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HomeMy WebLinkAboutNCG030306_COMPLETE FILE - HISTORICAL_20180619STORMWATER DIVISION CODING SHEET NCG PERMITS PERMIT NO. DOC TYPE OXHISTORICAL FILE ❑ MONITORING REPORTS DOC DATE ❑ ,�,CS � 8 v � l / 0 YYYYMMDD Energy, Mineral and Lund Resources ENVIRONMENTAL QUALITY June 19, 2018 Mr. Virgil Yancey Jacobsen A Textron Company 11524 Wilmar Blvd. Charlotte, NC 28241 ROY COOPER Governor MICHAEL S. REGAN Serroary WILLIAM E. TOBY VINSON, JR. Interim Director Rescission of NPDES Stormwater Permit Permit Number: NCG030306 Mecklenburg County Dear Mr. Yancey: On April 23, 2018, the Division of Energy, Mineral and Land Resources received your request to rescind your NPDES Stormwater Permit Number NCG030306. In accordance with your request, Stormwater Permit Number NCG030306 is rescinded effective immediately. Operating a treatment facility, discharging wastewater or discharging specific types of stormwater to waters of the State without valid coverage under an NPDES permit is against federal and state laws and could result in fines. If something changes and your facility would again require stormwater or wastewater discharge permit coverage, you should notify this office immediately. We will be happy to assist you in assuring the proper permit coverage. If the facility is in the process of being sold, your will be performing a public service if you would inform the new or prospective owners of their potential need for NPDES permit coverage. State of North Carolina k Environmental Quality I Energy, Mineral, and Land Resources Central Office 1 1612 Mail Service Center I Raleigh, NC 27609 919 707 9200 If you have questions about this matter, please contact the Mooresville Regional Office at (704) 663-1699. Sincerely, Original Signed by Richard L. Riddle, Jr. for William E. Toby Vinson, Jr., PE, CPESC, CPM Interim Director Division of Energy, Mineral and Land Resources cc: Mooresville Regional Office Stormwater Permitting Program Central Files Environmental Quality M 'r,_ V__ 11_� Division of Energy, Mineral & Land Resources Land Quality SectionlStormwater Permitting Program National Pollutant Discharge Elimination System RESCISSION REQUEST FORM FORAGENCY USE ONLY Dam Ram Year Moth Da Please fill out and return this roan if you no longer need to maintain your NPDES stormwat�er permit. 1) Enter the permit number to which this request applies: K6-o3o3o6 Individual Permit (or) Certificate of Coverage N.: 'C _. S I I I I I N" 'C I G" Q 13 10 10 i) 0 2) Owner/Facility Information: '' Final cormpandence wr71 be malted to the address noted below Owner/Facility Name Jansen A Textron Company Facility Contact Street Address city County Telephone No. Virgil Yancey 1451 Marvin Griffin RD Augusta State GA ZIP Code 30906 Richmond E-mail Address VKYanoey@TwAtun.com (7116) 961-1099 Fax:070e) 9554554 3) Reason for rescission request (This is required information. Attach separate sheet if necessary): E] Facility dosed or Is closing on 2/1 S/18 . Ali industrial activities have ceased such that no discharges of stomwater are oontarninated by exposure"to industrial activities or materials. ❑ Facility soli to on _ If the facility will continue operations under the new owner it may be more appropriate to request an ownership change to reissue to permit to the new owner. ❑ Other. 4) Certification: 1, as an authorized representative, hereby request rescission of coverage under the NPDES Stormwater Permit for the subject facility. I am familiar with the information contained in this request and to the best of my knowledge and belief such information Is true, complete and accurate. Signature V�; ki I ow"ClAev Date 215/18 VirgilYancey UEHS Manager Print or type name of person signing above Title Please return this completed rescission request form to: DEMLR - Stormwat3er Program Dept. of Environmental Quality 1612 Mall Service Center Raleigh, North Carolina 27699-1612 Revised 201111anlO 1 EGEIVE�1� l; Pickle, Ken From, Pickle, Ken Sent Monday, February 22, 2016 10:14 AM To: 'samanth.dawson@fissenvironmental.com' Cc: 'cwissinger@textron.com' Subject FW: Jacobsen Stormwater NCG 030306 Hi Samanth, Please see my confirming and clarifying comments inserted in your note below. Ken Ken Pickle Stormwater Program Specialist DEMLR Stormwater Permitting Program Department of Environmental Quality 919 807 6376 office ken. pickle@ncdenr. oy 1612 Mail Service Center, Raleigh, NC 27699-1612 512 N. Salisbury St, Raleigh, NC 27604 nothing Compares. Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties. From: Samanth Dawson [mailto:samanth.dawson@fissenvironmental.com] Sent: Friday, February 19, 2016 5:26 PM To: Pickle, Ken <ken.pickle@ncdenr.gov> Cc: Wissinger, Chris (Jacobsen) <cwissinger@textron.com> Subject: Jacobsen Stormwater NCG 030306 Hi Ken Thank you for taking the time to talk to me today regarding Jacobsen's stormwater situation. I feel that our conversation was fruitful and beneficial for guidance from NCDEQ on the next steps with the stormwater monitoring program at the Jacobsen facility. Per our conversation earlier this afternoon, I am following up with this email to confirm the Plan of Action for the Jacobsen facility in Charlotte NC. As we had discussed, Jacobsen will collect stormwater samples for Outfall 001 at their facility and analyze the samples for all parameters as required by their General Stormwater Permit (NCG030000). The stormwater samples will be collected on a monthly basis (separated by at least 30 da s since the last sampling event (At the moment my interpretation of the circumstances is that Jacobsen is subject to requirements in both Tier 2 and Tier 3. The text of the permit provides that a permittee in monthly sampling does not have to observe a full 60 days between sampling events, but the permit doesn't specifically establish 30 days. See Part Hpage S of 10, bottom paragraph. Some separation between events makes sense of course, but the text of the permit is not specific on this point. The objective should be to obtain a sample in each calendar month. I think your task will be easier if you are not constrained to waiting far a full 30 days between monthly events.) for three (3) consecutive months, depending on occurrence of precipitation events, intensity (i.e. enough volume for an actual discharge from the pond outfall pipe) and normal facility operating hours (the facility does not operate on weekends). In this regard and in order to collect monthly samples, we would like to confirm if the 72-hour rule for a measurable storm event can be waived? The 72 hour rule would come into play if precipitation occurs on a weekend and the non - availability of facility staff to check on whether there was an actual discharge from Outfall 001. (I would like to hold to the 72-hour requirement in the permit text. I realize this could result in us missing a month or months, with the result that the completion of your Plan of Action would be delayed. But presumably it would not result in extra sampling costs, since you would not be sampling non -qualifying events, anyway.) Once the results from the three sampling events are available, Jacobsen will review, tabulate and discuss the sampling results and submit it to your attention. Our understanding is that NCDEQ will consider these results along with the historical stormwater sampling analyses, quantitative extent (i.e. gross or minimal) of the metals benchmark exceedances, capital costs expended by Jacobsen in source control and other factors in determining the release of the facility from monthly monitoring requirements and reversion back to semi-annual monitoring for the remainder of the General Permit term. (Yes, as we discussed Also as we discussed, there are additional related reasons for us to be receptive to the argument presented. The argument presented in Mr. Wissinger's `January 21, 2016 letter was very good and on point, and I fully expect this extra analytical work will provide the little bit of extra support for that argument. As I relayed to you, and as provided for in the permit text, we frequently review and approve requests to be relieved from monthly sampling based on elements similar to those present in Jacobsen's circumstances) Please let me know if you have any questions or comments in the Plan of Action described above or if we have misunderstood some of the items of discussion. Thanks for your all your help. Samanth SAMANTH E DAWSON, PE j PROJECT MANAGER FISS ENVIRONMENTAL SOLUTIONS INC. 704-374-5393 (w) 1 704-215-4905 (f) 7251 Pineville -Matthews Rd, Suite 300 Charlotte, NC 28226 Ct 41 p a a o a � � I r. RL Pickle. Ken From: Georgoulias, Bethany Sent: Thursday, February 04, 2016 8:39 AM To: Bennett, Bradley; Pickle, Ken Subject RE: NCG030306 Jacobsen in Charlotte Yes, I agree. I also don't mind this kind of engagement (it's very interesting