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HomeMy WebLinkAboutNCG190074_Letter RE Inspection_20191024ROY COOPER Governor MICHAEL S. REGAN Secretary S. DANIEL SMITH Director October 24, 2019 Marinemax East Inc. Attn: Michael H. McLamb 2600 McCormick Dr Ste 200 Clearwater FL 33759 Marinemax East Inc. Attn: Michael H. McLamb 15720 Brixham Hill Ave #300 Charlotte, NC 28277-4651 Marinemax East Inc. Attn: Michael H. McLamb 130 Short St Wrightsville Beach NC 28480 NORTH CAROLINA Environmental Quality Subject: Compliance Evaluation Inspection NPDES General Stormwater Permit NCG190000 Certificate of Coverage NCG190074 MarineMax Wrightsville Beach New Hanover County Dear Mr. McLamb: On October 23, 2019, Brian Lambe from the Wilmington Regional Office of the Division of Energy, Mineral, and Land Resources (DEMLR), conducted a compliance evaluation inspection for Marine Max Wrightsville Beach located in 130 Short St, Wrightsville Beach, New Hanover County, North Carolina. The site drains to Motts Channel, which is currently classified as Class SB Waters in the White Oak River Basin. The following observations were noted during the DEMLR inspection (please see the attached addendum for additional information about your permit): 1) Stormwater Pollution Prevention Plan (SPPP) Yes ❑ No ■ A Stormwater Pollution Prevention Plan (SEEP) has not been developed, recorded, and properly implemented. Best Management practices have not been implemented with the disuse of the wastewater recycle system, boat washing, and bottom painting procedures. 2) Qualitative Monitoring Yes ❑ No ■ Qualitative monitoring has not been conducted and recorded in accordance with permit requirements. Exceedances of benchmarks for Copper, Zinc, and Total Suspended Solids for 2018 requires a tier two response from the facility. 3)Analytical Monitoring Yes No ■ Analytical monitoring has not been conducted and recorded in accordance with permit requirements. Exceedances of benchmarks for Copper, Zinc, and Total Suspended Solids for 2018 requires a tier two response from the facility. Other Observations: The facility needs greater attention to the SEEP and the requirements of the permit to gain compliance. D_E Q�� North Carolina Department of Environmental Quality I Division of Energy. Mineral and Land Resources Wilmington Regional Office 1127 Cardinal Drive Extension I Wilmington, North Carolina 28405 wm�. �curvn 910.796.7215 NCU 190074 MarineMax Wrightsville Beach Page 2 of 2 Thank you for your assistance and cooperation during this inspection. Please be advised that violations of the NPDES Stormwater General Permit may be subject to a civil penalty assessment of up to $25,000.00 per day for each violation. If you have any questions, comments, or need assistance with understanding any aspect of your permit, please do not hesitate to contact Daniel Sams or me at (910)796-7215 or Brian.Lambe@ncdenr.gov Sincerely, Brian Lambe Environmental Specialist Land Quality Section Attachments: 1. BIMS Inspection Checklist cc: WiROFiles — Land Quality Central Files — Laserfiche Permit: NCG190074 SOC: County: New Hanover Region: Wilmington Contact Person: Sam Lowrey Compliance Inspection Report Effective: 06/02/15 Expiration: 05/31/20 Owner: Mannemax East Inc Effective: Expiration: Facility: MarineMax - Wrghtsville Beach 130 Short St Title: Directions to Facility: Take US 74 (Eastwood Road) turn right onto Marine street. Turn left onto Short Street to 130 System Classifications: Primary ORC: Certification: Secondary ORC(s): On -Site Representative(s): Related Permits: Wrightsville Beach NC 28480 Phone: 727-531-1700 Phone: Inspection Date: 10/23/2019 Entry Time: 02:10PM Exit Time: 03:20PM Primary Inspector: Brian P Lambe Phone: Secondary Inspector(s): Reason for Inspection: Co la- Inspection Type: Compliance Evaluation Permit Inspection