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HomeMy WebLinkAbout19321 63RD AVE NE_BLD2356_2026 GiTY OF ARLIAGTON 238 N. OLYMPIC AVE -ARLINGTON, WA. 98223 PHONE; (360) 403-3551 BUILDING PERMIT Address:19321 63rd Ave NE Permit#:2356 Parcel#:31051500401208 Valuation:4501.80 OWNER APPLICANT CONTRACTOR Name:Vardy Diversified/AMA Name:Scott McCutchan Name:Gasline Mechanical Inc. Address:PO Box 129 Address:20203 99th Ave NE Address:9926 Elliott Road City,State Zip:North Lakewood,WA 98259 City,State Zip:Snohomish,WA 98296 City,State Zip:Snohomish,WA 98296 Phone:425-218-8182 Phone:206-949-9645 Phone:425-487-2359 LIC: EXP: MECHANICAL CONTRACTOR PLUMBING CONTRACTOR Name:Gasline Mechanical Inc. Name: Address:9926 Elliot Rd Address: City,State,Zip:Snohomish,WA 98296 City,State,Zip: Phone:425-487-2359 Phone: LIC#:GASLIM1066CD EXP: 5/10/2019 LIC#: EXP: JOB DESCRIPTION PERMIT TYPE: Commercial Mechanical CODE YEAR: 2015 STORIES: CONST.TYPE: DWELLING UNITS. OCC GROUP: BUILDINGS: OCC LOAD: PERMIT APPROVAL I AGREE TO COMPLY WITH CITY AND STATE LAWS REGULATING CONSTRUCTION AND IN DOING THE WORK AUTHORIZED THEREBY, NO PERSON WILL BE EMPLOYED IN VIOLATION OF THE LABOR CODE OF THE STATE OF WASHINGTON RELATING TO WORKMEN'S COMPENSATION INSURANCE AND RCW 18.27. THIS APPLICATION IS NOT A PERMIT UNTIL SIGNED BY THE BUILDING OFFICIAL OR HIS/HER DEPUTY AND ALL FEES ARE PAID. IT IS UNLA FUL TO USE OR OCCUPY A BUILDING OR STRUCTURE UNTIL A FINAL INSPECTION HAS BEEN MADE AND APPROVAL OR A CERTIFI ATE OF OCCUPA CY HAS BEEN GRANTED. IBC1I0/IRC110. ALES T NOTICE:S sax relating to construction and construction tcrials in the Ci y of Arlington�musbe rc >�onyour sales tax return form and t tature Print Name atc Released By Day" CONDITIONS Adhere to approved plans. Please call for final inspection. THIS PERMIT AUTHORIZE ONLY THE WORK NOTED.THIS PERMIT COVERS WORK TO BE DONE ON PRIVATE PROPERTY ONLY. ANY CONSTRUCTION ON THE PUBLIC DOMAIN(CURBS,SIDEWALKS,DRIVEWAYS,MARQUEES,ETC.)WILL REQUIRE SEPARATE PERMISSION. PERMIT FEES Date Description Fee Amount 1/17/2019 Mechanical Fee(Enter Fixture Fee) $100.00 1/17/2019 Mechanical Plan Review Fee $200.00 1/17/2019 Processing/Technology Fee $25.00 Total Due: $325.00 Total Payment: $0.00 Balance Due: $325.00 CALL FOR INSPECTIONS BUILDING(360)403-3417 When calling for an inspection please leave the following information: Permit Number,Type of Inspection being requested,and whether you prefer morning or afternoon f -. -i Permit Information Date 1/15/2019 Permit Number 2356 Project Name 19321 63rd Air Filter Applicant Name Scott McCutchan Applicant Address 20203 99th Ave NE City,State,Zip Snohomish,WA 98296 Contact Scott McCutchan Phone 206-949-9645 Email scott.mccutchan@hotmail.com Permit Type Commercial Mechanical Site Address 19321 63rd Ave NE Valuation 4501.80 Status Applied Permit Issued Permit Expires Square Feet 0 Type of Construction/Occupancy Load Commercial Mechanical Number of Stories 0 Proposed Use Air filters Assigned To Raelynn Jones Property Parcel Address Legal Owner Owner Phone Zoning 31051500401208 19321 63RD AVE NE Vardy Diversified/AMA 425-218-8182 Contractors Contractor Name Primary Contact Phone Email Contractor Type License License# Gasline Mechanical Inc. John R Anderson 125-487-2359 anderson aslinemechanical.com CONSULTANT _&I 3ASLIM1066CD Fees Fee Description Notes Amount Mechanical Fee Enter Fixture Fee 322.10.00.00 $100.00 Mechanical Plan Review Fee 322.10.00.00 $200.00 Processin /Technolo y Fee 341.43.00.02 $25.00 Total $325.00 Uploaded Files Upload File Date File Uploaded B 1/15/2019 1:38:29 PM 2356 Gasline quote(3).pdf Jones,Raelynn 1/15/2019 1:38:29 PM 2356 Gasline quote(2).pdf Jones,Raelynn }[ 1/15/2019 1:38:29 PM 2356 Gasline quote(1),pdf Jones, Raelynn �{ :•'y �, COMMERCIAL MECHANICAL • PERMIT APPLICATION ING Department of Community&Economic Development City of Arlington • 18204 59th Ave NE •Arlington, WA 98223 • Phone(360)403-3551 THIS APPLICATION MUST BE ACCOMPANIED BY TWO (2) SETS OF CONSTRUCTION DRAWINGS AND ALL OTHER INFORMATION OUTLINED IN THE MECHANICAL PERMIT SUBMITTAL =TS, IF APPLICABLE. Type of Permit: New Installation ❑ Replacement Project Address: ,� '-Zt Cv `ZwE L {--,G. Parcel#: Project Description: i 2. LC��� Valuation: J��, Owner %vt t C_ Phone#: Address ' City: State: Zip: Email Address: Contact Person: Phone#: 4 z/� Address: s >:5 :Z3;7 �1 (� City: ` rnt .S State: t �y .- Zip: �7 Email Address: _ �m b CC�K4-eA o 1 6-:9 Contractor Name: � AD' d� l><� Phone#: z Contractor Address: / ��Ciiitty:: } State:B , Zip: Email: �taSr' �7V ��7 8h1��t '�' ��hf.Q`_ a er on Contractor License Number: Expiration: Please indicate type of number of appliances: FURNACE CONDENSING UNIT GAS PIPING OUTLET BOILER HEAT PUMP(multi-split) UNIT HEATER CHILLER HEAT PUMP(mini-split) PAINT BOOTH COOLER HEAT PUMP(other) TYPE I HOOD AC(air cooled) HEAT REJECTION EQUIP TYPE II HOOD AC(water cooled) VENTILATION SYSTEM AST AC(evaporator) PACKAGED UNIT UST AC(VRF) DRYER OTHER 4Ni0., C MeiQ hereby certify that the above formation is correct and that the construction on, and the occupancy and the use of the above- described property will be in a rdance itt t d regulation of the State of Washington. Applicants Signature: *� Date Applicants Printed Name: FOR STAFF USE ONLY 43,55 1N 15 �ntg Permit# Ace ptecTty Amount Received Receipt# Date Received 6/16LP Page 1 of 1 J � ' -7. Home L'spahol : Contact Saarch L&I b ti i Industries Washington State Department of Labor & Industries GASLINE MECHANICAL INC Owner or tradesperson P O BOX 1108 WOODINVILLE,WA 98072-1108 Principals 425-487-2359 ANDERSON,JOHN ROBERT,PRESIDENT KING County OSBORNE,MICHAEL E,SECRETARY (End:05/06/2002) Doing business as GASLINE MECHANICAL INC WA UBI No. Business type 601 510 390 Corporation License Verify the contractor's active registration/license/certification(depending on trade)and any past violations. Construction Contractor Active. Meets current requirements. License specialties GENERAL License no. GASLIM1066CD Effective—expiration i 02/04/1994—05/10/2019 Bond No bond accounts during the previous 6 year period. Insurance Ohio Security Ins Co $1,000,000.00 Policy no. BKS54674191 Received by L&I Effective date 01/03/2019 02/01/2019 Expiration date 0210l/2020 Ohio Cas Ins Co $1,000,000.00 Policy no. BKS54674194 Received by L&I Effective date 01/29/2018 02/01/2012 Expiration date 02/01/2019 Savings .. ............... (in lieu of bond) $6,000.00 Help us improve Received by L&I Effective date 05/12/2005 05/06/2005 Release date Impaired date N/A N/A Savings account ID 47405802391829 (in lieu of bond) $6,000.00 Received by L&I Effective date 10131/2001 10/31/2001 Release date Impaired date N/A N/A Savinqs account ID 47035821405659 Savings history Lawsuits against the bond or savings No lawsuits against the bond or savings accounts during the previous 6 year period. L&I Tax debts No L&1 tax debts are recorded for this contractor license during the previous 6 year period,but some debts may be recorded by other agencies. License Violations No license violations during the previous 6 year period. Fw—orkersg comp Do you know if the business has employees?If so,verify the business is up-to-date on workers'comp premiums. L&I Account ID Account is current. 855,874-00 Doing business as GASLINE MECHANICAL INC Estimated workers reported Quarter 3 of Year 2018"11 to 20 Workers" L&I account contact T1/IDA HAYNES(360)902-5635-Email:HAYN235@lni.wa.gov Public Works Strikes and Debarments Verify the contractor is eligible to perform work on public works projects. Contractor Strikes No strikes have been issued against this contractor. Contractors not allowed to bid No debarments have been issued against this contractor. Workplace safety and health No inspections during the previous 6 year period. 4 ti rrlyashington", improveHelp us Notice of Construction (NOC) Worksheet psc lean air.org Puget Sound 1 Air Agency Applicant: G&S Greenery NOC Number: 11387 Project Location: 19321 63'"Ave NE,Arlington,WA 98223 Registration Number: 30023 Applicant Name and Phone: Scott McCutchan,(206)949-9645 NAICS: 000000 Engineer: Ralph Munoz Inspector: Elizabeth Gilpin A. DESCRIPTION For the Order of Approval 'Pier 11 recreational cannabis production and processing facility consisting of approximately 5000 square feet of indoor production canopy with no extraction processes occuring. Odors and organic emissions are controlled by at least four carbon canisters rated at 2500 cfm each. Additi nallnformation(ifneeded) Project: The applicant proposes to produce 48 crops per year consisting of 1200 Ibs of cannabis flowers and 500 Ibs of cannabis leaves per year.Production will include trimming and packaging and will not consist of any extraction processes. Facility:G&S Greenery has an active"Marijuana Processor"and a"Marijuana Producer Tier 2" endorsement according The State of Washington business licensing service. The cannabis canopy area square footage is in the middle of the Tier 2 category,10,000sgft. 'Their license is shown below from the department of revenue Washington States website:hops://secure.dor wa rtov/Rteunauth /96 G&S Greenery NOC Worksheet No.11387 pscleanair.org Puget Sound Air Agency MY DOR a Business License Lo s G&S GREENERY Ucense Information: Newsearch Prewoussearc EndtV name: GOS GREENERY LLC BUNInam owns: GaS GREENERY Entity type: red Liability Comoany UBI: 603.356.198 Business 10 WI Loran 0 0001 Location: open stab®: To cheer the ataxy of th:a company Qa to uta lmiogl he%l I i. . u n ry Loca&orr afteat 1932163RD AVE NE STE A ARLINGTOR WA,98M I&aiYrg ed&mm- 20203 99TH AVE SE SNOHOMISH.WA 9a296 Vievr AdddioaN Locabans Endomemmns Ihm b�tm- Lim*#a Slatuo FtvrraLnp dtlu -:,a on;uan•. r's+r;ta •Aro:eaanr 416M Active Dec-31-2017 Seµ192014 hlarquana Producer Tier 2 4159W Actve Dec-31201T Sep•19.2014 Govenlag People green sw�Np.*aaawbe•aarraoa MCCUrCHAN,SCOTT Ww"stien current 26 of G11rAlT 6 59:49 AM B. DATABASE INFORMATION 3=1-G&SGrmn y --- -- — -- -__-x Basic E,,P "! Caunt 1 r y Name _� NCAN.. BECade Vex U-RatdC. Raced U_ NOC.. Cerrrererts s 30023 G&SSz•••_. I I13a7 76• O Ca mt: 'rta'Cura po. 7Qi7 i 5007.00 Sq.Ft Cw"Equipment - Count I FL*- Name hemIr NCMoa. C£Code Veer._ U. tlamw&,_ Comments T s 30023 G&S r Gn:<ra y 1 11UT +&-.tctaaaat cart,_. mu a 2700A0[ can�aeaa ton Zmocmraerinq e1s the wrarban 2 is I G&SGreenery ^f NOC Worksheet No.11387 - pscleanair.org Puget Sound Clean Air Agency NSPS No A licable NSPS:None Dele sted?N/A NESHAP No A livable NESHAP:None Dele Delegated?N/A S thetic Minor No C. NOC FEES AND ANNUAL REGISTRATION FEES NOC Fees Fee Description Cost Amount Received(Date) Filin Fee $1,150 Equipment (NU Growing) $600 Control Equipment:Review:(Tier 2)I- $1,200 502license 1 SEPA(DNS) $800 Filing received $1,150(5/25/17) Additional fee received $2600(due) Cwnmatted[G7c11:NOtetoself—neeo pay _ l Total $3,750 _ d t_ Sent email to Lizzy for additional fees$2,600 Not paid as of 1/2/18,sent m.mccutchan1phopnail mt a follow up email. Registration Fees A licabili R lation I Description Note 5.03(a)(5)(A) Activated carbon adsorption having a rated capacity of greater than or equal to 200 efm 5.03 a 8 Cannabis uetion Annual istration Fee Regulation I Description Fee 5.07 c Base fee St,tSo Total= $1,150 D. STATE ENVIRONMENTAL POLICY ACT(SEPA)REVIEW Regulation 1,Article 2 includes the Puget Sound Clean Air Agency SEPA rules and regulations,along with Chapter 197-11 of the WAC. SEPA allows the Agency to consider the environmental impacts of an application before an order of approval is given out. SEPA review is required for applications which involve a government"action"as defined in SEPA rules and regulations(categorical SEPA exemptions arc listed in WAC 197-11-800 through-890). Projects requiring an air permit are not categorically exempt under WAC 197-11-800(1)(a)(iii)and(2)(a)(iii)—projects that require a license governing emissions to air except variances and open burning permits 3 1 I G&S Greenery NOC Worksheet No.11387 psc lean air.org Pugetsound Agency Maggie Corbin contacted City of Arlington on 3/17/15 for a separate cannabis project to determine if they had permitting requirements that would trigger SF,PA.Christopher Young responded that the City did not require a SEPA for this project or other 1-502 producer/processors within the City. The growers are using existing,vacant manufacturing occupancies with same zone requirements. FW Request for Input-SEPA Detend Sharpl_20171128_I 03S40.pdf A follow up email was sent to the city of Arlington's contacts—Paul Ellis and Christopher Young,to ensure there are still no permit requirements in this area and also allow them to comment on the project. Christopher Young's email came back undeliverable(1/2/18). 1 checked with SEPA agency list on the Department of Ecology's website and did not find an alternate contact for city of Arlington. Paul Ellis' email is still working as of 1/2/18. Paul responded on 1/9/18 and said he and his staff had no comments; N. aaJ @eoasa!•,.ri+ypr.,'.a.Tra To- IIJp.M1 1'.v[ Suhyed: A SEll�1l3R/ Yes thank you I fonvenf R to Mff a^.d I ba�e\•e i:e do not ha-any comments au:E1.3,ICAIA,CM OT},Adm;n:srratnr C,ty MA,ngton 160 403 46133 ._ram'i';'•��: Based on the City's response,and the review of the checklist,the Agency is recommending a determination of non-significance with no public comment. E. BACT REVIEW WAC 173-400-113 states that a permitting authority that is reviewing an application to establish a new source or modification in an attainment or unclassifiable area shall issue an order of approval if it determines that the proposed project satisfies "The proposed new source or modification will employ BACT for all pollulants nol previously emitted or whose emissions would increase as a result of the new source or modification." This BACT(defined below)requirement applies to this facility since this is a modification to an existing source. Washington State regulation,WAC 173 400-030,defines Best available control technology(BACT)as an emission limitation based on the maximum degree of reduction for each air pollutant subject to regulation under chapter 70.94 RCW emitted from or which result from any new or modified stationary source, which the permitting authority, on a case-by-case basis, taking into account energy, environmental, and economic impacts and other costs, determines is achievable for such source or 4 G&S Greenery NOC Worksheet No.11387 � pscIeana!r.org Puget sound Ci ea n Air Agency modification through application of production processes and available methods,systems,and techniques, including fuel cleaning,clean fuels,or treatment or innovative fuel combustion techniques for control of each such pollutant. In no event shall application of the "best available control technology" result in emissions of any pollutants which will exceed the emissions allowed by any applicable standard under 40 C.P.R. Part 60 and Part 61. Emissions from any source utilizing clean fuels, or any other means, to comply with this paragraph shall not be allowed to increase above levels that would have been required under the definition of BACT in the Federal Clean Air Act as it existed prior to enactment of the Clean Air Act Amendments of 1990. Analvsis: The purpose of the BACT review is to demonstrate that G&S Greenery will implement limitations or reductions for all increases in VOC and odor emissions from cannabis production and processing operations. For this permitting action, this project will increase emissions of odors and volatile organic compounds (VOCs). An odor and VOC [TACT determination for cannabis production and processing operations has been established by the Agency from recent permitting actions and is discussed and presented below. Technologies potentially used for controlling odors and VOC from cannabis production include carbon canisters, odor masking (which is not allowed under Agency rules), odor neutralizers and ozone generators.There are other odor and VOC control technologies used in other industries including: packed bed scrubbers(won't work well on semi volatile organics), • afterburners(expensive,uses fuel and creates other regulated pollutants), • biofilters(would require too much room),and potassium permanganate filters (more expensive and this level of control is not needed for the semivolatiles at hand). There is no information available that indicates these technologies are used in the cannabis production industry;so their technical feasibility for odor and VOC control has not been documented. Based on existing information carbon adsorption is effective for controlling odors and VOC from both production and processing cannabis plants. Carbon adsorption is the most common control technology in commercial cannabis facilities. 'rhe Agency requires all cannabis facilities to have carbon and/or odor control. This includes carbon canisters on all external vents front the building and internally circulating carbon canisters in many circumstances. The applicant is proposing to collect odorous emissions, including VOC from plant production, harvesting and indoor processing using 4 carbon canisters. The canisters used have a maximum flow rate of 2,500 cfm and this was verified with the manufacturer data sheet supplied with the application. According to the manufacturers of the canister-type carbon adsorbers, change-out frequency for the carbon is dependent on the concentration of contaminant, the relative humidity, and the volume of air cleaned. Odor cannot be used as an indicator for adsorber change-out,except that if odor is evident the canister would need to be changed out. The manufacturer recommendations for filter replacement must be followed. f Permitting Action BACT for Cannabis Production and processing Operations 5 i G&S Greenery NOC Worksheet No.11387 - pscleanair.org Puget Sound Clean Ah Agency Permitting Action BACT for Cannabis Prodticoon and Processing Operations • All exhaust points(e.g.stacks,vents,windows,doors)associated with an enclosure,building or greenhouse housing cannabis production or processing operations must be designed to continuously control odors and VOCs.Carbon adsorption systems have been installed in all recent permitting actions. • There shall be no detectable cannabis odors at or beyond the property NC#11469 line. Because the issue of olfactory fatigue,a person who has not been exposed to the smell will be required to periodically monitor the air at the property line. • Maintenance of carbon adsorption systems must be implemented according to manufacturer recommendations. At a minimum the carbon units shall be replaced every 18 months(as required in the permit conditions F. EMISSION ESTIMATES Proposed Project Emissions The purpose of this section is to identify each regulated air pollutant and present the amounts at which each regulated air pollutant will be emitted.For this permitting case,the Agency determined that actual emissions from this facility will be identical to the potential-to-emit(PT6)emissions since operations are continuous and the source is proposing to have a canopy that is the maximum allowed by their license. The tier of their license will restrict the total cannabis production. Identification of Emissions All emissions for this project will originate from the production and handling of the cannabis plants themselves. Emissions from the production and processing of cannabis depend on many factors(e.g.the genetics of the cannabis strain,the maturity cycle of the cannabis and the environment in which the cannabis is grown).The age of the cannabis is a significant determinant of the emissions.Generally,as cannabis matures,emissions increase during flowering. The emissions are complex mixtures of terpenoid,phenolic,cannabinoid and oxygen-containing compounds.Many compounds have been identified in several studies by looking at the composition of cannabis flowers,stems,leaves,roots and seeds. Emissions Calculations The Agency calculated emissions in two ways.First from air sample measurements conducted by the Puget Sound Clean Air Agency(the Agency)and second from a paper based on estimated biogenic VOC Emission Rates for Trees/Shrubs(max,as carbon).See spreadsheet below for details. The first methodology to calculate emissions from the production and processing of cannabis used air sample measurements taken by the Agency with a hand-held FID at the exhaust fans of the carbon filters(See calculation sheet tab titled"outlet cone"). The emission calculations use an FID response factor that represents the cannabis emissions profile and corrections to the concentration to mass rate 6 G&S Greenery NOC Worksheet No.11387 psc lean air.org Puget sound Clean Air Agency equation.The emissions from this methodology use the total number of filters proposed in the application and the maximum flow rate from the fan(2,500 cfm was used for a conservative estimate). The second methodology to calculate emissions from the production and processing of cannabis using biogenic VOCs emission database for common U.S.tree and shrub genera and was used in many of the permitting actions listed above in the BACT section. This methodology uses total reported facility yield per year(Flowers/Buds+Leaves)and multiples the highest generated biogenic VOC emission factor from the U.S tree and shrub data. The emissions estimates using the proposed 5,000 sq ft canopy size and the facility yield at this size are present below under"actual." This value was scaled up to 10,000 sq ft(which is the maximum value for tier 11 license)for potential emissions which is also presented in the table below under "potential."It is assumed that the scale up from 5,000 sq ft to 10,000 sq ft will increase the yield and the total flow rate out of the carbon canisters used to control odors. These numbers are likely underestimates based on additional information that has been gathered across the nation,but was not yet publicly available when the Agency contacted other regulatory offices. 