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HomeMy WebLinkAboutNCG070099_COMPLETE FILE - HISTORICAL_20180503STORMWATER DIVISION CODING SHEET NCG PERMITS PERMIT NO. IV U,�:, 0 % bb / DOC TYPE AISTORICAL FILE ❑ MONITORING REPORTS DOC DATE ❑ a b I 'e 05 o 3 YYYYMMDD Energy. Mineral & Land Resources ENVIRONMENTAL QUALITY Division of Energy, Mineral, and Land Resources Land Quality Section / Stormwater Program National Pollutant Discharge Elimination System (NPDES) PERMIT OWNER AFFILIATION DESIGNATION FORM (Individual Legally Responsible for Permit) FOR AGENCY USE ONLY Datc Rcccivcd Year Momh 17ay RECEIVED HAY 0 3 2016 Use this form if there has been: DENR-LANID STORMWATER I NO CHANGE in facility ownership or facility name, but the individual who is legally responsible for the permit has changed. If the name of the facility has changed, or if the _ownership of the facility has changed, do NOT use this form. Instead, you must fill out a Name -Ownership Change Form and submit the completed form with all required documentation. What does "legally responsible individual" mean?��� The person is either: • the responsible corporate officer (for a corporation); AAl, • the principle executive officer or ranking elected official (for a municipality, state, f de��o'6t6e� lic agency); 4"T R�10-t4 ID �� • the general partner or proprietor (for a partnership or sole proprietorship); • or, the duly authorized representative of on ire BoVe!E:r, �rFRpFR �1 1) Enter the permit number for which this chang le; A�QggllyNsponsible Individual ("Owner Affiliation") applies: CENTRAL FILES DWR SECTIO,.,; Individual Permit (or) Certificate of Coverage N c s N I C G 0 17 10 10 19 19 2) Facility Information: Facility name: Company/Owner Organization Facility address: Ardagh Glass Inc. Ardagh Glass Inc. 2201 Firestone Parkway Address Wilson NC 27893 Citv State Lip To find the current legally responsible person associated with your permit, go to this website: http://dgq.ne.gov)about/divisions/energy-mineral-land-resources/energy-mineral-land-permits/stormwater-program and run the Permit Contact Summary Report, 3) OLD OWNER AFFILIATION that should be removed: Previous legally responsible individual: Clifford G Humphreys First MI Last 4) NEW OWNER AFFILIATION (legally responsible for the permit): Person legally responsible for this permit: Christopher A Say First MI Last Page I of 2 SWIJ-0WNERAFFIE 23KUrch2pl7 NPDES Stormwater Permit OWNER AFFILATION DESIGNATION Form (if no Facility Name/Ownership Change) 5) Reason for this change: A result of: !f other please explain: Plant Manager Title P.O. Sox 1757 Mailing Address Wilson NC 27893 City State Zip (LPL )L34-�L( untts.sdyt,wdiudyrlywUp.cvrn Telephone E-mail Address Fax Number ❑� Employee or management change Inappropriate or incorrect designation before ❑ Other The certification below must be completed and signed by the permit holder. PERMITTEE CERTIFICATION: 1. Christopher A. Say attest that this application for this change in Owner Affiliation (person legally responsible for the permit) has been reviewed and is accurate and complete to the best of my knowledge. I understand that if al I required parts of this form are not completed, this change may not be processed. Signature Date PLEASE SEND THE COMPLETED FORM TO: DEMLR - Stormwater Program Dept. of Environmental Quality 1612 Mail Service Center Raleigh, North Carolina 27699-1612 For more infonnation or staff contacts, please call (919) 707-9220 or visit the website at: htt:llde .nc. ov/about/divisions/ener -mineral-land-resources/storinwater Page 2 of 2 S W11-OWNERAFFIL-23Mar2017 Via Certified Mail: No. 7017 2400 0000 4816 6385 Return Receipt Requested North Carolina Department of Environmental Quality Division of Energy, Mineral and Land Resources Stormwater Program 1612 Mail Service Center I Raleigh, NC 27699-1612 April 26, 2018 Re: Ardagh Glass Inc. Wilson, NC Permit # NCG070099 Permit Owner Affliliation Designation Form Dear Sir/Madam 7 Arda hGrou le4'4 J p www.ardaghgroup.com Ardagh Glass Inc. 2201 Firestone Parkway PO Box 1757 Wilson, NC 27894 T:252-234-5225 F: 252-234-7695 Enclosed with this letter is the required Permit Owner Affliliation Designation Form to request to change the name of the individual who is legally responsible for the permit. If you