and challenging), but more and more I'm finding myself tangled in doing what the region is supposed to be handling and neglecting tasks we really need to accomplish here in the Central Office. For me, especially, e-Reporting is going to be an intensive focus for the better part of this year (after yesterday's meeting with Vanessa, we all realized just HOW MUCH work we have ahead of us...). EPA's questions about the NCG02s is another example —I feel like they really need to be primarily working with the ARO and MRO on particular facilities —although there is a compliance component there I'm not at all sure how we fit into there (or have the time to do???). And then they want to know why we're so behind on individual permits. Ugh. Bg Bethany Georgoulias Environmental Engineer Stormwater Permitting Program, Division of Energy, Mineral, and Land Resources N.C. Department of Environmental Quality 919 807 6372 office bethany.geor�oulias ncdenr.gov 1612 Mail Service Center, Raleigh, NC 27699-1612 (mailing) 512 N. Salisbury Street, Raleigh, NC 27604 (location) Website: http://portal.ncdenr.org/web/lr/stormwater A - - 0-:_ -::5` Nothing Compares,., Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties. From: Bennett, Bradley Sent: Wednesday, February 03, 2016 3:54 PM To: Pickle, Ken <ken.pickle@ncdenr.gov>; Georgoulias, Bethany <bethany.georgoulias@ncdenr.gov> Subject: RE: NCG030306 Jacobsen in Charlotte I think in the process we should probably let Zahid know that we looked into this one because he had asked us to help with some of these while he is down staff, but these are generally handled in the region and once he gets new staff engaged in stormwater we will let these go back to them. BB Bradley Bennett R Stormwater Permitting Program Phone: (919) 807-6378 NC Division of Energy, Mineral and Land Resources Fax: (919) 807-6494 1612 Mail Service Center Email: bradley.bennett ncdenr.go_v Raleigh, NC 27699-1612 Web: htt�:/dal.nodenr.org/webAr/stormwater Email correspondence to and from this address may be subject to public records laws From: Pickle, Ken Sent: Wednesday, February 03, 2016 3:50 PM To: Georgoulias, Bethany<bethany.Peorgoulias@ncdenr.eov> Cc: Bennett, Bradley <bradley.bennett@ncdenr.pov> Subject: FW: NCG030306 Jacobsen in Charlotte FYI, No Action Per our recent discussion on division of responsibilities RCO/RO: See here once again RCO in support of the Regional Offices. It feels like it really makes sense for us to step up like this, but does it really? Maybe it's just because I'm attracted to this particular question and this particular mode of engagement with our permittees. Anyway, I'm moving ahead under the assumption that someone has to do it, and it might as well be me. Ken Ken Pickle Stormwater Program Specialist DEMLR Stormwater Permitting Program Department of Environmental Quality 919 807 6376 office ken.yickle@ncdenr.gov 1612 Mail Service Center, Raleigh, NC 27699-1612 512 N. Salisbury St, Raleigh, NC 27604 Nothing Compares.,., C.- Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties. From: Khan, Zahid Sent: Wednesday, February 03, 2016 3:25 PM To: Pickle, Ken <ken.pickle@ncdenr.gov> Cc: Bennett, Bradley <bradley.bennett@ncdenr.gov_> Subject: RE: NCG030306 Jacobsen in Charlotte Ken, Thanks for doing that and I agree with your proposal. Please let me know if you need any inspection from us. Thanks again. 2 N From: Pickle, Ken Sent: Wednesday, February 03, 2016 3:15 PM To: Khan, Zahid <zahid.khan ncdenr. ov> Cc: Bennett, Bradley <bradley. bennett@ncdenr.eov> Subject: NCG030306 Jacobsen in Charlotte Hi Zahid, These folks make commercial grade turf maintenance equipment like riding lawn mowers for golf courses. They are located at 11524 Wilmar Blvd. in Charlotte, in the Westinghouse Boulevard area. They discharge to an unnamed tributary to Steele Creek, Class C. We have a request from this permittee to grant relief from monthly monitoring. They entered Tier 2 in 2014, and are now in Tier 3 for copper, having accumulated 4 exceedances since 2013. The physical circumstances are pretty clear, I think. Rather than forward to MRO for a site visit and for you to follow up, I propose to contact the company directly and discuss with their environmental manager over the phone. Unless there is a surprise in the phone call, I am going to release them from monthly monitoring based on three more monthly samples that support their request. It is possible that I will hear something in the phone call that would prompt me to involve MRO, but I want to avoid that if possible. I know your staff are stretched, too. Would you want us to approach this differently? Do you have a recent history with this site? I don't see anything in the files up here, or in BIMS. An inspection in 2013 by Mecklenburg County did not identify any stormwater issues. Let me know if you want us to handle this differently than I have proposed. Thanks, Ken Ken Pickle Stormwater Program Specialist DEMLR Stormwater Permitting Program Department of Environmental Quality 919 807 6376 office ken. pickleCcb ncdenr. gov 1612 Mail Service Center, Raleigh, NC 27699-1612 512 N. Salisbury St, Raleigh, NC 27604 Nothing Compares,�., M.- Email correspondence to and from this address is subject to the North Carolina Public Records taw and may be disclosed to third parties. i_ Pickle, Ken From: Pickle, Ken Sent: Wednesday, February 03, 2016 12:17 PM To: Bennett, Bradley Subject: Jacobsen request to be relieved from monthly monitoring Re: Jacobsen, a Texron Company, Charlotte Thanks Bradley, I've reviewed Jacobsen's request. I think it's ok to grant their request to drop back to semi-annual sampling upon 3 more monthly results suggesting that the installed process control equipment has removed the source of Cu and Zn with some qualifications in our letter. Mr. Wissinger requests: 'Therefore, we are respectfully requesting that the facility be removed from the tiered status and the monthly monitoring stipulations (KBP opinion: OK If 3 additional monthly data supports the request) of the General Permit and be allowed to revert back to semi-annual stormwater monitoring for the remainder of theDermit term. (KBP opinion: OK to extend the relief for the remaining term of the permit if 3 more monthly results suggest that the source has been addressed. Some qualifying language in our response letter is required.) Note that the permit term for NCG03 is through October 31, 2017, which would require four more sampling events from today. My recommended approach may be a little more rigid than our past responses to other similar requests, but the circumstances here are a little weaker in support of his request. The strengths of his argument: • They performed a 'root cause investigation' (They are an 15014001 facility, and it's to be expected that they will cite the ISO jargon, in accordance with their certification and environmental management system), and they identified two potential sources. • They report spending $80,000 on filters and mist eliminators 'on the paint booth roof stacks to reduce roof condensation of paint materials. The deposition of paint materials was tentatively identified as a potential source of copper and zinc exceedances. • The request is well presented and shows a grasp of many of the relevant aspects. These folks appear to be serious environmental managers. • Although the copper benchmark (0.007 mg/L) has been exceeded four times (Tier 3), only one of the samples would be above our revised benchmark going into new permits, 0.010 mg/L. Sample results reported as [0.0065, 0.0067, 0.0089, 0.040, 0.0045, 0.0081, 0.0098.1 Potentially we could consider that the one value indicates a one-time problem_ His argument could derive some support from an interpretation that the other exceedances do not suggest a continuing pollutant discharge at a level of concern, although they do approach 0.010 mg/L (0.0089, 0.0081, 0.0098). • He further reports that PM measurements before and after the installation of the mist eliminators in December 2015 show a reduction from 320 ppm to <10 ppm on the Main Spray Booth exhaust, and no measureable change on the Reel Spray booth exhaust PM (<10 ppm to <10 ppm). • Note that the single TSS exceedance, and the maximum Cu exceedance, and the maximum Zn exceedance occurred in the same event on 11/17/2014. The pH reported for that event was pH 7.83; the rainfall was 2.25". (He didn't make this argument explicitly, but the included data speaks for him.) Additional information: Per my inspection of the Google Maps image, Mr. Wissinger's reference to a, "stormwater detention pond for treatment prior to off -site discharge" must be a reference to a dry detention basin. It does not appear that a wet detention basin is present on site given the absence of any impounded water in the aerial photo. Further, the boundaries of the dry detention basin are