HomeMy WebLinkAbout20210477.tiffPub( :c Rev;e0
02/2.4./21
COLORADO
Department of Public
Health Er Environment
Weld County - Clerk to the Board
1150 O St
PO Box 758
Greeley, CO 80632
February 8, 2021
Dear Sir or Madam:
RECEIVED
FEB t 6 2021
WELD COUNTY
COMMISSIONERS
On February 9, 2021, the Air Pollution Control Division will begin a 30 -day public notice period for
Bonanza Creek Energy Operating Company, LLC - North Platte Section 34 Production Facility (COGCC
#418320). 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 beginning of the public notice period. Please send any comment regarding this public notice to
the address below.
Colorado Dept. of Public Health Et Environment
APCD-SS-B1
4300 Cherry Creek Drive South
Denver, Colorado 80246-1530
Attention: Public Notice Coordinator
4300 Cherry Creek Drive S., Denver, CO 80246-1530 P 303-692-2000 www.colorado.gov/cdphe
Jared Polls, Governor I Jill Hunsaker Ryan, MPH, Executive Director
CC: PL-CTP) N4-CDS/TO/ PO(.aM/ER./CH/CK),
oGCsM)
02./Virai
2021-0477
Air Pollution Control Division
Notice of a Proposed Project or Activity Warranting Public
Comment
Website Title: Bonanza Creek Energy Operating Company, LLC - North Platte Section 34 Production Facility
(COGCC #418320) - Weld County
Notice Period Begins: February 9, 2021
Notice is hereby given that an application for a proposed project or activity has been submitted to the
Colorado Air Pollution Control Division for the following source of air pollution:
Applicant: Bonanza Creek Energy Operating Company, LLC
Facility: North Platte Section 34 Production Facility (COGCC #418320)
Exploration Et Production Well Pad
SESE Section 27, T5N R63W
Weld County
The proposed project or activity is as follows: This source is requesting to re -permit the produced water
tanks at this facility on the individual permit. Additionally, this permit will be updated to remove the
fugitive leaks, and emergency flare, which have been since cancelled. This facility is synthetic minor for
VOC and n -hexane.
The Division has determined that this permitting action is subject to public comment per Colorado
Regulation No. 3, Part B, Section III.C due to the following reason(s):
• the source is requesting a federally enforceable limit on the potential to emit in order to avoid other
requirements
The Division has made a preliminary determination of approval of the application.
A copy of the application, the Division's analysis, and a draft of Construction Permit 13WE1363 have been
filed with the Weld County Clerk's office. A copy of the draft permit and the Division's analysis are
available on the Division's website at https://www.colorado.gov/pacific/cdphe/air-permit-public-notices
The Division hereby solicits submission of public comment from any interested person concerning the ability
of the proposed project or activity to comply with the applicable standards and regulations of the
Commission. The Division will receive and consider written public comments for thirty calendar days after
the date of this Notice. Comments may be submitted using the following options:
• Use the web form at https://www.colorado.gov/pacific/cdphe/air-permit-public-notices. This page
also includes guidance for public participation
• Send an email to cdphe.commentsapcd@state.co.us
• Send comments to our mailing address:
Lauraleigh Lakocy
Colorado Department of Public Health and Environment
4300 Cherry Creek Drive South, APCD-SS-B1
Denver, Colorado 80246-1530
COLORADO
Department of Public
Health 6 Environment
COLORADO
Air Pollution Control Division
Department of Public Health & Environment
Dedicated to protecting and improving the health and environment of the people of Colorado
CONSTRUCTION PERMIT
Permit number: 13WE1363
Date issued:
Issued to:
Facility Name:
Plant AIRS ID:
Physical Location:
County:
Description:
Issuance: 3
Bonanza Creek Energy Operating Company
LLC
North Platte Section 34 Production Facility (COGCC #418320)
123/9394
SESE SEC 27 T5N R63W
Weld County
Well Production Facility
Equipment or activity subject to this permit:
Facility
Equipment
ID
AIRS
Point
Equipment Description
Emissions Control
Description
PW Tanks
008
Two (2) 300 barrel fixed roof storage
vessels used to store produced water
Enclosed Combustion
Devices
TL
009
Truck Condensate Loadout
No Control
P-1 a P-2
011
Two 600 scf/hr pneumatic pumps used for
water transfer It heat trace
Enclosed Combustion
Devices
Sep -1 It
Sep -2
013
Two separators
Enclosed Combustion
Devices
Point 011: This pump may be replaced with another pump in accordance with the provisions of the
Alternate Operating Scenario (AOS) in this permit.
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
the specific general terms and conditions included in this document and the following specific terms
and conditions.
Page 1 of 12
COLORADO
Air Pollution Control Division
Department of Public Health b Environment
Dedicated to protecting and improving the health and environment of the people of Colorado
REQUIREMENTS TO SELF -CERTIFY FOR FINAL AUTHORIZATION
1. This construction permit represents final permit approval and authority to operate this
emissions source. Therefore, it is not necessary to self -certify. (Regulation Number 3, Part B,
Section III.G.5.)
G . 5. )
EMISSION LIMITATIONS AND RECORDS
2. Emissions of air pollutants must not exceed the following limitations. (Regulation Number 3,
Part B, Section II.A.4.)
Annual Limits:
Facility
Equipment ID
AIRS
Point
Tons per Year
Emission
Type
PM2.5
NO,
VOC
CO
PW Tanks
008
---
---
0.5
---
Point
TL
009
---
14.4
- -
Point
P1 a P-2
011
-
0.5
4.0
2.6
Point
Sep -1 Et Sep -2
013
---
0.4
7.2
2.1
Point
Note: See "Notes to Permit Holder" for information on emission factors and methods used to calculate limits.
Facility -wide emissions of each individual hazardous air pollutant must not exceed 8.0 tons
per year.
Facility -wide emissions of total hazardous air pollutants must not exceed 20.0 tons per year.
The facility -wide emissions limitation for hazardous air pollutants must apply to all permitted
emission units at this facility.
Compliance with the annual limits, for both criteria and hazardous air pollutants, must 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 must
calculate actual emissions each month and keep a compliance record on site or at a local
field office with site responsibility for Division review.
3. The owner or operator must use the emission factors found in "Notes to Permit" to calculate
emissions and show compliance with the limits. The owner or operator must submit an Air
Pollutant Emission Notice (APEN) and receive a modified permit prior to the use of any other
method of calculating emissions.
4. The emission points in the table below must be operated and maintained with the emissions
control equipment as listed in order to reduce emissions to less than or equal to the limits
established in this permit. (Regulation Number 3, Part B, Section III.E.)
Page 2 of 12
COLORADO
Air Pollution Control Division
Department of Public Health & Environment
Dedicated to protecting and improving the health and environment of the people of Colorado
Facility
Equipment
ID
AIRS
Point
Control Device
Pollutants
Controlled
PW Tanks
008
Enclosed Combustion Devices
VOC and HAPs
P-1 Et P-2
011
Enclosed Combustion Devices
VOC and HAPs
Sep -1 Et Sep-
2
013
Enclosed Combustion Devices
VOC and HAPs
PROCESS LIMITATIONS AND RECORDS
5. This source must be limited to the following maximum processing rates as listed below.
Monthly records of the actual processing rates must be maintained by the owner or operator
and made available to the Division for inspection upon request. (Regulation Number 3, Part B,
II.A.4.)
Process Limits
Facility
Equipment ID
AIRS
Point
Process Parameter
Annual Limit
PW Tanks
008
Produced Water
Throughput
78,840 barrels
TL
009
Oil Loaded
144,540 bbl
P-1 Et P-2
011
Natural Gas
10.5 MMscf
Sep -1 a Sep -2
013
Gas vented to enclosed
combustion devices from
separators
12.1 MMscf
The owner or operator must monitor monthly process rates based on the calendar month.
Compliance with the annual throughput limits must 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 must calculate throughput each month and
keep a compliance record on site or at a local field office with site responsibility, for Division
review.
6. Point 013: The owner or operator must continuously monitor and record the volumetric flow
rate of natural gas vented from the separator(s) using the flow meter. The flow meter must be
calibrated and maintained per the manufacturer's specifications and schedule. The owner or
operator must use monthly throughput records to demonstrate compliance with the process
limits contained in this permit and to calculate emissions as described in this permit.
STATE AND FEDERAL REGULATORY REQUIREMENTS
7. The permit number and ten digit AIRS ID number assigned by the Division (e.g. 123/4567/001)
must be marked on the subject equipment for ease of identification. (Regulation Number 3,
Part B, Section I I I. E.) (State only enforceable)
Page 3 of 12
,/j
COLORADO
Air Pollution Control Division
Department of Public Health b Environment
Dedicated to protecting and improving the health and environment of the people of Colorado
8. This source is subject to the odor requirements of Regulation Number 2. (State only
enforceable)
9. Point 008: This source is subject to Regulation Number 7, Part D, Section I. The operator
must comply with all applicable requirements of Section I and, specifically, must:
• Comply with the recordkeeping, monitoring, reporting and emission control
requirements for storage tanks; and
• Ensure that the combustion device controlling emissions from this storage tank 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 combustion device, or by
other means approved by the Division, determine whether it is operating properly.
(Regulation Number 7, Part D, Section I.C.) (State only enforceable)
10. Point 008: The combustion device covered by this permit is subject to Regulation Number 7,
Part D, Section 11.8.2. General Provisions (State only enforceable). If a flare or other
combustion device is used to control emissions of volatile organic compounds to comply with
Section II, it must be enclosed; have no visible emissions during normal operations, as defined
under Regulation Number 7, Part D, Section II.A.23; and be designed so that an observer can,
by means of visual observation from the outsideof the enclosed flare or combustion device,
or by other convenient means approved by the Division, determine whether it is operating
properly. This flare must be equipped with an operational auto -igniter according to the
schedule in Regulation Number 7, Part D, Section Il.B.2.d.
11. Point 008: The storage tank covered by this permit is subject to the emission control
requirements in Regulation Number 7, Part D., Section lI.C.1. The owner or operator must
install and operate air pollution` control equipment that achieves an average hydrocarbon
control efficiency of 95%. If a combustion device is used, it must have a design destruction
efficiency of at least 98% for hydrocarbons except where the combustion device has been
authorized by permit prior to March 1, 2020. The source must follow the inspection
requirements of Regulation Number 7, Part D, Section II.C.1.d. and maintain records of the
inspections for a period of two years, made available to the Division upon request. This
control requirement must be met within 90 days of the date that the storage tank commences
operation.
12. Point 008: The storage tanks covered by this permit are subject to the venting and Storage
Tank Emission Management System ("STEM") requirements of Regulation Number 7, Part D,
Section II.C.2.
13. Point 009: This source is located in an ozone non -attainment or attainment -maintenance area
and is subject to the Reasonably Available Control Technology (RACT) requirements of
Regulation Number 3, Part B, III.D.2.a. Condensate loading to truck tanks shall be conducted
by submerged fill. (Reference: Regulation 3, Part B, III.E)
14. Point 009: The owner or operator shall follow loading procedures that minimize the leakage of
VOCs to the atmosphere including, but not limited to (Reference: Regulation 3, Part B, III.E):
a. Hoses, couplings, and valves shall be maintained to prevent dripping, leaking, or other
liquid or vapor loss during loading and unloading.
Page 4 of 12
COLORADO
Air Pollution Control Division
Department of Public Health 8 Environment
Dedicated to protecting and improving the health and environment of the people of Colorado
b. All compartment hatches (including thief hatches) shall be closed and latched at all
times when loading operations are not active, except for periods of maintenance,
gauging, or safety of personnel and equipment.
c. The owner or operator shall inspect loading equipment and operations on site at the
time of the inspection to ensure compliance with Condition 14 (a) and (b) above. The
inspections shall occur at least monthly. Each inspection shall be documented in a log
available to the Division on request.
15. Point 009: All hydrocarbon liquid loading operations, regardless of size, shall be designed,
operated and maintained so as to minimize leakage of volatile organic compounds to the
atmosphere to the maximum extent practicable.
16. On or before June 30th, 2021 (and on June 30th each year thereafter), the owner or operator
of oil and natural gas operations and equipment at or upstream of a natural gas processing
plant in Colorado must submit a single annual report that includes actual emissions and
specified information in the Division -approved report format. The information included in the
annual report must be in accordance with the general reporting requirements of Regulation
Number 7, Part D, Section V.B. Beginning July 1 2020, and each calendar year thereafter,
owners or operators must maintain the information according to Regulation Number 7, Part D,
Section V.C. for inclusion in the annual report. (Regulation Number 7, Part D, Section V)
OPERATING Et MAINTENANCE REQUIREMENTS
17. Upon startup of these points, the owner or operator must follow the most recent operating
and maintenance (oak) 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 the OaM plan are subject to Division approval prior to implementation. (Regulation
Number 3, Part B, Section III.G.7.)