Type: Ship and Boat Building Stormwaler Discharge COC Facility Status: ❑ Compliant 0 Not Compliant Question Areas: Storm Water (See attachment summary) Page 1 of 4 permit: NCG190074 Owner- Facility: Mannemax East Inc Inspection Date: 10/23/2019 Inspection Type : Compliance Evaluation Reason for Visit: Complaint Inspection Summary: Met with Matt Rienks regarding complaint of boat wash wastewater going into Motts Channel. Reviewed SPPP and inspected the site. Discussed permit requirements with Rienks. Page 2 of 4 Permit: NCG190074 (Amer -Facility: Mannemax East Inc Inspection Date: 10/23/2019 Inspection Type : Compliance Evaluation Stormwater Pollution Prevention Plan Does the site have a Stormwater Pollution Prevention Plan? If Does the Plan include a General Location (USGS) map? # Does the Plan include a "Narrative Description of Practices"? If Does the Plan include a detailed site map including outfall locations and drainage areas? # Does the Plan include a list of significant spills occurring during the past 3 years? # Has the facility evaluated feasible alternatives to current practices? # Does the facility provide all necessary secondary containment? # Does the Plan include a BMP summary? # Does the Plan include a Spill Prevention and Response Plan (SPRP)? # Does the Plan include a Preventative Maintenance and Good Housekeeping Plan? # Does the facility provide and document Employee Training? # Does the Plan include a list of Responsible Pady(s)? # Is the Plan reviewed and updated annually? # Does the Plan include a Stormwater Facility Inspection Program? Reason for Visit: Complaint Yes No NA NE ■❑❑❑ ■❑❑❑ ■❑❑❑ E ❑ ❑ ❑ ■❑❑❑ -ro-ONIN ■❑❑❑ ■❑❑❑ • ❑ ❑ ❑ • ❑ ❑ ❑ • ❑ ❑ ❑ K. Has the Storm -water Pollution Prevention Plan been implemented? ❑ 0 ❑ ❑ Comment. The SPPP is documented and maintained by SWSG Jim Frei. Some documentation was missing. Greater attention is needed by Marine Max employees to complete the SPPP documentation on an annual basis. Stormwater team must familiarize themselves with the SPPP and the requirements. Greater attention is needed to the Best Management Practices including boat wash procedures and bottom paint procedures Qualitative Monitoring Yes No NA NE Has the facility conducted its Qualitative Monitoring semi-annually? ❑ N ❑ ❑ Comment Missing first half of 2019 sampling event. Analytical Monitoring Yes No NA NE Has the facility conducted its Analytical monitonng? ❑ ❑ ❑ # Has the facility conducted its Analytical monitoring from Vehicle Maintenance areas? ❑ ❑ ❑ Comment. Missing first half of 2019 sampling event Previous samolina events Drove that Tier Two Drocedures should be implemented for Cooper Zinc TSS. Sampling results should be compiled and evaluated There should be two sampling points. Permit and Outfalls Yes No NA NE # Is a copy of the Permit and the Certificate of Coverage available at the site? ❑ N ❑ ❑ # Were all outfalls observed during the inspection? 0 ❑ ❑ ❑ # If the facility has representative outfall status, is it properly documented by the Division? ❑ ❑ ❑ Page 3 of 4 Permit: NCG190074 Owner- Facility: Mannemax East Inc Inspection Dale: 10/23/2019 Inspection Type : Compliance Evaluation # Has the facility evaluated all illicit (non slormwater) discharges? Reason for Visit: Complaint ❑■❑❑ Comment. The recvcle system for cower washina has been out of service for several months accordina to employees. The system is in the parking lot accross the street on a trailer. The capture device is not installed. The wastewater from boat washing must be captured and handled appropriately. Wastewater cannot be discharged into Motts Channel. A boat was being handwashed by a private owner discharging to the eastern stormwater inlet with unknown chemicals. A mobile car wash was operating near the entrance to the facility discharging to the street. Page 4 of 4