unclear to me, and a part of an area where it might be located appears to be a test lawn for the turf maintenance equipment manufactured at the site. + The ISO 14001 environmental management protocol includes a subsequent confirmation step for any management responses to identified environmental problems. • The discharge is into a LIT to Steele Creek, a class C water. Frito-Lay Charlotte is immediately downstream of this site on the short UT. + Per my inspection of the Google Maps image, the roof of the facility does indeed have a few discolored spots that could indicate deposition from roof penetrations. Over half of the building complex appears have a standing seam metal roof, presumably galvanized. • Again from Google Maps, there does appear to be a moderate amount of outside storage of materials and product scattered around the property. • Benchmark exceedance summary: in seven samples since CY 2013: 1 TSS of 160 mg/L; 1 pH of 9.1 mg/L; 4 Cu as noted above; 3 Zn of 0A75, 0.270, and 0.068 mg/L vs permit BM of 0.067 mg/L and revised BM of 0.126 mg/L. (Two samples in CY 2013, two in CY 2014, three in CY 2015.) The weaknesses of Jacobsen's request: • Mr. Wissinger is requesting relief from monthly monitoring triggered by the Cu exceedances. Monthly monitoring would have begun in December 2014 based on consecutive copper exceedances in semi-annual samples retrieved 4/7/14 and 11/17/14. So, that would be monthly sampling starting in December 2014 and continuing through January 2016, so far. Fourteen monthly samples. He reports three samples since November 2014. So I conclude that he has not yet begun monthly sampling. My memory is not fully clear, but my impression is that we had plenty of rain during the calendar year 2015 in Raleigh: in fact, I think it was a record year in some areas of the state. • The ISO 14001 environmental management program includes a confirmation step once management action has addressed an environmental problem. While Jacobsen has measured stack PM, where are the measurements of stormwater Cu, Zn, TSS, and pH? Or even those measurements for just the roof runoff? They have not executed a key step in their own environmental management protocol, as far as we know based on the information in the request letter. As to their assumption of the root cause, they have not confirmed that roof stacks are the root cause of stormwater pollution. Note that Jacobsen had their fourth Cu exceedance at the very end of October 2015, and installed $80,000 worth of equipment in December 2015. It appears they short-circuited the permit requirement to contact the Regional Office within 30 days of receipt of the lab data to report Tier 3 status and to seek Division help in moving forward. The very close sequencing of the receipt of analytical results (sometime in November) and the coming on-line of the control equipment (on or before December 8, 2015) suggests that this capital project may have been under consideration prior to receiving the stormwater data from the October 28, 2015 rain event. The present letter in hand is directed to the wrong party (no big deal) and is 30 days late (due to us in December 2015, not Jan 2016). Again, maybe not such a big deal to us. Mr. Wissinger characterizes the metals benchmarks as `extremely low'. As we have told others, while the benchmarks are set based only on protecting the receiving water biota, other administrative work-arounds are provided in the text of the permit and in our historic implementation of Tier 3 conditions in cooperation with our permittees. This implied argument for relief carries no weight with me. KBP summary assimilation of the circumstances and recommended steps: + First call Mr. Wissinger to report our response. Follow up with our letter/email only after voice -to -voice discussion. • We are amenable to granting the request upon submittal of three more monthly results supporting the request. We do not think the site is a source of concern, but please let's step through the process outlined in the permit text to be sure. * The assumed root cause has not been confirmed. Monthly sampling for Feb, Mar, Apr should be conducted both as per permit requirements (our concern) and as per ISO 14001 confirmation step protocol (presumably their concern.) + In light of the fact that under our revised benchmarks there would only be one Cu and one Zn exceedance, forgive the past failure to conduct monthly sampling for the 14 months since Tier 2; forgive the failure to contact the RO in December 2015 in writing. • Advise that if the results do not confirm the reduction we will work with them to assess the new data; we will request that the facility come forward with a plan and schedule for improved control; we are amenable to continue to moderate our implementation of permit conditions considering the revised benchmarks utilized in newer permits. • KBP opinion: We could lust interpret the conditions here as sufficient to grant their request straight up. But Bradley, 1 feel it is just too much to forgive their disregard of permit requirements to the point of accepting their request far relief with absolutely no hard evidence that the stacks are the source. Yes, forgive their past disregard of the permit wrt any enforcement action. And yes, let's interpret future test results against our revised benchmark values. But let's not join them in disregarding the permit conditions from this point forward. Let's keep them focused on frnding a solution in months, rather than in years. We have some history of requiring 'confirmation' monthly sampling before reverting to semi-annual. kbp Ken Pickle Stormwater Program Specialist DEMLR Stormwater Permitting Program Department of Environmental Quality 919 807 6376 office ken. pickleOncdenr.gov 1612 Mail Service Center, Raleigh, NC 27699-1612 512 N. Salisbury St, Raleigh, NC 27604 N�'C- %'Nothing Compares.... Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties. I '6- 'eo'ke '-'j/ Mr-. De'eJ 3 one AMC Zs7v J. January 21 st, 2016 Division of Energy, Mineral and Land Resources Stormwater Permitting Section ATTENTION: Bradley Bennet 1612 Mail Service Center Raleigh, North Carolina 27699-1612 Re: General Stormwater Permit NCG 030000 Certificate of Coverage No: NCG 030306 Dear Mr. Bennet .JA 4 A Textron Company 11524 Wilmar Blvd. Charlotte NC 28273 704-587-5934 RECEIVED JAN 2 5 2016 T R?J' i' M �=- , 1. X� IJ� I] ,Ni, Jacobsen, a Textron Company (Jacobsen) is currently covered under the General Stormwater Permit No. NCG030000 for stormwater discharges from the facility associated with industrial activities. The drainage features at the facility are engineered such that all stormwater runoff from the outdoor areas of the facility are routed through a stormwater detention pond for treatment prior to off -site discharge through the pond outfall (S WO01). As part of the permit requirements, Jacobsen has been conducting visual and analytical stormwater v monitoring for Outfall SWOOI on a semi-annual basis. However, due to benchmark exceedance of Total -f Copper in the facility stormwater discharge, Jacobsen is currently in Tier 3 status -according to the General 1 a'"'' Permit regulations. A historical summary of the facility stormwater analytical monitoring results are presented in Table 1 below. Monthly monitoring for outfalI SWOOI was instituted and conducted (depending on occurrence of precipitation events) upon two (2) consecutive benchmark exceedances for Total Copper. As can be observed, the Total Copper and Zinc exceedances were very slightly above the extremely low benchmark levels (Total Copper and Zinc at 7 ug/L and 67 ug/L, respectively) prescribed in the General Permit, thereby triggering the tiered status for the facility stormwater discharge. While we feel that the November 2014 results were not representative of the facility stormwater discharge, the metals exceedances from the other sampling events were above benchmark levels by an average of 19 ug/1 for Total Copper and an average of 4.5 ug/L for Total Zinc. The facility had been conducting stormwater inspections to determine the cause of the benchmark exceedance for Total Copper and Zinc in the stormwater discharge since the first such exceedwee in April 2013 and has Jacobsen Stormwater Page i of January 19, 2016 rgviewed its outdoor storage policies and conducted root cause investigations for the metals exceedances as part of its tiered inspections. The potential cause of the exceedances was narrowed down to potential condensation of chemicals from the production paint exhaust vents on the manufacturing building roof and/or (due to the very low metals benchmarks) from just normal precipitation in contact with the galvanized roofing of the production/manufacturing/ warehouse building. While replacing the entire facility with non -galvanized roofing would have been significantly cost