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Address Info: 1150 O Street, P.O. Box 758, Greeley, CO 80632 | Phone:
(970) 400-4225
| Fax: (970) 336-7233 | Email:
egesick@weld.gov
| Official: Esther Gesick -
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2133168.tiff
STATE OF COLORADO John W. Hickenlooper, Governor Larry Wolk, MD, MSPH Executive Director and Chief Medical Officer Dedicated to protecting and improving the health and environment of the people of Colorado 4300 Cherry Creek Dr. S. Denver, Colorado 80246-1530 Phone (303) 692-2000 Located in Glendale, Colorado www.colorado.gov/cdphe Weld County Clerk & Recorder 1402 N 17th Ave Greeley, CO 80631 November 4, 2013 Dear Sir or Madam: Laboratory Services Division 8100 Lowry Blvd. Denver, Colorado 80230-6928 (303) 692-3090 RECEIVED WELD COUNTY COMMISSIONERS Colorado Department of Public Health and Environment On November 7, 2013, the Air Pollution Control Division will publish a public notice for Continental Resources Inc. — Marconi 1-1H, in the The Greeley Tribune. A copy of this public notice and the public comment packet are enclosed. Thank you for assisting the Division by posting a copy of this public comment packet in your office. Public copies of these documents are required by Colorado Air Quality Control Commission regulations. The packet must be available for public inspection for a period of thirty (30) days from the date the public notice is published. Please send any comment regarding this public notice to the address below. Colorado Dept. of Public Health & Environment APCD-SS-B 1 4300 Cherry Creek Drive South Denver, Colorado 80246-1530 Attention: Clara Gonzales Regards, Clara Gonzales Public Notice Coordinator Stationary Sources Program Air Pollution Control Division Enclosure i91#0)/1 -el 41i1AAH 11.1t2IV (r,0,: e1/2,4 -1.,P0 is 2013-3168 Division will receive and consider written public comments for thirty calendar days after the date of this Notice. Any such comment must be submitted in writing to the following addressee: Stuart Siffring Colorado Department of Public Health and Environment 4300 Cherry Creek Drive South, APCD-SS-BI Denver, Colorado 80246-1530 cdphe.commentsapcd@state.co.us STATE OF COLORADO COLORADO DEPARTMENT OF PUBLIC HEALTH AND ENVIRONMENT AIR POLLUTION CONTROL DIVISION TELEPHONE: (303) 692-3150 CONSTRUCTION PERMIT PERMIT NO: DATE ISSUED: ISSUED TO: 12WE1350 Continental Resources, Inc. Issuance 1 THE SOURCE TO WHICH THIS PERMIT APPLIES IS DESCRIBED AND LOCATED AS FOLLOWS: Natural gas production facility, known as Marconi 1-1H, located in Section 1, Township 7 North, Range 62 West, in Weld County, Colorado. THE SPECIFIC EQUIPMENT OR ACTIVITY SUBJECT TO THIS PERMIT INCLUDES THE FOLLOWING: Facility Equipment ID AIRS Point Description Crude Oil Storage Tanks 001 Three (3) above ground 400 bbl atmospheric crude oil storage tanks. Emissions from these tanks are controlled by a Cimarron smokeless combustor unit with 95% control efficiency. PW Tank 002 One (1) above ground 400 bbl atmospheric produced water storage tank. Emissions from this tank are controlled by a Cimarron smokeless combustor with a minimum destruction efficiency of 95%. Flare 005 Shop built flare used to control separator during maintenance or pipeline upsets. Pump Jack 006 One (1) Ajax DP60 Serial #64574 Pump Jack Engine, rated at 60 horsepower. The emissions from this engine are uncontrolled. This engine may be replaced with another engine in accordance with the temporary engine replacement provision or with another Ajax DP60 engine in accordance with the permanent replacement provision of the Alternate Operating Scenario (AOS), included in this permit as Attachment A. THIS PERMIT IS GRANTED SUBJECT TO ALL RULES AND REGULATIONS OF THE COLORADO AIR QUALITY CONTROL COMMISSION AND THE COLORADO AIR POLLUTION PREVENTION AND CONTROL ACT C.R.S. (25-7-101 et seq), TO THOSE GENERAL TERMS AND CONDITIONS INCLUDED IN THIS DOCUMENT AND THE FOLLOWING SPECIFIC TERMS AND CONDITIONS: REQUIREMENTS TO SELF -CERTIFY FOR FINAL AUTHORIZATION 1. Within one hundred and eighty days (180) after issuance of this permit, compliance with the conditions contained on this permit shall be demonstrated to the Division. It is the permittee's AIRS ID: 123/9747 Page 1 of 15 Condensate Tank Version 2009-1 Continental Resources, Inc. Permit No. 12WE1350 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division responsibility to self -certify compliance with the conditions. Failure to demonstrate compliance within 180 days may result in revocation of the permit. (Reference: Regulation No. 3, Part B, II.G.2). 2. This permit shall expire if the owner or operator of the source for which this permit was issued: (i) does not commence construction/modification or operation of this source within 18 months after either, the date of issuance of this construction permit or the date on which such construction or activity was scheduled to commence as set forth in the permit application associated with this permit; (U) discontinues construction for a period of eighteen months or more; (Hi) does not complete construction within a reasonable time of the estimated completion date. The Division may grant extensions of the deadline per Regulation No. 3, Part B, III.F.4.b. (Reference: Regulation No. 3, Part B, III.F.4.) 3. The operator shall complete all initial compliance testing and sampling as required in this permit and submit the results to the Division as part of the self -certification process. (Reference: Regulation No. 3, Part B, Section III.E.) 4. The operator shall retain the permit final authorization letter issued by the Division, after completion of self -certification, with the most current construction permit. This construction permit alone does not provide final authority for the operation of this source. EMISSION LIMITATIONS AND RECORDS 5. Emissions of air pollutants shall not exceed the following limitations (as calculated in the Division's preliminary analysis). (Reference: Regulation No. 3, Part B, Section II.A.4) Monthly Limits: Facility Equipment ID AIRS point Pounds per month Emission Type NO, VOC CO Crude Oil Storage Tanks 001 --- 34 --- Point PW Tank 002 --- 16 --- Point Flare 005 595 1802 1574 Point Pump Jack 006 860 45 1342 Point (Note: Monthly limits are based on a 31 -day month.) The owner or operator shall calculate monthly emissions based on the calendar month. Annual Limits: Facility Equipment ID AIRS point Tons per Year Emission Type NO NO, VOC CO Crude Oil Storage Tanks 001 0.2 Point PW Tank 002 --- 0.1 --- Point Flare 005 3.5 10.6 9.3 Point Pump Jack 006 5.1 0.3 7.9 Point AIRS ID: 123/9747 Page 2 of 15 Continental Resources, Inc. Permit No. 12WE1350 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division See "Notes to Permit Holder #4" for information on emission factors and methods used to calculate limits. Facility -wide emissions of each individual hazardous air pollutant shall be less than 8.0 tpy. Facility -wide emissions of total hazardous air pollutants shall be less than 20.0 tpy. During the first twelve (12) months of operation, compliance with both the monthly and annual emission limitations is required. After the first twelve (12) months of operation, compliance with only the annual limitation is required. Compliance with the synthetic minor status of this facility shall be determined by recording the facility's annual criteria pollutant emissions, from each emission unit, on a rolling (12) month total. By the end of each month a new twelve-month total is calculated based on the previous twelve months' data. The permit holder shall calculate monthly emissions and keep a compliance record on site or at a local field office with site responsibility, for Division review. This rolling twelve-month total shall apply to all emission units, requiring an APEN, at this facility. 6. Point 001: This emissions point shall be configured with a combustor. The combustor shall reduce the uncontrolled emissions of VOC to the emission levels listed in this section, above. Operating parameters of the control equipment are identified in the operation and maintenance plan. (Reference: Regulation No.3, Part B, Section III.E.) 7. Point 002: This emissions point shall be configured such that vapors are routed to a combustor (VCU). The VCU shall reduce uncontrolled emissions of VOC to the emission levels listed in this section, above. Operating parameters of the control equipment are identified in the operation and maintenance plan. (Reference: Regulation No.3, Part B, Section III.E.) 8. The emission points in the table below shall be operated and maintained with the control equipment as listed in order to reduce emissions to less than or equal to the limits established in this permit (Reference: Regulation No.3, Part B, Section III.E.) Facility Equipment ID AIRS Point Control Device Pollutants Controlled Crude Oil Storage Tanks 001 Cimarron Smokeless Combustor VOC Produced Water Storage Tanks 002 Cimarron Smokeless Combustor VOC PROCESS LIMITATIONS AND RECORDS 9. This source shall be limited to the following maximum consumption, processing and/or operational rates as listed below. Monthly records of the actual throughput shall be maintained by the applicant and made available to the Division for inspection upon request. (Reference: Regulation 3, Part B, II.A.4) Process/Consumption Limits Facility Equipment ID AIRS Point Process Parameter Annual Limit Monthly Limit AIRS ID: 123/9747 Page 3 of 15 Continental Resources, Inc. Permit No. 12WE1350 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division Crude Oil Storage Tanks 001 Crude oil throughput 12,775 BBUyr 1085 BBUmonth PW Tank 002 Produced water throughput 13,980 BBUyr 1188 BBUmonth Flare 005 Natural gas consumption 17.89 MMSCF/yr 1.52 MMSCF/month Pump Jack 006 Natural gas consumption 3.34 MMSCF/yr 0.284 MMSCF/month The owner or operator shall calculate monthly process rates based on the calendar month. During the first twelve (12) months of operation, compliance with both the monthly and annual throughput limitations is required. After the first twelve (12) months of operation, compliance with only the annual limitation is required. Compliance with the yearly throughput limits shall be determined on a rolling twelve (12) month total. By the end of each month a new twelve-month total is calculated based on the previous twelve months' data. The permit holder shall calculate monthly crude oil throughput and keep a compliance record on site or at a local field office with site responsibility, for Division review. 10. Point 002: Records shall be kept in either an electronic file or hard copy provided that they can be promptly supplied to the Division upon request. All records shall be retained for a consecutive period of three years. STATE AND FEDERAL REGULATORY REQUIREMENTS 11. The permit number and AIRS ID number shall be marked on the subject equipment for ease of identification. (Reference: Regulation Number 3, Part B, III.E.) (State only enforceable) 12. Visible emissions shall not exceed twenty percent (20%) opacity during normal operation of the source. During periods of startup, process modification, or adjustment of control equipment visible emissions shall not exceed 30% opacity for more than six minutes in any sixty consecutive minutes. (Reference: Regulation No. 1, Section II.A.1. & 4.). 13. No owner or operator of a smokeless flare or other flare for the combustion of waste gases shall allow or cause emissions into the atmosphere of any air pollutant which is in excess of 30% opacity for a period or periods aggregating more than six minutes in any sixty consecutive minutes. (Reference: Regulation No. 1, Section II.A.5.). 14. These sources are subject to the odor requirements of Regulation No. 2. (State only enforceable) OPERATING & MAINTENANCE REQUIREMENTS 15. Points 001: Upon startup of this point, the applicant shall follow the operating and maintenance (O&M) plan and record keeping format approved by the Division, in order to demonstrate compliance on an ongoing basis with the requirements of this permit. Revisions to your O&M plan are subject to Division approval prior to implementation. (Reference: Regulation No. 3, Part B, Section III.G.7.) 16. Point 001 and 002: a. VCUs shall be enclosed, have no visible emissions, and be designed so that an observer can, by means of visual observation from the outside of the enclosed VCU, AIRS ID: 123/9747 Page 4 of 15 Continental Resources, Inc. Permit No. 12WE1350 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division or by other convenient means approved by the Division, determine whether the VCU is operating properly. b. If a control device is used to comply with the emission limits of this permit, the following conditions must be met: (i) Leakage of VOCs to the atmosphere must be minimized as follows: 1. Thief hatch seals shall be inspected for integrity annually and replaced as necessary. Thief hatch covers shall be weighted and properly seated. 2. Pressure relief valves (PRV) shall be inspected for proper operation annually and replaced as necessary. PRVs shall be set to release at a pressure that will ensure flashing, working and breathing losses are routed to the control device under normal operating conditions. 3. Annual inspections of thief hatches and PRV shall be documented with an indication of status, a description of any problems found, and their resolution. (H) Control devices shall be adequately designed, and operated and maintained according to manufacturer specifications to achieve a control efficiency of at least 95%, and to handle reasonably foreseeable fluctuations in emissions of VOCs. Fluctuations in emissions that occur when the separator dumps into the tank are reasonably foreseeable. (iii) The permittee shall monitor and document the proper operation of the control device. Time intervals between monitoring shall not exceed 14 days. Indications of improper operation for a VCU include, but are not limited to, absence of pilot light, malfunction of electronic ignition, and/or presence of smoke. A check box is suitable for recording proper operation. Improper operation of a control device shall be further documented with a description of the problem and its resolution, the date range the control was inoperable, and the produced water production through the battery during the downtime. During control device downtime, emissions shall be considered to be uncontrolled. COMPLIANCE TESTING AND SAMPLING No initial testing requirements in this section ADDITIONAL REQUIREMENTS 17. A revised Air Pollutant Emission Notice (APEN) shall be filed: (Reference: Regulation No. 3, Part A, II.C) a. Annually whenever a significant increase in emissions occurs as follows: For any criteria pollutant: For sources emitting less than 100 tons per year, a change in actual emissions of five (5) tons per year or more, above the level reported on the last APEN; or AIRS ID: 123/9747 Page 5 of 15 Continental Resources, Inc. Permit No. 12WE1350 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division For any non -criteria reportable pollutant: If the emissions increase by 50% or five (5) tons per year, whichever is less, above the level reported on the last APEN submitted to the Division. b. Whenever there is a change in the owner or operator of any facility, process, or activity; or c. Whenever new control equipment is installed, or whenever a different type of control equipment replaces an existing type of control equipment; or d. Whenever a permit limitation must be modified; or e. No later than 30 days before the existing APEN expires. f. Within 14 calendar days of commencing operation of a permanent replacement engine under the alternative operating scenario outlined in this permit as Attachment A. The APEN shall include the specific manufacturer, model and serial number and horsepower of the permanent replacement engine, the appropriate APEN filing fee and a cover letter explaining that the owner or operator is exercising an alternative - operating scenario and is installing a permanent replacement engine. 18. Federal regulatory program requirements (i.e. PSD, NANSR or Title V Operating Permit) shall apply to this source at any such time that this source becomes major solely by virtue of a relaxation in any permit condition. Any relaxation that increases the potential to emit above the applicable Federal program threshold will require a full review of the source as though construction had not yet commenced on the source. The source shall not exceed the Federal program threshold until a permit is granted. (Regulation No. 3 Part D). GENERAL TERMS AND CONDITIONS 19. This permit and any attachments must be retained and made available for inspection upon request. The permit may be reissued to a new owner by the APCD as provided in AQCC Regulation No. 3, Part B, Section II.B upon a request for transfer of ownership and the submittal of a revised APEN and the required fee. 20. If this permit specifically states that final authorization has been granted, then the remainder of this condition is not applicable. Otherwise, the issuance of this construction permit does not provide "final" authority for this activity or operation of this source. Final authorization of the permit must be secured from the APCD in writing in accordance with the provisions of 25-7-114.5(12)(a) C.R.S. and AQCC Regulation No. 3, Part B, Section III.G. Final authorization cannot be granted until the operation or activity commences and has been verified by the APCD as conforming in all respects with the conditions of the permit. Once self -certification of all points has been reviewed and approved by the Division, it will provide written documentation of such final authorization. Details for obtaining final authorization to operate are located in the Requirements to Self -Certify for Final Authorization section of this permit. 21. This permit is issued in reliance upon the accuracy and completeness of information supplied by the applicant and is conditioned upon conduct of the activity, or construction, installation and operation of the source, in accordance with this information and with representations made by the applicant or applicant's agents. It is valid only for the equipment and operations or activity specifically identified on the permit. AIRS ID: 123/9747 Page 6 of 15 Continental Resources, Inc. Permit No. 12WE1350 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division 22. Unless specifically stated otherwise, the general and specific conditions contained in this permit have been determined by the APCD to be necessary to assure compliance with the provisions of Section 25-7-114.5(7)(a), C.R.S. 23. Each and every condition of this permit is a material part hereof and is not severable. Any challenge to or appeal of a condition hereof shall constitute a rejection of the entire permit and upon such occurrence, this permit shall be deemed denied ab initio. This permit may be revoked at any time prior to self -certification and final authorization by the Air Pollution Control Division (APCD) on grounds set forth in the Colorado Air Quality Control Act and regulations of the Air Quality Control Commission (AQCC), including failure to meet any express term or condition of the permit. If the Division denies a permit, conditions imposed upon a permit are contested by the applicant, or the Division revokes a permit, the applicant or owner or operator of a source may request a hearing before the AQCC for review of the Division's action. 24. Section 25-7-114.7(2)(a), C.R.S. requires that all sources required to file an Air Pollution Emission Notice (APEN) must pay an annual fee to cover the costs of inspections and administration. If a source or activity is to be discontinued, the owner must notify the Division in writing requesting a cancellation of the permit. Upon notification, annual fee billing will terminate. 25. Violation of the terms of a permit or of the provisions of the Colorado Air Pollution Prevention and Control Act or the regulations of the AQCC may result in administrative, civil or criminal enforcement actions under Sections 25-7-115 (enforcement), -121 (injunctions), -122 (civil penalties), -122.1 (criminal penalties), C.R.S. By: Stuart Siffring Permit Engineer Air Pollution Control Division Permit Histo Issuance Date Description Issuance 1 This Issuance Facility -wide permit for: (3) crude oil tanks and VCU, (1) produced water tank, Shop -built flare, and Pump Jack engine. New synthetic minor facility. AIRS ID: 123/9747 Page 7 of 15 Continental Resources, Inc. Permit No. 12WE1350 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division Notes to Permit Holder: 1) The permit holder is required to pay fees for the processing time for this permit. An invoice for these fees will be issued after the permit is issued. The permit holder shall pay the invoice within 30 days of receipt of the invoice. Failure to pay the invoice will result in revocation of this permit (Reference: Regulation No. 3, Part A, Section VI.B.) 2) The production or raw material processing limits and emission limits contained in this permit are based on the consumption rates requested in the permit application. These limits may be revised upon request of the permittee providing there is no exceedance of any specific emission control regulation or any ambient air quality standard. A revised air pollution emission notice (APEN) and application form must be submitted with a request for a permit revision. 3) This source is subject to the Common Provisions Regulation Part II, Subpart E, Affirmative Defense Provision for Excess Emissions During Malfunctions. The permittee shall notify the Division of any malfunction condition which causes a violation of any emission limit or limits stated in this permit as soon as possible, but no later than noon of the next working day, followed by written notice to the Division addressing all of the criteria set forth in Part II.E.1 of the Common Provisions Regulation. See: http://www.cdphe.state.co. us/req u lationsfairregs/100102agcccom monprovisionsreq .pdf. 4) The following emissions of non -criteria reportable air pollutants are estimated based upon the process limits as indicated in this permit. This information is listed to inform the operator of the Division's analysis of the specific compounds emitted if the source(s) operate at the permitted limitations. AIRS Point Pollutant CAS # BIN Uncontrolled Emission Rate (Ib/yr) Are the emissions reportable? Controlled Emission Rate (lb/yr) 001 Benzene 71432 A 10 No 1 n -Hexane 110543 C 58 No 3 002 Benzene 71432 A 97 Yes 5 n -Hexane 110543 C 306 No 15 005 Benzene 71432 A 273 Yes 14 n -Hexane 110543 C 10167 Yes 508 006 Formaldehyde 5000 A 238 Yes 238 5) The emission levels contained in this permit are based on the following emission factors: Point 001: CAS # Pollutant Emission Factors Uncontrolled Emission Factors Controlled Source VOC 1.1029 lb/bbl 0.055 lb/bbl CDPHE PS Memo 71432 Benzene 0.00078 lb/bbl 0.000039 lb/bbl CDPHE PS Memo 110543 n -hexane 0.0045 lb/bbl 0.000225 lb/bbl CDPHE PS Memo Note: The controlled emissions factors for point 001 are based on the combustor control efficiency of 95%. AIRS ID: 123/9747 Page 8 of 15 Continental Resources, Inc. Permit No. 12WE1350 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division Point 002: CAS # Pollutant Emission Factors Uncontrolled lb/BBL Produced Water Throughput Emission Factors Controlled Ib/BBL Produced Water Throughput Source VOC 0.262 0.0131 PS Memo 09-02 110543 n -Hexane 0.022 0.0011 PS Memo 09-02 71432 Benzene 0.007 0.0004 PS Memo 09-02 Note: The controlled emissions factors for point 002 are based on the combustor control efficiency of 95%. Point 005: Pollutant Emission Factors Uncontrolled Emission Factors Controlled Emission Factor units Source VOC 23,622.14 1,181.1 lb/mmscf APCD NOx 0.14 0.14 lb/mmbtu AP -42 CO 0.37 0.37 lb/mmbtu AP -42 Point 006: CAS Pollutant Emission Factors lb/MMBtu - Uncontrolled g/bhp-hr NOx 2.35 8.74 CO 3.635 13.52 VOC 0.12 0.446 5000 Formaldehyde 0.055 0.205 Emission factors are based on a Brake -Specific Fuel Consumption Factor of 8200 Btu/hp-hr, a site -rated horsepower value of 60, and a fuel heat value of 1291 Btu/scf. CAS Pollutant Uncontrolled EFSource NOx AP -42 CO AP -42 VOC AP -42 5000 Formaldehyde AP -42 6) In accordance with C.R.S. 25-7-114.1, each Air Pollutant Emission Notice (APEN) associated with this permit is valid for a term of five years from the date it was received by the Division. A revised APEN shall be submitted no later than 30 days before the five-year term expires. Please refer to the most recent annual fee invoice to determine the APEN expiration date for each emissions point associated with this permit. For any questions regarding a specific expiration date call the Division at (303)-692-3150. 