COMPLIANCE TESTING AND SAMPLING
Initial Testing Requirements
18. This source is not required to conduct initial testing, unless otherwise directed by the Division
or other state or federal requirement.
Periodic Testing Requirements
19. This source is not required to conduct periodic testing, unless otherwise directed by the
Division or other state or federal requirement.
ALTERNATE OPERATING SCENARIOS
20. Point 011: This pump may be replaced with a like -kind pump in accordance with the
requirements of Regulation 3, Part A, Section IV.A and without applying for a revision to this
permit or obtaining a new construction permit. A like -kind replacement pump shall be the
same make, model and capacity as authorized in this permit.
21. Point 011: The owner or operator shall maintain a log on -site or at a local field office to
contemporaneously record the start and stop dates of any pump replacement, the
manufacturer, model number, serial number and capacity of the replacement pump.
Page 5 of 12
COLORADO
Air Pollution Control Division
Department of Public Health Et Environment
Dedicated to protecting and improving the health and environment of the people of Colorado
22. Point 011: All pump replacements installed and operated per the alternate operating
scenarios authorized by this permit must comply with all terms and conditions of this
construction permit.
ADDITIONAL REQUIREMENTS
23. All previous versions of this permit are cancelled upon issuance of this permit.
24. A revised Air Pollutant Emission Notice (APEN) must be filed: (Regulation Number 3, Part A,
II.C.)
• Annually by April 30th 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
For volatile organic compounds (VOC) and nitrogen oxides sources (NOx) in ozone
nonattainment areas emitting less than 100 tons of VOC or NO, per year, a change in
annual actual emissions of one (1) ton per year or more or five percent, whichever is
greater, above the level reported on the last APEN; or
For sources emitting 100 tons per year or more, a change in actual emissions of five
percent or 50 tons per year or more, whichever is less, above the level reported on
the last APEN submitted; 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.
• Whenever there is a change in the owner or operator of any facility, process, or
activity; or
• Whenever new control equipment is installed, or whenever a different type of control
equipment replaces an existing type of control equipment; or
• Whenever a permit limitation must be modified; or
• No later than 30 days before the existing APEN expires.
25. Federal regulatory program requirements (i.e. PSD, NANSR) must 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 must not exceed the Federal program threshold until a
permit is granted. (Regulation Number 3, Parts C and D).
GENERAL TERMS AND CONDITIONS
26. 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
Page 6 of 12
s �f1M
COLORADO
Air Pollution Control Division
Department of Public Health b Environment
Dedicated to protecting and improving the health and environment of the people of Colorado
Regulation Number 3, Part B, Section II.B. upon a request for transfer of ownership and the
submittal of a revised APEN and the required fee.
27. 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 Number 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.
28. This permit is issued in reliance upon the accuracy and completeness of information supplied
by the owner or operator and is conditioned upon conduct of the activity, or construction,
installationand operation of the source, in accordance with this information and with
representations made by the owner or operator or owner or operator's agents. It is valid only
for the equipment and operations or activity specifically identified on the permit.
29. 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.
30. 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 must constitute a rejection of the entire permit
and upon such occurrence, this permit must 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 owner or operator, or the Division revokes a permit, the
owner or operator of a source may request a hearing before the AQCC for review of the
Division's action.
31. 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.
32. 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:
Lauraleigh Lakocy
Permit Engineer
Page 7 of 12
COLORADO
Air Pollution Control Division
Department of Public Health b Environment
Dedicated to protecting and improving the health and environment of the people of Colorado
Permit History
Issuance
Date
Description
Issuance 1
July 19, 2013
Issued to Bonanza Creek Energy Operating
Company LLC
Issuance 2
January 22, 2015
Add points and modify flow rates and emissions
Issuance 3
This Issuance
Issued to Bonanza Creek Energy Operating
Company LLC
Reactivating point 008, which had been
previously cancelled for 2-300 bbl tanks only.
Removing points 010 and 014 which had been
cancelled.
Added notes about control efficiency for points`
011 and 013 in "Notes to Permit Holder"
Page 8 of 12
COLORADO
Air Pollution Control Division
Department of Public Health 8 Environment
Dedicated to protecting and improving the health and environment of the people of Colorado
Notes to Permit Holder at the time of this permit issuance:
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 must pay the invoice within
30 days of receipt of the invoice. Failure to pay the invoice will result in revocation of this
permit. (Regulation Number 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 owner or operator 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 complete 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 owner or operator must 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: https://www.colorado.gov/pacific/cdphe/aqcc-reps
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 #
Uncontrolled
Emissions
(lb/yr)
Controlled
Emissions
(lb/yr) _
008
Benzene
71432
552
28
n -Hexane
110543
1,735
87
009
Benzene
71432
361
361
n -Hexane
110543
2155
2155
Toluene
108883
837
837
Ethylbenzene
100414
114
114
Xylenes
1330207
700
700
011
Benzene
71432
212
11
n -Hexane
110543
2000
100
Toluene
108883
132
7
Ethylbenzene
100414
12
0
Xylenes
1330207
52
3
013
Benzene
71432
1519
76
n -Hexane
110543
9198
460
Page 9 of 12
M!M'•;
COLORADO
Air Pollution Control Division
Department of Public Health 8 Environment
Dedicated to protecting and improving the health and environment of the people of Colorado
Toluene
108883
1224
61
Ethylbenzene
100414
129
6
Xylenes
1330207
437
22
Note: All non -criteria reportable pollutants in the table above with uncontrolled emission rates above 250 pounds per year
(lb/yr) are reportable and may result in annual emission fees based on the most recent Air Pollution Emission Notice.
5) The emission levels contained in this permit are based on the following emission factors:
Point 008: Produced Water Throughput
CAS #
Pollutant
Uncontrolled
Emission Factors
lb/bbl
Controlled
Emission Factors
lb/bbl
Source
VOC
0.262
0.0131
PS Memo 14-03,
State Default
Emission Factors
71432
Benzene
0.0070
0.0004
110543
n -Hexane
0.0220
0.0011
Note: The controlled emissions factors for this point are based on a control efficiency of 95%.
Point 009:
Pollutant
Uncontrolled
Factors
lb/bbl loaded
Emission
Source
VOC
0.1997
AP -42
Benzene
0.0025
AP -42
n -Hexane
0.0149;,
AP -42
Toluene
0.0058
AP -42
Xylenes
0.0049
AP -42
The uncontrolled VOC emission factor was calculated using AP -42, Chapter 5.2, Equation 1
(version 1/95) using the following values:
L = 12.46*S*P*M/T
S = 0.6 (Submerged loading: dedicated normal service)
P (true vapor pressure) = 4.9 psia
M (vapor molecular weight) = 68 lb/lb-mot
T (temperature of liquid loaded) = 524 °R
Point 011:
Pollutant
Uncontrolled
Emission Factors
lb/MMscf vented
Source
NOx (lb/MMBtu)
0.068
AP -42
CO (lb/MMBtu)
0.37
AP -42
VOC
15056.2
Gas Analysis
Benzene
20.3
Gas Analysis
n -Hexane
190.4
Gas Analysis
Page 10 of 12
COLORADO
Air Pollution Control Division
Department of Public Health b Environment
Dedicated to protecting and improving the health and environment of the people of Colorado
Pollutant
Uncontrolled
Emission Factors
lb/MMscf vented
Source
Toluene
12.7
Gas Analysis
Xylenes
4.9
Gas Analysis
Note: The controlled emissions for this point are based on a control efficiency of 95%.
Point 013:
Pollutant
Uncontrolled
Emission Factors
lb/MMscf
Source
NOx (lb/MMBtu)
0.068
AP -42
CO (lb/MMBtu)
0.37
AP -42
VOC
47854.1
Gas Analysis
Benzene
125.5
Gas Analysis
Toluene
101.1
Gas Analysis
Ethylbenzene
10.6
Gas Analysis
Xylenes
36.1
Gas Analysis
n -hexane
760.1
Gas Analysis
Note: The controlled emissions for this point are based on a control efficiency of 95%.
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 must 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 permit fulfills the requirement to hold a valid permit reflecting the storage tank and
associated control device per the Colorado Oil and Gas Conservation Commission rule 805b(2)(A)
when applicable.
8) This facility is classified as follows:
Applicable
Requirement
Status
Operating Permit
Synthetic Minor Source of: VOC and n -hexane
PSD
True Minor Source
NANSR
Synthetic Minor Source of: VOC
9) Full text of the Title 40, Protection of Environment Electronic Code of Federal Regulations can be
found at the website listed below:
http://www.ecfr.gov/
Page 11 of 12
COLORADO
Air Pollution Control Division
Department of Public Health Et Environment
Dedicated to protecting and improving the health and environment of the people of Colorado
Part 60: Standards of Performance for New Stationary Sources
NSPS
60.1 -End
Subpart A - Subpart UUUU
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
Page 12 of 12
Colorado Air Permitting Project
PRELIMINARY ANALYSIS - PROJECT SUMMARY
Project Details
For Division Use Only
Review Engineer:
Package #:
Received Date:
Review Start Date:
SLaura leigh Lakocy
435465
8/26/2020'
11/17/2020 i
Section 01- Facility Information
Company Name:
County AIRS ID:
Plant AIRS ID:
Facility Name:
Physical
Address/Location:
County:
Type of Facility: '.Exploration & Production Well Pad
What industry segment? Oil & Natu<al Gas Prodeetlan & Processing
Is this facility located in a NAAQS non -attainment area?
If yes, for what pollutant? ozone
Bonanza Creek Energy O rating i Company, LLC
123
9344
North Plate Section -34Produdction fa. Iiity (COGCC##418320)
Weld County
Section 02 - Emissions Units In Permit Application
Yes
(NOx. &VOC)
Quadrant
Section
Township
Range
SESE
Leave Blank - For Division Use Only
AIRS Point #
(Leave blank unless APCD
has already assigned)
Emissions Source Type
Equipment Name
Emissions
Control?
Permit #
(Leave blank unless
APCD has already
assigned)
Issuance
#
Self Cert
Required?
Action
Engineering
Remarks
[308
-
Stdrage Tank n
PWT-01
Yes
13W'c1353
3-
-
Nc
Permit
Nlodification
Point was
previously
cancelled.
J09
Liquid Loading
TL
No
13WEi363
3
No
No Acton
Requested .
See note below
on new
regulatory
applicability
010
Fugitive Component Leaks
FUG
No
13WE1363
3
No -
Cancellation
Cancellation
received
7/22/2015 -
removing from
permit
014
eler(Explain)
FL-?
No
13WE1363
u
No -
Cancellation
Cancellation
received
removing from
permit
Section 03 - Description of Project
This source is requesting to re -permit the produced water tanks at this facility on the individual permit. Additionally, this permit will be updated to remove the
fugitive leaks and emergency flare, which have been since cancelled. With the GP01 limit dropping from 39 tpy VOC to 10 tpy V OC on January 27, 2020, this facility
d
was permitted under SO tpy VOC prior to this permit modification; however, the previous permit issuance did not reflect synth etie minor limits for n -hexane.
Because this request is added an emissions limit at a synthetic minor facility, I am choosing to send this permit to public n otice to be sure this permit is appropriately
noticed, as applicable. This facility is synthetic minor for VOC and n -hexane.
Source has been notified that I, the acMalthroughput of condensate loadout exceeds 5;000 bbl/year, the so rce is subject to regulation 7, Part D, Section II.C.5
5
control requirements. Because that point is not being modified, though, that requirement cannot be added to this permit issue nce. That does rict`change the
source's applicability to the regulatory requirement.
Sections 04, 05 & 06 - For Division Use Only
Section 04 - Public Comment Requirements
Is Public Comment Required?
If yes, why? Requesting Synthetic 1` or Permit
Section 05 - Ambient Air Impact Analysis Requirement
Was a quantitative modeling analysis required? No
If yes, for what pollutants?
If yes, attach a copy of Technical Services Unit modeling results summary.
Yes
Section 06 - Facility -Wide Stationary Source Classification
Is this stationary source a true minor?
Is this stationary source a synthetic minor?
