Title: RGVSG RENEWABLE ENERGY PROJECT
1RGVSG RENEWABLE ENERGY PROJECT
2INTRODUCTION
- RGVSG proposes to construct a 23.8 million Clean
Energy and Clean Air Project - The Project will involve partial funding from the
North American Development Bank (NADB) - Certification by the Border Environment
Cooperation Commission (BECC) is required
3PROJECT OBJECTIVES
- Project needs to result in a net reduction in the
emission of air pollutants - The Upgraded Facility should utilize all of the
bagasse for on-site energy production with excess
energy available that can be sold - Improve efficiency for existing needs and for
future expansion of Mill capacity
4BACKGROUND
- RGVSG Mill has been in existence since 1973 and
employs 188 full-time personnel (approximately
565 personnel during the grinding season) - The RGVSG Cooperative has a membership of 127
sugar growers and is the only sugar mill in the
State of Texas
5BACKGROUND
- Project is located 2 ½ miles west of the City of
Santa Rosa on Hwy 107 - The RGVSG members actively farm up to 47,000
acres of sugar cane (3 of the arable land in
RGV) yet provides almost 12 of the GDP in the
RGV (75M/Yr)
6PROJECT HISTORY
- RGVSG contracted with Schaffer Associates in
1998 to conduct planning and design work for a
two-phase expansion of the Mill - Schaffer Associates were the original design
engineers in 1972 when the Mill was constructed - Phase 1 includes Bagasse Boiler Upgrade
- Phase 2 includes Boiler House Upgrades
7PROJECT HISTORY
- C-K Associates were contracted by the RGVSG in
2000 to complete the air emissions report,
computer modeling and permit applications for the
Air Quality Permit - In 2002 RGVSG determined that due to market
conditions and past performance, funding for the
23.8 million Project would be sought to
implement the design of the Phase 1 Mill
Expansion
8PROJECT HISTORY
- RGVSG contacted NADB to request partial funding
under the new mandate program by NADB - Turner Collie Braden Inc. (TCB) was contracted
by the RGVSG to coordinate and prepare the
required Project Certification Documents for BECC
approval - NADB contracted Pollutech International Limited
to complete the technical review on behalf of the
NADB
9SUGAR MILL PROCESS
- The proposed Mill Operation is 200 operating days
based on 100 new boiler capacity and a maximum
of 70 old boiler capacity - Plant was originally designed for 7,500 tcd (tons
of cane per day) which has been upgraded to
10,000 tcd and will remain at this capacity for
the Project - Potential to expand to 15,000 tcd with the
implementation of Phase 2 Improvements in the
future and change in US Quota (Farm Bill)
10SUGAR MILL PROCESS
- General Process of Operation includes
- - receipt and weighing of cane at the mill
- - washing of raw cane to remove soil
- - heavy duty shredding to prepare for milling
- - milling (7 mills in tandem) to remove 95 of
sugar juice in cane - - sugar juice limed and heated for contaminant
removal - - clarification of heated and limed juice
- - clarified juice to pre-heaters to produce
concentrated syrup - - concentration of syrup in vacuum pans to form
crystalline sugar - - batch centrifugation to separate sugar from
liquor (molasses) - - storage of crystalline sugar in the sugar
warehouse
11Receipt of Cane at Mill
12Washing/Shredding of raw cane
13Milling of Cane (7 mills in tandem)
14Heating/Evaporation
15Separation of Sugar/Molasses
16Storage of Raw Sugar
17Storage of Molasses
18Bagasse Handling/Storage Area
19PROCESS FLOW CHART
20MASS BALANCE SUMMARY
- NOTE WATER MAKES UP THE REMAINING 48 LOST TO
EVAPORATION
Component Percent of Cane 5 Year Average () Production Data (tons/year)
Raw Cane 100 1,600,000
Sugar 9.85 157,571
Molasses 3.7 59,283
Bagasse 30 480,296
Filter Mud 6.1 97,642
Cane Wash Sand 1.2 19,192
Ash 1.36 21,823
Air Emissions 0.03 471
21PROJECT DESCRIPTION
- The proposed project includes
- - conversion of all bagasse conveyors to fully
automated belt conveyors - - expansion and upgrade of the bagasse storage
building - - conversion of the boiler building to handle
the modified bagasse conveyor system - - installation of a new high efficiency boiler
