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CCR Fugitive Dust Control Plan MidAmerican Energy Company George Neal Station South Project No. 86763 Revision A September 25, 2015

CCR Fugitive Dust Control Plan prepared for MidAmerican Energy Company George Neal Station South Salix, Iowa Project No. 86763 Revision A September 25, 2015 prepared by Burns & McDonnell Engineering Company, Inc. Kansas City, Missouri COPYRIGHT 2015 BURNS & McDONNELL ENGINEERING COMPANY, INC.

CCR Fugitive Dust Control Plan Revision A List of Abbreviations TABLE OF CONTENTS Page No. 1.0 INTRODUCTION... 1-1 2.0 PLAN OBJECTIVES... 2-1 3.0 FUGITIVE DUST SOURCES AND CONTROLS... 3-1 3.1 Bottom Ash/Economizer Ash Handling... 3-1 3.2 Fly Ash Handling... 3-2 3.3 Waste Ash Handling... 3-2 3.4 Haul Roads... 3-3 3.5 Monofill... 3-3 4.0 PROCEDURES FOR LOGGING CITIZEN COMPLAINTS... 4-1 5.0 PERIODIC ASSESSMENT OF THE PLAN... 5-2 6.0 ANNUAL REPORT... 6-1 APPENDIX A - CITIZEN COMPLAINT LOG MidAmerican Energy Company i Burns & McDonnell

CCR Fugitive Dust Control Plan Revision A List of Abbreviations LIST OF TABLES Page No. Table 3-1: CCR Fugitive Dust Sources... 3-1 Table 3-2: Bottom Ash/Economizer Ash Handling Control Measures... 3-2 Table 3-3: Fly Ash Handling Control Measures... 3-2 Table 3-4: Waste Ash Control Measures... 3-3 Table 3-5: Haul Roads Control Measures... 3-3 Table 3-6: Monofill Control Measures... 3-3 MidAmerican Energy Company ii Burns & McDonnell

CCR Fugitive Dust Control Plan Revision A List of Abbreviations LIST OF ABBREVIATIONS Abbreviation CCR EPA MEC MW Term/Phrase/Name Coal Combustion Residuals Environmental Protection Agency MidAmerican Energy Company Megawatts MidAmerican Energy Company iii Burns & McDonnell

CCR Fugitive Dust Control Plan Revision A Introduction 1.0 INTRODUCTION On April 17, 2015, the Environmental Protection Agency (EPA) issued the final version of the federal coal combustion residuals rule (CCR Rule) to regulate the disposal of CCR materials generated at coalfired units. The rule is being administered as part of the Resource Conservation and Recovery Act (RCRA, 42 U.S.C. 6901 et seq.), using the Subtitle D approach. MidAmerican Energy Company (MEC) is subject to the CCR Rule and as such has developed a Fugitive Dust Control Plan for all sites handling and disposing of CCR per 40 CFR 257.80. This report provides the Fugitive Dust Control Plan for the George Neal Station South (Neal South) located near Salix, Iowa. This Fugitive Dust Control Plan is in addition to, not in place of, any other applicable site permits, environmental standards, or work safety practices. MidAmerican Energy Company 1-1 Burns & McDonnell

CCR Fugitive Dust Control Plan Revision A Plan Objectives 2.0 PLAN OBJECTIVES The Fugitive Dust Control Plan identifies MEC control measures and practices to minimize and control fugitive dust as required by the CCR Rule. The plan defines the ways in which MEC personnel and subcontractors will mitigate CCR dust emissions at the plant. To meet these objectives, the Fugitive Dust Control Plan: Identifies potential CCR fugitive dust sources at the facility Identifies control measures and practices to control and minimize fugitive dust. Identifies fugitive dust control recordkeeping requirements. Identifies fugitive dust control notification requirements. MidAmerican Energy Company 2-1 Burns & McDonnell