If yes, indicate programs and which pollutants:
Prevention of Significant Deterioration (PSD)
Title V Operating Permits (OP)
Non -Attainment New Source Review (NANSR)
No ,
Yes
SO2 NOx CO VOC PM2.5 PM10 TSP HAPs
❑ ❑ ❑ ❑ ❑ ❑
❑ ❑ ❑ O ❑ ❑ ❑
Is this stationary source a major source? - Nn
Colorado Air Permitting Project
If yes, indicate programs and which pollutants:
Prevention of Significant Deterioration (PSD)
Title V Operating Permits (OP)
Non -Attainment New Source Review (NANSR)
SO2 NOx CO VOC PM2.5 PM10 TSP HAPs
Storage Tank(s) ±n?issions invontary
Section 01- Administrative Information
'Facility AIRS ID:
County
Plant Point
Section 02 - Equipment Description Details
Storage Tank Uquid
Detailed Emissions Unit
Description:
Emission Control Device
Description:
Requested Overall VOC & HAP Control Efficiency %:
Limited Process Parameter
Section 03 - Processing Rate Information for Emissions Estimates
Primary Emissions - Storage Tank(s)
Actual Throughput=
Requested Permit Limit Throughput =
Barrels (bbl) per year
H1301,383880183829,154910 79,1549;0 Barrels (bbl) per year
Requested Monthly Throughput= 66960 Barrels (bbl) per month
Potential to Emit (PTE) Condensate Throughput =
Secondary Emissions - Combustion Device(s)
Heat content of waste gas =
Volume of waste gas emitted per BBL of liquids
produced =
Actual heat content of waste gas routed to combustion device =
Requested heat content of waste gas routed to combustion device =
Barrels (bbl) per year
Potential to Emit (PTE) heat content of waste gas routed to combustion device=
Control Device
_533 3 MMBTU per year
424:_.0 MMBTU per year
MMBTU per year
P..4Z Ft PUsG
'Pd t Fuel Gas
Section 04- Emissions Factors & Methodologies
Will this storage tank emit flash emissions?
Pollutant
Pollutant
Pollutant
Produced Water Tank
Uncontrolled
Controlled
(lb/bbl)
(lb/bbl)
(Produced Water
Throughput)
(Produced Water
Throughput)
0.0004
0.0000
0.0000
Control Device
Uncontrolled
(Ib/MMBtu)
(waste heat
nominated)
Uncontrolled
(lb/bbl)
(Produced Water
Throughput)
0.0009
0.0000
Emission Factor Source
Emission Factor source
Pilot Light Emissions
Uncontrolled
(Ib/MMBW)
Uncontrolled
(Ib/MMscf)
(Pilot Gas
Throughput)
(Pilot Gas Heat
Combusted)
0.8800
Emission Factor source
Section 05 - Emissions Inventory
Criteria Pollutants
Potential to Emit
Uncontrolled
(tons/year)
Actual Emissions
Uncontrolled Controlled
(tons/year) (tons/year)
Requested Permit Limits
Uncontrolled Controlled
(tons/year) (tons/year)
Requested Monthly Limits
Controlled
(Ibs/month)
PM10
PM2.5
SOx
NOx
VOC
CO
0.0
OA
0.0
0.0
0.0
3.1
0.0
0.0
0.0
0.0
0.0
_._
0-0
0.0
0.0
0.0
00
0.2
0.1
0.1
0.2
0.2
78.7
10.3
8.6
04
10.3
0.5
88.0
0.8
0.7
0.7
0.8
0.8
__0..
Hazardous Air Pollutants
Potential to Emit
Uncontrolled
(Ibs/year)
Actual Emissions
Uncontrolled Controlled
(lbs/year) Ohs/year)
Requested Permit Limits
Uncontrolled Controlled
(Ibs/year) (Ibs/year)
Benzene
Toluene
Ethylbenzene
551.9
4.59.9
233.G
551.9
27.6
_._
0.0
0.0
0.0
0.0
a u
0.0
0.0
0.0
0.0
3 of
C:\Users\Ilakocy\Desktop\Remote Working Dons \Package 435465\13 W E1363.CP3
Storage Tank(s) Emissions Inventory
xyiene
n -Hexane
224 TMP
0.0
0.0
0,0
72.3
0.8
0.0
0.0
86.7
0-0
1734,5
14414
1734.5
0.0
0.0
0.0
4 of 9 CAUsers\'Macy \ Desktop \Remote Working Docs\Package 435465\13W E1363.CP3
Storage Tank(s) Emissions Inventory
Section 06 - Regulatory Summary Analysis
Regulation 3, Parts A, B
Source requires a pe nit
Regulation 7, Part D,Section LC, D, E, F
Storage tank is subje?t to Regulation 7, Part O. Section i. -F
Regulation 7, Part D,Section I.G, C
Storage Tank is not subject to Regulation 7. Section I.G
Regulation 7, Part D,Section II.B, C.1, C.3
Stoage tank i5 subject to Regulation 7, Part D, Section it 6, C.1 8. C.3
Regulation 7, Part D,Section II.C.2
Storage tank Is subject to Regulation 7, Part D, Section II.C.2
Regulation 7, Part D,Section II.C.4.a,(i)
Storage Tank is not subject to Regulation 7. Part D. Section II C.4.al
Regulation 7, Part D,Section II.C.4.a.(iil
Storage Tank is not subject to Regulation 7. Part D. Section II.C.d.alli). b.. f
Regulation 6, Part A, NSPS Subpart Kb
Storage Tank Is not subject to NSPS Kb
Regulation 6, Part A, NSPS Subpart 0000
Storage Tank is not subject to NSPS 0000
NSPS Subpart 0000a
Storage tank is not subject to NSPS 000Oa.
Regulation 8, Part E, MACE Subpart HH
Produced Water Storage tank is not subject to MACE its
(See regulatory applicability worksheet for detailed analysis)
Section 07 - Initial and Periodic Sampling and Testing Requirements
For condensate or crude oil tanks, does the company use the state default emissions factors to
estimate emissions?`.
If yes, are the uncontrolled actual or requested emissions for a crude oil tank estimated to be greater than or equal to 20 tons VOC per year OR are the
uncontrolled actual or requested emissions for a condensate storage tank estimated to be greater than or equal to 80 tpy7
If yes, the permit will contain an "Initial Compliance" testing requirement to develop a site specific emissions factor based on guidelines in PS Memo 14-03.
Does the company use a site specific emissions factor to estimate emissions?
If yes and if there are flash emissions, are the emissions factors based on a pressurized liquid sample drawn at the facility being
permitted (for produced water tanks, a pressurize liquid sample must be analyzed using flash liberation analysis)? This sample
should be considered representative which generally means site -specific and collected within one year of the application received
date. However, if the facility has not been modified (e.g., no new wells brought on-line), then it may be appropriate to use an
older site -specific sample.
If na, the permit will contain an "Initial Compliance" testing requirement to develop a site specific emissions factor based on guideline
Does the company request a control device efficiency greater than 95% far a flare or combustion device?
If yes, the permit will contain initial and periodic compliance testing in accordance with PS Memo 20-02
Section OS Technical Analysis Notes
�. lod�edwjr tanks are typically NSPS Kb�exeriijuTo riptbased:on their maximumtrue vapor pressure. For these tanks,though, the well is located on -site (or wi'
f"1i'e'"Fearm nation), so these tanks are not subject to NSPS Kb based on the information provided
Section 09 -SCC Coding and Emissions Factors (For Inventory Use Only)
AIRS Point #
GOB
Process #
01
SCC Code
Uncontrolled
Emissions
Pollutant Factor Control % Units
PM10 0.01 0 lb/1,000 gallons Produced Water throughput
PM2.5 3.01 0 lb/1,000 gallons Produced Water throughput
SOx #RE61 0 lb/1,000 gallons Produced Waterthroughput
NOx 0 10 0 lb/1,000 gallons Produced Water throughput
VOC 6X4 95 lb/1,000 gallons Produced Water throughput
CO 0.46 0 Ih/1,000 gallons Produced Waterthrough put
Benzene 017 95 lb/1,000 gallons Produced Water throughput
Toluene C.CO 95 16/1,000 gallons Produced Water throughput
Ethylbenzene G .,_ 95 lb/1,000 gallons Produced Water throughput
Xylene 062 95 lb/1,000 gallons Produced Water throughput
n -Hexane 032 95 16/1,000 gallons Produced Water throughput
224 TMP 0.00 95 lb/1,000 gallons Produced Water throughput
5 of CAUsers\Ilakocy\Desktop \Remote Working Does \Package 435465\13WEL363.CP3
Storage Tank Regulatory Analysis Worksheet
The regulatory requirements below are determined based an requested emissions.
Calarm Regulation 3 Parts A and 8-APEN and Pern a uirements
is in the Non-Attamm.=r Hsu
ATTAINMENT
1. Are uncontrolled actual embsloas from any criteria pollutants from this Individual source greater than 2 TPY (Regulation 3, Part A, Section ll.D.I.a)7
2. Produced Water Tanks have no grandfathering provisions
3. Are total facility uncontrolled VOC emissions greater than 5 TPY, NCH greater than 10 TPY or C0 emissions greater than 10TPY(Regulation 3, Part B, Section 11.0.3)7
I't' . have Indicated that saurces the Non-Attalnment Area
NON -ATTAINMENT
1. Are uncontrolled emissions from any criteria pollutants from this individual source greaerthan 1TPY(Regulation 3, Part A, Section ROAM?
2. Produced WaterTanks have no grandfathering provisions
3. Are total facility uncontrolled VOC emissions greater than 2 TPY, NOx greater than STPY or CO emissions greater than iOTPY(Regulation 3, Part%Section 11.0.2)7
'Source requires permit
Colorado Regulation 7. Part D. Section I.C-F & G
1. Is this storage tank located In the 8 -hr ozone control area or any axone non -attainment area or attainment/maintenance area (Regulation 7, Pdrt:D, Section l.A.1)7
2. IS thisstorage tank located at oil and gas operations that collect, store, or handle hydrocarbon liquids or produced water AND that are located ator upstream of a natural gas processing plant (Regulation 7, Part D, Section I.A.1)7
3. Is this storage tank located at a natural gas processing plant (Regulation 7, PartD, Section I.G)7
4. Does this storage tank contain condensate?
5. Does this storage tank exhibit "Flash" (e.g.stodng non-rtebllized liquids) emissians(Regulation 7, part D, Section l.G.2)?
6. Are uncontrolled actual emissions ofthb storage tank equal to or greater than 2 tons per year VOC (Regulation 7, Part D, Section l.D.3.a(6))?
'Storage lank is subte, Rego: :an 7.Parr0,5ectiani.C:F
Part D, Section I.C.1 —General Requirements for Air Pollution Control Equipment —Prevention of Leakage
Part D, Section I.C2—Emission Estimation Procedures
Part 0, Section I.D—Emissions Control Requirements
Part D, Section LE —Monitoring
Pan D, Section LE—Recordkeeping and Reporting
!Source Requires an APEN. Go to
Go to next question
Source Requires a permit
Source Requires an APEN. Go to
MON
Part D, Section I.G.2- Emissions Control Requirements
Part D, Section I.C14 and b —General Requiremerts for Air Pollution Control Equipment —Prevention of Leakage
Colorado Regulation 7, PartO, Section II
1. Is this storage tank located at a transmission/rtarage facility?
2. Is this storage tanks located at an oil and gas exploration and production operation, well production facility[, natural gas compressor stations or natural gas processing plane(Regulation 7, Pan 0, Section II.C)?
3. Does this storage tank have a fixed roof (Regulation 7, Part 0, Section II.A.30)7
4. Are uncontrolled actual emissions of this storage tank equal to or greater than 2 tons per year VOC (Regulation 7, Part 0, Section ll.Cl.c)7
tank Is subjina to Regulation 7, Part D, Section'', B. C.1 & C.3
Part 0, Section11.8 Provisions for Alr Pollution Control Equipment and Prevention of Emissions
Part D, Section II.C.1-Emissions Control and Monitoring Provisions
Part D, Section II.C.3 - Recordkeeping Requirements
5. Does the storage tank contain only "stabilized" liquids (Regulation 7, part D, Section ll.C.2.b)?
'Storage tank is 'object to neigurhn 77, Part O, Sedian ll.C.2
Part D,Section and Monftaring for Storage Tanks fitted with Air Pollution Control Equipment
Is the controlled rtrage tank located at a well production facility, natural gas compresorrtation, or natural gas processing plant constructed on or after May 1, 2020 or located at a facility that was modified on Drafter May 1, 20213, such
6. that an additional controlled storage vessel is constructed to receive an anticipated increase in throughput of hydrocarbon liquids or produced water (Regulation 7, Part 0, Section ll.C4.a.(d7
!Storage Tank is not subject to Reg. fat=.n 7,?art D. Section II.C.4.ain
Is the controlled storage tank located at a well production facility, natural gas compressor station, or natural gas processing plant constructed an or afterlanuary 12021 or lacated at a facility.. was modified on or after January 1,
7. 2021, such that an additional controlled storage vessel is constructed to receive an anticipated increase In throughput of hydrocarbon liquids or produced water (Regulaian 7, Part D, Section II.C.4.a (11)?
