RE: Oil & Gas RICE GP02 General Permit Approval for Package #

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1 October 3, 2017 Joel Kenyon Kerr-McGee Gathering, LLC Po Box Denver, CO RE: Oil & Gas RICE GP02 General Permit Approval for Package # Dear Joel Kenyon: The Colorado Air Pollution Control Division approves your company s registration of the equipment described below for coverage under general permit GP02 for natural gas fired reciprocating internal combustion engines (RICE) used at oil and gas sources. Please refer to general permit GP02 for all applicable requirements, limitations, terms and conditions. A copy of the general permit may be obtained via the Internet at the following web address: The following Table 1 contains identifying information for the engine to which this registration approval applies. Table 1 Company Name: KERR-MCGEE GATHERING, LLC Stationary Source Plant Name: POWARS COMPRESSOR STATION Emissions Point AIRS ID: 123-9F Stationary Source Location: SW1/4 SEC17 T1N R66W WELD WELD COUNTY APEN Document #: APEN Signature Date: 8/1/2017

2 The following Table 2 contains specific equipment information and process and emissions limits for the engine to which this registration approval applies. Engine Manufacturer: Caterpillar Engine Model: G3608 Engine Serial Number: TBD Table 2 Fuel Consumption Limit: Million standard cubic feet per year 7.2 Tons NOx per year Emissions Limits: 7.4 Tons CO per year 8.1 Tons VOC per year The following Table 3 contains regulatory applicability and stationary source classification determinations for the engine to which this registration applies [1]. These classifications determine, in part, what specific requirements are applicable under the general permit coverage. Table 3 This engine subject to New Source Performance Standard (NSPS) Subpart: This engine subject to Maximum Achievable Control Technology (MACT) area source requirements for subpart: Is this engine located at a synthetic minor stationary source for Title V Operating Permit, New Source Review, or MACT requirements? Is this engine located at a synthetic minor stationary source of NOx or CO? (If "yes", see Is this engine located at a synthetic minor stationary source of formaldehyde? (If "yes", see JJJJ NONE If you have any questions regarding this letter, please contact me directly at (303) Sincerely, Oluwaseun Ogungbenle Permit Engineer Stationary Sources Program Air Pollution Control Division

3 October 3, 2017 Joel Kenyon Kerr-McGee Gathering, LLC Po Box Denver, CO RE: Oil & Gas RICE GP02 General Permit Approval for Package # Dear Joel Kenyon: The Colorado Air Pollution Control Division approves your company s registration of the equipment described below for coverage under general permit GP02 for natural gas fired reciprocating internal combustion engines (RICE) used at oil and gas sources. Please refer to general permit GP02 for all applicable requirements, limitations, terms and conditions. A copy of the general permit may be obtained via the Internet at the following web address: The following Table 1 contains identifying information for the engine to which this registration approval applies. Table 1 Company Name: KERR-MCGEE GATHERING, LLC Stationary Source Plant Name: POWARS COMPRESSOR STATION Emissions Point AIRS ID: 123-9F Stationary Source Location: SW1/4 SEC17 T1N R66W WELD WELD COUNTY APEN Document #: APEN Signature Date: 8/1/2017

4 The following Table 2 contains specific equipment information and process and emissions limits for the engine to which this registration approval applies. Engine Manufacturer: Caterpillar Engine Model: G3608 Engine Serial Number: TBD Table 2 Fuel Consumption Limit: Million standard cubic feet per year 7.2 Tons NOx per year Emissions Limits: 7.4 Tons CO per year 8.1 Tons VOC per year The following Table 3 contains regulatory applicability and stationary source classification determinations for the engine to which this registration applies [1]. These classifications determine, in part, what specific requirements are applicable under the general permit coverage. Table 3 This engine subject to New Source Performance Standard (NSPS) Subpart: This engine subject to Maximum Achievable Control Technology (MACT) area source requirements for subpart: Is this engine located at a synthetic minor stationary source for Title V Operating Permit, New Source Review, or MACT requirements? Is this engine located at a synthetic minor stationary source of NOx or CO? (If "yes", see Is this engine located at a synthetic minor stationary source of formaldehyde? (If "yes", see JJJJ NONE If you have any questions regarding this letter, please contact me directly at (303) Sincerely, Oluwaseun Ogungbenle Permit Engineer Stationary Sources Program Air Pollution Control Division

