📄 Extracted Text (517 words)
L.S.J., LLC
6100 Red Hook Quarter B3
St. Thomas, Virgin Islands
00802
December 30, 2017
Mr. Norman Williams
Director of Environmental Protection
45 Mars Hill
Frederiksted, St. Croix, VI
00840
Re: L.S.J., LLC Air Pollution Control
Dear Mr. Williams:
In connection with the application for renewal (the "Application") of Air Pollution Permits
STT-8-020-L-14 and STT-8-020-M-14 issued on February 7, 2014 with respect to the two
standby generators referred to therein (the "Permits"), and in accordance with the
telephonic advice received from Ms. LaToya Williams last week, L.S.J., LLC (the
"Applicant") respectfully submits herewith additional information relating to the extended
operation of standby generators no. 1 and no. 2.
As a preliminary matter, we understand, based on Ms. Cecile de Jongh's telephone
conversation with Ms. Latoya Williams last week that the annual usage limit of 500 hours
imposed under paragraph B.7 of each of the Permits does not apply to generators
manufactured after 2007. Inasmuch as the standby generators referred to in the Permits
were both manufactured in 2009, it appears that the 500 hours limit is inapplicable to the
standby generators referred to in the Permits, may have been applied to them in error
and should be removed from any further renewals granted for those standby generators.
In an abundance of caution, however, and in accordance with your instructions, we are
EFTA00799431
providing this supplement regarding the use of standby generators no. 1 and 2 in 2017 in
excess of the 500 hours limit.
Since the onset of Hurricane Irma, and, subsequently Hurricane Maria, Little St. James
has been cut off from its primary source of electricity from WAPA. The power outage has
continued through the date of this letter, leaving Little St. James Island without any source
of power other than through the operation of its standby generators. As a result, it has
been and continues to be necessary to operate Little St. James' standby generators full
time in order to sustain this island residence, which is the primary residence of its owner.
As indicated in the operational logs and the schedule of total hours of operation submitted
with the Application, prior to the arrival of Hurricane Irma, each of the standby generators
had been operated well below the 500 hours per year authorized under the Permits in
each of 2015 and 2016. Until the onset of Hurricane Irma, both standby generators no. 1
and no. 2 were within the annual 500 hours operational limit in 2017. Through the end of
August 2017, standby generator no. 1 was operated a total of 111 hours and standby
generator no. 2 was operated a total of 24.2 hours. However, after the hurricanes hit,
they have been operating in rotation on a full-time basis, and as a result, have exceeded
the 500 hours authorized for 2017. Nevertheless, it is our understanding that because of
the continuous power outage caused by Hurricanes Irma and Maria and the declaration
of the Virgin Islands as a disaster area, the 500-hour operational limits will not apply until
power from WAPA is restored to Little St. James.
Respectfully,
EFTA00799432
Danny Vicars
Engineering Supervisor
EFTA00799433
ℹ️ Document Details
SHA-256
90e473986c31c1cbf7c08e822e1a5cca9f920b62fcbf8b485d7dc2d2cbf91d59
Bates Number
EFTA00799431
Dataset
DataSet-9
Document Type
document
Pages
3