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UNITED STATES Clean Air Act Compliance Inspection Report
AGENCY
United States Environmental Protection Agency
ONMENTAL PROTECTION Region 10 Seattle, WA
Partial Compliance Evaluation
Cosmo Specialty Fibers, Inc.
Cosmopolis, Washington
Inspection Dates: February 22-23, 2023
Digitally signed by ZACHARY
ZACHARY HEDGPETH HEDGPETH
Date: 2023.05.03 09:22:13 -07'00 '
Report Author SignatureDate
Zach Hedgpeth, PE
Environmental Engineer
EPA Region 10
BRENDANWHYTE Digitally sDiatge:n e20d23 .0b5y.0 3 B09R:E 5N0:D 0A7N-0 7'W00H Y'
TE
Peer Review SignatureDate
Brendan Whyte
Compliance Officer
EPA Region 10
Wilwerding, Joseph
Digitally signed by Wilwerding, Joseph
Date: 2023.05.03 16:49:13 -06'00 '
Manager SignatureDate
Joe Wilwerding
Acting Supervisor, Air & Toxics Enforcement Section
EPA Region 10
Table of Contents
1. Basic Facility and Inspection Information..3
2. Introduction4
3. Inspection Elements and Field Observations - - February 22, 2023....4
4. Inspection Elements and Field Observations - February 23, 20239
5. Closing Conference - - February 23, 202312
Attachments
Attachment 1 .....Photo Log
Attachment 2.Facility Aerial Photos and Location Maps
Attachment 3CAA Records Request - Cosmo Feb
2
1. Basic Facility and Inspection Information
Facility:Cosmo Specialty Fibers, Inc.
1701 1st Street
Cosmopolis, WA 98537
Mailing Address:P.O. Box 539
Cosmopolis, WA 98537
AFS Number:WA0000005302700001
Permit Number:Title V Operating Permit # 0000809
Washington Department of Ecology
Industrial Section
Facility Contact:Paula Stoppler - Technical Director
360-749-2249, pstoppler@cosmospecialtyfibers.com
Agency Inspectors:Zach Hedgpeth, PE-EPA Region 10
206-553-1217, hedgpeth.zach@epa.gov
Brendan Whyte - EPA Region 10
(b) (6)whyte.brendan@epa.gov
Ha Tran - Washington Department of Ecology
360-790-6276, htra461@ecy.wa.gov
Inspection:February 22-23, 2023
Inspection Report:May 3, 2023
Inspection Notice:Announced
Disclaimer
This report is a summary of observations and information gathered from the facility at the time
of the inspection. The information provided does not constitute a final decision regarding
compliance with the Clean Air Act (CAA) and applicable regulations or permits, nor is it meant
to be a comprehensive report of all activities and processes conducted at the facility.
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2. Introduction
a) This was a Clean Air Act (CAA) compliance inspection by the Environmental Protection
Agency (EPA). I provided notice of this inspection to Paula Stoppler via phone call on
February 15, 2023.
b) The purpose / scope of this inspection with respect to the CAA included the following:
1. Conduct a physical walk - through inspection of the Bleach Plant, including all
equipment vented to the Bleach Plant Stack as well as equipment vented to
atmosphere or any control device.
2. Investigation of the excess emissions release event observed by EPA inspectors
during the December 2022 inspection.
3. Various follow - up items from the December inspection, which could include
examination of industrial process equipment, air pollution control equipment,
review of various documents, and discussions with facility staff, in addition to the
observations of the inspectors regarding these topics or others related to
compliance with the CAA.
c) The facility was entirely shut down during this inspection.
3. Inspection Elements and Field Observations - - February 22, 2023
a) Arrival The EPA inspectors arrived at the facility parking lot around 09:30 where we
met with Ha Tran of the Washington Department of Ecology. The three inspectors
generally conducted the inspection as a group.
