8] Status: In Compliance. Fuel invoices reviewed at the time of inspection indicated diesel fuel to be less than 15 ppm. II.B.4.b To demonstrate compliance with the ULSD fuel requirement, the owner/operator shall maintain records of diesel fuel purchase invoices or obtain certification of sulfur content from the diesel fuel supplier. The diesel fuel purchase invoices shall indicate that the diesel fuel meets the ULSD requirements. [R307-401-8] Status: In Compliance. Fuel invoices reviewed at the time of inspection indicated diesel fuel to be less than 15 ppm. 9 II.B.4.c The 400 kW (536 hp) generator engine shall be subject to the following emission standard in 40 CFR 63 Subpart ZZZZ: A. Limit CO concentrations to 23 ppmvd or reduce CO emissions by 70 percent or more. Initial performance tests shall be conducted as per 40 CFR 63.6612. Subsequent performance tests shall be conducted every 8,760 hours or 3 years, whichever comes first, as per Table 3 of 40 CFR 63 Subpart ZZZZ. Additional requirements in 40 CFR 63 Subpart ZZZZ may apply to this engine. [40 CFR 63 Subpart ZZZZ, R307-401-8] Status: Out of Compliance. The engine was manufactured in 1976 and is existing equipment. The engine has not operated in the past 12 months. The engine has not been stack tested. Bryant Bunnell has been hired as a consultant. He reported that a stack testing contractor has been hired but to date no details of who or when have been given. II.B.4.d The 200 kW (268 hp) and the 183 kW (245 hp) diesel engines shall be subject to the following requirements in 40 CFR 63 Subpart ZZZZ: A. Change oil and filter every 1,000 hours of operation or annually, whichever comes first; B. Inspect air cleaner every 1,000 hours of operation or annually, whichever comes first, and replace as necessary; C. Inspect all hoses and belts every 500 hours of operation or annually, whichever comes first, and replace as necessary. Additional requirements in 40 CFR 63 Subpart ZZZZ may apply to this engine. [40 CFR 63 Subpart ZZZZ, R307-401-8] Status: In Compliance. The last oil change was conducted September 2, 2023. Inspections of belts, filters, and hoses are conducted annually. II.B.4.e The 455 kW (610 hp) generator engine shall meet all applicable requirements in 40 CFR 60 Subpart IIII and shall be certified to meet the following emission standards: 0.01 g/kW-hr of PM, 3.5 g/kW-hr of NOx, 3.5 g/kW-hr of CO, and 0.4 g/kW-hr of NMHC. [40 CFR 60 Subpart IIII, R307-401-8] II.B.4.e.1 To demonstrate compliance with the above condition, the owner/operator shall either: A. Purchase a manufacturer certified Tier IV engine, or B. Conduct an initial performance test to demonstrate exhaust emission standards according to 40 CFR 1039.240. [40 CFR 60 Subpart IIII, R307-401-8] II.B.4.e.2 The owner/operator shall maintain records of engine certification or the initial performance test. [40 CFR 60 Subpart IIII, R307-401-8] Status: In Compliance. The source maintains manufacturer's certification. A copy was submitted with a previous inspection memo (DAQC-1132-22). II.B.5 Truck-Mix Concrete Batch Plant II.B.5.a The owner/operator shall not produce more than 224,640 cubic yards of concrete per rolling 12-month period. [R307-401-8] II.B.5.a.1 The owner/operator shall: A. Determine production by using data generated from a load cell monitor and associated software B. Record production on a daily basis 10 C. Use the production data to calculate a new rolling 12-month total by the 20th day of each month using data from the previous 12 months. D. Keep the production records for all periods the plant is in operation. [R307-401-8] Status: In Compliance. The 12-month rolling total for produced concrete was 14,802 cubic yards. II.B.5.b The owner/operator shall install and operate a baghouse to control particulate emissions