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daily calculation of fuel-bound sulfur based on oil usage, 



amount of nitrogen oxides produced in the package boiler, power boilers, and the 

 Komatsu log loader; 



opacity results; 



repairs that were undertaken which affect emissions, 



sulfur dioxide emissions form the recovery system; 



concentration of sulfur dioxide in the Brinks stack; 



particulate emissions from the recovery system, 



source test results for the Brinks stack, 



reports of when diesei is burned in the package boiler, 



nitrogen oxides emissions for the package boiler; 



operating parameters for the ESP and Brinks systems; 



a summary of all verbal and written excess emission reports; 



opacity incidents that violate State standards, 



instances where the three hour average for suifijr dioxide exceeds 500 ppm; 



instances where the sulflir dioxide removal on the package boiler is less than ninety 

 percent for greater than three hours, 



the total sulfur dioxide emitted as excess emissions, 



instances where air pollution control equipment was bypassed; 



Enforcement 



When the package boiler was construaed in 1988, EPA determined that KPC did not follow 

 all the mandatory pre-construction requirements found in 40 C F R part 60. These allegations 

 were settled by consent decree. The consent decree was entered with the court in September 

 1995 and is discussed in greater detail above under NPDES Permit. 



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