IS...Tank Isnot shic Regulation 7,ParcD,Sectionll_G3allih--f
90 CFR. Part 60. Subpart Kb, Standards of Performance far Volatile Organic Liquid Storage Vessels -
1. Is the individual storage vessel capacity greater than or equal to 75 cubic meters (m') [-472 BBts] (40 CFR 60.1106(ah?
2. Does the storage vessel meet the following exemption in 60.111b(d)(4)7
e. Does the vessel has a design capacity less than or equal to 1,589.8740 Pt10,000 BBL) used for petroleum' or condensate stored,processed, or treated prior to custody transfer' as defined in 60.1116?
3. Was this storage vessel constructed,reconstructed, or modified (see definitions 40 CFR, 60.2) after July 23,1984 (40 CFR60.110b(a))?
4. Does the tank meet the definitiono.storage vessel"' in 60.31167
5. Does the storage vessel stare a"volatile organic liquid (VOW'. defined in 60.311b?
6. Does the storage vessel meet any one of the following additional exemptions:
a. Is the storage vessel a pressure vessel designed to operate in excess of 204.9 kna P-29.7 psi]and without emissions to the atmosphere(60.210h(d)(2))7; or
b. The design capacity is greater than or equal.151 ms [`950 BBL] and stares a liquid with a maximum true vapor pressures less than 35 kPa (60.110b(b))?; or
c. The design capacity is greaterthan or equal to 75 Ma [`472 BBL] but less than 151 m' (^950 BBL) and stores a liquid with a maximum true vapor pressures less than 15.0 kPa(60.3106(b))7
Does the storage tank meet either one of the following exemptions from ontrol requirements:
a. The design capacity is greater than or equalto 151 m' ['"950 BBL] and stores a liquid with a maximum true vapor pressure greater than or equal to 3.5 kPa but less than 5.2 kpa7; or
b. The design capacity Is greater than or equal to 75 Al' (^472 BBL] but less than 151 m' (-950 BBL) and stares a liquid with a maximum true vapor pressure greater than or equal to 15.D kPa but less than 27.6 kPa?
' Storage Tank is not eubhAt to ai ≥S Kb
yns
Na
No
Yee
j':S:t?
Source Requires a permit
Cantinue - You have indicated th
Continue - You have Indicated th
Storage Tank b not subject to Re
Continue -You have indicated th
Go to the neat question - You ha
Ga to the neat question
Source is subject to parts of Reg.
ftp`.« :W iSource is subject to all provision
Storage Tank not subject to Re
Go to the next question
Storage Tank A not subject N5P5
90 CFR. Part 60. Subpart 0000/O000a, Standards of Performance for Crude Oil and Natural Gas Production,Tramm(ssian and Distribution
1. Is this storage vessel located at a facility in the onshore oil and natural gas production segment, natural gas processing segment or natural gas transmission and storagesegment of the industry?
2. Wastkis storage vessel constructed,reconstructed, or modified (see definitions 40 CFR, 60.2)between August 23, 2011 and5eptember 18,20157
3. Was this storage vessel constructed,reconstructed, or modified (see definitions 40 CFR, 60.2) after September 18, 2015?
4. Are potential VOCemissions' from the individual storage vessel greater than or equal to 6 tons per year?
5. Does this storage vessel meet the definition of"storage vessel.' per•60.5430/60.5430a7
6. Is the.storage vessel subject to and controlled In accordance with requirements for storage vessels in 40 CFR Part 60 Subpart Kb or 40 CFR Part 63 Subpart HH?
?0
[Nate: If a storage vessel is previously determined to be subject to NSPS 0000/0OO0a due to emissions above 6 tons per year VOC on the applicability dehrminatian date, it should remain subject to NSPS 00O0/OO00a per
60.5365(e)(2)/60.5365a(02) even if potential VOC emissions drop below 6 tons per year]
40 CFR, Part 63, Subpart MACT Hit Oil and Gas Production Facilities
1. Is the storage tank located at an dl and natural gas production facility that meets eitheraf the following criteria:
a. A facility that processes, upgrades or stores hydrocarbon liquids' (63.760(a)(2)); OR
b. A facility that processes, upgrades or stores natural gas prior to the point at which natural gas enters the natural gas transmission and storage source category Dr' a delivered to a final end user' (63.760(a)(3))7
2. Is the tank located at a facility that 6 major' for HAPs7
3. Does the tank meet the definition of"storage vmser°In63.7617
4. Does the tank meet the definition of"storage vessel with the potential for flash emissions' per 63.7617
5. Is the tank subject to control requirements under 40 CFR Part 60, Subpart Kb or Subpart 00007
'Produced Water Storage tanks not sobloct to MAST HIs
Subpart A, General provisions per 463.764(a) Table 2
463.766 - Emissions Control Standards
463.773 Monitoring
463.774-Recordkeeping
4.3375 -Reporting
RACT Review
PAR review Is required If Regulation 7 does not apply AND ifthe tank Is Inthe non -attainment area. lithe tank meets bath criteria, then review RACT requirements.
Disclaimer
FY.
t4 MAW
AigifiWAW
WAhK'a"9.OM
Continue -You have indicated th
Go to the question 4.
Storage Tank is not subject ASPS
Storage Tank is not subject NSPS
Continue -You have indicated th
Storage Tank Is not subject MAC
This document assists operators with determining applicability of certain requirements of the Clean Air Act, its implementing regulations, and Air Qualify Control Commission regulations. This document is not
e rule or regulation, and the analysis it contains may not apply to a particular situation based upon the individual facts and circumstances. This document does not change or substitute for any law, regulation,
r any other legally binding requirement and is net legally enforceable. In the event of any conflict between the language of this document and the language of the Clean Air Act„ its implementing regulations,
and Air Quality Control Commission regulations, the language of the statute or regulation will control. The use of non -mandatory language such as recommend,"'may," "should," and 'can," is intended to
describe APCQ interpretations and recommendations. Mandatory terminology such as'muse'and "required" are intended to describe controlling requirements under the terms of the Clean Air Act and Air
Quality Control Commission regulations, but this document does not establish legally binding requirements in and of itself.
COLORADO DEPARTMENT OF PUBLIC HEALTH AND ENVIRONMENT
AIR POLLUTION CONTROL DIVISION
FACILITY EMISSION SUMMARY
Company Name
County AIRS ID
Plant AIRS ID
Facility Name
Bonanza Creek Energy Operating Co
123
9394
North Platte Section 34 Production Facility (C
mpany, LLC (BCEOC
History File Edit Date
Ozone Status
1/30/2021
Non -Attainment
Last Modified By:
Lauraleigh Lakocy
EMISSIONS - Uncontrolled (tons per year)
EMISSIONS With Contro s (tons per year
POINT
AIRS ID
PERMIT
Description
PM10
PM2.5
H2S
SO2
NOx
VOC
Fug
VOC
CO
Total
HAPs
PM10
PM2.5
H2S
SO2
NOx
VOC
Fug
VOC
CO
Total
HAPs
REMARKS
Previous FACILITY TOTAL
0.0
0.0
0.0
0.0
44.9
466.0
0.0
50.9
13.5
0.0
0.0
0.0
0.0
5.8
66,4
0.0
15.5
3.4
From February 2019
Previous Permitted Facility total
0.0
0.0
0.0
0.0
5.8
66.4
0.0
15.5
3.4
001
GP01
Three 300 barrel condensate tanks
0.0
5.6
0.1
0.0
0.0
0.1
0.0
See Note 1 VOC Limit crouoed with point 007
002
13WE1378.CN
Loadout
0.0
0.0
'.�p1"` V` . V I. J°I°�Y
003
13WE1378.CN
Fugitives
0,0
0:0
i6�cLb c dr ��� owo�<�
004
13WE2155.CN
RICE
0.0
0.0
Notice of cancellation reCeived 12/162016
005
13WE2156.XP
RICE
0.0
0.0
006 "
GP02.CN
RICE
0.0
0.0
Notice of cancellation received 1/172017
007
GP01
Six 400 barrel condensate tanks
0.1
82.3
0.7
4.0
0.1
10.0
0.7
0.2
Updating GP01 Limit effective 01;27;2020
008
13WE1363
Two 300 barrel produced water tanks
0.2
10.3
0.7
1.1
0.2
0.5
0.7
0.1
Previously cancelled, requesting permit coverage
009
13WE1363
Condensate loadout
14.4
2.1
14.4
2.1
010
13WE1363.CN
Fugitives
0.0
..
0.0
Notice of cancellation received 7222015. Below
thresholds
011
13WE1363
Two pneumatic pumps
0.5
79.6
2.6
1.2
0.5
4.0
2.6
0.1
012
GP02.CN
RICE
0.0
0.0
Cancellation Recd 2/52015
013
13WE1363
Two separators
0.8
287.9
4.2
6.2
0.8
7.2
4.2
0.3
014
13WE1363.CN
Emergency Flan=
0.0
-
-
0.0
Notice of cancellation received 9/5/2018
015
GP02.CN
RICE
0.0
0.0
Notice of cancellation received 5/42017
016
GP02.CN
RICE
0.0
-
0.0
Notice of cancellation received 6/52018 ..
017
GP02
RICE
32.5
1.4
32.5
0.5
2.0
1.4
4.0
0.5
FACILITY TOTAL
0.0
0.0
0.0
0.0
34.1
481.5
0.0
40.8
15.1
_ 0.0
0.0
0.0
0.0
3.6
37.5
0.0
12.3
3.2
VOC: Syn Minor (NANSR and OP)
NOx: True Minor (NANSR and OP)
CO: True Minor (PSD and OP)
HAPS: Syn Minor (n -hexane)
Permitted Facility Total
0.0
0.0
0.0
0.0
0.1
102.3
0.0
0.8
6.1
0.0
0.0
0.0
0.0
0.1
24.4
0.0
0.8
2.3
Excludes units exempt from permits/APENs
(A) Change in Permitted Emissions
0.0
0.0
0.0
0.0
-5.6
-42.0
0.0
-14.7
Modeling not required based on division guidelines.
Pubcom may be required because previous
construction permit did not reflect HAP syn minor
status.
Note 1
Total VOC Facility Emissions (point and fugitive)
(D) Change in Total Permitted VOC emissions (point and fugit ve)
37.5
Facility is eligible for GP02/GP11 because < 45 tpy
Project emissions less than 25 tpy
-42.0
Previous history file indicated that this point was cancelled per cancellation notice received 5/9/2019; however, there is not a record of this cancellation in PTS or records and the source show that it is still active.
Note 2
Page 8 of 9
Printed 1/30/2021
COLORADO DEPARTMENT OF PUBLIC HEALTH AND ENVIRONMENT
AIR POLLUTION DIVISION
FACILITY EMISSION SUMMARY-HAPs
Company Name
County AIRS 1D
Plant AIRS. ID
Facility Name
Bonanza Creek Energy Operating Company, LLC (BCEOC)
123
9394
North Platte Section 34 Production Facility (COGCC #418320)
Emissions -uncontrolled (Ibs pervear
POINT 'PERMIT I Description
Formaldehyde
Acetaldehyde
Acrolein
Benzene
Toluene
Ethylbenzene
Xylenes
n -Hexane
McOH
224 TMP
H2S
TOTAL (tpy)
Previous FACILITY TOTAL
0.7
0.0
0.0
0.8
1.1
0.1
0.6
10.1
0.0
0.0
0
13.5
001
GP01
Three 300 barrel condensate tanks
3
6
O
'I
1
'2
0.0
002
13WE1376,CN
Loadout.
0.0
0.0
003
13WE1376.CN
Fugitives
004
13WE2155.CN
RICE
OD
005
13WE2156.XP
RICE
0.0
OOfi -
GP02.CN
RICE
..
0.0
007
GP01
Six 400 barrel condensate tanks
1024
6906
4.0
008
13WE1363
Two 300 barrel produced water tanks
552
1735
1.1
009
13WE1363
Condensate loadout
361
837
I'14
700
2155
2.1
010
13WE1363. CN
Fugitives
00
011
13WE1363
Two pneumatic pumps
216
936
16
62
2004
4
1.2
012 '.
GP02.CN
RICE ,...
0.0
013
13WE1363
Two separators
1514
1220
128
436
9166
f`t
6.2
014 ::
13WE1363.CN`
Emergency Flare
. , ;'.
0,0 :..
015
GP02.CN
RICE
0.0
016
GP02,CN
RICE.:.
