1 / 7

United States Experience: Secondary Aluminum

United States Experience: Secondary Aluminum. US Standards Emissions. US Standards. 40 CFR Part 63, subpart RRR regulates secondary aluminum production. Rule has specific dioxin/furan emission limits. No controls are specified.

gurit
Télécharger la présentation

United States Experience: Secondary Aluminum

An Image/Link below is provided (as is) to download presentation Download Policy: Content on the Website is provided to you AS IS for your information and personal use and may not be sold / licensed / shared on other websites without getting consent from its author. Content is provided to you AS IS for your information and personal use only. Download presentation by click this link. While downloading, if for some reason you are not able to download a presentation, the publisher may have deleted the file from their server. During download, if you can't get a presentation, the file might be deleted by the publisher.

E N D

Presentation Transcript


  1. United States Experience: Secondary Aluminum • US Standards • Emissions

  2. US Standards • 40 CFR Part 63, subpart RRR regulates secondary aluminum production. • Rule has specific dioxin/furan emission limits. No controls are specified. • The secondary Aluminum MACT standard is being evaluated for residual risk and technology review (RTR). • For more information, contact: Ms. Susan Fairchild of EPA's Office of Air Quality Planning and Standards at (919) 541-5167 or fairchild.susan@epa.gov.

  3. Emission Limits • Thermal chip dryer - 2.50 micrograms (µg) of D/F TEQ per Mg (3.5 × 10−5gr per ton) of feed/charge from a thermal chip dryer at a secondary aluminum production facility that is a major or area source. • Scrap dryer/delacquering kiln/decoating kiln - 0.25 µg of D/F TEQ per Mg (3.5 × 10−6gr of D/F TEQ per ton) of feed/charge from a scrap dryer/delacquering kiln/decoating kiln at a secondary aluminum production facility that is a major or area source. • Scrap dryer/delacquering kiln/decoating kiln equipped with an afterburner having a design residence time of at least 1 second and the afterburner is operated at a temperature of at least 760 °C (1400 °F) at all times – 5.0 µg of D/F TEQ per Mg (7.0 × 10−5gr of D/F TEQ per ton) of feed/charge from a scrap dryer/delacquering kiln/decoating kiln at a secondary aluminum production facility that is a major or area source.

  4. Emission Limits • Sweat furnace at a secondary aluminum production facility that is a major or area source must not discharge or cause to be discharged to the atmosphere emissions in excess of 0.80 nanogram (ng) of D/F TEQ per dscm (3.5×10−10gr per dscf) at 11 percent oxygen (O2 ). • Group 1 furnace (a furnace of any design that melts, holds, or processes aluminum that contains paint, lubricants, coatings, or other foreign materials with or without reactive fluxing, or processes clean charge with reactive fluxing) - 15 µg of D/F TEQ per Mg (2.1 × 10−4gr of D/F TEQ per ton) of feed/charge from a group 1 furnace at a secondary aluminum production facility that is a major or area source. This limit does not apply if the furnace processes only clean charge

  5. Emission Limits • Secondary aluminum processing unit - The owner or operator must not discharge or allow to be discharged to the atmosphere any 3-day, 24-hour rolling average emissions of D/F in excess of: Where: LtiD/F= The D/F emission limit for individual emission unit i in paragraph (i)(3) of this section for a group 1 furnace; and LcD/F= The D/F emission limit for the secondary aluminum processing unit. Note: Clean charge furnaces cannot be included in this calculation since they are not subject to the D/F limit.

  6. Secondary Aluminum Emissions in the US *Facility count does not include sweat furnaces. It is estimated that an average of 4 facilities with sweat furnaces operate in large US cities, 2 facilities with sweat furnaces operate in medium sized US cities, and 1 facility with sweat furnaces operate in rural areas. ** Estimates for dioxin/furan emissions are being revised with current data for the risk and technology rule.

  7. Summary and Conclusions • Rules exist with specific dioxin/furan limits for secondary aluminum • Residual risk and technology review may result in addition regulation for this category.

More Related