7 ,, I G&S Greenery NOC Worksheet No.11387 pscIeanair.0rg Puget Sound Clean Air Agency Input in yellow highlighted areas.Other cells calculated. NOCM 11387 Facility Name::7K Facili yield per year: 771.1 k Number of Crops/Year: Yield per Harvest: 16065 r #of Carbon Canisters; Total weight of canister,lb Assumed ercenta a of carbon/canister 79% Wei ht of Carbon/Canister: 81.S C:hangeout eriod: 18 months Fan ratin 2500 CFM Estimated Square Footage of canopy 5000 S ft Maximum per License 10000 sq ft Summary of VOC Emissions Actual Potential Source Ib/yr Ib/yr Emissions based on estimated biogenic VOC Emission Rates for Trees/Shrubs(max,as carbon) 58.8 117.6 [Emissions based on measurements of Agency sted hand held FID 125 250 Emissions calculations are documented in the following spreadsheet: , j 11397ramxlsx Reporting Status: With the emissions from this NOC,it is unlikely that the facility will trigger emission reporting requirement per Agency's Regulation I,Section 5.05(b).The actual emission rate is expected to emit less than: - 2.5 ton/year of HAP - 6.25 of Total HAPs - 25 tons/year of CO,NOx,PM,Sox,or VOC. G. OPERATING PERMIT or PSD 8 i G&S Greenery NOC Worksheet No.11387 pscIeanair.org Puget Sound Clean Air Agency Air Operating Permit Applicability A major source,as defined in chapter 173-401 WAC,is required to get an air operating permit under Regulation I Article 7 of the Puget Sound clean air agency. A major source is defined as one of the following: (a)any stationary source or group of stationary sources located within a contiguous area and under common control that emits or has the potential to emit,in the aggregate,ten tons per year(tpy)or more of any hazardous air pollutant which has been listed pursuant to section 112(b)of the FCAA,or twenty-five tpy or more of any combination of such hazardous air pollutants;or (b)A major stationary source that directly emits or has the potential to emit,one hundred tpy(tons per year)or more of any air pollutant subject to regulation(including any major source of fugitive emissions of any such pollutant),or Note:Fugitive emissions are only counted for categorical sources listed in(b)of 173-401 WAC(29) (c)A major source as defined in Part D of Title I of the FCAA. None ofthe areas in Puget Sound Clean Air Agency jurisdiction are designated non-attainment,therefore section(c)outlined above has limited applicability. This project does not trigger the threshold values identified above to qualify as a major source. Prevention of Significant Deterioration(PSD)• A proposed project is only subject to PSD permitting if the facility or the project has the potential to emit 100 tpy of a regulated air pollutant and is included in the list of source categories identified below or if the facility or proposed project has the potential to emit 250 tpy of a regulated air pollutant and the type of facility is not listed below. If the facility is over either of these thresholds prior to the modification, significant modifications to the facility are subject to PSD. 9 1 G&S Greenery NOC Worksheet No.11387 p s c I e a n a i r.o r g Puget Sound Clean Fair AgMcy 28 Source Cate ones Coal cleaning plants with thermal dryffs —.Charcoalproductionplants Portland cement plants Kraft pulp mills Iron and steel mills Primary Zinc smelters lolifftary copper smelters Prima aluminum ore reduction plants Hydroguotie acid plants Municipal inarterator capable of charging more than 250 tons of refuse per day _ Nitric add ants Sulfuric add Plants ----- - - - --- ---- - P_etroteum refineries _ Coke oven batteries Phos ate rock prooessina` tents - Carbon black plants(furnace process)_ Sulfur recovery plants Fuel conversion plants Primarylead smelters_ Secondary metal production plants -- _ Sintering Plants Fosst7 fuel boilers(or combination thereof)totaling more Chemical process plants than 250 MMBtwhr heal input (does not include ethanol production facilities that produce ethanol by natural fermentation.included in NAICS codes -- -— - 325193 or 312140) Fossil fuel fired steam electric plants of more than 250 Petroleum storage transfer units,total storage capacity MMBlwhr heat n up t - over 300.000 barrels Taconite ore processing plants Glass fiber processing plants This project does not trigger the threshold values identified above,and is therefore not subject to the permitting requirements under PSD. H. AMBIENT TOXIC$IMPACT ANALYSIS Agency Regulation 3,Section 2.07 is the review of now Toxic Air Contaminants Sources. This rule requires that new sources that emit toxic air contaminants undergo a review of toxic air contaminant emissions. Definitions and procedures contained in Chapter 173460 WAC and adopted by reference in Regulation I,Section 6.01(a)apply to these sources as well. First ter r+evi_ involves comparing the emissions of each toxic air contaminant discharged to atmosphere to the SQER listed in WAC 173-460-150;or,the dispersion modeling,using TSCREEN,can be used to demonstrate that the predicted concentration of each contaminant is below the corresponding ASIL listed in WAC 173460-150. The applicant can also submit a more comprehensive evaluation including the use of other EPA guideline models and more accurate emission estimation techniques to demonstrate that the predicted concentration of each contaminant is below the corresponding ASIL listed in WAC 173460-150 in all areas where the general public has access. Second and Third ter Review. if ambient concentrations predicted from first tier review are not below the ASIL listed in WAC 173460-150,the applicant shall submit a petition to the Department of Ecology requesting a second tier or third tier review,and must receive Ecology's recommendation of approval for 10 G&S Greenery NOC Worksheet No.11387 pscIeanair.org Puget Sound Clean Air Agency either the second or third tier petition. Second tier petition shall follow the procedures in WAC 173-460- 090,and third tier petitions shall follow the procedures in WAC 173-460-100. Analysis: Potential emissions increases do not identify TAPS,therefore,compliance demonstration with Chapter 173460 WAC(Washington Air Toxics Rule)and PSCAA Regulation 3,Section 2.07 is not required. L APPLICABLE RULES&REGULATIONS 1. PUGET SOUND CLEAN AIR AGENCY REGULATIONS SECTION 5.05(c):The owner or operator of a registered source shall develop and implement an operation and maintenance plan to ensure continuous compliance with Regulations 1,11,and 111.A copy of the plan shall be filed with the Control Officer upon request.The plan shall reflect good industrial practice and shall include,but not be limited to,the following: (1)Periodic inspection of all equipment and control equipment; (2)Monitoring and recording of equipment and control equipment performance; (3)Prompt repair of any defective equipment or control equipment; (4)Procedures for startup,shut down,and normal operation- (5)The control measures to be employed to ensure compliance with Section 9.15 of this regulation; and (6)A record of all actions required by the plan. The plan shall be reviewed by the source owner or operator at least annually and updated to reflect any changes in good industrial practice. SECTION 6.09:Within 30 days of completion of the installation or modification of a stationary source subject to the provisions of Article 6 of this regulation,the owner or operator or applicant shall file a Notice of Completion with the Agency.Each Notice of Completion shall be submitted on a form provided by the Agency,and shall specify the date upon which operation of the stationary source has commenced or will commence. SECTION 9.03:(a)It shall be unlawful for any person to cause or allow the emission of any air contaminant for a period or periods aggregating more than 3 minutes in any 1 hour,which is: (1)Darker in shade than that designated as No. 1 (20%density)on the Ringclmann Chart,as published by(tic United Stales Bureau of Minas;or (2)Of such opacity as to obscure an observer's view to a degree equal to or greater than does smoke described in Section 9.03(a)(1). (b)The density or opacity of an air contaminant shall be measured at the point of its emission,except when the point of emission cannot be readily observed,it may be measured at an observable point of the plume nearest the point of emission. (c)'fhis section shall not apply when the presence of uncombined water is the only reason for the failure of the emission to meet the requirements of this section. SECTION 9.09:General Particulate Matter(PM)Standard.It shall be unlawful for any person to cause or allow the emission of particulate matter in excess of the following concentrations: Equipment Used in a Manufacturing Process:0.05 gr/dscf 11 1 G&S Greenery NOC Worksheet No.11387 pscIeanair.org Puget sound Clean Air Agency SECTION 9.11:It shall be unlawful for any person to cause or allow the emission of any air contaminant in sufficient quantities and of such characteristics and duration as is,or is likely to be, injurious to human health,plant or animal life,or property,or which unreasonably interferes with enjoyment of life and property. SECTION 9.13:It shall be unlawful for any person to cause or allow the installation or use of any device or use of any means designed to mask the emission of an air contaminant which causes detriment to health,safety or welfare of any person. SECTION 9.IS:It shall be unlawful for any person to cause or allow visible emissions of fugitive dust unless reasonable precautions are employed to minimize the emissions.Reasonable precautions include,but are not limited to,the following: (1)The use of control equipment,enclosures,and wet(or chemical)suppression techniques,as practical,and curtailment during high winds; (2)Surfacing roadways and parking areas with asphalt,concrete,or gravel; (3)Treating temporary,low-traffic areas(e.g.,construction sites)with water or chemical stabilizers, reducing vehicle speeds,constructing pavement or rip rap exit aprons,and cleaning vehicle undercarriages before they exit to prevent the track-out of mud or dirt onto paved public roadways;or (4)Covering or wetting truck loads or allowing adequate freeboard to prevent the escape of dust- bearing materials. REGULATIONI,SECTION 9.20(a):It shall be unlawful for any person to cause or allow the operation of any features,machine or devices constituting parts of or called for by plans, specifications,or other information submitted pursuant to Article 6 of Regulation I unless such features,machines or devices are maintained in good working order. 2. WASHINGTON STATE ADMINISTRATIVE CODE WAC 173400-040(3):Fallout.No person shall cause or allow the emission of particulate matter from any source:to be deposited beyond the property under direct control of the owner or operator of the source in sufficient quantity to interfere unreasonably with the use and enjoyment of the property upon which the material is deposited. WAC 173400-040(3):Fugitive emissions.The owner or operator of any emissions unit engaging in materials handling,construction,demolition or other operation which is a source of fugitive emission: (a) If located in an attainment area and not impacting any nonattainment area,shall take reasonable precautions to prevent the release of air contaminants from the operation. WAC173400-111(7):Construction limitations. Approval to construct or modify a stationary source becomes invalid if construction is not commenced within eighteen months after receipt of the approval,if construction is discontinued for a period of eighteen months or more,or if construction is not completed within a reasonable time.'rhe permitting authority may extend the eighteen-month period upon a satisfactory showing by the permittee that an extension is justified. 12 G&S Greenery NOC Worksheet No.11387 psc lean air.org Puget sound Clean Air Agency 3. FEDERAL No federal requirements currently apply to cannabis production operations. J. PUBLIC NOTICE This project does not meet the criteria for mandatory public notice under WAC 173-400-171,one of which is any application for which the Agency determines there is significant public interest. A notice of application was posted on the Agency's website for 15 days.No requests or responses were received. To determine whether this was significant public interest,I considered various factors including: Has anybody contacted the Agency regarding the facility?If so,what was his or her interest in the facility? Nobody has contacted the Agency regarding this facility to my knowledge Is `re a neighbor or neighborhood group that has expressed interest in this facility or this type of No. Have any other local groups expressed an interest in this facility or type nffaciirtt'? No. Has there been any media coverage of this facility? No. Has there been a significant number of odor complaints nearby that could be exacerbuted by this facility? None Have other government agencies inormed us ofpublic interest in thisfacility? Sent email to City of Arlington(1/2118),Paul Ellis with the city of Arlington responded that he and his staff had no comments on 1/9/18. Based on their response,the need for public notice is not warranted. K. RECOMMENDED APPROVAL CONDITIONS Standard Conditions: 1. Approval is hereby granted as provided in Article 6 of Regulation I of the Puget Sound Clean Air Agency to the applicant to install or establish the equipment,device or process described hereon at the installation address in accordance with the plans and specifications on file in the Engineering Division of the Puget Sound Clean Air Agency. 2. This approval does not relieve the applicant or owner of any requirement of any other governmental agency. Specific Conditions: 13 G&S Greenery NOC Worksheet No.11387 pscIeanair.org Puget Sound Clean Air Agency 3. All exhaust vents from spaces within the facility in which cannabis plant matter is contained, including production,processing,and packaging,shall be vented through activated carbon adsorption canisters before being exhausted to the atmosphere. 4. All canisters must be installed as indicated in the application materials.There shall be at least four carbon canisters installed in the facility as indicated in the application with each of the carbon canister flow rates not exceeding 2,500 cfm and the amount of carbon in each canister shall be at least 81.5 lbs. The flow rate and carbon weight requirements can be verified with manufacturer data for the purposes of verifying compliance with this condition. 5. Each carbon adsorption system must be designed and equipped with a pre-filter to prevent debris getting into the carbon adsorption system. 6. Manufacturer specification sheets showing the type of unit, carbon media and fan used for each carbon adsorption system must be maintained on-site, if requested by the Agency, the owner or operator must provide safe access for inspecting any of the carbon adsorption systems. 7. No detectable cannabis odor from the facility is allowed outside the property line. 8. The owner or operator shall monitor along and outside the property line for detectable cannabis odors from the facility once each calendar week (Sunday through Saturday). For at least one hour immediately prior to monitoring,the person performing the monitoring must remain in an atmosphere free of cannabis odors and may not be inside the facility. If cannabis odors from the facility are detected at or outside the property line during the monitoring or at any other time, the owner or operator shall immediately take corrective action to eliminate the odors. Corrective action includes, but is not limited to:changing out the carbon media or unit(s),adding new carbon adsorption systems, and adjusting or replacing the fan so that the airflow does not exceed the design airflow of a carbon adsorption system. The owner or operator shall monitor along and outside the property line for detectable cannabis odors from the facility after the corrective action has been implemented. Cannabis odors from the facility that are detected at or outside the property after 24 hours of initial detection are in violation of this permit. 9. The owner or operator shall have an independent third party who is familiar with cannabis odors monitor along and outside the property line for detectable cannabis odors at least once every three months. For at least eight hours immediately prior to monitoring, the person performing the monitoring must remain in an atmosphere free of cannabis odors and may riot be inside the facility.If cannabis odors from the facility arc detected at or outside the property line during the monitoring or at any other time,the owner or operator shall immediately take corrective action to eliminate the odors. Corrective action includes, but is not limited to: changing out the carbon media or unit(s), adding carbon adsorption system(s),and adjusting or replacing the fan so that the airflow does not exceed the design airflow, of a carbon adsorption system. The independent third party who is familiar with cannabis odors shall monitor along and outside the property line for detectable cannabis odors from the facility after the corrective action has been implemented.Cannabis odors from the facility that are detected at or outside the property after 24 hours of initial detection are in violation of this permit. 10. The owner or operator shall keep written and/or digital records of each routine inspection and any follow-up inspection(s)required by Conditions#8 and H9.Each inspection record must include the date of the inspection,the start and end time of the inspection,the name of the person performing the inspection,a certification that the person performing the inspection remained in an atmosphere free of cannabis odors for the required time prior to the inspection, whether any cannabis odors were 14 G&S Greenery NOC Worksheet No.11387 pscIeanair.org Puget Sound Clean Air Agency detected, the date and time of detection of any cannabis odors, where any cannabis odors were detected,a description of all corrective actions taken,the time and date of the corre ctive action and the results of the corrective action. 11. The owner or operator shall replace the carbon media or unit(s)of the carbon adsorption system(s) whenever required by Conditions#8 or#9,or every 18 months,whichever comes first.The owner or operator shall replace or clean the pre-filter to each carbon adsorption system quarterly.The owner or operator shall record the date and location whenever the carbon media/unit is replaced or if a pre- filter was cleaned or replaced. 12. All exterior doors from the facility shall be closed except when personnel are going in or out. 13. All exterior windows in the facility shall be closed at all times. 14. The owner or operator shall not use solvents for any extraction processes. 15. The owner or operator shall develop and implement a written complaint response plan. The owner shall record the name of the complainant, date and time of the complaint, and the complainants phone number. The owner or operator shall investigate the complaint and record the results of ffie investigation including any corrective actions taken for all complaints received regarding odor,visible emissions or other air pollution issues.The complaint response plan and all records made under the plan shall be onsite and available to Agency personnel upon request. 16. All records and information required in this Order of Approval shall be kept in written and/or digital form for at least two years and made available to Agency personnel upon request. L. CORRESPONDENCE AND SUPPORTING DOCUMENTS i A FW Notloe of FW Puget Sound Constructlon No 113C1ean Air Agency-Not M. REVIEWS Inspector Name Elizabeth Gil in Date: Second Reviewer Carole Cenci I Date: 1/8/18 Source Name Date: 15 ep,5UN6. Gasline Mechanical, Inc. post Office Box 1108 WocxYinville. Wash! n 98072-1108 Main Office:(425)487-2359 Fax:(425 486 4516 �> Email:ivndersavi((�gpslinernec:hanical.cc)m "It's Cl 11,1atter O p ioe'l SON A NAG March 29, 2017 G&S Greenery Ate; Scott McCutchan 20203 99th A" SE Snohomish, Washington 98296 Phone#(206) 949-9645 Project: HVAC for 502 grow operation located @ 19321 6314 Ave NE Arlington WA Subject: HVAC proposal. Gasline Mechanical, Inc. proposes to furnish labor and material to install the following; 4 - Can USA CANMAX2500 charcoal filters Ductwork to modify exhaust to filter air before it leaves the building Professional Engineering Services; By Gasline Mechanical Inc. and Pinehurst Engineering NOTES: s The duct system will to designed by Gasline Mechanical, Inc. • Ductwork installed in unconditioned areas will be insulated to a minimum of R-8 per July 1, 1M WSEC. • Supply and return air plenums will be sound line insulated. • AN fly branch lines shall have manual air balancing dampers located at the trunk line. • All ductwork to to sealed using low pressure duct sealant. (ND Duct Tape) • Air shall be balanced at completion to GMI engineering specifications. • Concrete pads arW fan rooms to be built by G&S Greenery EXCLUSIONS: 1) Cutting, Painting, Patching, and Furring. 2) Structural Analysis and Structural Supports for HVAG Units. 3) Line Voltage Wiring and Line Voltage Disconnects. 4) 110 Volt Service Outlet. 5) CO Detection & Smoke Detection Devices and associated Control Wiring. Page 1 of 3 Deceived 1AN 15 2019 ?) -a 235tp G) Smoke control Report & CONTAM Modeling 7) Fire Dampers, Smoke/Fire Dampers, Sensors, and associated Control Wiring. 8) Fire Caulking. 8) Motor Starters, 10)AII Roofing. 11)Permit Fees for Mechanical, Gas Piping, Low Voltage (and acquisition costs). 12)Pads for Outdoor Units. 13)Service Platforms. 14)Additional Capacities for grow roan air conditioning loads as they are unknown at this time. 15)Acoustical Screening. 18)Gas Piping to appliances (other than listed above). 17)Final Gas Connections to appliances (other than those listed above). 18)Removal and Disposal of asbestos and other hazardous materials: 19)Qne Hour, Rated Shafts. 20)Ductwork, Grilles, and Diffusers (other than listed above). 21)Condensation Drains, Condensation terminations, and Condensation Pumps.. 22)Concrete Coring (other than listed above). 23)Concrete Cutting or X-ray fees. 24)Acoustical or Engineering fees other than what has already been completed for permit acquisition 25)Filtering and Screening of all openings. 2$)Clean out of all intemal equipment surfaces (if used for'building dry-out' during construction). WARRANTY • AM Can USA commercial equipment is covered by (1) year parts warranty.. • All labor and other parts covered by Gasline mechanical for a period of(1) year. Investment Totai; $ 4,100.00 + Washington State Sales Tax (Ids applicable) Rate % 401.80 Grand Total $ 4, 501.80 The price on this proposal will expire 30 days from the above date. if accepted this proposal will constitute a contract between us Scott McCutchan John R Anderson Gasline Mechanical, Inc. TERMS: • 50 % Down, Balance is due upon completion of work. • Progress Payment due net 1011 of month following billing for work completed through th8 30t" of the prior month. • A finance charge of 1.5% wi11 be added to all past due accounts. • The attached terms and conditions are an integral part of this contract. ADDRIONAL TERMS AND CONDITIONS OR CONTRACT W ARRANTIf:M IMITATIONS;All materials and cqutptnent supplied shall be an accordance with specifications convened an this proposal,All wok will Ito completed us A workmanlike manna according :u standard industry practices and shall comply with local budding cock requirrmerht►Gatlin Mcch.Lac,makes no warmly express or Insured regarding the gadity,operability,iunability or conditions of norrauls ov i utxnevil sutrolle d 11err as NO WARRANT Ir OR MFRU1IANTAHII.I I Y marl NO W ARKANTY OF F'ITNI CS FOR PARIX11I.AR PURPOSE. Puchuns'a rcmr':I s arc hnutod to menu or replscentem At(instant Mech.Inc option,of drttxuve mourwl,or equipment Under no circumstances.shall Gasline Mcch Inc be responsible for any consequential or incidental danaaµes to purchl: prupaty.Any actions to enforce any rights of fiurcluser must be miliuded within tairteeu mouths of date that GWijtc Nlceb Inc begins imtallotion NOTICE TO CVSI'OMERz This contractor is registered with the Sate of Washington,icgauanun rGASI-IMIOWA),as a spectahty contractor and has posted with the state a bond of$4000.00 for the purpose of sausfymg clans against the contractor of negligent claims whucb might arise front the work dare undo our cunsrvA If etry supplies of materials used in our corn mucunm project Or any nnpluyre of our contractors or subconmu ors is not paid by the Contractor or arbcontrac or on your job,vour Property may be herself!to font payment if vol wisb an it"lloal praocnosn vtw stay rCUUCH the comracux to paovmde you with further Lnfornation abaur iron release documrnn. PROMISE TO PAY:SEC URIn INTERF_S-T:Ptrchaur,and A more the.one,all puchascts)ointly and sevrsrdly,promise to pay to Company's Order rho"Amoum FutmncrS'shown on the reverse side, together walls a wilco charge(lnlerest)computed at die annual pacrntage tale Auum on the reverse side anaccodace with rise payment k;hcdue shown on Idle reverse aide.nix purchaser grants Company A security interest in the garter or prop"puchasul(the"Cedlataal')sn seeuty fix repmymeut of all runomot due under this Agreement Tbc utpmd balance of Roc Amorau Financed and say Other amounts owing undo this Agrocmens wall bear imatst at the Annual Pacemage Rate until paid.If purchaser fwU to make airy payment required by this Agreement er otherwise defaults and aw odscr amounts owing viola this r\grccmaeral Company dull be entitled to realzc an the Collateral pursuant to die Uniform Commercial('",an addition to all other right%and trmades available to C'ompsny under apphcablt law. If requested to do so by Company,purchaser agtm to Gxecutc a Financing Southeast of Fixture Filing in order to give public notice of Company's security interest in the(collateral 'fume of Of the csvcns;c of the Agreement and if purchaser shall default in the performance of any of the terms hercof,or in the payment when die of any turn bairn mNwred to be pad or if purchase lnccosncs insolvent or insolvency proceedings are commenced by or against purdsma.Company may declare all sum that remaining unpaid hrteuada imnudlaicly due and payable whereupon such sum shall be duc and payable in full immediately.In tac event this Agreement is referred to an altomcy fur wllocuun Purchaser agues to pay Compmy's coat costs and disbursemrnu with respect to any sal or action and Company's reasonable amorney's fees.including fees incurred in oongulaion with suit or action in Iwth trial alai appellate Courts and fees incurred without suit or action.Purchaser Atom pay on demand all eapensa reasonably sinuttrd by Company to collect any obligation wino Ihas Agreement whether or nut wit is brought,including all chaps mgaased in accordance with the Collocuon(]large Schedule of Company or cry Purchaser of dus Alpecnent then an effect fur coRrctioo eiipcases,including clargp for telephone calls•letters and viuu,or for returned checks or autum nix trasfen Ten days notice by firm class incest to purchaser's last address or rocord with Company,or if more than one,to any purchaser,of the intended sale of my collateral is nawnable NO modification.wailer,discharge of any other party,or any other event other than psymast in full in cash of all obligations under this Agreement will rcleavr purchases frum liability.All paynens will be applied in the following order A&aued interest,principal,fete clal}xs, and other amours nwing under this Agreemrnt. POWVR/VEKnNG.Purchaser fuser wmrants that the purchaser's electric servick wurs and clectrsc service equipment are in tuube condition and of sufficient capacity to permit the addition of any elatric load ca"simncd by use on the mcrchnsuhsc purchased hereunder in conformity with all ordtfamcs and that when An electric outlet or supply is required,it will be prosided by purchases,Putchasa baffle agrees that if the merchandise requires exhaust at ustake YCOMg,purchaser will provide and maintain an approved gos flue,intake sent a chimney chase adequate for tnsrallitalr flexible lmer,or ebimocy, at purchaser's cost.All repair and/or alteration work,including finishing work outside the scope of HVAC addusmy such as but no limited to,calacntry,flouting,drywall,pomnng or masonry on purhaser's pact nscs is to be paid for by purchaia unless otherwise specified herein,an the c%cnn that the pturhasrr wishes to halo may at all of the cquipi cut ranovrxd.cilium Mech Inc.will no be Geld liable for rgwvv of any Afternoons to the property,that were nee essary to onfuaxlh install the egaapueatt Purchaser agrees to provide CaWWe Mech Inc Moose m erect Of the home necessary so install,inspect.roper.And warranty equipment doing normal tawmess hounn and without obligation for compensation due to lost time or inconvaincoce.Purchaser agttrs to pay Garldi a Mcch.Inc.for any additional work rot stated in tams of contract acquired to alter aciating ductwork,sent water plpm&furl piping,or chimney an Order to install equipment to meet currant codes and maintain prosper operw:m HEATING/COOLING;The Conspany will not be rasponusble for problems due to existing heatingieoohng air flow imadaluacics,including existing hear water deravirncin or Coast'piping or tcmperoorc deviance from room to room or betumas floor levels-The following would constitute existing au flow inadequacies fur"ling:(1)Duct syvtern oiginalh•designed for heating.(2)balancing between roams Or floor levels excluded,(3)or any tmmaparature dif emwrs hem-cal upper and lower evets-Ilse Washington State noire orditunce requua property line nonsc lc%vis below 45dr1 between IO.CN)prn and 8'.00am We have listed two acoustcal engtnecrx who can offer professional scrvnecs reining to this requirement if needed and can design sound drfectimn walls and eras proper acoustical pLocement around the outdoor Condenser units,J.R.Engineering John Alberta:425.927.0324,Associates,Inc.Michael R.Yana PC 425-45•1,4293_ COMPANY'S RIGHT TO CANCEL:Company tray cane)data contract anytime pnot to i nsulhuon by nonlying Purchaser accor(ingly.If done.Connpatw will refund any sums paid by parchasrr and neither party Judi t avidlcr have any further obligatirn under thus wmtract. COMPANY ACCEPTANCE:This Contract shall not be 4remed oxrpted by,two binding on,Company until it is both approved Iry one of its audusnred Agents or an executive officer.and the ptoposcd installation has been approved by'the Company and its independent installer.However.in the case of goods whhad)will become fmturcs to Gmwhold property,this Coitract skull nor be binding on,our deemed accepted by,Company until in addition to the faegbmg a signed consent and diselamics Corn.As approved by Company,is obtained from all perilous wills an intact an the real property, ASBlS`IT)S:Cusoma or customer's agent afgm to male a good faith iniptasim prior to installation to dchtm nc of there is any uirestos in the area where work will be performed.If avbeclos is found cuatoma shall be exclusively responsible for mid bear the enure cost of all mcressiay asbestos removal,unless explicitly stated odhawise in this contrast.Custorna further sgtces to provide any required port- asbestos removal test dirmomstratng the airborne asbestos is at a safe level DELAYS AND DAMAGE.":Gsuline Mc-.h Inc.shall not be liable(o any puss,damxgn or delays occurred by fine,strikes,mala ds stolen afar delivered upon premises,latak•outo,sus of(rod or the public cricmy,accu lasix boycotts,arutcria]%hmugcs,disturbed labor conditions,delayed delivery of materials from(iodine Mech ink.,suppliers,inclement weather.Ilouda,freight embargoes,causes incident to national anagencim war,oeb of the purchaser or his agent&,or other causes beyond the esasonablc control of Oaslanc Mech Inc.In the C%rm of such delays or da Ages,the time for performance by Gashese Mech.Inc-shall be eateruled for a tresurubJc time.It such delay results in addinoui cog or citlimses to Usailme Mcch Inc the purchases shalt rcrmbusc(iodine Mech Inc.rut such addunomal costs and/or citpcnso in addition to amounts otherwise duo undo this contract. CHANGES IN THE WORK:The purchaser may order changes in the wank within the gcticral scope of the contract consisting of additions•deletions.or other revisons diastte Mcch. Inc Hall not be required to make any suc.1 changes unless it first mcives from the purchaser a written change odder and agrees to the change by signing the change order.Airy Additional deletion or other revisions which increase the cost of expense of Gaslmc Mech Inc_shall be clamps to the purchaser by Gatiline Mach Inc,ar its usual and Customary rare.Such amounts dull be due to Gashoc Mech Inc,in addition to any amounts otherwise du:wades thus umuoact PROPERTY INSURANCE•hulas mhcrwuc agreed,the owns shot)purchase and maintain the property insurance upon all clwprnmt aid narrul dchvertd by(imhnc Mort.Inc.to juh site.Purchaser shall assume all rink of loss for such narenal and equipment once tichveacd to the job site PERMITS:tJtdesc otherwise daugnaud,the purchiasa stall accure road pay for all permits,government fin and license necessary for one ldoper eaccmuon and completion of the work TERMS OF CONTRACTrSUSPI'.NSION OF PERFORMANCE:This contract shall be terminated upon mutual agreement of the pestles.Gaslite Mech Inc may tormmuste in the event of use following_I i Any act of the purchnsa of the agent which prevents or tnhibi s Gasoline Mech Inc.from timely petformtrig its obligation tender this agrremrnt 2)For tie reason specified Linder dclaya/dmmga 3')If the purchaser files a pnvtion in bankruptcy.whether voluuury of involuntary makes assessment of the benefit of acclar s or has a receives appointed or does cry riot micimsistt m.towbich may tiupau the puschxuets ability to perform this wnmoa 6A%line Mrch Inc-may suspend paformaucir of us obligation under this agircrieran until such tutu As 1)this Agreement is auimed by the Trustee in bankruptcy tcy and/or 2)Cmalihe Mech Inc,is provided adequate insurance of furarc performance.Gatlin Mock Inc,is not tesbonsdbk for way damages,whether direct proximately caused,meident& consequential or otherwise as a mull Gasltme Mech.Inc suspension of performance hacumdcr If performance cannot begin or continue within a reasmAbe time aflcr suspension,Gailiue Mech Inc-may lerrulnaic dos agreement. SUIT/ARBITRAT70WATTORNEY'S FEES:In the event of any dispute aWa this contract,any patty,may ehci oat dos moiler toe wbamaud to funding oubma lon m Seattle,WA pwauam to the then- effective rules of the American Arlarruion Auocisnen in the emir this matter is referred hir collection.Or if either party rctams an auoaey for the purpose of arbitration of suit the prevailing party lbafl he attedod its actual cents and amrmry't fees,all taus of Collection,including looms collection agency fines and court casts In addition to thr amount otherwise due Venue and jurisdiction shall be laid in King County,WA- SERVICE A VAILABUXM:Gaislin Mcch lnc,agrm to provide service Availability during normal liminess hours,are 8:00 urn to 4 430 pm Momby d uough Friday,except holidays,and service ai other than normal bosmem hours,if contracted for,at the hourly rate and terms,including sehlele charges or as specified aasessmesw,when in effect by iiashne Mech.Inc if an emergency service all as made At puiv hmer's«quail and nspection does not reveal any defect for which Gatlin Mcch Inc.is respoosmW pucluscr wall be Wale for regular cluugc.in trailing frum such cervix calls Puchasa acknowledges there is a minimum charge of one hour. if prrsnns other sham representatives of Gashes Mcch.Inc per otms moinrTamc a or repwn a unit o(espupment,and awh a result further repair by Gulime Mech Inc is required.such repairs will be made at Gatlime Mech inc.applicable time and material rates and terms tons in efTav EXC'L11.15IONS:Maintenance service does nor include 1)Wan supply and dram beyond subject equipment 21 Equipment housing,casing or enclosuc,3)Electrical service beyood equipment's disconnect switch,or service requirements due to power faduro,4)Dius agrY causal by frcccang 5)Work requucd by gumnincm codes.building and union rogturcmcats,G)finality mausggcment and energy calls resulting from energy management activities,7)Rrpaus or damages or mcreasc in wr%ice new resulting an accidenk transport der insured n,negligem,w musum.or other ordinary use,9)Reports of equipment located in unsuitable place(of iusullation or umudfe or hararduas cnnrtmmcn.9)Emsagawy call ratalfins from"stein design problems and plumbinng.Work order stsunstd the systems coveted to be in see maimtroancc condmon.If repatm are found necessary upon initial inspection or initial seosoaud startup,repair changes will be submitted for approval,Should these restoration changes be declined those non-mmulmutrd afam will be chounared from the program and the monthly muntcnmace prices will be adjuxted accordingly. TERMS.That egarrmad shall remain in etTtsct from year to year urdcu cancelled by either party on oO do%-%prior written entice Prim ant subject to change due to changes is material mid labor rates ENTIRE AGREEMENT:This rgwcw us do esuire eforra ncru between Ihor parties.ITheie is no other agreement of prnmiacs seas an tot contained on either doo(runt Orr back 9W ofthis Agrecmem Page 3 d 3 N n N x O O O O O D O D O O O O p O pQ� Pp CW 01-i� O OA A - O 837 d � C o x eID ac. � x m ro � o e — 3 cr -4 to full 3 fyyl o+ 17 Q3 0MN-H ...N C s M y C f O N m t l- a 7 u s s io 00 1 C V, 3 ± g� O Z. ��� +fir O l a tQj o t tit fi as NA 0 � ,' NR5 7 N 7 y O V �R C N Qn V b C �3 � Off rt ry ma La + n 0 a w n � a N Y-.o� COMMERCIAL MECHANICAL • 0 PERMIT APPLICATION NGSO Department of Community&Economic Development City of Arlington • 18204 59th Ave NE•Arlington, WA 98223 • Phone(360)403-3551 THIS APPLICATION MUST BE ACCOMPANIED BY TWO (2) SETS OF CONSTRUCTION DRAWINGS AND ALL OTHER INFORMATION OUTLINED IN THE MECHANICAL PERMIT SUBMITTAL R=TS, IF APPLICABLE. TypeofPermit: NewInstallations� ��, '' 1Replacement Project Address: c Z� 6v `�wb 02- Parcel#: 11AA l Project Description: �r<'!1 �C �C�`7 Valuation: JU�, r� Owner: Phone#: Address: City: State: Zip: Email Address: Contact Person: Phone#: ,�� 1 �� Address: 4 � �g !�C>G � _ City: Wc S A State:y _Zip: Email Address: L�5�m M r_C'Xr+e_1 iyk 1 F-3el Contractor Name: :2& Phone#: 't`- V'yz Contractor Address: r�City':� State: nZip: Email: c Sl`� ➢�✓ � �VIb ���77i«CPer3`on. �J �tl��f/ �C Contractor License Number: Expiration: Please indicate type of number of appliances: FURNACE CONDENSING UNIT GAS PIPING OUTLET BOILER HEAT PUMP(multi-split) UNIT HEATER CHILLER HEAT PUMP(mini-split) PAINT BOOTH COOLER HEAT PUMP(other) TYPE I HOOD AC(air cooled) HEAT REJECTION EQUIP TYPE II HOOD AC(water cooled) VENTILATION SYSTEM AST AC(evaporator) PACKAGED UNIT UST AC(VRF) DRYER OTHER I hereby certify that the above formation is correct and that the construction on, and the occupancy and the use of the above- described property will be in a rdance �tles-apd regulation of the State of Washington. Applicants Signature: Date Applicants Printed Name: FOR STAFF USE ONLY 2.35c� JAN 15 �mg Permit# A pteZty Amount Received Receipt# Date Received 6/16LP Page 1 of 1 �p,SllNF Gasline Mechanical, Inc.- post Office Box 1108 Woodinville. WashincOm 98072-1108 Moln Office.(425)487-2359 RD(: (42 486-4616 �• "� Eni011, oridersor)(�� osllnemectiorical.com �r �Jrlof." Q- J g i t.�,,� a 'l�1Gd It l.Y L� March 29, 2017 G&S Greenery Attn: Scott McCulbcn 20203 991' Ave SE Snohomish, Washington 98296 Phone#(2 ) 9011-9645 Prot HVAC for 502 grow operation located @ 19321 6314 Ave NE Arlington WA Subject: HVAC proposal. Gasline Mechanical, Inc. proposes to furnish labor and materiel to install the following: 4 - Can USA CANMAX2500 charcoal filters Ductwork to modify exhaust to filter air before it leaves the building Professional Engineering Services; By CvmWne Mechanical Inc. and Pfnehurst Engineering NOTES: • The(W system will be designed by Gasline Mechanical, Inc. • Ductwork installed in unconditioned areas will be insulated to a minimum of R-8 per Jute 1, 1991 WSEC. • Supply and return air plenums will be sound line insulated. • All supply branch lines shall have manual air balancing dampers located at the trunk Me. • AN ductwork to be sealed using tow pressure duct sealant. (No Duct Tape) • Air shl I be balanced of completion to GMI engineering specifications. • Concrete pads aril fan rooms to be built by G&S Greenery EXCLUSIONS: 1) Cutting, Painting, Patching, and Furring. 2) Structural Analysis and Structural Supports for HVAC Units. 3) Line Voltage Wiring and Line Voltage Disconnects. 4) 110 Volt Service Outlet. 5) CO Detection & Smoke Detection Devices and associated Conti Wiring. Page 1 of 3 1 I I 6) Smoke control Report & CQNTAM Modeling 7) Fire Dampers, Smoke/Fire Dampers, Sensors, and associated Control Wiring. 8) Fire Caulking. 9) Motor Starters. 10)All Roofing. 11)Permit Fees for Mechanical, Gas Piping, Low Voltage (and acquisition costs). 12)Pads for Outdoor Units, 13)Service Platforms. 14)Additional Capacities for grow room air conditioning loads as they are unknown at this time. 15)Atoustical Screening. 16)Gas Piping to appliances (other than listed above). 17)Final Gas Connections to appliances (other than those listed above). 18)Removal and Disposal of asbestos and other hazardous materials. 19)One Hour, Rated Shafts. 20)Ductwork, Grilles, and Diffusers (other than listed above). 21)Condensation Drains, Condensation terminations, and Condensation Pumps.. 22)Concrete Coring (other titan listed above). 23)Concrete Cutting or X-ray fees. 24)Acoustical or Engineering fees other than what has already been completed for permit acquisition 25)Filtering and Screening of all openings. 26)Clean out of all internal equipment surfaces (if used for"building dry-out"during construction). WARRANTY • All Can USA commercial equipment is covered by(1) year parts warranty.. • All labor and other parts covered by Gasline mechanical for a period of(1) year. Investment Total; $ 4000.00 + Washington State Sales Tax (If applicable) Rate % 401.80 Grand Total $ 4, 501.80 The prfoe on this proposal will expire 30 days from the above date. ff accepted this proposal will constitute a contract between us Scott McCutchan John R Anderson Gasline Mechanical, Inc. TERMS: • 50% Down, Balance is due upon completion of work. • Progress Payment due net 10'" of month following billing for work completed through the 30th of the prior month. • A finance charge of 1.5% will be added to all past due accounts. • The attached terms and conditions are an integral part of this contract. iu)DI TIONAL TERMS AND CONDITIONS OR CONTRACT WARRANTIGNI.IMITATIONS:AU risnu-nals and equipment supplied shall be inaccordance with spcciLcatiooa"van mil in this piorposat.All wort wtB be compktcd in a w-orkmanitkc manna According :o sumdenl industry practices and aW comply with local building wdc requirements umboe Meth.Inc makes no warranty express at funded regarding(be qualiq,operability•suiubilnty or conditions of owfmu is or c sominenl supplied There u NO WARKANCY OR MERCHANTAHILI'I Y and NO WARRANTY OF FITNESS FOR PARTICULAR PURPOSE? Purehaur's rcmnb"are limited to rrrmur or neplseement at Guinn:Mech.Inc option,of defective materials or equipment Under no cucumnsunces shall Gashor Mech.Inc be responsible for ary couxquenual or to adenul dcutuges to pmCAV:: property Any actions to enforce any rights of purciuscr must be outitatcd wihin thirteen monde of date that Gasliue Meeh Inc bgtisn installation NOTICE TO CI)STONIUL Tlus cooractur I$lxgi%terrd with the Stare of Wavhmgtort rcipumun#GASIAM1066CD,as a speculty,contractor and has posted with the veto a bond of S4000 00 for the Purpose of satisfying clams against tie coanulur of aaegligent clams which might anic from the work done under ow wntraCt If any supplier of auuenalz used to our couuuuctiva project a any employee of our conttactoua or subumtracaas is rot paid by the wmmactor or wbcootractor on your)ob.your property may be Wood to force pAymcrit If YOU wnsb an addnttunal pruteo:uon YOU mAV reeoem the contractor to provide you with further i nfannauon about hen release docunenn. PRO\1ISE TO PAY:SIX URITY IN-MREST:Purchaser,aid if moan duet one.All purchavers jointly and snaally,promise to pay to('wrrpany'$order the"Amotum Financed-drown on the reverse side, together with a service charge(intcfot)ootrpsuodd At the annual percent sec rate shown on the reverse side in a:cord imec with rise payment schedule shown on die rcvax aide.The purckates prams Company ♦security twerra in the gu ids or property puchis"title"Collateral")u soeunuy for repaynleru of all amorous due under this Agrternam The unpaul balao,:c of the Armsuni Finkincxd and any other i mounu owing under this Agreement will bear micrat at the Asrstul Percemage Rate until pail If purchaser huh to make Arty payment required by this Agreement or otherwise defaults And Any other atnounu owing ondtr this Agreemeru.Company shalt be emtitled to ralirc on the CoUsural pursuant to the I!mfurm Commercial Cork.in addition to all darer nghrs and mmicvli"available to Company under applicable Law If requested to do to by Company,purchases agrees to execute a Financing Statement of Fucture Filing to order w give public notice of Company's security interest in the Collateral Time if of the essence of the Agreement and if punehaacr shall default to the performawe of any of the w mu herco(or in the payment when due of any sum hcrctn required to he pod,or if purebaw becomes insolvent or insolvency proceedings art commenced by or agama purchaser,Company may declare all sums then retaining unpaid hereunder immediately due and payable whereupon %ta eupon such sum ll It:due rod payable in full tmmahatehy.in the evtar this Agreement is referred to an anorm:)for collocuun.Purchaser agruca to pay Company's court costs and kinbusensrns wiLb respect to any suitor action and Company's reasonable attorney'$fees,Including fees incurred tit"injunction with sou of acmoot in both trill and appellate courts aid fees incurred without mitt to action.Purchases agrees pay on demand all expenses reasonably incurred by Company to collect airy obligation render this Agreemctt whether or not suit is bmtrght,including aU cbages impokied in accordance with the Collection Chope Schedule of Company or an purchaser of this Agrcemm:then in cRca for coffoction expemcs,including obsrpd for telephone calls,letters and visa,or for returned checks or amonuatic rransfon Ten days notice by firm ides mad 1 punhaser's last address or toaord with Compan),or if more than unc,to any pachuar,of the urtcnded We of any wllatcral is icawoabk No modificauon,waiver,du4bartic of any Other party,or any other cscm odor than payrmat in full in cash of all obhputtm3 caner this Agrocmctni will recast purchaser firm habmhty.All payments will be applied in the following order"trued mtacik prmcips),late ebapa. and other amounts owing under this Agrvinwnn. POINVANENTiNG:Purchaser further warranty that die purchaser's elccuic service wires and electric sci%ice equipment one in smtatrle condition and of wfluie nt capacity to permit the addmrni of any ehctric load occaskrtud by use on the inerchanduc purchased hereunder in etmfomuty with all oithnaacxs and that when an ele:tnc outlet or supply is mqu fired,it will be provided by purchasa.Purchase funhct sg)ecs this if the merchandise requires uJiasm or intake venurg,purchaser will provide and s unman an approved gas fine,intake vent,a chimney chase Adequate for instailulg flexible lines•or chimney at purchaser's cost.All repitu andlor alteration work includinp faulting work outside the scope of lIVAC tudustry such as but cot Immml w,carpentry,floonrrg•drywall,painting or masonry an pucbaxr•s poeauses is to be paid for by purchaser unless odetwise specified loran,in the event idea the puchaser wishes to haves any ter all of the equipment removed,Ganitre Mock Inc will not be held liable ton rcpatn of any altaauonu to the property,the was acceawy to onginally install the eguipmcot Purchases agrmcs to provide GaMtoc Afech.Inc access to eras of the home necesaam to mualL import,repair.and warranty equipment during normal buuncss limas,and without obligation for compensation due w lost time or inconvenience.Purchaser Agrees to pay GaMine Mach Inc-for try odditxmal work nor stated in terms of contract required to alter extating ductwork vast water ptpiug fuel piping,or clumacy in order to mstoll equipamrrt w meet current codes and ussuitaun props operation HEATIN"OOLING:The Company will not be responsible for problems due to existing hhawnyjcoal rig err flow inadequacies,Including existing hex water defscsnseses or wan piping or temperature devtanee(tom town to ram or between floor levels The following would cortvtitrne existing air flow iu sequucic.for cooling (1)Net syvscnn otgtalty designed for beating.(2)balancing between rooms or floor levels excluded,(31 at any temperature differcnxs M:twmi upper And lower levels The Wadungton State rinse orduaooc requin:s property lute not"lovcds below 45dB between 10(A)pm And 9,00am_ We have listed two acoustical ruikvsecrs who can offer professional services rdaing to this requiremrt if needed aid can design sound deflection walls and create proper scotuincal plaemcnt Around the outdoor condetisa tuuu,1 R.Engineering,John Alberti:42."27.0324,Associates,Inc.Michael ft Yantis PP 42M544283 COMPANY'S RIGHT 110 CANCEL:Company may canel dun contract anytime prior to Installation by noufymg Purchaser accordingl).If done,Company will refund any sums pad by purchaser and rxu hes party shadl thereatlor have any furrier obhgatinn under this coons t COMPANY ACCEPTANCE:This Contract shall not be dernicd accepted by,not bind rig o,Company until is is Mach approved by sae of its auuhwized,gears of so executive officer,and the lnrup wd instillation has been approved by the Company and its uwdcpcndctu usstalicr However,in the case of g arru ooda which will liccc fittures in I.auclwld property,this C'oeuavt shall our be binding on,mir decreed accepted by,Company until in addition to the fompng,a sigoed comscm sad disclaimer form,as approved by Comparty,u obtained from all pasona with an tmeeut in the real property. ASBESi'OS:Customer of C:ustomer,A agent Agrees to make a good faith inspection lmor to installation to determine if there is any asbestos in the Arcs where wort will be performed If asbestos is found customer stall be culusivcty resporml4c,for and bear the more cost of all reo"sary avbeius removal,unicis explicitly sated otherwise in thu contract Cumoma further agrees to prosile any required post- ubeuin removal tear demonstrating that adbmthc asbestos is at a safe level OELAYS AND DAMAGIL%:(Asline Mash.Inc."I not be.liable for try loss,dammrges at delays occurred by fire,wilcm materials smlen alter delivered upon prrnuses,look-outs,acts of Crud or the public ericaty.acddvats,hoycom,maternal%hoataM.distubed labor conditions,delayed delivery of materials have GasUne Mock Inc.supphers,inclement weather•floods,freight embargoes.causes incident to national xnnerecoere%war,acts of the purchaser or his sgaui,or other causes beyafd the rcasonabc control of Gaslinc\tech loc.In der"m of such delays or damage►,the time for performance by Grnslne Mech.Inc.shall be extaidkd for a reasonable umc.if such delay results in additional cost os expenses to Ciasluic Mech.Inc the purchase%hall nchndoux Gasatno Mach hic.for such adohnotul cosu andlor expenses to addition to a ru uots otherwise due user this contrast. CHANGES iN THE WORK:The purchaser may order changes in the work within the gericral scope of the camurscr consisting of addition,deletions.or other rcvitiors G ulite kfech Inc shall nos be rcgnued to make any such changes unless it firm ro"nves from fie pwcba$cr a wnuen change order and apace$to de ch ange by Argnuig the chmNc oxokr,Any ardjhouak deletion or other revnaoa which increase the cost of expensc of(ialtne Mach tee shall be clwps to the purchas x by Chaltnc Mcch.Inc.at its usual and customary rocs Such amounts shell be due to G"line Mah Inc.in addition to anv amounts ndhcrosc due under this comtact PROPERTY INSURANCFA Unkss who woe agreed,the owner Mali purchase and numraan the property uwrano c"a all equipment and neat Al delivered by Gaslue Meek.Inc to job ziw.Purch"a vhAll assume all risk of lass for such animal and equipment once delsertd to the job site. PERMITS:Unless otherwise designated,the purchmer shill secure and pay(err all permits,government fin and hcrnsc necessary for the proper excenmvn and completion of the work TERMS OF C-ON7-RACT/SL'SPViSIO1N OF PERFORMANCE::This coatwct%hall be termmacci upon mutual agreement of ibc pan" Gutine Mcch Inc may terminate in time event of the fulIkI%Nr 1 I Any act of the purclava or the agent which prevents or inhibits Gsshmie Meeh Inc. from firmly performing its obligation ands this agreement-1)For the reason specified under 10aysloilam"Ics 3)If the purchaser files a petition in ban►suptcy,soh hot her voluutiry of Involuntary.nukes ak%cumcent of the benefit of crcdron or has a icceiva appointed!,or does any aA u cousi%unt or wbKb may impair the pwchasni ability to perform this comract.Ginline Mrch-Inc.may wustwad perfwmarce of its obligpmrtn under this agroemenr until such time It,1)this Agreement u rimmed b)the Trustee in bankruptry aadlor 2)Ciadine Mech.Inc.Is provided adequate iwmmnce of form perfermaum Gaalme Mach.Inc is not responsible for any damages.whether dtra:t proxmatedy cased-Inc dental.wusequermal or odsetwtse u a result Gashne Much-Eoc suspension of porforrrunce hereunder If perfomanee canarst tsegln or continue within a reasonable time alder stespension.Gastric Mach Inc.may termninatc this aproement StIIT/ARRITRAT10NIATTORNEi"S FEES:In the evW of uuy dispute ur is thus contract,any party may ekei that this natter be submitted to bumbAg arbitration In Scattlo,W A pursuant w the thrn- efCccove rules of the Amatwt Arbir mem Auociaioa In the event this roamer is rekirod for collection.or if either pang rums an attorney for the purpose of arhiraucn of suit the prevailing party shahl be entitled its actual costs and allonsey's fees,all costs of oollectrnn,includng►iconic%collection agency fees and court coin In addition to the atiornt otherwise due Venue and juiulicuoo than be laid in King County.WA SERVICE AVAILABILM:(;"line Meth.Inc agrees to prowde service availability durng normal business hours,Be rises am to 430 pm Maxdxy through Fnday,except Widays,and xrvtee at other than normal busaim hours,d courtrumd for.at the hourh eau and tmos•including velicle charities or u specified assesimttns,whites in dTett by Grilse Mech.Inc if on emergency service call Is made in purchaser's rcqu"s and inspection dues um reveal any defect for winch Gadioe Sico:h Inc u responsible,purchaser will be liable for retruda chops,prrvalulg fawn such service call. Pachaxr ackrwwleclges there is a nunmum charge of err hum If pavans other than rcpoeatauves of Ciashne Mach Inc p:rf'ams inantenomc(w rcpmrs a emit of equipment and such a rcxult fifntur tepou try Gulne Meth-Inc Is requited such repaA will be made as Gaslnt Meeh Inc.applicable time and referral into and terms then in effea EXCLUSIONS:Maintenance smite does not include. 1)Water supply and dram beyond snb)cct equipment,2)Equipment liousing cuing or crulosuc,1)Hectrical service beyond equipment's disconnect switi:14 a unicc requirements due to power failure,4)Damages caused by heczuag,J)Work required by guvcnussew codes,bu on ldmg and union requirmnenla,G)EaCro maagement and Cuero calls resulting from i siergy managonsete activitma,7)Recedes at damages a mcrcase in service nine resulting in acc klernt trumpon or restmikon.negligent,or mlww,or other ordinary use,g)Repam of equspmsem locaecd in unsuitable place for installation or unsafe at lsamd in ervunrtment 4)Fasorr-ocy Call resulting['turn system rdaign problems and plumbing Work order assumed the systems covered to be in the mantcnnce condition.If repaua arc found oarssary upon imaul inspection or initial seasonal setup,repair changes will be submitted for approval Should dust restoration changes be declined,thou own-mamti ncd opus will be eliminated from the pro am And the monthly maintenance prices will be adjusted aceordsnPJy TERMS:This Agreement%hall remain in effect from yea to year unkm ca oohed by ciiba party on W days prior wntiru none.Prices am subject to chaype due to changes in materitl and Labor rat" ENTIRE AGRV MEN'T:'Chu represmn We entire agrternau between the parties.There is tin other Agreement or pro trim s that ere no comkined on either We fruit ter tack aide of this Agreement Page 3 of 3 N N y3 N J O a W O A A ti O N �►1 T ' 0 57 7 C n _ CDcr o On d cr 3 � 0 � � � .� a 0 a HIM" - - -N co N CD c All z p n T ` c T y � o � o _ N s 0 n 3' CID ��► ., CL c n m 1'ro3 �� ► e FL • �' m�z 019 n m • 19 a . s GiTY OF ARLIAGTON N. 238 N. OLYMPIC AVE -ARLINGTON, WA. 98223 PHONE; (360)403-3551 BUILDING PERMIT Address:19321 63rd Ave NE Permit#:2356 Parcel#:31051500401208 Valuation:4501.80 OWNER APPLICANT CONTRACTOR Name:Vardy Diversified/AMA Name:Scott McCutchan Name:Gasline Mechanical Inc_ Address:PO Box 129 Address:20203 99th Ave NE Address:9926 Elliott Road City,State Zip:North Lakewood,WA 98259 City,State Zip:Snohomish,WA 98296 City,State Zip:Snohomish,WA 98296 Phone:425-218-8182 Phone:206-949-9645 Phone:425-487-2359 LIC: EXP: MECHANICAL CONTRACTOR PLUMBING CONTRACTOR Name:Gasline Mechanical Inc. Name: Address:9926 Elliot Rd Address: City,State,Zip:Snohomish,WA 98296 City,State,Zip: Phone:425-487-2359 Phone: LIC#:GASLIMI066CD EXP: 5/10/2019 LIC#: EXP: JOB DESCRIPTION PERMIT TYPE: Commercial Mechanical CODE YEAR: 2015 STORIES: CONST.TYPE: DWELLING UNITS: OCC GROUP: BUILDINGS: OCC LOAD: PERMIT APPROVAL 1 AGREE TO COMPLY WITH CITY AND STATE LAWS REGULATING CONSTRUCTION AND IN DOING THE WORK AUTHORIZED THEREBY; NO PERSON WILL BE EMPLOYED IN VIOLATION OF THE LABOR CODE OF THE STATE OF WASHINGTON RELATING TO WORKMEN'S COMPENSATION INSURANCE AND RCW 18.27. THIS APPLICATION IS NOT A PERMIT UNTIL SIGNED BY THE BUILDING OFFICIAL OR HIS/HER DEPUTY AND ALL FEES ARE PAID. IT IS UNLA FUL TO USE OR OCCUPY A BUILDING OR STRUCTURE UNTIL A FINAL INSPECTION HAS BEEN MADE AND APPROVAL OR A CERTIFI ATE OF OCCUPA CY HAS BEEN GRANTED. IBC110/IRC110. SALES T NOTI E:S sax relating to construction and construction terials in the Ci of Arlington must be re ed on your sales tax return form and c I ,n / q G �1i1 r St ature Print Name ate Released By Dat CONDITIONS Adhere to approved plans. Please call for final inspection. THIS PERMIT AUTHORIZS ONLY THE WORK NOTED.THIS PERMIT COVERS WORK TO BE DONE ON PRIVATE PROPERTY ONLY. ANY CONSTRUCTION ON THE PUBLIC DOMAIN(CURBS,SIDEWALKS,DRIVEWAYS,MARQUEES,ETC.)WILL REQUIRE SEPARATE PERMISSION. PERMIT FEES Date Description Fee Amount 1/17/2019 Mechanical Fee(Enter Fixture Fee) $100.00 1/17/2019 Mechanical Plan Review Fee $200.00 1/17/2019 Processing/Technology Fee $25.00 Total Due: $325.00 Total Payment: $0.00 Balance Due: $325.00 CALL FOR INSPECTIONS BUILDING(360)403-3417 When calling for an inspection please leave the following information: Permit Number,Type of Inspection being requested,and whether you prefer morning or afternoon Notice of Construction (NOC) Worksheet pscIeanair.org Puget Sound Air Agency Applicant: G&S Greenery NOC Number: 11387 Project Location: 19321 63'd Ave NE,Arlington,WA 98223 Registration Number: 30023 Applicant Name and Phone: Scott McCutchan,(206)949-9645 NAILS: 000000 Engineer: Ralph Munoz Inspector: Elizabeth Gilpin A. DESCRIPTION For the Order of Antroval Tier 11 recreational cannabis production and processing facility consisting of approximately 5000 square feet of indoor production canopy with no extraction processes occuring. Odors and organic emissions are controlled by at least four carbon canisters rated at 2500 cfm each. Additional Information(if needed) Project: 'rhe applicant proposes to produce 48 crops per year consisting of 1200 Ibs of cannabis flowers and 500 Ibs of cannabis leaves per year.Production will include trimming and packaging and will not consist of any extraction processes. I Facility:G&S Greenery has an active"Marijuana Processor"and a"Marijuana Producer Tier 2" endorsement according The State of Washington business licensing service. The cannabis canopy area square footage is in the middle of the Ticr 2 category, 10,000sgft. Their license is shown below from the department of revenue Washington States website:hltpjJ-seCure.dor.wa.Koy/liteunauth/ /tIG G&S Greenery NOG WOrksheetNo.11387 psc I ea na i r.org Puget sound Ot-an Air Agency GREENERY Licemminkirmsdorg, N""amb PwAmm search EDft MMw GOS GREENERY U.0 name: CAS CAMEWAY F.Oft t/IW USI: 603466-198 susiates 11 Gal Locift K)-.0004 Laos der OPGO Seumc 'behackfu NWm Of tea cGO"W,96to dm"s)below, O"Amb"OfRewou '4votwY ofsame Lecadvia addrew 19321 6W AVE NE SM A AFUMTOK WA,MW MdOW ad&*= 20M 99TH AVE SE SNOfKXW WA,MW ViewAddilioni Mmiums Processor 416M Oft-31,20f7 sep,19014 Tow 2 4r18. Sep-19-2014 Govaming People.%­ MCCUrCHAK SWTT lrden"Wer'CWMM 29 OF&WIT 0:69:49AM B. DATABASE EUDIU"TION 3W23-a&s emu" x Ca,»t Raw Uhoc. waT Gvandq 'tW 14 W- 2W I SMIM So Ft can"4qPdIQ* QW,I R_?- Nam- 0- : ­S� 4 Y40r- U. Ramjet. Cawmants I -1. . C204'. 0 Jaw G&IG"wy L IUSI 48-AOWWCsrb- JOV Z ZMW 2 G&S Greenery NOC Worksheet No.11387 - - pscleanair.org Puget Sound Clean Air Agency NSPS No A licable NSIPS:None Delegated?N/A NESHAP No Applicable NESHAP:None Dele ated?N/A Synthetic Minor No C. NOC FEES AND ANNUAL REGISTRATION FEES NOC Fees Fee Description Cost Amount Received(Date) - Filing Fee $1,150 Equipment (MJ Growing) $600 Control Equipment:Review:(Tier 2)1- $1,200 502license 1 SEPA(DNS) $800 _ Filing received $1,150(S/25/17) Additional fee received $2600(due) Commenuau ECICII:Note w self-need to Pay Total �WJ_50 Sent email to Lizzy for additional fees$2,600 Not paid as of 1/2/18,sent at.0 c than a hnunailn a follow up email. Registration Fees Applicabilit R ulation I Description I Note 5.03(a)(5)(A) Activated carbon adsorption having a rated capacity of greater than or equal to 200 cfm 5.03 a 8 Cannabis production Annual Registration Fee Regulation 1 Description Fee 5.07(c) IBase fee $1,150 Total= � $1 150 D. STATE ENVIRONMENTAL POLICY ACT(SEPA)REVIEW Regulation 1,Article 2 includes the Puget Sound Clean Air Agency SEPA rules and regulations,along with Chapter 197-11 of the WAC. SEPA allows the Agency to consider the environmental impacts of an application before an order of approval is given out. SEPA review is required for applications which involve a government"action"as defined in SEPA rules and regulations(categorical SEPA exemptions are listed in WAC 197-1 1-800 through-890). Projects requiring an air permit are not categorically exempt under WAC 197-1 1-800(1)(a)(iii)and(2)(a)(iii)-projects that require a license governing emissions to air except variances and open burning permits 3 G&S Greenery NOC Worksheet No.11387 — - pscleanair.org Puget soundGCafi Air Agency Maggie Corbin contacted City of Arlington on 3/17/15 for a separate cannabis project to determine if they had permitting requirements that would trigger SEPA.Christopher Young responded that the City did not require a SEPA for this project or other 1-502 producer/processors within the City. The growers are using existing,vacant manufacturing occupancies with same-none requirements. FW Request for Input-SEPA Deterrrb Sharpl_20171128_I 03540.pdf A follow up email was sent to the city of Arlington's contacts—Paul Ellis and Christopher Young,to ensure there are still no permit requirements in this area and also allow them to comment on the project. Christopher Young's email came back undeliverable(1/2/18). 1 checked with SEPA agency list on the Department of Ecology's website and did not find an alternate contact for city of Arlington. Paul Ellis' email is still working as of 112/18. Paul responded on 1/9/18 and said he and his staff had no comments: Foy oN�<Deh6rt'gbna 9T Co RJph Muvs l'c SeA.0 ee SFYall3dT les LhaaRyau,fo vaad Rta Mffaidibe evev:edonathaveany Cam.me_ D1N QW.!(I,fylhl Based on the City's response,and the review of the checklist,the Agency is recommending a determination of non-significance with no public comment- E. BACT REVIEW WAC 173-400-113 states that a permitting authority that is reviewing an application to establish a new source or modification in an attainment or unclassifiable area shall issue an order of approval if it determines that the proposed project satisfies "The proposed new source or modifucation will employ BACT for all pollutants not previously emitted or whore ernisrions would increase as a result ojthe new source or modification." This BACT(defined below)requirement applies to this facility since this is a modification to an existing source. Washington State regulation,WAC 173400-030,defines Bcst available control technology(BACT)as an emission limitation based on the maximum degree of reduction for each air pollutant subject to regulation under chapter 70.94 RCW emitted from or which result from any new or modified stationary source, which the permitting authority, on a case-by-case basis, taking into account energy, environmental, and economic impacts and other costs, determines is achievable for such source or 4 G&S Greenery NOC Worksheet No.11387 psc lean air.org Puget Sound Gean Air Agency modification through application of production processes and available methods,systems,and techniques, including fuel cleaning,clean fuels,or treatment or innovative fuel combustion techniques for control of each such pollutant. In no event shall application of the "best available control technology" result in emissions of any pollutants which will exceed the emissions allowed by any applicable standard under 40 C.F.R. Part 60 and Part 61. Emissions from any source utilizing clean fuels, or any other means, to comply with this paragraph shall not be allowed to increase above levels that would have been required under the definition of BACT in the Federal Clean Air Act as it existed prior to enactment of the Clean Air Act Amendments of 1990. Analysis: The purpose of the BACT review is to demonstrate that G&S Greenery will implement limitations or reductions for all increases in VOC and odor emissions from cannabis production and processing operations. For this permitting action,this project will increase emissions of odors and volatile organic compounds (VOCS). An odor and VOC BACT determination for cannabis production and processing operations has been established by the Agency from recent permitting actions and is discussed and presented below. Technologies potentially used for controlling odors and VOC from cannabis production include carbon canisters, odor masking (which is not allowed under Agency rules), odor neutralizers and ozone generators.There are other odor and VOC control technologies used in other industries including: • packed bed scrubbers(won't work well on semi volatile organics), afterburners(expensive,uses fuel and creates other regulated pollutants), • biolilters(would require too much room),and • potassium permanganate filters(more expensive and this level of control is not needed for the semivolatiles at hand). There is no information available that indicates these technologies are used in the cannabis production industry;so their technical feasibility for odor and VOC control has not been documented. Based on existing information carbon adsorption is effective for controlling odors and VOC from both production and processing cannabis plants. Carbon adsorption is the most common control technology in commercial cannabis facilities. The Agency requires all cannabis facilities to have carbon and/or odor control. This includes carbon canisters on all external vents from the building and internally circulating carbon canisters in many circumstances. The applicant is proposing to collect odorous emissions, including VOC from plant production, harvesting and indoor processing using 4 carbon canisters. The canisters used have a maximum flow rate of 2,500 cfm and this was verified with the manufacturer data sheet supplied with the application. According to the manufacturers of the canister-type carbon adsorbers, changc-out frequency for the carbon is dependent on the concentration of contaminant, the relative humidity, and the volume of air cleaned. Odor cannot be used as an indicator for adsorber change-out,except that if odor is evident the canister would need to be changed out. The manufacturer recommendations for filter replacement must be followed. Permitting Action BACT for Cannabis Production and Processing Operations 5 G&S Greenery NOC Worksheet No.11387 psc lean air.org Puget Sound Clean Air Agency Permitting I Action BACT for Cannabis Production and Processing Operations ■ All exhaust points(e.g.stacks,vents,windows,doors)associated with n enclosure,building or greenhouse housing cannabis production or processing operations must be designed to continuously control odors and VOCs.Carbon adsorption systems have been installed in all recent permitting actions. • There shall be no detectable cannabis odors at or beyond the property NC#11469 line. Because the issue of olfactory fatigue,a person who has not been exposed to the smell will be required to periodically monitor the air at the property line. • Maintenance of carbon adsorption systems must be implemented according to manufacturer recommendations. At a minimum the carbon units shall be replaced every 18 months(as required in the _permit conditionsL F. EMISSION ESTIMATES Proposed Project Emissions The purpose of this section is to identify each regulated air pollutant and present the amounts at which each regulated air pollutant will be emitted.For this permitting case,the Agency determined that actual emissions from this facility will be identical to the potential-to-emit(PTE)emissions since operations are continuous and the source is proposing to have a canopy that is the maximum allowed by their license. The tier of their license will restrict the total cannabis production. Identification of Emissions All emissions for this project will originate from the production and handling of the cannabis plants themselves. Emissions from the production and processing of cannabis depend on many factors(e.g.the genetics of the cannabis strain,the maturity cycle of the cannabis and the environment in which the cannabis is grown).The age of the cannabis is a significant determinant of the emissions.Generally,as cannabis matures,emissions increase during flowering. The emissions are complex mixtures of tcrpenoid,phenolic,cannabinoid and oxygen-containing compounds.Many compounds have been identified in several studies by looking at the composition of cannabis flowers,stems,leaves,roots and seeds. Emissions Calculations The Agency calculated emissions in two ways.First from air sample measurements conducted by the Puget Sound Clean Air Agency(the Agency)and second from a paper based on estimated biogenic VOC Emission Rates for Trees/Shrubs(max,as carbon).See spreadsheet below for details. The first methodology to calculate emissions from the production and processing of cannabis used air sample measurements taken by the Agency with a hand-held FID at the exhaust fans of the carbon filters(See calculation sheet tab titled"outlet cone"). The emission calculations use an Fit)response factor that represents the cannabis emissions profile and corrections to the concentration to mass rate 6 G&S Greenery NOC Worksheet No.11387 pscleanair.org Puget Sound Clean Air Agency equation.The emissions from this methodology use the total number of tilters proposed in the application and the maximum flow rate from the fan(2,500 cfm was used for a conservative estimate). The second methodology to calculate emissions from the production and processing of cannabis using biogenic VOCs emission database for common U.S.tree and shrub genera and was used in many of the permitting actions listed above in the QACT section. This methodology uses total reported facility yield per year(Flowers/Buds+Leaves)and multiples the highest generated biogenic VOC emission factor from the U.S tree and shrub data. The emissions estimates using the proposed 5,000 sq ft canopy size and the facility yield at this size are present below under"actual." This value was scaled up to 10,000 sq ft(which is the maximum value for tier II license)for potential emissions which is also presented in the table below under "potential."It is assumed that the scale up from 5,000 sq ft to 10,000 sq ft will increase the yield and the total flow rate out of the carbon canisters used to control odors. These numbers are likely underestimates based on additional information that has been gathered across the nation,but was not yet publicly available when the Agency contacted other regulatory offices. 