have any questions or require additional information, please feel free to contact me at 252-234-5225. Yours sincerely (hr-istopher A. Say Plant Manager Enclosures: Permit Owner Affliliation Designation Form cc: Via Certified Mail: No. No. 7017 2400 0000 4816 6392 John W. Carroll Pepper Hamilton, LLP 100 Market Street Harrisburg, PA 17108 Registered Office, 1509 S. Macedonia Avenue, Muncie, IN USA 47307-4200 Certified Mail No. 7013 2630 0002 2014 8232 March 3, 2016 NC DENR- Raleigh Regional Office NC Dept. of Environment and Natural Resources 3800 Barrett Drive, Suite 101 Raleigh, N.C. 27609 RE. Updated CESPP Ardagh Glass Inc. - Wilson, NC Dear Sirs: ArdaghGroup tio w%ftwardagligroup.corn Ardagh Glass Inc. 2201 Firestone Parkway PO Box 1757 V!lilson, NIC 27894 T: 252-234-5225 F: 252-234-5659 Ardagh Glass Inc. North America (AGI) has updated the Contingency, Emergency, and Spill Prevention Plan (CESPP) developed for the Wilson, North Carolina facility (Wilson facility). Enclosed is a hard copy of the updated CESPP for the Wilson facility. This plan incorporates, where applicable, the pollution prevention, spill control and countermeasures, and emergency planning and response provisions required by the following regulations. > Spill Prevention, Control, and Countermeasures (SPCC) requirements for oils (40 CFR 110 and 112) under the Clean Water Act (CWA) > Stormwater Pollution Prevention Plan (SWPPP) and Best Management Practices requirements under section 304(e) of the CWA, North Carolina Department of Environmental Protection (NCDENR), National Pollutant Discharge Elimination System (NPDES), NPDES Permit No. NCG070000 (Certificate of Coverage No. NCG 070099) and Supplemental Guidance for the Development and Implementation of Environmental Emergency Response Plans under the NPDES Stormwater Permitting Program, August 6, ZOOS, Document 400-2200-001 > Hazardous Waste Contingency and Emergency Procedures Plan per 40 CFR Part 265, Subpart D > Slug Control Plan (SCP) requirements for pretreatment industrial wastewater discharge The Wilson facility is located at 2201 Firestone Parkway in Wilson, North Carolina. The facility manufactures commercial glass containers for food and beverage customers. If you have any questions or comments about the information included in the updated CESPP, please do not hesitate to call meat (252) 234-5225. Sincerely, ARDAGH GLASS INC. r CliffMm hre s Manager Enclosed - CESPP CONTINGENCY., EMERGENCY., AND SPILL PREVENTION PLAN Ardagh Glass Inc. > Wilson, North Carolina Prepared By: TRINITY CONSULTANTS One Copley Parkway Suite 310 Morrisville, North Carolina 27560 (919) 462-9693 September 2015 Project 153401.0033 h 4;00 MAR 2 3 20IF3 t4c DENR Raleigh Regional Office Trinity �nsulto fits Environmental solutions delivered uncommonly well .::2`:si.•.':a1�\,�-..ai•_t_.::.7 1 Lr-�::'`1;:i:.li'au:i�u.tiu___?:C � .Z.'--_tv \�..'::�:.Ys:..__-____.-:V .I �__.-�-: tv:3:•,:: ti:. ':.rz-__z_:a 7.C:-:_-_._ _ _.___:r.: _........:a i is=_ _�,�:.tt:.zti•..z_•.sti_: �-.-:a s as +ABLE OF CONTENTS a 1. INITIAL RESPONSE AND NOTIFICATIONS 1 1.1. Initial Response 1 11.1. Notification Procedures 1 1.1.2. Spill Discovery 2 1.1.3. Internal Emergency Alerting and Response Procedures 3 1.1.4. External Emergency Notification Procedures 4 1.1.5. Hazardous Waste Spill Response 5 1.1.6. Response Management System 6 1.1.7, Preliminary Assessment Procedures 6 1.1.8. Establishment of Objectives and Priorities for Response 7 1.1.9. Tactical Plan Implementation 8 1.1.10. Mobilization of Resources 8 1.2. Sustained Actions 8 1.3. Termination and Follow-up Actions 8 1.4. Incident Documentation 9 1.4.1.Oral Notification Documentation 9 1.4.2. Written Notification Documentation 9 1.4.3. Post -Accident Investigation 9 1.4.4. Regulation -Specific Documentation and Reporting Requirements 9 2. GENERAL INFORMATION AND PLAN INTRODUCTION 13 2.1. General Facility Identification Information 13 2.2. Purpose and Scope of Plan Coverage 13 2.3. Plan Organization 14 2.4. Plan Review and Certification 1S 2.5. Plan Location 15 2.6. Facility Maps 15 2.7. Community Notifications 16 2.8. Federal and State Agency Notifications 16 3. CESPP REVIEW 17 4. CONTINGENCY PLAN REQUIREMENTS 18 4.1. General 18 4.2. Operations 18 4.2.1.Operational Response Objectives 19 4.2.2. Discharge or Release Control 19 4.2.3. Assessment/Monitoring 19 4.2.4. Recovery 19 Ardagh Glass Inc. I Witson Facility i CESPP I September 2015 fx:i�iti:=�:=� E,.Y-'1s8�-?