7) This facility is classified as follows: Applicable Requirement Status Operating Permit Synthetic Minor Source VOC AIRS ID: 123/9747 Page 9 of 15 Continental Resources, Inc. Permit No. 12WE1350 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division NANSR Synthetic Minor Source VOC 8) Full text of the Title 40, Protection of Environment Electronic Code of Federal Regulations can be found at the website listed below: http://ecfr.gpoaccess.eov/ Part 60: Standards of Performance for New Stationary Sources NSPS 60.1 -End Subpart A — Subpart KKKK NSPS Part 60, Appendixes Appendix A — Appendix I Part 63: National Emission Standards for Hazardous Air Pollutants for Source Categories MACT 63.1-63.599 Subpart A — Subpart Z MACT 63.600-63.1199 Subpart AA — Subpart DDD MACT 63.1200-63.1439 Subpart EEE — Subpart PPP MACT 63.1440-63.6175 Subpart QQQ — Subpart YYYY MACT 63.6580-63.8830 Subpart ZZZZ — Subpart MMMMM MACT 63.8980 -End Subpart NNNNN — Subpart XXXXXX 9) An Oil and Gas Industry Construction Permit Self -Certification Form is included with this permit packet. Please use this form to complete the self -certification requirements as specified in the permit conditions. Further guidance on self -certification can be found on our website at: http.//www.cdphe.stataco.us/apioilciaspermitfinci.htm AIRS ID: 123/9747 Page 10 of 15 Continental Resources, Inc. Permit No. 12WE1350 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division ATTACHMENT A: ALTERNATIVE OPERATING SCENARIOS RECIPROCATING INTERNAL COMBUSTION ENGINES October 12, 2012 2. Alternative Operating Scenarios The following Alternative Operating Scenario (AOS) for the temporary and permanent replacement of natural gas fired reciprocating internal combustion engines has been reviewed in accordance with the requirements of Regulation No. 3., Part A, Section IV.A, Operational Flexibility -Alternative Operating Scenarios, Regulation No. 3, Part B, Construction Permits, and Regulation No. 3, Part D, Major Stationary Source New Source Review and Prevention of Significant Deterioration, and it has been found to meet all applicable substantive and procedural requirements. This permit incorporates and shall be considered a Construction Permit for any engine replacement performed in accordance with this AOS, and the owner or operator shall be allowed to perform such engine replacement without applying for a revision to this permit or obtaining a new Construction Permit. 2.1 Engine Replacement The following AOS is incorporated into this permit in order to deal with a compressor engine breakdown or periodic routine maintenance and repair of an existing onsite engine that requires the use of either a temporary or permanent replacement engine. "Temporary" is defined as in the same service for 90 operating days or less in any 12 month period. "Permanent" is defined as in the same service for more than 90 operating days in any 12 month period. The 90 days is the total number of days that the engine is in operation. If the engine operates only part of a day, that day shall count as a single day towards the 90 day total. The compliance demonstrations and any periodic monitoring required by this AOS are in addition to any compliance demonstrations or periodic monitoring required by this permit. All replacement engines are subject to all federally applicable and state -only requirements set forth in this permit (including monitoring and record keeping). The results of all tests and the associated calculations required by this AOS shall be submitted to the Division within 30 calendar days of the test or within 60 days of the test if such testing is required to demonstrate compliance with NSPS or MACT requirements. Results of all tests shall be kept on site for five (5) years and made available to the Division upon request. The owner or operator shall maintain a log on -site and contemporaneously record the start and stop date of any engine replacement, the manufacturer, date of manufacture, model number, horsepower, and serial number of the engine(s) that are replaced during the term of this permit, and the manufacturer, model number, horsepower, and serial number of the replacement engine. In addition to the log, the owner or operator shall maintain a copy of all Applicability Reports required under section 2.1.2 and make them available to the Division upon request. 2.1.1 The owner or operator may temporarily replace an existing compressor engine that is subject to the emission limits set forth in this permit with an engine that is of the same manufacturer, model, and horsepower or a different manufacturer, model, or horsepower as the existing engine without modifying this permit, so long as the temporary replacement engine complies with all permit limitations and other requirements applicable to the existing engine. Measurement of emissions from the temporary replacement engine shall be made as set forth in section 2.2. AIRS ID: 123/9747 Page 11 of 15 Continental Resources, Inc. Permit No. 12WE1350 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division 2.1.2 The owner or operator may permanently replace the existing compressor engine with another engine with the same manufacturer, model, and horsepower engines without modifying this permit so long as the permanent replacement engine complies with all permit limitations and other requirements applicable to the existing engine as well as any new applicable requirements for the replacement engine. Measurement of emissions from the permanent replacement engine and compliance with the applicable emission limitations shall be made as set forth in section 2.2. An Air Pollutant Emissions Notice (APEN) that includes the specific manufacturer, model and serial number and horsepower of the permanent replacement engine shall be filed with the Division for the permanent replacement engine within 14 calendar days of commencing operation of the replacement engine. The APEN shall be accompanied by the appropriate APEN filing fee, a cover letter explaining that the owner or operator is exercising an alternative operating scenario and is installing a permanent replacement engine, and a copy of the relevant Applicability Reports for the replacement engine. Example Applicability Reports can be found at http://www.cdphe.state.co.us/ap/oilgaspermitting.html. This submittal shall be accompanied by a certification from the Responsible Official indicating that "based on the information and belief formed after reasonable inquiry, the statements and information included in the submittal are true, accurate and complete". This AOS cannot be used for permanent engine replacement of a grandfathered or permit exempt engine or an engine that is not subject to emission limits. The owner or operator shall agree to pay fees based on the normal permit processing rate for review of information submitted to the Division in regard to any permanent engine replacement. 2.2 Portable Analyzer Testing Note: In some cases there may be conflicting and/or duplicative testing requirements due to overlapping Applicable Requirements. In those instances, please contact the Division Field Services Unit to discuss streamlining the testing requirements. Note that the testing required by this Condition may be used to satisfy the periodic testing requirements specified by the permit for the relevant time period (i.e. if the permit requires quarterly portable analyzer testing, this test conducted under the AOS will serve as the quarterly test and an additional portable analyzer test is not required for another three months). The owner or operator may conduct a reference method test, in lieu of the portable analyzer test required by this Condition, if approved in advance by the Division. The owner or operator shall measure nitrogen oxide (NOX) and carbon monoxide (CO) emissions in the exhaust from the replacement engine using a portable flue gas analyzer within seven (7) calendar days of commencing operation of the replacement engine. All portable analyzer testing required by this permit shall be conducted using the Division's Portable Analyzer Monitoring Protocol (ver March 2006 or newer) as found on the Division's web site at: http: //www. co l orado. q ov/cs/Sate l l ite/C D P H E-AP/C B O N/ 1251596520270. Results of the portable analyzer tests shall be used to monitor the compliance status of this unit. For comparison with an annual (tons/year) or short term (lbs/unit of time) emission limit, the results of the tests shall be converted to a lb/hr basis and multiplied by the allowable operating hours in the month or year (whichever applies) in order to monitor compliance. If a source is not limited in its hours of operation the test results will be multiplied by the maximum number of hours in the month or year (8760), whichever applies. AIRS ID: 123/9747 Page 12 of 15 Continental Resources, Inc. Permit No. 12WE1350 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division For comparison with a short-term limit that is either input based (Ib/mmBtu), output based (g/hp-hr) or concentration based (ppmvd @ 15% O2) that the existing unit is currently subject to or the replacement engine will be subject to, the results of the test shall be converted to the appropriate units as described in the above -mentioned Portable Analyzer Monitoring Protocol document. If the portable analyzer results indicate compliance with both the NOX and CO emission limitations, in the absence of credible evidence to the contrary, the source may certify that the engine is in compliance with both the NOX and CO emission limitations for the relevant time period. Subject to the provisions of C.R.S. 25-7-123.1 and in the absence of credible evidence to the contrary, if the portable analyzer results fail to demonstrate compliance with either the NOX or CO emission limitations, the engine will be considered to be out of compliance from the date of the portable analyzer test until a portable analyzer test indicates compliance with both the NOX and CO emission limitations or until the engine is taken offline. 2.3 Applicable Regulations for Permanent Engine Replacements 2.3.1 Reasonably Available Control Technology (RACT): Reg 3, Part B § II.D.2 All permanent replacement engines that are located in an area that is classified as attainment/maintenance or nonattainment must apply Reasonably Available Control Technology (RACT) for the pollutants for which the area is attainment/maintenance or nonattainment. Note that both VOC and NOX are precursors for ozone. RACT shall be applied for any level of emissions of the pollutant for which the area is in attainment/maintenance or nonattainment, except as follows: In the Denver Metropolitan PM10 attainment/maintenance area, RACT applies to PM10 at any level of emissions and to NOX and SO2, as precursors to PM10, if the potential to emit of NOX or SO2 exceeds 40 tons/yr. For purposes of this AOS, the following shall be considered RACT for natural gas fired reciprocating internal combustion engines: VOC: The emission limitations in NSPS JJJJ CO: The emission limitations in NSPS JJJJ NOX: The emission limitations in NSPS JJJJ SO2: Use of natural gas as fuel PM10: Use of natural gas as fuel As defined in 40 CFR Part 60 Subparts GG (§ 60.331) and 40 CFR Part 72 (§ 72.2), natural gas contains 20.0 grains or less of total sulfur per 100 standard cubic feet. 2.3.2 Control Requirements and Emission Standards: Regulation No. 7, Sections XVI. and XVII.E (State -Only conditions). Control Requirements: Section XVI Any permanent replacement engine located within the boundaries of an ozone nonattainment area is subject to the applicable control requirements specified in Regulation No. 7, section XVI, as specified below: Rich burn engines with a manufacturer's design rate greater than 500 hp shall use a non -selective catalyst and air fuel controller to reduce emission. Lean burn engines with a manufacturer's design rate greater than 500 hp shall use an oxidation catalyst to reduce emissions. AIRS ID: 123/9747 Page 13 of 15 Continental Resources, Inc. Permit No. 12WE1350 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division The above emission control equipment shall be appropriately sized for the engine and shall be operated and maintained according to manufacturer specifications. The source shall submit copies of the relevant Applicability Reports required under Condition 2.1.2. Emission Standards: Section XVII.E — State -only requirements Any permanent engine that is either constructed or relocated to the state of Colorado from another state, after the date listed in the table below shall operate and maintain each engine according to the manufacturer's written instructions or procedures to the extent practicable and consistent with technological limitations and good engineering and maintenance practices over the entire life of the engine so that it achieves the emission standards required in the table below: Construction or Emission Standards in G/hp-hr Max Engine HP Relocation Date NOX CO VOC January 1, 2008 2.0 4.0 1.0 100<Hp<500 January 1, 2011 1.0 2.0 0.7 500<Hp July 1, 2007 July 1, 2010 2.0 1.0 4.0 2.0 1.0 0.7 The source shall submit copies of the relevant Applicability Reports required under Condition 2.1.2. 2.3.3 NSPS for stationary spark ignition internal combustion engines: 40 CFR Part 60, Subpart JJJJ A permanent replacement engine that is manufactured on or after 7/1/09 for emergency engines greater than 25 hp, 7/1/2008 for engines less than 500 hp, 7/1/2007 for engines greater than or equal to 500 hp except for lean burn engines greater than or equal to 500 hp and less than 1,350 hp, and 1/1/2008 for lean burn engines greater than or equal to 500 hp and less than 1,350 hp are subject to the requirements of 40 CFR Part 60, Subpart JJJJ. An analysis of applicable monitoring, recordkeeping, and reporting requirements for the permanent engine replacement shall be included in the Applicability Reports required under Condition 2.1.2. Any testing required by the NSPS is in addition to that required by this AOS. Note that the initial test required by NSPS Subpart JJJJ can serve as the testing required by this AOS under Condition 2.2, if approved in advance by the Division, provided that such test is conducted within the time frame specified in Condition 2.2. Note that under the provisions of Regulation No. 6. Part B, section I.B. that Relocation of a source from outside of the State of Colorado into the State of Colorado is considered to be a new source, subject to the requirements of Regulation No. 6 (i.e., the date that the source is first relocated to Colorado becomes equivalent to the manufacture date for purposes of determining the applicability of NSPS JJJJ requirements). However, as of October 1, 2011 the Division has not yet adopted NSPS JJJJ. Until such time as it does, any engine subject to NSPS will be subject only under Federal law. Once the Division adopts NSPS JJJJ, there will be an additional step added to the determination of the NSPS. Under the provisions of Regulation No. 6, Part B, § I.B (which is referenced in Part A), any engine relocated from outside of the State of Colorado into the State of Colorado is considered to be a new source, subject to the requirements of NSPS JJJJ. 2.3.4 Reciprocating internal combustion engine (RICE) MACT: 40 CFR Part 63, Subpart ZZZZ A permanent replacement engine located at either an area or major source is subject to the requirements in 40 CFR Part 63, Subpart ZZZZ. An analysis of the applicable monitoring, recordkeeping, and reporting requirements for the permanent engine replacement shall be included in the Applicability Reports required under Condition 2.1.2. Any testing required by the MACT is in addition to that required by this AOS. Note that the initial test required by the MACT can serve as the testing required by this AOS under Condition 2.2, if AIRS ID: 123/9747 Page 14 of 15 Continental Resources, Inc. Permit No. 12WE1350 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division approved in advance by the Division, provided that such test is conducted within the time frame specified in Condition 2.2. 2.4 Additional Sources The replacement of an existing engine with a new engine is viewed by the Division as the installation of a new emissions unit, not "routine replacement" of an existing unit. The AOS is therefore essentially an advanced construction permit review. The AOS cannot be used for additional new emission points for any site; an engine that is being installed as an entirely new emission point and not as part of an AOS- approved replacement of an existing onsite engine has to go through the appropriate Construction/Operating permitting process prior to installation. AIRS ID: 123/9747 Page 15 of 15 Construction Permit Application Preliminary Analysis Summary Section 1 —Applicant Information Company Name: Continental Resources, Inc. Permit Number: 12WE1350 Source Location: S1, T7N, R62W, Weld County (non -attainment) Equipment Description: Point 001: (3) 400 BBL above ground atmospheric crude oil storage tanks Point 002: (1) 400 BBL above ground atmospheric produced water storage tank. Point 005: Shop built flare used to control separator during maintenance or pipeline upsets. Point 006: One (1) Ajax DP60 Serial #64574 Pump Jack Engine, rated at 60 horsepower. The emissions from this engine are uncontrolled. AIRS ID: 123-9747 Date: 10/7/13 Review Engineer: Stuart Siffring Control Engineer Stefanie Rucker Section 2 — Action Completed Grandfathered Modification APEN Required/Permit Exempt X CP1 Transfer of Ownership APEN Exempt/Permit Exempt *If tank is a true minor source at a true minor facility, it shall be granted "Final Approval" Section 3 — Applicant Completeness Review Was the correct APEN submitted for this source type? X Yes No Is the APEN signed with an original signature? X Yes No Was the APEN filled out completely? X Yes No Did the applicant submit all required paperwork? X Yes No Did the applicant provide ample information to determine emission rates? X Yes No If you answered "no" to any of the above, when did you mail an Information Request letter to the source? On what date was this application complete? 8/13/2013 Section 4 — Source Description AIRS Point Equipment Description 001 Three (3) above ground 400 bbl atmospheric crude oil storage tanks. Emissions from these tanks are controlled by a Cimarron smokeless combustor with 95% control efficiency. 002 One (1) above ground 400 bbl atmospheric produced water storage tank. Emissions from this tank are controlled by a combustor with a minimum destruction efficiency of 95%. 005 Shop built flare used to control separator during maintenance or pipeline upsets. 006 One (1) Ajax DP60 Serial #64574 Pump Jack Engine, rated at 60 horsepower. The emissions from this engine are uncontrolled. Page 1 Is this a portable source? Yes X No Is this location in a non -attainment area for any criteria pollutant? X Yes No If "yes", for what pollutant? PM10 CO X Ozone Is this location in an attainment maintenance area for any criteria pollutant? Yes X No If "yes", for what pollutant? (Note: These pollutants are subject to minor source RACT per Regulation 3, Part B, Section III.D.2) PM10 CO Ozone Is this source located in the 8 -hour ozone non - attainment region? (Note: If "yes" the provisions of Regulation 7, Sections XII and XVII.C may apply) Yes X No Point 002: Is this source claiming exempt status for this source based on the fraction of oil in the stored water (less than 1% by volume crude oil on an average annual basis)? (Section 3 on APEN) X Yes No Point 002: Are these produced water tanks located at a commercial facility that accepts oil production wastewater for processing? (Section 3 on APEN) Yes X No Point 002: Are these produced water tanks subject to Colorado Oil and Gas Conservation Commission (COGCC) 805 Rule? (Section 3 on APEN) If so, submit Form APCD-105 Yes X No Section 5 — Emission Estimate Information AIRS Point Emission Factor Source 001 CDPHE Emission factors 002 CDPHE Emission Factors (PS Memo 09-02) 005 AP -42 for NOx and CO, CDPHE Emission factors for VOC 006 AP -42 Did the applicant provide actual process data for the emission inventory? Yes X No Basis for Potential to Emit (PTEI AIRS Point Process Consumption/Throughput/Production 001 12,775 bbl/yr 002 13,980 bbl/yr 005 17.89 MMSCF/yr 006 3.34 MMSCF/yr Basis for Permitted Emissions (Permit Limits) AIRS Point Process Consumption/Throughput/Production 001 12,775 bbl/yr 002 13,980 bbl/yr 005 17.89 MMSCF/yr 006 3.34 MMSCF/yr Does this facility use control devices? X Yes No AIRS Point Process Control Device Description % Reduction Granted Page 2 005 01 Shop Built Flare 95 Section 6 — Emission Summary (tons Jer year) Point NO„ VOC CO SOx PM10 Single HAP Total HAP PTE: 001 --- 7.0 -- __ --- 0.x3 (n -hexane) 0 05 002 --- 1.8 --- --- - 0.15 (n -hexane) 0 25 005 --- 211.3 --- -- --- --- --- 006 5.1 0.3 7.9 --- --- 0.1 (HCHO) 0.3 Uncontrolled point source emission rate: 001 --- 7.0 --- _-- _ 0.03 (n -hexane) 0.05 002 --- 1.8 --- --- 0.15 (n -hexane) 0.25 005 --- 211.3 --- --- --- --- -- 006 5.1 0.3 7.9 --- -- 0.1 (HCHO) 0.3 Controlled point source emission rate: 001 --- 0.2 -- --- --- --- -- 002 0.1 0.008 (n -hexane) 0.01 005 3.5 10.6 9.3 --- --- --- --- 006 5.1 0.3 7.9 --- -- 0.1 (HCHO) 0.3 TOTAL PERMITTED (TPY) See History File Section 7 — Non -Criteria / Hazardous Air Pollutants Pollutant CAS # BIN Uncontrolled Emission Rate (lb/yr) Are the emissions reportable? Controlled Emission Rate (Iblyr) Point 001 Benzene 71432 A 10 No 1 n -Hexane 110543 C 58 No 3 Point 002 Benzene 71432 A 97 Yes 5 n -Hexane 110543 C 306 No 15 Point 005 Benzene 71432 A 273 Yes 14 n -Hexane 110543 C 10167 Yes 508 Point 006 Formaldehyde 5000 A 238 Yes 238 Note: Regulation 3, Part A, Section II.B.3.b APEN emission reporting requirements for non -criteria air pollutants are based on potential emissions without credit for reductions achieved by control devices used by the operator. Section 8 —Testing Requirements Will testing be required to show compliance with any emission rate or regulatory standard? Yes X No Page 3 If "yes", complete the information listed below AIRS Point Process Pollutant Regulatory Basis Test Method 001 at VOC, HAP PS Memo 05-01 Site specific sampling Section 9 — Source Classification Is this a new previously un-permitted source? 