prohibitive, Jacobsen hired consultants and vendors to design and install filters/mist eliminators as structural controls on the paint line exhausts to minimize the potential for condensation of paint/chemicals on the production building roof which could possibly lead to metals stripping from the galvanized roofing, and thereby to stormwater runoff during precipitation events. Exhaust vent sampling for particulate emissions (PM) were conducted before and after the structural controls (filters/mist eliminators) were installed and are presented in Table 2 below. Please note that these filters were installed at significant capital costs totaling approximately eighty thousand dollars ($80,000) and were operational as of December 2015. As can be observed, the results of the exhaust emissions sampling indicate that the structural controls instituted have been successful in controlling the PM emissions and therefore should be successful in reduction of Copper and Zinc in the facility stormwater runoff. As such, we feel that Jacobsen has spent considerable resources in trying to meet the extremely low benchmarks for Total Copper and Zinc in our General Permit. Therefore, we are respectfully requesting that the facility be removed from the tiered status and the monthly monitoring stipulations of the General Permit and be allowed to revert back to semi-annual stormwater monitoring for the remainder of the permit term. Jacobsen is committed and dedicated to pollution control in all areas of production and we appreciate your review and favorable response to our request. If you have any questions or we may be of further assistance in this matter, please contact me at (704) 587-5934. `,q ^l 2 /"9/2_0/4 Sincerely, Jacobsen, A Textron Co p� r Chris Wissinger Facility/Environmental Manager cc: Marcia A] locco, NCDEQ Mooresville Regional office 610 East Center Avenue, Suite 301 Mooresville, NC 28115 G 3 ,ere- L v,r n rs a / �� s f��t ftvr, ,� •,Sf el , A �7a.f_S Jacobsen Stormwater Page 2 of 4 January 19, 2016 TABLE I HISTORICAL SUMMARY OF STORMWATER ANALYSIS OUTFALL SWO01- JACOBSEN Sample Date Parameter Outfall Status" TSS (mg/1) Non -Polar 08G (mg/1) Total Lead (mgii) Total Copper (mg/1) Total Zinc (mg/1) Total Rainfall (In.) pH [s.u.) 04/04/13 28 <5.9 <0.010 0.0065 0.075 1.0 6.76 Tier One 11/01/13 6.2 <4.7 <0.010 0.0067 0.065 1.0 9.1 Tier One 04/07/14 8.7 <5.0 0.0013 0.0089 0.060 2.25 7.8 Tier One 11/17/14 160 <4.8 0.0056 0.040 0.270 2.25 7.83 Tier Two 01/12/15 12 <4.8 <0.001 0.0045 0.031 1.00 8.9 Tier Two 03/27/15 12 <6.3 0.0012 0.0081 0.068 0.75 6.4 Tier Two 10/28/15 5.5 <5.3 0.002 0.0098 0.044 2.50 6.01 Tier Three Benchmark 100 15 0.030 0.007 0.067 --- &0 - 9.0 j --- Jq � N 2 5 2016 8TORi,,VV�S11n i �Y�I Jacobsen Stormwater January 19, 2016 TABLE 2 SUMMARY OF MIST ELIMINATORIFILTER SAMPLING ANALYSIS JACOBSEN Location PM Results (ppm) Comment 06/25115 12/08115 Main Spray Booth Exhaust 320 <10 • Uncontrolled samples collected on June 25. 2015 (i.e. before installation of mist eliminators). Reel Spray Booth Exhaust <10 <10 • Controlled samples collected on December 8, 2015 (i.e. after installation of mist eliminators). * PM -- Particulate Matter Jacobsen Stormwater January 19, 2016 ALT, YC*A� NCDENR North Carolina Department of Environment and Natural Resources Division of Water Quality Beverly Eaves Perdue Charles Wakild, P. E. Dee Freeman Governor Director Secretary December 4, 2012 Jacobsen Textron PO Box 7708 Charlotte, NC 28241 Subject: NPDES Stormwater Permit Coverage Renewal Jacobsen Textron COC Number NCG030306 Mecklenburg County Dear Permittee: In response to your renewal application for continued coverage under stormwater General Permit NCG030000 the Division of Water Quality (DWQ) is forwarding herewith the reissued General Permit. This permit is reissued pursuant to the requirements of North Carolina General Statute 143-215.1 and the Memorandum of Agreement between the state of North Carolina and the U.S. Environmental Protection Agency, dated October 15, 2007 (or as subsequently amended). The following information is included with your permit package: • A new Certificate of Coverage (COC) • A copy of General Permit NCG030000 • A copy of the Technical Bulletin for the General Permit • Two copies of the Discharge Monitoring Report (DMR) Form • Two copies of the Qualitative Monitoring Report Form The General Permit authorizes discharges of Stormwater, and it specifies your obligations for discharge controls, management, monitoring, and record keeping. Please review the new permit to familiarize yourself with all the changes in the reissued permit. Your facility has six (6) months from the time of receipt of the permit to update your current SPPP to reflect all new permit requirements. The first sample period of your permit begins January 1, 2013. Your facility must sample a "measureable storm event" beginning during the periods beginning January 1 and July 1 of every year (or, if applicable, report "No Flow," as outlined in Part III, Section E). Also, please note that Tier 3 Actions in Part II of your permit are triggered by benchmark exceedances on four occasions beginning an the effective date of this permit and do not count prior exceedances. The more significant changes in the General Permit since your last COC was issued are noted either in the Draft Permit Fact Sheet that accompanied the public notice (http://portal.ncdenr.org/web/wq/ws/su/current- notices), or in the Response to Comments / Summary of Changes and Technical Bulletin documents that are posted on the Stormwater Permitting Unit's website with the new General Permit. Please visit http://portal.ncdenr.orpjweb/wci/ws su n dessw (click on 'General Permits' tab) to review that information for your specific General Permit carefully. 1617 Mail Service Center, Raleigh, North Carolina 27699.1617 Location: 512 N. Salisbury St Ralegh, North Carolina 27604 Phone: 91 M07-63001 FAX: 91 M07-6492 Intern=,t: www.nonteruuality.ong An Eq,:al Opporhmity 1 Affirmative Aux Emplayor No thCarolina ;Vatulully December 4, 2012 Page 2 of 2 Some of the changes include: Part II: • Section A: The Stormwater Pollution Prevention Plan (SPPP) section, if applicable, has been updated to the most current language of our permits. Additional conditions for specific industry sectors have been added to the SPPP requirements in some cases. • Sections 8, C: Failure to perform analytical stormwater monitoring may result in the Division requiring that the permittee begin a monthly sampling scheme. • Sections 8, C: A lower TSS benchmark of 50 mg/1 for HQW, ORW, PNA and Tr Waters applies to these more sensitive waters. • Sections B, C. The monitoring parameter Oil & Grease (O&G) has been replaced by the parameter Total Petroleum Hydrocarbons (TPH) for vehicle maintenance areas, and in some cases, other analytical monitoring requirements. • Sections 8, C, D: Inability to sample due to adverse weather must be recorded in the SPPP, or in separate on -site records if your General Permit does not require an SPPP. Adverse weather is defined in the "Definitions" section of the permit. • Sections 8, C.• The term "Representative Storm Event" has been replaced by "Measurable Storm Event." A measurable storm event is defined in the permit. • Section D: If the permittee fails to respond effectively to problems identified by qualitative monitoring, DWQ may require the permittee to perform corrective action. Please review Parts III and IV to understand the Standard Conditions of your new NPDES General Permit, including Compliance and Liability, Reporting, Monitoring and Records requirements; Operation and Maintenance obligations; and Definitions. Please note that all samples analyzed in accordance with the terms of this permit must be submitted to the Division on Discharge Monitoring Report (DMR) forms available on the Stormwater Permitting Unit's website above. DMR forms must be delivered to the Division no later than 30 days from the date the facility receives the sampling results from the laboratory. Also note that existing permittees do not need to submit a renewal request prior to expiration unless directed by the Division. Your coverage under the General Permit is transferable only through the specific action of DWQ. This permit does not affect the legal requirements to obtain other permits which may be required by DENR, nor does it relieve the permittee from responsibility for compliance with any other applicable federal, state, or local law, rule, standard, ordinance, order, judgment, or decree. If you have any questions regarding this permit package, please contact the Division's Stormwater Permitting Emit at (919) 807-6300. Sincerely,, for Charles Wakild, P.E. cc: DWQ Central Fifes Stormwater Permitting Unit Files Mooresville Regional Office STATE OF NORTH CAROLINA DEPARTMENT OF ENVIRONMENT AND NATURAL RESOURCES