7 G&S Greenery NOC Worksheet No.11387 �— psc lean air.org Puget Sound Clean Air Agency .Input In yellow hi hIighted areas.Other ceiIs calculated. NOC#: 11387 Facility Name: G&S reene Facility ieldperyear: 17001b 771.1kg Number ofCrops/Year: qg Yield per Harvest: 35.4 Ib 16065 gr #of Carbon Canisters; q Total weight of canister,lb 103 Assumed percentage of carbon/canister 79% Weight of Carbon/Canister: 81.5 Chan eout period: 18 months Fan rating 2500 CFM Estimated Square Footage of canopy 5000 59 ft Maximum per License I-100001—scl ft Summary of VOC Emissions Actual Potential Source Ib/yr Ib/yr Emissions based on estimated biogenic VOC Emission Rates for Trees/Shrubs(max,as carbon) 58.8 117.E Emissions based on measurements of Agency tested hand held FID 125 250 Emissions calculations are documented in the following spreadsheet: 11387ramxlsc Renortine Status-, With the emissions from this NOC,it is unlikely that the facility will trigger emission reporting requirement per Agency's Regulation I,Section 5.05(b).The actual emission rate is expected to emit less than: - 2.5 ton/year of HAP - 6.25 of Total HAPs - 25 tons/year of CO,NOx,PM,Sox,or VOC. G. OPERATING PERMIT or PSD 8 G&S Greenery ^/� NOC Worksheet No.11387 — - pscleanair.org Puget Sound Clean Air Agency Air Operating Permit Applicability A major source,as defined in chapter I73-401 WAC,is required to get an air operating permit under Regulation 1 Article 7 of the Puget Sound clean air agency. A major source is defined as one of the following: (a)any stationary source or group of stationary sources located within a contiguous area and under common control that emits or has the potential to emit,in the aggregate,ten tons per year(tpy)or more of any hazardous air pollutant which has been listed pursuant to section 112(b)of the FCAA,or twenty-five tpy or more of any combination of such hazardous air pollutants;or (b)A major stationary source that directly emits or has the potential to emit,one hundred tpy(tons per year)or more of any air pollutant subject to regulation(including any major source of fugitive emissions of any such pollutant);or Note:Fugitive emissions are only counted for categorical sources listed in(b)of 173-401 WAC(29) (c)A major source as defined in Part D of Title 1 of the FCAA. None of the areas in Puget Sound Clean Air Agency jurisdiction are designated non-attainment,therefore section(c)outlined above has limited applicability. This project does not trigger the threshold values identified above to qualify as a major source. Prevention of Sigttifieant Deterioration M): A proposed project is only subject to PSD permitting if the facility or the project has the potential to emit 100 tpy of a regulated air pollutant and is included in the list of source categories identified below or if the facility or proposed project has the potential to emit 250 tpy of a regulated air pollutant and the type of facility is not listed below. If the facility is over either of these thresholds prior to the modification, significant modifications to the facility are subject to PSD. 9 G&S Greenery NOC Worksheet No.11387 pscIeanair.0rg Puget Sound clean Air Agency 28 Source Categories Coal Of anin plants with thermal d ers Charcoal production plants Portland cement lants Kraft pulpmills Iron and steel mills Prima zinc smelters Prime copper smelters Primary aluminum ore reduction plants Hydrofluoric acid plants Municipal incinerator capable or charging more than 250 tons of refuse per day Nitric add plants Suifudc acid ants Petroleum refineries Coke oven batteries Phan hat#rock ocessGg n �lanls — - — Carbon black dents rumace process) Sulfur recovertents _Fuel conversion plants PdM lead smetters Secondary metal production plants Slnteting giants Fosse fuel boilers(or combination thereof)totaling more Chemical process plants than 250 MMBVhr heal input (does not include ethanol production facildms that produce ethanol by natural fermentation,included in NAICS codes 325193 or 312140) Fossil fuel fired steam electric plants of more than 250 Petroleum storage transfer units,total storage capacity - MMBturhr heat input over 300,000 barrels Tacorite ore processing plants Glass fiber processing plants This project does not trigger the threshold values identified above,and is therefore not subject to the permitting requirements under PSD. H. AMBIENT TOXICS IMPACT ANALYSIS Agency Regulation 3, Section 2.07 is the review of new Toxic Air Contaminants Sources. This rule requires that new sources that emit toxic air contaminants undergo a review of toxic air contaminant emissions. Definitions and procedures contained in Chapter 173460 WAC and adopted by reference in Regulation I,Section 6.01(a)apply to these sources as well. First tier review involves comparing the emissions of each toxic air contaminant discharged to atmosphere to the SQER listed in WAC 173460-150;or,the dispersion modeling,using TSCREEN,can be used to demonstrate that the predicted concentration of each contaminant is below the corresponding ASIL listed in WAC 173460-150. The applicant can also submit a more comprehensive evaluation including the use of other EPA guideline models and more accurate emission estimation techniques to demonstrate that the predicted concentration of each contaminant is below the corresponding ASIL listed in WAC 173460-150 in all areas where the general public has access. Second and Third tier Reviews,if ambient concentrations predicted from first tier review are not below the ASIL listed in WAC 173-460-150,the applicant shall submit a petition to the Department of Ecology requesting a second tier or third tier review,and must receive Ecology's recommendation of approval for 10 G&S Greenery NOC Worksheet No.11387 - -- pscleanair.org Puget Sound Clean Air Agency either the second or third tier petition. Second tier petition shall follow the procedures in WAC 173-460- 090,and third tier petitions shall follow the procedures in WAC 173460-100. Analysis: Potential emissions increases do not identify TAPS,therefore,compliance demonstration with Chapter 173460 WAC(Washington Air Toxics Rule)and PSCAA Regulation 3,Section 2.07 is not required. L APPLICABLE RULES&REGULATIONS 1. PUGET SOUND CLEAN AIR AGENCY REGULATIONS SECTION S.05(c):The owner or operator of a registered source shall develop and implement an operation and maintenance plan to ensure continuous compliance with Regulations I,II,and Ill.A copy of the plan shall be filed with the Control Officer upon request.The plan shall reflect good industrial practice and shall include,but not be limited to,the following: (1)Periodic inspection of all equipment and control equipment; (2)Monitoring and recording of equipment and control equipment performance; (3)Prompt repair of any defective equipment or control equipment; (4)Procedures for startup,shut down,and normal operation; (5)The control measures to be employed to ensure compliance with Section 9.15 of this regulation; and (6)A record of all actions required by the plan. The plan shall be reviewed by the source owner or operator at least annually and updated to reflect any changes in good industrial practice. SECTION 6.09:Within 30 days of completion of the installation or modification of a stationary source subject to the provisions of Article 6 of this regulation,the owner or operator or applicant shall file a Notice of Completion with the Agency.Each Notice of Completion shall be submitted on a form provided by the Agency,and shall specify the date upon which operation of the stationary source has commenced or will commence. SECTION 9.03:(a)It shall be unlawful for any person to cause or allow the emission of any air contaminant for a period or periods aggregating more than 3 minutes in any 1 hour,which is: (1)Darker in shade than that designated as No. 1 (20%density)on the Ringelmann Chart,as published by the United States Bureau of Mines;or (2)Of such opacity as to obscure an observer's view to a degree equal to or greater than does smoke described in Section 9.03(a)(1). (b)The density or opacity of an air contaminant shall be measured at the point of its emission,except when the point of emission cannot be readily observed,it may be measured at an observable point of the plume nearest the point of emission. (c)This section shall not apply when the presence of uncombined water is the only reason for the failure of the emission to meet the requirements of this section. SECTION 9.09:General Particulate Matter(PM)Standard.It shall be unlawful for any person to cause or allow the emission of particulate matter in excess of the following concentrations: Equipment Used in a Manufacturing Process:0.05 gr/dscf 11 G&S Greenery NOC Worksheet No.11387 psc lean air.org PugetsoundClean Air Agency SECTION 9.11:It shall be unlawful for any person to cause or allow the emission of any air contaminant in sufficient quantities and of such characteristics and duration as is,or is likely to be, injurious to human hcaldt,plant or animal life,or property,or which unreasonably interferes with enjoyment of life and property. SECTION 9.13:It shall be unlawful for any person to cause or allow the installation or use of any device or use of any means designed to mask the emission of an air contaminant which causes detriment to health,safety or welfare of any person. SECTION 9.IS:It shall be unlawful for any person to cause or allow visible emissions of fugitive dust unless reasonable precautions are emploved to minimize the emissions.Reasonable precautions include,but are not limited to,the following: (1)The use of control equipment,enclosures,and wet(or chemical)suppression techniques,as practical,and curtailment during high winds; (2)Surfacing roadways and parking areas with asphalt,concrete,or gravel; (3)Treating temporary,low-traffic areas(e.g.,construction sites)with water or chemical stabilizers, reducing vehicle speeds,constructing pavement or rip rap exit aprons,and cleaning vehicle undercarriages before they exit to prevent the track-out of mud or dirt onto paved public roadways;or (4)Covering or wetting truck loads or allowing adequate freeboard to prevent the escape of dust- bearing materials. RECUL,4TION I,SECTION 9.20(a):It shall be unlawful for any person to cause or allow the operation of any features,machines or devices constituting parts of or called for by plans, Specifications,or other information submitted pursuant to Article 6 of Regulation I unless such features,machines or devices are maintained in good working order. 2. WASHINGTON STATE ADMINISTRATIVE CODE WAC 173-400-040(3):Fallout.No person shall cause or allow the emission of particulate matter from any source to be deposited beyond the property under direct control of the owner or operator of the source in sufficient quantity to interfere unreasonably with the use and enjoyment of the property upon which the material is deposited. WAC 173-400-040(3):Fugitive emissions.The owner or operator of any emissions unit engaging in materials handling,construction,demolition or other operation which is a source of fugitive emission; (a) If located in an attainment area and not impacting any nonattainment area,shall take reasonable precautions to prevent the release of air contaminants from the operation. WAC173-400-111(7):Construction limitations. Approval to construct or modify a stationary source becomes invalid if construction is not commenced within eighteen months after receipt of the approval,if construction is discontinued for a period of eighteen months or more,or if construction is not completed within a reasonable time.The permitting authority may extend the eighteen-month period upon a satisfactory showing by the permittee that an extension is justified. 12 G&S Greenery NOC Worksheet No.11387 --� pscIeanair.org Puget Sound Clean Air Agency 3. FEDERAL No federal requirements currently apply to cannabis production operations. J. PUBLIC NOTICE This project does not meet the criteria for mandatory public notice under WAC 173-400-171,one of which is any application for which the Agency determines there is significant public interest. A notice of application was posted on the Agency's website for 15 days.No requests or responses were received. To determine whether this was significant public interest,I considered various factors including: Has anybody contacted the Agency regarding the facility?If so,what was his or her interest in the facility? Nobody has contacted the Agency regarding this facility to my knowledge Is there a neighbor or neighborhood group that has expressed interest in this facility or this type of jacdity� No. Have any other local groups expressed an interest in this facility or type offacility? No. Has there been any media coverage of this facility? No. Has there been a significant number of odor complaints nearby that could be exacerbated by this facility? None Have other government agencies informed us ofpublic interest in thisfacility? Sent email to City of Arlington(1/2/18),Paul Ellis with the city of Arlington responded that he and his staff had no comments on 1/9/18. Based on their response,the need for public notice is not warranted. K. RECOMMENDED APPROVAL CONDITIONS Standard Conditions: 1. Approval is hereby granted as provided in Article 6 of Regulation I of the Puget Sound Clean Air Agency to the applicant to install or establish the equipment,device or process described hereon at the installation address in accordance with the plans and specifications on file in the Engineering Division of the Puget Sound Clean Air Agency. 2. This approval does not relieve the applicant or owner of any requirement of any other governmental agency. Specific Conditions: 13 G&S Greenery NOC Worksheet No.11387 pscleanair.org Puget Sound Clean Air Agency 3. All exhaust vents from spaces within the facility in which cannabis plant matter is contained, including production,processing,and packaging,shall be vented through activated carbon adsorption canisters before being exhausted to the atmosphere. 4. All canisters must be installed as indicated in the application materials.There shall be at least four carbon canisters installed in the facility as indicated in the application with each of the carbon canister flow rates not exceeding 2,500 efnt and the amount of carbon in each canister shall be at least 81.5 Its. The flow rate and carbon weight requirements can be verified with manufacturer data for the purposes of verifying compliance with this condition. 5. Each carbon adsorption system must be designed and equipped with a pre-filter to prevent debris getting into the carbon adsorption system. 6. Manufacturer specification sheets showing the type of unit, carbon media and fan used for each carbon adsorption system must be maintained on-site, If requested by the Agency, the owner or operator must provide safe access for inspecting any of the carbon adsorption systems. 7. No detectable cannabis odor from the facility is allowed outside the property line. 8. The owner or operator shall monitor along and outside the property line for detectable cannabis odors from the facility once each calendar week (Sunday through Saturday). For at least one hour immediately prior to monitoring,the person performing the monitoring must remain in an atmosphere free of cannabis odors and may not be inside the facility. If cannabis odors from the facility are detected at or outside the property line during the monitoring or at any other time, the owner or operator shall immediately take corrective action to eliminate the odors. Corrective action includes, but is not limited to:changing out the carbon media or unit(s),adding new carbon adsorption systems, and adjusting or replacing the fan so that the airflow does not exceed the design airflow of a carbon adsorption system. The owner or operator shall monitor along and outside the property line for detectable cannabis odors from the facility after the corrective action has been implemented. Cannabis odors from the facility that are detected at or outside the property after 24 hours of initial detection are in violation of this permit. 9. The owner or operator shall have an independent third party who is familiar with cannabis odors monitor along and outside the property line for detectable cannabis odors at least once;every three months. For at least eight hours immediately prior to monitoring, the person performing the monitoring must remain in an atmosphere free of cannabis odors and may not be inside the facility.If cannabis odors from the facility arc detected at or outside the property line during the monitoring or at any other time,the owner or operator shall immediately take corrective action to eliminate the odors. Corrective action includes, but is not limited to: changing out the carbon media or unit(s), adding carbon adsorption system(s),and adjusting or replacing the fan so that the airflow does not exceed the design airflow of a carbon adsorption system. The independent third party who is familiar with cannabis odors shall monitor along and outside the property line for detectable cannabis odors from the facility after the corrective action has been implemented.Cannabis odors from the facility that are detected at or outside the property after 24 hours of initial detection are in violation of this permit. 10. The owner or operator shall keep written and/or digital records of each routine inspection and any follow-up inspection(s) required by Conditions#8 and#9. Each inspection record must include the date of the inspection,the start and end time of the inspection,the name of the person performing the inspection,a certification that the person perforating the inspection remained in an atmosphere fret of cannabis odors for the required time prior to the inspection, whether any cannabis odors were 14 G&S Greenery NOC Worksheet No.11387 psc lean air.org Puget Sound Clean Air Agency detected, the date and time of detection of any cannabis odors, where any cannabis odors were detected,a description of all corrective actions taken,the time and date of the corrective action and die results of the corrective action. 11. The owner or operator shall replace the carbon media or unit(s)of the carbon adsorption systeni(s) whenever required by Conditions#8 or#9,or every 18 months,whichever comes first.The owner or operator shall replace or clean the pre-filter to each carbon adsorption system quarterly.The owner or operator shall record the date and location whenever the carbon media/unit is replaced or if a pre- filter was cleaned or replaced. 12. All exterior doors from the facility shall be closed except when personnel are going in or out. 13. All exterior windows in the facility shall be closed at all times. 14. The owner or operator shall not use solvents for any extraction processes. 15. The owner or operator shall develop and implement a written complaint response plan. The owner shall record the name of the complainant, date and time of the complaint, and the complainant's phone number. The owner or operator shall investigate the complaint and record the results of the investigation including any corrective actions taken for all complaints received regarding odor,visible emissions or other air pollution issues.The complaint response plan and all records made under the plan shall be onsite and available to Agency personnel upon request. 16. All records and information required in this Order of Approval shall be kept in written and/or digital form for at least two years and made available to Agency personnel upon request. L. CORRESPONDENCE AND SUPPORTING DOCUMENTS FW Nodoe of FW Puget Sound ConstrWitin No 113C1ean Air Agency-Not M. REVIEWS Inspector Name Elizabeth Gilpin Date: _ Second Reviewer I Carole Cenci Date: 1/8/18 { Source Name J Date: 15 PROJECT DESCRIPTION GENERAL NOTES LEGEND BPS L I N QENERAL NOTES—MECHANICAL 4. EXTENT OF EXTERNAL DUCT INSULATION: A.SUPPLY AND RETURN AIR IN UNCONDITIONED SPACES, ACU AIR CONDITIONING UNIT 1. REFERENCE TO RELATED WORK: 'REAL INDICATIONS DENOTE WORK MECHANICAL ROOMS,ELECTRICAL ROOMS,AND EQUIPMENT ARCHITECTURAL BACKGROUND AFF ABOVE FINISHED FLUOR INSTALL SPACE CONDITIONING AND VENTILATION WITH HEAT COVERED ELSEWHERE(ARCHITECTURAL,STRUCTURAL,CIVIL, ROOMS NOT SPECIFIED TO BE INTERNALLY LINED. (THIN LINE) AHJ AUTHORITY HAVING JURISDICTION RECOVERY CAPACITY TO 10,000 SF INDOOR AGRICULTURAL ELECTRICAL,LANDSCAPE,OR KITCHEN),OR ITEM BASED ON A B. SUPPLY AIR ABOVE CEILINGS. FACILITY SPECIFIC MANUFACTURER'S DIMENSIONS(VERIFY). C.OUTDOOR AIR INTAKE. AHU AIR HANDLING UNIT NEW MECHANICAL WORK BUD HAC[mRAFT DAMPER V 2. ELECTRICAL CHARACTERISTICS: REFER TO ELECTRICAL DRAWINGS FOR �1 ELECTRICAL CHARACTERISTICS(VOLTAGES,ETC.)OF MECHANICAL T M TA NOTES (HEAVY LINE) BTUH BRITISH THERMIII,UNIT PER FLOUR FC FII A 1110 0 P EQUIPMENT,UNLESS OTHERWISE INDICATED. CBHDD COUNTERBALANCED 1.REFERENCE: SMACNA HVAC DUCT CONSTRUCTION STANDARDS, — — MATCHLINE OR PROPERTY LINE DAMPER CRAFT 1. Mechanical Inc. 3. CODES: COMPLETE INSTALLATION OF THE MECHANICAL SYSTEM METAL AND FLEXIBLE,CURRENT EDITION(SMACNA HVACDCS). 