1. The inspectors met with Paula Stoppler, Technical Director and Erik Hiles,
Environmental Engineer, for Cosmo Specialty Fibers, Inc., at the facility front
offices. Also present for the facility was Eric Heikkila, a representative of the new
facility owner.
b) Opening Conference - An opening conference was held in a conference room, where the
EPA inspectors presented our inspector credentials and explained the purpose of the
inspection, as described above. We explained that the inspection would be a partial
compliance evaluation focused on the Bleach Plant, and that we intended to thoroughly
document the Bleach Plant and all emission units that are routed to the Bleach Plant
Stack as well as those that are routed elsewhere. In addition, we explained that we
planned to investigate the operating conditions that existed during the release that had
been observed during the December 2022 inspection. We also explained that there were a
few follow up items from the December 2022 inspection that we may look into as time
allows. Photos, videos and confidential business information (CBI) were not explicitly
discussed. The arrangements agreed upon during the December 2022 inspection were
followed.
c) Process Discussions - The opening conference bled into a process and facility discussion
that continued for the remainder of the morning. The following items were discussed:
1. General Updates.
a. Facility status: Facility is currently shut down. New owner is assessing
what is needed in order to restart. Mr. Heikkila and Ms. Stoppler
explained that the facility has very significant repair, maintenance, and
replacement projects that are necessary prior to startup being possible.
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At the time of the inspection, Mr. Heikkila stated that he was still
compiling the list of work that is needed prior to startup.
b. Ms. Stoppler informed us that she had dug through the digital archives
and found past Werehauser documents pertaining to 40 CFR 63, Subpart
S that contained testing information and testing history for the facility.
c. Mr. Heikkila stated that he had worked for Weyerhauser at the facility
beginning in 1972 until it closed in 2006. Later, when Cosmo Specialty
Fibers bought the facility in 2010, they brought him on to oversee the re-
start that occurred in 2011.
2. Process Notes.
a. The following process notes are based on information provided verbally
during the inspection by Ms. Stoppler and Mr. Heikkila. It was also
noted that Mr. Heikkila has traced all the ducts feeding into the Bleach
Plant Stack.
b. Bleach Plant Washers
1. Process order: 1, 2A, 2, 4 and 3. The caustic extraction stage
occurs at Washer 2A. The washers are not in the same physical
order as the process order. Physically, the washers are in the
following order: 1, 2, 3, 2A, and 4.
2. All washers are vacuum drum washers, which is the same basic
design as the Brownstock Washers.
3. Washers 1, 2, and 3 are vented directly to atmosphere via a
common hood and stack. Washers 2A and 4 each are individually
vented to the Bleach Plant Stack.
4. Washers 1, 2, and 4 only receive " tempered water ", which is
essentially heated freshwater. The water is heated via non - contact
heat exchangers to extract heat from the hot acid in the Acid Plant.
Washer 2A receives the filtrate from the # 2 Washer Footbox.
Washer 3 receives whitewater from the High White Water Tank,
which in turn receives whitewater from the pulp dryer, aka " The
Machine ".
c. Seal Pots / Footboxes
1. Each Bleach Plant Washer has a seal pot that receives the washer
filtrate, creating a liquid seal in the same manner as Brownstock
Washer seal pots. The facility uses the term Footbox to refer to the
seal pots. The term Seal Tank is used on some process diagrams.
2. The inspectors observed and photographed Footboxes 1 through 4
during the inspection. Footboxes 2 and 3 are vented directly to
atmosphere, while Footboxes 1 and 4 are vented to the Bleach
Plant Stack.
3. The inspectors did not observe Footbox 2A during the inspection.
In tracing all the ducts leading to the Bleach Plant Stack, no duct
was identified leading back to Footbox 2A, indicating this Footbox
is likely vented to atmosphere. This was not confirmed during the
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inspection. P & ID " E.PID.008 -D " shows a vent off Footbox 2A
with no destination, which would be consistent with a vent to
atmosphere.
4. The Bleach Plant effluent liquid stream contains most of the lignin
removed from the pulp. Removal occurs in the caustic extraction
stage (Washer 2A), and the brown - colored effluent is sent to the
bioponds.
5. Chlorine dioxide scrubber effluent is routed to Footbox # 1, which
is vented to the Bleach Plant Stack. Effluent from Footbox # 1 goes
to the deaeration tank and then to the sour sewer.
