Message-ID: <22414340.1075851896058.JavaMail.evans@thyme> Date: Wed, 2 Feb 2000 02:20:00 -0800 (PST) From: larry.campbell@enron.com To: team.artesia@enron.com, team.monahans@enron.com, team.san-juan@enron.com, team.san-juan-laplata@enron.com, team.carlsbad@enron.com Subject: Nitrogen and Sulfur reporting and Recordkeeping for Turbines Cc: butch.russell@enron.com, rich.jolly@enron.com, william.kendrick@enron.com Mime-Version: 1.0 Content-Type: text/plain; charset=us-ascii Content-Transfer-Encoding: 7bit Bcc: butch.russell@enron.com, rich.jolly@enron.com, william.kendrick@enron.com X-From: Larry Campbell X-To: Team Artesia, Team Monahans, Team San-Juan, Team San-Juan-LaPlata, Team Carlsbad, Team Andrews@Enron X-cc: Butch Russell, Rich Jolly, William Kendrick X-bcc: X-Folder: \Larry_Campbell_Nov2001_1\Notes Folders\Discussion threads X-Origin: CAMPBELL-L X-FileName: lcampbe.nsf For those teams that have turbines installed after 1990 and/or for those turbines which have undergone power unit changouts, the following recordkeeping and monitoring conditions apply: 1) DAILY recordkeeping of nitrogen and sulfur must be taken of the fuel gas which supplies the applicable turbine(s). 2) This recordkeeping consists of electronic recording (gas chromtograph for nitrogen and delmar or equivelant for sulfur) or stain tubes may also be used for sulfur. These DAILY records include measurements on Saturdays and Sundays. 3) The measurement must be taken at the location. An exception to this is that the nitrogen and sulfur measurements may be taken upstream or downstream of the applicable turbine facility provided that there are no natural gas deliveries into the pipe which would interfere or dilute/increase the measurements for the applicable turbine fuel gas. 4) Fuel gas records in hard copy form or equivalent for the nitrogen and sulfur must be maintained at the facility or at a central location for easy retrival. 5) A turbine facility may waiver out of this nitorgen and sulfur daily recordkeeping requirement by obtaining a custom fuel monitoring schedule (CFMS) from the EPA. Approval of a CFMS allows a greatly reduced recordkeeping and reporting for nitrogen and sulfur. CFMS requests have been submitted for the following facilities: P-1 C/S Plains Turbine C/S Atoka No 2 C/S Monument C/S Crawford C/S Bloomfield C/S Approvals have not as yet been obtained. Until issuance of a CFMS, an applicable facility is required to continue daily sampling for nitrogen and sulfur. Facilities which have received CFMS from the EPA include: La Plata C/S P-2 C/S Please be advised that there may be certain reporting requirements that might be required for each CFMS. I would strongly advise that the La Plata and Panhandle teams review their CFMS and include reporting dates into MCS, so that the deadlines and reportings are not missed. If you have a turbine facility which is subject to the nitrogen and sulfur reporting requirements and would like to reduce the reporting burden, contact Butch or myself.