+,��`i -.a�_.�_--'�_•}_::•:tits i �: �_i41ti.72]S'��:::=.,s:'__-_1�:i i Ltii�-•-`: �__�:, .Y:_•ti: �'L-�,:.::3 ! fO:;. T.2 :::-,�`:i.: _2:��{•_:3 i 9C_-._::iL`.liti..r•-„V�asti :-.1ktiA f S.�'�ti..�:t•Lv 425. Decontamination 19 4.2.6. Non -Responder Medical Needs 19 4.3. Emergency Evacuation Plan 20 4.4. Incident History 20 4.5. Inspections 20 4.6. Training and Exercises/Drills 20 5. SWPPP REQUIREMENTS 21 5.1. Best Management Practices 21 5.2.Inspections 22 5.2.1. Container and Equipment Inspections 24 5.2.2. Pumps, Valves, and Gauges 24 5.2.3. Containment Area 24 5.2.4. Loading/Unloading Area 24 5.2.5.Outfall Locations 25 5.2.6. Response Equipment 25 5.2.7. Annual Stormwater Outfall Inspection 25 5.2.8. Nan-Stormwater Discharge Assessment and Certification 25 5.2.9. Discharges from Secondary Containment 25 5.2.10. Records 25 5.2.11. Preventive Maintenance 25 5.2.12. Good Housekeeping 26 5.2.13. Containment 26 5.2.14. Flow, Directionality, and Pollutant Prediction 26 5.2.15. Sediment and Erosion Controls 26 5.2.16. Security 27 5.2.17. Unloading Area Drainage 28 5.2.18. Commitment of Manpower, Equipment, and Materials 28 5.3. Discharges Through Municipal Stormwater Systems 28 5.4. Section 313, Water Priority Chemical Requirements 29 5.4.1. Containment and Drainage Control 29 5.4.2. Proper Storage and Containment of Section 313 Water Priority Chemicals 29 5.4.3. Loading and Unloading Areas for Section 313 Water Priority Chemicals 29 5.4.4. Section 313 Water Priority Chemical Handling and Storage Areas 29 5.4.5. Discharges from Areas Containing Section 313 Water Priority Chemicals 29 5.4.6. Preventive Maintenance and Good Housekeeping Associated with Section 313 Water Priority Chemicals 29 5.5. Existing Sampling Data 30 6. SPCC PLAN SPECIFIC REQUIREMENTS 31 6.1. Additional Criteria for State, Local, and Regional Oil Removal Contingency Plans 31 6.1.1. Critical Water Use Areas [109.5(b)(1)] 31 6.1.2. Maximum Oil Discharge Anticipated (109,5(c)(2)] 31 Ardagh Glass Inc. I Wilson Facility ii CESPP I September 2015 ;aaa��:�i:atir :4..,,.ti _..:_-:a � �....:n-�aLr..::::�.'c. __�z;�. _. h�,zati�,:.,:��'a_;•1...:;.-;a r �-:-a::::i:;ti:.�:._.c_+�.�:t:•_a � ..:: �:: sLi:�u ;n:,..:a.� __-�.: � a•_�:,titi�:•ax.,::.-:�:rx�•.-ti:: _ 6.1.3.Oil Discharge Response Operating Team [109.5(d)(1) and 112.7(a)(iv)] 31 6.1.4.Order of Priority in which Water Uses are to be Protected [109.5(d)(5)] 31 6.2. Facility Drainage 32 6.2.1. Facility Drainage from Containment Areas [112.8/112.12(b)(1) and (2)] 32 6.2.2. Facility Drainage from Non -Contained Areas [112.8/112.12(b)(3) and (4)] 32 6.2.3, Drainage Water Treatment [112.8/112.12(b)(5)] 32 6.3. Bulk Storage Containers 32 6.3.1. Compatibility of Containers and Product Stored [112.8/112.12(c](1)] 32 6.3.2. Secondary Containment [112.8/112.12(c)(2)] 33 6.3.3. Drainage of Rainwater [112.8/112.12(c)(3)(i) thru (iv)] 33 6.3.4. Buried Metallic Storage Containers [112.8/112.12(c)(4)] 33 6.3.5. Partially Buried Metallic Storage Containers [112.8/112.12(c)(5)] 33 6.3.6. Periodic Integrity Testing [112.8/112.12(c)(6)] 33 6.3.7. Internal Heating Coils [112.8/112.12(c)(7)] 34 6.3.8. Liquid Level Control [112.8/112.12(c)(8)] 34 6.3.9. Facility Effluent Discharged into Navigable Waters [112.8/112.12(c)(9)] 34 6.3.10. Correction of Container Deficiencies [112.8/112.12(c)(10)] 34 6.3.11. Mobile/Portable Oil Storage Containers [112.8/112.12(c)(11)] 34 6.4. Facility Transfer Operations 34 6.4.1. Buried Piping Installations [112.8/112.12(d)(1)] 34 6.4.2. Out -of -Service Piping [112.8/112.12(d)(2)] 35 6.4.3. Piping Support Design [112.8/112.12(d)(3)] 35 6.4.4. Inspection of Aboveground Valves and Pipelines [112.8/112.12(d)(4)] 35 6.4.5. Potential for Damage to Aboveground Piping [112.8/112.12(d)(5)] 35 7. SLUG CONTROL PLAN 36 8. CROSS-REFERENCE MATRICES FOR REGULATIONS AND CESPP SECTIONS 37 APPENDIX A - EMERGENCY AND SPILL NOTIFICATIONS 42 APPENDIX B - WRITTEN NOTIFICATION RECORDS (MAINTAINED) 44 APPENDIX C - MINOR SPILL RESPONSE PROCEDURES 45 APPENDIX D - MEDIA RESPONSE PLAN 46 APPENDIX E - SPILL HISTORY 47 APPENDIX F - CESPP REVIEW LOG 48 APPENDIX G - SITE MAPS 49 APPENDIX H - OIL STORAGE CONTAINERS AND OPERATING EQUIPMENT 54 APPENDIX I - SPILL FLOW DIRECTION 65 APPENDIX J - REPORTABLE QUANTITIES 68 APPENDIX K - MISCELLANEOUS REGULATION REQUIREMENTS 70 APPENDIX L - CERTIFICATION OF NON-STORMWATER DISCHARGES 73 APPENDIX M - PERIODIC MONITORING INSPECTION FORMS (BLANK) 74 Ardagh Glass Inc. I Wilson Facility iii CESPP I September 2015 r_•:5�::;•:. i;.•i� 1 S-=`�.��a^:c�ti: _::. «�i---titi�;3 A A: s_c_::i:�tir�4._.::e:a__.ti7 [ ax2<3ak;,..�a...`c�•�t�. _;a �.ati::vrss:ai,,u;��_ti1 -=::cc : ax�:�-a�a;__: _.._:: s�, � c�ttir:�avc� APPENDIX N - PERIODIC MONITORING INSPECTION FORMS (COMPLETED) APPENDIX 0 - CESPP IMPLEMENTATION AND CERTIFICATION 86 87 APPENDIX P - STATEMENTS OF MANAGEMENT APPROVAL 88 APPENDIX Q- SPCC PLAN SUBSTANTIAL HARM CRITERIA 89 APPENDIX R - PERIODIC INTEGRITY TESTING REQUIREMENTS AND RESULTS 90 APPENDIX S - 2012 SECTION 313 CHEMICALS LIST 92 APPENDIX T - EXAMPLE UPDATED CESPP NOTIFICATION LETTER 93 APPENDIX U - RESPONSE AND CORRECTIVE ACTION DOCUMENTATION 94 Ardagh Glass Inc. I Wilson Facility CESPP I September 2015 iv C k _ ! :v`-_„ =: t1:\� .1t:[:..._. a r'W: �tiz_,t_--z:_...�::s . LIZi-4a11%-i1::-1=:7-%". -: -::a LIST OF TABLES Table1-1. AGI Corporate Contact List--....., ......................................................................................................................................................... 2 Table1-2. Emergency Contact Information......................................................................................................................................................... 3 Table 1-3. Environmental Emergency and Spill Notification List..............................................................................................................3 Table1-4. Spill Response Company.........................................................................................................................................................................4 Table5-1. Pollution Prevention Team................................................................................................................................................................. 21 Table 8-1. Hazardous Waste Contingency Plan Cross References .......................................................................................................... 38 Table8-2. SPCC Plan Cross References............................................................................................................................................................... 38 Table 8-3. Oil Removal Contingency Plan Cross References..................................................................................................................... 40 Table H-1. Oil Containing Storage and Connecting Lines............................................................................................................................ S4 TableH-3. Exposed Significant Materials........................................................................................................................................................... 59 TableH-4. Potential Spillage Areas. ...................................................................................................................................................................... 60 Table 1-1. Spill Flow Directionality Predictions............................................................................................................................................... 65 Table1-1. Reportable Quantities............................................................................................................................................................................ 68 Sable R-1. Oil Storage Containers Integrity Testing Requirements....................................................................................................... 90 Ardagh Glass Inc. I Wilson Facility v CESPP I September 2015 ~�: rri{'i: t --r�E-.z -- i•7{:: �::y -- :a--�:{-'-i?-ti •i=:}_: -S tip•::.• .:fir•. w:•::_:_ -- - 44 'k; ti �A:s'�x'�;?_.: F Y , W t:•.,.--:�->i F �r ,ti\+'. -.. p .�:�:=�'::'= `�»�:;•'y a �1-=,`•:" it:. 5: s.: . .,-..S..kti ::i v:;:.V t.: ti:._=-s1-:�s4�`�•.-.i'!vr��.i.-.��:_ti-..:��i �:.l�J:.i ..•_. :.a�.'�.��:�: �: •a.�.. 1 Ls�it.yia5tt•:ti-::�:';i•:.\�� . G�:=a..'~.