017
GP02
RICE
981
0.5
TOTAL (tpy)
0.5
0.0
0.0
1.8
1.1
0.1
0.6
11.0
0.0
0.0
0.0
0.0
15.1
otal Reportable = all HAPs where uncontrolled emissions > de minimus values
Red. Text: uncontrolled emissions <tie minimus
Emissions with controls (Ibs pervear
POINT PERMIT Description
Formaldehyde
Acetaldehyde
Acrolein
Benzene
Toluene
Ethylhenzene
Xylenes
n -Hexane
McOH
224 TMP
H26
TOTAL (toy)
Previous FACILITY TOTAL
0.2
0.0
0.0
0.3
0.5
0.1
0.4
1.5
0:0
0
0
0
2.9
001
GP01
Three 300 barrel condensate tanks
0.0
002
13WE1376,CN
LOa(Idtlt
...
0.0
003
13WE1378..CN
Fugitives -
-
0.0
004
13WE2155:CN
RICE
_
0.0
005
13WE2156.XP
RICE
0.0
006., .
GP02,CN
RICE..'
007
GP01
Six 400 barrel condensate tanks
51
345
0.2
008
13WE1363
Two 300 barrel produced water tanks
28
87
0.1
009
13WE1363
Condensate loadout
361
837
114
700
2155
2.1
OW
t3WE1363.CN
Fugitives
0.0 -
011
13WE1363
Two pneumatic pumps
1'I
7
03
100
0.1
012
GP02.CN
RICE
0,0
013
13WE1363
Two separators
76
61
f'
22
460
0.3
014
13WE1363.CN
Emergency Flare.
p p
015
GP02.CN
RICE
0,0
016
GP02.CN
RICE l
...
00
017
GP02
RICE._
580
0.5
TOTAL (tpy)
0,5
0.0
0.0
0,3
0.5
0.1
0.4
1.6
0.0
0.0
0.0
0.0
3.2
9
13WE1363.CP3
1/30/2021
41017th Street, Suite 1400
Denver, CO 80202
(720) 440-6100 phone
(720) 305-0802 fax
Bonanzacrk corn
August 20, 2020 .
Stefanie Rucker
Colorado Department of Public Health and Environment
Air Pollution Control Division, APCD-SS-B1
4300 Cherry Creek Drive South
Denver, Colorado 80246-1530
RE: Permit Application — PWT
North Platte Section 34 Production Facility (COGCC #418320, AIRS 1D: 12319394)
Bonanza Creek Energy Operating Company, LLC
Weld County, CO
Ms. Rucker,
Bonanza Creek Energy Operating Company, LLC (BCEOC) is pleased to submit the attached APEN and
supporting documentation for the previously cancelled produced water tank battery (PWT-01, AIRS Point
TBD) at the North Platte 34 Production Facility (COGCC #418320, AIRS ID: 123/9394).
In addition to the APENs, emissions calculations, and all other required documentation, a check covering
one (1) APEN filing fees totaling $216.00 is included herein.
1f you need additional information regarding this modification application, please contact me at (303) 803-
1752 or via email at asoehner@bonanzacrk.com.
Sincerely,
SOAVe
Alisson Soehner
Environmental Engineer, Air Quality
Attachments: As stated
cc: File
CORPMITF. OFNCF
41017'^Soca Sufic 1400
Omer, CO 8020?
Office: (720) 440.6100
Form APCD-1.00
COLORADO
Department of Public
Health & Environment
Oil & Gas Industry
Construction Permit Application Completeness Checklist
Company Name:
Source Name:
Date:
Ver. November 29, 2012
Bonanza Creek Energy Operating Company, LLC (BCEOC)
North Platte Section 34 Production Facility (COGCC #418320)
August 2020
Are you requesting a facility wide permit for multiple emissions points?
yes
0
No
In order to have a complete application, the following attachments must be provided, unless stated
otherwise. If application is incomplete. it will be returned to sender and filing fees will not be refunded.
Attachment
Application Element
Applicant
APCD
A
APEN Filing Fees
Ci
❑
B
Air Pollutant Emission Notice(s) (APENs) &
Application(s) for Construction Permit(s) — APCD Form Series 200
•
MI
C
Emissions Calculations and Supporting Documentation
■
D
Company Contact Information - Form APCD-101
a
■
E
Ambient Air Impact Analysis
❑ Check here if source emits only VOC (Attachment E not required)
Ci
❑
F
Facility Emissions Inventory — Form APCD-102
❑
Check here if single emissions point source (Attachment F not required)
G
Process description, flow diagram and plot plan of emissions unit and/or
facility
❑ Check here if single emissions point source (Attachment G not required)
❑
•
H
Operating & Maintenance (O&M) Plan — APCD Form Series 300
0
■
I; Check here if true minor emissions source or application is for a general
H
permit (Attachment not required)
I
Regulatory Analysis
U _ I Check here to request APCD to complete regulatory analysis
(Attachment I not required)
O
❑
J
Colorado Oil and Gas Conservation Commission (COGCC) 805 Series Rule
Requirements— Form APCD-105
❑
•
liz� Check here if source is not subject to COGCC 805 Series requirements
J not required)
(Attachment
Send Complete Application to:
Colorado Department of Public Health & Environment
APCD-SS-Bl
4300 Cherry Creek Drive South
Denver, Colorado 80246-1530
Check box if facility is an existing Title V source: ❑ Send an additional application copy
Check box if refined modeling analysis included: n Send an additional application copy
Check box if application is for major NA NSR or PSD permit: n Send eight (8) total application copies
Page 1 of 1 FonnAPCD-100-AppCompleteChecklist-Ver.l 1-29-2012.docx
Attachment A -APEN Filing Fees
(Please find a check totaling the amount of $216.00 for Filing
Fees — one (1) APEN)
Attachment B -Air Pollutant Emission Notice and
Application for Construction Permit
APCD Form 207 -- Produced Water Tanks
Attachment C - Emissions Calculations and
Supporting Documentation
Bonanza Creek Energy Operating Company, LLC. - North Platte Section 34/P-T-34HZ Production Facility (COGCC #4?8320)
Produced Water Tank Site Specific Emission Factor Calculations
Emission Source:
Produced Water Tanks
Designed Throughput:
180
bbl/day
Designed Throughput:
65,700
bbl/yr
Requested Throughput:
78,840
bbUyr
Enclosed Flare VOC Control Efficiency:
95%
Operating Days per Year:
365 days/yr
Tank Emissions
Pollutant
Emission Factors fai
(Iblbbl)
Actual Emissions (tpy) (d)
Requested Emissions (tpy) (c)
Uncontrolled
Controlled
Uncontrolled
Controlled
NOx
0.0037
0.12
0.15
CO
0.0167
0.55
0.66
VOC
0.2620
8.61
0.43
10.33
0.52
Benzene
0.0070
0.230
0.012
0.276
0.014
n -Hexane
0.0220
0.723
0.037
0.868
0.044
Notes:
(a) Emission factors based on CDPHE emission factors for Weld County
(b) Potential to Emit (tpy) _ (Emission Factor, Ib/bbl) ` (PTE Throughput, bbl/yr) / (2,000 lb/ton)
(c) Requested Emissions (tpy) _ (Actual Emissions, tpy)' 1.2
(d) Emission factors based on CDPHE emission factors for Weld County
NOx and CO emission Factors Derived from CDPHE PS Memo 09-02 and AP -42 emission factors of 0.31 IbIMMBtu for CO and 0.068 Ib/MMBtu for NOx
Sample Calculation: 1496 (Btu/scf) x 36 (scf/bbl) / 1X106 (Btu/MMBtu) X 0.31 (lb CO/MMBtu) = 0.0167 lb/bbl CO
Attachment D - Company Contact Information
Form APCD-101
Form .A,PCD-101
COLORADO
Department of Public
Health & Environment
Company Contact Information Form
Ver. September 10, 200&
Company Name: Bonanza Creek Energy Operating Company, LLC (BCEOC)
Source Name: North Platte Section 34 Production Facility (COGCC #418320)
Permit
Contact':
Alisson Soehner
Address:
410 17th Street, Suite 1400
Street
Denver
CO
80202
City
State
Zip
Phone Number:
(303) 803-1752
Fax Number:
(720) 305-0804
E-mail:
asoehner@bonanzacrk.com
Billing contact:
(Permit Fees)3
Alisson Soehner
Address:
410 17th Street, Suite 1400
Street
Denver
CO
80202
City
State
Zip
Phone Number:
(303) 803-1752
Fax Number:
(720) 305-0804
E-mail:
asoehner@bonanzacrk.com
Compliance
Contact:
Matt Cannizzaro
Address:
410 17th Street, Suite 1400
Street
Denver
CO
80202
City
State
Zip
Phone Number:
(303) 803-1752
Fax Number:
(720) 305-0804
E-mail:
mcannizzaro@bonanzacrk.com
Billing Contact:
(Annual Fees)a
Alisson Soehner
Address:
410 17th Street, Suite 1400
Street
Denver
CO
80202
City
State
Zip
Phone Number:
(303) 803-1752
Fax Number:
(720) 305-0804
E-mail:
asoehner@bonanzacrk.com
Check how would you like to receive your permit fee invoice?
Mail: n
E-mail: []
Fax: [:1
Footnotes:
t The permit contact should be the point of contact for technical information contained in the permit application.
This may be a company representative or a consultant.
2 The compliance contact should be the point of contact for discussing inspection and compliance at the permitted
facility.
3 The billing contact (Permit fees) should be the point of contact that should receive the invoice for fees
associated with processing the permit application & issuing the permit. (Reg. 3, Part A, Section VI.B)
4 The billing contact (Annual fees) should be the point of contact that should receive the invoices issued on an
annual basis for fees associated with actual emissions reported on APENs for the facility. (Reg. 3, Part A,
Section VI.C)
Page 1 of 1 AP_Form-APCD-IOI-Company-Contact-Information (2).doc
Attachment E -Ambient Air Impact Analysis
Note: This facility will not exceed the modeling thresholds noted
within Table 1 of Colorado Modeling Guideline for Air Quality
Permits. Therefore, an ambient air quality impact analysis is not
required.
Attachment F - Facility Emissions Inventory
Form APCD-102
Form APCD-102
Company Name2 53002]173 Creek awns. Operating Compost.. LLC
Source Name: North Plane Section 34/P -T -3411Z Production Nobly 1C0GCC 0418320)
Source AIRS ID: 123-9394
Colorado Department of Public Health and Environment
Air Pollution Control Division
Facility Wide Emissions Inventory Form
Vor. April. 201.3
rntanoolltd Pottellaf O X•013171.)
Connrotled lbnntaa to Emit iPrx)
Criteria ITlel) I 11APa01u/90
Criteria(TPTI I ILtISP6Wr9
y
3110 1D
Egntlmrrnt Description
T.SP
P3.110
P1123
1302
\O.
%VC
CO IMMO
Am.!
Arno
Ill
Tel
531
Ill
04143
Meth
21+-T17P
7551
1!5110
1312_3
SO2
7
NO3
VOC
CO I 114111
Aam
Amo
WA
Td
EU
\.1
it -111m
Mah
224•TAIP
1214394402
Condom. TAIL Halm 7
-
-
-
..
3026
.. I
..
..
.-
2870
2.796
124
646
23.0.54
-
DM
Ol
0l
OA
0.5
100
2.7 I..
..
-
144
140
6
12
1.402-
51
121-9391-001
Condon. TmkUalcto 2
-
-
-
-
1302
- 1
-
-
-
2161
3311
197
7311
9.991
.-1301
00
00
0.0
0.1
ID I -
-
-
76
166
10
19
500
-
65
121-9194-T11U
PwduadWata Tack l
-
..
..
-
103
- I
-
-
-
552
0
D.
0
1,734
-
0
-
-
..
»
0.5
- I _
_
_
28
0
0
0
00
-
0
173.9394413
Low nesmreGas Mame
-
-
-
1M0
- I
-
-
-
756
610
64
216
4336
»
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-
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1234394411
Pncuewtir. Pomp l
-
-
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101
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1.002
-
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4
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1234394.011
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-
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-
39.6
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-
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-
103
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6
26
1.072
-
2
01
III
00
D2
20
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-
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52
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123-9394417
Catopillar03306TA
0.'.
02
00
12.3
14
12.5 1
960
45
42
25
9
0
3
-
49
-
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02
00
1.0
7.4
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25
9
0
3
»
49
»
I
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I
I
Plrmitlnl Swore.SMAtels1.
'WEN Only -Pamlt EsetnPt S"urm
43
32
42
OA
323
637.1
315 1
9M
45
42
9382
6,•64
402
1.709
44355
49
2319
0.1
44
OA
0.0
75
23.1
111 I 100
43
42
323
3.10
24
fl
2.715
49
122
-.
r
{
APP.\ Only Suhtad a
AP91 E.aanpt I lmlanlnaanla mo.
