Document wD80O14dmOzvxEwzN76MLQGxQ
TO Distribution
Interoffice Communication
FROM: DATE:
SUBJECT
D. R. Booth July 10, 1990
EPA's Section 114 Request Response
VISTA
Enclosed is the final Section 114 Response. through the efforts of the following team:
It was prepared
Glen Hollinger Dana Neely Ray Plewa Sean Shephard Sam Watson
I would like to thank each team member for his/her contributions, all of which made this response possible in a timely and professional manner.
This report provides a valuable service for the future.
Q.nJ.
D. R. Booth Sr. Environmental Coordinator
br(5) Distribution JF CRD MGH RAP SPS (LCCP) JWW AAS (LCLAB) RAC SAR GWB SAW DRB (VCM) JCL WLM DMN GMH TWH (Houston)
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Vttto Chemical Company
Lake ChariesVCM Plant VCM Plant Rd, RO. Box 605
CERTIFIED MAIL #906 689 532
RETURN RECEIPT REQUESTED
June 28, 1990
Westlake, Louisiana 70669 Phone (318) 494-5000
Ms. Penny Lassiter U.S. Environmental Protection Agency Office of Air Quality Planning & Standards Research Triangle Park North Carolina 27711
\Yi II
Dear Ms. Lassiter:
In response to Jack R. Farmer's letter of March 16, 1990 and your letter received in April, the following items are being submitted.
1) Enclosure 1, revised to include the additional production data requested.
2) Enclosure 2 for Vista's Ethylene Unit (Process 1), LAB Plant (Process 6), and one submission for both EDC Process (Processes 2 & 5) and the Vinyl Chloride Process (Process
4).
As you recall, you waived the request for information regarding the Alcohols Unit (Process 8) during our phone call in April.
In addition Vista believes it necessary to caution the U.S. EPA
regarding the use of this information.
This data as you
requested is based on 1989 operations. With the promulgation of
the new Toxicity Characteristic Rule, a large number of organic
chemical manufacturers will have newly regulated RCRA
wastewaters. Many manufacturers are so dramatically modifying
their wastewater sources, and treatment systems that the data
submitted will most likely not be representative in two years.
We request that this be given due consideration in the
development of any new standards.
If you have any questions regarding these submittals, please refer them to David Booth of our Environmental Department at (318) 494-5031.
Sincerely,
Plant Manager br(C2)
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