001 002 005 006 YES X X X X NO What is this facility classification? True Minor X Synthetic Minor Major Classification relates to what programs? X Title V PSD NA NSR MACT Is this a modification to an existing permit? Yes No If "yes" what kind of modification? Minor Synthetic Minor Major Section 10 — Public Comment Does this permit require public comment per CAQCC Regulation 3? X Yes No If "yes", for which pollutants? Why? VOC For Reg. 3, Part B, III.C.1.a (emissions increase > 25/50 tpy)? X Yes No For Reg. 3, Part B, III.C.1.c.iii (subject to MACT)? Yes No For Reg. 3, Part B, III.C.1.d (synthetic minor emission limits)? X Yes No Section 11 Modeling Is modeling required to demonstrate compliance with National Ambient Air Quality Standards (NAAQS)? If "yes", for which pollutants? Why? NOx emissions are less than 40 TPY. Yes X No AIRS Point Section 12 —Regulatory Review Regulation 1 - Particulate, Smoke, Carbon Monoxide and Sulfur Dioxide 001, 002, 005, 006 Section II.A.1 - Except as provided in paragraphs 2 through 6 below, no owner or operator of a source shall allow or cause the emission into the atmosphere of any air pollutant which is in excess of 20% opacity. This standard is based on 24 consecutive opacity readings taken at 15 -second intervals for six minutes. The approved reference test method for visible emissions measurement is EPA Method 9 (40 CFR, Part 60, Appendix A (July, 1992)) in all subsections of Section II. A and B of this regulation. Section II.A.5 - Smokeless Flare or Flares for the Combustion of Waste Gases No owner or operator of a smokeless flare or other flare for the combustion of waste gases shall allow or cause emissions into the atmosphere of any air pollutant which is in excess of 30% opacity for a period or periods aggregating more than six minutes in any sixty consecutive minutes. Regulation 2 — Odor 001, 002, 005, 006 Section I.A - No person, wherever located, shall cause or allow the emission of odorous air contaminants from any single source such as to result in detectable odors which are measured in excess of the following limits: For areas used predominantly for residential or commercial purposes it is a violation if odors are detected after the odorous air has been diluted with seven (7) or more volumes of odor free air. Page 4 Regulation 3 - APENs, Construction Permits, Operating Permits, PSD 001, 002, 005, 006 Part A-APEN Requirements Criteria Pollutants: For criteria pollutants, Air Pollutant Emission Notices are required for each individual emission point in an attainment area with uncontrolled actual emissions of one ton per year or more of any individual criteria pollutant (pollutants are not summed) for which the area is attainment. (Applicant is required to file an APEN since emissions from production exceed 1 ton per year VOC) 001, 002, 005, 006 Part B — Construction Permit Exemptions Applicant is required to file a permit since uncontrolled VOC emissions are greater than the 2.0 TPY threshold (Reg. 3, Part B, Section II.D.3.a) Regulation 6 - New Source Performance Standards 001 NSPS Kb: for storage vessels greater than 19,800 gallons after 7/23/84. Is this source greater than 19,800 gallons (471 bbl)? No Is this source subject to NSPS Kb? No WHY? Less than 19,800 gallons Regulation 7 — Volatile Organic Compounds 001 XII. VOLATILE ORGANIC COMPOUND EMISSIONS FROM OIL AND GAS OPERATIONS This facility is located in the non -attainment area; therefore, this facility is subject to Section XII of this regulation. XVII.C STATEWIDE CONTROLS FOR OIL AND GAS OPERATIONS... (Applicant is not currently subject to this since actual uncontrolled emissions are less than 20 tpy of VOC.) Regulation 8 — Hazardous Air Pollutants 001 MACT EEEE: Organic Liquids Distribution Pick one: • This source is not subject to MACT EEEE because it is not located at a major source of HAP. 001 MACT HH Pick one: • This source is not subject to MACT HH because it is not located at a major source of HAP. Section 13 — Aerometric Information Retrieval System Coding Information Point Process Process Description Emission Factor Pollutant / CAS # Fugitive (Y/N) Emission Factor Source Control (%) 001 01 1.1029 lb/bbl VOC No CDPHE 95 Crude oil Storage Tanks 0.00078 lb/bbl Benzene No CDPHE 95 0.0045 lb/bbl n -hexane No CDPHE 95 SCC 40400312 — Fixed Roof Tank, Oil field storage of crude, breathing losses 002 01 0.262 lb/bbl throughput VOC No CDPHE PS Memo 09-02 95 Produced Water Storage Tanks 0.007 lb/bbl throughput Benzene No CDPHE PS Memo 09-02 95 0.022 lb/bbl throughput n -Hexane No CDPHE PS Memo 09-02 95 SCC 40400315— Fixed Roof Tank, Produced Water, working+breathing+flashing losses 005 01 23,622.14 lb/mmscf VOC No APCD 95 Flare 0'14 lb/mmbtu NOx No AP -42 0 0.37 lb/mmbtu CO No AP -42 0 SCC 31000205 -Flares 006 01 Pump Jack Engine 2.35 lb/mmbtu NOx No AP -42 0 Page 5 3.635 Ib/mmbtu CO No AP -42 0 0.12 lb/mmbtu V0C No AP -42 0 0.055 lb/mmbtu Formaldehy de No AP -42 0 SCC 20200252 — RICE 2SLB Section 14 — Miscellaneous Application Notes Facility -wide Facility Review A permit will be issued because the uncontrolled VOC emissions are greater than 2 TPY (permit threshold) and is a synthetic minor source for VOC. Page 6 Construction Permit Application Preliminary Analysis Summary Section 1 — Applicant Information Company Name: Continental Resources, Inc. Permit Number: 12WE1351 Source Location: S4, T7N, R62W, Weld County (non -attainment) Equipment Description: Point 001: (3) 400 BBL above ground atmospheric crude oil storage tanks Point 002: (1) 400 BBL above ground atmospheric produced water storage tank. Point 005: Shop built flare used to control separator during maintenance or pipeline upsets. Point 006: One (1) Ajax DP60 Serial #79809 Pump Jack Engine, rated at 60 horsepower. The emissions from this engine are uncontrolled. AIRS ID: 123-9748 Date: 10/7/13 Review Engineer: Stuart Siffring Control Engineer: Stefanie Rucker Section 2 — Action Completed Grandfathered Modification APEN Required/Permit Exempt X CP1 Transfer of Ownership APEN Exempt/Permit Exempt `If tank is a true minor source at a true minor facility, it shall be granted "Final Approval" Section 3 — Applicant Completeness Review Was the correct APEN submitted for this source type? X Yes No Is the APEN signed with an original signature? X Yes No Was the APEN filled out completely? X Yes No Did the applicant submit all required paperwork? X Yes No Did the applicant provide ample information to determine emission rates? X Yes No If you answered "no" to any of the above, when did you mail an Information Request letter to the source? On what date was this application complete? 8/13/2013 Section 4 — Source Description AIRS Point Equipment Description 001 Three (3) above ground 400 bbl atmospheric crude oil storage tanks. Emissions from these tanks are controlled by a Cimarron smokeless combustor with 95% control efficiency. 002 One (1) above ground 400 bbl atmospheric produced water storage tank. Emissions from this tank are controlled by a combustor with a minimum destruction efficiency of 95%. 005 Shop built flare used to control separator during maintenance or pipeline upsets. 006 One (1) Ajax DP60 Serial #79809 Pump Jack Engine, rated at 60 horsepower. The emissions from this engine are uncontrolled. Page 1 Is this a portable source? Yes X No Is this location in a non -attainment area for any criteria pollutant? X Yes No If "yes", for what pollutant? PKo CO • X Ozone Is this location in an attainment maintenance area for any criteria pollutant? Yes X No If "yes", for what pollutant? (Note: These pollutants are subject to minor source RACT per Regulation 3, Part B, Section III.D.2) PM10 CO Ozone Is this source located in the 8 -hour ozone non - attainment region? (Note: If "yes" the provisions of Regulation 7, Sections XII and XVII.C may apply) Yes X No Point 002: Is this source claiming exempt status for this source based on the fraction of oil in the stored water (less than 1% by volume crude oil on an average annual basis)? (Section 3 on APEN) X Yes No Point 002: Are these produced water tanks located at a commercial facility that accepts oil production wastewater for processing? (Section 3 on APEN) Yes X No Point 002: Are these produced water tanks subject to Colorado Oil and Gas Conservation Commission (COGCC) 805 Rule? (Section 3 on APEN) If so, submit Form APCD-105 Yes X No Section 5 — Emission Estimate Information AIRS Point Emission Factor Source 001 CDPHE Emission factors 002 CDPHE Emission Factors (PS Memo 09-02) 005 AP -42 for NOx and CO, CDPHE Emission factors for VOC 006 AP -42 Did the applicant provide actual process data for the emission inventory? Yes X No Basis for Potential to Emit (PTE) AIRS Point Process Consumption/Throughput/Production 001 14,600 bbl/yr 002 12,200 bbl/yr 005 7.67 MMSCF/yr 006 3.34 MMSCF/yr Basis for Permitted Emissions (Permit Limits) AIRS Point Process Consumption/Throughput/Production 001 14,600 bbl/yr 002 12,200 bbl/yr 005 7.67 MMSCF/yr 006 3.34 MMSCF/yr Does this facility use control devices? X Yes No AIRS Point Process Control Device Description % Reduction Granted Page 2 005 of Shop Built Flare 95 Section 6 — Emission Summary (tons ler year) Point NO, VOC CO SOx PM10 Single HAP Total HAP PTE: 001 8.1 0.03 (n -hexane) 0.05 0.13 (n -hexane) 0.2 005 --- 130.9 --- --- --- --- --- 006 5.1 0.3 7.9 --- --- 0.1 (HCHO) 0.3 Uncontrolled point source emission rate: 001 --- 8.1 --- --- --- 0.03 (n -hexane) 0.05 002 --- 1.6 --- --- --- 0.13 (n -hexane) 0.2 005 --- 130.9 --- --- --- --- --- 006 5.1 0.3 7.9 --- --- 0.1 (HCHO) 0.3 Controlled point source emission rate: 001 --- 0.2 --- --- --- --- --- 00 --- 0.1 --- --- --- 0.007 (n -hexane) 0.01 005 1.5 6.5 4.0 --- 006 5.1 0.3 7.9 --- - 0.1 (HCHO) 0.3 TOTAL PERMITTED (TPY) See History File Section 7 — Non -Criteria / Hazardous Air Pollutants Pollutant CAS # BIN Uncontrolled Emission Rate (Iblyr) Are the emissions reportable? Controlled Emission Rate (lb/yr) Point 001 Benzene 71432 A 20 No 1 n -Hexane 110543 C 104 No 5 Point 002 Benzene 71432 A 94 Yes 4 n -Hexane 110543 C 268 No 14 Point 005 Benzene 71432 A 205 Yes 10 n -Hexane 110543 C 1569 Yes 78 Point 006 Formaldehyde 5000 A 238 Yes 238 Note: Regulation 3, Part A, Section Il.B.3.b APEN emission reporting requirements for non -criteria air pollutants are based on potential emissions without credit for reductions achieved by control devices used by the operator. Section 8 —Testing Requirements Will testing be required to show compliance with any emission rate or regulatory standard? X Yes No Page 3 If "yes", complete the information listed below AIRS Point Process Pollutant Regulatory Basis Test Method 001 01 VOC, HAP PS Memo 05-01 Site specific sampling Section 9 — Source Classification Is this a new previously un-permitted source? 001 002 005 006 YES X X X X NO What is this facility classification? True Minor X Synthetic Minor Major i Classification relates to what programs? X Title V PSD NA NSR MACT Is this a modification to an existing permit? Yes No If "yes" what kind of modification? Minor Synthetic Minor Major Section 10 — Public Comment Does this permit require public comment per CAQCC Regulation 3? X Yes No If "yes", for which pollutants? Why? VOC For Reg. 3, Part B, III.C.1.a (emissions increase > 25/50 tpy)? X Yes No For Reg. 3, Part B, III.C.1.c.iii (subject to MACT)? Yes No For Reg. 3, Part B, III.C.1.d (synthetic minor emission limits)? X Yes No Section 11 — Modeling Is modeling required to demonstrate compliance with National Ambient Air Quality Standards (NAAQS)? If "yes", for which pollutants? Why? NOx emissions are less than 40 TPY. Yes X No AIRS Point Section 12 — Regulatory Review Regulation 1 - Particulate, Smoke, Carbon Monoxide and Sulfur Dioxide 001, 002, 005, 006 Section II.A.1 - Except as provided in paragraphs 2 through 6 below, no owner or operator of a source shall allow or cause the emission into the atmosphere of any air pollutant which is in excess of 20% opacity. This standard is based on 24 consecutive opacity readings taken at 15 -second intervals for six minutes. The approved reference test method for visible emissions measurement is EPA Method 9 (40 CFR, Part 60, Appendix A (July, 1992)) in all subsections of Section II. A and B of this regulation. Section II.A.5 - Smokeless Flare or Flares for the Combustion of Waste Gases No owner or operator of a smokeless flare or other flare for the combustion of waste gases shall allow or cause emissions into the atmosphere of any air pollutant which is in excess of 30% opacity for a period or periods aggregating more than six minutes in any sixty consecutive minutes. Regulation 2 — Odor 001, 002, 005, 006 Section I.A - No person, wherever located, shall cause or allow the emission of odorous air contaminants from any single source such as to result in detectable odors which are measured in excess of the following limits: For areas used predominantly for residential or commercial purposes it is a violation if odors are detected after the odorous air has been diluted with seven (7) or more volumes of odor free air. Page 4 Regulation 3 - APENs, Construction Permits, Operating Permits, PSD 001, 002, 005, 006 Part A-APEN Requirements Criteria Pollutants: For criteria pollutants, Air Pollutant Emission Notices are required for: each individual emission point in an attainment area with uncontrolled actual emissions of one ton per year or more of any individual criteria pollutant (pollutants are not summed) for which the area is attainment. (Applicant is required to file an APEN since emissions from production exceed 1 ton per year VOC) 001, 002, 005, 006 Part B — Construction Permit Exemptions Applicant is required to file a permit since uncontrolled VOC emissions are greater than the 2.0 TPY threshold (Reg. 3, Part B, Section ll.D.3.a) Regulation 6 - New Source Performance Standards 001 NSPS Kb: for storage vessels greater than 19,800 gallons after 7/23/84. Is this source greater than 19,800 gallons (471 bbl)? No Is this source subject to NSPS Kb? No WHY? Less than 19,800 gallons Regulation 7 - Volatile Organic Compounds 001 XII. VOLATILE ORGANIC COMPOUND EMISSIONS FROM OIL AND GAS OPERATIONS This facility is located in the non -attainment area; therefore, this facility is subject to Section XII of this regulation. XVII.C STATEWIDE CONTROLS FOR OIL AND GAS OPERATIONS... (Applicant is not currently subject to this since actual uncontrolled emissions are less than 20 tpy of VOC.) Regulation 8 — Hazardous Air Pollutants 001 MACT EEEE: Organic Liquids Distribution Pick one: • This source is not subject to MACT EEEE because it is not located at a major source of HAP. 001 MACT HH Pick one: • This source is not subject to MACT HH because it is not located at a major source of HAP. Section 13 — Aerometric Information Retrieval System Coding Information Point Process Process Description Emission Factor Pollutant / CAS # Fugitive (YIN) Emission Factor Source Control (/o) 001 01 1.1098 lb/bbl V0C No CDPHE 95 Crude oil Storage Tanks 0.00137 lb/bbl Benzene No CDPHE 95 0.0071 lb/bbl n -hexane No CDPHE 95 SCC 40400312 — Fixed Roof Tank, Oil field storage of crude, breathing losses 002 01 0.262 lb/bbl throughput V0C No CDPHE PS Memo 09-02 95 Produced Water Storage Tanks 0.007 lb/bbl throughput Benzene No CDPHE PS Memo 09-02 95 0.022 lb/bbl throughput n -Hexane No CDPHE PS Memo 09-02 95 SCC 40400315 — Fixed Roof Tank, Produced Water, working+breathing+flashing losses 005 01 34,154.1 lb/mmscf V0C No APCD 95 Flare 0'14 lb/mmbtu N0x No AP -42 0 0.37 lb/mmbtu CO No AP -42 0 SCC 31000205 -Flares 006 01 Pump Jack Engine 2.35 lb/mmbtu N0x No AP -42 0 Page 5 3.635 Ib/mmbtu CO No AP -42 0 0.12 Ib/mmbtu VOC No AP -42 0 0.055 Ib/mmbtu Form aldehy de No AP -42 0 SCC 20200252 - RICE 2SLB Section 14 — Miscellaneous Application Notes Facility -wide Facility Review A permit will be issued because the uncontrolled VOC emissions are greater than 2 TPY (permit threshold) and is a synthetic minor source for VOC. Page 6 STATE OF COLORADO COLORADO DEPARTMENT OF PUBLIC HEALTH AND ENVIRONMENT AIR POLLUTION CONTROL DIVISION TELEPHONE: (303) 692-3150 CONSTRUCTION PERMIT PERMIT NO: 12WE1351 Issuance 1 DATE ISSUED: ISSUED TO: Continental Resources, Inc. THE SOURCE TO WHICH THIS PERMIT APPLIES IS DESCRIBED AND LOCATED AS FOLLOWS: Natural gas production facility, known as Hahn 1-4H, located in Section 4, Township 7 North, Range 62 West, in Weld County, Colorado. THE SPECIFIC EQUIPMENT OR ACTIVITY SUBJECT TO THIS PERMIT INCLUDES THE FOLLOWING: Facility Equipment ID AIRS Point Description Crude Oil Storage Tanks 001 Three (3) above ground 400 bbl atmospheric crude oil storage tanks. Emissions from these tanks are controlled by a Cimarron smokeless combustor unit with 95% control efficiency. PW Tank 002 One (1) above ground 400 bbl atmospheric produced water storage tank. Emissions from this tank are controlled by a Cimarron smokeless combustor with a minimum destruction efficiency of 95%. Flare 005 Shop built flare used to control separator during maintenance or pipeline upsets. Pump Jack 006 One (1) Ajax DP60 Serial #79809 Pump Jack Engine, rated at 60 horsepower. The emissions from this engine are uncontrolled. This engine may be replaced with another engine in accordance with the temporary engine replacement provision or with another Ajax DP60 engine in accordance with the permanent replacement provision of the Alternate Operating Scenario (AOS), included in this permit as Attachment A. THIS PERMIT IS GRANTED SUBJECT TO ALL RULES AND REGULATIONS OF THE COLORADO AIR QUALITY CONTROL COMMISSION AND THE COLORADO AIR POLLUTION PREVENTION AND CONTROL ACT C.R.S. (25-7.101 et seq), TO THOSE GENERAL TERMS AND CONDITIONS INCLUDED IN THIS DOCUMENT AND THE FOLLOWING SPECIFIC TERMS AND CONDITIONS: REQUIREMENTS TO SELF -CERTIFY FOR FINAL AUTHORIZATION 1. Within one hundred and eighty days (180) after issuance of this permit, compliance with the conditions contained on this permit shall be demonstrated to the Division. It is the permittee's AIRS ID: 123/9748 Page 1 of 15 Condensate Tank Version 2009-1 Continental Resources, Inc. Permit No. 12WE1351 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division responsibility to self -certify compliance with the conditions. Failure to demonstrate compliance within 180 days may result in revocation of the permit. (Reference: Regulation No. 3, Part B, II.G.2). 2. This permit shall expire if the owner or operator of the source for which this permit was issued: (i) does not commence construction/modification or operation of this source within 18 months after either, the date of issuance of this construction permit or the date on which such construction or activity was scheduled to commence as set forth in the permit application associated with this permit; (ii) discontinues construction fora period of eighteen months or more; (iii) does not complete construction within a reasonable time of the estimated completion date. The Division may grant extensions of the deadline per Regulation No. 3, Part B, III.F.4.b. (Reference: Regulation No. 3, Part B, III.F.4.) 3. The operator shall complete all initial compliance testing and sampling as required in this permit and submit the results to the Division as part of the self -certification process. (Reference: Regulation No. 3, Part B, Section III.E.) 4. The operator shall retain the permit final authorization letter issued by the Division, after completion of self -certification, with the most current construction permit. This construction permit alone does not provide final authority for the operation of this source. EMISSION LIMITATIONS AND RECORDS 5. Emissions of air pollutants shall not exceed the following limitations (as calculated in the Division's preliminary analysis). (Reference: Regulation No. 3, Part B, Section II.A.4) Monthly Limits: Facility Equipment ID AIRS point Pounds per month Emission Type yp NO„ VOC CO Crude Oil Storage Tanks 001 --- 84 --- Point PW Tank 002 14 Point Flare 005 255 1105 680 Point Pump Jack 006 860 45 1342 Point (Note: Monthly limits are based on a 31 -day month.) The owner or operator shall calculate monthly emissions based on the calendar month. Annual Limits: Facility Equipment ID AIRS Point Tons per Year Emission Type YP NO,, VOC CO Crude Oil Storage Tanks 001 --- 0.2 --- Point PW Tank 002 --- 0.1 --- Point Flare 005 1.5 6.5 4.0 Point Pump Jack 006 5.1 0.3 7.9 Point AIRS ID: 123/9748 Page 2 of 15 Continental Resources, Inc. Permit No. 12WE1351 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division See "Notes to Permit Holder #4" for information on emission factors and methods used to calculate limits. Facility -wide emissions of each individual hazardous air pollutant shall be less than 8.0 tpy. Facility -wide emissions of total hazardous air pollutants shall be less than 20.0 tpy. During the first twelve (12) months of operation, compliance with both the monthly and annual emission limitations is required. After the first twelve (12) months of operation, compliance with only the annual limitation is required. Compliance with the synthetic minor status of this facility shall be determined by recording the facility's annual criteria pollutant emissions, from each emission unit, on a rolling (12) month total, By the end of each month a new twelve-month total is calculated based on the previous twelve months' data. The permit holder shall calculate monthly emissions and keep a compliance record on site or at a local field office with site responsibility, for Division review. This rolling twelve-month total shall apply to all emission units, requiring an APEN, at this facility. 6. Point 001: This emissions point shall be configured with a combustor. The combustor shall reduce the uncontrolled emissions of VOC to the emission levels listed in this section, above. Operating parameters of the control equipment are identified in the operation and maintenance plan. (Reference: Regulation No.3, Part B, Section III.E.) 7. Point 002: This emissions point shall be configured such that vapors are routed to a combustor (VCU). The VCU shall reduce uncontrolled emissions of VOC to the emission levels listed in this section, above. Operating parameters of the control equipment are identified in the operation and maintenance plan. (Reference: Regulation No.3, Part B, Section III.E.) 8. The emission points in the table below shall be operated and maintained with the control equipment as listed in order to reduce emissions to less than or equal to the limits established in this permit (Reference: Regulation No.3, Part B, Section III.E.) Facility Equipment ID AIRS Point Control Device Pollutants Controlled Crude Oil Storage Tanks 001 Cimarron Smokeless Combustor VOC Produced Water Storage Tanks 002 Cimarron Smokeless Combustor VOC PROCESS LIMITATIONS AND RECORDS 9. This source shall be limited to the following maximum consumption, processing and/or operational rates as listed below. Monthly records of the actual throughput shall be maintained by the applicant and made available to the Division for inspection upon request. (Reference: Regulation 3, Part B, II.A.4) Process/Consumption Limits Facility Equipment ID AIRS Point Process Parameter Annual Limit Monthly Limit AIRS ID: 123/9748 Page 3 of 15 Continental Resources, Inc. Permit No. 12WE1351 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division Crude Oil Storage Tanks 001 Crude oil throughput 14,600 BBL/yr 1240 BBL/month PW Tank 002 Produced water throughput 12,200 BBUyr 1037 BBUmonth Flare 005 Natural gas consumption 7.67 MMSCF/yr 0.65 MMSCF/month Pump Jack 006 Natural gas consumption 3.34 MMSCF/yr 0.284 MMSCF/month The owner or operator shall calculate monthly process rates based on the calendar month. During the first twelve (12) months of operation, compliance with both the monthly and annual throughput limitations is required. After the first twelve (12) months of operation, compliance with only the annual limitation is required. Compliance with the yearly throughput limits shall be determined on a rolling twelve (12) month total. By the end of each month a new twelve-month total is calculated based on the previous twelve months' data. The permit holder shall calculate monthly crude oil throughput and keep a compliance record on site or at a local field office with site responsibility, for Division review. 10. Point 002: Records shall be kept in either an electronic file or hard copy provided that they can be promptly supplied to the Division upon request. All records shall be retained for a consecutive period of three years. STATE AND FEDERAL REGULATORY REQUIREMENTS 11. The permit number and AIRS ID number shall be marked on the subject equipment for ease of identification. (Reference: Regulation Number 3, Part B, III.E.) (State only enforceable) 12. Visible emissions shall not exceed twenty percent (20%) opacity during normal operation of the source. During periods of startup, process modification, or adjustment of control equipment visible emissions shall not exceed 30% opacity for more than six minutes in any sixty consecutive minutes. (Reference: Regulation No. 1, Section II.A.1. & 4.). 13. No owner or operator of a smokeless flare or other flare for the combustion of waste gases shall allow or cause emissions into the atmosphere of any air pollutant which is in excess of 30% opacity for a period or periods aggregating more than six minutes in any sixty consecutive minutes. (Reference: Regulation No. 1, Section II.A.5.). 14. These sources are subject to the odor requirements of Regulation No. 2. (State only enforceable) OPERATING & MAINTENANCE REQUIREMENTS 15. Points 001: Upon startup of this point, the applicant shall follow the operating and maintenance (O&M) plan and record keeping format approved by the Division, in order to demonstrate compliance on an ongoing basis with the requirements of this permit. Revisions to your O&M plan are subject to Division approval prior to implementation. (Reference: Regulation No. 3, Part B, Section III.G.7.) 16. Point 001 and 002: a. VCUs shall be enclosed, have no visible emissions, and be designed so that an observer can, by means of visual observation from the outside of the enclosed VCU, AIRS ID: 123/9748 Page 4 of 15 Continental Resources, Inc. Permit No. 12WE1351 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division or by other convenient means approved by the Division, determine whether the VCU is operating properly. b. If a control device is used to comply with the emission limits of this permit, the following conditions must be met: (i) Leakage of VOCs to the atmosphere must be minimized as follows: 1. Thief hatch seals shall be inspected for integrity annually and replaced as necessary. Thief hatch covers shall be weighted and properly seated. 2. Pressure relief valves (PRV) shall be inspected for proper operation annually and replaced as necessary. PRVs shall be set to release at a pressure that will ensure flashing, working and breathing losses are routed to the control device under normal operating conditions. 