- - new condensate storage tank
- - rebuilt 6,000 KW turbine generator
22New Bagasse Handling System
- Necessary to remove limitations on the delivery
of the primary fuel source for the boilers - Significantly reduce or eliminate the need and
associated costs of the front end loaders and
operators
23New Boiler
- The addition of a new boiler to increase steam
capacity by 300,000 lbs/hr for total capacity of
800,000 lbs/hr (60 increase) - A wet scrubber and mechanical dust collector to
reduce air emissions - Since the Plant only needs 540,000 lbs/hr to
operate, existing boilers are operating at
reduced capacity (reduced air emissions from both
existing and new boilers)
24TURBINE GENERATOR
- New Boiler will be coupled with a Topping Steam
Turbine (already purchased) and a new 6000 KW
Turbine Generator - Will bring installed power to 11,000 KW
- Will enable the Plant to produce energy for
operation and export (sell) excess energy
25PROJECT BENEFITS
- Reduction in use of fossil fuels through the
implementation of a renewable energy source
through production of 11 MW leaving 5 MW for sale - Eliminates the need for purchase of 1.7 MW of
outside energy that will be available for use by
others - A 42 reduction in total mass of air pollutants
- Increased level of service to RGVSG members
26PROJECT COSTS
- Source NADB Pollutech Report
- Note Payback does not show any cost recovery
from the sale of power
Process Upgrade (10,000 tcd) Capital Cost Annual Cost Savings Payback Period (years)
Bagasse Handling 6,442,532 247,478 26.0
Boiler Upgrades And Turbine Generator 17,384,405 1,853,120 9.4
Total Upgrade 23,826,937 2,100,598 11.3
27PLANT POWER BALANCE
Year Natural Gas Purchased Electricity Purchased Purchased MW Average Day Total Demand MW Bagasse Power MW Grid Power - Sale Purchase
1998 Mft3 160,332 438,278 KW 6,942,600 423,731 2,042 hrs 3.40 MW 239,211 tby 0.12 MW 3.40 MW
1999 Mft3 228,638 536,114 KW 8,354,400 486,289 2,939 hrs 2.85 MW 346,033 tby 0.12 MW 2.85 MW
2000 Mft3 268,171 701,962 KW 8,841,600 550,183 2,485 hrs 3.56 MW 316,836 tby 0.13 MW 3.56 MW
2001 Mft3 324,482 2,005,955 KW 17,906,400 1,363,775 4,076 hrs 3.80 MW 457,573 tby 0.13 MW 3.80 MW
2002 Mft3 23,210 52,723 KW 10,661,592 697,058 3,936 hrs 2.71 MW 457,573 tby 0.14 MW 2.71 MW
Typical Day 6 MW 4.3 MW 1.7 MW
Future KW 0 0 3,600 hrs 0 MW 6 MW 11 MW - 5 MW
28PLANT POWER SUMMARY
- Note based on 24/hr day, 150 days per year
(3,600 hours/year) - Source NADB Pollutech Report, January 2003
Operating Capacity Supply (kw/hr) Demand (kw/hr) Deficit (-) Excess () (kw/hr) Power Purchased (0.051/kw) Power Sold (0.025/kw)
Current production (10,000 tcd) 11,000 6,000 5,000 450,000
Bonus for reduce grid draw 1,700 312,120
29AIR QUALITY
- The RGVSG expect to receive the draft permit from
the TCEQ for the Mill Operations issuance of
final permit within 60 days after public comment
period (Consolidated Permit No. 114) - The RGVSG is defined as a major stationary
source under the Federal Clean Air Act - The RGVSG also has a Cane Burning Permit
30AIR QUALITY
- RGVSG is permitted for
- - 2,490.4 tpy CO
- - 0.54 tpy SO2
- - 233.2 tpy Nox
- - 222.08 tpy CO
- - 443.88 tpy VOC
- As a result, the RGVSG Mill is subject to PSD
Regulations (Prevention of Significant
Deterioration) thus must conduct analysis of BACT
31AIR QUALITY
- The proposed air quality permit limits the
operation of the existing boilers at 70 capacity
and the new boiler at 100 capacity (note power
required for 10,000 tcd results in 29 capacity
for old boilers) - The reduction in total air emissions for the
upgraded facility results from the reduced
operation of the existing boilers and increased
efficiency of the new boiler
32PSD EVALUATION
- Growth Analysis No additional air emissions
from off-site growth - Air Quality Impact Analysis modeling analysis
adequately evaluates the total ground level
concentrations of NO2 from improvements - Soils/Vegetation Analysis the projected NO2
concentrations are below the standards and
significant level thus no adverse impact - Visibility Impairment Analysis plant is located
in sparsely populated area with no scenic vistas