DIVISION OF WATER QUALITY GENERAL PERMIT NO. NCG030000 CERTIFICATE OF COVERAGE No. NCG030306 STORMWATER NATIONAL POLLUTANT DISCHARGE ELIMINATION SYSTEM In compliance with the provision of North Carolina General Statute 143-215.1, other lawful standards and regulations promulgated and adopted by the North Carolina Environmental Management Commission, and the Federal Water Pollution Control Act,,as amended, Jacobsen Textron is hereby authorized to discharge stormwater from a facility located at: Jacobsen Textron 11524 Wilmar Blvd Charlotte Mecklenburg County to receiving waters designated as Steele Creek, a class C waterbody in the Catawba River Basin in accordance with the effluent limitations, monitoring requirements, and other conditions set forth in Parts 1,1I, III, and IV of General Permit No. NCG030000 as attached. This certificate of coverage shall become effective December 4, 2012. This Certificate of Coverage shall remain in effect for the duration of the General Permit Signed this 411, day of December, 2012. b" ,. for Charles Wakild, P.E., Director Division of Water Quality By Authority of the Environmental Management Commission A Textron C Z"ny State of North Carolina Department of Environment, Health and Natural Resources Division of Environmental Management P.O. Box 29535 Raleigh, NC 27626 Attention Ms. Aisha Lau Re: Stormwater Permit — Jacobsen COC NCCT030306 8/22/07 To whom it may concern: Mail: P.O. Box 7708 Charlotte, NC 28241-7708 Shipping: 11524 Wilmar Blvd. Charlotte, NC 28273 Phone: 704.587.5901 Cellular: 704.689.1894 Fax: 704.504.4009 Email: rweiskind@textron.com �J Fy i 9` C t,2 ZjCD The intent of this letter is to provide a status on the progress Jacobson, General Permit COC No. NCG030306 has made in reapplying for the facility's stormwater discharge permit. In brief, Jacobsen's current permit expires on August 30, 2007. Per the -specified application process, we have been collecting daily rainfall samples since July 171h, 2007. Unfortunately, because of the drought situation that is currently impacting the Charlotte area, we have not been able to obtain analytical results from any discharge from our Outfall during this time. All of our run-off flows to a stormwater pond and is discharged via a single Outfall. Visual monitoring of the stormwater pond occurs with each rainstorm, but to date we have not received enough rain to result in a discharge from the Outfall. Accordingly, we will continue to visually monitor the pond, collect rainfall data, and try to collect stormwater samples of the pond discharge in accordance with the permit.. If you have any questions or concerns regarding this process, please feel free to contact me directly at (704) 587-5901. Regards, Rachael D. Weiskind, �CHMM`--_ EnvironmentaHealth and Safety Manager Jacobsen, A Textron Company F W A TF Michael F. Easley, Governor William G. Ross Jr., Secretary RQ (� North Carolina Department of Environment and Natural Resources Alan W_ Klimek, P.E., Director "1 Division of Water Quality August 23, 2002 TODD EAGLE TEXTRON GOLF TURF & SPECIALTY PRODUCTS PO BOX 7708 CHARLOTTE, NC 28241 Subject: NPDES Stormwater Permit Renewal TEXTRON GOLF TURF & SPECIALTY PRODUCTS COC Number NCG030306 Mecklenburg County Dear Permittee: In response to your renewal application for continued coverage under general permit NCG030000, the Division of Water Quality (DWQ) is forwarding herewith the reissued stormwater general permit. This permit is reissued pursuant to the requirements of North Carolina General Statute 143-215.1 and the Memorandum of Agreement between the state of North Carolina and the U.S. Environmental Protection Agency, dated December 6, 1983. The following information is included with your permit package: * A new Certificate of Coverage * A copy of General Stormwater Permit NCG030000 * A copy of the Analytical Monitoring Form (DMR) * A copy of a Technical Bulletin for the general permit Your coverage under this general permit is not transferable except after notice to DWQ. The Division may require modification or revocation and reissuance of the Certificate of Coverage. This permit does not affect the legal requirements to obtain other permits which may be required by DENR or relieve the permittee from responsibility for compliance with any other applicable federal, state, or local law, rule, standard, ordinance, order, judgment, or decree. If you have any questions regarding this permit package please contact Bill Mills of the Central Office Stormwater and General Permits Unit at (919) 733-5083, ext. 548 Sincerely, Bradley Bennett, Supervisor Stormwater and General Permits Unit cc_ Central Files Stormwater & General Permits Unit Files Mooresville Regional Office N. C. Division of Water Quality 1617 Mail Service Center Raleigh, NC 27699-1617 (919) 733-7015 'VA NCDENR Customer Service 1-800-623-7748 STATE OF NORTH CAROLINA DEPARTMENT OF ENVIRONMENT AND NATURAL RESOURCES DIVISION OF WATER QUALITY GENERAL PERMIT NO. NCG030000 CERTIFICATE OF COVERAGE No. NCG030306 STORMWATER DISCHARGES NATIONAL POLLUTANT DISCHARGE ELIMINATION SYSTEM In compliance with the provision of North Carolina General Statute 143-215.1, other lawful standards and regulations promulgated and adopted by the North Carolina Environmental Management Commission, and the Federal Water Pollution Control Act, as amended, TEXTRON GOLF TURF & SPECIALTY PRODUCTS is hereby authorized to discharge stormwater from a facility located at TEXTRON GOLF TURF & SPECIALTY PRODUCTS 11524 WU-N AR BOULEVARD CHARLOTTE MECKLENBURG COUNTY to receiving waters designated as Steele Creek, a class C stream, in the Catawba River Basin in accordance with the effluent limitations, monitoring requirements, and other conditions set forth in Parts I, 11, III, IV, V, and V1 of General Permit No. NCG030000 as attached. This certificate of coverage shall become effective September 1. 2001 This Certificate of Coverage shall remain in effect for the duration of the General Permit. Signed this day August 23, 2002. for Alan W. Klimek, P.E_, Director Division of Water Quality By Authority of the Environmental Management Commission Michael F. Easley, Governor William G. Ross Jr., Secretary North Carolina Department of Environment and Natural Resources O December 27, 2001 ASTOR G AZARCON ]ACOBSEN/DIV OF TEXTRON-MECKLE PO BOX 7708 CHARLOTTE, NC 28241 Gregory J. Thorpe, Ph.D. Acting Director Division of Water Quality Subject: NPDES Stormwater Permit Renewal JACOBSEN/DW OF TEXTRON-MECKLE COC Number NCG030306 Mecklenburg County Dear Permittee: Your facility is currently covered for stormwater discharge under General Permit NCG030000. This permit expires on August 31, 2002. The Division staff is currently in the process of rewriting this permit and is scheduled to have the permit reissued by late summer of 2002. Once the permit is reissued, your facility would be eligible for continued coverage under the reissued permit. In order to assure your continued coverage under the general permit, you must apply to the Division of Water Quality (DWQ) for renewal of your permit coverage. To make this renewal process easier, we are informing you in advance that your permit will be expiring. Enclosed you will find a General Permit Coverage Renewal 4 Application Form. The application must be completed and returned by March 4, 2002 in order to assure continued coverage under the general permit. Failure to request renewal within this time period may result in a civil assessment of at least $250.00. Larger penalties may be assessed depending on the delinquency of the request. Discharge of stormwater from your facility without coverage under a valid stormwater NPDES permit would constitute a violation of NCGS 143-215.1 and could result in assessments of civil penalties of up to $10,000 per day. Please note that recent federal legislation has extended the "no exposure exclusion" to all operators of industrial facilities in any of the 11 categories of "storm water discharges associated with industrial activity," (except construction activities). if you feel your facility can certify a condition of "no exposure", i.e. the facilty industrial materials and operations are not exposed to stormwater, you can apply for the no exposure exclusion. For additional information contact the Central Office Stormwater Staff member listed below or check the Stormwater & General Permits Unit Web Site at http://h2o.enr.state.nc.us/su/stormwater.htmi If the subject stormwater discharge to waters of the state has been terminated, please complete the enclosed Rescission Request Form. Mailing instructions are listed on the bottom of the form. You will be notified when the rescission process has been completed. If you have any questions regarding the permit renewal procedures please contact Mike Parker of the Mooresville Regional Office at 704-663-1699 or Bill Mills of the