40
0.e
03
0.0
6.6
t0
e.♦ I
0
0
0
0
1
e
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•
a*
4•
a•
as
as
•.•
as I e
0
0
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•
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•
•
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__. .�..-
-_
Pm1um4 Water Vaults
o
-
-
-
�
-
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- 1 -
-
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40
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oa
220
..
o.o
Mal SmonOoa
0.1
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00
1.2
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lA I
1
-
-
0
0
-
-
35
-
-
0.1
0.1
0.0
12
01
10 1 1.3
-
-
00
01
-
-
13.0
-
-
MuawicDAM. l
-
-
-
-
61
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-
-
-
16
10
1
4
154
-
0
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-
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61
- I -
-
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163
103
10
40
1544
-
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..
..
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-
_
_
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103
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•.7
292
-
29
01
-
-
-
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10.5
14
8.7
292
-
2.9
Truck lAWing
_
_
_
_
OS
_ I
_
_
_
G
f4
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12
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-
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40 63 43 0.1 33.7 6126 331 .6
962 43 42 6317 6-099 416 1.732 46.54 41 I 2336 1_41 OM OS 00 4-0 MA lilt 6 962 45 42 1346 314
M
116
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3.+ 1
Footnotes:
1. This roan should be completed to include both existing sources and all proposed new or modifications to mdsling emissions 30112663
2. Dille emissions source is new then enter "proposed" under the Permit No. and AIRS TD data columns
3. NAP abbreviations include:
EZ= Datzcne 234-TMP = 2.2,4-Trimclhylpn8artc
Tol = Toluene Acetal = Acetaldehyde
ED Ethylbcts7rne Aero=Acmlcin
Xyl = Xylcne n -1 lee = ml[exane
htC11O = Formaldehyde Meth = Methanol
4. APEN ExempNtuigniftcant Sources should be included when warranted.
Attachment G - Process Description and Flow Diagram
d4
Boma
CREEH
Process Description
North Platte Section 34 Oil & Gas Production Facility
North Platte Section 34 Production Pad (COGCC #418320) is a new oil and gas,production facility
located within the eight -hour (8 -hr) Ozone Control Area of Weld County. The existing facility produces
both oil and natural gas into the tank battery from four wells. The facility consists of the following sources
of emissions (previously permitted):
• Seven (7) Condensate Oil Storage Tanks (400 bbl capacity each);
• Two (2) Produced Water Storage Tanks (300 bbl capacity each);
• Truck Loading Operation;
• Four (4) Enclosed Combustors;
• One (1) Caterpillar G3306TA engine;
• Fugitive Equipment Leaks;
• Produced Water Vaults;
• Pneumatic Devices;
• Compressor Blowdown;
• Two (2) Sandpiper G1 F pneumatic pumps; and
• Four (4) Heated Separators.
Gas and oil produced from the well is processed through a heater treater where oil and water are
separated and sent to onsite storage tanks before being trucked from the facility. The overhead gas from
the heater treater is sent to a gathering pipeline. Flashing, working and breathing loss vapors from the oil
tanks and water tanks are routed to one of four enclosed combustors. The enclosed combustors have a
vendor guaranteed destruction efficiency of 95% or higher. All oil is trucked from the facility.
The pneumatic pumps are used as a heat trace pump. Both pumps are controlled by one of the
combustors. Finally, the heaters, produced water vaults, pneumatic devices, fugitive equipment leaks,
truck loading, and compressor blowdown are APEN exempt emission sources, having less than 2 tons
per year of any single pollutant and/or 1 tons per year of VOC (the facility is located within the
nonattainment 8 -hour Ozone Control Area).
Gas to Sales
44.0
v:ps�r aemrn
Sinc toTania �
..... U4to Storage Tattat
11
v!
</
41.
14
Production
Separator
Two {2) 300
hbt PW Tank
Produced Water to Storage To
Wellhead
North Platte Section 34 Production Facility
SE/SE, TSN, R63W, Sec 27
Weld County, Colorado
Seven 0) 4DObbl
Condensate
Tanks
Water Tank LoadOut
S4
gru
—49
Oil Tank Loadaut
eonnnzR
CREEK
Attachment H -Operating & Maintenance (O&M) Plans
• An O&M Plan for the Produced Water Tanks is attached
COLORADO
Air Pollution Control Division
Department of Public Health 8 Environment
Form APCD-307
ApCD:.lnterna(.Use :On(y ;
"Received Date.-.-'
Approved ❑ aApproval Date
Operating and Maintenance Plan Template for
Produced Water Storage Tanks
Ver. January 27, 2020
The Air Pollution Control Division developed this Operating and Maintenance Plan (O&M Plan) for produced water
storage tanks that use emissions controls, permitted at synthetic minor and major oil and gas facilities in the
State of Colorado. One O&M Plan may be used for multiple produced water storage tanks at one facility if each
are controlled and monitored in the same manner.
An O&M Plan shall be submitted with the permit application when required. The facility operator must comply
with the requirements of the OEtM Plan upon commencement of operation. An existing approved O&M Plan may
be modified without a permit modification or permit reissuance, but the operator must adhere to the
requirements of the existing approved O&M Plan until an approval letter is issued for the new O&M Plan.
The operator is required to use the division -developed O&M Plan template forms in order to meet minimum
expectations within a standard, organized format. Do not modify the structure and/or content of this template.
If the facility or emissions unit is subject to other state or federal regulations with duplicative requirements, the
operator must follow the most stringent regulatory requirement.
Please note that OEtM requirements are different for facilities in the Denver Metro and North Front Range 8 -hour
ozone nonattainment area.
For sources that are subject to the Title V Operating Permits program: In accordance with Colorado
Regulation No. 3, Part C, Section V.C.5., some or all of the monitoring specified in this O&M plan will be
incorporated as specific conditions in the source's Title V Operating Permit (if applicable). Additional monitoring
not listed in this OEtM Plan may be included in the source's Operating Permit in order to satisfy the periodic
monitoring requirements of Regulation No. 3, Part C, Section V.C.5.b.
Submittal Date: August 2020
Section 9 - Source Identification
For new permits, some of this information (i.e., Facility AIRS ID, Permit Number, and AIRS Point ID) may not be known at the
time of application. Please only fill in the fields that are known and leave the others blank.
Company Name: Bonanza Creek Energy Facility Location: SESE, 5N, 27, 63
Company, LLC (BCEOC) 40.36312, -104.41392
Facility Name:
North Platte Section 34
Production Facility (COGCC
#418320)
Is this facility located in the Denver
Metro and North Front Range 8 -hour
ozone nonattainment area?
® Yes
❑ No
Facility AIRS ID (for existing facilities} 123 - 9394
Emission Units Covered by this O&M form
Facility Equipment ID
Permit Number
PWT-01
TBD
AIRS Point ID
TBD
Page 1 of 4
COLORADO
Air Pollution Control Division
Department of Public Health & Environment
Section 2 - Maintenance Schedules
Check one of the following:
Facility shall follow manufacturer recommendations for the operation and maintenance of the emissions
unit and control devices. These schedules and practices, as well as all maintenance records showing
compliance with these recommendations, shall be made available to the division upon request.
Facility shall follow individually developed maintenance practices and schedules for the operation and
maintenance of the emissions unit and control devices. These schedules and practices, as well as ali
maintenance records showing adherence to these practices, shall be made available to the division upon
request and shall be consistent with good air pollution control practices for minimizing emissions as
defined in the New Source Performance Standard (NSPS) general conditions.
Section 3 - Recordkeeping Requirements
The following box must be checked for the O&M Plan to be considered complete:
Synthetic minor and major sources are required to maintain maintenance and monitoring records for the
requirements of this OI;tM Plan for a period of five (5) years. If applicable state requirements or any
Federal NSPS, NESHAP, or MACT require a longer record retention period, the operator must comply with
the longest record retention requirement.
Section 4 - Monitoring Requirements
Check one of the following two boxes:
Check this box to confirm that the storage tank(s) are subject to the requirements of Regulation No.
7, Sections XVII.C.2. and C.3 (Storage Tank Emission Management System "STEM"). By checking this
box, the operator confirms adherence to the operating, maintenance, and recordkeeping
requirements of STEM as developed and implemented by the operator, as required by Regulation No.
C/
7, Sections XVII.C.2. and C.3.
Check this box if the storage tank(s) are not subject to the requirements of Regulation No. 7,
Sections XVII.C.2. and C.3. ("STEM"). Leakage to the atmosphere shall be minimized as follows:
• Thief hatch seals shall be inspected monthly for integrity and replaced as necessary;
• Thief hatch covers shall be properly weighted and seated to ensure flashing, working, and
breathing losses (as applicable) are routed to the control device under normal operating
conditions;
❑
• Pressure relief valves (PRV) shall be inspected monthly for proper operation and repaired or
replaced as necessary;
• PRVs shall be set to release at a pressure that will ensure flashing, working, and breathing losses
(as applicable) are routed to the control device under normal operating conditions; and
• Inspections shall be documented with an indication of status, a description of any problems
found, and their resolution (e.g., adjustments made to thief hatch weight cover weight or PRV
setpoint, including the modified settings).
Page 2 of 4
CDPHE
COLORADO
Air Pollution Control Division
Department of Public Health b Environment
Table 1 below details the monitoring parameters and frequency for control equipment depending on the type of
control equipment and the requested permitted emissions at the facility. indicate the storage tank emissions
control by checking the appropriate boxes. In addition, check the appropriate box for "Monitoring Frequency"
based on the facility attainment area status and facility -wide permitted VOC emissions.
Table 1 {
Emissions Control
or
Recycling Method
Parameter
Monitoring Frequency
Ozone Nonattainment Area
Ozone Attainment Areas
❑ Permitted
Facility
Emissions
t 40 tpy VOC
® Permitted
Facility
Emissions
< 40 tpy VOC
❑ Permitted
Facility
Emissions
t 80 tpy VOC
❑ Permitted
Facility
Emissions
< 80 tpy VOC
Enclosed Flare
or Elevated
Open Flare a
®
Pilot Light / Auto -
igniter Monitoring
and
Visible Emissions
Observation
Daily b. c
Weekly b, `
Daily b, c
Weekly b,
Vapor Recovery
Unit (VRU) or
Recycled or
Closed Loop
System d
❑
Monitoring requirements, including parameters and frequency, to be determined by the
operator and listed below in footnote d.
Other
Monitoring requirements, including specific parameters and frequency, to be described
in Section 5 below, and approved by the division.
.
a Elevated Open Flare
If the storage tank is subject to Regulation No. 7, Section XII or Section XVII, the use of an open flare must be
approved by the division as an alternate emission control device prior to operation in accordance with
Regulation No. 7 Section XVI1.B.2.e.; see PS Memo 15-03. Open flares permitted prior to May 1, 2014 are
approved for operation. All new open flares permitted on or after May 1, 2014 are required to obtain division
approval prior to operation.
b Pilot Light Monitoring Options
If the tanks are controlled by combustion device, then the operator must indicate in Table 2 the method by
which the presence of a pilot light will be monitored. One primary method for Pilot Light Monitoring must be
checked and, optionally, secondary methods may be checked.
Table 2: Pilot Light Monitoring
Primary
Secondary
Monitoring Method
O
❑
Visual Inspection
n
❑
Optical Sensor
❑
❑
Auto -Igniter Signal
❑
Thermocouple
Page 3 of 4
COLORADO
Air Pollution Control Division
Department of Public Health & Environment
Visible Emissions Observation and Method 22 Options
At the frequency specified in Table 1, the operator is required to conduct an inspection of the subject
combustion device for the presence or absence of smoke (e.g., visible emissions). If smoke is observed during
the visible emissions inspection, the operator has the option to either (1) immediately shut-in the emissions
unit to investigate the cause of the smoke, conduct any necessary repairs, and maintain records of the specific
repairs completed; or (2) conduct a formal Method 22 observation to determine whether visible emissions (as
defined per Regulation No. 7, Section XVII.A.17.) are present.
If a Method 22 is conducted, the record of the observations shall be maintained as required in Section 3 of this
OftM Plan (Reference: Regulation No. 7, Section XVII.C.3.d). If visible emissions are observed by Method 22,
the operator shall immediately conduct any necessary repairs and maintain records of the specific repairs
completed; if repair cannot be immediately completed, the operator shall shut-in the emissions unit, conduct
any necessary repairs, and maintain records of the specific repairs completed.
d Vapor Recovery Unit (VRU) or Recycled or Closed Loop System
In the space provided below, please provide a description of the emission control or recycling system,
including an explanation of parameters monitored, monitoring frequency, and how the system design ensures
that emissions are being routed to the appropriate system at all times, or during all permitted runtime. Also,
provide a description of how downtime is tracked and recorded.