CCR Fugitive Dust Control Plan Revision A Fugitive Dust Sources and Controls 3.0 FUGITIVE DUST SOURCES AND CONTROLS MEC owns and operates the George Neal Station South (Neal South), which is a single unit, 640 megawatt (MW) coal-fired power plant located near Salix, Iowa. Coal combustion residuals produced at Neal South include fly ash, bottom ash/economizer ash, and waste ash, which are currently utilized for beneficial reuse, or disposed of in the onsite Monofill. In addition to the controls outlined in this plan, MEC adheres to controls and Best Management Practices that are required and outlined in site permits and plans. MEC also holds subcontractors responsible for controlling fugitive dust. Headwaters Resources, Inc. (Headwaters) conducts CCR disposal operations and maintenance activities within the site Monofill. Table 3-1 lists the CCR related fugitive dust sources identified at the facility, briefly describing measure and practices employed to control fugitive dust at each source. Table 3-1: CCR Fugitive Dust Sources Source Name Bottom Ash/Economizer Ash Handling Fly Ash Handling Waste Ash Handling Haul Roads Description Dry handling via drag chain conveyor; empties into concrete containment basin. Loadout operation into dump truck for transfer to Monofill and/or for beneficial reuse Pneumatic transport to silos Pneumatic transport to silos Transport road between plant and monofill Monofill Truck unloading/material placement 3.1 Bottom Ash/Economizer Ash Handling Identification: Bottom ash and economizer ash is managed dry and removed through a local drag chain conveyor. The CCR is conditioned coming off of the conveyor and empties into a concrete containment basin, from which it is hauled off-site for beneficial reuse or to the Monofill. Dust control measures are described in Table 3-2. MidAmerican Energy Company 3-1 Burns & McDonnell

CCR Fugitive Dust Control Plan Revision A Fugitive Dust Sources and Controls Table 3-2: Bottom Ash/Economizer Ash Handling Control Measures Control/Activity Conveyor Unloading Haul Truck Loading/Unloading Description CCR is wet as it is dumped from the drag chain conveyor into a storage pile. CCR dumps into an enclosed concrete containment area with an overhead door that is only opened for loading activities. Loading of the CCR occurs in a concrete containment area, so there is limited potential of fugitive dust emissions during the loading process. CCR that is unloaded at the Monofill is already conditioned from the conveyor unloading process; however, should the operator encounter issues with fugitive dust emissions while unloading at the Monofill, a water truck will be used to further wet the CCR as necessary. Wetting CCR with water serves to condition the CCR material to a moisture content that will prevent wind dispersal. Hauling and disposal activities are halted when wind conditions are extreme and when it is operationally feasible. 3.2 Fly Ash Handling Identification: Fly ash is pneumatically transported from the precipitator and temporarily stored in a fly ash silo. Fly ash is generally unloaded from the silos dry into trucks for beneficial reuse or for disposal at the Monofill. At the Monofill the CCR is conditioned by water trucks. Following conditioning, the CCR may be processed into C-Stone for beneficial use. Fly ash not processed into C-Stone for reuse remains in the Monofill. Dust control measures are described in Table 3-3. Table 3-3: Fly Ash Handling Control Measures Control/Activity General Silo Controls Dry Unloading Monofill Placement Description Storage silo is equipped with bin vent filter. The dry unloading process includes a telescopic chute that lowers into tanker trucks to minimize material fall distance. The loading chute has over-suction to prevent fugitive dust emissions during unloading. Trucks are enclosed. Dry fly ash is sent to the Monofill and conditioned. After the conditioned fly ash has become solidified, it may be ground into a product called C-Stone that can be beneficially reused. Water trucks are also used during the grinding process to minimize potential of fugitive dust emissions. 3.3 Waste Ash Handling Identification: Waste ash is conditioned via pug mill prior to unloading, hauling, and disposal. Dust control measures are described in Table 3-4. MidAmerican Energy Company 3-2 Burns & McDonnell

CCR Fugitive Dust Control Plan Revision A Fugitive Dust Sources and Controls Table 3-4: Waste Ash Control Measures Control/Activity General Silo Controls Wet Unloading Haul Truck Loading/Unloading Description Storage silo is equipped with bin vent filter. Waste ash is conditioned to at least 20% moisture content via pug mill within silo enclosure prior to unloading. Belt skirting on the silo chute minimizes potential of fugitive dust emissions during truck loading by providing a somewhat enclosed drop zone. When the material is placed at the monofill it has already been conditioned. Personnel unloading the trucks are responsible for observing the condition of the ash, and adding water during unloading if necessary. Hauling and disposal activities are halted when wind conditions are extreme and when it is operationally feasible. 3.4 Haul Roads Identification: The plant has paved haul roads connecting the plant to the Monofill site. Haul trucks utilize the paved haul road to transport CCR materials to the Monofill. Dust control measures are described in Table 3-5. Table 3-5: Haul Roads Control Measures Control/Activity Haul Roads Street Cleaning Enclosed/Covered Trucks Description Plant haul roads leading to the Monofill are paved; this minimizes fugitive dust generation during transport. The plant utilizes street sweepers on a daily basis to clean haul roads of CCR material. All haul trucks are enclosed or covered to minimize fugitive dust. 3.5 Monofill Identification: CCR materials are taken to the onsite permitted Monofill. Dust control measures are described in Table 3-6. Table 3-6: Monofill Control Measures Control/Activity Water Trucks Description Water trucks are used as necessary to prevent fugitive dust from becoming airborne. Wetting CCR with water serves to condition the CCR material to a moisture content that will prevent wind dispersal. MidAmerican Energy Company 3-3 Burns & McDonnell