�.i4�........,.,.: .tii i ��`_-�i LIST OF ACRONYMS USED BMP Best Management Practices CAA Clean Air Act CAAA Clean Air Act Amendments (1990) CAS No. Chemical Abstract Service Registry Number CERCLA Comprehensive Environmental Response, Compensation, and Liability Act Cf R Code of Federal Regutations CWA Clean Water Act (Federal Water Pollution Control Act) DOT Department of Transportation EC: Emergency Coordinator EHS Extremely Hazardous Substance EMS Emergency Medical Services EPA Environmental Protection Agency (US) EPCRA Emergency Planning and Community Right -to -know Act (SARA Title [[I) ERT Emergency Response Team HAP Hazardous Air Pollutant [C Incident Commander [CC Incident Command Center ICS Incident Command System IDLH Immediately Dangerous to Life or Health LEPC Local Emergency Planning Committee MSDS Material Safety Data Sheet (see SDS) NA1CS North American Industry Classification System NESHAP National Emissions Standards for Hazardous Air Pollutants NI1MS National Interagency Incident Management System NPDES National Pollutant Discharge Elimination System NRC National Response Center OPA Oil Pollution Act (1990) OSHA Occupational Safety and Health Administration POTW Public Owned Treatment Works PPE Personal Protective Equipment RCRA Resource Conservation and Recovery Act RQ Reportable Quantity SARA Superfund Amendment and Reauthorization Act SDS Safety Data Sheet SIC Standard industrial Classification SPCC Spill Prevention, Control, and Countermeasures SWPPP Stormwater Pollution Prevention Plan TPQ Threshold Planning Quantity TSDF Treatment, Storage, and Disposal Facility UST Underground Storage Tank Ardagh Glass Inc. I Wilson Facility vi CESPP I September 2015 7.. 4�1'k �.; yt .+..,.' ! _"�_-'v=3�"_`_.•.Thrtr_.-. � � � '` Ply a_o Response and Notifications Summary Sheet In the event of a discharge, the employees on duty will immediately notify the Emergency Coordinator. In the event of a spill, employees use absorbent materials and berms to contain and dispose of the spilled material(s). A priority should be placed on protecting storm drains and preventing the spill from reaching soil and also from getting off site. The discoverer shall respond to the situation based on his/her knowledge, level of training, and an assessment that the initial response will not make the situation worse. When in doubt, if the source is not immediately obvious, or if these response measures are not effective and the situation is beyond his/her control, then the discoverer shall initiate the following emergency procedures: I. A person (discoverer) first noticing or receiving notification of a possible disaster or an in -plant emergency shall immediately notify the Primary Emergency Coordinator or his/her designee. The Primary and Alternate Emergency Coordinators are included below and all contact information is listed in Table 1-L 7 Cliff Humphreys - Plant Manager; Office Phone: (252] 234-5225, Cellular Phone: (252) 290-0189 > Chris Johnson - EHS Manager; Office Phone: (252) 234-5241, Cellular Phone: (252) 289-3555 • Ronnie James -- Plant Engineer; Office Phone: (252) 234-5212, Cellular Phone: (252) 299-1753 2. The discoverer shall communicate the following information to the Emergency Coordinator: a. Exact location of the emergency event, including building number and location within the building; b. Type and description of the emergency including the material involved; c. Estimate of the amount of material released or the size of the fire; d. Extent of injury or property damage incurred; e. Extent of the actual and potential environmental damage; and E Remedial action taken, if any. DOTE: Do not end the conversation with the Emergency Coordinator until they have confirmed that they have obtained all the above information and any additional details they need. The Emergency Notification Form in Appendix A can be used to collect this information. In the event of a reportable release, the Emergency Coordinator will notify all appropriate outside agencies. When minor spills (less than a reportable quantity) of chemicals or oil occur, AGI personnel will utilize absorbent, pig mats, socks, or berms to contain the spill. AGI evaluates any contaminated material to determine if it meets the hazardous waste characteristics and dispose of it accordingly. Otherwise, it