3. Annual inspections of thief hatches and PRV shall be documented with an indication of status, a description of any problems found, and their resolution. (ii) Control devices shall be adequately designed, and operated and maintained according to manufacturer specifications to achieve a control efficiency of at least 95%, and to handle reasonably foreseeable fluctuations in emissions of VOCs. Fluctuations in emissions that occur when the separator dumps into the tank are reasonably foreseeable. (iii) The permittee shall monitor and document the proper operation of the control device. Time intervals between monitoring shall not exceed 14 days. Indications of improper operation for a VCU include, but are not limited to, absence of pilot light, malfunction of electronic ignition, and/or presence of smoke. A check box is suitable for recording proper operation. Improper operation of a control device shall be further documented with a description of the problem and its resolution, the date range the control was inoperable, and the produced water production through the battery during the downtime. During control device downtime, emissions shall be considered to be uncontrolled. COMPLIANCE TESTING AND SAMPLING Initial Testing Requirements No initial testing requirements in this section. ADDITIONAL REQUIREMENTS 17. A revised Air Pollutant Emission Notice (APEN) shall be filed: (Reference: Regulation No. 3, Part A, II.C) a. Annually whenever a significant increase in emissions occurs as follows: AIRS ID: 123/9748 Page 5 of 15 Continental Resources, Inc. Permit No. 12WE1351 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division For any criteria pollutant: For sources emitting less than 100 tons per year, a change in actual emissions of five (5) tons per year or more, above the level reported on the last APEN; or For any non -criteria reportable pollutant: If the emissions increase by 50% or five (5) tons per year, whichever is less, above the level reported on the last APEN submitted to the Division. b. Whenever there is a change in the owner or operator of any facility, process, or activity; or c. Whenever new control equipment is installed, or whenever a different type of control equipment replaces an existing type of control equipment; or d. Whenever a permit limitation must be modified; or e. No later than 30 days before the existing APEN expires. f. Within 14 calendar days of commencing operation of a permanent replacement engine under the alternative operating scenario outlined in this permit as Attachment A. The APEN shall include the specific manufacturer, model and serial number and horsepower of the permanent replacement engine, the appropriate APEN filing fee and a cover letter explaining that the owner or operator is exercising an alternative - operating scenario and is installing a permanent replacement engine. 18. Federal regulatory program requirements (i.e. PSD, NANSR or Title V Operating Permit) shall apply to this source at any such time that this source becomes major solely by virtue of a relaxation in any permit condition. Any relaxation that increases the potential to emit above the applicable Federal program threshold will require a full review of the source as though construction had not yet commenced on the source. The source shall not exceed the Federal program threshold until a permit is granted. (Regulation No. 3 Part D). GENERAL TERMS AND CONDITIONS 19. This permit and any attachments must be retained and made available for inspection upon request. The permit may be reissued to a new owner by the APCD as provided in AQCC Regulation No. 3, Part B, Section II.B upon a request for transfer of ownership and the submittal of a revised APEN and the required fee. 20. If this permit specifically states that final authorization has been granted, then the remainder of this condition is not applicable. Otherwise, the issuance of this construction permit does not provide "final" authority for this activity or operation of this source. Final authorization of the permit must be secured from the APCD in writing in accordance with the provisions of 25-7-114.5(12)(a) C.R.S. and AQCC Regulation No. 3, Part B, Section III.G. Final authorization cannot be granted until the operation or activity commences and has been verified by the APCD as conforming in all respects with the conditions of the permit. Once self -certification of all points has been reviewed and approved by the Division, it will provide written documentation of such final authorization. Details for obtaining final authorization to operate are located in the Requirements to Self -Certify for Final Authorization section of this permit. 21. This permit is issued in reliance upon the accuracy and completeness of information supplied by the applicant and is conditioned upon conduct of the activity, or construction, installation and operation of the source, in accordance with this information and with AIRS ID: 123/9748 Page 6 of 15 Continental Resources, Inc. Permit No. 12WE1351 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division representations made by the applicant or applicant's agents. It is valid only for the equipment and operations or activity specifically identified on the permit. 22. Unless specifically stated otherwise, the general and specific conditions contained in this permit have been determined by the APCD to be necessary to assure compliance with the provisions of Section 25-7-114.5(7)(a), C.R.S. 23. Each and every condition of this permit is a material part hereof and is not severable. Any challenge to or appeal of a condition hereof shall constitute a rejection of the entire permit and upon such occurrence, this permit shall be deemed denied ab initio. This permit may be revoked at any time prior to self -certification and final authorization by the Air Pollution Control Division (APCD) on grounds set forth in the Colorado Air Quality Control Act and regulations of the Air Quality Control Commission (AQCC), including failure to meet any express term or condition of the permit. If the Division denies a permit, conditions imposed upon a permit are contested by the applicant, or the Division revokes a permit, the applicant or owner or operator of a source may request a hearing before the AQCC for review of the Division's action. 24. Section 25-7-114.7(2)(a), C.R.S. requires that all sources required to file an Air Pollution Emission Notice (APEN) must pay an annual fee to cover the costs of inspections and administration. If a source or activity is to be discontinued, the owner must notify the Division in writing requesting a cancellation of the permit. Upon notification, annual fee billing will terminate. 25. Violation of the terms of a permit or of the provisions of the Colorado Air Pollution Prevention and Control Act or the regulations of the AQCC may result in administrative, civil or criminal enforcement actions under Sections 25-7-115 (enforcement), -121 (injunctions), -122 (civil penalties), -122.1 (criminal penalties), C.R.S. By: Stuart Siffring Permit Engineer Air Pollution Control Division Permit Histo Issuance Date Description Issuance 1 This Issuance Facility -wide permit for: (3) crude oil tanks and VCU, (1) produced water tank, Shop -built flare, and Pump Jack engine. New synthetic minor facility. AIRS ID: 123/9748 Page 7 of 15 Continental Resources, Inc. Permit No. 12WE1351 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division Notes to Permit Holder: 1) The permit holder is required to pay fees for the processing time for this permit. An invoice for these fees will be issued after the permit is issued. The permit holder shall pay the invoice within 30 days of receipt of the invoice. Failure to pay the invoice will result in revocation of this permit (Reference: Regulation No. 3, Part A, Section VI.B.) 2) The production or raw material processing limits and emission limits contained in this permit are based on the consumption rates requested in the permit application. These limits may be revised upon request of the permittee providing there is no exceedance of any specific emission control regulation or any ambient air quality standard. A revised air pollution emission notice (APEN) and application form must be submitted with a request for a permit revision. 3) This source is subject to the Common Provisions Regulation Part II, Subpart E, Affirmative Defense Provision for Excess Emissions During Malfunctions. The permittee shall notify the Division of any malfunction condition which causes a violation of any emission limit or limits stated in this permit as soon as possible, but no later than noon of the next working day, followed by written notice to the Division addressing all of the criteria set forth in Part II.E.1 of the Common Provisions Regulation. See: http://www.cd phe. state.co. us/req u lations/airreqs/100102agcccom monprovision sreq. pdf. 4) The following emissions of non -criteria reportable air pollutants are estimated based upon the process limits as indicated in this permit. This information is listed to inform the operator of the Division's analysis of the specific compounds emitted if the source(s) operate at the permitted limitations. AIRS Point Pollutant CAS # BIN Uncontrolled Emission Rate (Ib/yr) Are the emissions reportable? Controlled Emission Rate (Ib/yr) 001 Benzene 71432 A 20 No 1 n -Hexane 110543 C 104 No 5 002 Benzene 71432 A 94 Yes 4 n -Hexane 110543 C 268 No 14 005 Benzene 71432 A 205 Yes 10 n -Hexane 110543 C 1569 Yes 78 006 Formaldehyde 5000 A 238 Yes 238 5) The emission levels contained in this permit are based on the following emission factors: Point 001: CAS # Pollutant Emission Factors Uncontrolled Emission Factors Controlled Source VOC 1.1098 lb/bbl 0.055 lb/bbl CDPHE PS Memo 71432 Benzene 0.00137 lb/bbl 0.000069 lb/bbl CDPHE PS Memo 110543 n -hexane 0.0071 lb/bbl 0.000355 lb/bbl CDPHE PS Memo Note: The controlled emissions factors for point 001 are based on the combustor control efficiency of 95%. AIRS ID: 123/9748 Page 8 of 15 Continental Resources, Inc. Permit No. 12WE1351 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division Point 002: CAS # Pollutant Emission Factors Uncontrolled lb/BBL Produced Water Throughput Emission Factors Controlled lb/BBL Produced Water Throughput Source VOC 0.262 0.0131 PS Memo 09-02 110543 n -Hexane 0.022 0.0011 PS Memo 09-02 71432 Benzene 0.007 0.0004 PS Memo 09-02 Note: The controlled emissions factors for point 002 are based on the combustor control efficiency of 95%. Point 005: Pollutant Emission Factors Uncontrolled Emission Factors Controlled Emission Factor units Source VOC 34,154.1 1,707.7 lb/mmscf APCD NOx 0.14 0.14 lb/mmbtu AP -42 CO 0.37 0.37 lb/mmbtu AP -42 Point 006: CAS Pollutant Emission Factors lb/MMBtu - Uncontrolled g/bhp-hr NOx 2.35 8.74 CO 3.635 13.52 VOC 0.12 0.446 5000 Formaldehyde 0.055 0.205 Emission factors are based on a Brake -Specific Fuel Consumption Factor of 8200 Btu/hp-hr, a site -rated horsepower value of 60, and a fuel heat value of 1291 Btu/scf. CAS Pollutant Uncontrolled EFSource NOx AP -42 CO AP -42 VOC AP -42 5000 Formaldehyde AP -42 6) In accordance with C.R.S. 25-7-114.1, each Air Pollutant Emission Notice (APEN) associated with this permit is valid for a term of five years from the date it was received by the Division. A revised APEN shall be submitted no later than 30 days before the five-year term expires. Please refer to the most recent annual fee invoice to determine the APEN expiration date for each emissions point associated with this permit. For any questions regarding a specific expiration date call the Division at (303)-692-3150. 7) This facility is classified as follows: Applicable Requirement Status Operating Permit Synthetic Minor Source VOC AIRS ID: 123/9748 Page 9 of 15 Continental Resources, Inc. Permit No. 12WE1351 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division NANSR Synthetic Minor Source VOC 8) Full text of the Title 40, Protection of Environment Electronic Code of Federal Regulations can be found at the website listed below: http://ecfr.gpoaccess.gov/ Part 60: Standards of Performance for New Stationary Sources NSPS 60.1 -End Subpart A — Subpart KKKK NSPS Part 60, Appendixes Appendix A — Appendix I Part 63: National Emission Standards for Hazardous Air Pollutants for Source Categories MACT 63.1-63.599 Subpart A— Subpart Z MACT 63.600-63.1199 Subpart AA — Subpart DDD MACT 63.1200-63.1439 Subpart EEE — Subpart PPP MACT 63.1440-63.6175 Subpart QQQ — Subpart YYYY MACT 63.6580-63.8830 Subpart ZZZZ — Subpart MMMMM MACT 63.8980 -End Subpart NNNNN — Subpart XXXXXX 9) An Oil and Gas Industry Construction Permit Self -Certification Form is included with this permit packet. Please use this form to complete the self -certification requirements as specified in the permit conditions. Further guidance on self -certification can be found on our website at: http://www.cdphe.state.co.us/ap/oilciaspermittinghtm AIRS ID: 123/9748 Page 10 of 15 Continental Resources, Inc. Permit No. 12WE1351 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division ATTACHMENT A: ALTERNATIVE OPERATING SCENARIOS RECIPROCATING INTERNAL COMBUSTION ENGINES October 12, 2012 2. Alternative Operating Scenarios The following Alternative Operating Scenario (AOS) for the temporary and permanent replacement of natural gas fired reciprocating internal combustion engines has been reviewed in accordance with the requirements of Regulation No. 3., Part A, Section IV.A, Operational Flexibility -Alternative Operating Scenarios, Regulation No. 3, Part B, Construction Permits, and Regulation No. 3, Part 0, Major Stationary Source New Source Review and Prevention of Significant Deterioration, and it has been found to meet all applicable substantive and procedural requirements. This permit incorporates and shall be considered a Construction Permit for any engine replacement performed in accordance with this AOS, and the owner or operator shall be allowed to perform such engine replacement without applying for a revision to this permit or obtaining a new Construction Permit. 2.1 Engine Replacement The following AOS is incorporated into this permit in order to deal with a compressor engine breakdown or periodic routine maintenance and repair of an existing onsite engine that requires the use of either a temporary or permanent replacement engine. "Temporary" is defined as in the same service for 90 operating days or less in any 12 month period. "Permanent" is defined as in the same service for more than 90 operating days in any 12 month period. The 90 days is the total number of days that the engine is in operation. If the engine operates only part of a day, that day shall count as a single day towards the 90 day total. The compliance demonstrations and any periodic monitoring required by this AOS are in addition to any compliance demonstrations or periodic monitoring required by this permit. All replacement engines are subject to all federally applicable and state -only requirements set forth in this permit (including monitoring and record keeping). The results of all tests and the associated calculations required by this AOS shall be submitted to the Division within 30 calendar days of the test or within 60 days of the test if such testing is required to demonstrate compliance with NSPS or MACT requirements. Results of all tests shall be kept on site for five (5) years and made available to the Division upon request. The owner or operator shall maintain a log on -site and contemporaneously record the start and stop date of any engine replacement, the manufacturer, date of manufacture, model number, horsepower, and serial number of the engine(s) that are replaced during the term of this permit, and the manufacturer, model number, horsepower, and serial number of the replacement engine. In addition to the log, the owner or operator shall maintain a copy of all Applicability Reports required under section 2.1.2 and make them available to the Division upon request. 2.1.1 The owner or operator may temporarily replace an existing compressor engine that is subject to the emission limits set forth in this permit with an engine that is of the same manufacturer, model, and horsepower or a different manufacturer, model, or horsepower as the existing engine without modifying this permit, so long as the temporary replacement engine complies with all permit limitations and other requirements applicable to the existing engine. Measurement of emissions from the temporary replacement engine shall be made as set forth in section 2.2. AIRS ID: 123/9748 Page 11 of 15 Continental Resources, Inc. Permit No. 12WE1351 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division 2.1.2 The owner or operator may permanently replace the existing compressor engine with another engine with the same manufacturer, model, and horsepower engines without modifying this permit so long as the permanent replacement engine complies with all permit limitations and other requirements applicable to the existing engine as well as any new applicable requirements for the replacement engine. Measurement of emissions from the permanent replacement engine and compliance with the applicable emission limitations shall be made as set forth in section 2.2. An Air Pollutant Emissions Notice (APEN) that includes the specific manufacturer, model and serial number and horsepower of the permanent replacement engine shall be filed with the Division for the permanent replacement engine within 14 calendar days of commencing operation of the replacement engine. The APEN shall be accompanied by the appropriate APEN filing fee, a cover letter explaining that the owner or operator is exercising an alternative operating scenario and is installing a permanent replacement engine, and a copy of the relevant Applicability Reports for the replacement engine. Example Applicability Reports can be found at http://www.cdphe.state.co.us/ap/oilgaspermitting.html. This submittal shall be accompanied by a certification from the Responsible Official indicating that "based on the information and belief formed after reasonable inquiry, the statements and information included in the submittal are true, accurate and complete". This AOS cannot be used for permanent engine replacement of a grandfathered or permit exempt engine or an engine that is not subject to emission limits. The owner or operator shall agree to pay fees based on the normal permit processing rate for review of information submitted to the Division in regard to any permanent engine replacement. 2.2 Portable Analyzer Testing Note: In some cases there may be conflicting and/or duplicative testing requirements due to overlapping Applicable Requirements. In those instances, please contact the Division Field Services Unit to discuss streamlining the testing requirements. Note that the testing required by this Condition may be used to satisfy the periodic testing requirements specified by the permit for the relevant time period (i.e. if the permit requires quarterly portable analyzer testing, this test conducted under the AOS will serve as the quarterly test and an additional portable analyzer test is not required for another three months). The owner or operator may conduct a reference method test, in lieu of the portable analyzer test required by this Condition, if approved in advance by the Division. The owner or operator shall measure nitrogen oxide (NOX) and carbon monoxide (CO) emissions in the exhaust from the replacement engine using a portable flue gas analyzer within seven (7) calendar days of commencing operation of the replacement engine. All portable analyzer testing required by this permit shall be conducted using the Division's Portable Analyzer Monitoring Protocol (ver March 2006 or newer) as found on the Division's web site at: http://www, colorado. qov/cs/Satellite/CD PHE-AP/C BON/1251596520270. Results of the portable analyzer tests shall be used to monitor the compliance status of this unit. For comparison with an annual (tons/year) or short term (lbs/unit of time) emission limit, the results of the tests shall be converted to a lb/hr basis and multiplied by the allowable operating hours in the month or year (whichever applies) in order to monitor compliance. If a source is not limited in its hours of operation the test results will be multiplied by the maximum number of hours in the month or year (8760), whichever applies. AIRS ID: 123/9748 Page 12 of 15 Continental Resources, Inc. Permit No. 12WE1351 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division For comparison with a short-term limit that is either input based (lb/mmBtu), output based (g/hp-hr) or concentration based (ppmvd @ 15% O2) that the existing unit is currently subject to or the replacement engine will be subject to, the results of the test shall be converted to the appropriate units as described in the above -mentioned Portable Analyzer Monitoring Protocol document. If the portable analyzer results indicate compliance with both the NOX and CO emission limitations, in the absence of credible evidence to the contrary, the source may certify that the engine is in compliance with both the NOX and CO emission limitations for the relevant time period. Subject to the provisions of C.R.S. 25-7-123.1 and in the absence of credible evidence to the contrary, if the portable analyzer results fail to demonstrate compliance with either the NOX or CO emission limitations, the engine will be considered to be out of compliance from the date of the portable analyzer test until a portable analyzer test indicates compliance with both the NOX and CO emission limitations or until the engine is taken offline. 2.3 Applicable Regulations for Permanent Engine Replacements 2.3.1 Reasonably Available Control Technology (RACT): Reg 3, Part B § II.D.2 All permanent replacement engines that are located in an area that is classified as attainment/maintenance or nonattainment must apply Reasonably Available Control Technology (RACT) for the pollutants for which the area is attainment/maintenance or nonattainment. Note that both VOC and NOX are precursors for ozone. RACT shall be applied for any level of emissions of the pollutant for which the area is in attainment/maintenance or nonattainment, except as follows: In the Denver Metropolitan PM10 attainment/maintenance area, RACT applies to PM10 at any level of emissions and to NOX and SO2, as precursors to PM10, if the potential to emit of NOX or SO2 exceeds 40 tons/yr. For purposes of this AOS, the following shall be considered RACT for natural gas fired reciprocating internal combustion engines: VOC: The emission limitations in NSPS JJJJ CO: The emission limitations in NSPS JJJJ NOX: The emission limitations in NSPS JJJJ SO2: Use of natural gas as fuel PM10: Use of natural gas as fuel As defined in 40 CFR Part 60 Subparts GG (§ 60.331) and 40 CFR Part 72 (§ 72.2), natural gas contains 20.0 grains or less of total sulfur per 100 standard cubic feet. 2.3.2 Control Requirements and Emission Standards: Regulation No. 7, Sections XVI. and XVII.E (State -Only conditions). Control Requirements: Section XVI Any permanent replacement engine located within the boundaries of an ozone nonattainment area is subject to the applicable control requirements specified in Regulation No. 7, section XVI, as specified below: Rich burn engines with a manufacturer's design rate greater than 500 hp shall use a non -selective catalyst and air fuel controller to reduce emission. Lean burn engines with a manufacturer's design rate greater than 500 hp shall use an oxidation catalyst to reduce emissions. AIRS ID: 123/9748 Page 13 of 15 Continental Resources, Inc. Permit No. 12WE1351 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division The above emission control equipment shall be appropriately sized for the engine and shall be operated and maintained according to manufacturer specifications. The source shall submit copies of the relevant Applicability Reports required under Condition 2.1.2. Emission Standards: Section XVII.E — State -only requirements Any permanent engine that is either constructed or relocated to the state of Colorado from another state, after the date listed in the table below shall operate and maintain each engine according to the manufacturer's written instructions or procedures to the extent practicable and consistent with technological limitations and good engineering and maintenance practices over the entire life of the engine so that it achieves the emission standards required in the table below: Construction or Emission Standards in G/hp-hr Max Engine HP Relocation Date NOX CO VOC January 1, 2008 2.0 4.0 1.0 100<Hp<500 January 1, 2011 1.0 2.0 0.7 July 1, 2007 2.0 4.0 1.0 500≤Hp July 1, 2010 1.0 2.0 0.7 The source shall submit copies of the relevant Applicability Reports required under Condition 2.1.2. 