HomeMy WebLinkAboutDAQ-2025-001196\lorgan Bosch
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Phillips 66 Pipeline t.l.C
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Billings, Montana 59 l0l
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Jarruary 27.2025
Regional Aclmirtistrator
US EPA. Region VIII
Air Progranr ('oordinator
1595 Wynkoop Street
Denver. CO 80202-l 129
Certillecl Mail: 7020 0090 0000 37117944
Retum Receipt Rcquested
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lrrrrrars: €L or,, y'uU/?o 6RE: GD-GACT Semi-Annual Report: July l-December 31,2024
40 CFR 63, Subpart BBBBBB
North Salt Lake Products Terminal, Phillips 66 Pipeline LLC
Permit: DAQE-ANl0 1330021-22
Morgan Bosch
Enclosure
Cc:
Department of Environmental Quality
Utah Air Quality- Compliance Section
P.O. Box 144820
Salt Lake Ciry, UT 84114
Compliancc Status:
Certified Mail, 7020 0090 0000 37ll 793'7
Return Receipt Requested
FFB - 3 2025
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Dear Sir or Madam:
Phillips 66 Pipeline LLC (P66) owns and operates the North Salt Lake Products Terminal, a bulk storage and
loading terminal, for finished gasoline and distillate products. The terminal is subject to the Gasoline
Distribution Generally Available Control Technology (40 CFR 63, Subpart BBBBBB GD-GACT) because
it is a minor source under Title III of the 1990 Clean Air Act Amendments.
The attached report summary and certification meets the semi-annual reporting requirements of ti63. I I 095(a)
and (b). The reporting period covered is July I through December 31,2024. The Ce(ification Statement is
signed by the respective Responsible Official, Mr. Clint Loobey, for the North Salt Lake Products Terminal.
If you have any questions about this report or require any additional information, please callMorgan Bosch
at (406) 255-5711.
Sincerely. - t
''(Y\rrrY^ I3'^4J'\
Phillips 66 Pipeline LLC
North Salt Lake Products Terminal
GD-GACT Semi-Annual Report
Bulk Gasoline'I'erminal
2024
LJTAH Di.'PATTTMFNT OF
)l9c
trlvlSlON OF AIR OUALITY
Reporting Period: Julv l. Z0Z4 through Decenlber Jl,
Recuhtory Secdon Reoort Tvoe Strtus
l0 ( FR 6l I lt)95(aX I )iemi-Annual
Jompliance
The tirllou'ing gasolinc' tank seal inspcctions werc crxductcd
during the reporting period:. Secondary seal inspectiotrs were conducted on tanks
201, ll l, lll and 2l-l in August Septernber l0l4 and
no def'ects were fbund.
o Through the hatch inspections were conducted on tanks
204,225,226.and 228 in December2024 and no
def-ects were fbund.
Per the March 19, 2024 notification, Tank 228 was brought out
of service for an API 653 Maintenance and Integrity Inspection.
A seal inspection was conducted and no def-ects were found. The
tank was retumed to service in Julv 2024.
iemi-Annual
3ompliance
rnd
fxcess Emission
All gasoline cargo tanks vapor tightness documentation was
received by the facility prior to granting the authorization to
load. The facility computer system will not allow loading of a
cargo tank unless vapor tightness documentation is on file for thr
specific trailer.
10 CFR 63. I I 095(a)(3 )
10 cFR 63.1 r095(bX5)
iemi-Annual
3ompliance
\ny equipment leaks were repaired within fifteen days of
letection.
10 cFR 63. l r 095(b)(3)Semi-Annual
Excess
Emission
A.ll f'lare monitored operating parameters were within normal
'anges, with no excess emissions during this period.
r0 cFR 63.1 l0es(bx4)Semi-Annual
Sompliance
A,ny malfunctions of the loading rack flare were corrected
rccording to the actions specified in the Monitoring and
nspection Plan (MIP).
l0 CFR 63. I 0(e)(3)(i-viii)
r0 cFR 63. r l0es(b)
Semi-Annual
Excess
Emission
fhere were no excess emissions during this period.
PHITTIPS
@Phillips 66 Pipeline LLC
North Salt Lake Products Terminal
GD-GACT Semi-Annual Report
Bulk Gasoline Terminal
I Clint Loobey certity that to the best of my knowledge, that the statements and information
submitted in this report are true, accurate and complete and they demonstrate compliance with the
relevant standards of the Gasoline Distribution GACT (40 CFR 63, Subpart BBBBBB).
Signature:Date: / -20 -a,
Name and Title: