
To: 	Project Files							From:	Susan Fairchild
	Project Docket (EPA-HQ-OAR-2010-1041)			Date: 	May 1, 2012
Re: 	Mineral Wool Industry Telephone conference calls on May 1, 2012
Two phone calls were made by the project lead to industry representatives that had stated in the April 30, 2012 EPA/Industry meeting they would provide EPA with additional information on which to consider HF, HCl and COS limits for the final rule.
Steve Edris , Thermafiber 
There are 2 types of cupolas- closed top and open top.  When a cupola is closed top its air flow is restricted and controlled through `tweers', which are small ports in the bottom of the cupola through which air is drawn at a specific rate.  Closed top cupolas have a different emissions profile as a result of being closed and having a controlled air flow.
Open top cupolas are open to the air and air flows unrestricted and uncontrolled through the cupola.  The air flow rate is not regulated and so the emissions profile through an open top cupola is different.
All mineral wool products can be made on either open or closed top cupolas. 
We put sorbent injection in before the baghouse to reduce SO2 and we expected this would be able to get any HF or HCl that was emitted, but it doesn't achieve the level of control that would be required by the proposed limits. So it seems like the best control can't achieve your proposed limits, and these pollutants are not a real health threat anyway at these concentrations, so why is EPA pursuing such tight limits for these pollutants?
Translating the costs we've incurred to achieve control across the industry is not really appropriate in this situation because we are not spending this money out of our profits- we actually declared bankruptcy years ago and went through a restructuring. We are owned by a trust and our profits go to benefit asbestos victims that were former employees of the company. We can't really go out of business as a result of costs, we just don't make as much money for the trust. So the rationale that one company spent all this money and the others can too isn't really appropriate for this industry.
Chris Bullock - IIG
Coke used at all mineral wool facilities is `foundry' coke- scraps from GM and other foundries.  The other coke available in the US is furnace coke.  Furnace coke is higher in volatile content but it won't melt rock.  Furnace coke cannot be used to make mineral wool.  The cost of foundry coke is 5X what it cost in 2003. 
Slag used in IIG mineral wool production is iron ore slag- it is about 40% Si, 10-12% Al, 10% MgO, 30% Ca, some FeO and trace amounts of other metals.  This is slag made from the first melt (primary iron) of the iron ore. Some slag used at other mineral wool producers is EAF slag which has different chemistry because it is collected from recycling scrap iron, which has already been melted at least once.  So the slag is much lower in iron and other metals.  Different chemistry of the slag will make mineral wool products for different uses.  One does not necessarily substitute for another because each must meet the specificity of its' end use, and meet UL specifications for what those end use requirements are. So although each cupola could theoretically produce any mineral wool product, the fact is that the product is a result of the raw materials available to the mineral wool producer's location.  None of our companies would transport slag from across the country.  We all use the rock or slag that is close to us.  If a slag producer (for instance, the iron ore plant from which we get our slag) were to close down, we'd be in a difficult position because we'd have to make product to fill either a new niche or make the product fill the existing niche with a different (i.e, mostly rock?) chemistry.  
We have invested in lots of controls to reduce our air pollution and it's not really okay with us to give the rest of the industry a pass. The incinerator for our 2 cupolas cost us $5.5M; the new electric furnace was $6M and $1M was spent on restructuring the plant.  