N/A
Section 5 - Additional Notes and O&M Activities
Please use this section to describe any additional notes or operation and maintenance activities, or if additional
space was required for a previous section. Attach additional pages if necessary.
N/A
Page 4 of 4
Attachment f - Regulatory Analysis
ATTACHMENT I
Regulatory Applicability Information
This document provides regulatory applicability information to supplement the construction
permit application for Bonanza Creek Energy Operating Company, LI,C's North Platte Section 34
Production Facility. An analysis of the applicability of state and federal air quality permitting
requirements and air pollution control regulations for the emissions sources is provided,
along with an appropriate explanation and rationale regarding the applicability or non -
applicability of specific regulations for the emissions sources.
Regulation 3: Permitting and APEN Requirements
Regulation 3, Part A, Section II: The produced water vaults, heated separators, pneumatic
devices, fugitive equipment leaks, truck loading and compressor blowdown are not subject
to APEN reporting. Uncontrolled actual emissions of all criteria pollutants (except volatile
organic compounds [VOC1 and nitrogen oxides [NOx]) are less than 2 ton per year (tpy), and
NOx and VOC emissions are less than 1 tpy within the nonattainment 8 -hour Ozone Control
Area [Regulation 3, Part A.II.B.3.a and Part A.II.D.1.a].
Regulation 3, Part B, Section II: The produced water vaults, heated separators, pneumatic
devices, fugitive equipment leaks, truck loading and compressor blowdown emissions are
not subject to permitting because they are not subject to APEN reporting [Regulation 3, Part
Regulation 3, Part B, Section III: Sources completing a permit to construct in designated
nonattainment areas with projected controlled annual emissions of any pollutant for which an
ambient air quality standard has been designated where such emissions will be greater than 25
tpy are subject to public comment and hearing requirements. The facility is subject to these
regulations because VOC emissions are greater than 25 tpy [Regulation 3, Part
Regulation 3 requires that new minor sources in designated nonattainment areas shall apply
Reasonably Available Control Technology (RACT) for the pollutants for which the area is
nonattainment or attainment/maintenance. The facility is a synthetic minor source within a
nonattainment area and is required to apply RACT to facility sources of NOx and VOCs. The
facility has met these requirements by following applicable requirement of Regulation 7 for
sources of NOx and VOCs on site.
Regulation 3, Part C: This facility will continue to operate as a synthetic minor source with
respect to the Title V Operating Permit Program. The facility will not be required to submit a
Title V Permit application within 12 months of startup.
Regulation 3, Part D: This facility is not a listed source in Regulation 3, Part D, Section II.A.25
and therefore would trigger Prevention of Significant Deterioration (PSD) requirements if
emissions exceed 250 tpy of any criteria pollutant. The facility is located in the nonattainment
8 -hour Ozone Control Area where a major source for non -attainment new source review (NA-
NSR) has the potential to emit more than 50 tpy for VOCs or NOx. This facility as proposed will
be a synthetic minor stationary source with respect to PSD and NA-NSR; therefore, it is not
subject to this regulation.
Regulation 7, Part D Section I Oil and Gas Ozone Control Area Regulations
Regulation 7, Part D Section I.C: Section II.C applies to all condensate collection, storage and
handling facilities located in the 8 -hour Ozone Control Area. All new or modified storage
tanks after February 1, 2009 must control VOC by at least 95% during the first 90 days of
1
production. Any combustion device installed after January 1, 2017 must be
equipped with an auto -igniter. The tanks are subject to this section and were controlled
during the first 90 days of production. The combustion devices on site were installed prior to
January 1, 2017 and are equipped with auto -ignitors.
Regulation 7, Part D Section I.D.1, I.D.2, I.F.1 and I.F.1: These sections apply to all condensate
collection, storage and handling facilities located in the 8 -hour Ozone Control Area with
uncontrolled actual VOC emissions greater than 2 tpy. Operators with more than 30 tpy of
system wide uncontrolled emissions must reduce VOC emissions system -wide by at least 70% on
a calendar week basis from October through April and at Ieast 90% from May through September
until April 30, 2020. Weekly system -wide controls must be reported to the Division. The
condensate tanks at this facility are subject to these sections and are included on Bonanza Creeks
system wide control report.
Regulation 7, Part D Section I.D.3 and I.F.2 and I.F.3: These sections apply to all condensate
collection, storage and handling facilities with uncontrolled actual VOC emissions greater than
2 tpy in the 8 -hour Ozone Control Area. Storage Tanks constructed on or after March 1, 2020
must control VOC emissions by at least 95% upon commencement of operations. Storage Tanks
constructed prior to March 1, 2020 must control VOC emissions by at least 95% by May 1, 2020.
Storage tanks must install controls within 60 days of exceeding 2 tpy uncontrolled actual VOC
emissions. The produced water and oil storage vessels are all manifolded together via a liquid
line and therefore are considered one "storage tank" for applicability purposes. The total
emissions from the storage tank exceed 2 tpy uncontrolled actual VOC emissions and are subject
to these sections.
Regulation 7, Part D Section I.E: Section I.E applies to all existing storage tanks at oil and gas
production facilities required to be controlled under Regulation 7, Part D Section I.
Audio, visual, olfactory (AVO) inspections are required not more than every seven (7) days but
at least every thirty one (31) days until April 30, 2020. Starting May 1, 2020 weekly AVO
inspections are required. The storage tanks at this facility are required to install control
equipment per Section I.D and are thus subject inspection, recordkeeping and reporting
requirements of this section.
Regulation 7, Part D Section I.L: Section I.L applies to well production facilities with
uncontrolled actual VOC emissions greater than 1 tpy (highest emitting tank or facility wide
emissions) and all natural gas compressor stations located in the 8 -hour Ozone Control area.
Compressor stations must conduct leak inspections quarterly starting within 90 days of startup.
Well production facilities must conduct leak inspections annually or semi-annually (depending
on emissions) starting within 30 days of commencing operations. This facility is considered a well
production facility with storage tanks. Based on the uncontrolled VOC emissions, this facility is
required to perform leak inspections on a semi-annual basis.
Regulation 7, Part D Section II Oil and Gas State -Wide Regulations
Regulation 7, Part D Section II.C.1.: This section applies to all condensate collection, storage and
handling facilities with uncontrolled actual VOC emissions greater than 2 tpy statewide. Storage
Tanks constructed on or after March 1, 2020 must control VOC emissions by at least 95% upon
commencement of operations. Storage Tanks constructed prior to March 1, 2020 must control
VOC emissions by at least 95% by May 1, 2021. The produced water and oil storage vessels are all
manifolded together via a liquid line and therefore are considered one "storage tank" for
applicability purposes. The total emissions from the storage tank exceed 2 tpy uncontrolled actual
VOC emissions and are subject to this section.
Regulation 7, Part D Section II.C.2 and II.C.3.: Section II.C.2 and II.C.3 applies to all storage
2
tanks at oil and gas production facilities required to be controlled under Regulation 7,
Part D Section I.D or II.C.1. A STEM plan must be developed and followed. Inspections
of the storage tank must occur Monthly, quarterly or semi-annually (depending on emissions).
The storage tanks are subject to control requirements under both 1.D and II.C.1 and is therefore
subject to this section. Based on the uncontrolled VOC emissions, this facility is required to
perform STEM inspections on a semi-annual basis.
Regulation 7, Part D Section II.C.4.: Section II.C.4 applies to all storage tanks at oil and gas
production facilities, compressor stations and gas processing plants constructed or modified on
or after May 1, 2020. Storage tanks constructed or modified on or after May 1, 2020 must
install equipment to determine quantity of liquid stored. Storage tanks constructed
or modified on or after January 1, 2021 must install equipment to determine quantity
and quality o£ liquid stored. Signage must be posted and annual training is required. This
regulation does not apply to the storage tanks onsite because they were constructed prior to May
1, 2020 and have not been modified.
Regulation 7, Part D Section II.E.4: Section II.E.4 applies to well production facilities with
uncontrolled actual VOC emissions greater than 1 tpy (highest emitting tank or facility wide
emissions) and all natural gas compressor stations. This facility is considered a well production
facility with storage tanks that is not within 1,000 feet of an occupied area. Based on the
uncontrolled VOC emissions from the highest emitting tank, this facility is required to perform
AIMM inspections quarterly and AVO inspections monthly.
Regulation 7, Part D Section ILF: Section II.F applies to gas coming off a separator produced
during "normal" operations from newly construction, hydraulically fractured, or recompleted
wells after August 1, 2014. This facility is subject to the gathering and control requirements of
Part D II.F because the wells onsite were constructed after August 1, 2014.
Regulation 7, Part D Section II.G: Section II.G applies to downhole well maintenance, well
liquids unloading events, and well plugging events. This facility is subject to the best
management practices, record keeping and report requirements of this rule for any
downhole well maintenance, well liquids unloading events, and well plugging events that occur
on site.
Regulation 7, Part D Section V: Section V requires oil and natural gas operations and
equipment at or upstream of a natural gas processing plant submit an annual actual emissions
report. The facility is located upstream of a natural gas processing plant and will follow the
reporting requirements of this section.
40 CFR 60, New Source Performance Standards
40 CFR 60 Subpart Kb - Standards of Performance for Volatile Organic Liquid Storage
Vessels (Including Petroleum Liquid Storage Vessels): Subpart Kb applies to storage vessels
which commence construction, modification or reconstruction after July 23, 1984. The storage
tanks located at the facility are exempt from the requirements of this subpart under
§60.110b(d)(4), as they are used for condensate storage prior to custody transfer and have a
capacity Iess than 1,589,874 m3.
40 CFR 60 Subpart OOOO -- Standards of Performance for Crude Oil and Natural gas
Production, Transmission and Distribution for which Construction, Modification or
Reconstruction Commenced after August 23, 2011, and on or before September 18, 2015:
Subpart OOOO applies to affected facilities that commenced construction, reconstruction, or
modification after August 23, 2011 and on or before September 18, 2015. Affected facilities
include: gas well affected facilities; centrifugal compressors with wet seal degassing systems;
3
reciprocating compressors; continuous -bleed natural gas actuated pneumatic controllers;
storage vessels containing crude oil, condensate, produced water or a mixture thereof;
equipment leaks of VOC at natural gas processing plants; and sweetening units at natural gas
processing plants constructed, modified or reconstructed after August 23, 2011 and on or before
September 18, 2015. This facility is a well site and is neither a compressor station nor a natural
gas processing plant.
Storage Vessel Affected Facility: Each storage vessel constructed after August 23, 2011 and
before September 18, 2015, that emits VOC emissions at or greater than 6 tons per year
(as determined by the maximum average daily throughput) is subject to the emissions
control (95% DRE), recordkeeping and reporting requirements of this subpart. Legally
and practically enforceable limits may be accounted for in determining VOC emission
from storage vessels for applicability to this subpart. The storage tanks onsite were
constructed in 2012, however each storage vessel emits less than 6 tons per year after
accounting for legally and practically enforceable limits, and as such the storage
vessels are not an affected facility under this subpart.
40 CFR 60 Subpart OOOOa - Standards of Performance for Crude Oil and Natural Gas
Facilities for which Construction, Modification or Reconstruction Commenced After
September 18, 2015: Subpart OOOOa regulates certain: well affected facilities (oil and gas
wells); centrifugal compressors with wet seal degassing systems; reciprocating compressors;
continuous -bleed natural gas actuated pneumatic controllers; storage vessels containing crude
oil, condensate, produced water or a mixture thereof; equipment leaks of VOC at natural gas
processing plants; sweetening units at natural gas processing plants; pneumatic pump affected
facilities; and the collection of fugitive emissions components at a well site or at a compressor
station constructed, modified or reconstructed after September 18, 2015. The site is considered a
well site under this regulation.
Storage Vessel Affected Facility: Each storage vessel that emits VOC emissions at or greater
than 6 tons per year (as determined by the maximum average daily throughput) is
subject to the emissions control (95% DRE), recordkeeping and reporting requirements
of this subpart. Legally and practically enforceable limits may be accounted for in
determining VOC emissions from storage vessels for applicability to this subpart. These
storage vessels were constructed prior to September 18, 2015 and are therefore not an
affected facility under OOOOa.
4
Produced Water Storage Tank(s) APp\T
Form APCD-207
Air Pollutant Emission Notice (APEN) and
Application for Construction Permit
All sections of this APEN and application must be completed for both new and existing facilities, including APEN
updates. Incomplete APENs will be rejected and will require re -submittal. Your APEN will be rejected if it is filled
out incorrectly, is missing information, or lacks payment for the filing fee. The re -submittal will require payment
for a new filing fee.