6. The Bleach Plant Stack has no controls, and all process units
vented to it go to atmosphere.
d. Chlorine Dioxide Tower (CD Tower)
1. Pulp is pushed upwards through the " up - tube " (see photo 53-CD
Tower at center, uptube to the right) and flows over the top to fall
downwards into the CD Tower. The CD Tower is normally kept
approximately 80% full.
2. Pulp exits the bottom of the CD Tower and is pumped to the # 4
Washer, to remove residual chlorine dioxide. Most CD should be
consumed in the CD Tower.
e. General Bleach Plant Process Notes
1. See " G1469 - GXX - E, Gen Mill Process Flow.pdf " in addition to
the following notes.
2. The Bleach Plant Blow Tank has its own vent directly to
atmosphere. The Blow Tank is the 2nd vessel from the left in
photos 32, 33, and 92. The vent to atmosphere is visible exiting the
top of the Blow Tank.
3. Note that from Washer 2, pulp flow is only to the # 8 Steam Mixer
TM Standpipe TM Chlorine Dioxide Tower. The diagram reviewed
during the inspection indicates a branch in the flow with the word
" OR " indicating the pulp could alternatively flow from Washer 2
TM # 6 Steam Mixer TM Bleach Cell Belt, but this diagram is
incorrect. See " Flow Diagram Chip Receiving to Warehouse " 2 and
photo 95.
4. Similarly, from the # 7 Steam Mixer, pulp flow is to the Bleach
Cell Belt. The flow diagram referenced above again includes the
word " OR " to indicate pulp may alternatively be directed to the # 1
or # 2 Bleach High Density Tanks, but this is incorrect.
5. The Bleach Cell Belt is an additional bleaching stage that uses
hydrogen peroxide which is added to the pulp before it enters the
cells and then drops down into the Bellmer. The cells and Bellmer
are open to atmosphere.
1 See " E-PID-008 Bleach caustic stage.pdf ".
2 See " G1469 - GXX - E, Gen Mill Process Flow.pdf ".
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6. From the Bellmer, the pulp is routed to the # 1 or # 2 Bleach High
Density Tanks TM # 1 or # 2 Bleach Low Density Tanks TM Screens
TM Bleach Deckers TM Pulp Dryer.
3. December Release Event.
a. Tyson Henry (no longer employed by Cosmo Specialty Fibers) created a
document providing descriptive information regarding the release event
that was partially observed by the EPA inspectors during the December
2022 inspection.
b. Ms. Stoppler and Mr. Hiekkila indicated that Mr. Henry believed that
pulp flowed backwards from the # 4 Washer into the bottom of the CD
Tower, pushing the pulp level in the tower upwards. This would have
forced gasses in the headspace out the vent line that leads to the Bleach
Plant Stack. These process conditions are described on page 4 of the
document, under the section from 2:00-3:00 pm. However, the data
provided show that this event only occurred once, over an approximately
4-minute period from 14:40 to 14:44.
4. Past Emission Testing.
a. In looking through old facility documents, Ms. Stoppler identified
multiple documents related to Bleach Plant emission unit testing by
Weyerhauser staff around 2004-2005. These documents are listed in
Attachment 3.
b. The inspectors reviewed some of the Weyerhauser Bleach Plant testing
documents during the inspection. The documents indicate, and Ms.
Stoppler and Mr. Heikkila confirmed, that at that time, Weyerhauser was
developing a compliance strategy for the Bleach Plant with respect to 40
CFR 63, Subpart S leading up to the facility shutdown in 2006.
c. When the mill was sold to Cosmo Specialty Fibers in 2010 and then
started up in 2011, the Subpart S compliance strategy effort was not re-
started. In 2013, Washington Department of Ecology (Ecology) issued
Administrative Order 95854 which rescinded Ecology's previous
Subpart S compliance date which had been November 16, 2006, and
instead required compliance with Subpart S within three years of EPA
promulgation of the revised dissolving pulp mill effluent limitation
guidelines in 40 CFR 430.14-17 and 430.44-47. Revisions to the effluent
limitation guidelines in 40 CFR 430.14-17 and 430.44-47 were
promulgated in 19985.
d. Since Ecology's issuance of Order 9585, the facility has not done
anything to control HAP emissions from the Bleach Plant. The facility
interpretation has been that compliance with the provisions of Subpart S
is not required until three years after EPA promulgation of the dissolving
pulp mill effluent guidelines listed above, which they do not believe has
occurred.
