Dear Sirs,

It is a really interesting discussion. I haven’t written yet. But I want to 
share with all of you information regarding a fumes treatment part. As you can 
see in signature the company name we deal with fumes treatment units. We work 
mainly in renewable energy field such as gasification offering our systems to 
clean the fumes. This is our main archived goals:

-     Bag filtering systems, emissions < 1mg/Nmc, flue gas flow temperature  
600 ˚C;

-         A unique filtering system to DeDust – DeNOx – DeSOx, direct dedusting 
at temperature 350 - 400 Celsius degree;

-         Heat recovery systems.

 

Please be free to contact me for any issue,

 

Best regards,

 

Artem Filimonov / Филимонов Артём Владимирович

TVT Termoventiltecnica S.r.l.

Via Lo Stradone, 7 
31050 Ponzano Veneto (TV) 
Tel  <tel:%2B39%200422%20609%20110> +39 0422 609 110 
Fax  <tel:%2B%2039%200422%20612%20633> + 39 0422 612 633 

Skype: artem.tvt 

 <http://www.termoventiltecnica.com/> www.termoventiltecnica.com 
artem <mailto:[email protected]> @termoventiltecnica.com 

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Da: Gasification [mailto:[email protected]] Per 
conto di [email protected]
Inviato: lunedì 23 giugno 2014 0.35
A: [email protected]
Oggetto: Re: [Gasification] Clean Air Regulation requirements imposed on Waste 
to Energy Plants

 

            This standard is not uncommon and most of it is just verbiage to 
cover as many sources as possible. If below detection limit, or not in the 
input gas,  then it complies. The measurement is very expensive using standard 
US EPA 

methodologies, but there is equipment that can be used to detect below the 
standard methods of analysis and costs around the same cost as one 
comprehensive gas analysis, which could be

$35-60k in US terms. 

            The best way to comply is to remove as many of the contaminants as 
possible before the fume incinerator or flare. I can go into more detail, and 
indeed there may be a very inexpensive way of complying

if they would accept it, but I don't do it for free. 

Sincerely,

Leland T. "Tom" Taylor

Thermogenics Inc. 

 

-----Original Message-----
From: James Joyce < <mailto:[email protected]> [email protected]>
To: gasification < <mailto:[email protected]> 
[email protected]>
Sent: Sat, Jun 21, 2014 4:36 pm
Subject: [Gasification] Clean Air Regulation requirements imposed on Waste to 
Energy Plants

Some questions for the group. We have been asked to comply to the following 
regulation regarding operation of our thermal oxidiser. My questions are:

 

1.       Can any technology anywhere in the world claim to comply to this 
regulation ?    For example 99.99% destruction efficiency means that 100 ppmw 
of say formaldehyde in your process off-gas has to be reduced below 0.01 ppmw, 
which I am sure is well below the detection limit of available detection 
devices.  How you demonstrate 99.9999% removal is another matter again.

2.       How many pyrolysis plants are using the nuclear fission reactions that 
would be necessary to destroy the metals in their list !

3.       What work around are people using to deal with emissions regulations 
that appear impossible to comply with ?

 

 

New South Wales

PROTECTION OF THE ENVIRONMENT OPERATIONS (CLEAN AIR) REGULATION 2010 - REG 52

52 Destruction efficiency

(1) Group 6 treatment plant (other than flares) must be operated in such a way 
that the destruction efficiency of the plant, in relation to an air impurity 
entering the plant, is:

(a) if the air impurity originates from material containing any principal toxic 
air pollutant-more than 99.9999%, or

(b) in any other case-more than 99.99%.

(2) An enclosed ground-level flare for the treatment of landfill gas must be 
operated in such a way that the destruction efficiency of the flare, in 
relation to landfill gas entering the flare, is more than 98%.

(3) A reference in this clause to the destruction efficiency of Group 6 
treatment plant in relation to an air impurity (including landfill gas) is a 
reference to the destruction efficiency of the plant, in relation to the air 
impurity, calculated by using the following equation:

DE = (1 - MWout / MWin ) x 100

 

"DE" is the destruction efficiency, expressed as a percentage. 

 

"MWout" is the mass emission rate of the air impurity in exhaust emissions 
prior to its release to the atmosphere using a 1 hour rolling averaging period. 

"MWin" is the mass feed rate of the air impurity in a waste feedstream using a 
1 hour rolling averaging period.

 

"principal toxic air pollutant" means any one or more of the following 
elements, compounds or classes of compounds:

(a) acrolein,

(b) acrylonitrile,

(c) alpha chlorinated toluenes and benzoyl chloride,

(d) arsenic and arsenic compounds,

(e) benzene,

(f) beryllium and beryllium compounds,

(g) 1,3-butadiene,

(h) cadmium and cadmium compounds,

(i) chromium VI compounds,

(j) 1,2-dichloroethane (ethylene dichloride),

(k) dioxins or furans,

(l) epichlorohydrin,

(m) ethylene oxide,

(n) formaldehyde,

(o) hydrogen cyanide,

(p) MDI (diphenylmethane diisocyanate),

(q) nickel and nickel compounds,

(r) PAH, as benzo[a]pyrene equivalent,

(s) pentachlorophenol,

(t) phosgene,

(u) propylene oxide,

(v) TDI (toluene-2,4-diisocyanate and toluene-2, 6-diisocyanate),

(w) trichloroethylene,

(x) vinyl chloride.

 

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