is treated as solid waste and disposed of by commercial means. AGI does not need to report small spills that do not have the possibility of reaching the waters of he state to Rove rnment a encies, but these. incidents must be reported internally to AGI manaeement. The procedures to be taken for minor spills are included in Appendix C. Should AGE experience a major spill event (more than a reportable quantity) or a spill that cannot be handled with the minor spill response procedures, spilled material will be contained as best as possible until the spill response contractor can complete the response activities. The Emergency Coordinator or designee will contact a Spill Response Contractor listed on Table 1-4. if AGE experiences a major spill event, the facility personnel is instructed to contact AGI Corporate Environmental Department as soon as possible. Ardagh Glass Inc. I Wilson Facility CESPP I September 2015 `,�'. . - - e :'_ �^ -ti r+,{._-y_ :� :'i, •i}ti ti_:-: \ Y�:� � i k�.\i'ti� _i-:. S "= •:: • � tirt ,_'� i•::-�:ti ��_.. `:'Sz2=�;-`_ T I:�',;�"tiu.1 1�u..s'a�_:,�.,.3 �. �_�ti%:,._i�:�."����:f`"_ _3� � ..:a.}-��S.e]'.�C2�\`�`S'�\�._.� E:_..•,�_:��� ---.t� 1 'r4�.`_ •:,..ti��:��_'L';tie�1•:.:c- 1��� 1. INITIAL RESPONSE AND NOTIFICATIONS ............. ............ - ...............-.-...- - 1.1. INITIAL RESPONSE 1.1.1. Notification Procedures The following list contains the Ardagh Glass Inc. (AGI), Verallia North America (Verallia), for the Wilson, North Carolina facility's Primary Emergency Coordinator and Alternate Emergency Coordinators' phone numbers, along with a description of when and in what order they should be called. Each Primary and Alternate Emergency Coordinator is thoroughly familiar with all aspects of this Contingency, Emergency, and Spill Prevention Plan (CESPP), all operations and activities at the facility, the location and characteristics of waste handled, the location of all records within the facility, and the facility layout. The Emergency Coordinator will handle official notification of the appropriate government agencies under ordinary circumstances. Appropriate agencies and phone numbers are contained in this section. Depending upon the type of emergency, the Emergency Coordinator will contact different outside agencies. 1. Contact the PRIMARY EMERGENCY COORDINATOR: Name: Cliff Humphreys Title: Plant Manager Address: 2803 Deerfield Lane Wilson, NC 27896 Office Phone: (252) 234-5225 Cellular Phone: (252) 290-0189 2. If the PRIMARY EMERGENCY COORDINATOR cannot be reached, contact the ALTERNATE EMERGENCY COORDINATORS: The alternates are listed in the order in which they shall be called. Name: Ronnie James Title: Plant Engineer Address: 964 Highway 124 Pinetops, NC 27864 Office Phone: (252) 234-5212 Cellular Phone: (252) 299-1753 Name: Chris Johnson Title: EHS Manager Address: 4506 Bobwhite Trail Wilson, NC 27896 Office Phone: (252) 234-5241 Cellular Phone: (252) 289-3555 Ardagh Glass Inc. l Wilson Facility CESPP 1 September 2015 :"� ♦ �.= '` 'y�_ �z� �. ik"��t�..��..a��:z.:�.:� i �w ,_ .�4�a%::->r��=i;'.i -.;! ,6 i;,-:.��•_.--.-��`'�•.: �. '. � ! '4<=='�•: �....._. 3 !. ��`_.... = �s�3i'+'• ;-.s�.;:. t ::::e;-;•;:::::`-�.ti _ti: �,s'�... If the AGI corporate contacts are needed to be notified for an emergency response or internal spill notification, see Table 1-1. Table 1-1. AGI Corporate Contact List Name Title Office Number Cell Number Home Number Bob Ganter Sr. VP & GM, Midwest 765 741-7207 765 744-4376 N/A Jim Keener Manufacturing VP, West 765) 741-7246 765 744-9635 Valerie Krulic VP Environmental Compliance 765 741-7117 765 744-9726 765 281-1768 ja ne Bi-owning Environmental Engineer 765 741-7112 765 744-1127 317 894-2840 Bob Metzger Environmental Engineer 765 741-7116 765 744-8897 317 219-5317 Rob Hunt Environmental Engineer 765 741-7103 765 730-9713 N/A Amy S erback Environmental Generalist N/A 765 702-1569 N/A James Warner Sr. VP Risk Management, Regulatory Affairs (765) 741-7650 (813) 486-5625 1.1.2. Spill Discovery In the event of a discharge, the employees on duty will immediately notify the Emergency Coordinator. AGI trains employees to attempt to stop the continuation of the discharge (closing valves, turning off pumps, isolating a line leak, etc.). In the event of a spill, employees use absorbent