3 See " Narative Desciption of Bleach Plant Events 12-8.docx ".
4 See " 2013 May 1MACT WA-ECY determination.pdf "
5 https://www.govinfo.gov/content/pkg/FR-1998-04-15/pdf/98-9613.pdf
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e. The inspectors noted that the current language in 40 CFR 63, Subpart S
has changed with respect to the list of affected sources. This means that
the list of emission units and emission points evaluated by Weyerhauser
in the early 2000's may not be complete with respect to the current
Subpart S list of affected sources.
5. The discussion ended at approximately 12:20, and the inspectors departed the site
for lunch.
d) Field Observations - afternoon
1. Following a break for lunch, the inspectors proceeded to the field, specifically
focusing on the Bleach Plant. We were accompanied by Ms. Stoppler, Mr.
Heikkila, and Mr Hiles. The emission units and process areas observed are
identified in this section. Photos P1000032.jpg through P1000093.jpg were
recorded, and one video clip (P1000066.mov) was recorded (see Attachment 1).
2. Process units / areas observed and field notes recorded:
a. After observing the Bleach Plant from the ground, we closely examined
the Bleach Plant Stack, traced all ducts venting to the stack, and
identified all emission units and process areas venting to the stack. The
emission / process units that vent to the Bleach Plant Stack are
documented with photos and descriptions in Attachment 1, and are listed
below:
1. Chlorine dioxide generator scrubber exhaust
2. Chlorinator
3. # 1 Footbox
4. # 4 Footbox
5. Chlorine dioxide tower
6. # 2A Bleach Washer
7. # 4 Bleach Washer
b. In addition to identifying all process / emission units that vent to the
Bleach Plant Stack, the inspectors next toured the Bleach Plant to
identify and observe process areas or emission units that vent directly to
atmosphere. The process / emission unit that vent directly to atmosphere
identified during the inspection are documented with photos and
descriptions in Attachment 1, and are listed below:
1. Bleach Plant Blow Tank
2. # 1, # 2, " and # 3 Bleach Washers
3. # 2 and # 3 Footboxes
4. 2A Auxiliary Product Stock Tank
e) Office Discussion
1. We returned to the facility offices around 15:50 and held additional discussions
regarding the December 8, 2022 Bleach Plant release observed by the inspectors
during the previous inspection. The narrative description (see above) prepared by
Tyson Henry was reviewed in more detail. The following notes were recorded:
a. The document includes screenshots from PARCView (a process data
collection / display / storage system used by the facility) covering the
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entire day of 12/8/22. Mr. Henry broke the day up into several time
periods, with screenshots showing selected data tags (specific process
parameters monitored within PARCView).
b. On 12/8/22, the inspectors had returned from lunch around 14:10, which
was the time we initially observed a green colored plume exiting the
Bleach Plant Stack. According to the PARCView data, the Chlorine
Dioxide Tower level during this time was fairly steady, indicating that
the excess chlorine emissions observed during this time (approximately
14: 00-14: 30) may have been originating from a different unit or process
vented to the Bleach Plant Stack. The discussions during the February
inspection did not identify a likely process cause for the excess
emissions observed during this timeframe on 12/8/22.
c. During review of the PARCView data, the group noted that the Vacuum
from the # 4 Bleach Washer was erratic during this timeframe (14: 00-
14:30) on 12/8/22. Some discussion occurred of this as a possible source
of excess emissions during this timeframe.
d. At about 14:40, the PARCView data shows that the level in the Chlorine
Dioxide Tower began rising significantly, which is a possible source of
the denser green emission plume the inspectors observed around that
time on 12/8/22. Mr. Henry's narrative describes the operational
conditions occurring during that time which resulted in " back flow of
stock from the 3rd Stage washer back into the CD Tower. "
e. Mr. Henry's document identifies another possible cause of excess
emissions during this time, pointing out that the # 4 Footbox level rose
by over 100% around 14:25, potentially contributing to the green
emission plume. The # 4 Footbox is vented to the Bleach Plant Stack.
f) The inspection concluded for the day at around 17:15, and the inspectors departed the
facility.