or airports thus no impairment - Area Impacts the plant is located 1,110 km from
the closest Class 1 Area (Big Bend) thus no
impact (gt100 km separation)
33PROJECTED EMISSIONS
- 1 Actual reported emissions based on stack
testing of October 2001 - 2 Projections from Pollutech Analysis Boilers
1 to 4 at 34, new Boiler at 90
Current Emission Rate (tpy)1 Old Boilers at 34 Cap (tpy) New Boiler at 90 Cap (tpy) Total Plant Emissions2 Emissions Change (tpy) Emissions Change ()
CO 2458 1091 229 1320 -1138 -46.3
SOx 2.1 0.9 0.01 0.91 -1.2 -55.3
Nox 482 214 225 439 -43 -9.0
PM10 385 171 27 198 -187 -48.6
VOC 157 70 9 79 -78 -50.0
Total 3484 1547 489 2036 -1448 -41.6
34CROP BURNING
- In addition to the Air Quality Permit for the
Plant, the RGVSG also has a Crop Burning Permit
under Order 94-35 - The cane burning is authorized only until such
time that an alternative method of harvesting
becomes technologically practicable and
economically reasonable and which would not
require outdoor cane burning
35CROP BURNING
- Permit was developed through input of the
Sugarcane Burning Task Force which included the
Sierra Club - There are a number of conditions that must be met
that include - - RGVSG shall report each year on program to
stimulate development of harvesting methods that
eliminate outdoor burning - - Submission of a comprehensive map of burn
areas prior to harvesting - - A series of preharvet burning conditions that
limits burns to specific times and conditions
and maximum number of acres per day in each
quadrant (200 acres) - - RGVSG was required to monitor cane burn for a
1 year period after permit was issued in 1994 by
an environmental firm for PM10 emissions before,
during and after burns to set the baseline.
36CROP BURNING
- RGVSG is continuing to evaluate alternative
technologies to cane burning at this time - This past year the RGVSG reported that almost 30
of the cane was green harvested and that they
project this to increase in the future
37ENVIRONMENTAL ASSESSMENT
- TCB has provided an environmental assessment of
the project in support of the Step 2 Report - These findings are summarized below
- - Air Quality impacts are significantly reduced
- - Project promotes the use of renewable energy
sources - - Project reduces reliance on fossil fuels
- - There are no water/wastewater issues, Plant is
effectively Zero Discharge although a Discharge
Permit is in effect -
38ENVIRONMENTAL ASSESSMENT
- RGVSG has a Stormwater Pollution Prevention Plan
with proactive monitoring - Cumulative Impacts are positive to the
environment - Positive socioeconomic impact through short-term
impacts due to construction and long-term due to
increased sustainability and efficiency - RGVSG is proactive towards environment as
evidenced by P2 Site Assistance Visit/Small
Business Compliance Audit/TCEQ Pilot EMS Program
39BECC CRITERIA
BECC CRITERIA COMPLIANCE
Alternative Analysis ?
International Treaties and Agreements ?
Human Health and Environment ?
Compliance with State and Federal Regulations ?
Environmental Impact Assessment ?
Technical Feasibility ?
Appropriate Technology ?
Operation and Maintenance Plan ?
Design Regulations and Standards ?
Financial Feasibility ?
Community Participation Plan ?
40PROJECT STATUS
- Currently, the design has been completed for the
Phase 1 and Phase 2 Expansions with some portions
of Phase 1 already being bid with analysis of
contractor bids - RGVSG is seeking certification approval by the
BECC in March 2003 - The Step 2 Report and Technical Evaluation by
NADB will be completed by February 3, 2003
41PROJECT SCHEDULE
- Project approval on March 27, 2003
- Completion of PPA and Loan Closings in late
2003/early 2004 - Completion of Bagasse Handling Facilities in 2004
- Completion of Boiler/Generator Facilities by
April 2005 (12 months lag time from order to
delivery of boiler)
42PUBLIC COMMENT
- Remember to sign the attendance log and survey
- If you do not wish to speak, written comments may
be submitted to - Rio Grande Valley Sugar Growers, Inc.
- P.O. Box 459
- Santa Rosa, Texas 78593
- Attention Jack Nelson, President
- Comments will be accepted up to February 3, 2003