2.3.3 NSPS for stationary spark ignition internal combustion engines: 40 CFR Part 60, Subpart JJJJ A permanent replacement engine that is manufactured on or after 7/1/09 for emergency engines greater than 25 hp, 7/1/2008 for engines less than 500 hp, 7/1/2007 for engines greater than or equal to 500 hp except for lean burn engines greater than or equal to 500 hp and less than 1,350 hp, and 1/1/2008 for lean burn engines greater than or equal to 500 hp and less than 1,350 hp are subject to the requirements of 40 CFR Part 60, Subpart JJJJ. An analysis of applicable monitoring, recordkeeping, and reporting requirements for the permanent engine replacement shall be included in the Applicability Reports required under Condition 2.1.2. Any testing required by the NSPS is in addition to that required by this AOS. Note that the initial test required by NSPS Subpart JJJJ can serve as the testing required by this AOS under Condition 2.2, if approved in advance by the Division, provided that such test is conducted within the time frame specified in Condition 2.2. Note that under the provisions of Regulation No. 6. Part B, section I.B. that Relocation of a source from outside of the State of Colorado into the State of Colorado is considered to be a new source, subject to the requirements of Regulation No. 6 (i.e., the date that the source is first relocated to Colorado becomes equivalent to the manufacture date for purposes of determining the applicability of NSPS JJJJ requirements). However, as of October 1, 2011 the Division has not yet adopted NSPS JJJJ. Until such time as it does, any engine subject to NSPS will be subject only under Federal law. Once the Division adopts NSPS JJJJ, there will be an additional step added to the determination of the NSPS. Under the provisions of Regulation No. 6, Part B, §1.8 (which is referenced in Part A), any engine relocated from outside of the State of Colorado into the State of Colorado is considered to be a new source, subject to the requirements of NSPS JJJJ. 2.3.4 Reciprocating internal combustion engine (RICE) MACT: 40 CFR Part 63, Subpart ZZZZ A permanent replacement engine located at either an area or major source is subject to the requirements in 40 CFR Part 63, Subpart ZZZZ. An analysis of the applicable monitoring, recordkeeping, and reporting requirements for the permanent engine replacement shall be included in the Applicability Reports required under Condition 2.1.2. Any testing required by the MACT is in addition to that required by this AOS. Note that the initial test required by the MACT can serve as the testing required by this AOS under Condition 2.2, if AIRS ID: 123/9748 Page 14 of 15 Continental Resources, Inc. Permit No. 12WE1351 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division approved in advance by the Division, provided that such test is conducted within the time frame specified in Condition 2.2. 2.4 Additional Sources The replacement of an existing engine with a new engine is viewed by the Division as the installation of a new emissions unit, not "routine replacement" of an existing unit. The AOS is therefore essentially an advanced construction permit review. The AOS cannot be used for additional new emission points for any site; an engine that is being installed as an entirely new emission point and not as part of an AOS- approved replacement of an existing onsite engine has to go through the appropriate Construction/Operating permitting process prior to installation. AIRS ID: 123/9748 Page 15 of 15 Construction Permit Application Preliminary Analysis Summary Section 1 — Applicant Information Company Name: Continental Resources, Inc. Permit Number: 12WE1352 Source Location: S10, T7N, R63W, Weld County (non -attainment) Equipment Description: Point 001: (3) 400 BBL above ground atmospheric crude oil storage tanks Point 002: (1) 400 BBL above ground atmospheric produced water storage tank. Point 005: Shop built flare used to control separator during maintenance or pipeline upsets. Point 006: One (1) Ajax DP60 Serial #68535 Pump Jack Engine, rated at 60 horsepower. The emissions from this engine are uncontrolled. AIRS ID: 123-9749 Date: 10/10/13 Review Engineer: Stuart Siffring Control Engineer: Stefanie Rucker Section 2 — Action Completed Grandfathered Modification APEN Required/Permit Exempt X CP1 Transfer of Ownership APEN Exempt/Permit Exempt *If tank is a true minor source at a true minor facility, it shall be granted "Final Approval" Section 3 — Applicant Completeness Review Was the correct APEN submitted for this source type? X Yes No Is the APEN signed with an original signature? X Yes No Was the APEN filled out completely? X Yes No Did the applicant submit all required paperwork? X Yes No Did the applicant provide ample information to determine emission rates? X Yes No If you answered "no" to any of the above, when did you mail an Information Request letter to the source? On what date was this application complete? 8/13/2013 Section 4 — Source Description AIRS Point Equipment Description 001 Three (3) above ground 400 bbl atmospheric crude oil storage tanks. Emissions from these tanks are controlled by a Cimarron smokeless combustor with 95% control efficiency. 002 One (1) above ground 400 bbl atmospheric produced water storage tank. Emissions from this tank are controlled by a combustor with a minimum destruction efficiency of 95%. 005 Shop built flare used to control separator during maintenance or pipeline upsets. 006 One (1) Ajax DP60 Serial #68535 Pump Jack Engine, rated at 60 horsepower. The emissions from this engine are uncontrolled. Page 1 Is this a portable source? Yes X No Is this location in a non -attainment area for any criteria pollutant? x Yes No If "yes", for what pollutant? PM10 CO X Ozone Is this location in an attainment maintenance area for any criteria pollutant? Yes X No If "yes", for what pollutant? (Note: These pollutants are subject to minor source RACT per Regulation 3, Part B, Section III.D.2) PM10 CO Ozone Is this source located in the 8 -hour ozone non - attainment region? (Note: If "yes" the provisions of Regulation 7, Sections XII and XVII.C may apply) Yes X No Point 002: Is this source claiming exempt status for this source based on the fraction of oil in the stored water (less than 1% by volume crude oil on an average annual basis)? (Section 3 on APEN) X Yes No Point 002: Are these produced water tanks located at a commercial facility that accepts oil production wastewater for processing? (Section 3 on APEN) Yes X No Point 002: Are these produced water tanks subject to Colorado Oil and Gas Conservation Commission (COGCC) 805 Rule? (Section 3 on APEN) If so, submit Form APCD-105 Yes X No Section 5— Emission Estimate Information AIRS Point Emission Factor Source 001 CDPHE Emission factors 002 CDPHE Emission Factors (PS Memo 09-02) 005 AP -42 for NOx and CO, CDPHE Emission factors for VOC 006 AP -42 Did the applicant provide actual process data for the emission inventory? Yes X No Basis for Potential to Emit (PTE) AIRS Point Process Consumption/Throughput/Production 001 4,860 bbl/yr 002 13,740 bbl/yr 005 7.67 MMSCF/yr 006 3.34 MMSCF/yr Basis for Permitted Emissions (Permit Limits) AIRS Point Process Consumption/Throughput/Production 001 4,860 bbl/yr 002 13,740 bbl/yr 005 7.67 MMSCF/yr 006 3.34 MMSCF/yr Does this facility use control devices? X Yes No AIRS Point Process Control Device Description % Reduction Granted Page 2 005 of Shop Built Flare 95 Section 6 — Emission Summary (tons ?er year) Point NO, VOC CO SOx PM10 Single HAP Total HAP PTE: 001 --- 4.9 0.03 (n -hexane) 0 05 002 --- 1.8 --- --- __ 0.15 (n -hexane) 0.2 005 --- 67.8 --- --- --- --- 006 5.1 0.3 7.9 -- 0.1 (HCHO) 0.3 point source emission rate: 001 ---Uncontrolled 4. 0.03 (n -hexane) 0.05 002 --- 1.8 --- --- --- 0.15 (n -hexane) 0.2 005 --- 67.8 --- --- --- --- 006 5.1 0.3 7.9 --- --- 0.1 (HCHO) 0.3 Controlled point source emission rate: 001 --- 0.1 --- --- --- --- 002 --- 0.1 --- --- --- 0.008 (n -hexane) 0.01 005 1.1 3.4 2.8 --- 006 5.1 0.3 7.9 --- --- 0.1 (HCHO) 0.3 TOTAL PERMITTED (TPY) See History File Section 7 — Non -Criteria / Hazardous Air Pollutants Pollutant CAS # BIN Uncontrolled Emission Rate (iblyr) Are the emissions reportable? Controlled Emission Rate (Ib/yr) Point 001 Benzene 71432 A 9 No 1 n -Hexane 110543 C 54 No 3 Point 002 Benzene 71432 A 97 Yes 5 n -Hexane 110543 C 306 No 15 Point 005 Benzene 71432 A 190 Yes 9 n -Hexane 110543 C 2440 Yes 122 Point 006 Formaldehyde 5000 A 238 Yes 238 Note: Regulation 3, Part A, Section II.B.3.b APEN emission reporting requirements for non -criteria air pollutants are based on potential emissions without credit for reductions achieved by control devices used by the operator. Section 8 —Testing Requirements Will testing be required to show compliance with any emission rate or regulatory standard? X Yes No Page 3 If "yes", complete the information listed below AIRS Point Process Pollutant Regulatory Basis Test Method 001 et VOC, HAP PS Memo 05-01 Site specific sampling Section 9 — Source Classification Is this a new previously un-permitted source? 001 002 005 006 YES X X X X NO What is this facility classification? True Minor X Synthetic Minor Major I Classification relates to what programs? X Title V PSD NA NSR MAC? Is this a modification to an existing permit? Yes No If "yes" what kind of modification? Minor Synthetic Minor Major Section 10 — Public Comment Does this permit require public comment per CAQCC Regulation 3? X Yes No If "yes", for which pollutants? Why? VOC For Reg. 3, Part B, III.C.1.a (emissions increase > 25/50 tpy)? X Yes No For Reg. 3, Part B, III.C.1.c.iii (subject to MACT)? Yes No For Reg. 3, Part B, III.C.1.d (synthetic minor emission limits)? X Yes No Section 11 — Modeling Is modeling required to demonstrate compliance with National Ambient Air Quality Standards (NAAQS)? If "yes", for which pollutants? Why? NOx emissions are less than 40 TPY. Yes X No AIRS Point Section 12 — Regulatory Review Regulation 1 - Particulate, Smoke. Carbon Monoxide and Sulfur Dioxide 001, 002, 005, 006 Section II.A.1 - Except as provided in paragraphs 2 through 6 below, no owner or operator of a source shall allow or cause the emission into the atmosphere of any air pollutant which is in excess of 20% opacity. This standard is based on 24 consecutive opacity readings taken at 15 -second intervals for six minutes. The approved reference test method for visible emissions measurement is EPA Method 9 (40 CFR, Part 60, Appendix A (July, 1992)) in all subsections of Section II. A and B of this regulation. Section II.A.5 - Smokeless Flare or Flares for the Combustion of Waste Gases No owner or operator of a smokeless flare or other flare for the combustion of waste gases shall allow or cause emissions into the atmosphere of any air pollutant which is in excess of 30% opacity for a period or periods aggregating more than six minutes in any sixty consecutive minutes. Regulation 2 — Odor 001, 002, 005, 006 Section I.A - No person, wherever located, shall cause or allow the emission of odorous air contaminants from any single source such as to result in detectable odors which are measured in excess of the following limits: For areas used predominantly for residential or commercial purposes it is a violation if odors are detected after the odorous air has been diluted with seven (7) or more volumes of odor free air. Page 4 Regulation 3 - APENs. Construction Permits, Operating Permits, PSD 001, 002, 005, 006 Part A-APEN Requirements Criteria Pollutants: For criteria pollutants, Air Pollutant Emission Notices are required for each individual emission point in an attainment area with uncontrolled actual emissions of one ton per year or more of any individual criteria pollutant (pollutants are not summed) for which the area is attainment. (Applicant is required to file an APEN since emissions from production exceed 1 ton per year VOC) 001, 002, 005, 006 Part B — Construction Permit Exemptions Applicant is required to file a permit since uncontrolled VOC emissions are greater than the 2.0 TPY threshold (Reg. 3, Part B, Section ll.D.3.a) Regulation 6 - New Source Performance Standards 001 NSPS Kb: for storage vessels greater than 19,800 gallons after 7/23/84. Is this source greater than 19,800 gallons (471 bbl)? No Is this source subject to NSPS Kb? No WHY? Less than 19,800 gallons Regulation 7 — Volatile Organic Compounds 001 XII. VOLATILE ORGANIC COMPOUND EMISSIONS FROM OIL AND GAS OPERATIONS This facility is located in the non -attainment area; therefore, this facility is subject to Section XII of this regulation. XVII.C STATEWIDE CONTROLS FOR OIL AND GAS OPERATIONS... (Applicant is not currently subject to this since actual uncontrolled emissions are less than 20 tpy of VOC.) Regulation 8 — Hazardous Air Pollutants 001 MACT EEEE: Organic Liquids Distribution Pick one: • This source is not subject to MACT EEEE because it is not located at a major source of HAP. 001 MACT HH Pick one: • This source is not subject to MACT HH because it is not located at a major source of HAP. Section 13 — Aerometric Information Retrieval System Coding Information Point Process Process Description Emission Factor Pollutant / CAS # Fugitive (Y/N) Emission Factor Source Control (%) 001 01 2.01 Ib/bbl V0C No CDPHE 95 Crude oil Storage Tanks 0.002 lb/bbl Benzene No CDPHE 95 0.01 lb/bbl n -hexane No CDPHE 95 SCC 40400312 — Fixed Roof Tank, Oil field storage of crude, breathing losses 002 01 0.262 lb/bbl throughput V0C No CDPHE PS Memo 09-02 95 Produced Water Storage Tanks 0.007 lb/bbl throughput Benzene No CDPHE PS Memo 09-02 95 0.022 lb/bbl throughput n -Hexane No CDPHE PS Memo 09-02 95 SCC 40400315 — Fixed Roof Tank, Produced Water, working+breathing+flashing losses 005 01 17,679.3 Ib/mmscf V0C No APCD 95 Flare 0'14 Ib/mmbtu N0x No AP -42 0 0.37 Ib/mm btu CO No AP -42 0 SCC 31000205 -Flares 006 01 Pump Jack Engine 2'35 lb/mmbtu N0x No AP -42 0 Page 5 STATE OF COLORADO COLORADO DEPARTMENT OF PUBLIC HEALTH AND ENVIRONMENT AIR POLLUTION CONTROL DIVISION TELEPHONE: (303) 692-3150 CONSTRUCTION PERMIT PERMIT NO: DATE ISSUED: ISSUED TO: 12WE1352 Continental Resources, Inc. Issuance 1 THE SOURCE TO WHICH THIS PERMIT APPLIES IS DESCRIBED AND LOCATED AS FOLLOWS: Natural gas production facility, known as Perrin 1-10H, located in Section 10, Township 7 North, Range 63 West, in Weld County, Colorado. THE SPECIFIC EQUIPMENT OR ACTIVITY SUBJECT TO THIS PERMIT INCLUDES THE FOLLOWING: Facility Equipment ID AIRS Point Description Crude Oil Storage Tanks 001 Three (3) above ground 400 bbl atmospheric crude oil storage tanks. Emissions from these tanks are controlled by a Cimarron smokeless combustor unit with 95% control efficiency. PW Tank 002 One (1) above ground 400 bbl atmospheric produced water storage tank. Emissions from this tank are controlled by a Cimarron smokeless combustor with a minimum destruction efficiency of 95%. Flare 005 Shop built flare used to control separator during maintenance or pipeline upsets. Pump Jack 006 One (1) Ajax DP60 Serial #68535 Pump Jack Engine, rated at 60 horsepower. The emissions from this engine are uncontrolled. This engine may be replaced with another engine in accordance with the temporary engine replacement provision or with another Ajax DP60 engine in accordance with the permanent replacement provision of the Alternate Operating Scenario (AOS), included in this permit as Attachment A. THIS PERMIT IS GRANTED SUBJECT TO ALL RULES AND REGULATIONS OF THE COLORADO AIR QUALITY CONTROL COMMISSION AND THE COLORADO AIR POLLUTION PREVENTION AND CONTROL ACT C.R.S. (25-7-101 et seq), TO THOSE GENERAL TERMS AND CONDITIONS INCLUDED IN THIS DOCUMENT AND THE FOLLOWING SPECIFIC TERMS AND CONDITIONS: REQUIREMENTS TO SELF -CERTIFY FOR FINAL AUTHORIZATION 1. Within one hundred and eighty days (180) after issuance of this permit, compliance with the conditions contained on this permit shall be demonstrated to the Division. It is the permittee's AIRS ID: 123/9749 Page 1 of 15 Condensate Tank Version 2009-1 Continental Resources, Inc. Permit No. 12WE1352 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division responsibility to self -certify compliance with the conditions. Failure to demonstrate compliance within 180 days may result in revocation of the permit. (Reference: Regulation No. 3, Part B, II.G.2). 2. This permit shall expire if the owner or operator of the source for which this permit was issued: (i) does not commence construction/modification or operation of this source within 18 months after either, the date of issuance of this construction permit or the date on which such construction or activity was scheduled to commence as set forth in the permit application associated with this permit; (ii) discontinues construction fora period of eighteen months or more; (iii) does not complete construction within a reasonable time of the estimated completion date. The Division may grant extensions of the deadline per Regulation No. 3, Part B, III.F.4.b. (Reference: Regulation No. 3, Part B, III.F.4.) 3. The operator shall complete all initial compliance testing and sampling as required in this permit and submit the results to the Division as part of the self -certification process. (Reference: Regulation No. 3, Part B, Section III.E.) 4. The operator shall retain the permit final authorization letter issued by the Division, after completion of self -certification, with the most current construction permit. This construction permit alone does not provide final authority for the operation of this source. EMISSION LIMITATIONS AND RECORDS 5. Emissions of air pollutants shall not exceed the following limitations (as calculated in the Division's preliminary analysis). (Reference: Regulation No. 3, Part B, Section II.A.4) Monthly Limits: Facility Equipment ID AIRS point Pounds per month Emission Type NO, VOC CO Crude Oil Storage Tanks 001 --- 42 --- Point PW Tank 002 16 Point Flare 005 182 578 483 Point Pump Jack 006 860 45 1342 Point (Note: Monthly limits are based on a 31 -day month.) The owner or operator shall calculate monthly emissions based on the calendar month. Annual Limits: Facility Equipment ID AIRS point Tons per Year Emission Type NO, VOC CO Crude Oil Storage Tanks 001 --- 0.1 --- Point PW Tank 002 --- 0.1 --- Point Flare 005 1.1 3.4 2.8 Point Pump Jack 006 5.1 0.3 7.9 Point AIRS ID: 123/9749 Page 2 of 15 Continental Resources, Inc. Permit No. 12WE1352 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division See "Notes to Permit Holder #4" for information on emission factors and methods used to calculate limits. Facility -wide emissions of each individual hazardous air pollutant shall be less than 8.0 tpy. Facility -wide emissions of total hazardous air pollutants shall be less than 20.0 tpy. During the first twelve (12) months of operation, compliance with both the monthly and annual emission limitations is required. After the first twelve (12) months of operation, compliance with only the annual limitation is required. Compliance with the synthetic minor status of this facility shall be determined by recording the facility's annual criteria pollutant emissions, from each emission unit, on a rolling (12) month total. By the end of each month a new twelve-month total is calculated based on the previous twelve months' data. The permit holder shall calculate monthly emissions and keep a compliance record on site or at a local field office with site responsibility, for Division review. This rolling twelve-month total shall apply to all emission units, requiring an APEN, at this facility. 6. Point 001: This emissions point shall be configured with a combustor. The combustor shall reduce the uncontrolled emissions of VOC to the emission levels listed in this section, above. Operating parameters of the control equipment are identified in the operation and maintenance plan. (Reference: Regulation No.3, Part B, Section III.E.) 7. Point 002: This emissions point shall be configured such that vapors are routed to a combustor (VCU). The VCU shall reduce uncontrolled emissions of VOC to the emission levels listed in this section, above. Operating parameters of the control equipment are identified in the operation and maintenance plan. (Reference: Regulation No.3, Part B, Section III.E.) 8. The emission points in the table below shall be operated and maintained with the control equipment as listed in order to reduce emissions to less than or equal to the limits established in this permit (Reference: Regulation No.3, Part B, Section III.E.) Facility Equipment ID AIRS Point Control Device Pollutants Controlled Crude Oil Storage Tanks 001 Cimarron Smokeless Combustor VOC Produced Water Storage Tanks 002 Cimarron Smokeless Combustor VOC PROCESS LIMITATIONS AND RECORDS 9. This source shall be limited to the following maximum consumption, processing and/or operational rates as listed below. Monthly records of the actual throughput shall be maintained by the applicant and made available to the Division for inspection upon request. (Reference: Regulation 3, Part B, II.A.4) Process/Consumption Limits Facility Equipment ID AIRS Point Process Parameter Annual Limit Monthly Limit AIRS ID: 123/9749 Page 3 of 15 Continental Resources, Inc. Permit No. 12WE1352 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division Crude Oil Storage Tanks 001 Crude oil throughput 4,860 BBUyr 413 BBUmonth PW Tank 002 Produced water throughput 13,740 BBLJyr 1168 BBL month Flare 005 Natural gas consumption 7.67 MMSCF/yr 0.65 MMSCF/month Pump Jack 006 Natural gas consumption 3.34 MMSCF/yr 0.284 MMSCF/month The owner or operator shall calculate monthly process rates based on the calendar month. During the first twelve (12) months of operation, compliance with both the monthly and annual throughput limitations is required. After the first twelve (12) months of operation, compliance with only the annual limitation is required. Compliance with the yearly throughput limits shall be determined on a rolling twelve (12) month total. By the end of each month a new twelve-month total is calculated based on the previous twelve months' data. The permit holder shall calculate monthly crude oil throughput and keep a compliance record on site or at a local field office with site responsibility, for Division review. 10. Point 002: Records shall be kept in either an electronic file or hard copy provided that they can be promptly supplied to the Division upon request. All records shall be retained for a consecutive period of three years. STATE AND FEDERAL REGULATORY REQUIREMENTS 11. The permit number and AIRS ID number shall be marked on the subject equipment for ease of identification. (Reference: Regulation Number 3, Part B, III.E.) (State only enforceable) 12. Visible emissions shall not exceed twenty percent (20%) opacity during normal operation of the source. During periods of startup, process modification, or adjustment of control equipment visible emissions shall not exceed 30% opacity for more than six minutes in any sixty consecutive minutes. (Reference: Regulation No. 1, Section II.A.1. & 4.). 13. No owner or operator of a smokeless flare or other flare for the combustion of waste gases shall allow or cause emissions into the atmosphere of any air pollutant which is in excess of 30% opacity for a period or periods aggregating more than six minutes in any sixty consecutive minutes. (Reference: Regulation No. 1, Section II.A.5.). 14. These sources are subject to the odor requirements of Regulation No. 2. (State only enforceable) OPERATING & MAINTENANCE REQUIREMENTS 15. Points 001: Upon startup of this point, the applicant shall follow the operating and maintenance (O&M) plan and record keeping format approved by the Division, in order to demonstrate compliance on an ongoing basis with the requirements of this permit. Revisions to your O&M plan are subject to Division approval prior to implementation. (Reference: Regulation No. 3, Part B, Section III.G.7.) 16. Point 001 and 002: a. VCUs shall be enclosed, have no visible emissions, and be designed so that an observer can, by means of visual observation from the outside of the enclosed VCU, AIRS ID: 123/9749 Page 4 of 15 Continental Resources, Inc. Permit No. 12WE1352 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division or by other convenient means approved by the Division, determine whetherthe VCU is operating properly. b. If a control device is used to comply with the emission limits of this permit, the following conditions must be met: (i) Leakage of VOCs to the atmosphere must be minimized as follows: 1. Thief hatch seals shall be inspected for integrity annually and replaced as necessary. Thief hatch covers shall be weighted and properly seated. 2. Pressure relief valves (PRV) shall be inspected for proper operation annually and replaced as necessary. PRVs shall be set to release at a pressure that will ensure flashing, working and breathing losses are routed to the control device under normal operating conditions. 