materials and berms to contain and dispose of the spilled material(s). A priority should be placed on protecting storm drains and preventing the spill from reaching soil and also from getting off -site. The discoverer shall respond to the situation based on his/her knowledge, level of training, and an assessment that the initial response will not make the situation worse. When in doubt, if the source is not immediately obvious, or if these response measures are not effective and the situation is beyond his/her control, then the discoverer shall initiate the following emergency procedures: 1. A person (discoverer) first noticing or receiving notification of a possible disaster or an in -plant emergency shall immediately notify the Primary Emergency Coordinator or his/her designee. The Primary and Alternate Emergency Coordinators are listed in Table 1-1. 2. The discoverer shall communicate the following information to the Emergency Coordinator: g. Exact location of the emergency event, including building number and location within the building; h. Type and description of the emergency including the material involved; i. Estimate of the amount of material released or the size of the fire; j. Extent of injury or property damage incurred; k. Extent of the actual and potential environmental damage; and I. Remedial action taken, if any. NOTE. Do not end the conversation with the Emergency Coordinator until they have confirmed that they have obtained all the above information and any additional details they need. The Emergency Notification Form in Appendix A can be used to collect this information. 3. In the event of a reportable release, the Emergency Coordinator will notify all appropriate outside agencies. Ardagh Glass Inc. I Wilson Facility CESPP I September 2015 ���=`h`{:�\i•ti•_'_ � �_.�:;'ti''e.`:s"• :-:�;��'L_V"�.. V•'ti :i`.•: �'S'i�-v tk''ti'tii- Zivtiti:-�: ]9 �;x: -".rAtia'-:ti`�i.•'r _ti'-a\';:^::::-a �'i>>}:$-:�.ti"-. titi;it i�tiv?� �i;'.�y14 .<:.�..-�,�:.,:��-._,� _. �..:�'�=-=�'11:=�<_'-��..:�1 i �.�..�.`��-�.�...�:_k��:.9 l k� .._...a_�ia;;:z'_..,:�:.�::. 1 �...•s:�.�-.�..0 ��_.__.t_ !. �.x:��..�•.._ �. .��.�.. Table 1-2. Emergency Contact Information Agency Phone Number Address Wilson Fire Department 911 or (252) 399-2891 307 Hines Street W Wilson, NC 27893 Wilson Police Department 911 or (252) 399-2323 120 N. Goldsboro Wilson, NC 27893 Wilson Medical Central 911 or (252) 399-8040 1705 Tarboro Street SW Wilson, NC 27893 Elm City- Toisnot Volunteer Fire Department 911 or (252) 236-4009 P.O. Box 356, Elm City, NC 27822 East Nash Volunteer Fire Department 911 or (252) 237-4202 P.O. Box 2208, Wilson NC 27894 Table 1-3. Environmental Emergency and Spill Notification List Agency Phone Number Address c/o United States Coast Guard (CG-5335) - Stop National Response Center (NRC) (800) 424-8802 7581 2100 2nd Street, Southwest Washington, D.C. 20593 Wilson County Emergency (252) 399-2830 1817 Glendale Drive Management Wilson, NC 27893 North Carolina Division of (919) 825-2500 or (800) 858- 1636 Gold Star Drive 0368 (24-hr number for 4236 Mail Service Center Emergency Management re ortin spills) Raleigh, NC 27607 City of Wilson Emergency (252) 237-8300 1817 Glendale Drive Communication Wilson, NC 27893 City of Wilson Pretreatment Facility (252) 399-2495 3100 Stantonsburg Road SE Wilson, NC 27893 City of Wilson Utility Dispatch 252 399-2444 Sam Nunn Atlanta Federal Center EPA Region 4 Emergency Response (404) 562-8700 61 Forsyth Street, SW Atlanta, GA 30303-8960 NC Department of Environment and Natural NCDENR- Raleigh Regional Office (919) 791-4200 Resources 3800 Barrett Drive, Suite 101 Ralei h, NC 27609 Poison Control Center 800 222-1222 N/A 1.1.3. Internal Emergency Alerting and Response Procedures In the event of an actual or imminent emergency or disaster, the emergency warning may come from any of the following sources; • Plant Evacuation Alarm • In -Plant Telephone > UHF Radios • Home or Cell Phone • Plant TV screen The UHF radios and in -plant telephones are used to notify facility personnel of fire, chemical release, evacuation instructions, and when the situation is clear. In the event of an emergency or disaster, the Emergency Coordinator will communicate via telephone to Area Supervisors. Those persons will relay instructions