CCR Fugitive Dust Control Plan Revision A Fugitive Dust Sources and Controls Control/Activity Dust Suppressant Chemical Daily Cover Operations Halt Description If water trucks are not adequate for mitigating fugitive dust, chemical dust suppressants may be sprayed within the Monofill If other dust controls are not adequate in mitigating fugitive dust, daily cover shall be applied to CCR within the Monofill. During abnormally high winds, a mobile pressurized water system is used for dust suppression, and CCR placement within the landfill is halted until conditions improve if operationally feasible. MidAmerican Energy Company 3-4 Burns & McDonnell

CCR Fugitive Dust Control Plan Revision A Procedures for Logging Citizen Complaints 4.0 PROCEDURES FOR LOGGING CITIZEN COMPLAINTS A specific requirement of the CCR Fugitive Dust Control Plan requires owners and operators of all CCR units to develop and implement formal procedures to log citizen complaints involving CCR fugitive dust events. These complaints must, then, be included as part of the annual CCR Fugitive Dust Control Report. This report must be placed in the operating record and on the owner or operator s publicly accessible internet site. MEC logs complaints as received on the log form in Appendix A. Citizens, groups, or agencies who wish to log a complaint may do so by calling the main plant phone number at (712) 277-5229 and asking to speak with the site Environmental Coordinator in charge of fugitive dust issues. During the evening, weekends and holidays, the caller can request to log a compliant with the shift supervisor, or request for the Environmental Coordinator to return their call within 24 hours. Complaints can also be submitted in writing to the plant address at 2761 Port Neal Circle, Salix, Iowa 51052, Attn: Environmental Coordinator. MidAmerican Energy Company 4-1 Burns & McDonnell

CCR Fugitive Dust Control Plan Revision A Periodic Assessment of the Plan 5.0 PERIODIC ASSESSMENT OF THE PLAN MEC may amend the written CCR Fugitive Dust Control Plan at any time. However, MEC must amend the written plan whenever there is a change in conditions that would substantially affect the written plan in effect, such as the construction and operation of a new CCR unit. The plan and any subsequent amendments must be certified by a qualified professional engineer. As with other requirements of this rule, in order to ensure that the provisions of the fugitive dust criteria are maintained throughout the operating life of the CCR unit, MEC is required to prepare an annual CCR Fugitive Dust Control Report, describing any additional actions taken to control CCR fugitive dust beyond what is described in the plan, a record of all citizen complaints, and a summary of any corrective measures taken. MEC commits to assessment of this plan, at a minimum, on an annual basis, during preparation of the annual CCR Fugitive Dust Control Report to identify deficiencies or additional Best Management Practices. MidAmerican Energy Company 5-2 Burns & McDonnell

CCR Fugitive Dust Control Plan Revision A Annual Report 6.0 ANNUAL REPORT MEC is required to prepare an annual CCR Fugitive Dust Control Report that includes: A description of the actions taken by the owner or operator to control CCR fugitive dust, A record of all citizen complaints, and A summary of any corrective measures taken. The initial annual report must be completed no later than 14 months after placing the initial CCR Fugitive Dust Control Plan in the facility s operating record. The deadline for completing a subsequent report is one year after the date of completing the previous report. The annual CCR Fugitive Dust Control Report is complete when the plan has been placed in the facility s operating record. MidAmerican Energy Company 6-1 Burns & McDonnell

APPENDIX A - CITIZEN COMPLAINT LOG

George Neal Station South CCR Fugitive Dust Complaint Log Date Plaintiff Location, Group, or Affiliation Nature of Complaint Action Taken to Mitigate Fugitive Emissions

George Neal Station South CCR Fugitive Dust Complaint Log Date Plaintiff Location, Group, or Affiliation Nature of Complaint Action Taken to Mitigate Fugitive Emissions

Burns & McDonnell World Headquarters 9400 Ward Parkway Kansas City, MO 64114 O 816-333-9400 F 816-333-3690 www.burnsmcd.com