9926 Elliot Rd. SHALL BE PER THE APPLICABLE BUILDING,MECHANICAL,ENERGY, CC COOLING COIL EF-1 Snohomish WA 98296 PLUMBING,FIRE,AND HEALTH CODES AND REGULATIONS AS ADOPTED 2.CLEARANCE: COORDINATE DUCTWORK WITH MISCELLANEOUS CD CEILING DIFFUSER BY THE LOCAL AHJ. OBSTRUCTIONS IN CEILING SPACE. TYPICAL EQUIPMENT DESIGNATION CFM CUBIC FEET PER MINUTE APPLICABLE CODES 4. MECHANICAL CONTRACTOR SHALL LOCATE AND COORDINATE EXACT 3.DUCTWORK SIZES: SIZES INDICATED ARE INSIDE CLEAR (EXHAUST FAN SHOWN) CIG CEILING, COOLING LOCATION OF ALL MECHANICAL EQUIPMENT WITHIN THE STRUCTURE. DIMENSIONS. oomB COMBUSTION OOODO T ROOM THERMOSTAT OR OONTR CONTRACTOR pp0 O° 5. PENETRATIONS: PROVIDE ESCUTCHEON PLATES FOR EXPOSED 4.ROUND ELBOWS AND OFFSETS: FULL RADIUS(R/D= 1.5), O TEMPERATURE TRANSMITTER °°�o ER TI000 PIPING PENETRATIONS AND SHEET METAL FLASHING FOR EXPOSED 5-PIECE SEGMENTED OR STAMPED. REFER TO SMACNA HVACDCS D DRAIN, DTAMFmF'a °° aFWti o DUCTWORK PENETRATIONS. FIG 2-7,MITERED OFFSET(TYPE 2)MAY BE USED UP TO 30 DEGREE DO NOT USE ANGLED OFFSET(TYPE 1). I - DB DRY BULB, DECIBEL g DUCT SMOKE DETECTOR DISCH DISCHARGE', 6. SHAFT AND PLENUM CONNECTIONS: SEAL CONNECTIONS TO AIR OFFSET ANGLE. O SHAFTS AIRTIGHT. PROVIDE AIRTIGHT SEAL AROUND THESE DRAWINGS ARE BASED ON THE FOLLOWING CODES: 5.ROUND TEES AND LATERALS: CONICAL TEE PER SMACNA HVACDCS EMPR DER ON R O FIG 3-5; DO NOT USE STRAIGHT TEE; DO NOT USE CONICAL DOWN0°° INSULATION/LINING NOTES SADDLE TAP FOR EXPOSED DUCTWORK IN FINISHED SPACES. 90- 18x12 DUCT(1ST FIGURE = SIDE SHOWN, EAOOP° ... EXHAUST AIR O,{S �\p0p -2012 INTERNATIONAL BUILDING CODE WITH CITY AMMENDMENTS DEGREE TEE WITH OVAL TO ROUND TAP,LATERAL,AND 45- 2ND FIGURE = SIDE NOT SHOWN) EAT ENTERING AIR TEMPERATURE-2012 INTERNATIONAL MECHANICAL CODE WITH CITY AMMENDMENTS 1. ENERGY CODE: AS A MINIMUM,COMPLY WITH THICKNESSES AND DEGREE RECTANGULAR LEAD-IN PER SMACNA HVACDCS FIG 3-4. EE EN ERGY NIERGY EFFICIENCY RATIO EXPIRES: 10/25/14 -WAC 51-11 WASHINGTON STATE ENERGY CODE TYPES USTED IN ENERGY CODE ENFORCED BY AHJ. UP DOWN 6.RECTANGULAR ELBOWS AND OFFSETS: FULL RADIUS WHERE SPACE EF NER UST FAN 2. EXTENT OF INTERNAL DUCT LINING: PERMITS,R/W=1.5; OTHERWISE USE SQUARE CORNER ELBOW ® ® DUCT SECTION, POSITIVE PRESSURE EFF EFFICIENCY A.GRILLE AND DIFFUSER BOXES AND BOOTS. WITH TURNING VANES. EXHAUST GRILLE, ENGINE GENERATORB.TRANSFER DUCTS. EG 7.RECTANGULAR DIVIDED FLOW FITTINGS: USE GENERALLY, UP DOWN EL ELEVATION 3. MISCELLANEOUS DUCT FITTINGS(CONICAL TAKEOFFS,ETC.): EXCEPT BRANCHES TO TERMINALS; SMACNA HVACDCS FIG 2-5. DUCT SECTION, NEGATIVE PRESSURE II'CO x-rn�TC WRAP MATH INSULATION FOR CONDENSATION CONTROL EIQUIV EQUIVALENT UP DOWN ESP EXTERNAL STATIC PRESSURE F07 EXTERIOR, EXTERNAL ROUND DUCT SECTION F FAHRENFEIT SCHEDULES FCU FAN COIL UNIT FD FIRE DAMPER, FLUOR DRAIN UP UP UP DUCT PENETRATION THRU FLOOR FIR FLOOR OA m OR ROOF FLTR FILTER FSD �FSO FPM FEET PER MINUTE T FIRE/SMOKE DAMPER FPS FEET PER SECOND (--�= HORIZ DUCT, G GAS —0= VERT DUCT), OMB GYPSUM VOULBoARD 2-HR RATED, LION HORTZ HORIZONTAL FD FD HP HORSEPOWER AHU SCHEDULE(ELEC COOL/GAS HEAT) j t FIRE DAMPER HVAC HEATING, VENTILATING, AND AIR CONDITIO[ING EQUIP NO.AREASERVED DISCHARGE SUPPLY FAN COOLING HEATING WEIGHT,BASIS OF DESIGN HVACDCS HVAC DUCT CONSTRUCTION AIRFLOW,ESP, MOTOR CAPACITY,SEER INPUT, CAP, STAGES AFUE VOLTAGE MOCP STANDARDS METAL AND LBS 90'ELBOW, R/D OR R/W=1.5 BIBLE (SMACtVQ CFM IN WC 1 HP MBH (EER)(2 MBH MBH % m KIIGkiATT THOU AHU-1 YoungPlant Room Horizontal 2000 0.5 1 57,000 11 115,000 94,200 1 81.9 2082303P/60HZ 40 510 Carrier 4BEZ-060 SQUARE CORNER ELBOW WITH L LENGTH MBH T THOUSAND PEP,HOUR AHU-2 West Room Horizontal 3000 0.5 2 88,000 11 180.000 148,000 2 82 208I2303P/60HZ 60160 800 Carrie148TCRA08 TURNING VANES MECH MECHANICAL AHU-2 West Room Horizontal 3000 0.5 2 88,000 11 180,000 148,000 2 82 208/2303P/60HZ 60/60 800 Carner48TCRAO8 MCA MINK M CIRCUIT AL4PACITY NOTES: (1)ESP IS EXTERNAL TO UNR CASING;DOES NOT INCLUDE CASING,CLEAN FILTER,WET COIL,OR AUX HEAT LOSSES. 90'TAKE-OFF OR TEE MOCP "11II1XIMUM.OVER CURRENT PROJECTION (2)BASED ON 95 DEG F DB175 DEG F WB CIA,80 DEG F DB/67 DEG F WB MI'D MWN M EAT. CA OUTDOOR AIR 45'LATERAL TAKE-OFF OHO OPPOSED BLADE DAMPER OD OUTSIDE DIMENSION OR DIAMETER TRANSITION OR REDUCER (FOT= OPNG OPENING �— FLAT ON TOP, FOB=FLAT ON PD PRESSURE DROP, PUMPED DRAIN �T1 BOTTOM) POC POINT OF CONNECTION w FAN SCHEDULE POUNDS PRESSURE REDUCING VALVE F7 90'RECTANGULAR TAKE-OFF WITH PSIG PER SQUARE INCH GAUGE EQUIP NO.SERVICE TYPE AIRFLOW,ESP, MOTOR ELECTRICAL OPERATION WEIGHT,BASIS OF DESIGN 45' TAPER BA RETURN AIR REF REFERENCE W w CFM IN WC HP LEIS 90'DIVERGING RECTANGULAR TEE, RG RETURN GRILLE EITHER RADIUS OR TURNING VANES SA SUPPLY AIR SF-1 WEST ROOM UTILITY 15,000 1 7.5 46DV13P 1 812 GREENHECKSFB-30 101- SCH SCHEDULE ^ �.i SF-2 WEST ROOM UTILITY 15,000 1 7.5 460VI3P Im 812 GREENHECK SFB-30 SF SUPPLY FAN, SQUARE FOOT ROUND DUCT INDICATOR STEMS SENSIBLE NOTES: (1)CONTROL VIA TEMPERTURE/HIMAIDITY SENSOR IN SPACE SG SUPPLY GRILLE r V _ DIFFUSER/GRILLE TYPE, AND NUMBER S SHEET METAL AND AIR CONDITIONING 40012x12 OR 40 OR SIZE CONTRACTORS NATIONAL � T SP STATIC PRESSURE 1 -DESIGN CFM (WHERE APPLICABLE) ASSOCIATION V SO SCREENED OPENING ,JiFFICE COPY 7v W CEILING DIFFUSER (FLOW ARROWS O X -� SHOWN ONLY IF AIRFLOW NOT ,P ,�I� SYMMETRICAL) DON UNLESS OIIRMWISE NOTE) CITY OF ARLINGTON a M VD VOLUME DAMPER BUILDING DEPARTMENT CEILING RETURN/EXHAUST GRILLE APPROVED �/O 1-4 DATE"`/1'%!/`1 —� WALL SUPPLY GRILLE (SG) NO CHAAN_GE'3-WTHORIZED UNLESS APPR( D BY THE WALL RETURN/EXHAUST GRILLE BUILDING InJECTOR (RG, EG) TRANSFER GRILLE (TG), DUCT CONNECTED, WALL MOUNTED WITH 50 OPTIONAL CFM SHOWN DRAWING INDEX TRANSFER GRILLE, CEILING MOUNTED I I WITH FULL-SIZED LINED DUCT Received CONNECTION M-1 LEGEND, GENERAL NOTES, DRAWING INDEX, SCHEDULES 7.JQN 1 Fa 019 M-2 HVAC PLAN AIRFLOW THRU DOOR GRILLE OR M-3 DETAILS bu)„ 2.�k' +SO UNDERCUT W/OPTIONAL CFM SHOWN SHEET NO. FLEXIBLE DUCT PROJECT INFORMATION M - 1 ADDRESS: LEGEND, GENERAL NOTES, 19321 63RD AVE NE DRAWING INDEX ARLINGTON, WA. PROJECT NO. 6/16/2014 6 P S L , F Pv 4'FCHAN."* Gasline Mechanical Inc. 9926 Elliot Rd. Snohomish WA 98296 OOOOOpppp00 13 O O `~ O 130 O H� �00 EXPIRES: 10/25/14 SG-1 SG-1 SG-1 SG7 SG-1 200 200 200 200 20}0 I 200 180 160 140 _ II _ II SG-1 (� TM 2001 � 2001 � 2001 y 2001 1 200 HU-1 Note; 40 DOWN TO® (2)Can Filter Max 2500 Activated Carbon Filters 8 80 1250 CFM Each w W ,a SG-1 a-- SG-1 SG-1 -� +o ro 300 300 36X36 140 DOWN ---� BAROMETRIC I/ 300 SG-1 TO® RELIEF 36X36 300 g e 80 SG_1 SG-1 7 BAROMETRIC 300 RELIEF SG-1 F -� 300 SG-1 A Note; 0 300 SG-1 (2)Can Filter Max 2500 4 9 SG-1 Activated Carbon Filters SG-1 — N N 300 1250 CFM Each 300 140 DOWN SG-1 TO® V a e 300 7. a 8 g is SG0- -� 3001 SG-1 300 TM 300 N e 300 N M N SG-1 M N 140 DOWN N N SG-1 -� SG-1 �. --a TO® 300 300 300 1 SG-1 8 0 RG-1 N RG-1 3S, c@v 300 e" 3000 ssue. 3000 N a Ill AHU-2 28x12 JJ 28.12 JJ Jy-� SF-1 AHU-3 SF-2 WAC PLAN SHEET NO. M - 2 HVAC PLAN ELEVATIONS PROJECT NO. 6/16/2014 alro,Ec,s\am-ooa We Wner arraWwW-zoxc P N Pv �FCHAN�� EnTER�oR cas��ne�e�rlanl�ol Inc. 9926 Ellio}R�. GAP �no omlS LIGHT SUPPLY FIXTURE —� DUCT (TYP) 0000 ❑ooM00000 80 80 80 8� 8� 8� MECHANICALLY 0 COOPERATING 0 DAMPERS 0�0 o�c0000�060�6_14 80N 8� 80 � � EXPIRES: 10/25/14 RACKS 80 80 8� U CJ`f� EXTERIOR WALL 00 80 80 8� 8� 8� 8� 140 SPLITS TO (2) 120 6� TRANSITION TO (2) 14x8 DUCTS 8x14 8x14 8x14 8x14 8x14 8x14 FLOOR 2 SUPPLY DUCTS BELOW RACKS DETAIL B — ELEVATION SCALE: 1/4" Ww z wW � 0 EXTERIOR WALL CAP U IU LIGHT SUPPLY FIXTURE o N DUCT (TYP) MECHANICALLY e 80 8� 8� 8� COOPERATING 80 80 DAMPERS N EXTERIOR 0 RACKS 80 WALL 0000 80 80 80 80 80 60 8x14 8x14 n 8x14 8x14 8x14 8x14 FLOOR DETAIL A — ELEVATION SHE NO.VVV p SCALE: 1/4" = 1'-0" I\/I 3 DETAILS PROJECT NO. 6/16/2014 ' Pxu[c� P-M we oP w IFI\I"-zow wwsPx\\rsdwtUWr+imu+c _. _ GiTY OF ARLIAGTON 238 N. OLYMPIC AVE -ARLINGTON, WA. 98223 PHONE; (360)403-3551 BUILDING PERMIT Address:19321 63rd Ave NE Permit#:2356 Parcel#:31051500401208 Valuation:4501.80 OWNER APPLICANT CONTRACTOR Name:Vardy Diversified/AMA Name:Scott McCutchan Name:Gasline Mechanical Inc. Address:PO Box 129 Address:20203 99th Ave NE Address:9926 Elliott Road City,State Zip:North Lakewood,WA 98259 City,State Zip:Snohomish,WA 98296 City,State Zip:Snohomish,WA 98296 Phone:425-218-8182 Phone:206-949-9645 Phone:425-487-2359 LIC: EXP: MECHANICAL CONTRACTOR PLUMBING CONTRACTOR Name:Gasline Mechanical Inc. Name: Address:9926 Elliot Rd Address: City,State,Zip:Snohomish,WA 98296 City,State,Zip: Phone:425-487-2359 Phone: LIC#:GASLIMI066CD EXP: 5/10/2019 LIC#: EXP: JOB DESCRIPTION PERMIT TYPE: Commercial Mechanical CODE YEAR: 2015 STORIES: CONST.TYPE: DWELLING UNITS: OCC GROUP: BUILDINGS: OCC LOAD: PERMIT APPROVAL I AGREE TO COMPLY WITH CITY AND STATE LAWS REGULATING CONSTRUCTION AND IN DOING THE WORK AUTHORIZED THEREBY; NO PERSON WILL BE EMPLOYED IN VIOLATION OF THE LABOR CODE OF THE STATE OF WASHINGTON RELATING TO WORKMEN'S COMPENSATION INSURANCE AND RCW 18.27. THIS APPLICATION IS NOT A PERMIT UNTIL SIGNED BY THE BUILDING OFFICIAL OR HIS/HER DEPUTY AND ALL FEES ARE PAID. IT IS UNLA FUL TO USE OR OCCUPY A BUILDING OR STRUCTURE UNTIL A FINAL INSPECTION HAS BEEN MADE AND APPROVAL OR A CERTIFI ATE OF OCCUPA CY HAS BEEN GRANTED. IBCI10/IRC110. n SALES T NOTICE:SaYstax relating to construction and construction serialjm* thc C�yof Arlington must be re ed on your sales tax return form and St 'ature Print Name atc Released By Dat CONDITIONS Adhere to approved plans. Please call for final inspection. THIS PERMIT AUTHORIZS ONLY THE WORK NOTED.THIS PERMIT COVERS WORK TO BE DONE ON PRIVATE PROPERTY ONLY. ANY CONSTRUCTION ON THE PUBLIC DOMAIN(CURBS,SIDEWALKS,DRIVEWAYS,MARQUEES,ETC.)WILL REQUIRE SEPARATE PERMISSION. PERMIT FEES Date Description Fee Amount 1/17/2019 Mechanical Fee(Enter Fixture Fee) $100.00 1/17/2019 Mechanical Plan Review Fee $200.00 1/17/2019 Processing/Technology Fee $25.00 Total Due: $325.00 Total Payment: $0.00 Balance Due: $325.00 CALL FOR INSPECTIONS BUILDING(360)403-3417 When calling for an inspection please leave the following information: Permit Number,Type of Inspection being requested,and whether you prefer morning or afternoon Permit Information Date 1/15/2019 Permit Number 2356 Project Name 19321 63rd Air Filter Applicant Name Scott McCutchan Applicant Address 20203 99th Ave NE City, State,Zip Snohomish,WA 98296 Contact Scott McCutchan Phone 206-949-9645 Email scott.mccutchan@hotmail.com Permit Type Commercial Mechanical Site Address 19321 63rd Ave NE Valuation 4501.80 Status Applied Permit Issued Permit Expires Square Feet 0 Type of Construction/Occupancy Load Commercial Mechanical Number of Stories 0 Proposed Use Air filters Assigned To Raelynn Jones Property Parcel Address Legal Owner Owner Phone Zoning 31051500401208 119321 63RD AVE NE kVady Diversified/AMA 425-218-8182 Contractors Contractor Name Primary Contact Phone Email Contractor Type License License# Gasline Mechanical Inc. Pohn R Anderson 425-487-2359 kqndersonflgaslinemechanical.com CONSULTANT -&I GASLIM1066CD Fees Fee Description Notes Amount Mechanical Fee Enter Fixture Fe!21 322.10.00.00 $100.00 Mechanical Plan Review Fee 322.10.00.00 $200.00 Processin /Technolo Fee 341.43.00.02 $25.00 Total $325.00 Uploaded Files I Upload File Date File Uploaded B 1/15/2019 1:38:29 PM 2356 Gasline quote(3),pdf Jones, Raelynn 1/15/2019 1:38:29 PM 2356 Gasline quote(2),pdf Jones, Raelynn 1/15/2019 1:38:29 PM 2356 Gasline quote(1.),pdf Jones, Raelynn C4CY ®,e COMMERCIAL MECHANICAL • PERMIT APPLICATION Department of Community&Economic Development City of Arlington • 18204 59th Ave NE •Arlington,WA 98223 • Phone(360)403-3551 THIS APPLICATION MUST BE ACCOMPANIED BY TWO (2) SETS OF CONSTRUCTION DRAWINGS AND ALL OTHER INFORMATION OUTLINED IN THE MECHANICAL PERMIT SUBMITTAL =TS, IF APPLICABLE. TypeofPermit: ❑ NewInstallation ❑ Replacement Project Address: 32� �i)Z- �--, Parcel#: Project Description: 'fr'ti 2 L [ L rl'� Valuation: J��. � Owner: C(n� L1 �,J Phone#: Address: City: State: Zip: Email Address: Contact Person: - 1��C_-c.rt �1/+ � Phone#: �L Address: - 3 Z!;?C>! - City: State: Zip: �7 Email Address: � c 1p 1444` �'*C �'« Contractor Name::_-2&kQ ,4f 2n 3 Phone#: T �J 7`-Y/ ,-,Z a y� Contractor Address: � City: �7-S�tta�te�: Zip: ;�Email: � SPA✓v ��Z� `b1 FeTSon. Contractor License Number: Expiration: Please indicate type of number of appliances: FURNACE CONDENSING UNIT GAS PIPING OUTLET BOILER HEAT PUMP(multi-split) UNIT HEATER CHILLER HEAT PUMP(mini-split) PAINT BOOTH COOLER HEAT PUMP(other) TYPE I HOOD AC(air cooled) HEAT REJECTION EQUIP TYPE II HOOD AC(water cooled) VENTILATION SYSTEM AST ' AC(evaporator) PACKAGED UNIT UST AC(VRF) DRYER OTHERQ-. `Lffi.S I hereby certify that the above formation is correct and that the construction on, and the occupancy and the use of the above- described property will be in a rdance it t d regulation of the State of Washington. Applicants Signature: / Date zz/i);­A9 Applicants Printed Name: Received FOR STAFF USE ONLY 235�.v JAN 15 201 Permit# Acc pte y Amount Received Receipt# Date Received 6/16LP Page 7 of 7 Search L&I • . A-Z Index Help IQ My L&I ab' O'r & Industries Safety&Health G Claims&Insurance 0- Workplace Rights o Trades&Licensing Aft Washington State Department of `) Labor & Industries GASLINE MECHANICAL INC Owner or tradesperson P O BOX 1108 WOODINVILLE,WA 98072-1108 Principals 425-487-2359 ANDERSON,JOHN ROBERT,PRESIDENT KING County ■ OSBORNE,MICHAEL E,SECRETARY (End:05/0612002) Doing business as GASLINE MECHANICAL INC WA UBI No. Business type 601 510 390 Corporation License Verify the contractor's active registration/license/certification(depending on trade)and any past violations. Construction Contractor Active. Meets current requirements. License specialties GENERAL License no. GASLIM1066CD Effective—expiration 02/04/1994—05/10/2019 Bond No bond accounts during the previous 6 year period. Insurance Ohio Security Ins Co $1.000,000.00 Policy no. BKS54674191 Received by L&I Effective date 01/03/2019 02/01/2019 Expiration date 02101/2020 Ohio Cas Ins Co $1,000,000.00 Policy no. BKS54674194 Received by L&I Effective date 01/29/2018 02101/2012 Expiration date 02/01/2019 i h Savin4s (in lieu of bond) $6,000.00 Notice of Construction (NOC) Worksheet psc lean air.org Puget Sound Clean Air Agency Applicant: G&S Greenery NOC Number: 11387 Project Location: 19321 631a Ave NE,Arlington,WA 98223 Registration Number: 30023 Applicant Name and Phone: Scott McCutchan,(206)949-9645 NAICS: 000000 Engineer: Ralph Munoz Inspector: Elizabeth Gilpin A. DESCRIPTION For the Order of Approval Tier 11 recreational cannabis production and processing facility consisting of approximately 5000 square feet of indoor production canopy with no extraction processes occuring. Odors and organic emissions are controlled by at least four carbon canisters rated at 2500 efm each. Additional Information(if needed) Project: The applicant proposes to produce 48 crops per year consisting of 1200 Ibs of cannabis flowers and 500 Ibs of cannabis leaves per year.Production will include trimming and packaging and will not consist of any extraction processes. Facility:G&S Greenery has an active"Marijuana Processor"and a"Marijuana Producer Tier 2" endorsement according The State of Washington business licensing service. The cannabis canopy area square footage is in the middle of the Tier 2 category,10,000sgft. Their license is shown below from the department of revenue Washington States website:https://secure.dor.wa.Rov/gteunauth/ /"G Received JAN 15 2019 $LD 2.35Le G&S Greenery NOC Worksheet No.11387 psc lean a!r.org Puget Sound Clean Air Agency :OR a Business License Lo r G&S GREENERY Licemelnfortmadon. riewsearch Prewou3 search Entity neme: G@S GREENERY LLC Bumhtees name: G&S GREENERY Emir type: Limited Liability Company UBI: 603356.199 Business ID:001 Lara6on to-ODOI Locedon: Open Stem To check the statue of die company,go to the fink(e)below Department of Revenu. Secretary of Slate Locadao addrem 1932163RD AVE NE STE A ARLNGTIOK WA,96223 UaWmg addrn�a: 2=3 99TH AVE SE SNOHOMSK WA 9016 Vies:Additional Locations F.ndnrsemattts L3� rrwaa held at thus location License B Court :Detade Stlebv.- Expiration daze Fret issuance da i lsn,uana Processor 4159W dive Dec-312D17 SW192014 Waaiivana Producer Tier 4159M -tic Dec31-2017 Sep-19.2014 _Ros Governing People MCGfTCHAN,SCOTT 11dwmae0n crnosnt as of f PAIT&59:49 AM B. DATABASE INFORMATION 30023-G&5 Gm.-y x - _11mic 6t:pment Counts _- R,* Name _ NGN.. 9E Cade Yer_ tL Rated C_ Rated U- NOC.. Cemmens T t 30023 1 U387 76 >'-:-a-+F'- 2017 1 SM.00 Spk Comment -- `— - '— Cenod Equgmerrt CcuntI R..9- Name Ian n ► NGNot. CECade Yates U. Rated Er_ Commob; T 1 �i 30023 G&SGvmn 1 11367 M-Ae6uWOita 2017 4 2500.001 Csn{dOK Ya 2l10.. ce+1EYR+�y tU.S ttis afvhdn Z G&S Greenery NOC Worksheet No.11387 pscIeanair.org Puget Sound Clean Air Agency NSPS No Applicable NSPS:None De1e ated?N/A NESIIAP No Applicable NESHAP:None Delegated?N/A Svothetic Minor No C. NOC FEES AND ANNUAL REGISTRATION FEES NOC Fees Fee Description Cost Amount Received(Date) Filing Fee $1,150 Equipment (M]Growing) $600 Control Equipment:Review:(Tier 2)I- $1,200 502license 1 -SEPA(DNS) $800 Filing received $1,150(5125117) Additional fee received $2600(due) Cummtnlnd EMIL].Note to seer—rreed to pay Total $3,750 Sent email to Lizzy for additional fees$2,600 Not paid as of 1/2/18,sent scou.mc,utchmt a botmail.com a follow up email. Registration Fees A )icability Regulation I Description Note 5.03(a)(5)(A) Activated carbon adsorption having a rated capacity of greater than or equal to 200 cfm Cannabis production _ Annual Reeistration Fee Regulation I I Description Fee 5.07 cl Base fee $1,150 Total= $1,150 D. STATE ENVIRONMENTAL POLICY ACT(SEPA)REVIEW Regulation I,Article 2 includes the Puget Sound Clean Air Agency SEPA rules and regulations,along with Chapter 197-11 of the WAC. SEPA allows the Agency to consider the environmental impacts of an application before an order of approval is given out. SEPA review is required for applications which involve a government"action"as defined in SEPA rules and regulations(categorical SEPA exemptions are listed in WAC 197-1 1-800 through-890). Projects requiring an air permit are not categorically exempt under WAC 197-11-800(1)(a)(iii)and(2)(a)(iii)—projects that require a license governing emissions to air except variances and open burning permits 3 G&S Greenery NOC Worksheet No.11387 pscIeanair.org Puget Sound Clean Air Agency Maggie Corbin contacted City of Arlington on 3/17/15 for a separate cannabis project to determine if they had permitting requirements that would trigger SEPA.Christopher Young responded that the City did not require a SEPA for this project or other 1-502 producer/processors within the City. The growers are using existing,vacant manufacturing occupancies with same zone requirements. FW Request for Input-SEPA Deterrto Sharp:_20171128_1 03540.pdf A follow up email was sent to the city of Arlington's contacts—Paul Ellis and Christopher Young,to ensure there are still no permit requirements in this area and also allow them to comment on the project. Christopher Young's email came back undeliverable(1/2/18). 1 checked with SEPA agency list on the Department of Ecology's website and did not find an alternate contact for city of Arlington. Paul Ellis' email is still working as of 112/18, Paul responded on 1/9/18 and said he and his staff had no comments: S ae_ Re SFVAa1381 Yes thank you I fonvani itto staff and I be eve::e do not have any comments Paul El::s,Xw,CAI OrVAdmin Vator C4 of Arl natan ]60 303A603 Based on the City's response,and the review of the checklist,the Agency is recommending a determination of non-significance with no public comment. E. BACT REVIEW WAC 173AOO-l13 states that a permitting authority that is reviewing an application to establish a new source or modification in an attainment or unclassifiable area shall issue an order of approval if it determines that the proposed project satisfies "7he proposed new source or modification will employ BACT for all pollutants not previously emitted or whose emissions would increase as a result of the new source or modification." This BACT(defined below)requirement applies to this facility since this is a modification to an existing source. Washington State regulation,WAC 173-400-030,defines Best available control technolop-v(BACT)as an emission limitation based on the maximum degree of reduction for each air pollutant subject to regulation under chapter 70.94 RCW emitted from or which result from any new or modified stationary source, which the permitting authority, on a case-by-case basis, taking into account energy, environmental, and economic impacts and other costs, determines is achievable for such source or 4 G&S Greenery NOC Worksheet No.11387 pscIeanair.org Puget Sound Clean Air Agency modification through application of production processes and available methods,systems,and techniques, including fuel cleaning,clean fuels,or treatment or innovative fuel combustion techniques for control of each such pollutant. In no event shall application of the "best available control technology" result in emissions of any pollutants which will exceed the emissions allowed by any applicable standard under 40 C.F.R. Part 60 and Part 61. Emissions from any source utilizing clean fuels, or any other means, to comply with this paragraph shall not be allowed to increase above levels that would have been required under the definition of BACT in the Federal Clean Air Act as it existed prior to enactment of the Clean Air Act Amendments of 1990. Analysis: The purpose of the BACT review is to demonstrate that G&S Greenery will implement limitations or reductions for all increases in VOC and odor emissions from cannabis production and processing operations. For this permitting action,this project will increase emissions of odors and volatile organic compounds (VOCs). An odor and VOC BACT determination for cannabis production and processing operations has been established by the Agency from recent permitting actions and is discussed and presented below. Technologies potentially used for controlling odors and VOC from cannabis production include carbon canisters, odor masking (which is not allowed under Agency rules), odor neutralizers and ozone generators.There are other odor and VOC control technologies used in other industries including: packed bed scrubbers(won't work well on semi volatile organics), • afterburners(expensive,uses fuel and creates other regulated pollutants), bioftlters(would require too much room),and • potassium permanganate filters(more expensive and this level of control is not needed for the semivolatiles at hand). There is no information available that indicates these technologies are used in the cannabis production industry;so their technical feasibility for odor and VOC control has not been documented. Based on existing information carbon adsorption is effective for controlling odors and VOC