4. Inspection Elements and Field Observations - February 23, 2023
a) The EPA inspectors arrived at the facility around 09:20 and met with Ms. Stoppler, Mr.
Heikkila and Mr. Hiles in the facility conference room. Inspector Tran arrived around
09:30.
b) Office Discussions. The following discussions occurred:
1. The remaining inspection scope was discussed, to include review of documents
related to the Bleach Plant, and field tracing of the chlorine dioxide supply lines
from the Chlorine Dioxide Generator to the points where chlorine dioxide is
added to the stock. Follow - up items from the December 2022 inspection as time
allows.
2. The group reviewed a large 3-ring binder entitled " Title V Air Testing Pulping
Group ". The binder is shown in photo 94. This binder contains a compilation of
late 1990's emission testing performed by Weyerhauser. The first section of the
binder relates to the Brownstock Washers, while the last 2/3 of the binder pertains
to the Bleach Plant. A copy of this full document was included in the inspection
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records request, which is discussed in more detail below and is included as
Attachment 3 to this report.
3. Process / document discussions included review of the annotated process flow
diagrams shown in photos 95 and 96. The diagram in photo 95 shows the overall
process flow diagram of the entire facility from chip receiving to warehouse,
while the diagram in photo 96 depicts the stock flow timeline from the digesters
to the product balers.
4. The inspection records request was developed in discussion with Ms. Stoppler.
The request is included as Attachment 3 to this report. Several of the documents
were briefly reviewed during the inspection, and many documents (as detailed in
the records request) were provided during the inspection via OneDrive folder.
c) Field Observations and Office Discussions - afternoon
1. Following a break for lunch, the inspectors returned to the facility around 13:00.
2. Office Discussions.
a. A brief continuation of the records discussion occurred until about
13:30.
3. Field Observations.
a. The inspectors next proceeded to the field, accompanied by Ms.
Stoppler, Mr. Heikkila, and Mr. Hiles.
b. The chlorine dioxide lines were visually traced from the Chlorine
Dioxide Generator into the Absorber (titanium line), from the Absorber
to the Chlorine Dioxide Storage Tank (PVC line), and from the Chlorine
Dioxide Storage Tank to the pre - treatment injection point upstream of
the Chlorinator and the injection point at the inlet of the Uptube
upstream of the Chlorine Dioxide Tower (Kynar lines). The inspectors
also visually traced a chlorine dioxide sampling line that extends to the
facility roof.
4. Office Discussions.
a. The group returned to the facility offices to discuss follow - up items from
the December 2022 inspection. The only follow - up item examined
further during the February inspection pertained to identifying and
obtaining details regarding any bypass lines existing on the non-
condensable gas (NCG) closed vent systems.
b. While reviewing various facility piping & instrumentation diagrams
(P & IDs) with Ms. Stoppler, Mr. Hiekkila, and Mr. Hiles, the group also
called Kim Zimmer (Power and Recovery Supervisor) on the phone. The
following notes were recorded:
1. While reviewing the " Red Liquor Evaporation NCG System
P & ID ", a 2-inch bypass line (vent to atmosphere) was identified
on the NCG line leading to the Recovery Boiler # 1. Ms. Zimmer
stated that each of the two Recovery Boilers is equipped with this
manual bypass line, which is used for isolation of the flame
6 See " R2257 - REP - D.TIF ". Upper right quadrant of the diagram. The 2-inch vent to atmosphere is upstream of
Recover Boiler # 1, just upstream of the Flame Arrestor No. 1.
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arrestor when necessary for maintenance. According to Ms.
Zimmer, neither of these bypass lines are equipped with a car seal
or equivalent.
2. During the discussion, Ms. Zimmer stated that there may be
additional small bypass lines in areas of the NCG system that
periodically need to be isolated.
