ENB Region 2 Completed Applications 06/28/00

Kings County
 
Applicant: Amoco Oil Co
200 E Randolph Drive
Chicago, IL 60601-6436
Office: NYS DEC
Hunters Point Plaza
47-40 21st Street
Long Island City, NY 11101
(718) 482-4997
Contact: Elizabeth A. Clarke
SEQR: Project is not subject to SEQR review because it is a Type II action.
SHPA: The proposed activity is not subject to review in accordance with SHPA. The permit type is exempt or the activity is being reviewed in accordance with federal historic preservation regulations.
Last Filing Date: 07/25/2000
Project Location:
Project Description:
The Department has drafted a permit pursuant to Article 19 (Air Pollution Control) of the NYS Environmental Conservation Law (ECL) and Title V of the Federal Clean Air Act Amendments and made a tentative determination to approve this application for the applicant's existing facility located at 125 Apollo Street, Brooklyn 11222. The facility consists of eleven active, 40 ft. high, above-ground storage tanks surrounded by steel dike walls. Six of these tanks are in gasoline service, four in distillate service and one handles recovered product from a groundwater remediation project. The permit for a petroleum bulk storage and terminal facility limits gasoline throughput, capping the total annual gasoline throughput to below 400,000,000 gallons. This permit also limits the VOC emission limit of 35 milligrams of VOC per liter of gasoline loaded for the Vapor Recovery Units. VOC emission limit for the Vapor Recovery Units is capped to 20 milligrams of VOC per liter of gasoline loaded. The facility has capped out of the MACT standard requirements of 40 CFR 63 Subpart R.420(a). The annual HAP emissions from the facility is capped to below 25 tons per year for the total HAPs and to below 10 tons per year for the individual HAP. The Title V permit contains a complete listing of the applicable Federal, State and compliance monitoring requirements for the facility, its emission units and its emission points. In accordance with 6 NYCRR Parts 621 (d)(9) and 201-6.4(c), the Administrator of the U.S. Environmental Protection Agency (USEPA) has the authority to bar issuance of any Title V Facility Permit if it is determined not to be in compliance with applicable requirements of the Clean Air Act or 6 NYCRR Part 201.
Permit: Article 19: Title V Facility Permit
Permit ID:DEC-2-6101-00055/00021

 
Applicant: Ultra Flex Packaging Corp
975 Essex St
Brooklyn, NY 11208-5419
Office: NYS DEC
Hunters Point Plaza
47-40 21st Street
Long Island City, NY 11101
(718) 482-4997
Contact: Elizabeth A. Clarke
SEQR: Project is not subject to SEQR review because it is a Type II action.
SHPA: The proposed activity is not subject to review in accordance with SHPA. The permit type is exempt or the activity is being reviewed in accordance with federal historic preservation regulations.
Last Filing Date: 07/25/2000
Project Location:
Project Description:
Ultra Flex Packaging Corp. located at 975 Essex Street, Brooklyn 11208, is engaged in flexographic printing. Presently, there are four presses, a laminator and a Renzmann automated parts washer system at the plant. Ultra Flex submitted an application for a state facility permit to construct and operate a new ten-color printing press. This state facility permit for the proposed project will be incorporated in the Title V permit application on file for the facility. The department has determined that New Source Review in non-attainment areas and ozone transport regions, 6 NYCRR 231-2, does not apply. The facility is capping out of 6 NYCRR 231-2 by limiting its VOC emissions to 24.5 tpy. The state facility permit contains a complete listing of the applicable federal, state and compliance monitoring requirements for the proposed project, emission units and emission points.
Permit: Article 19: Air State Facility Permit
Permit ID:DEC-2-6105-00149/00009