3. Annual inspections of thief hatches and PRV shall be documented with an indication of status, a description of any problems found, and their resolution. (ii) Control devices shall be adequately designed, and operated and maintained according to manufacturer specifications to achieve a control efficiency of at least 95%, and to handle reasonably foreseeable fluctuations in emissions of VOCs. Fluctuations in emissions that occur when the separator dumps into the tank are reasonably foreseeable. (Hi) The permittee shall monitor and document the proper operation of the control device. Time intervals between monitoring shall not exceed 14 days. Indications of improper operation for a VCU include, but are not limited to, absence of pilot light, malfunction of electronic ignition, and/or presence of smoke. A check box is suitable for recording proper operation. Improper operation of a control device shall be further documented with a description of the problem and its resolution, the date range the control was inoperable, and the produced water production through the battery during the downtime. During control device downtime, emissions shall be considered to be uncontrolled. COMPLIANCE TESTING AND SAMPLING Initial Testing Requirements No initial testing requirements in this section. ADDITIONAL REQUIREMENTS 17. A revised Air Pollutant Emission Notice (APEN) shall be filed: (Reference: Regulation No. 3, Part A, II.C) a. Annually whenever a significant increase in emissions occurs as follows: AIRS ID: 123/9749 Page 5 of 15 Continental Resources, Inc. Permit No. 12WE1352 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division For any criteria pollutant: For sources emitting less than 100 tons per year, a change in actual emissions of five (5) tons per year or more, above the level reported on the last APEN; or For any non -criteria reportable pollutant: If the emissions increase by 50% or five (5) tons per year, whichever is less, above the level reported on the last APEN submitted to the Division. b. Whenever there is a change in the owner or operator of any facility, process, or activity; or c. Whenever new control equipment is installed, or whenever a different type of control equipment replaces an existing type of control equipment; or d. Whenever a permit limitation must be modified; or e. No later than 30 days before the existing APEN expires. f. Within 14 calendar days of commencing operation of a permanent replacement engine under the alternative operating scenario outlined in this permit as Attachment A. The APEN shall include the specific manufacturer, model and serial number and horsepower of the permanent replacement engine, the appropriate APEN filing fee and a cover letter explaining that the owner or operator is exercising an alternative - operating scenario and is installing a permanent replacement engine. 18. Federal regulatory program requirements (i.e. PSD, NANSR or Title V Operating Permit) shall apply to this source at any such time that this source becomes major solely by virtue of a relaxation in any permit condition. Any relaxation that increases the potential to emit above the applicable Federal program threshold will require a full review of the source as though construction had not yet commenced on the source. The source shall not exceed the Federal program threshold until a permit is granted. (Regulation No. 3 Part D). GENERAL TERMS AND CONDITIONS 19. This permit and any attachments must be retained and made available for inspection upon request. The permit may be reissued to a new owner by the APCD as provided in AQCC Regulation No. 3, Part B, Section II.B upon a request for transfer of ownership and the submittal of a revised APEN and the required fee. 20. If this permit specifically states that final authorization has been granted, then the remainder of this condition is not applicable. Otherwise, the issuance of this construction permit does not provide "final" authority for this activity or operation of this source. Final authorization of the permit must be secured from the APCD in writing in accordance with the provisions of 25-7-114.5(12)(a) C.R.S. and AQCC Regulation No. 3, Part B, Section III.G. Final authorization cannot be granted until the operation or activity commences and has been verified by the APCD as conforming in all respects with the conditions of the permit. Once self -certification of all points has been reviewed and approved by the Division, it will provide written documentation of such final authorization. Details for obtaining final authorization to operate are located in the Requirements to Self -Certify for Final Authorization section of this permit. 21. This permit is issued in reliance upon the accuracy and completeness of information supplied by the applicant and is conditioned upon conduct of the activity, or construction, installation and operation of the source, in accordance with this information and with AIRS ID: 123/9749 Page 6 of 15 Continental Resources, Inc. Permit No. 12WE1352 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division representations made by the applicant or applicant's agents. It is valid only for the equipment and operations or activity specifically identified on the permit. 22. Unless specifically stated otherwise, the general and specific conditions contained in this permit have been determined by the APCD to be necessary to assure compliance with the provisions of Section 25-7-114.5(7)(a), C.R.S. 23. Each and every condition of this permit is a material part hereof and is not severable. Any challenge to or appeal of a condition hereof shall constitute a rejection of the entire permit and upon such occurrence, this permit shall be deemed denied ab initio. This permit may be revoked at any time prior to self -certification and final authorization by the Air Pollution Control Division (APCD) on grounds set forth in the Colorado Air Quality Control Act and regulations of the Air Quality Control Commission (AQCC), including failure to meet any express term or condition of the permit. If the Division denies a permit, conditions imposed upon a permit are contested by the applicant, or the Division revokes a permit, the applicant or owner or operator of a source may request a hearing before the AQCC for review of the Division's action. 24. Section 25-7-114.7(2)(a), C.R.S. requires that all sources required to file an Air Pollution Emission Notice (APEN) must pay an annual fee to cover the costs of inspections and administration. If a source or activity is to be discontinued, the owner must notify the Division in writing requesting a cancellation of the permit. Upon notification, annual fee billing will terminate. 25. Violation of the terms of a permit or of the provisions of the Colorado Air Pollution Prevention and Control Act or the regulations of the AQCC may result in administrative, civil or criminal enforcement actions under Sections 25-7-115 (enforcement), -121 (injunctions), -122 (civil penalties), -122.1 (criminal penalties), C.R.S. By: Stuart Siffring Permit Engineer Air Pollution Control Division Permit Histo Issuance Date Description Issuance 1 This Issuance Facility -wide permit for: (3) crude oil tanks and VCU, (1) produced water tank, Shop -built flare, and Pump Jack engine. New synthetic minor facility. AIRS ID: 123/9749 Page 7 of 15 Continental Resources, Inc. Permit No. 12WE1352 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division Notes to Permit Holder: 1) The permit holder is required to pay fees for the processing time for this permit. An invoice for these fees will be issued after the permit is issued. The permit holder shall pay the invoice within 30 days of receipt of the invoice. Failure to pay the invoice will result in revocation of this permit (Reference: Regulation No. 3, Part A, Section VI.B.) 2) The production or raw material processing limits and emission limits contained in this permit are based on the consumption rates requested in the permit application. These limits may be revised upon request of the permittee providing there is no exceedance of any specific emission control regulation or any ambient air quality standard. A revised air pollution emission notice (APEN) and application form must be submitted with a request for a permit revision. 3) This source is subject to the Common Provisions Regulation Part II, Subpart E, Affirmative Defense Provision for Excess Emissions During Malfunctions. The permittee shall notify the Division of any malfunction condition which causes a violation of any emission limit or limits stated in this permit as soon as possible, but no later than noon of the next working day, followed by written notice to the Division addressing all of the criteria set forth in Part II.E.1 of the Common Provisions Regulation. See: http://www. cdphe.state.co. us/req ulations/ai rregs/100102agcccom monprovisionsreq. pdf. 4) The following emissions of non -criteria reportable air pollutants are estimated based upon the process limits as indicated in this permit. This information is listed to inform the operator of the Division's analysis of the specific compounds emitted if the source(s) operate at the permitted limitations. AIRS Point Pollutant CAS # BIN Uncontrolled Emission Rate (Ib/yr) Are the emissions reportable? Controlled Emission Rate (Ib/yr) 001 Benzene 71432 A 9 No 1 n -Hexane 110543 C 54 No 3 002 Benzene 71432 A 97 Yes 5 n -Hexane 110543 C 306 No 15 005 Benzene 71432 A 190 Yes 9 n -Hexane 110543 C 2440 Yes 122 006 Formaldehyde 5000 A 238 Yes 238 5) The emission levels contained in this permit are based on the following emission factors: Point 001: CAS # Pollutant Emission Factors Uncontrolled Emission Factors Controlled Source VOC 2.01 lb/bbl 0.1005 lb/bbl CDPHE PS Memo 71432 Benzene 0.002 lb/bbl 0.0001 lb/bbl CDPHE PS Memo 110543 n -hexane 0.01 lb/bbl 0.005 lb/bbl CDPHE PS Memo Note: The controlled emissions factors for point 001 are based on the combustor control efficiency of 95%. AIRS ID: 123/9749 Page 8 of 15 Continental Resources, Inc. Permit No. 12WE1352 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division Point 002: CAS # Pollutant Emission Factors Uncontrolled lb/BBL Produced Water Throughput Emission Factors Controlled lb/BBL Produced Water Throughput Source VOC 0.262 0.0131 PS Memo 09-02 110543 n -Hexane 0.022 0.0011 PS Memo 09-02 71432 Benzene 0.007 0.0004 PS Memo 09-02 Note: The controlled emissions factors for point 002 are based on the combustor control efficiency of 95%. Point 005: Pollutant Emission Factors Uncontrolled Emission Factors Controlled Emission Factor units Source VOC 17,679.3 884 lb/mmscf APCD NOx 0.14 0.14 Ib/mmbtu AP -42 CO 0.37 0.37 Ib/mmbtu AP -42 Point 006: CAS Pollutant Emission Factors Ib/MMBtu - Uncontrolled g/bhp-hr NOx 2.35 8.74 CO 3.635 13.52 VOC 0.12 0.446 5000 Formaldehyde 0.055 0.205 Emission factors are based on a Brake -Specific Fuel Consumption Factor of 8200 Btu/hp-hr, a site -rated horsepower value of 60, and a fuel heat value of 1291 Btu/scf. CAS Pollutant Uncontrolled EFSource NOx AP -42 CO AP -42 VOC AP -42 5000 Formaldehyde AP -42 6) In accordance with C.R.S. 25-7-114.1, each Air Pollutant Emission Notice (APEN) associated with this permit is valid for a term of five years from the date it was received by the Division. A revised APEN shall be submitted no later than 30 days before the five-year term expires. Please refer to the most recent annual fee invoice to determine the APEN expiration date for each emissions point associated with this permit. For any questions regarding a specific expiration date call the Division at (303)-692-3150. 7) This facility is classified as follows: Applicable Requirement Status Operating Permit Synthetic Minor Source VOC AIRS ID: 123/9749 Page 9 of 15 Continental Resources, Inc. Permit No. 12WE1352 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division NANSR Synthetic Minor Source VOC 8) Full text of the Title 40, Protection of Environment Electronic Code of Federal Regulations can be found at the website listed below: http:/!ecfr.gpoaccess.<,ov; Part 60: Standards of Performance for New Stationary Sources NSPS 60.1 -End Subpart A— Subpart KKKK NSPS Part 60, Appendixes Appendix A — Appendix I Part 63: National Emission Standards for Hazardous Air Pollutants for Source Categories MACT 63.1-63.599 Subpart A — Subpart Z MACT 63.600-63.1199 Subpart AA — Subpart DDD MACT 63.1200-63.1439 Subpart EEE — Subpart PPP MACT 63.1440-63.6175 Subpart QQQ — Subpart YYYY MACT 63.6580-63.8830 Subpart ZZZZ — Subpart MMMMM MACT 63.8980 -End Subpart NNNNN — Subpart XXXXXX 9) An Oil and Gas Industry Construction Permit Self -Certification Form is included with this permit packet. Please use this form to complete the self -certification requirements as specified in the permit conditions. Further guidance on self -certification can be found on our website at: http://www.cdphe.state.co.us/ap/oilciaspermittinchhtm AIRS ID: 123/9749 Page 10 of 15 Continental Resources, Inc. Permit No. 12WE1352 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division ATTACHMENT A: ALTERNATIVE OPERATING SCENARIOS RECIPROCATING INTERNAL COMBUSTION ENGINES October 12, 2012 2. Alternative Operating Scenarios The following Alternative Operating Scenario (AOS) for the temporary and permanent replacement of natural gas fired reciprocating internal combustion engines has been reviewed in accordance with the requirements of Regulation No. 3., Part A, Section IV.A, Operational Flexibility -Alternative Operating Scenarios, Regulation No. 3, Part B, Construction Permits, and Regulation No. 3, Part D, Major Stationary Source New Source Review and Prevention of Significant Deterioration, and it has been found to meet all applicable substantive and procedural requirements. This permit incorporates and shall be considered a Construction Permit for any engine replacement performed in accordance with this AOS, and the owner or operator shall be allowed to perform such engine replacement without applying for a revision to this permit or obtaining a new Construction Permit. 2.1 Engine Replacement The following AOS is incorporated into this permit in order to deal with a compressor engine breakdown or periodic routine maintenance and repair of an existing onsite engine that requires the use of either a temporary or permanent replacement engine. "Temporary" is defined as in the same service for 90 operating days or less in any 12 month period. "Permanent" is defined as in the same service for more than 90 operating days in any 12 month period. The 90 days is the total number of days that the engine is in operation. If the engine operates only part of a day, that day shall count as a single day towards the 90 day total. The compliance demonstrations and any periodic monitoring required by this AOS are in addition to any compliance demonstrations or periodic monitoring required by this permit. All replacement engines are subject to all federally applicable and state -only requirements set forth in this permit (including monitoring and record keeping). The results of all tests and the associated calculations required by this AOS shall be submitted to the Division within 30 calendar days of the test or within 60 days of the test if such testing is required to demonstrate compliance with NSPS or MACT requirements. Results of all tests shall be kept on site for five (5) years and made available to the Division upon request. The owner or operator shall maintain a log on -site and contemporaneously record the start and stop date of any engine replacement, the manufacturer, date of manufacture, model number, horsepower, and serial number of the engine(s) that are replaced during the term of this permit, and the manufacturer, model number, horsepower, and serial number of the replacement engine. In addition to the log, the owner or operator shall maintain a copy of all Applicability Reports required under section 2.1.2 and make them available to the Division upon request. 2.1.1 The owner or operator may temporarily replace an existing compressor engine that is subject to the emission limits set forth in this permit with an engine that is of the same manufacturer, model, and horsepower or a different manufacturer, model, or horsepower as the existing engine without modifying this permit, so long as the temporary replacement engine complies with all permit limitations and other requirements applicable to the existing engine. Measurement of emissions from the temporary replacement engine shall be made as set forth in section 2.2. AIRS ID: 123/9749 Page 11 of 15 Continental Resources, Inc. Permit No. 12WE1352 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division 2.1.2 The owner or operator may permanently replace the existing compressor engine with another engine with the same manufacturer, model, and horsepower engines without modifying this permit so long as the permanent replacement engine complies with all permit limitations and other requirements applicable to the existing engine as well as any new applicable requirements for the replacement engine. Measurement of emissions from the permanent replacement engine and compliance with the applicable emission limitations shall be made as set forth in section 2.2. An Air Pollutant Emissions Notice (APEN) that includes the specific manufacturer, model and serial number and horsepower of the permanent replacement engine shall be filed with the Division for the permanent replacement engine within 14 calendar days of commencing operation of the replacement engine. The APEN shall be accompanied by the appropriate APEN filing fee, a cover letter explaining that the owner or operator is exercising an alternative operating scenario and is installing a permanent replacement engine, and a copy of the relevant Applicability Reports for the replacement engine. Example Applicability Reports can be found at http://www.cdphe.state.co.us/ap/oilgaspermitting.html. This submittal shall be accompanied by a certification from the Responsible Official indicating that "based on the information and belief formed after reasonable inquiry, the statements and information included in the submittal are true, accurate and complete". This AOS cannot be used for permanent engine replacement of a grandfathered or permit exempt engine or an engine that is not subject to emission limits. The owner or operator shall agree to pay fees based on the normal permit processing rate for review of information submitted to the Division in regard to any permanent engine replacement. 2.2 Portable Analyzer Testing Note: In some cases there may be conflicting and/or duplicative testing requirements due to overlapping Applicable Requirements. In those instances, please contact the Division Field Services Unit to discuss streamlining the testing requirements. Note that the testing required by this Condition may be used to satisfy the periodic testing requirements specified by the permit for the relevant time period (i.e. if the permit requires quarterly portable analyzer testing, this test conducted under the AOS will serve as the quarterly test and an additional portable analyzer test is not required for another three months). The owner or operator may conduct a reference method test, in lieu of the portable analyzer test required by this Condition, if approved in advance by the Division. The owner or operator shall measure nitrogen oxide (NOX) and carbon monoxide (CO) emissions in the exhaust from the replacement engine using a portable flue gas analyzer within seven (7) calendar days of commencing operation of the replacement engine. All portable analyzer testing required by this permit shall be conducted using the Division's Portable Analyzer Monitoring Protocol (ver March 2006 or newer) as found on the Division's web site at: http://www. colorado. qov/cs/Satellite/CDP H E-AP/CBO N/1251596520270. Results of the portable analyzer tests shall be used to monitor the compliance status of this unit. For comparison with an annual (tons/year) or short term (lbs/unit of time) emission limit, the results of the tests shall be converted to a lb/hr basis and multiplied by the allowable operating hours in the month or year (whichever applies) in order to monitor compliance. If a source is not limited in its hours of operation the test results will be multiplied by the maximum number of hours in the month or year (8760), whichever applies. AIRS ID: 123/9749 Page 12 of 15 Continental Resources, Inc. Permit No. 12WE1352 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division For comparison with a short-term limit that is either input based (lb/mmBtu), output based (g/hp-hr) or concentration based (ppmvd @ 15% O2) that the existing unit is currently subject to or the replacement engine will be subject to, the results of the test shall be converted to the appropriate units as described in the above -mentioned Portable Analyzer Monitoring Protocol document. If the portable analyzer results indicate compliance with both the NOX and CO emission limitations, in the absence of credible evidence to the contrary, the source may certify that the engine is in compliance with both the NOX and CO emission limitations for the relevant time period. Subject to the provisions of C.R.S. 25-7-123.1 and in the absence of credible evidence to the contrary, if the portable analyzer results fail to demonstrate compliance with either the NOX or CO emission limitations, the engine will be considered to be out of compliance from the date of the portable analyzer test until a portable analyzer test indicates compliance with both the NOX and CO emission limitations or until the engine is taken offline. 2.3 Applicable Regulations for Permanent Engine Replacements 2.3.1 Reasonably Available Control Technology (RACT): Reg 3, Part B § II.D.2 All permanent replacement engines that are located in an area that is classified as attainment/maintenance or nonattainment must apply Reasonably Available Control Technology (RACT) for the pollutants for which the area is attainment/maintenance or nonattainment. Note that both VOC and NOX are precursors for ozone. RACT shall be applied for any level of emissions of the pollutant for which the area is in attainment/maintenance or nonattainment, except as follows: In the Denver Metropolitan PM10 attainment/maintenance area, RACT applies to PM10 at any level of emissions and to NOX and SO2, as precursors to PM10, if the potential to emit of NOX or SO2 exceeds 40 tons/yr. For purposes of this AOS, the following shall be considered RACT for natural gas fired reciprocating internal combustion engines: VOC: The emission limitations in NSPS JJJJ CO: The emission limitations in NSPS JJJJ NOX: The emission limitations in NSPS JJJJ SO2: Use of natural gas as fuel PM10: Use of natural gas as fuel As defined in 40 CFR Part 60 Subparts GG (§ 60.331) and 40 CFR Part 72 (§ 72.2), natural gas contains 20.0 grains or less of total sulfur per 100 standard cubic feet. 2.3.2 Control Requirements and Emission Standards: Regulation No. 7, Sections XVI. and XVII.E (State -Only conditions). Control Requirements: Section XVI Any permanent replacement engine located within the boundaries of an ozone nonattainment area is subject to the applicable control requirements specified in Regulation No. 7, section XVI, as specified below: Rich burn engines with a manufacturer's design rate greater than 500 hp shall use a non -selective catalyst and air fuel controller to reduce emission. Lean burn engines with a manufacturer's design rate greater than 500 hp shall use an oxidation catalyst to reduce emissions. AIRS ID: 123/9749 Page 13 of 15 Continental Resources, Inc. Permit No. 12WE1352 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division The above emission control equipment shall be appropriately sized for the engine and shall be operated and maintained according to manufacturer specifications. The source shall submit copies of the relevant Applicability Reports required under Condition 2.1.2. Emission Standards: Section XVII.E — State -only requirements Any permanent engine that is either constructed or relocated to the state of Colorado from another state, after the date listed in the table below shall operate and maintain each engine according to the manufacturer's written instructions or procedures to the extent practicable and consistent with technological limitations and good engineering and maintenance practices over the entire life of the engine so that it achieves the emission standards required in the table below: Max Engine HP Construction or Relocation Date Emission Standards in G/hp-hr NOx CO VOC January 1, 2008 2.0 4.0 1.0 100<Hp<500 January 1, 2011 1.0 2.0 0.7 500<Hp July 1, 2007 July 1, 2010 2.0 1.0 4.0 2.0 1.0 0.7 The source shall submit copies of the relevant Applicability Reports required under Condition 2.1.2. 