from both production and processing cannabis plants. Carbon adsorption is the most common control technology in commercial cannabis facilities. The Agency requires all cannabis facilities to have carbon and/or odor control. This includes carbon canisters on all external vents from the building and internally circulating carbon canisters in many circumstances. The applicant is proposing to collect odorous emissions, including VOC from plant production, harvesting and indoor processing using 4 carbon canisters. The canisters used have a maximum flow rate of 2,500 cfm and this was verified with the manufacturer data sheet supplied with the application. According to the manufacturers of the canister-type carbon adsorbers, change-out frequency for the carbon is dependent on the concentration of contaminant, the relative humidity, and the volume of air cleaned. Odor cannot be used as an indicator for adsorber change-out,except that if odor is evident the canister would need to be changed out. The manufacturer recommendations for filter replacement must be followed. Permitting -I Aaron BACT for Cannabis Production and Processing Operations J 5 G&S Greenery NOC Worksheet No.11387 pscIeanair.org Puget sound Clean Air Agency Permitting Action BACT for Cannabis Production and Processing Operations • All exhaust points(e.g.stacks,vents,windows,doors)associated with an enclosure,building or greenhouse housing cannabis production or processing operations must be designed to continuously control odors and VOCs.Carbon adsorption systems have been installed in all recent permitting actions. ■ There shall be no detectable cannabis odors at or beyond the property NC#11469 line. Because the issue of olfactory fatigue,a person who has not been exposed to the smell will be required to periodically monitor the air at the property line. • Maintenance of carbon adsorption systems must be implemented according to manufacturer recommendations. At a minimum the carbon units shall be replaced every 18 months(as required in the permit conditions F. EMLSSION ESTIMATES Proposed Project Emissions The purpose of this section is to identify each regulated air pollutant and present the amounts at which each regulated air pollutant will be emitted.For this permitting case,the Agency determined that actual emissions from this facility will be identical to the potential-to-emit(PTE)emissions since operations are continuous and the source is proposing to have a canopy that is the maximum allowed by their license. The tier of their license will restrict the total cannabis production. Identification of Emissions All emissions for this project will originate from the production and handling of the cannabis plants themselves. Emissions from the production and processing of cannabis depend on many factors(e.g.the genetics of the cannabis strain,the maturity cycle of the cannabis and the environment in which the cannabis is grown).The age of the cannabis is a significant determinant of the emissions.Generally,as cannabis matures,emissions increase during flowering. The emissions are complex mixtures of terpenoid,phenolic,cannabinoid and oxygen-containing compounds.Many compounds have been identified in several studies by looking at the composition of cannabis flowers,stems,leaves,roots and seeds. Emissions Calculations The Agency calculated emissions in two ways.First from air sample measurements conducted by the Puget Sound Clean Air Agency(the Agency)and second from a paper based on estimated biogenic VOC Emission Rates for Trees/Shrubs(max,as carbon).See spreadsheet below for details. The first methodology to calculate emissions from the production and processing of cannabis used air sample measurements taken by the Agency with a hand-held FID at the exhaust fans of the carbon filters(See calculation sheet tab titled"outlet cone"). The emission calculations use an FID response factor that represents the cannabis emissions profile and corrections to the concentration to mass rate 6 G&S Greenery NOC YYorksheetNo.1I387 psc lean a!r.org Puget Sound Clean Air Agency equation.The emissions from this methodology use the total number of filters proposed in the application and the maximum flow rate from the fan(2,500 cfm was used for a conservative estimate). The second methodology to calculate emissions from the production and processing of cannabis using biogenic VOCs emission database for common U.S.tree and shrub genera and was used in many of the permitting actions listed above in the BACT section. This methodology uses total reported facility yield per year(Flowers/Buds+Leaves)and multiples the highest generated biogenic VOC emission factor from the IJ.S tree and shrub data. The emissions estimates using the proposed 5,000 sq ft canopy size and the facility yield at this size are present below under"actual." This value was scaled up to 10,000 sq ft(which is the maximum value for tier II license)for potential emissions which is also presented in the table below under "potential."It is assumed that the scale up from 5,000 sq ft to 10,000 sq ft will increase the yield and the total flow rate out of the carbon canisters used to control odors. These numbers are likely underestimates based on additional information that has been gathered across the nation,but was not yet publicly available when the Agency contacted other regulatory offices. 7 G&S Greenery NOC Worksheet No.17387 psc lean air.org Puget Sound i Agency Input in yellow highlighted areas.Other cells calculated. NOCt 11387 Facility Name: G&Sgreenery Facility yield per year: 1700lb 771.1kg Number of Crops/Year: 481 Yield per Harvest: 35.4 Ib 16065 igr #of Carbon Canisters; q Total weight of canister,lb 103 Assumed percentage of carbon/canister 79%1 Weight of Carbon/Canister: 81.51 Changeoutperiod: i8lmonths Fan ratin 25001CFM Estimated Square Footage of canopy S000 Sq ft Maximum per License W=1Sq ft Summary of VOC Emissions Actual Potential Source Ib/yr Ib/yr Emissions based on estimated biogenic VOC Emission Rates for Trees/Shrubs(max,as carbon) 58.8 117.6 Emissions based on measurements of Agency tested hand held FID 1251 250 Emissions calculations are documented in the following spreadsheet: 11387ramxlsx Reportine Status: With the emissions from this NOC,it is unlikely that the facility will trigger emission reporting requirement per Agency's Regulation I,Section 5.05(b).The actual emission rate is expected to emit less than: - 2.5 ton/year of HAP - 6.25 of Total HAPs - 25 tons/year of CO,NOx,Plot,Sox,or VOC. G. OPERATING PERMIT or PSD 8 G&S Greenery NOC Worksheet No.11387 pscIeanair.org Puget Sound Clean Air Agency Air Operating Permit Applicability A major source,as defined in chapter 173401 WAC,is required to get an air operating permit under Regulation I Article 7 of the Puget Sound clean air agency. A major source is defined as one of the following: (a)any stationary source or group of stationary sources located within a contiguous area and under common control that emits or has the potential to emit,in the aggregate,ten tons per year(tpy)or more of any hazardous air pollutant which has been listed pursuant to section 112(b)of the FCAA,or twenty-five tpy or more of any combination of such hazardous air pollutants;or (b)A major stationary source that directly emits or has the potential to emit,one hundred tpy(tons per year)or more of any air pollutant subject to regulation(including any major source of fugitive emissions of any such pollutant);or Note:Fugitive emissions are only counted for categorical sources listed in(b)of 173401 WAC(29) (c)A major source as defined in Part D of Title I of the FCAA. None of the areas in Puget Sound Clean Air Agency jurisdiction are designated non-attainment,therefore section(c)outlined above has limited applicability. This project does not trigger the threshold values identified above to qualify as a major source. Prevention of Significant Deterioration(PSD)_ A proposed project is only subject to PSD permitting if the facility or the project has the potential to emit 100 tpy of a regulated air pollutant and is included in the list of source categories identified below or if the facility or proposed project has the potential to emit 250 tpy of a regulated air pollutant and the type of facility is not listed below. If the facility is over either of these thresholds prior to the modification, significant modifications to the facility are subject to PSD. 9 G&S Greenery NOC Worksheet No.11387 pscIeanair.org Puget Sound Clean Air Agency 28 Source Categories Coal cleaning plants with thermal dryers Charcoal production plants Portland cement plants Kraft pulp mills Iron and steel mills Primairy Zinc smelters Primary copper smelters Primary aluminum ore reduction plants Hydrofluoric acid plants Municipal incinerator capable of charging more than 250 tons of refuse per day Nitric add plants Sulfunc acid plants t?me p)er115 --- - --- - _Petroleum refineries Coke oven batteries Phosphate rock processing plants _ Carbon Wick plarits furnace Sulfur recovery plants Fuel conversion plants Primary lead smelters Secondary metal production plants Sintering plants Fossil fuel boilers(or combination thereof)totaling mare Chemical process plants than 250 MM8hV hr heat input (does not include ethanol production facilities that produce ethanol by natural fermentation,included in NAICS codes 325193 or 312140 Fossd fuel fired steam electric plants of more than 250 Petroleum storage transfer units,total storage capacity MMBtulhr heat input over 300.000 barrels Taconite ore processing pants Glass fiber processing plants This project does not trigger the threshold values identified above,and is therefore not subject to the permitting requirements under PSD. H. AMBIENT TOXICS IMPACT ANALYSIS Agency Regulation 3, Section 2.07 is the review of new Toxic Air Contaminants Sources. This rule requires that new sources that emit toxic air contaminants undergo a review of toxic bur contaminant emissions. Definitions and procedures contained in Chapter 173-460 WAC and adopted by reference in Regulation I,Section 6.01(a)apply to these sources as well. First tier review involves comparing the emissions of each toxic air contaminant discharged to atmosphere to the SQER listed in WAC 173460-150;or,the dispersion modeling,using TSCREEN,can be used to demonstrate that the predicted concentration of each contaminant is below the corresponding ASIL listed in WAC 173460-150. The applicant can also submit a more comprehensive evaluation including the use of other EPA guideline models and more accurate emission estimation techniques to demonstrate that the predicted concentration of each contaminant is below the corresponding ASIL listed in WAC 173460-150 in all areas where the general public has access. Second and Third tier Reviews if ambient concentrations predicted from first tier review are not below the ASIL listed in WAC 173460-150,the applicant shall submit a petition to the Department of Ecology requesting a second tier or third tier review,and must receive Ecology's recommendation of approval for 10 G&S Greenery NOC Worksheet No.11387 psc lean air.org Puget Sound Clean Air Agency either the second or third tier petition. Second tier petition shall follow the procedures in WAC 173-460- 090,and third tier petitions shall follow the procedures in WAC 173-460-100. Analysis: Potential emissions increases do not identify TAPS,therefore,compliance demonstration with Chapter 173-460 WAC(Washington Air Toxics Rule)and PSCAA Regulation 3,Section 2.07 is not required. L APPLICABLE RULES&REGULATIONS 1. PUGET SOUND CLEAN AIR AGENCY REGULATIONS SECTION 5.05(c):The owner or operator of a registered source shall develop and implement an operation and maintenance plan to ensure continuous compliance with Regulations 1,II,and Ill.A copy of the plan shall be filed with the Control Officer upon request.The plan shall reflect good industrial practice and shall include,but not be limited to,the following: (1)Periodic inspection of all equipment and control equipment; (2)Monitoring and recording of equipment and control equipment performance; (3)Prompt repair of any defective equipment or control equipment; (4)Procedures for startup,shut down,and normal operation; (5)The control measures to be employed to ensure compliance with Section 9.15 of this regulation; and (6)A record of all actions required by the plan. The plan shall be reviewed by the source owner or operator at least annually and updated to reflect any changes in good industrial practice. SECTION 6.09:Within 30 days of completion of the installation or modification of a stationary source subject to the provisions of Article 6 of this regulation,the owner or operator or applicant shall file a Notice of Completion with the Agency.Each Notice of Completion shall be submitted on a form provided by the Agency,and shall specify the date upon which operation of the stationary source has commenced or will commence. SECTION 9.03:(a)It shall be unlawful for any person to cause or allow the emission of any air contaminant for a period or periods aggregating more than 3 minutes in any i hour,which is: (1)Darker in shade than that designated as No. 1(20%density)on the Ringelmann Chart,as published by the United States Bureau of Mines;or (2)Of such opacity as to obscure an observer's view to a degree equal to or greater than does smoke described in Section 9.03(a)(1). (b)The density or opacity of an air contaminant shall be measured at the point of its emission,except when the point of emission cannot be readily observed,it may be measured at an observable point of the plume nearest the point of emission- (c)This section shall not apply when the presence of uncombined water is the only reason for the failure of the emission to meet the requirements of this section. SECTION 9 09:General Particulate Matter(PM)Standard.It shall be unlawful for any person to cause or allow the emission of particulate matter in excess of the following concentrations: Equipment Used in a Manufacturing Process:0.05 gr/dscf 11 G&S Greenery NOC Worksheet No.11387 psc lean air.org Puget Sound Clea n Air Agency SECTION 9.11:It shall be unlawful for any person to cause or allow the emission of any air contaminant in sufficient quantities and of such characteristics and duration as is,or is likely to be, injurious to human health,plant or animal life,or property,or which unreasonably interferes with enjoyment of life and property. SECTION 9.13:It shall be unlawful for any person to cause or allow the installation or use of any device or use of any means designed to mask the emission of an air contaminant which causes detriment to health,safety or welfare of any person. SECTION 9.IS:it shall be unlawful for any person to cause or allow visible emissions of fugitive dust unless reasonable precautions are employed to minimize the emissions.Reasonable precautions include,but are not limited to,the following: (1)The use of control equipment,enclosures,and wet(or chemical)suppression techniques,as practical,and curtailment during high winds; (2)Surfacing roadways and parking areas with asphalt,concrete,or gravel; (3)Treating temporary,low-traffic areas(e.g.,construction sites)with water or chemical stabilizers, reducing vehicle speeds,constructing pavement or rip rap exit aprons,and cleaning vehicle undercarriages before they exit to prevent the track-out of mud or dirt onto paved public roadways;or (4)Covering or wetting truck loads or allowing adequate freeboard to prevent the escape of dust- bearing materials. REGULATIONI,SECTION 9.20(a):It shall be unlawful for any person to cause or allow the operation of any features,machines or devices constituting parts of or called for by plans, specifications,or other information submitted pursuant to Article 6 of Regulation I unless such futures,machines or devices are maintained in good working order. 2. WASHINGTON STATE ADNMSTRATIVE CODE WAC 173-400-040(3):Fallout.No person shall cause or allow the emission of particulate matter from any source to be deposited beyond the property under direct control of the owner or operator of the source in sufficient quantity to interfere unreasonably with the use and enjoyment of the property upon which the material is deposited. WAC 173-400-040(3):Fugitive emissions.The owner or operator of any emissions unit engaging in materials handling,construction,demolition or other operation which is a source of fugitive emission: (a) If located in an attainment area and not impacting any nonattainment area,shall take reasonable precautions to prevent the release of air contaminants from the operation. WAC173-400-111(7):Construction limitations. Approval to construct or modify a stationary source becomes invalid if construction is not commenced within eighteen months after receipt of the approval,if construction is discontinued for a period of eighteen months or more,or if construction is not completed within a reasonable time.The permitting authority may extend the eighteen-month period upon a satisfactory showing by the permittee that an extension is justified 12 G&S Greenery NOC Worksheet No.11387 psc lean air.org Puget Sound Clean Air Agency 3. FEDERAL No federal requirements currently apply to cannabis production operations. J. PUBLIC NOTICE This project does not meet the criteria for mandatory public notice under WAC 173-400-171,one of which is any application for which the Agency determines there is significant public interest. A notice of application was posted on the Agency's website for 15 days.No requests or responses were received. To determine whether this was significant public interest,I considered various factors including: Has anybody contacted the Agency regarding the facility?If so,what was his or her interest in the facility? Nobody has contacted the Agency regarding this facility to my knowledge Is there a neighbor or neighborhood group that has expressed interest in this facility or this type of facility? No. Have any other local groups expressed an interest in this facility or type offacility? No. Has there been any media coverage of this facility? No. Has there been a significant number of odor complaints nearby that could be exacerbated by this facility? None Have other government agencies informed us of public interest in this facility? Sent email to City of Arlington(I/2/18),Paul Ellis with the city of Arlington responded that he and his staff had no comments on 1/9/18. Based on their response,the need for public notice is not warranted. K. RECOMMENDED APPROVAL CONDITIONS Standard Conditions: 1. Approval is hereby granted as provided in Article 6 of Regulation I of the Puget Sound Clean Air Agency to the applicant to install or establish the equipment,device or process described hereon at the installation address in accordance wig)the plans and specifications on file in the Engineering Division of the Puget Sound Clean Air Agency. 2. This approval does not relieve the applicant or owner of any requirement of any other governmental agency. Specific Conditions: 13 G&S Greenery NOC Worksheet No.11387 pscIeanair.org PugetSound Clean Air Agency 3. All exhaust vents from spaces within the facility in which cannabis plant matter is contained, including production,processing,and packaging,shall be vented through activated carbon adsorption canisters before being exhausted to the atmosphere. 4. All canisters must be installed as indicated in the application materials. There shall be at least four carbon canisters installed in the facility as indicated in the application with each of the carbon canister flow rates not exceeding 2,500 efm and the amount of carbon in each canister shall be at least 81.5 lbs. The flow rate and carbon weight requirements can be verified with manufacturer data for the purposes of verifying compliance with this condition. 5. Each carbon adsorption system must be designed and equipped with a pre-filter to prevent debris getting into the carbon adsorption system. 6. Manufacturer specification sheets showing the type of unit, carbon media and fan used for each carbon adsorption system must be maintained on-site. If requested by the Agency, the owner or operator must provide safe access for inspecting any of the carbon adsorption systems. 7. No detectable cannabis odor from the facility is allowed outside the property line. 8. The owner or operator shall monitor along and outside the property tine for detectable cannabis odors from the facility once each calendar week (Sunday through Saturday). For at least one hour immediately prior to monitoring,the person performing the monitoring must remain in an atmosphere free of cannabis odors and may not be inside the facility. If cannabis odors from the facility are detected at or outside the property line during the monitoring or at any other time, the owner or operator shall immediately take corrective action to eliminate the odors. Corrective action includes, but is not limited to:changing out the carbon media or unit(s),adding new carbon adsorption systems, and adjusting or replacing the fan so that the airflow does not exceed the design airflow of a carbon adsorption system. The owner or operator shall monitor along and outside the property line for detectable cannabis odors from the facility after the corrective action has been implemented. Cannabis odors from the facility that are detected at or outside the property after 24 hours of initial detection are in violation of this permit- 9. The owner or operator shall have an independent third party who is familiar with cannabis odors monitor along and outside the property line for detectable cannabis odors at least once every three months. For at least eight hours immediately prior to monitoring, the person performing the monitoring must remain in an atmosphere free of cannabis odors and may not be inside the facility.If cannabis odors from the facility arc detected at or outside the property line during the monitoring or at any other time,the owner or operator shall immediately take corrective action to eliminate the odors. Corrective action includes, but is not limited to: changing out the carbon media or unit(s), adding carbon adsorption system(s),and adjusting or replacing the fan so that the airflow does not exceed the design airflow of a carbon adsorption system. The independent third party who is familiar with cannabis odors shall monitor along and outside the property line for detectable cannabis odors from the facility after the corrective action has been implemented.Cannabis odors from the facility that are detected at or outside the property after 24 hours of initial detection arc in violation of this permit. 10. The owner or operator shall keep written and/or digital records of each routine inspection and any follow-up inspection(s) required by Conditions#8 and 49. Each inspection record must include the date of the inspection,the start and end time of the inspection,the name of the person performing the inspection,a certification that the person performing the inspection remained in an atmosphere free of cannabis odors for the required time prior to the inspection, whether any cannabis odors were 14 G&S Greenery NOC Worksheet No.11387 psc lean air.org Puget Sound Clean Air Agency detected, the date and time of detection of any cannabis odors, where any cannabis odors were detected,a description of all corrective actions taken, the time and date of the corrective action and the results of the corrective action. 