3. In order to learn more about what bypass lines may exist, Greg
Dineen, Machine Room Superintendent, joined the group. Mr.
Dineen and Ms. Zimmer, in discussion, indicated there may be
additional small bypass lines in the NCG line that runs to the Acid
Plant near the " Oliver ". Additionally, there may be small bypass
lines on 90-degree bends in the line that serve as cleanouts.
5. Field Observations.
a. The inspectors proceeded to the field around 15:15 with the four facility
staff (the previous three, plus Mr. Dineen).
b. The 2-inch bypass line with manual valve on Recovery Boiler # 1 was
observed and photographed (see photos 97-99). The manual valve was in
the open position, did not have a car seal or equivalent, and had a
lockout tag attached. Mr. Dineen climbed the platform to read the tag,
which he said indicated that the valve had been locked out on 12/19/22.
This lockout date corresponds to the December facility shutdown.
c. The 2-inch bypass line with manual valve on Recovery Boiler # 2 was
observed and photographed (see photos 100-104). The manual valve was
in the open position, did not have a car seal or equivalent, and had a
lockout tag attached. Inspector Whyte climbed the platform to read the
tag, which he photographed. The tag shows a lockout date of 12/20/22.
This lockout date corresponds to the December facility shutdown.
d. Four small bypass lines with manual valves were identified on the NCG
line leading to the Cooling Towers. See photos 105-106. The valves
were in the closed position, and were not equipped with car seals or
equivalent.
e. A 4-inch diameter vent line was noted entering the NCG line leading to
the Cooling Towers (see photo 107). After tracing the vent line back
upstream, Mr. Dineen stated that this line vents a knock - out pot on a
water line from the clean water side of the Hogging Jet condenser in the
MEE evaporator area.
f. A larger bypass line with a manual valve was identified on the " 2A
NCG " line (see photos 108-110). This vent line was not equipped with a
car seal or equivalent.
g. Two red liquor knock - out pots were observed, with " P " traps and liquid
drain lines (see photos 111-116). One drain line (in the open position)
was connected to a red colored hose, while a second drain line (in the
closed position) drained directly onto the floor.
6. Office Discussions.
a. The group returned to the facility office around 16:05, and the inspectors
requested that the NCG system P & ID's be added to the inspection
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records request. This was done, and the drawings were included in the
file transfer provided during the inspection, as detailed in Attachment 3.
5. Closing Conference - February 23, 2023
a) The closing conference was held in the facility offices beginning around 16:15. I led the
discussion, including providing an overview of the EPA Region 10 compliance process.
b) Attendees:
1. Cosmo: Paula Stoppler, Eric Heikkila
2. Ecology: Ha Tran
3. EPA: Brendan Whyte, Zach Hedgpeth
c) Next, the following issues were identified as potential compliance concerns under the
CAA. I clarified that these items did not necessarily constitute violations and may not
include any additional compliance concerns that are identified post - inspection.
1. Bypass lines identified on the NCG closed vent system that did not appear to meet
the requirements of 40 CFR 63, Subpart S.
2. Red liquor knockout pot drain lines going directly to the open floor and to the red
hose with unknown destination.
3. Bleach Plant operating essentially uncontrolled (compliance status with respect to
40 CFR 63, Subpart S), and the release event.
4. The four potential compliance concerns that had been identified during the
December 2022 inspection were also mentioned:
a. Hazardous Air Pollutants (HAPs) contained in the FGD Scrubber and
Nuisance Tower Scrubber effluent are not being included in the facility
calculations demonstrating compliance with the emission standards in 40
CFR 63.444 (c).
b. Multiple issues were identified related to both the monthly and annual
NCG inspections and reports, as described in this report.
c. Recovery Boilers do not appear to be equipped with Continuous
Monitoring Systems (CMS) to demonstrate continuous destruction of
HAPS contained in the ACE and MEE evaporator systems closed vent
systems, as required in 40 CFR 63.453.
d. The release observed from the Bleach Plant.
d) The closing conference ended and the inspectors departed the facility around 16:50.
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