2.3.3 NSPS for stationary spark ignition internal combustion engines: 40 CFR Part 60, Subpart JJJJ A permanent replacement engine that is manufactured on or after 7/1/09 for emergency engines greater than 25 hp, 7/1/2008 for engines less than 500 hp, 7/1/2007 for engines greater than or equal to 500 hp except for lean burn engines greater than or equal to 500 hp and less than 1,350 hp, and 1/1/2008 for lean burn engines greater than or equal to 500 hp and less than 1,350 hp are subject to the requirements of 40 CFR Part 60, Subpart JJJJ. An analysis of applicable monitoring, recordkeeping, and reporting requirements for the permanent engine replacement shall be included in the Applicability Reports required under Condition 2.1.2. Any testing required by the NSPS is in addition to that required by this AOS. Note that the initial test required by NSPS Subpart JJJJ can serve as the testing required by this AOS under Condition 2.2, if approved in advance by the Division, provided that such test is conducted within the time frame specified in Condition 2.2. Note that under the provisions of Regulation No. 6. Part B, section I.B. that Relocation of a source from outside of the State of Colorado into the State of Colorado is considered to be a new source, subject to the requirements of Regulation No. 6 (i.e., the date that the source is first relocated to Colorado becomes equivalent to the manufacture date for purposes of determining the applicability of NSPS JJJJ requirements). However, as of October 1, 2011 the Division has not yet adopted NSPS JJJJ. Until such time as it does, any engine subject to NSPS will be subject only under Federal law. Once the Division adopts NSPS JJJJ, them will be an additional step added to the determination of the NSPS. Under the provisions of Regulation No. 6, Part 8, § 1.8 (which is referenced in Part A), any engine relocated from outside of the State of Colorado into the State of Colorado is considered to be a new source, subject to the requirements of NSPS JJJJ. 2.3.4 Reciprocating internal combustion engine (RICE) MACT: 40 CFR Part 63, Subpart ZZZZ A permanent replacement engine located at either an area or major source is subject to the requirements in 40 CFR Part 63, Subpart ZZZZ. An analysis of the applicable monitoring, recordkeeping, and reporting requirements for the permanent engine replacement shall be included in the Applicability Reports required under Condition 2.1.2. Any testing required by the MACT is in addition to that required by this AOS. Note that the initial test required by the MACT can serve as the testing required by this AOS under Condition 2.2, if AIRS ID: 123/9749 Page 14 of 15 Continental Resources, Inc. Permit No. 12WE1352 Issuance 1 Colorado Department of Public Health and Environment Air Pollution Control Division approved in advance by the Division, provided that such test is conducted within the time frame specified in Condition 2.2. 2.4 Additional Sources The replacement of an existing engine with a new engine is viewed by the Division as the installation of a new emissions unit, not "routine replacement" of an existing unit. The AOS is therefore essentially an advanced construction permit review. The AOS cannot be used for additional new emission points for any site; an engine that is being installed as an entirely new emission point and not as part of an AOS- approved replacement of an existing onsite engine has to go through the appropriate Construction/Operating permitting process prior to installation. AIRS ID: 123/9749 Page 15 of 15 Air Pollutant Emission Notice (APEN) — and — Application for Construction Permit Rec.) OIL AND GAS EXPLORATION AND PRODUCTION CONDENSATE STORAGE TANK BATTERY og,1 g- io 17 Current Status (Check all that apply) AIRS ID 41: 123/9747/001 ❑ New or previously unreported battery ❑ Previously grandfathered battery' ❑ Synthetic minor facility • ' Located in the 8 -hr Ozone Control Areas ❑ ^+; Registered under general permit no. GPOI ❑ , Permitted under individual permit: 12-60E 1350 Reason for APEN Submittal (Check all that apply) ❑ APEN update only' ❑ Modification to existing sources ❑ Registration for coverage under general permit no. GPOI & cancellation request for individual pernit6: ❑ Application for or Modification of an individual permit ❑ Administrative permit amendment' ❑ Other: For individual permit applications, check if you wants: ® A copy of the preliminary analysis conducted by the Division ® To review a draft of the permit prior to issuance Company Name': Mailing Address10: City: Contact Name: Continental Resources, Inc. PO Box 1389 Glendive Todd Senescall OGCC Operator #: 10347 odd.senescall@clr.co State: MT Zip: 59330 E-mail: m Phone: (406) 941-2529 Fax: (701) 674-6704 Tank Battery Name": Marconi I -1H Location2 (QQ Sec. Twp. Range.): Sec 1, T7N, R62W Calendar year for which "Actual" data applies": Ycar(s) tank(s) were placed in service's: 2011 Control Description's: Cimarron Smokeless Combustor Condensate Throughput'' [bbl/year] Requested18: 12,775 Actual20: Number of tanks: 3 County: Weld Total tank capacity [bbl]: 1,200 (400 ea) Control Efficiency16: 95% Maximum for PTE calculation': While Controls Operational" Other equipment at facility22: smokeless combustor, flare, heater treater, separator, produced water tank These are crude oil tanks and the API Gravity is <40, therefore, the tanks don't qualify for GP coverage. Individual permit is Comments: requested. Throughput is based on the peak day for the last 90 -day period as production trend is declining. Estimated emissions at throughputs listed above. Use N/A for requested throughput/ emission values unless requesting an individual permit ' ® Check if the Division i Pollutant20 VOC [tons/year] NOx [tons/year] CO [tons/year] Benzene [lbs/year] n -Hexane [lbs/year] Check if site -specific emission factors provided to calculate emissions23. Emission Factor [lb/bbl] 1.1029 Battery PTE25 Requested Uncontrol led26 7.049 Emissions'e Controlled2' .141 Actual Emissions20 Uncontrolled26 Controlled'? C's) 4'iI CCU .00078 10 I ea .0045 58 3 CD API #: API #: API #: API #: API #: API #: API #: 0512333692 Name: Name: Name: Name: Name Name: Name: Wells serviced by this tank or tank battery38 Marconi 1-IH ® Newly Reported Well ❑ Newly Reported Well ❑ Newly Reported Well ❑ Newly Reported Well ❑ Newly Reported Well ❑ Newly Reported Well ❑ Newly Reported Well The signature below indicates that I have knowledge of the facts herein set forth and that the same arc true, accurate, and complete to the best of my knowledge and belief. If this is a registration for coverage under general permit GPOI, I further certify that this source is and will be operated in full compliance ith each condition of general permit GPOI. i i.44 e_.,)oe)op)2D1,3 Signature oa ly thorized Person (not a vendor or consultant) Date Stacy Aguirre Northern Region Environmental Supervisor Type or Print Name of Person Signing Above Official Title Submit this form, along with $152.90 for each filing of up to 5 tank battery APENS. Include $250 General Permit fee for each new GP Colorado Department of Public Health and Environment Air Pollution Control Division, APCD-SS-B1 4300 Cherry Creek Drive South For information call: (303) 692-3150 I >,nnnl A nra Inc I Page 1 of 3 Continental.Marconi.1-IH.FormAPCD-205.E&PCrvdeOilTankAPEN N O O I- ti 01 M N 1 w U O o; E a '0 at 0 t o m 4' CO q o 9 ra N E 0 r 5 o .W u0 0 a X F a Facility Equipment ID: 0 nN • e d nested Action (Check applicable request boxes) Section 02 — Ft Section 01 —Administrative Information a U a >-. el 0 - ❑ O Y t j Y U o O O 0. m 3 > 0 a a. m U 04 0 p L 6 o E a N Ira Y . E w a w. o a Y o o 0 W E 0 to c 0. o ,, pm w . o o T: O F Z 2 ° 0 yE W y 0 d O. ,„4 .� o � a ❑ ❑ asa o o a g a.. t W T F. .o 0 c Z d " w, :a O ro e c Y E. o E e Y o 6 0 C Q '^ J 00 •01 o is y Z O 0 0 u W H Y in r I- O m m al. L w d c.c. 0 U U 0 0 0 0 0 0 ix a ❑ ❑ C a CI !RID OD ti en 3 0 w H 0' o a c ._ U Uo 0 > Q U W Z Continental Resources, Inc. Company Name: Sec 1, T7N, 1(62W o O 0 0 oo p. N ❑ y 0 M h Mailing Address: PO Box 1399 Glendive, MT N N A O e• Phone Number: Y a Y h Person To Contact: r. 0 Fax Number: Section 03 — General Information For new or reconstructed sources, the projected startup date is 0 0 0 0 zz z Z DZD C ✓° 'OO w o a E ° E c =L. c a• 0 z�� I Z 0o a. m W 0 Y d U Q N PO M4. 0 C t C a pp m¢ u c g c e c w o 0 e « o°0'O ri u a W .. cu o " •= a. y rn G7 :n u u R w T. 2 Q.' Y 8.. Y • ,Y, d =a. U `o c" Cr 3 c al 0 al.! 0 a`. a o u >$ 3 a F o 0 E u Ee 'o,;0 3.e� Ae p n Poi to i.c 0 E me o 00 Ca >wv E wZ3 a.+V alloo ° U 12 OS •u°0 �°v WM o0w' bO u 0 0 I. 000 r•E Q'W,o y i U� .a U c O U to L 2 Q U OU P. • q W Y • m o U Ooo t N o IIIo00s on re, NI E nri0 ch CA '0 O O 0 0 O •—• rn - he.statc.co.us/a U > ADEN forms: ht E U 0 U U h V Application status: htt m O 0 3 o- - 4 00 U y G N U .. -14 0 a a 3 v u ® m Ca 8 a In I U U v0 V 0 o - 3 V. a . C 0 Y a `0 g .- h. 3 0 U .- W o E a 0 m aU N N 0 y g U 4 N V Y O .N! 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W E C •= e 000 Z - n: 0 o 0 3 g P� a c s ° i; g u O y� o E Qjv o.o;a C 6 ly .� ° E c B a `o ♦♦♦ Contincntal.Marconi. l -t H.FormAPCD-207.Produccd W aterTankAPEN 0 0 a FORM APCD-207 N 0 h. 0) • N Emission Source AIRS ID: Section 06 —Stack (Source, if no combustion) Location (Datum & either Lat/Long or UTM) Section 05 — Stack Information (Combustion stacks must be listed here) -104.2609023 • U H ' o a Width (inches) = ❑ Horizontal D Down ❑ Other: Length (inches) = ❑ Vertical with obstructing raincap Direction of stack outlet (check one): Section 07 — Control Device Information E ►O. 0 0, E c 0 E Iw O V 0 0, 0, E w 00 0 T.; V N m tT V tl C 0. L OE II. 0 C V I. 1-4 os C V V L to C C U a 0 C co a 2 Estimation Method or Emission Factor Source CDPHE EF I CDPHE EF CDPHE EF Please use the APCD Non -Criteria Reportable Air Pollutant Addendum form to report pollutants not listed above. Requested Permitted Emissions5 Controlled Tons/Year II 0 o 0 ea 0 0 0 0 Uncontrolled (Tons/Year) CO 44 C C - ..I O Actual Calendar Year Emissions° (ieaA/suoj,) pallo.nuoD Uncontrolled (Tons/Year) Emission Factor e L .1-.0 L Zt .'a Uncontrolled Basis N co O C 0.022 Control Efficiency (% Reduction) Identify in Section 07 Control Device Description ig U Primary Pollutant XON O V O Benzene IToluene C N .0 E III Xylene u til 0 A 09, V] 0 Continental.Marconi.1-1 H.FormAPCD-207.ProducedWatcrTankAPEN 0 N 00 a FORM APCD-207 0 0 A 01 L Ca d it 0 E o Z cif 4, Ws m aPo Y 0 .O en a• L Ct O. a m C.? Y cc c O V dst m 0 Section 02 — Re Section 01 — Administrative Information i+ O. 6. Q A. rn °''ti . ❑ 0 v o G O L Y y [Wj A p4 C _ Y .0 > V c d .= F I- .0 0 c 0 ^ F3 m E w E W o u U O 0 A Y Cl .O O. Y en w a o 0 vE .; @ Cl O F o c E U F I a G C Y G C �' O o a 0 a 0 o a m ❑ ❑ Y .Y. c « 0 sa T E y a -0...a r 3 :. L .0. Y Y N 3 V W.0 t Y C « W C 0 Y. w Z F a «_ : u pT.zp�� E C E 3 m t° Q E =• I. Q .U[�.€ ,aT, 'o m .E O V O W c4 c3 OYO w Y N p E - , 0 O E 0 — w o 0 0 02 0. • U U S a aY, P. o V N V 0 d ccc cc Cl a z❑❑ z z❑❑ o ® ❑ ❑ ❑ ❑ 'a 2z c rr -Cl c. 3 a `o 'O cc E to U U 0 U 0 Z N Continental Resources, Inc. Marconi 1-IH Sec 1, T7N, R62W Source Location: E o m an E 0 ZIP Code: 59330 PO Box 1389 Mailing Address: Glendive, MT N N P 0 Phone Number: todd.senescall@clr.com E-mail Address: Section 03 - General Information 0 N .N+, 0 c O V m C. C a W O u e W c E cc 'O I- « I- W a Cl E C E G u Y J 3 N 00 y W T m Y a hl 0 a a Y .0 W a O N Vi 0 0 o 0 o 0. a O c Y U 0 0 o N o .o. 0 0 0 c N C 0 Y 9 14 u € Y O 0 La.z0 0 cc o. O O `o ocInE P. 09sr, ct r? r? M cc E Z a " p. Id Q E 0 O e VS e 0 W0 OY« E nnn0 C c OOO m Q F U > 0... 0 W ...... C. T C C O V i, E"yam e° Nv„a3 z, C ct � ¢ VD a 4. r 3 0 '6 Zig GI ^ E Y ,� Z• en V a o `o a a O = C o i s o U v .P W 0 [I) a m 0.. o C g' y a Y E' 0 6 E= 6 c 3 e Q h o El ,� W a w o. G e E u b o 0 0. c 0 O >.a i- U N c o o >O O E e,,., Um o U sl W •--- 0° O (� O U o G C 0 0«0 s 00U`Y'E � U Co—`oQo a m0.0 a 40 O. t1 "ill E o.U,P u `o E ¢ Q F �'._. �UQC Q v. Qv� lit E el 5 c 5 z o y 001 .v. 0 m E � C = d � E m E G 0 c r t? as a �•`a Z E S 0 0 Manufacturer: 0 ti is z o o c a n 0 0 6 (7 O O O O O O N 6 0. Qy O P. O. Cs. a q 9 .� O O E o. a O U U U IA E 0 O c O 0 O O U a .0 0 O El El e N 0 0 OA 0. '.0 N S N FORM APCD-200 a r rn N Emission Source AIRS ID: O 14) W N Permit Number: ,.o z rid 0 03 ro 0 En d (L a❑i r3 O in .. Cr. 0 2 .Q.J 0 Oi u O .y ❑ L 0 CQ 0\ O e -104.2609023 o v O } > d 0 w w " N 741, 2 0 E A Q Vertical with obstructing raincap Direction of outlet (check one): b Circular: Inner Diameter (inches) = Exhaust Opening Shape & Size (check one): tion Information ment & Fuel Consum 7 Section 06 — Combustion E Manufacturer: Company equipment Identification No.: 0 0 cep V) 00 N N Ca N 1000 btu/scf minimum let, 0 v '5' V o Cr 'In 3 0 E N i x c .0 0 crti 0 V Co 0 0 0 E -o .94 C O C 37. a 0 74 ❑ O U 0 U, E ❑ 0 L a L 0 0 C O N t -- Q.1 CO aW a O C N 0 E 0 '0 0 w E C C rn 0 E O U d Estimation Method or Emission Factor Source N 0.< a UU N `p� Please use the APCD Non -Criteria Reportable Air Pollutant Addendum form to re r ort pollutants not listed above. •_a` ..... ....-en•••aatA nm:ee:nne Requested Permitted Emissions" Controlled (Tons/Year) 0 Uncontrolled (Tons/Year) .0 Ni rul 1 — N a Actual Calendar Year Emissions3 Controlled (Tons/Year) Uncontrolled , (Tons/Year) Emission Factor Units w m E a E a E a Uncontrolled Basis d 23622.14 1 O T Factor Documentation attacnea Control Device Description Primary Secondary 0. ea cn 0. 000 0 0 a- O 'O ❑ A • u i a ▪ 0 a zH V c 0 0 _ u C0 u p a> d .0 0 N ❑ C O T Ey N E a.= en 0 a o ❑ u N C m E3 ❑ �z d .O N ❑ C O C) ❑ 0 CO a a CO CO a r • IQ u >, 0 1.4 t O N N ion Env. Su Continental. Marconi. l-1 H.FormAPCD-200.GeneralAPEN.Flare N 0 N OD co NON -CRITERIA REPORTABLE AIR POLLUTANT EMISSION NOTICE ADDENDUM 12WE1350 Permit Number: Continental Resources, Inc. Company Name: G) 0 U a N Marconi 1-1H Separator/Treater Gas Flare Plant Location: 406-941-2529 Todd Senescall Person to Contact: Todd.senescall@clr.com E-mail Address: Controlled Actual Emissions (lbs/year) r 0 co O Lo Uncontrolled Actual Emissions (lbs/year) co N N.- co U7 N go O Emission Factor Source - v a. < a < aa. < a < a < Emission Factor (Include Units) 15.2599 lb/mmscf 4.3560 Ib/mmscf U U7 Cl) rn E N E .1 1.5092 lb/mmscf 568.3063 lb/mmscf Control Equipment / Reduction (%) 95% 95% 0 ix) C) 95% 95% Reporting BIN < O O O Chemical Name Benzene Toluene Ethylbenzene Xylenes n -Hexane Chemical Abstract Service (CAS) Number N M ,71 108883 100414 1330207 Calendar Year for which Actual Data Applies: N Reporting Scenario (1, 2 or 3): 0 c ro a Legally Authorized to Supply Data Northern Region Env. Supervisor Form Revision Date: December 4, 2006 Q' Q' Internal Combustion En T r uested Action (check applicable request boxes) Section 02 — R Section 01— Administrative Information M N Po >. r C ° d 0 M 0. !�— a 0. a 0L. U F 0 >, O J O0 z 0 ❑ 711.o o. N o L u ` a a X 0 ^ V O d F m a 6 o T E o , a .. E u 3 .A C ' y, 0. O a o C u E 0 o P, F L U O 3 p O E 7. `u.' m 0 u..0 00 Ta a. Po w E s a o 5 t a a O H a H u a g 0. d 5 K C 4 De C c •0 C 0. V 'b o `u E 0 C e H a w e 0 W 0 73 u u d°= W a . W u aro a u u E Q o o - r Z u Ca6 F z C 'O C O O 0 on cC a. 'a " .. C 40 a E g 5 0,, < '-> vca 0 .. « +. .C .C .. u a E m 'a d U U m y o: 'a 0 0 0 0 0 O O °ai Cr Ct O 0 z ❑ ❑ z ®❑❑ n 0 0 CiD U U zDI Continental Resources, Inc. Marconi 1-11I z z E a OV) U 9 n v a o t. Uo w OS permanent replacement 9 O i ❑ ❑ ❑ a . z ZIP Code: 59330 OO X 0 Mailing Address: Glendive, MT Todd Senescall todd.senescall@clr.com Section 03 — General Information For new or reconstructed sources, the projected startup date is: N 52 weeks/year N m v N O 9 'C c L. a a 0 E is o- z^^� GA E w o� ��m E 0 a, t".. rn r a 8 '- '-c L. m v�o Go v WU T. o corn o' Q. > ad u o; o rn •�.. M eQ Ey-, 'o om, € v° a W' 0 C O a ._ .d2 eo .. o p4. mil, u g o > > a 4 W Y ,f, G ch o U Y I: w ` CO V V o if y c T E U .0 u ,« o o a i." e u it oV v 'g EO o o$ €m ..y m E.y0- E > Y V 64 _U i UE_�„0 a .� o C] oa Ao. te` m> aaE iZF o¢ OQ ywb E u a -.Um oUh 9a -' O 0 W 0 Q W i O U C C o I " . 7 C i. U cm ='o RgVw'o or N' O .wIoagv 0aa9. FL-. 0L nUQ vCa w Qu, APEN C 174 hc.state.co.us/a a u Application status: htt 'a ng o O O 0 EL U g 00 a o a o d c o . E .o O a C u o 7 0 U I 02,0 0 0 O a u a O V W O ,0 0 2 H o 3 3 0 a 6 S .E 0 m 00 C 4 N N a 1.2•• 0 N 0 X c7 ca ca 0 z 0 0 C E C r. 0 5 c s CY -79 >, F E tCd ro C N413 0ta OOU s a N 0 a E th c- S o Me Information Section 04 — E O N b 4 A u O 'a a 0 L v O 0 P. ❑ O O a TE a 000 O w ❑ ❑ CG C4 -$ PI CO m O e oe 0 00 0 P7 0 V A 0 u V Cu 0 A ci 0 0 0 0. 6 41 6 Sap a m v Co w > 0 o 0. oo a 2 2 0 0 o -a L 0 0 UU ❑® 0 a > 0 u v a 0 0, a e la E mn o O 4 u o ' ❑❑ o C O P. bE o r me x m Y d 0 G a y N V 0 0 w ❑ ❑ .E E o E El E E V °' O h . N ai y N " V a0 C o 0 0 V O 'c E c i,o w2 2 w Ua T 0 VD 00 What is the maximum number of hours this engine is used for emergency back—up power? Form APCD-201.Cantinental.Marconi.1-1H.Ajax.RICE.(APEN) N O 00 0. 07 FORM APCD-201 d• q W C 1 E o O 0, U Tt Cl LJ" Q' = q of Ir \. 0 a'. M u N I. L .• L r .e I N 4:o Y U C 0.1 7 q Z X O C 0 0 .� d L a. . N C W 8 O U,.,., U o L W > U q o i ii 73 W d'3 Q M lo W « 0 N ir P. - R fr.i W d z z Q �+ mac . F L w OV P., ca 0 0 C 0 v V) C O o , 6 a0r gEw op o0 ono U 6 o m 0 A 0 a) 14) N O OD ea 0 a 9 9 w o E om -104.3191270 F o `o ANN a" 0 O a" > o Q u. 0 I^ o n s 0 E o 0 ❑ o_ Y Q , C v. r U C N Q C U a- u ❑ r; u `w C ue .C el m o ct O U 00 5 ,c 0 0 P. 0 U o w tion Information Section 06 — Fuel Consum Seasonal Fuel Use (% of Annual Use) 0 O. N N J 1 N m N C) A N cC W 0 CID 0 O 0 U W a) Requested Permit Limi I T fn 377,200 btu/hr z Estimation Method or Emission Factor Source 0.1. 0.v- Q Pay :- Q prey. applications v prey. applications I - ¢ v Q Day Q 1. Q Please use the APCD Non -Criteria Reportable Air Pollutant Addendum form to report pollutants not listed above. Kr. hoced nn connected emiccinna. Requested Permitted Emissions Controlled Tons/Year Uncontrolled (Tons/Year) O O O 0 V • r 0 0 0 0 or nuara p.g.wo•,. I J} Actual Calendar Year Emissions Illl Controlled (Tons/Year) Uncontrolled (Tons/Year) J a E E a J a E E a a E E a t a, t a .1= 28& E.o E _ '° EE n E E a == a E E :ren c EE E a a E a 0 GO M 0 I 00 et; 04 4 00 in 8.74 O N -.+. N V a ^ g N VI en 0 N N 0 OD t r 0 O' Data year for Control Efficiency (% Reduction) F wd I a O x Z JUA I UJ ou > v I@¢ W 9 o .e •E •° O a C ° N a C R i y C 'a W O N O 5° a U by Co R_0. y — zF C X01, W 0 0. 0 O O U 'L c o • U U. R a v as N 3 Y OOO s o zed Person (Please print) N U 0.o ti Qt.. J L n G .G u o E — pa _, ,d m u C a 0 C O a o m Ii. ,.' a \ Q U 3 % = ? U L U V m o C v w y N u O U d o w <ao C O O.. o 0 b CJ ^ CO b0 Form APCD-201.Continental.Marconi. I -I H.Ajax.RICE.(APEN) N O N m a 2 Z w w I- O Z Z o Cn a' w �a Q ZE a° U O • N U C Jco O � 0- rn 0 1), < w �- O w re w N H O Z (f) Cr) w N T" Permit Number: Continental Resources, Inc. Company Name: O County: Weld Marconi 1-1H Ajax Engine Plant Location: Todd Senescall Person to Contact: todd.senescall@clr.com E-mail Address: Controlled Actual Emissions (lbs/year) Uncontrolled Actual Emissions (lbs/year) O 1— Emission Factor Source N C1 Q I Emission Factor (Include Units) 2.48E-03 lb/mmbtu Control Equipment Reduction (%) II I c am C U Chemical Name Methanol Chemical Abstract Service (CAS) Number 67561 1 Calendar Year for which Actual Data Applies: N Reporting Scenario (1, 2 or I- O co a) a To C a) C O C w C pa) a) co ▪ Z CU w. m O a a Q Co O N `O _C CU a) J C O co CL C Q a) U) cc D.. co co 0 a- Cn O N o I. O O cV Q 6 >+ E To U C) cu a) O J o • C u)_ O • w as O Z u. Air Pollutant Emission Notice (APEN) — and — Application for Construction Permit OIL AND GAS EXPLORATION AND PRODUCTION CONDENSATE STORAGE TANK BATTERY Current Status (Check all that apply) AIRS ID #': 123/9748/ DO I Reason for APEN Submittal (Check all that apply) only' [ ,AUG J3� to existing sources \ 13 . for coverage under general permit no. GPOI request for individual permits:. _ for or Modification of an individual permit permit amendment' ■ APEN update R New or previously unreported battery 17 -,..*-13 5 � ■ Modification • Previously grandfathered battery' ■ Registration • Synthetic minor facility & cancellation Or,: Located in the 8 -hr Ozone Control Area' 0 Application ■ Registered under general permit no. GPOI ■ Administrative ■ i::. Permitted under individual permit: • Other: FOE lndividual permit applications, check if you want': analysis conducted by the Division of the permit prior to issuance A A copy of the preliminary To review a draft Coiiipany Name': Continental Resources, Inc. OGCC Operator #: 10347 Mailing Address10: PO Box 1389 todd.senescall@clr.co City: Glendive State: MT Zip: 59330 E-mail: m Contact Name: Stacy Aguirre Phone: (406) 941-2529 Fax: (701) 764-6704 Tank Battery Name": Hahn I -4H Number of tanks: 3 Location" (QQ Sec. Twp. Range.): Sec 4, T7N, R62W County: Weld Total tank capacity [bbl]: 1,200 (400 ea) Calendar year for which "Actual" data applies": Control Description's: Cimarron Smokeless Year(s) tank(s) were placed in service°: Control Efficiency's: 2011 Combustor 95% Condensate Throughput" [bbl/year) Requested's: Actual20: Other equipment at facility22: smokeless combustor, 14,600 Maximum for PTE calculation": While Controls Operational21 water tank 14,600 flare, heater treater, separator, produced These are crude oil tanks and the API Gravity is <40, therefore, the tanks don't qualify for GP coverage. Individual permit is Comments: requested. Requested throughput is based on peakdaily production in the last 90 days as production is declining. Estimated emissions at throughputs listed above. Use N/A for requested ® Battery PTE25 throughput /emission Check if site -specific Requested Uncontrolled's 8.102 values unless emission factors provided Emission's Controlled2' 0.162 requesting an individual to calculate Actual Emissions'° Uncontrolled's permit emissions2J. Controlled' • Check if the Division is to calculate emissions. Emission Factor Pollutant24 [1b/bbl] VOC [tons/year] NOx [tons/year] CO [tons/year] Benzene [lbs/year] 20 1 n -Hexane fibs/year] 104 5.2 Wells serviced by this tank or tank battery's API #: 0512334199 Name: Hahn 1-4H Well Well Well Well Well Well Well '''4 Newly Reported API it: Name: • Newly Reported API #: Name: • Newly Reported API #: Name: ■ Newly Reported API #: Name ■ Newly Reported API It: Name: ■ Newly Reported API #: Name: ■ Newly Reported The signature below indicates that I have knowledge of the facts herein set forth and that the same are true, accurate, and complete to the best of my knowledge and belief. If this is a registration for coverage under general permit GPOI, I further certify that this source is and will be operated in II compliance with each condition of general permit GPO]. 05)0622a .3 S gnature I/�egall uthonzed Person (not a vendor or consultant) Date Stacy Aguttfe Northern Region Environmental Supervisor Type or Print Name of Person Signing Above Official Title Submit this form, along with $152.90 for each Colorado Department of Public Health and Environment2 9 6 3 a —For information call: filing of up to 5 tank battery APENS. Include Air Pollution Control Division, APCD-SS-B 1 (303) 692-3150 $250 General Permit fee for each new GP 4300 Cherry Creek Drive South I nnni i 4 non in: I Page 1 of 3 Continental.Hahn.141H.FormAPCD-205.E&PCrudeOilTankAPEN V t 4 M d C 0 al ti I q a -E C W O u a - O a U a L 03 O = W • O. •m Q, 0 r•tt0 0 t � PH S Ett U O z z a a O Q 8 co 03 Oa N r M W N C Pr uested Action (Check applicable request boxes) Section 02 — Re Section 01 — Administrative Information .. i an o• c 0 T u 0 CO O O r > N o a ft p p o t o CK C. y 0. > .. _m .2 CT a� U ❑ E tl L . •9 E z 0 c W E w E 1° N V Y 8 O 'J' W N 6 c Lo u pe ' 'r+ p o - S G m h g 0 '1°3' glc Si O IL O,❑ ❑ a a E o ea O g e.1 s >. 3 a•°x' W v C « 4 .V.. C 2 TO z c• d it Z 'O Q O « L„ `o E 'DCW O (.4� _ rE F O v 6 O {w OOO C y O YO E V z P 0` 0 w y u v L O m m L d 0 v 0 h. U u U U i O C O. P g z DD a p°41:1O ® ❑ ❑ ❑ .7t' ca O 9 U U z� 3 N GO O 0 N C C 0 m 0 o 0 N Sec 4, T7N, R62W O .2es Z O n ( 0 PO Box 1389 Mailing Address: Glendive, MT O N N O Phone Number: O r T C Fax Number: Section 03 — General Information For new or reconstructed sources, the projected startup date is: N O N O O 0 O. of tot °a 0 a o T •O u v 4° 141 3 d S 0 'O O L. O O U 0 3 W T 0 W L '0 9 T 9 s O OO c et s N I'y ❑ O O O O ZZ Z Z ❑® ® ❑ N En en in eu r r r ®❑ ❑ Cr, y, ea O U J a h o oho o U V O v 3 y soss O U - men . o O o > U H o c 0 0 ro O" 'O O v u g E 0 O 0 > [ > E o T O d U o co o e W 4 e.0 u n °c Lob C g C X O a' •m 0 guEg-g m w 0. a O •8 A O Y 0. U U 9 d O O N O 'J LU6L� U Oej4 b Q O O W 4. O D U N 0 O E. •"j U y Vi N O N O O N b 3 E D gg ?LIE a . Z o O O Co E. W o ° 0 Lm 'n E'. O 6 N 0 L C. .-i••.r� . E z o o Ln L 'nM m e luRll� eCCo e� W o d 0\ a a €I O ¢ W 2 O.'N m U 'O .O 0D O C CI O O .G L L C O 0 O O. W 0 N c. a ` �n m n �.. R.... 4+ a O\ o C CT. o p;p o m> a g w 0 N 'It W 5> J N y. L O Le) r G y0��u v a •v W O .L. 3 3 aci u W W "'.' O 0. c o E .., u u .O v O O 01. V V O v `o c o �, W; N PLO. h E h v .t E > .U-• o 4 20- O , O V> U E 5 w v '3 .c +qf L N o pg c e p w� t•-• >., mW °' s 3'0 =' w� 2≥o eEF E 1r •c ta oQ JL. I C 71 1.4 OS v O p, �° e_ W eQ w' O oS(fi c O CJ c O d) m U g• € O U Co e. E h.WL. wOU u oea z ,al r W5. 0"80 c Ma"q nWc •gvtt XWw .0<'0 0°. :7c- 'C ho.state.co.us/: 'O C hc.state.co.us/a O e. Section 04 — Tank Battery Informations `0 .O z T •0 0 T .0 O U 0 C 04 O Produced Water throughput: act 0.7 E• u U n W v o g O E N 0 U „,(12 U U YYO O N W «C wN_ f l ♦♦♦ /t_rt 509.02.,10 ://www.cd nhastatc.co.us/ C 04 Continental ,Hahn. I-4H.FormAPCD-207.Produced W aterTankAPEN.Resub N 0 0 GOO a FORM APCD-207 N Emission Source AIRS ED: Permit Number: 0 c 1.. V L Pe C 0 0 .°a 0 O h ,n 0 Nco O C U L 0 O 4) u as co 8 A o E -g en To o O 0. v0 7s Section 05 — Stack Information (Combustion stacks must be listed here) O 00 u c U ffi E O 'G o 7 2 E N n O `O $ et u ffi 5 V v 'o0 0 2s E -104.3191270 2 o ❑ O > V c o 0.w N ce If) 0. el 0066 .v II 4) 0 v 0• .0 Q V U Direction of stack outlet (check one): ) c O of of the tank ba C a E O C L L on Combustor R E m U (43 0 0 al Smokeless Combustor Manufacturer Gu Waste gas heat content: v ow +n a J 1) oL Control Efficiency: 0 .x � 7 a g q3 /) V �. 