from each of the cement and fly ash silos during filling of the silos and truck loading operations. [R307-401-8] Status: In Compliance. A baghouse is used to control emissions from the silos. Section III: APPLICABLE FEDERAL REQUIREMENTS In addition to the requirements of this AO, all applicable provisions of the following federal programs have been found to apply to this installation. This AO in no way releases the owner or operator from any liability for compliance with all other applicable federal, state, and local regulations including UAC R307. NSPS (Part 60) IIII: Standards of Performance for Stationary Compression Ignition Internal Combustion Engines Status: In Compliance. The source maintains record of manufacturer's Tier IV certification. Oil is changed annually (last changed September 2, 2023) along with belt and filter inspections. The engine operates on ultra-low sulfur diesel fuel, and has operated for 336.7 hours in the past 12 months. NSPS (Part 60) OOO: Standards of Performance for Nonmetallic Mineral Processing Plants Status: In Compliance. See status of conditions II.B.3.a through II.B.3.d. MACT (Part 63) -ZZZZ: National Emissions Standards for Hazardous Air Pollutants for Stationary Reciprocating Internal Combustion Engines Status: Out of Compliance. Engines are regularly maintained and operate on ultra-low sulfur diesel fuel. However, the 400 kW engine has not been stack tested. A contractor has been hired to conduct a stack test but no details have been given yet. AREA SOURCE RULES EVALUATION: The following Area Source Rules were evaluated during this inspection: Emission Standards: Sulfur Content of Fuels [R307-203] Status: In Compliance. All diesel fuel used on site is ultra-low sulfur. Emission Standards: Fugitive Emissions and Fugitive Dust [R307-205] Status: In Compliance. No observed visible emissions were in excess of the limits set in this standard. Stationary Sources [R307-210] Status: In Compliance. See status for IIII and OOO. 11 EMISSION INVENTORY: The emissions listed below are an estimate of the total potential emissions (PTE) from Hawley Rock Products - Crushing and Screening Operation on the Approval Order (AO) DAQE-AN120660005-22, dated May 12, 2022. PTE are supplied for supplemental purposes only. Criteria Pollutant PTE tons/yr CO2 Equivalent 4550.00 Carbon Monoxide 9.56 Nitrogen Oxides 28.41 Particulate Matter - PM10 8.56 Particulate Matter - PM2.5 3.17 Sulfur Dioxide 1.85 Volatile Organic Compounds 2.45 Hazardous Air Pollutant PTE lbs/yr Total HAPs (CAS #THAPS) 120 PREVIOUS ENFORCEMENT ACTIONS: None in the past five years. COMPLIANCE STATUS & RECOMMENDATIONS: In regards to Approval Order (AO) DAQE-AN120660005-22, dated May 12, 2022, the overall status is: Out of Compliance. Out of compliance with condition IIB.4.c and ZZZZ for failing to stack test. The facility otherwise appeared to be adequately maintained and properly operated. Records were made available at the time of inspection. A contractor has been hired to conduct a stack test. The source was just issued a new AO (DAQE-AN120660006-24) on November 21, 2024. HPV STATUS: Not Applicable. RECOMMENDATION FOR NEXT INSPECTION: Inspect under new AO as soon as possible and verify that stack testing has been done. NSR RECOMMENDATIONS: None at this time. ATTACHMENTS: VEO Form, Emails Jared James <jsjames@utah.gov> Air Quality Inspection 9 messages Jared James <jsjames@utah.gov>Thu, Sep 26, 2024 at 12:49 PM To: john@hawleyrock.com, randa@hawleyrock.com Hi John I have a few questions following up my inspection from last month. First, what are your plans with the 400 kW generator, do you plan on fixing it or scrapping it? If you plan on fixing it, you'll need to stack test it in accordance with condition II.B.4.c of your Approval Order (AO). Or if you have conducted