HomeMy WebLinkAboutRAFFERTY'S PUD - PRELIMINARY - 17-95 - LEGAL DOCS - LEGAL COMMUNICATIONBOARD OF HEALTH
Pamela Howard, Loveland
LARIMER COUNTY
A Commitment To Progress
DEPARTMENT OF HEALTH AND ENVIRONMENT
Adrienne LeSailly, MD, MPH, Director
March 3, 1995
Janelle Kechter, CLA
Paralegal
110 East Oak Street
P.O. Box 469
Fort Collins, Colorado 80522-0469
Re: Preliminary Emissions Calculations
Dear Janelle:
President
Kenneth W. Curtis, Jr., MD, MPH, Fart Collins
Vice President
Kent N. Campbell, JD, Fort Collins
Sidney M. Waldrop, MS, Fort Collins
Alice Hallberg, R.N., Estes Park
.1525 Blue Spruce Drive.
Fort Collins, Colorado 80524-2004
General Health 498-6700
Environmental Health 498-t,775
'-According to the' State of Colorado Air Quality Control
Regulations, the source we have been discussing does not need to
apply for an emissions permit.
This status could change in two ways, neither of which is very
feasible. If the area in. which the source is .located is
redesignated a nonattainment area for PMlo, permit requirements
would be triggered. I do not foresee this happening any time in the
future. Currently Fort Collins air monitoring shows us running at
a quarter to half the standard.
The other circumstance that would trigger permit requirements
would be if the source was a synthetic minor, which is based upon
the potential to emit, rather than the actual emissions. If any of.
the criteria pollutants :exceeded the 100 tons/yr, based upon
potential to emit, this would trigger the permit requirements,
along with Title 5 requirements. Based upon the numbers you
provided, the highest emission rate was Carbon Monoxide, which was
2,770 lbs/yr.
All sources emitting to the atmosphere must comply with the
200 opacity, requirement and the State odor regulation. With proper
operation and maintenance these requirements should not be a
concern.
Sincerely, �J
Myrna Jamison Hansen
Air Quality Specialist
BOARD OF COUNTY COMMISSIONERS
r�
ARTHUR E. MARCH. JR
RAMSEY D. MYATT
ROBERT W. GRANGES. JR.
RICHARD S. GAST
LUCIA A. LILEY
J. BRADFORD MARCH
LINDA S. MILLER
WILLIAM C. SEYERS
JEFFREY J. JOHNSON
MARCH & MYATT, P.C.
ATTORNEYS AND COUNSELORS AT LAW
110 EAST OAA STREET
FORT COLLINS. COLORADO 80524-2880
(303) 482-4322
I TELECOPIER (303) 462-3038
March 13, 1995
�Mr. Dan/Lis, President
. Rafferty's
11945 Scottsville Road, Suite 200A
/ Bowli ' Green, KY 42104-5824
c RE: Rafferty's - Fort Collins Site
Dear Dan:
ARTHUR E. MARCH
1909-49G1
MAILING ADDRESS:
P.O. BOX 469
FORT COLLINS, CO 8OS22-O469
Enclosed is a copy of the letter we just received from Myrna
Hansen, the County's Air Quality Specialist. Based upon the
specific information we provided to her regarding your restaurant's
proposed use of its woodburning stove, she does not foresee that
you will need to apply for a State emissions permit. This is
significant because it means that, in the opinion of the Larimer
County Health Department, the woodburning stove you propose to use
should meet all current State air -quality regulations.
This is an excellent piece of evidence to have in reserve if
the City continues to push for elimination of the woodburning stove
based upon air -quality regulations.
Please call if you have any questions.
LAL/glr
En2s osure
cc Mr. Steve Maxwell
Mr. Wayne Wilkinson
Tom McAdams, Esq.
Sincerely,
MARCH & MYATT, P.C.
By: '
u
cria A. Lile