'v () H u E 0 E c 0 H o o � U H> U U A ® 1❑ V .0 O J A d x O 0 ❑ Condenser used for con Make/Mode E E 2 u .4) T O C 7 Z .e L O � C 5 O u U t 0 0 0 U o 0 > ,O V0 v 0 of m fL� V] 0 0 U IV C 0 0 U U O > u 0 V C N C 0 u .4) V .0 ce rd E a C K u7 u.) a A U W 0. a U 420 00 F. o 1O Co 0 0 O CZ 0O O 0 N) 0 U 0 Uo O m $4 0 C Cc C7 O C. O Q 0 ea E v E C w '0 C d c a V .0 0 U U c a Emission Factor m C 0 U C n a O Control Device Description Identify in Section 07 N O G 9 0 C. x O z O > O U c C u C u C 1) V .a W V d x U C 0 0 V) cn ol C C : C o a: O ci 02 4)0 a G .+ C U L w 0 a o LI Z o OJ C r t - 0. E 3 ¢. -0 E •O 0 0) O .0 V U .0 o 13 N aC) CO 0 C V ~ O` G 'CI0 F N -0.5 C.a Ate` C Qo 0. G O 0C a tu u R A H •" .5 0'v — v) z O E 0 - .a? U -0 n E5-0 0 u c V V 74 0.5 gM0o to 0er..' u' A $+ u 4, u E w O CI .J v •s V z0��I O — CO3 a a K O r `s ') 0 A � d O - N d r u it. 7 °) Yp� p.. I C .�. CI. o H ) 0 ' bo � N FORM APCD-207 s d I O 0 CO ti O> CU O m O o .E . e w .) 0 e a_ Q 0 0 it L 8. 0 '1 0 _ ci O a CI Pa E E = L 0 U 4, � Fm c u L 0 N w N u >4 .0 aa d_ 0 d .0 u 0. 0. R Y u m Z C O "0 .3 43 0 Section 02 — Re Section 01 —Administrative Information Request for NEW permit or newly reported emission source Continental Resources, Inc. Request PORTABLE source permit 4 L z I o 0. 0. T m❑ _ W 0 ...5 o r0 0 o a d d a W 0 K o '2 w =� L T 0 c d .C E pp o, 0. 9 w E w w 0 0 0 C V O °u .a O Cl. t ., w a >i u YO Y . y O Cr 04 E U . .0 V t 0. °i a E ''c ❑ ❑ 1. ..0 V LV, y y V. '3 W V EG W L 9 C « € R--, C « 3 0 c E " w O P� C 1 -ax V a 0 g dd 9 N .. o d v E z 0 00 o m W c ow .y o L F A Q tea. u . U U 44 « a U u 0 d 0 = c a ❑ ❑ a a" ❑ ❑ County: Weld Sec 4, TSN, R62W Elevation: 4,848 u u c u o O O m 0 CO z z V fA 0 T o d a o �m N o o o. ZIP Code: 59330 Glendive, MT en 10 0 R Phone Number: Person To Contact: Todd Senescall e '° 0 C Q cz Section 03 — General Information 0 0. a 0 63 c. 0 N M 0 'V e U d 0. c w 0. 0. CO I. 0 u C A d to 0 C 4 i 0. 0 E 0 E d 4 C C V on 'C O 4 6 N h n 'C m 00 0 '0 u TN F 9 e 0 0 0 9 y S I. G 6 O N VI 0 e. C . O 0 'OC '0 m 0 0 p.EpEE m O .0 0 V Cr c. o u o o C I. 0 o O 8 y C g 5 el 'O cl m PE `o 0 0 w Z 0 o «.m1 o E ay Z ori g ^at 0 m a 0 _ N V L g 3 0 >` O 4 4,1 v > 3 2 T C 9 y 0 > 4± y 0 O V 0 0 0 0 C d ti sVF N `o E co 00N L S en rn rn F _.. _ N N N C G C.. ryZ -, O, T O\ 4_ . E Op •iyl \\ m1 m or. o ).2 o S. �o�o o nun F. 0 WQ� o/ /v in ei .74, .o., P] a u x 0 y u 4. L u U - 1•O P. C 0 > OS wC. a 41 a v o a '> u r 3 3 4M «qo 0 E . `o o e w <' .C w t _...`,0 L 5 hi.5- ,O E 0...,U.% 0 U zq A'i' 4O U O G C 0 y.0 h z L V .0 . -'7- W —; G U O 0 O 0= z O° 30 'c. he.statc.co.us/a u V c _ E c z 0' L cc E CT N C A u t° N = 0o od u a av, C 0 EL 0 3s ment Information & Material Use Section 04 — Processin V 0 c 0 A 0. 0 0 0 O. 0. uu II 2 v 0 0 .0 .0 0 0 U U O El c 0 rJ' 0 S o o Go u y O 0. V .Ob V 41 y 6 S > 0 u 0 E P. R o Eo = 0 u ot- 3 > w w � D-200.GeneralAPEN.Flare Continental.Hahn.1-4H.Fo O C) Co O) N FORM APCD-200 L 0 0 . b M a � u 0 O c) L W O R u .0. O. Q V O Z O F Emission Source AIRS ID: O7 C) w N Permit Number: 'I. o> to d to F s O ccs m L 3 O 0 N rat 0 L to Q C 0 en E w r0 C an a 0 C cpa It) 0 CJ F o 0 JNN oww 3 it c.S O rn ;,v U E E o eu o a; $ m p a. a N N Oc V a 0 a 0 2 U J a au) o< n. " OD o N E C c O C A C aab n C I^ a L O U 3 3 U U J 0 0 2 U ro U t N c F Y El Y d t2; ti 0 0 Y V L" p m c o O o a. F O 0 U C .c:41 to Q w tion Information ment & Fuel Consum Section 06 — Combustion Equi z 0 Manufacturer: Company equipment Identification No.: N dl in N 0 Q Cl 00 0 U a. 1000 btu/scf minimum U E E I` an On C C 0 Cl O. .0 E .0 d u o V W di U C .0 U 5 O o 'Q an s 0 u 4+ O V Z Co c ` ¢ _ c8 F 0 o 6J o c c 0 m — E C _ o C V c F a m 0 A 0 v. o 9 o a.. p "' .E E .. - 9 O o 0 1 CD i n C$ mcl U 0 0 :0 0 o rj N C C y p E y L' W E I a c 0 T g K 0 No 0 ¢ Estimation Method or Emission Factor Source 1. N PO Npy Please use the APCD Non -Criteria Reportable Air Pollutant Addendum form to report pollutants not listed above. s Q ¢ Q Requested Permitted Emissions4 Controlled (Tons/Year) In Uncontrolled (Tons/Year) N ., d Actual Calendar Year Emissions' Controlled (Tons/Year) Uncontrolled (Tons/Year) Emission Factor Units 0 4 0 V E E E E .0E E Uncontrolled Basis ? N n S en Control Efficiency (% Reduction) e a Overall Collection Efficiency • Control Device Description Primary Secondary Flare vy Pollutant H0.0.0Z00 / t 0 d ion Env. Su U O. a. a. U C U O 0 t Y zH \ O l0 s a .= d 0 a v N .0 0 00 C Q O T CW y y L_ e0 2 F a C o F 'FC R Z L v r 9 'cc-- CO C 0 _ 0 7.1 a N 0 N CO Z W 0 0 W 0 I- O z Z O r III • v' I- a Z E < U P D w J 2 O 5 0 • a), :ti a�' J ` f3 e' a O 0. re w h - re V 9 z 0 z C) m N AIRS ID Number: Permit Number: }t WE1351 U G aS U 4 O U) a) To - C C O O Company Name: O O 0 0- 406-941-2529 c • O E O a) C O s 0_ Plant Location: Todd Senescall Person to Contact: Todd.senescall@clr.com E-mail Address: Controlled Actual Emissions (lbs/year) 10 T o o co Uncontrolled Actual Emissions (lbs/year) 205 co M - o) to T Emission Factor Source APCD 0 a. 0 < 0 Cl. O < Emission Factor (Include Units) 26.7958 lb/mmscf 3.404 lb/mmscf .4202 lb/mmscf .5042 lb/mmscf 204.6491 lb/mmscf Control Equipment / Reduction (%) 95% 95% 95% 95% 95% rn h< a 9 0 0 0 Chemical Abstract Service Chemical Name (CAS) Number 71432 Benzene Toluene Ethylbenzene Xylenes n -Hexane 108883 100414 1330207 Calendar Year for which Actual Data Applies: (NI Reporting Scenario (1, 2 or 1 n Legally Authorized to Supply Data ca 4- ca 0 a a N •4 N LO 45 CO C) a) -J C O 0) v d O a) I- 0_ a) U) cU a) 0_ ro m 0 >. O. O. 0) 0 a) .` O 45 a CU rn a) - J C O a) a_ a) E co z Form Revision Date: December 4, 2006 U is Internal Combustion En 8 CO an c407,1 r;+ a eke U w L z N a E w ea a 0 52 W r�- ra O [Leave blank unless APCD has already assigned a permit # & AIRS ID] 12WE1351 as O 0 • a 0 E Y r. Q E a. Section 02 — Re Section 01 — Administrative Information 'O e c h o O ^ a, n d U E U w O 0 Z° 3 O u O o. N 0 o .o 00 o` a t§ .a U c c O C c ._ 0o 6 m T OF 16 H p C J s a o m .... 0 C o c 0 E w L 0 0. v. F L V O p O mon W .E E K g o r4 o U H a ' v 6 Z p_p d d z a. W ❑❑ .E o $ 0 T ❑3❑ d W a. p, t 'r3 C V 0 Y T 0 `. Y 9 O d .. 0 0 0 W E O 0. E m cee d W U O y- 9 U a CO 0. 00 w c W a a H z c G z ` Q o a C4 W 0 0 0 0 2 g g a00 en a.. a a" ° I o y U U y y R' .� 0 iu 0 0 0 0. 0. O' Q P a 0 O ze °11 •• 9 C d aaJo' ❑❑a M 0. V U z U�n Continental Resources, Inc. 4 C R x 3 0 w 00 et a o > U o W Sec 4, T7N, R62W 2 2 ` J g as 0 01 z z No . T 2 0-i 0 E n O O O Y. V oo v0 U a c nn n 0 U N S. 0 z Mailing Address: Glendive, MT Todd Senescall OS permanent replacement 701-764-6704 todd.senescall@clr.com Section 03 — General Information For new or reconstructed sources, the projected startup date is N 0 3 el v F- 000 0 N c W u n zW ena �tIn - E W o 0pO a N N lV .. e. e Q " �CI.' E- Cr) m .n .c o W U o c- - o o 0 2 y ≥ o 01 O_ '— � 3 O a 2 W W N�` CJ E 0 d o c in .•0,..0 = o J � y Ehu v,0. Q a 0 m ._ "' c o dJ .__ _ ti V _> d a W L O v. Z Q N v u .x y Li Wcn 0 0 0 'to 0 0 0a. C © 3 E u ad. r' . y m v 9 o U O 0. w=• N a$ 0 M E .c c h . E f c e c E D. Y L. 4 'tz esio ic m > 2. = a. O > o U > U 2 �:. 0 .� > t o o Z c c r c ❑ — �o a 03 0 •y c'0. .o To adE 0e0op � V e - "t. L L C C 2+ 0 s > w .--60 E W N ^" U o o U CO 0 N y O O w 1 a� in 0 U ≤ .^. c Q C O 0 O 0 ,t w. •C 'n . V 9 a cc w Z U C W Y i Q U Y O 'z u wh_Uo 6'u a. To W a .14'. !!� 66� a g vt F. Vi c..)e '4' Q Q mt Y 0 0 .0 NI N0. 0 o 'E) N E v E 0 -E 0 U 2 c2 U O 0 c Eo a 0 18 o n - A O O O 0 O = a U n 3 n c0. c c m c o iU d 9 r n J 0 V a0 O` 0 O 0 0 o 0 se e7-8 O 2 0 0 0 0 0 °0 0 y . C c E .c •00 o V X v L/ �o o° z El 0 0 C E cs o Z.E 9.0 c w 00 U O P. o E - a. or 3 o .5 n ine Information Section 04 - En U U n 'O 00 L11 a ON 2 N z .Gecn Model: DP 60 ea ❑ ❑ 9 E `0 0 0. CO El N to. a 5 0 D-• T E E a u Engine function: a � PI CO PO 0 N 0 a� a o 0 o 0. P. a. 0'0 0 0 a P.O. 0 0 •-• 0 0 0 .0a 0 0 UU ❑® b V O V a F ❑co ❑ co N .11z c 9 0 O .0 E 'a U Q 0 'c II - o 0 V 0 a E g o a to y V O O ❑❑ a y a .Q `O c E 0 O C 0 u « 0 m U cn N a. �' y N V1 J c o w E E C/7o. Li U 2 .` o rtp W �0 c J J c O 5 S O r m Ge T z e w Form APCD-201.Continental.Hahn.l-4H.Ajax.RICE.(APEN) FORM APCD-201 N 0 0. Internal Combustion En CO L I„ o n Ic CO -o la q \'.'. - 4. M ct ro r r_ w 023 1�1 I 0-4 6 L y d rz-to =cc O O r O V .- rq W w C>, W Z H O 0.1 12WE1351 Permit Number: O 0 0. U N N O C, O O U 0 O OO O 00 C 0 d m a cal V) z 6V 0 0 i c o N r C D C0 0 d u.Or o m .41 t4I E u O o m O U-0 0 0 0 a V N Ni n wet O N N ON e Ev o g z2 o < w" u. a F CO d II 0 U 0 V C Us U O e u O U N a y 053 a. A O in Y OO ca 'C^ 0 O. O r t 0 00 tion Information Section 06 — Fuel Consum Seasonal Fuel Use (% of Annual Use) O z 0 U) N OO Q O Lir 0 E 4 0. E o T O M•g ,en 0 oo o ra g W O y 0 Ca a v 00 w 377,200 btu/hr 00 L C O 2 Is this engine equipped with an Air/Fuel ratio controller? Section 07— Emissions Inventory Information & Emission Control Information Estimation Method or Emission Factor Source 00 (00p, 00 prey. applications N prey. applications Na.,� ni -1- -n, 0.Cp, Please use the APCD Non -Criteria Reportable Air Pollutant Addendum form to report pollutants not listed above. Requested Permitted Emissions Controlled Tons/Year) Uncontrolled (Tons/Year) O O O in b • I 7.83 0 0 0 0 Actual Calendar Year Emissions Controlled (Tons/Year) Uncontrolled (Tons/Year) Emission Factor Units Ib/mmbtu E E E E z e E.c E= EEEE E E E E Uncontrolled Basis O GI 0O0 r' O 00 eh O al 000 N d 00 O N .4 N y T.2 O GIN U) O t� g N r el 0\ - Factor Uocumentanon aracnea Control Device Description Primary Secondary °CO X o0o X° IFormaldehyde 0 T L .5 Q E 'U o m C N C 00 N !n cel .. C W 0 Q k Cg O° C U5 ‘. N P LG z C on O o. o 0 O 0 C U O o U ve 3 C. y V 3 na E o u 74- .- e o N U O O 0 C i° .. g d U U U F ""aCo O 0 y O Y V Y c.2 .. N C �0 S f 0 v a) o y `v o 'K N O E u a o - n ,0 y o `. a 2 0 a C .0 co 3 ,L o a u U 00 - O O N Ca O F a O Form APCD-201.Conlinental.Hahn.1-4H.Ajax.RICE.(APEN) N O N m W L c w I O z z O E t w�' H ZE a8 a M U C 7 a reN N 0 ca Q1 w G a� Cl)I 0 a w re LU z O z (7 co c.) Permit Number: Continental Resources, Inc. ai E to z co Q 0 U a) O U a. N Hahn 1-4H Ajax Engine Plant Location: Todd Senescall Person to Contact: todd.senescall@clr.com E-mail Address: Controlled Actual Emissions (Ibs/year) Uncontrolled Actual Emissions (lbs/year) O Emission Factor Source N a_ Q Emission Factor (Include Units) 2.48E-03 lb/mmbtu Control Equipment / Reduction (%) Reporting BIN O Chemical Abstract Service Chemical Name (CAS) Number Methanol 167561 Calendar Year for which Actual Data Applies: M I O N 0 CO U t O O_ a) cC L a U) ."E a) a- v/ To C a) C O C w c O_ co a) C a) a) O to D Z N 5 za C 0 CO Cl) CO cO a >+ Q Q Y! O N O Co C) - J C O a) CL O a) I- C d a) N co a) a co Co a O. CD co O N p 'I-. O O N < a� >.E rzi U O) N a)O J c o o � C d P O • ce • o z u. Air Pollutant Emission Notice (APEN) — and — Application for Construction Permit OIL AND GAS EXPLORATION AND PRODUCTION CONDENSATE STORAGE TANK BATTERY REG' D o8.t3.Zo'3 Current Status (Check all that apply) AIRS ID #': 123/9749/001 Reason for APEN Submittal (Check all that only° to existing sources for coverage under request for individual for or Modification permit amendment' apply) general permit no. GPOI permits: ■ APEN update ® New or previously unreported battery grandfathered battery' minor facility in the 8 -hr Ozone Control Area' under general permit no. GPOI under individual permit: 1ZWb 135 2 • Modification • Previously • Registration • Synthetic & cancellation �� ....: Located 2 Application of an individual permit ■- , Registered • Administrative ❑i-; Permitted ❑ Other: For. ndividual permit applications, check if you wants: 0 A copy of the preliminary analysis conducted by the Division of the permit prior to issuance .1 To review a draft Company Names: Mailing Address1s: City: Contact Name: Continental Resources, Inc. OGCC Operator #: 10347 PO Box 1389 todd.senescall@c1r.co Glendive State: MT Zip: 59330 E-mail: m Todd Senescall Phone: (406) 941-2529 Fax: (701) 674-6704 Tank Battery Name': Location12 (QQ l Calendar year for Control Description's: Condensate Throughput" Other equipment Comments: Sec. Twp. which at facility'2: These requested.Throughput Perrin I -10H Number of tanks: capacity [bbl]: 2011 3 Range.): Sec 10, T7N, R63W County: Weld Total tank 1,200 (400 ea) "Actual" data applies": Cimarron Smokeless Year(s) tank(s) were placed in service°: Control Efficiency's: Combustor 95% [bbl/year] 'Requested's: Actual2s: smokeless combustor, 4860 Maximum for PTE calculation1s: While Controls Operational21 water tank flare, heater treater, separator, pmduccd are crude oil tanks and the API Gravity is <40, therefore, the tanks don't qualify for GP coverage. Individual permit is is based on the peak day for the last 90-dav period as the production is in a declining trend. Estimated emissions at ® Check if the Division t2 ° VOC [tons/year] NOx [tons/year] CO [tons/year] Benzene [lbs/year] n -Hexane [Ibs/year] throughputs listed above. is to calculate emissions. Emission Factor fib/bbl] 2.01 Use N/A for requested throughput / emission Check if site -specific Requested Uncontrolled zs 4.881 values unless emission factors provided Emissions's Controlled 2' 0.1 requesting an individual to calculate Actual Emissions'° Uncontrolled 2e permit emissions's. Controlled n ■ Battery 's PTE's .002 9 .01 54 3 Wells serviced by this tank or tank battery's API #: 0512334205 Name: Perrin 1.10H Well Well Well Well Well Well Well 0 Newly Reported API #: Name: ■ Newly Reported API #: Name: ■ Newly Reported API #: Name: ■ Newly Reported API #: Name • Newly Reported API #: Name: • Newly Reported API #: Name: ■ Newly Reported The signature my knowledge in ful compliance below indicates and belief. ith AV that I have knowledge of the facts herein set forth and that the same are true, accurate, and complete to the best of If this is a registration for coverage under general permit GPOI, I further certify that this source is and will be operated each pondition of general permit GPOI. 14( r» O9/v&'zv13 Signa e of L .i Stacy Aguirre gaily Authorized V Person (not a vendor or consultant) Date / Northern Region Environmental Supervisor Type or Print Name of Person Signing Above Official Title Submit this form, along with $152.90 for each Colorado Department of Public Health and Environment For information call: filing of up to 5 tank battery APENS. Include Air Pollution Control Division, APCD-SS-B1 (303) 692-3150 $250 General Permit fee for each new GP 4300 Cherry Creek Drive South - gen CO N Ennhat ADnn JAC Page I of 3 Continental.Perrin.l-10H.FormAPCD-205.E&PCrudeOilTankAPEN L0Z-tIDdV WHOA 00 a 0 Nadtlaue.LialepopaonpoldL0Z-O3db'ottod'H0I- l'uwadieluaunuop no. 51 a 0 0. B C ,To »5 0 L4 L4 `0 O C vaonco X 0 3 n. o h u 0 $ o a .$ N C F.N o ry 0 6 n 5 o a 5 5 3 0 0. n p 9 9 m jai. o g 6 T n — 0 ro 3 3 4 W m a n o` c a '• v u n 3 N t 9 n o R g < a 0. o a 0. 0 9 0 0 a o _ m S 2. O. a a n N n n 0. O � a o C O 0 a 0 ♦♦♦ 0 3 y n n n P P aa„ » » O g CO g a 9 n1 p q o W 3 0 a S yea a 3 a a c o o 8 n. C g a -o a 2 0 0 0 71 a R 0 ce G 0 cr n Section 04 — Tank Battery Information) 0. a 0 a 0 a pw a 2. 4 a �a ~n ty>an„ �r�3 ' t d < one°''A b-' ro ao < ... —o c T nd'w ��� 0 ^.o e ,nw.. 'n [D s a a a 3 v n o oo' = H ». Pa' n4 r° 50.03:.., 'd a m 0a a° n Oil W O a a o. M y c. O 2 s ' o = n ° p z m 3 P<� a _n ? O q n 3 3 a 5 O. l 9 d a a °. Ra a4 CD °. 'c na y. o cm 0 4- b e GO el CD < on — '',' R G er n u n C O. O a H n a n Cis0 n a m o e a' x ea Jea.3 ec n0:1 4 7.m a o n n (n c n gi b Re In -.— w3.g m. le "4 z O n DO _ pp 9 •w e N a. J S -r.:' .. o 0 0 1/40 a m W C < q 0 0 %i- ro p - - a -o a'5 < as w ww e n kg n ::. co nt'1 0 0 0 0 S' 4y a N °m.w-,.w.wc 3 w Ny b na,y C� o�e`�°0. °. not�1 ng4 'o CDJ N N •1 2 R a0 zee 0 w W''w mo n a g 3 - N 1 7:" N 9 a 3. u0000 n e 3 vg o •` 0 3 9 ' o ' n o e/sn'oa'alel n 'd T 0 o c p 3 < o, g o o n, c s n N n • m Z m 0. n. a a < 8'o nsto O w a ry y w 3 e. N Pre 1 H 0 a p y a W 9 O a o a y m P. tro Pa C 0 0 ca h 0 ..•o - o pa H 9 a 0 n w C O n nwea .nCD A . .-DW CO 0 04 Le b w i, n 00 y m n m — o a a _' e re M 0. 0 0. 0 IS ® ❑ ❑®9 0 a' ":,CD a ni. e o m ❑ ® El 0 0 0 0 O a C % W O P 0 0 C ro m 0 0 aa e Q » a n a00 a a J CO 0 N N N 0 Section 03 — General Information o r o e y :ngmnty zed O J ON aa :JagmnN auogd b rm N v yIQ •aAlpualO :ssaippy 8ulliUN 68EI xufl Od N [n ro m n 0 a 0 Um W O NO :aunty Auedmoj Continental Resources, Inc. Nz n D 0 000 n n a a H ❑ ❑ ❑ El ❑ ❑ n� r: -o <7 b a o 2 v, a =. a a a » n 'a 0 ya b e o to 2 z o a 0 a S n a P'. R C w o- n M W N P a e 0 a a a g g • m . to, 9 _. p 'O 3 a $ o to 2 C 1< 'W to G a a 0 ry2 r yM rT C C 0 O O N g. a Change process or equipment a a C C wto 0 Q O Co . 22 a O ,0 n a 3 e ao 0 a a. q ea CP S 9 CD o CD Z p, 0 3 S S H e x e Q n te a n n v 0 m rim go r, co ;)d W Section 01 — Administrative Information ail — Z0 uoltaaS uested Action (Check applicable request boxes) 9ro tTiz C O Q ro N r mry�J W n'i H cn N °z .3z os� 2. n 0 m a l' n ro tr o a s y 3 v 1 _ m d s b o: ao2. .� 12 m m n r or E C a. It 0 0FP a n „75. a O » a ca 0 Rtri g A 3. w s c i ro ACia C 0 0 L0Z-UDdV 11111O3 Continental. Perrin. l -I 0H.FormAPCD-207.Produced W aterTanlcAPEN r 0- o o E " ^b w ) P»` N r o o y o O ET o Uo N g : To ,ti n a • CV 2 o 2 0oO o - U S N• ns •Aua no' m • Please use the APCD Non -Criteria Reportable Air Pollutant Addendum form to report pollutants not listed above. rC g a Ethylbenzene Xylene o C- C N n N m n I Co I < 0 n 0 k Pollutant Identify in Section 07 b 3 Control Device Description n 0 o. Control Efficiency (% Reduction) o N 0 0 J p N Uncontrolled Basis Emission Factor P P P Q P P C 5. Uncontrolled (Tons/Year) Actual Calendar Year Emissions" o 0 y q ao. =O W t5 1 Q r d: Uncontrolled (Tons/Year) Requested Permitted Emissions b � O 8 A °4 O • / Controlled (Tons/Year) CDPHE EF n 0 .b tri -TI Estimation Method or Emission Factor IS Source • %% C7 O C n • o O a+ O J M O cn o n w n F O CD 0 • n• r r y n o O • r • v "D r 5 y o • r n w 0 o n w r (11 0 P • c li 7 w C ao. O S CD yCr C. II b '-. O C N N O O R 065666ZtOf- 0 N A O Section 05 — Stack Information (Combustion stacks must be listed here) Section 06 —Stack (Source, if no combustion) Location (Datum & either Lat/Long or UTM) Emission Source AIRS ID: N W tO A 0 c AIR POLLUTANT EMISSION NOTICE (APEN) & Application for Construction Permit — Produced Water Tank Battery 00Z-IIIDdV 11111O1 Continental.Peron.1-10H.ForrnAPCD-200.GeneralAPEN.SeparatorFlare ® ❑ Check box to request copy Adoo wanhaa of xoq lamp 7. O ulssaaoJd — q0 MOMS wantaednuuW C C ment Information & Material Use he.state.co.us/antss/ssnc 3 e o 'a o e c" n r n eft 3 n s xr =a5 A J" n Ca 01 y .' t C = C t0 S SS m P z iF r.' 000 4. 3 9 o . _o �; a 0 0c www' o $! �• 0 0 0 0 30 n s mO. cn Op� DD C b b b w A J N NN App to w w w n n z N � A g•yv n O o0 O 3 0 - O N o A General description of equipment and purpose: y S 4 m 0 O to A A O. 0 O O e to 0 co O. ua O O. n O _ m O n m O O C e m m m v a 0 x • O = C O O C En o O �+ • O n b 0 0. . • O• O CP N A N NI O • A J P. N N DC. N 0 Section 03 — General Information ,LW `aAlpuaIO Mailing Address: PO Box 1389 N .y n N Ca 0 0 o Cr R y CO C ' N F 2 0 6 r w ❑ ❑ ❑ ❑ ❑ ❑ f l DO C a a a A O R .y a P y_t+1 OO u a z 3 O n 9 m 4y 0 m y y 0 0 tTI O O za s g -< g E < r O R P A A C P n o a h x o o n y o y F a • 3 T H - N. ems • s' O O v o uest to limit HAPs with a Federally enforceable limit on PTE mum iluuad a2uag3 C A ta g N ti H o y A M c O 4 x 0 G. ❑ ❑ n a A to 0 es f O 9 O w A dcgslauAmo Jo impunity amen Aundwoa o5ung3 Request PORTABLE source permit :surely Auedwoj Continental Resources, Inc. Request for NEW permit or newly reported emission source Section 01 — Administrative Information aII — ZO uogaaS uested Action (check applicable request boxes) a a O F 3 a. FP 6 tzl E_ g O o C a o g. g O.� m m z ta N r A S H C O C z n O ft rEl• n `6 ( ro 6 mg a •a � b N m O 0 , O I PO w O U' w 00 N z 0 N 0 r CD CIO c 0 N CL CD 0 0 3 w m b b z �0 H d 2. N rn CD wD n C rt as uaayluo,V O 0 CD C ontained herein and information submitted with this application is complete, true and correct. O ^ C 0 tl 3 a y g m R `^n nF x 0 g. a 6 0 .T Q X 3 0 O F d0 a 6 DED- 3 C O S o C R 2 Ii O n o F, ta 03 0 0 Please use the APCD Non -Criteria Reportable Air Pollutant Addendum form to report pollutants not listed above. CO 0x O ”e"e 3 TSP Pollutant DT B Control Device Description A 1/49 En a Overall Collection Efficiency O v, e Control Efficiency (% Reduction) w -a a it- Uncontrolled Basis Emission Factor -a b i.+ a Ib/mmscf Ib/m mscf Fr a Units Uncontrolled (Tons/Year) Actual Calendar Year Emissions Controlled (Tons/Year) N a J OE •-, Oa Uncontrolled (Tons/Year) Requested Permitted Emissions" 3.4 Controlled (Tons/Year) L APCD I A Estimation Method or Emission Factor Source N N C m 9 S N 6 0 O 0 O O 0 m O F. 6 r a 0 j 3 0 m N 0 e ea 0 J cn a O u 3 0 0 a O a rti 0 u O 0 a 00a 0 3 M o_ m m C ro CD R 0 0 C 2-0 a ^ 0 4. C ti 4. y a cti o. G m N O' t n Ca 0 m 1,4 C 00 at 'O O n 0 00 C a C a w C Company equipment Identification No.: :amniontnueinz O Section 06 —Combustion E C wnsuo3 land 1st luaw uogewiglul uoll Exhaust Opening Shape & Size (check one): Direction of outlet (check one): a LV a n -n5 a +1 F w 3m O 3,2 s^ 2 ^'NC O n 06S666VP0I- 0 a C n ao N 3 N 0 Co N ID O 5 0 O 0 0 w Ca v a a a a a a 0 0 a 5 O a 0 O a C a FD - La N 'd O a w :iagwnisi ltw.tad Emission Source AIRS ID: O Form Revision Date: December 4, 2006 (n N E c ACO ` C D E a V C LI CD " CD a O Northern Region Env. Supervisor r. CD CO CD O NN C1 O cn c -O "O v 1141. 0,1 Reporting Scenario (1, 2 or 3): 2 Calendar Year for which Actual Data Applies: 1330207 a 41. aao CO CA y ,p► N II Chemical Reporting Abstract Service Chemical Name BIN (CAS) Number auexaH-u saualAX Ethylbenzene Toluene Benzene C) C) n > 95% 95% 95% co 0 95% Control Equipment / Reduction (%) .1304 lb/mmscf 318.1225 lb/mmscf .3911 Ib/mmscf CT 3 co co 3 co (D rn o 24.7718 Ib/mmscf Emission Factor (Include Units) O O 13 O 13 0 0 Emission Factor Source tco a W coO O Uncontrolled Actual Emissions (Ibs/year) N fV --, o W CO Controlled Actual Emissions (lbs/year) :ssaippy Hew -3 woo"j to @ l l eosa u es . p pol :toetuo3 o4 uosJed lleosauaS ppol :uoReoo-I weld -0 CD O I U) CD 1O CU m 0 m SD CD O so Cl, DJ CD 0 C CD Q N -C C) O O. CD :aweN Auedwoo .oul `sa0Jnosaa Iefueui4uo0 :JagwnN pwJad CN G m w (n N (See reverse side for guidance on completing this form) WfON30aV 33IION NOISSIW31NV1[111Od 2114 318V12IOd38 Vl ailH3-NON FOZ-QadV IN 1O3 V O7 ro CD 0 N Form APCD-201.Continental.Perrin.l-l0H.Ajax.RICE.(APEN) What is the maximum number of hours this engine is used for emergency back—up power? Os 0 0 0 Sco n O III Q. R gn 0 t 0 ` 0 0 0 c 0 cc n E n n n OH n .o O n En NJ re ❑ ❑ IS] El 0 0 Engine Brake Specific Fuel Consumption @ 100% Load: 00 O O O A uogauny auifi g ❑ ❑ n-0 aa O n. 0 n 0 0 y 0 ❑ ❑ ❑❑ a 00 0 a ro O 00 re V) v n o a 0 ON CO N r 0 u3 — 60 uoliaas uoutnua Jul au! w 0 -°0 o. sn apc o a 0 n Q. o d9' g 3 z = YYa = 0� 3 0 a ES Co 0 H z o P: 0 g a n = n ; m I. _. a 00 00 a 0 C t O = 0 y 0. 0 n t 0 e. A W o . b g 9 A. 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CT a 3 �7 n w w a oco 0 n- o a a . 3 0 s a H n • et- 'G an o 0 C a o a Y a cr 0 C = t 0 y Q' n ti< a •o' g o O n a i! O e. n O t _ N n o < Eli0. O j O o .. < a- m 0 re 4 0 H0 o R tf 1/40 W 0 0 g 3 y R Le g HOPI Mind Continental Resources, Inc. W ❑❑® Section 01 — Administrative Information eg — to uogaas uested Action (check applicable request boxes) :GI Iuamdinbg duliau3 :Jagmnll;unkind 14.3 m w N N [Leave blank unless APCD has already assigned a permit # & AIRS ID) Internal Combustion En ro O N 0 N Form APCD-201.Continental.Perrin.l-101-1.Ajax.RICE.(APEN) to n O O O W yam 0 3 `n 00 -- Co m 5. (cod n a. N CD ! o a 0 N 0 M CD 0• a 0 0 co V 5' a Ct Co Co C Co 0 w Co Co Co n O Co Co Cn C w 5- n 0 a•o Y Co Co C w n O Co Fi o O O. C f w < a 'y c O p m P R 10. ° • O Iti. 0 3 S '0 0 ^ w n 0 o 0 0. N ^. 0 • 5 O 'd m c N ? 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O a -o co CD N 41 CC] G CD E c CO CA O egally Authorized to Supply Data Z rn CD 3 CD CO. 0 3 CD 41 0 CD a O :(£ Z �) oueua3S 6ulpodelj IV Calendar Year for which Actual Data Applies: 67561 Chemical Abstract Service Chemical Name (CAS) Number Methanol C) Reporting BIN Control Equipment / Reduction (%) 2.48E-03 lb/mmbtu Emission Factor (Include Units) N Emission Factor Source 0 Uncontrolled Actual Emissions (lbs/year) Controlled Actual Emissions (lbs/year) :ssaJppy Hew -3 woo•alo@Ileosauas•ppot :toetuo3 of uosJad fleoSeu0S ppol C) O • 3 o s▪ u v o m 3 CD aui6u3 xefy HOL-I. uUJed plats :kunoo N C) O CD Continental Resources, Inc. :aagwnN mimed Z5£ L3MZ L :JegwnN 01 S211H 900-6t1L6-£Z 0 z 1 -I rn rn 0 � > (Dto <r rn N (o. a CD XI O� 2. O C. °'r CDC o� 7 OO a 3 z co m O CD c1) VI _" O z z O O m v O m z v c
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