a stack test in the last three years will you email me the results. Second, do you have records of the NSPS OOO initial observation for your crushers and screens that are in the crushing circuit (II.B.3.c and II.B.3.d of the AO)? If so, will you send me a copy of those? Lastly, for the 455 kW generator can you provide documentation that it is being maintained according to manufacturer's recommendations? Otherwise, it may also need to be stack tested. If you have any questions please email or call. If you could get these records to me by October 4th, I would greatly appreciate it. Thanks! -- Jared James | Environmental Scientist | Minor Source Compliance Phone:385-306-6501 email: jsjames@utah.gov 195 North 1950 West, Salt Lake City, UT 84116 Jared James <jsjames@utah.gov>Tue, Oct 1, 2024 at 3:17 PM To: john@hawleyrock.com, randa@hawleyrock.com just resending this to make sure you got. [Quoted text hidden] Randa Hawley <randa@hawleyrock.com>Tue, Oct 1, 2024 at 3:20 PM To: Jared James <jsjames@utah.gov> Cc: john@hawleyrock.com Hello Mr. James, Yes, I received them. I've forwarded the request for information to our engineer who handles our permitting. Randa Hawley Rock [Quoted text hidden] Jared James <jsjames@utah.gov>Tue, Oct 1, 2024 at 3:29 PM To: Randa Hawley <randa@hawleyrock.com> Cc: john@hawleyrock.com Sounds good, thank you. 12/19/24, 9:31 AM State of Utah Mail - Air Quality Inspection https://mail.google.com/mail/u/0/?ik=2b4d965f6e&view=pt&search=all&permthid=thread-a:r-1138407469821892994&simpl=msg-a:r587373409033186…1/3 [Quoted text hidden] Bryant Bunnell <bwbunnell@hotmail.com>Thu, Oct 3, 2024 at 8:05 AM To: "jsjames@utah.gov" <jsjames@utah.gov> Hi Jared, I hope things are going well for you today. My neighbor reached out and menoned you completed an inspecon on their site recently and asked me to help them get what you need. I believe we've made contact over email last year regarding an inspecon your did at Sufco Mine. You're name looks familiar any way. I have a few quesons for you, if you're available today let's talk. My cell is 435-201-3366. Thanks, Bryant Bunnell [Quoted text hidden] Jared James <jsjames@utah.gov>Wed, Nov 20, 2024 at 11:26 AM To: Bryant Bunnell <bwbunnell@hotmail.com> Hi Bryant Any updates concerning Hawley Rock Products? [Quoted text hidden] Bryant Bunnell <bwbunnell@hotmail.com>Fri, Nov 22, 2024 at 12:25 PM To: Jared James <jsjames@utah.gov> Hello Jared, I have visited their site several mes and we were able to inventory their equipment and get the opacity observaons completed that were needed. I also have some updated informaon regarding their generators. We're sll waing for the contractor we've hired to complete stack tests for us. I'm currently on vacaon but will be back next Saturday. I'll put together that info and send it to you then. Thanks for working with us on this and I hope you have a great Thanksgiving next week. Bryant From: Jared James <jsjames@utah.gov> Sent: Wednesday, November 20, 2024 11:26 AM To: Bryant Bunnell <bwbunnell@hotmail.com> Subject: Re: Air Quality Inspecon [Quoted text hidden] Jared James <jsjames@utah.gov>Mon, Nov 25, 2024 at 8:16 AM To: Bryant Bunnell <bwbunnell@hotmail.com> Sounds great, thanks for the update! [Quoted text hidden] 12/19/24, 9:31 AM State of Utah Mail - Air Quality Inspection https://mail.google.com/mail/u/0/?ik=2b4d965f6e&view=pt&search=all&permthid=thread-a:r-1138407469821892994&simpl=msg-a:r587373409033186…2/3 Jared James <jsjames@utah.gov>Thu, Dec 12, 2024 at 5:12 PM To: Bryant Bunnell <bwbunnell@hotmail.com> Hi Bryant Any updates with Hawley? [Quoted text hidden] 12/19/24, 9:31 AM State of Utah Mail - Air Quality Inspection https://mail.google.com/mail/u/0/?ik=2b4d965f6e&view=pt&search=all&permthid=thread-a:r-1138407469821892994&simpl=msg-a:r587373409033186…3/3