I object to this SIP amendment. SO2 emissions are grossly underestimated since traditionally only fuel gas hydrogen sulfide is used to determine compliance with the SO2 emission limits and there are other sources of sulfur in the fuel gas that contribute to SO2. I recommend that SO2 CEMs be installed on all fuel gas sources and not just the proposed 31H-2. this includes the proposed new boiler.
Proposed Approval of the Flint Hills Resources Amended Findings and Order (Minnesota), Comment on FR Doc # 2013-02019
This is comment on Rule
Direct Final Approval of the Flint Hills Resources Amended Findings and Order (Minnesota)
View Comment
Related Comments
Public Submission Posted: 03/05/2013 ID: EPA-R05-OAR-2011-0328-0004
Mar 04,2013 11:59 PM ET