5 October 3, 2017 Joel Kenyon Kerr-McGee Gathering, LLC Po Box Denver, CO RE: Oil & Gas RICE GP02 General Permit Approval for Package # Dear Joel Kenyon: The Colorado Air Pollution Control Division approves your company s registration of the equipment described below for coverage under general permit GP02 for natural gas fired reciprocating internal combustion engines (RICE) used at oil and gas sources. Please refer to general permit GP02 for all applicable requirements, limitations, terms and conditions. A copy of the general permit may be obtained via the Internet at the following web address: The following Table 1 contains identifying information for the engine to which this registration approval applies. Table 1 Company Name: KERR-MCGEE GATHERING, LLC Stationary Source Plant Name: POWARS COMPRESSOR STATION Emissions Point AIRS ID: 123-9F Stationary Source Location: SW1/4 SEC17 T1N R66W WELD WELD COUNTY APEN Document #: APEN Signature Date: 8/1/2017

6 The following Table 2 contains specific equipment information and process and emissions limits for the engine to which this registration approval applies. Engine Manufacturer: Caterpillar Engine Model: G3608 Engine Serial Number: TBD Table 2 Fuel Consumption Limit: Million standard cubic feet per year 7.2 Tons NOx per year Emissions Limits: 7.4 Tons CO per year 8.1 Tons VOC per year The following Table 3 contains regulatory applicability and stationary source classification determinations for the engine to which this registration applies [1]. These classifications determine, in part, what specific requirements are applicable under the general permit coverage. Table 3 This engine subject to New Source Performance Standard (NSPS) Subpart: This engine subject to Maximum Achievable Control Technology (MACT) area source requirements for subpart: Is this engine located at a synthetic minor stationary source for Title V Operating Permit, New Source Review, or MACT requirements? Is this engine located at a synthetic minor stationary source of NOx or CO? (If "yes", see Is this engine located at a synthetic minor stationary source of formaldehyde? (If "yes", see JJJJ NONE If you have any questions regarding this letter, please contact me directly at (303) Sincerely, Oluwaseun Ogungbenle Permit Engineer Stationary Sources Program Air Pollution Control Division

7 October 3, 2017 Joel Kenyon Kerr-McGee Gathering, LLC Po Box Denver, CO RE: Oil & Gas RICE GP02 General Permit Approval for Package # Dear Joel Kenyon: The Colorado Air Pollution Control Division approves your company s registration of the equipment described below for coverage under general permit GP02 for natural gas fired reciprocating internal combustion engines (RICE) used at oil and gas sources. Please refer to general permit GP02 for all applicable requirements, limitations, terms and conditions. A copy of the general permit may be obtained via the Internet at the following web address: The following Table 1 contains identifying information for the engine to which this registration approval applies. Table 1 Company Name: KERR-MCGEE GATHERING, LLC Stationary Source Plant Name: POWARS COMPRESSOR STATION Emissions Point AIRS ID: 123-9F Stationary Source Location: SW1/4 SEC17 T1N R66W WELD WELD COUNTY APEN Document #: APEN Signature Date: 8/1/2017

8 The following Table 2 contains specific equipment information and process and emissions limits for the engine to which this registration approval applies. Engine Manufacturer: Caterpillar Engine Model: G3608 Engine Serial Number: TBD Table 2 Fuel Consumption Limit: Million standard cubic feet per year 7.2 Tons NOx per year Emissions Limits: 7.4 Tons CO per year 8.1 Tons VOC per year The following Table 3 contains regulatory applicability and stationary source classification determinations for the engine to which this registration applies [1]. These classifications determine, in part, what specific requirements are applicable under the general permit coverage. Table 3 This engine subject to New Source Performance Standard (NSPS) Subpart: This engine subject to Maximum Achievable Control Technology (MACT) area source requirements for subpart: Is this engine located at a synthetic minor stationary source for Title V Operating Permit, New Source Review, or MACT requirements? Is this engine located at a synthetic minor stationary source of NOx or CO? (If "yes", see Is this engine located at a synthetic minor stationary source of formaldehyde? (If "yes", see JJJJ NONE If you have any questions regarding this letter, please contact me directly at (303) Sincerely, Oluwaseun Ogungbenle Permit Engineer Stationary Sources Program Air Pollution Control Division

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