Central Office Stormwater Unit at (919) 733-5083, ext. 548 Sincerely, Bradley Bennett, Supervisor Stormwater and General Permits Unit cc: Central Files Mooresville Regional Office N. C. Division of Water Quality 1617 Mail Service Center Raleigh, NC 27699-1617 (919) 733-7015 �K NCDEHR Customer Service 1-800-623-7748 State of North Carolina Department of Environment, Health and Natural Resources 09WMA Division of Water Quality 4 • James B. Hunt, Jr., Governor�"* Wayne McDevitt, Secretary ID C � F1 A. Preston Howard, Jr., P.E., Director C September 24, 1997 ASTOR G. AZARCON JACOBSEN/DIV OF TEXTRON-MECKLE PO BOX 7708 CHARLOTTE, NC 28241 Subject: Reissued Stormwater General Permit for Certificate of Coverage No. NCG030306 Mecklenburg County Dear Permittee: In response to your renewal application for continued coverage under the subject permit, the Division of Water Quality (DWQ) is forwarding herewith the reissued stormwater general permit. This permit is reissued pursuant to the requirements of North Carolina General Statute 143-215 .1 and the Memorandum of Agreement between North Carolina and the US Environmental Protection agency dated December 6, 1983. The following information is included with your pern it package: ■ A copy of the stormwater general permit. ■ A Stormwater Pollution Prevention Plan Certification Form. This form certifies that you have .developed and implemented the Stormwater Pollution Prevention Plan (SPPP) required in your permit. This form must be completed and returned to the Division within 30 days of receipt of this letter. DO NOT send the SPPP with the signed form. ■ Five copies of Analytical Monitoring forms. ■ Five copies of Qualitative Monitoring forms. ■ A copy of a Technical Bulletin on the stormwater program with outlines program components and addresses frequently asked questions. ■ A corrected Certificate of Coverage if you indicated a name or address change on the Renewal Form returned to the Division. Your certificate of coverage is not transferable except after notice to DWQ. The Division of Water Quality may require modification or revocation and reissuance of the certificate of coverage. This permit does not affect the legal requirements to obtain other permits which may be required by DWQ or permits required by the Division of Land Resources, Division of Air Quality, Coastal Area Management Act or any other Federal or Local governmental permits that may be required. If you have any questions concerning this permit or other attached documents, please contact the Stormwater Group at telephone number (919) 733-5083 Sincerely, b44- for A. Preston Howard, Jr., P. E. P.O. Box 29535, Raleigh. North Carolina 27626-0535 Telephone 919-733-5083 FAX 919-733-0719 An Equal Opportunity Affirmative Action Employer 50% recycled/ 10% post -consumer paper s" Stake of North Carolina Department of Environment, Health and Natural Resources Division of Environmental Management James B. Hunt, Jr., Governor Jonathan B. Howes, Secretary A. Preston Howard, Jr., P.E., Director July 15, 1994 Mr. Astor G. Azarcon Jacobsen -Division of Textron 1721 Packard Ave. Racine, WI 53403 A4 C)EHNR Subject: General Permit No. NCG030000 Jacobsen -Division of Textron COC NCG030306 Mecklenburg County Dear Mr. Azarcon: In accordance with your application for discharge permit received on April 29, 1994, we are forwarding herewith the subject certificate of coverage to discharge under the subject state - NPDES general permit. This permit is issued pursuant to the requirements of North Carolina General Statute 143-215 .1 and the Memorandum of Agreement between North Carolina and the US Environmental Protection agency dated December 6, 1983. If any parts, measurement frequencies or sampling requirements contained in this permit are unacceptable to you, you have the right to request an individual permit by submitting an individual permit application. Unless such demand is made, this certificate of coverage shall be final and binding. Please take notice that this certificate of coverage is not transferable except after notice to the Division of Environmental Management. The Division of Environmental Management may require modification or revocation and reissuance of the certificate of coverage. This permit does not affect the legal requirements to obtain other permits which may be required by the Division of Environmental Management or permits required by the Division of I:and Resources, Coastal Area Management Act or any other Federal or Local governmental permit that may be required. If you have any questions concerning this permit, please contact Aisha Lau at telephone number 9191733-5083. Sutcernlygjna' H Sud' S A. Preston Howard, Jr., P. E. cc: Mooresville Regional Office Mecklenburg County P.O. Box 29535, Raleigh, North Carolina 27626-0535 Telephone 919-733-5083 FAX 919-733-9919 An Equal Opportunity Affirmative Action Employer 50% regde& 10% post -consumer paper STATE OF NORTH CAROLINA DEPARTMENT OF ENVIRONMENT, HEALTH, AND NATURAL RESOURCES DIVISION OF ENVIRONMENTAL MANAGEMENT GENERAL PERMIT NO, NCGO30000 CERTIFICATE QF COVERAGE No. NCGO30306 STORMWATER DISCHARGES NATIONAL POLLUTANT_ DISCHARGE ELIMINATION SYSTEM In compliance with the provision of North Carolina General Statute 143-215.1, other lawful standards and regulations promulgated and adopted by the North Carolina Environmental Management Commission, and the Federal Water Pollution Control Act, as amended, Jacobsen - Division of Textron is hereby authorized to discharge stormwater from a facility located at Jacobsen - Division of Textron 11524 Wihmr Blvd. Charlotte Mecklenburg County to receiving waters designated as an unnamed tributary to Steele Creek in the Catawba River Basin in accordance with the effluent limitations, monitoring requirements, and other conditions set forth in Parts I, II, lII and IV of General Permit No. NCG030000 as attached. This certificate of coverage shall become effective July 15, 1994. This Certificate of Coverage shall remain in effect for the duration of the General Permit. Signed this day July 15, 1994. original 5i93 Coleen H- A. Preston Howard, Jr., P.E., Director Division of Environmental Management By Authority of the Environmental Management Commission FACILITY crGt G o 6 se ti I ' COUNTY 1 /�e ���e n liar NPDES N( G03 030� MAP # DSN FLOW Al j14 :.. 3 �ASIN U 3 -- v q— 3 y LA7!Ti E' U DE 3 S o 0(/ S- 3" RE("O'E VING STREAM to e le STREAM CLASS I C d ) 7e-y DISCHARGE CLASS S to r w UlAfe H EXPII 'ATIDN DATE ed 6 3 l G? 7 Caee k ON 3 NI `I I IM 4 t-- r10 d ROM 1"mimill! r - h• a• i Jice', tip .j A Michael F. Easley, Govemo , , hill William G. Ross Jr., Secre North Carolina Department of Environment and Natural Resources March 19, 2008 Ms. Rachel Weiskind Environmental Health and Safety Manager Jacobsen Textron Inc 11524 Wilmar Boulevard Charlotte, NC 28273 Subject: Compliance Evaluation Inspection Jacobsen Textron Inc Stormwater Permit COC 030306 Mecklenburg County, NC Dear Ms. Weiskind: Coleen H. Sullins, Director Division of Water Quality Enclosed is a copy of the Compliance Evaluation Inspection (CEI) report for the inspection conducted at the subject facility on February 15, 2008, by Aliyah Turner and Craig Miller of Charlotte - Mecklenburg Stone Water Services. This inspection was conducted as part of a cooperative working agreement between Mecklenburg County and the Division of Water Quality. In addition, the inspection was conducted on behalf of the City of Charlotte in compliance with the City's NPDES Permit, NCS000240, Part II Section H. Thank you for your assistance and cooperation during the inspection. Overall, the facility's Stormwater program was well developed and implemented and this Office commends the permittee's efforts to ensure compliance with your NPDES permit. The enclosed report should be self-explanatory; however should you have any questions concerning this report or have any questions regarding your permit, please do not hesitate to contact Ms. Marcia Allocco of this Office at (704) 663-1699. Sincerely, for Robert B. Krebs Regional Supervisor Surface Water Protection Section Mooresville Regional Office Enclosure cc: NPS-ACO Unit Rusty Rozzelle, Mecklenburg County Craig Miller, City of Charlotte LIRA Rd*i4R No Carolina Atura!!y Mooresville Regional Office Division of Water Quality Phone 704-663-1699 Customer Service Internet: wwwnewateraualitv.org 610 East Center Ave, Suite 301 Mooresville, NC 28115 Fax 704-663-6040 1-877-623.6748 An Equal opportunitylAtfirmaWe Adion Employer— 50% Recyded110% Post Consumer Paper Compliance Inspection Report Permit: NCG030306 Effective: 11/01/07 Expiration: 10/31/12 Owner: Jacobsen Textron SOC: Effective: Expiration: Facility: Jacobsen Textron County: Mecklenburg 11524 Wilmar Blvd Region: Mooresville Charlotte NC 28241 Contact Person: Rachael Weiskind Title: Phone: 704-507-5901 Directions to Facility: System Classifications: Primary ORC: Certification: Phone: Secondary ORC(s): On -Site Representative(s): On -site representative Rachael Weiskind Phone: 704-507-5901 Related Permits: Inspection Date: 02/15/2008 Entry Time: 10:00 AM Exit Time: 12:00 PM Primary Inspector: Water Quality Program Mecklenburg County Phone: Secondary lnspector(s): Marcia Allocco Phone: 704-663-1699 Ext.2204 Reason for Inspection: Routine Inspection Type: Compliance Evaluation Permit Inspection Type: Metal Fabrication Stormwater Discharge COG Facility Status: ■ Compliant ❑ Not Compliant Question Areas: 0 Storm Water (See attachment summary) Page: 1 Permit: NCG030306 Owner - Facility: Jacobsen Textron Inspection Date: 02/15/2008 Inspection Type: Compliance Evaluation Reason for Visit: Routine Inspection Summary: Facility Description: The Jacobsen Textron facility manufactures commercial farm equipment. Manufacturing activities take place inside of buildings and are not exposed to storm water. There are no drain inlets inside of buildings. The property consists of a main building, outdoor material storage areas, outdoor chemical tanks and parking areas. The facility maintains a pre-treatment permit with Charlotte -Mecklenburg Utilities for the discharge of treated wastewater to the POTW. Compliance history: The permitteelfacility does not have any prior compliance issues with either the NC Division of Water Quality or Charlotte -Mecklenburg Storm Water Services. City of Charlotte Stormwater Ordinance: There were no significant housekeeping issues at the Jacobsen Textron facility that could impact stormwater quality. Page: 2 Y Permit: NCGO30306 Owner - Facility: Jacobsen Textron Inspection Date: 02/15/2008 Inspection Type: Compliance Evaluation Reason for Visit: Routine Stormwater Pollution Prevention Plan Yes No NA NE Does the site have a Stormwater Pollution Prevention Plan? ■ n n n # Does the Plan include a General Location (USGS) map? ■ n n n # Does the Plan include a "Narrative Description of Practices"? ■ n n n # Does the Plan include a detailed site map including outfall locations and drainage areas? ■ n n n # Does the Plan include a list of significant spills occurring during the past 3 years? ■ Cl n n # Has the facility evaluated feasible alternatives to current practices? ■ n n n # Does the facility provide all necessary secondary containment? ■ n n Cl # Does the Plan include a BMP summary? ■ Cl Cl n # Does the Plan include a Spill Prevention and Response Plan (SPRP)? ■ n n n # Does the Plan include a Preventative Maintenance and Good Housekeeping Plan? ■ n n n # Does the facility provide and document Employee Training? ■ n n Cl # Does the Plan include a list of Responsible Party(s)? ■ ❑ 0 # Is the Plan reviewed and updated annually? ■ n n n # Does the Plan include a Stormwater Facility Inspection Program? ■ n n n Has the Stormwater Pollution Prevention Plan been implemented? ■ n n n Comment: Qualitative Monitoring Yes No NA NE Has the facility conducted its Qualitative Monitoring semi-annually? ■ n n n Comment: Analytical Monitoring Yes No NA NE Has the facility conducted its Analytical monitoring? ■ n n n # Has the facility conducted its Analytical monitoring from Vehicle Maintenance areas? ■ n n n Comment: Permit and Outfalls Yes No NA NE # Is a copy of the Permit and the Certificate of Coverage available at the site? ■ n n n # Were all outfalls observed during the inspection? ■ n 00 # If the facility has representative outfall status, is it properly documented by the Division? ■ n n n # Has the facility evaluated all illicit (non stormwater) discharges? n n n Comment: Page: 3 Stormwater Inspection Questions in RIMS -MCWQP NCGO30306 Permit No.- Facility Name: Jacobsen Textron NCSO Permit Effective: 11101/ 2007 Discharges to: Steele Creek Inspection Date: 02/1512008 Inspection Type CEI ® CSI ❑ Complaint ❑ Other ❑ Aliyah Turner (MCWQP) Inspector(s): Craig Miller (CMSWS) Agency: MRO ❑ MCWQP Entry Time: 10:00am Facility Contact (s) Rachel Weiskind, CHMM Exit Time 12:00pm Work Days Monday -Thursday (5:00am-3:00am), (704) 587-5901 Friday(5:00am- l 5:00pm) •5 . Facility Status: Compliant ® Non -Compliant ❑ Facility Description: The Jacobsen Textron facility manufactures commercial farm equipment. Manufacturing activities take place inside of buildings and are not exposed to storm water. There are no drain inlets inside of buildings. The property consists of amain or material storage areas outdoor chemical tanks -and, parking areas. a facility maintains an NPDES for discharge o rea as ewater. The pH -of thew sa tewater - is adjusted an en o a reten ion Compliance History: No Compliance history could be found City of Charlotte Stormwater Ordinance and General Good Housekeeping Recommendations: Based on the observation by Aliyah Turner of the Mecklenburg County Water Quality Program and Craig Miller of the Charlotte Mecklenburg Storm Water Services the Jacobsen Textron facility had no significant housekeeping issues that could impact storm water quality. fe-f TO Comments: C ME Page 1 of 5 Rev. 0, 1108 Stormwater Inspection Questions in BIMS -MCWQP Stormwater Pollution Prevention Plan Yes No NA NE Does the site have a Stormwater Pollution Prevention Plan? ® ❑ ❑ ❑ Site Plan 1. Does the Plan include a General Location (USGS) map? ® ❑ ❑ ❑ Facility location in relation to roads and surface waters. Includes: name of receiving stream or name of municipal storm sewer system, and accurate lat, and long. of point of discharge. This helps the permittee to understand their location with respect to receiving waters. 2. Does the Plan include a "Narrative Description of Practices"? ® ❑ 1 ❑ 1 ❑ Should cover storage practices, loading and unloading areas, outdoor process areas, dust or particulate generating or control processes, and waste disposal practices, etc. 3. Does the Plan include a detailed site map including outfall locations and ® ❑ ❑ ❑ drainage areas? Should show • Location of industrial activities (storage areas, disposal areas, process areas, unloading and loading areas) • The drainage structures • Drainage areas for each outfall and activities occurring in the drainage area • Building locations • Existing BMPs and impervious surfaces and the % of each drainage area that is impervious • For each outfall, a narrative description of the potential pollutants which could be expected to be present in the stormwater discharge. This forces permittee to analyze the site with relation to stormwater discharges. It is also a tool for the inspector to understand if the site has changed over time, i.e. if site map does not match facility they must update their plan. 4. Does the Plan include a list of significant spills occurring during the past 3 ® ❑ ❑ Elyears? Needs to include corrective actions that were taken. The permittee needs to know what the reportable quantities are for wastewater, oil pollution, and SARA Title III. 5. Have stormwater outfalls been evaluated for the presence of non-stormwater ® ❑ ❑ ❑ discharges? Signature required: • Corporation - signed by Responsible Corporate Officer or assigned manager • Partnership or Sole Proprietorship — General Partner or the Proprietor • Municipality, State; Federal, or other public agency — either principal executive officer or ranking elected official Comments: Page 2 of 5 Rev. 0, 1108 Stormwater Inspection Questions in BIMS -MCWQP Stormwater Management Plan Yes No NA NE 1. Has the facility evaluated feasible alternatives to current practices? ® ❑ ❑ ❑ • Provide a review of the technical and economic feasibility of changing the methods of operations and/or storage practices to eliminate or reduce exposure of materials and processes to stormwater_ • In areas where elimination of exposure is not practical, the stormwater management plan shall document the feasibility of diverting the stormwater runoff away from areas of potential contamination. 2. Does the facility provide all necessary secondary containment? ® ❑ I ❑ ❑ • Applies to liquid raw materials, manufactured products, waste materials, or by-products • Single AST capacity > 660 gallons • Multiple AS containers in close proximity to each other with a total combined capacity of > 1,320 + If connected to SW conveyance; controlled by manually activated valves or other similar devices? (Closed?) • Collected water observed for color, foam, outfall staining, visible sheens, and dry weather flow prior to release • Document individual making observation, description of water, date, and time of release (RR=5 yrs) 3. Does the Plan include a BMP summary? I ® 1 ❑ 1 ❑ I ❑ Narrative description of BMPs to be considered including oil and grease separation, debris control, vegetative filter strips, infiltration and stormwater detention or retention, where necessary. • The need for structural BMPs shall be based on the assessment of potential sources to contribute significant quantities of pollutants to stormwater discharges and data collected through monitoring of stormwater discharges. 