NOTICE OF DETERMINATION ISSUED 9/28/05. IN A LETTER TO EPA DATED APRIL 11, 2003, RESPONDENT NOTIFIED EPA OF POTENTIAL VIOLATIONS OF NESHAP STANDARDS UNDER CLEAN AIR ACT AND COMMITTED TO PROVIDING A DETAILED SUMMARY OF VIOLATIONS. IN A FOLLOW-UP LETTER DATED MAY 20, 2003, GOODRICH IDENTIFIED TEN SPECIFIC VIOLATIONS INCLUDING REQUIREMTNS OF ITS CAA TITLE V OPERATING PERMIT, NESHAP REQUIREMENTS, A RCRA REPORTING REQUIREMENT, AND A CLEAN WATER RECORD KEEPING REQUIREMENT. Violation 1: Title V statements of compliance were not timely submitted for years 2001 and 2002, in accordance with Condition II of the facility���s title V permit and the Clean Air Act.
Violation 2: Quarterly inspections of the chromium scrubber were not being conducted or documented in accordance with 40 C.F.R. 63.342(f)(3)(B), 63.346(b)(1), and Condition III(C)(2) of the facility���s title V permit during the period beginning on or about January 7, 2000 to May 20, 2003.
Violation 3: The chromium scrubber���s magnehellic gauges were not operating as required by 40 C.F.R. 63.343(c)(1)(ii), 63.6(e) and Conditions III(C)(1)-(2) of the facility���s title V permit during the period beginning on or about November 2002 to May 20, 2003.
Violation 4: Pressure drop readings from the chromium scrubber���s magnehelic gauges were not being monitored or recorded on a daily basis since November 2002 as required by 40 C.F.R. 63.343(c)(1)(ii), 63.344(d)(5)(v) and Condition III(C)(2) of