11. The owner or operator shall replace the carbon media or unit(s)of the carbon adsorption system(s) whenever required by Conditions n8 or#9,or every 18 months,whichever comes first.The owner or operator shall replace or clean the pre-filter to each carbon adsorption system quarterly.The owner or operator shall record the date and location whenever the carbon media/unit is replaced or if a pre- filter was cleaned or replaced. 12. All exterior doors from the facility shall be closed except when personnel are going in or out. 13.All exterior windows in the facility shall be closed at all times. 14. The owner or operator shall not use solvents for any extraction processes. 15. The owner or operator shall develop and implement a written complaint response plan. The owner shall record the name of the complainant, date and time of the complaint, and the complainant's phone number. The owner or operator shall investigate the complaint and record the results of the investigation including any corrective actions taken for all complaints received regarding odor,visible emissions or other air pollution issues.The complaint response plan and all records made under the plan shall be onsite and available to Agency personnel upon request. 16. All records and information required in this Order of Approval shall be kept in written and/or digital form for at least two years and made available to Agency personnel upon request. L. CORRESPONDENCE AND SUPPORTING DOCUMENTS FW Notice of FW Puget Sound Construction No 113iClean Air Agency-Not M. REVIEWS Inspector Name Elizabeth in Date: Second Reviewer Carole Cenci Date: 1/8/18 Source Name Dge: 15 oPS«NF Gasline Mechanicaly Inc. pest Office Box 1108 Woodlnvllle. Wash! n 98072-11 18 Main Off(ce:(425)487 N..9 F! (425 48b-45?6 Emcall:;vnderscn(cgaslinemec:hanrcal.com 111V a 1110tt.er (f `cc�lAN`� Mare 29, 2017 G&S Greenery Attn: Scott McCutchan 20203 99lh AVe SE Snohomish, Washington 98296 Pie#(206) 9"-9645 Project: HVAC for 502 grow operation located @ 19321 631d Ave NE Arlington WA Subject: HVAC proposal. Casline Mechanical, Inc. proposes to furnish labor and material to install the following: 4 - Can USA CANMAX2500 charcoal filters Ducwm*to modify exhaust to filter air before it leaves the building Professimai Engineering Services: By GaSilline Mechanical Inc. and Pine urat Engineering NOTES: • The duct system will be designed by Casline Mechanical, Inc. • Ductwork installed in unconditioned areas will be insulated to a minimum of R-8 per.July 1, 1991 WSEC. • Supply and return air plenums will be sound line insulated. • All supply branch lines shy have manual air balancing dampers located at the trunk line. • All ductwork to be seated uwAng low pressure duct sealant. (No Dud Tape) • Air stash be balanced at completion to GMI eMineering specifications. Concrete pads and fan rooms to be built by G&S Greenery EXCLUSIONS: 1) Cutting, Painting, Patching, and Furring. 2) Structural Analysis and Structural Supports for HVAC Units. 3) Line Voltage Wiring and Line Voltage Disconnects. 4) 110 Volt Service Outlet. 5) CO Detection & Smoke Detection Devices and associated Control 1tring. Page 1 of 3 Received ]AN 15 2019 .?*a 235�p 8) Smoke control Report & CONTAM Modeling 7) Fire Dampers, Smoke/Fire Dampers, Sensors, and associated Control Wiring. 8) Fire Caulking. 9) Motor Starters. 10)All Roofing. 11)Permit Fees for Mechanical, Gas Piping, Low Voltage (and acquisition costs). 12)Pads for Outdoor Units. 13)Service Platforms. 14)Additional Capacities for grow room air conditioning loads as they are unknown at this time. 15)Acoustical Screening. 16)Gas Piping to appliances (other than.listed above). 17)Final teas Connections to appliances (other than those listed above). 18)Removal and Disposal of asbestos and other hazardous materials. 19)One Hour, Rated Shafts. 20)Ductwork, Grilles, and Diffusers (other than listed above). 21)Condensation Drains, Condensation terminations, and Condensation Pumps.. 22)Concrete Coring (other than listed above). 23)Concrete Cutting or X-ray fees. 24)Acoustical or Engineering fees other than what has already been completed for permit acquisition 25)Filtering and Screening of all openings. 25)Clean out of all internal equipment surfaces (if used for"building dry-out" during construction). WARRANTY • All Can USA commercial equipment is covered by (1) year parts warranty.. • All labor and other parts covered by Gasline mechanical for a period of(1) year. Investment Total: $ 4.100•00 + Washington State Sales Tax (if applicable) Rate % $ 401.80 Grand Total $ 4, 501.80 The price on this proposal will expire 30 days from the above date. if accepted this proposal will constitute a contract between us. Scott McCutchan John R Anderson Gasline Mechanical, Inc. TERMS: • 50 % Down, Balance is due upon completion of work. • Progress Payment due net 10t' of monk following billing for work completed through the 3001 of the prior month. • A finance urge of 1.5%will be added to all past due accounts. • The attached term and conditions are an integral part of this contract. ADDITIONAL TERNS AND CONDITIONS OR CONTRACT W'A RitAPfI1EWLIMITATTONS:All materials and equipment supplied"I be m aocotdatxe with spaificatronk cmtamed in this proposal.All work will be c rapkted m a workmmrhke manner according :o standard industry practices and&uall comply with local building code requirements,Gashne Mash,Inc.i n-&,-no warsamcy express or limited rcgar6nng the quality,operability.suitability or conditions of masrnals or coaipment supplied There it NO WARR.AN-fY OR MFRCHANTA141111 'and NO WARRANTY OF F INFSS FOR PARTICULAR PURPOSE. Purchaser's remedies arc limited to repair to mplacenkent at Ga use Mcch to, optiosm,of defective materials or egmpttxal Under no circumstances shall Gaslinc Mecb Inc be respomublc(«any conseh)uenral or inkAdemtal damages to pmct»s::r prtsper(y.Any aetiaas to enforce any rights of purchases must be mi ticutcd within durtectr months of date that Gashuc Mech.lnc.bepmn installmson NOTICE TO CVSTONIER:This contractor a registered wish die Stare of W'ashutpron,reguarwon sG.ASL1M1066(,D,a a spectal)wntrawor and has posted with the"arc a bond of S4000,00 for the propose of satisfying clans altamu the contractor of ssegligent damn which might anse froth rbe wink done under omr<orill"If auy supplier of aumnats used in our coosnucuou pro)al or any cimplovec of our courancion at subcontucurs is no paid by the corthructur or subcontractor On your job,your property min IK betted to force payment.if you wtah an additional protection vow nav reoacsi the csimactor to provide you with further otforhmtio n about lien release documents, PROMISE TO PAY:SECURITY IN MRESY :Pmchawr,And if more dears one,all purchasers louttl)and sesaally,promise to pay to C'«npan's cider the"Amount Fmn,ced"shown on the rrsrnc side, togrowr with a smicc charge Curttrest)computed at die annual percentage race-lawn on the reverse side in accordance with the payment schedule shown on the reverse side.The purchaser insists,ConhpAny a sccunry Interest in the goods or property purchase!(the"Collateral")As seurmy f«repsymern of all amounts due under this Agircce sent The tmpwd halaox of the Amount Financed and am enhcr amounts owing under this Agrooment will bete nucirm at the AantuJ Peuxmage Rate Call]paid.If purchaser falls to make any payment required is),this.Agreciocnt or otherwise defauhs mad atry othccr amounts owing under this Agreement.Company stall be entitled its realize on the Collateral pursuun to the Unhfurm Cnmusacial Code,in Addition w all Other ngho will renodin available to Company under sppbcabk law If regmes[od to do so by Company,purchaser cep}=as evxwrc a Financing Statcmau of Fuxturr Filing in order as gi%e public notice of Company's wcunty Mwmsi in the Collateral 'fimc if of the else=of the Agaeerment and if purchaser Jill default in the performance of any of the turns hermf,or in the payment when dire of Any sun bercm required to be paid,or if purchase becomes insolvent of Insolvency proceedings arc commenced by or agunsi p rclasa.Company may declare all sumA than remaining unpaid hereunder immoduawly due aid payable whereupon stack stmr shall he due and payable in Alp u nnsedisely.In the erear this Agrcensetu u referred to as Accuracy fur collection.Purchaser agree to pay Company's court costs and dnsburaernems with respect to any test or action cot CampAny's reasonable umraey's fees,including fees awacood in coojunt uoa with suit or acorn in loth nul mud appellate courts And fees Incurred withouit suit tar action Purchaser agrees pay on demand all expenses reaio nably incurred by Cmpai'to collect any obhpbm-coder this Agreement whether a oat suit is brought.including all chairs imposed in accord&=wsth the Collection Charge Schedule of Company or Cry Purchaser of this.Agrecmcat then in effect for collection eapensrs,including charges for telephone calls,letwn and visuu.or for returned checks or automatise uamders Ten days notice by fmt class mall to putvhaser'►last address or record with Company,or if more dun one,to any purchaser,of the uncalled We of any collateral is reasonabk No modification.waver,discharge of any other party,Of my other c%cm other than pmvmen:in full in cash of all obligations msder this Agrecmnit will release purchaser fain liability.All payment,will use Applied in the followithf order ate nuerf ianneV,principal.late chares, and other amounts ownrig under this Afi ccownt. POW ER/VEN-nNG:l',uclwor further warrants that the purchases s electric seiviec wires and electric service equipment are in suitable condition and of sufficient capacity to permit the addition of Amy electric load occasioned b)tau on the merchandise pmchassd hacunder in wriforcnrty,with all Ordinances and that when an electric under or supply is required.i will be provided by purchaser.Purchaser further agrees that it the tnerelundtse ro qwm Wisaut ter intake venting purchaser will provide and nainMa an approved gas floc,intake vent a ehunncy cls=adequate for Installing flexible liner.«chimney u purebasa's cost All ropauu and!«alteration work including frmshing work Outside the scope of HVAC imdksccy,such as but nor limited to,arperrtry,flooring.diysvall pmeuing«masonry on purch"a'i prwusea is to be paid for by purchaser unless uthcrwise specified herein,in she cvar due the purchaser wish"to have any of all of ifs egroprccru annoyed,Ciasline Mal.hnc.will rot be held liable foe repairs of any alterations to the popem.dui were oeuseuy to originally kirmall the egmapmeut Purchaser agrees to provide dsslioe Mech.Luc access o Arcas of the home necessary to install,suspect.repair.and -Arrant equipment during normal bumncss hours and without obligation for compensation disc to lost nnse or inconvenience.Purchaser agrees to pay Gaullist Mccls.Inc.fa any Additional wort nor stated is terms of cosntmca requited to&her awing ductwork,%TM*peer lisping,fact ppuyt,at c himmcy in order to install equipment to meet current codes and nutrition proper opetawrt IIFATING/COOLING:The Compmry will not be responsible(or problems due to existing haihngiCorsttng air flow imdcgaacsa,including,"kiting hoer water deficiencies or water piping OF nsmperaturc deviance from room to room or between flocs levels The following would constitute cv"irig air flow inadegmenn for cooling (1)Duct syitcm ongitulh designed for heamg,(2)belamcing between rooms as[lour ievcU exchaled,l31 or air tcmperaturc diflemaces Iscm:eis upper And lower level, The Washrooms State runse ordinance rec inues property line eoite levels below 4MB between 101)lip k and IcOftm We have listed two womnvad rsrgitncers who can offer pmfesaoal services relating to this requirement if needed and can devigm sound deflcetion walls mod create propel aeewsoeal plAcemeol around the outdoor condenser tm m J.R-Engineering,John Alberti:425-1127-0324,Asso ides,Inc.Michael R Yams PE,425-454-4?83 COMPANY'S RIGWf TO CANCEL Company may cancel diss contract anytime prior to irssullatuan by notifying Purchaser accordingly.If dome,Company will n3nsnd any sums pod by purchaser and neither pony shall txreafta have any further obligation under this:rkna t. COMPANY ACCEPTANCE:This Contract shall not be deemed accepted ter,nor binding on Company until it is both Approved by one of is audsorucd agents of as executive officer.and the pnaposcd installation has been approved by the Company and its Independent installer.However,in the car of goods which will became fixtures its LeaAchold property,this Contract shall not be binding An nor licensed accepted by,Company until in-Achluon to the foregoing,a signed consent and dt"imei fom as Approved by Company,is obtained from all persons with as intvat to the real property. ASBESTOS:Customer or Customer's agent sigm, to nuke a good fade Inspection pnar uh installation to determine if dire is anv asbestos in the Area where work will be performed If asbestos is feud customer shall be exclusively responsible for Atd bear the cause cost of all ne:essay asbestos removal,unless explicitly sated othatrmse in thi,contract Cusiouto turther agrees to provide any required po"- asbestos removal test do osmaang that urbomsc asbrstoa is at a safe level. DELAYS AND DAMAGES:Ciaalime Mcch Inc.shall not be liable for any Ions,damages«delays(loxerred by fire,suilam materials%taiets after delivered upon premises,look-ems acts of God or the public eneuty,acctdeats.boycotn,mewl shortages,disturbod labor conditions,delayed deiivm of materials from Gnstme Mech,tnc.,sapplrets,Inclement weather.floods.freight embargoes.causes Incident to national ceergssesm w=,acts of the purchaser ten his agates,or other causes beyond the reasonable conural of Gastine Mock Inc.In the event of such delays or damages.the him for performance b)Gashoc Mcch.like-shall be extcrded fur a rraxmallk nine,if such delay resins in addiamW chit on expanses to Gnhnc Mock.Ire,the pmchasa shall rcantbw%c Gaslsoe Mcch Inc,for such Additional cow auulim expenses in addition to amwstmts ontscmisc dux under this o«rract- CHANGES IN THE WORK:The purchaser may order change in the wort within file general scope ol'the contract eomsiclmg of additions,deknorks or other revisioas Gaslitx Mcch lac shall not be required to make jay such change unless it first receives from nix purchaser a wntsm change order and agrees to the change by signing the change order.Any additional,dekoom or other revssorks wtwh mcieese the cost or expense of Galme Meth.Inc.Jag be charges w rise purchater by Gadinc Mark hhc a its usual and cuseomay rues-Such amounts stall be due o Gashoic Mcch Inc,in addition to any amnanta othawiae tbsm acticiff two convact PROPERLY INSURANCE.finless otherwise agreed,the owner%hull putdau And maumam rka property insu nuke upon on otquipnunt sina material delivered by Gadima Mock blo.to job site.Purchases shall Assume all nA of lose far such+lateral And equipment once delivered to the job site PERMI'IS:Unless othewise deaigdted,the pomchaser shall secure and pay fm all permits,government fen and license necessary for dw{roper execution and completion of the wort TERMS OF CONTRAC'T/SUSPENSION OF PERFORMA,1'CE:This contract shall be terminated upon mutual agrreuhcm of the panes.Gaslime Meh Imc rimy terminate in the escort of tir fosllowing I t Am act of the pure ocir on the agent which prevents or inhibits Cmliskc Mcch Inc.from closely performing its obligation nodes this aprement.2)For rise reason specified neither dclays/dantages 3)If the Purchaser tile%a prishon in tunkruptcy,whcdker voluntary of Involuntary.makes aaesuaem of the benefit of cirdihus or has a teceiva appointed,or dues any act unca%si"cn4 or which rimy(mpar d e lituchascrs ability to pertorm this contras.Ciashne!.Itch Ire snay suspend performance of its obliyptum under this agreement until uxb time As 1)this Agreement is asuuned by the Trustee in benktupcy aide«2)C}msline Mesh Inc.is provided adequate imsuraucc of future perfrrnaaace.Ctadi se Mesh Inc.is not resporlwhie for any dansatics,whether dro M proximately caused.mcidenIALL wasci uemial of otherwise as a result Gulim Mech.lac,aupert"on of performance heremde; If perf«niAnre cannot begin r a aysitinur within a reasonable ruse after wspemion GaAake klech Inc may tuminue this agroement. SUIT/ARBITffAT10+1/ATI'ORNEY'S FEES:In the event of any dispute under this contract,Any pan)mat Oint dust fir mans be submitted to binding Arbitration in Seattle,WA political to the thcn- etTective tilts of the American Arbitratiork Association.to the event this matter s referred for coflc:uksa,at a eta petty rctun%an anorney for the purpose of arhitrauon of suit the prcvaiumg party shall be e mstad its actual casts and attorneys fees,all costs of collanms,including licenses collection agency fees And cotter coal In addition to the Anoumt othemise due Venue and luisdrctiom shay be laid in King County.WA SERVICE A VAILABIIM:Gaslme Mesh Inc.afpms to provide service Avaulabiuty during ck«snd Nwmess houti,tic 8:00 am to 4.30 pm Monday through,Ends,except i ditys,and tavia at other tan normal busixss hours,if:mtracted for.at die lcxm iy rate and seems,including vehicle charges«as specified assesxnents-when in c fw by Gashirse Mock hoc if am emcrgemcy Sevin cap IS comic At purchaser's request And inspection don not reveal any defect for which Gasliox Mech hoc u responsible,pmchAur will be liahlc for micnim charge,prevailing from such service calls Purchase acknowledge+ there is a minimum charge of one hoar U person:ruher dam representatives of Ciaslitse Mah,Inc perfomrtss marntrnuice«eepoiro a trait of spnpmem,mad such a result further Few by Cmlime Much Inc is required,well repairs will be made A Crashisc Mich.Inc.applicable time And rtat, 'if rates And terms then in efla-t EXCLUSIONS:Maimenroce service does nex mclude.1)Water wpply and dram beyond abject equipment,ent,21 Eapspmeat}housing,casing«coinsure,3)Elesxmual service beyond equipment's disconnect iwrwA or service regmrcmenis due to power fmilursk,4)imusages caused by frecuaa,5)W oA required by government codes,building and union roqukrwxns,6)Energy man, Carew and energy calls resulting from,energy management Activities,7)Rcpaira or dot ages or%knsrasc in smite time resulting in aa-idenL transpon or remw un,ocgligetat,at misuse,or other ordinary use,8)Repairs of equipment located In utturitable place for sasuslation of umafe at ha[ardumm eavuouaxnl.9)Em argtacy call rcsalting from system design problem and plumbing Wok order assumed to systems covered to be in the mainterumc condition.If repain are AmM naectany trism inffial imspectam or initial acas st al startup.repair changes will be subminrd for approval.Should these mstorstion dMicign be dediaed tea non-man umcd aems will be eliminated from the program and the monthly ntasrename pdm w91 be adjusted accordingly TERMS:This ApremuY shall remain in caw from year to yen unless cmcelfed by dtha party on(60 days prior written>>t3ditie,Pt9una are sub)=to chop dw to adAuxi a ie material and labor ran ENT=AGREEMEYi:Tliks represents the entire alitcensrru between the parties.Thac it no adiat agreement or promises dint an nor contained as eifarder*tw at link"odibia A)ycanscul. Page 3 of 3 3 y n a i y 0 0 00 00 a 000 003 ' ' Q Q A W O A P (h �U O �►l O A C w x \ Cr w Olz O 't j ro © '' �''� =C 3 crtoo 'r C5 EREro -20 n sc � � nyb' oxx CU N o e a ach is+per n�<m c� �=• W ��� � and �'����m� � � N � �3 a aM O� m N�? p1 �qa., bA tries s � va Ago o m N [y� 7 a_ N V n C I'll x all b o��a 13 (3 1, t9 u o'm a I C ww `�'ynraC aF�i'�r Wig " Cc) C) y� n N � e 00 cis � v Permit#: 2356 Permit Date: 01/15/19 Permit Type: COMMERCIAL MECHANICAL Project Name: 19321 63rdAir Filter Applicant Name: Scott McCutchan Applicant Address: 20203 99th Ave NE Applicant, City, State, Zip: Snohomish,WA 98296 Contact: Scott McCutchan Phone: 206-949-9645 Email: scott.mccutchan@hotmail.com Scope of Work: Air filters Valuation: 4501.80 Square Feet: 0 Number of Stories: 0 Construction Type: Occupancy Group: ID Code: Permit Issued: 01/22/2019 Permit Expires: Form Permit Type: Status: LASERFICHE Assigned To: Raelynn Jones Property Parcel# Address Legal Description Owner Name Owner Phone Zoning 31051500401208 19321 63RD AVE NE Vardy versified/AMA 425-218-8182 Contractors Contractor Primary Contact Phone Address Contractor Type License License# Gasline Mechanical Inc. John R Anderson 425-487-2359 9926 Elliott Road CONSULTANT L&I GASLIMI066CD Plan Reviews Date Review Type Description Assigned To Review Status 01/15/2019 COMMERCIAL BUILDING MECHANICAL Fees Fee Description Notes Amount Mechanical Fee(Enter Fixture Fee) $100.00 Mechanical Commercial Plan Review Table 4-1 $200.00 Processing/Technology $25.00 Total $325.00 Attached Letters Date Letter Description O1/17/2019 Building Permit Payments Date Paid By Description Payment Type Accepted By Amount O1/22/2019 Scott McCutchan 4076 Check Raelynn Jones $325.00 Outstanding Balance $0.00 Uploaded Files Date File Name O1/17/2019 4421554-2356 Apnlication.pdf O1/17/2019 4421553-2356 Puget Sound Clean Air(3),pdf O1/15/2019 4410852-2356 Gasline ua ote(1),pdf Permit#: 2356 Permit Date: 01/15/19 Permit Type: COMMERCIAL MECHANICAL Project Name: 19321 63rdAir Filter Applicant Name: Scott McCutchan Applicant Address: 20203 99th Ave NE Applicant, City, State, Zip: Snohomish,WA 98296 Contact: Scott McCutchan Phone: 206-949-9645 Email: scott.mccutchan@hotmail.com Scope of Work: Air filters Valuation: 4501.80 Square Feet: 0 Number of Stories: 0 Construction Type: Occupancy Group: ID Code: Permit Issued: 01/22/2019 Permit Expires: Form Permit Type: Status: LASERFICHE Assigned To: Raelynn Jones Property Parcel# Address Legal Description Owner Name Owner Phone Zoning 31051500401208 19321 63RD AVE NE Vardy versified/AMA 425-218-8182 Contractors Contractor Primary Contact Phone Address Contractor Type License License# Gasline Mechanical Inc. John R Anderson 425-487-2359 9926 Elliott Road CONSULTANT L&I GASLIMI066CD Plan Reviews Date Review Type Description Assigned To Review Status 01/15/2019 COMMERCIAL BUILDING MECHANICAL Fees Fee Description Notes Amount Mechanical Fee(Enter Fixture Fee) $100.00 Mechanical Commercial Plan Review Table 4-1 $200.00 Processing/Technology $25.00 Total $325.00 Attached Letters Date Letter Description O1/17/2019 Building Permit Payments Date Paid By Description Payment Type Accepted By Amount O1/22/2019 Scott McCutchan 4076 Check Raelynn Jones $325.00 Outstanding Balance $0.00 Uploaded Files Date File Name O1/17/2019 4421554-2356 Apnlication.pdf O1/17/2019 4421553-2356 Puget Sound Clean Air(3),pdf O1/15/2019 4410852-2356 Gasline ua ote(1),pdf ANT T p a - zz D m O N O C lJ 0 g m � F F { p Co amz (7 c0 y A £R D /\ ENN Z III rZHI .ZHI = m :CIE) ° U .'II N \T, fa'�N N D K ` ✓ 0 0 m ° N 3 3 CCA y �zz A Z A m m �� m ° p m vm (OT A O D fDD D n° Ho >zz Q m O 0 rr (��j W p 8 O <S S Oy m ? 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