4. Does the Plan include a Spill Prevention and Response Plan (SPRP)? ® ❑ 1 ❑ 1 ❑ • Assessment of potential pollutant sources based on materials inventory of the facility • Facility personnel responsible for implementing the SPRP shall be identified • Responsible person shall be on -site at all times during facility operations that have the potential to contaminate stormwater runoff through spills or exposure of materials associated with the facility operations. 5. Does the Plan include a Preventative Maintenance and Good Housekeeping ® ❑ ❑ I ❑ Plan? • Document schedules of inspections and maintenance activities of stormwater control systems, plant equipment and systems • Inspect material handling areas • Regular cleaning schedules of these areas 6. Does the facility provide and document Employee Training? ® ❑ L. ❑ 1 ❑ • Provide at a minimum, annual training for all personnel including: proper spill response, cleanup procedures, preventative maintenance activities for all personnel involved in any of the facility's operations that have the potential to contaminate stormwater runoff • Develop training schedule and identify facility personnel responsible for implementing the training Page 3 of 5 Rev. 0, 1108 Stormwater Inspection Questions in BIMS -MCWQP Yes No NA NE 7. Does the Plan include a list of Responsible Parties? ® ❑ El❑ Identify position responsible for the overall coordination, development, implementation, and revision of the SPPP 8. Is the Plan reviewed and updated annually? ® ❑ ❑ 1 ❑ Have there been any changes to the design, construction, operation, or maintenance of the facility, which would have a significant effect on the potential for the discharge of pollutants to surface waters? Does plan include changes? 9. Does the Plan include a Stormwater Facility Inspection Program? I ® I ❑ I ❑ I ❑ • Inspect at a minimum semiannually once in Fall (Sept. -Nov) and once in Spring (Apr -June) • Inspection and subsequent maintenance activities performed shall be documented o Record date and time o Individual performing inspection o Narrative description of the stormwater outfall and plant equipment and systems • Records should be incorporated into the SPPP 10. Has the Stormwater Pollution Prevention Plan been implemented? ® ❑ ❑ ❑ Have they done what they said they were going to do and have they documented it. Examples include: • Monitoring and measurements including sampling data • Inspections • Maintenance activities • Training provided to employees • Activities to implement BMPs associated with industrial activities including vehicle maintenance. (RR=5 yrs) Comments: Qualitative Monitoring Yes No NA NE 1. Has the facility conducted its Qualitative Monitoring semi-annually? ® ❑ ❑ ❑ Sampling in Spring (April -June) and Fall (September -November) Color Odor Clarity Floating Solids Suspended solids Foam Oil Sheen Other indicators Comments. - Page 4 of 5 Rev. 0, 1108 Stormwater Inspection Questions in BIMS -MCWQP Analytical Monitoring Yes No NA NE 1. Has the facility conducted its Analytical monitoring? ® ❑ ❑ ❑ 2. Has the facility conducted its Analytical monitoring from Vehicle Maintenance ® El El Elareas? Comments: Permit and OutFalls Yes No NA NE 1. Is a copy of the Permit and the Certificate of Coverage available at the site? ® ❑ ❑ ❑ 2. Were all outfalls observed during the inspection? ® ❑ ❑ ❑ 1 If the facility has representative outfall status; has it been documented by the Division? ® ❑ ❑ ❑ 4. Has the facility evaluated all illicit (non stormwater) discharges? ® ❑ ❑ ❑ Comments: Page 5 of 5 Rev. 0, 1/08 F WA 7F Michael F_ Easley, Governor �� RQ William G. Ross Jr., Secretary `O tr North Carolina Department of Environment and Natural Resources GD r1 Alan W. Klimek, P.E., Director Q Division of Water Quality August 23, 2002 TODD EAGLE TEXTRON GOLF TURF & SPECIALTY PRODUCTS PO BOX 7708 CHARLOTTE, NC 28241 Subject: NPDES Stormwater Permit Renewal TEXTRON GOLF TURF & SPECIALTY PRODUCTS COC Number NCG030306 Mecklenburg County Dear Permittee: In response to your renewal application for continued coverage under general permit NCG030000, the Division of Water Quality (DWQ) is forwarding herewith the reissued stormwater general permit_ This permit is reissued pursuant to the requirements of North Carolina General Statute 143-215.1 and the Memorandum of Agreement between the state of North Carolina and the U.S. Environmental Protection Agency, dated December 6, 1983. The following information is included with your permit package: * A new Certificate of Coverage * A copy of General Stormwater Permit NCG030000 * A copy of the Analytical Monitoring Form (DMR) * A copy of a Technical Bulletin for the general permit Your coverage under this general permit is not transferable except after notice to DWQ. The Division may require modification or revocation and reissuance of the Certificate of Coverage. This permit does not affect the legal requirements to obtain other permits which may be required by DENR or relieve the permittee from responsibility for compliance with any other applicable federal, state, or local law, rule, standard, ordinance, order, judgment, or decree. If you have any questions regarding this permit package please contact Bill Mills of the Central Office Stormwater and General Permits Unit at (919) 733-5083, ext. 548 cc: . Central Files Stormwater & General Permits Unit Files Mooresville Regional Office Sincerely, t` k4�64 Bradley Bennett, Supervisor Stormwater and General Permits Unit TIC DEPT. OF IEIN;RtGi�" .,;T J FICE AUG 2 9 2002 TMAJ NCDENR N. C. Division of Water Quality 1617 Mail Service Center Raleigh, NC 27699-1617 (919) 733-7015 Customer Service 1-800-623-7748 Michael F. Easley, Governor William G. Ross Jr., Secretary North Carolina Department of Environment and Natural Resources December 27, 2001 ASTOR G AZARCON JACOBSEN/DfV OF TEXTRON-MECKLE PO BOX 7708 CHARLOTTE, NC 28241 Gregory J.Thorpe,.Ph.D.`�;aT Acting Director Division of Water Quality f � . APR 1 C 2002 ,a Subject: NPDES Stormwater Permit Renewal.!. JACOBSEN/DIV OF TEXTRON-MECKLE COC Number NCG030306 Mecklenburg County Dear Permittee: Your facility is currently covered for stormwater discharge under General Permit NCG030000. This permit expires on August 31, 2002. The Division staff is currently in the process of rewriting this permit and is scheduled to have the permit reissued by late summer of 2002. Once the permit is reissued, your facility would be eligible for continued coverage under the reissued permit. In order to assure your continued coverage under the general permit, you must apply to the Division of Water Quality (DWQ) for renewal of your permit coverage. To make this renewal process easier, we are informing you in advance that your permit will be expiring. Enclosed you will find a General Permit Coverage Renewal Application Form. The application must be completed and returned by March 4, 2002 in order to assure continued coverage under the general permit. Failure to request renewal within this time period may result in a civil assessment of at least $250.00. Larger penalties may be assessed depending on the delinquency of the request. Discharge of stormwater from your facility without coverage under a valid stormwater NPDES permit would constitute a violation of NCGS 143-215.1 and could result in assessments of civil penalties of up to $10,000 per day. Please note that recent federal legislation has extended the "no exposure exclusion" to all operators of industrial facilities in any of the 11 categories of "storm water discharges associated with industrial activity," (except construction activities). If you feel your facility can certify a condition of "no exposure", i.e. the facilty industrial materials and operations are not exposed to Stormwater, you can apply for the no exposure exclusion. For additional information contact the Central Office Stormwater Staff member listed below or check the Stormwater & General Permits Unit Web Site at http://h2o.enr.state.ne.us/su/stormwater.htmi If the subject stormwater discharge to waters of the state has been terminated, please complete the enclosed Rescission Request Form. Mailing instructions are listed on the bottom of the form. You will be notified when the rescission process has been completed. If you have any questions regarding the permit renewal procedures please contact Mike Parker of the Mooresville Re-ional Office at 704-663-1699 or Bill Mills of the Central Office Stormwater Unit at (919) 733-5083, ext. 548 Sincerely, Bradley Bennett, Supervisor Stormwater and General Permits Unit cc: Central Files Mooresville Regional Office MA NCDENR N. C. Division of Water Quafily 1617 Mail Service Center Raleigh, NC 27699-1617 (919) 733-7015 Customer Service 1- 8OD-623-7748