This APEN is to be used for tanks that store produced water associated with oil and gas industry operations. If your
emission source does not fall into this category, there may be a more specific APEN available for your source (e.g.
crude oil storage tanks, condensate storage tanks, hydrocarbon liquid loading, etc.). In addition, the General APEN
(Form APCD-200) is available if the specialty APEN options will not satisfy your reporting needs. A list of all
available APEN forms and associated addendum forms can be found on the Air Pollution Control Division (APCD)
website.
This emission notice is valid for five (5) years. Submission of a revised APEN is required 30 days prior to expiration
of the five-year term, or when a reportable change is made (significant emissions increase, increase production,
new equipment, change in fuel type, etc.). See Regulation No. 3, Part A, II.C. for revised APEN requirements.
Permit Number: TBD t3wE i 363
OO8
AIRS ID Number: 123 / 9394 / TBD
,,er;
Section 1 - Administrative Information
Company Name': Bonanza Creek Energy Operating Company, LLC (BCEOC)
Site Name: North Platte Section 34 Production Facility (COGCC #418320)
Site Location: SESE, 5N, 27, 63W
40.36312, -104.41392
Mailing Address:
(Include Zip Code) 410 17th Street, Suite 1400
Denver, CO 80202
Site Location
County: Weld
NAICS or SIC Code: 1311
Contact Person:
Phone Number:
E -Mail Address2:
Alisson Soehner
(303) 803-1752
asoehner@bonanzacrk.com
i Use the full, legal company name registered with the Colorado Secretary of State. This is the company name that will appear
on all documents issued by the APCD. Any changes will require additional paperwork.
2 Permits, exemption letters, and any processing invoices will be issued by the APCD via e-mail to the address provided.
11354O
1 GcoLoa•eo
,.�:
Permit Number: TBD
AIRS ID Number:
mr
123 / 9394 /TBD
Section 2 - Requested Action
1:1 NEW permit OR newly -reported emission source
r❑ Request coverage under traditional construction permit
❑ Request coverage under a General Permit
❑ GP05 ❑ GP08
If General Permit coverage is requested, the General Permit registration fee of $353.13
must be submitted along with the APEN filing fee. '
-OR-
❑ MODIFICATION to existing permit (check each box below that applies)
❑ Change in equipment ❑ Change company name;
❑ Change permit limit ❑ Transfer of ownership4 ❑ Other (describe below)
OR
❑ APEN submittal for update only (Note blank APENs will not be accepted)
- ADDITIONAL PERMIT ACTIONS -
❑ APEN submittal for permit exempt/grandfathered source
❑ Limit Hazardous Air Pollutants (HAPs) with a federally -enforceable limit on Potential To Emit (PTE)
Additional Info & Notes: Requesting coverage under traditional construction permit for produced water tank battery.
3 For company name change, a completed Company Name Change Certification Form (Form APCD-106) must be submitted.
4 For transfer of ownership, a completed Transfer of Ownership Certification Form (Form APCD-104) must be submitted.
Section 3 - General Information
General description of equipment and purpose:
Company equipment Identification No. (optional):
For existing sources, operation began on:
Produced water tank battery used to store produced water.
PV T-01
11/3/2012
For new or reconstructed sources, the projected start-up date is:
Normal Hours of Source Operation: 24
Storage tank(s) located at:
hours/day 7
(] Exploration & Production (E&P) site
days/week 52
weeks/year
❑ Midstream or Downstream (non E&P) site
Will this equipment be operated in any NAAQS nonattainment area?
17
Yes
■
No
Are Flash Emissions anticipated from these storage tanks?
GI
Yes
■
No
Are these storage tanks located at a commercial facility that accepts oil productionII
wastewater for processing?
Yes
No
It2
Do these storage tanks contain less than 1% by volume crude oil on an annual average basis?
D
Yes
■
No
Are these storage tanks subject to Colorado Oil and Gas Conservation Commission (COGCC)IN
805 series rules? If so, submit Form APCD-105.
Yes
No
D
Are you requesting z 6 ton/yr VOC emissions (per storage tank), or are uncontrolled actual•
emissions z 6 ton/yr (per storage tank)?
Yes
No
O
Arik COLA REDO
2 rogizmHeath m ofarm
'' II-IUY N.uvuwne
Permit Number: TBD
t?i
AIRS ID Number: 123 / 9394 /TBD
Section 4 - Storage Tank(s) Information
Actual Annual Amount
(bb!/year)
Requested Annual Permit Limits
(bid/year)
Produced Water Throughput:
65,700
78,840
From what year is the actual annual amount?
Tank design:
❑✓ Fixed roof
2019
❑ Internal floating roof
❑ External floating roof
Storage
Tank ID
# of Liquid Manifold Storage
Vessels in Storage Tank
Total Volume of
Storage Tank
(bbn
Installation Date of Most
Recent Storage Vessel in
Storage Tank (month/year)
Date of First
Production
(month/year)
PWT-01
Two (2) 300 bbl
600 bbl
09/2012
10/2010
Wells 5er/iced by this Storage Tank or Tank Battery6 (E&P Sites Only)
API Number
Name of Well
Newly Reported Well
05 - 123 - 30597
North Platte 31-34
■
05 - 123 - 33613
North Platte 32-34
■
05 - 123 - 30518
North Platte 41-34
■
05 - 123 - 35676
North Platte 42-34
■
■
5 Requested values will become permit limitations or will be evaluated for exempt status, as applicable, and should consider
future process growth. Requested values are required on all APENs, including APEN updates.
6 The EEO Storage Tank APEN Addendum (Form APCD-212) should be completed and attached when additional space is needed to
report all wells that are serviced by the equipment reported on this APEN form.
Section 5 - Geographical/Stack Information
Geographical Coordinates
(Latitude/Longitude or UTM)
40.36312, -104.41392
❑ Check box if the following information is not applicable to the source because emissions will not be emitted
from a stack. If this is the case, the rest of this section may remain blank.
Operator Stack
ID No.
Discharge Height Above
Ground Level (Feet)
Temp.
(°F)
Flow Rate
(ACF/A)
Velocity
(ft/sec)
ECD 01-04
-25
500
N/A
N/A
Indicate the direction of the stack outlet: (check one)
❑ Upward ❑ Downward
❑ Horizontal ❑ Other (describe):
❑ Upward with obstructing raincap
Indicate the stack opening and size: (check one)
Q Circular Interior stack diameter (inches): 48
❑ Square/rectangle Interior stack width (inches):
❑ Other (describe):
Interior stack depth (inches):
11eY -
® , r=to ra
°,Y..m,.mdr„Yu�
J � XWNYLnn,m.xN
Permit Number: TBD
AIRS ID Number: 123 / 9394 / TBD
Section 6 - Control Device Information
❑ Check this box if no emission control equipment or practices are used to reduce emissions, and skip to the next section.
Vapor
❑ Recovery
Unit (VRU):
Pollutants Controlled:
Size:
Requested Control Efficiency:
Make/Model:
VRU Downtime or Bypassed (emissions vented): %
❑
Combustion
Device:
Pollutants Controlled: VOC, HAPs
Rating: 0.48
Type: Enclosed Combustion Device
MMBtu/hr
Make/Model:
Requested Control Efficiency: 95 %
Manufacturer Guaranteed Control Efficiency: 98 %
Minimum Temperature: 500
Three (3) Cimarron 48" 8 One (1) LEED L-30
Waste Gas Heat Content: 1,496 Btu/scf
Constant Pilot Light: ❑ Yes El No Pilot Burner Rating: N/A MMBtu/hr
❑ Closed Loop System
Description of the closed loop system:
❑ Other:
Pollutants Controlled:
Description:
Control Efficiency Requested:
%
Section 7 - Gas/Liquids Separation Technology Information (MP Sites Only)
What is the pressure of the final separator vessel prior to discharge to the storage tank(s)? -24
psig
Describe the separation process between the well and the storage tanks: Gas and oil produced from the wells are
processed through the heater treaters where liquids and gas are separated. The liquids from the heater treater
proceed to a low pressure separator where further separation between oil and water occurs. The condensate
is routed to storage vessels before being trucked off site.
1-r
4 I flit®
COLORADO
Gp.mrmm heir
H.O i [mremmm
Permit Number: TBD
AIRS ID Number: 123 / 9394 / TBD
Section 8 - Criteria Pollutant Emissions' Information
Attach all emissions calculations and emission factor documentation to this APEN form7.
Is any emission control equipment or practice used to reduce emissions? ❑ Yes ❑ No
If yes, describe the control equipment AND state the requested control efficiencies (report the overall, or
combined, values if multiple emission control methods were identified in Section 6):
Pollutant
Control Equipment Description
Overall Requested
Control Efficiency
(% reduction in emissions)
yOC
ECD
95
NOx
CO
HAPs
ECD
95
Other:
From what year is the followingreported actual annual emissions data? 2019
Use the following table to resort the criteria lwllutant emissions from source:
Pollutant
Emission Factor7
Actual Annual Emissions
Requested Annual Permit
Emission Limit(s)5
Uncontrolled
Basis
Units
Source
(AP -4i2,
Mfg., etc.)
Uncontrolled
Emissions
(tons/year)
Controlled
Emissions8
(tons/year)
Uncontrolled
Emissions
(tons/year)
Controlled
Emissions
(tons/year)
VOC
0.262
Ibrbbl
State EF
8.61
0.43
10.33
0.52
NOx
0.0037
lb/bbl
State EF
0.12
0.12
0.15
0.15
CO
0.0167
lb/bbl
State EF
0.55
0.55
0.66
0.66
5 Requested values will become permit limitations or will be evaluated for exempt status, as applicable, and should consider
future process growth. Requested values are required on all APENs, including APEN updates.
7 Attach produced water laboratory analysis, stack test results, and associated emissions calculations if you are requesting site
specific emissions factors according to the guidance in PS Memo 14-03.
8 Annual emission fees will be based on actual controlled emissions reported. If source has not yet started operating, provide
projected emissions.
Section 9 - Non -Criteria Pollutant Emissions Information
Does the emissions source have any uncontrolled actual emissions of non -criteria
pollutants (e.g. HAP - hazardous air pollutant) equal to or greater than 250 lbs/year?
(] Yes ❑ No
If yes, use the following table to report the non -criteria pollutant (HAP) emissions from source:
Chemical Name
Chemical
Abstract
Service (CAS)
Number
Emission Factor7
Actual Annual Emissions
Uncontrolled
Basis
Units
Source
(AP -42,
Mfg., etc.)
Uncontrolled
Emissions
(Ibs/yeor)
Controlled
Emissions8
(Ibeyear)
Benzene
71432
0.0070
lb/bbl
State EF
480
24
Toluene
108883
N/A
N/A
N/A
N/A
N/A
Ethylbenzene
100414
N/A
N/A
N/A
N/A
N/A
Xylene
1330207
NIA
N/A
N/A
N/A
N/A
n -Hexane
110543
0.0220
lb/bbl
State EF
1,446
74
2,2,4-Trimethylpentane
540841
NIA
N/A
N/A
N/A
WA
7 Attach produced water laboratory analysis, stack test results, and associated emissions calculations if you are requesting site
specific emissions factors according to the guidance in PS Memo 14-03.
8 Annual emission fees will be based on actual controlled emissions reported. If source has not yet started operating, provide
projected emissions.
COLORADO
5 I O.y.,1,rn, d w¢
Wan ..a.
Permit Number: TBD
AIRS ID Number: 123 /9394 / TBD
Section 10 - Applicant Certification
I hereby certify that all information contained herein and information submitted with this application is complete,
true, and correct. If this is a registration for coverage under General Permit GP05 or GP08, I further certify that
this source is and will be operated in full compliance with each condition of the applicable General Permit.
5tatito?,
8 •ZS •Zo
Signature of Legally Authorized Person (not a vendor or consultant) Date
Alisson Soehner Environmental Engineer, Air Quality
Name (print) Title
Check the appropriate box to request a copy of the:
❑✓ Draft permit prior to issuance
Draft permit prior to public notice
(Checking any of these boxes may result in an increased fee and/or processing time)
This emission notice is valid for five (5) years. Submission of a revised APEN is required 30 days prior to expiration
of the five-year term, or when a reportable change is made (significant emissions increase, increase production,
new equipment, change in fuel type, etc.). See Regulation No. 3, Part A, II.C. for revised APEN requirements.
Send this form along with $216.00 and the General For more information or assistance call:
Permit registration fee of $353.13, if applicable, to:
Colorado Department of Public Health and Environment
Air Pollution Control Division
APCD-SS-B1
4300 Cherry Creek Drive South
Denver, CO 80246-1530
Make check payable to:
Colorado Department of Public Health and Environment
Small Business Assistance Program
(303)692-3175
OR
(303) 692-3148
APCD Main Phone Number
(303) 692-3150
6 ®COLORADO
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