for any actions to be taken to employees or visitors in the area by voice and/or telephone. Ardagh Glass Inc. I Wilson Facility 3 C£5PP I August 2014 When minor spills (less than a reportable quantity) of chemicals or oil occur, AGI personnel will utilize absorbent, pig mats, socks, or berms to contain the spill. AGI evaluates any contaminated material to determine if it meets the hazardous waste characteristics and dispose of it accordingly. Otherwise, it is treated as solid waste and disposed of by commercial means. AGI does not need to report smalls ills that do not have the possibili1y of rQaching the waters of the state to government agencies, but these incidents must be reported internally to AGI management. The procedures to be taken for minor spills are included in Appendix C. Should AGI experience a major spill event (more than a reportable quantity) or a spill that cannot be handled with the minor spill response procedures, spilled material will be contained as best as possible until the spill response contractor can complete the response activities. The Emergency Coordinator or designee will contact a Spill Response Contractor listed on Table 1-4. If AGI experiences a major spill event, the facility personnel is instructed to contact AGI Corporate Environmental Department as soon as possible. Table 1-4. Spill Response Company Company Services Phone Number Eastern Environmental Management, LLC Spill Response Contractor (2S2) 443-2224 (24 hr) or 866 443-2225 1.1.4. External Emergency Notification Procedures The Emergency Coordinator is responsible for contacting AGI corporate and the appropriate outside agencies. The contact information is found on the previous page of this CESPP for the notifications. in the event of a reportable spill, including spills that cause a sheen or other listed conditions, the Emergency Coordinator will notify the following agencies as quickly as possible: 1. North Carolina Division of Emergency Management 2. NCDENR — Raleigh Regional Office 3. EPA Region 4 Emergency Response 4. Wilson County Emergency Management 5. National Response Center For spills that have the potential to impact surface waters, AGI follows the procedures outlined below. NOTE: These steps shall be implemented by any personnel if the Emergency Coordinator is not available. 1. Call 911 for the Fire Department. 2. Contact NCDENR Raleigh Regional Office within 1S days o€a reportable release with the same information reported to the National Response Center listed below. 3. Contact the North Carolina Division of Emergency Management and Wilson County Emergency Management. 4. Contact US EPA Region 4 Emergency Response. S. Call the National Response Center. After telling them that you want to report a spill, be prepared to supply the information included in the Appendix A — Emergency Notification Form. 6. For releases of oil to navigable waters of over 1,000 gallons in a single discharge or more than 42 gallons in each of two discharges within a 12-month period that cause a sheen on surface waters of shoreline, or sludge or emulsion in waters, submit the SPCC Plan to EPA Region 4 office within 60 days from the time of the discharge. Provide a description of the spill and detail corrective action taken to prevent a recurrence. Submit tine same information provided to EPA to the NCDENR Raleigh Regional Office. Ardagh Gtass Inc. I Wilson Facility CESPP I September 2015 Unanticipated Noncompliance or Potential Pollution Reporting: Reporting requirements of the facility's NPDES Permit No. NCG070000 (Certificate of Coverage No. NCG 070099) require that all accidental releases or discharges which would endanger users downstream from the discharge, or otherwise result in pollution or create a danger of pollution or would damage property, will be reported to the NCDENR as soon as possible via oral notification, but no later than four hours after AGI becomes aware of the incident causing or threatening pollution. If the noncompliance release has the potential to endanger human health or the environment, it will be reported within 24 hours of the facility becoming aware of it. The facility will additionally provide the following information in a written submission within five days. • A description of the release and its cause • The date and time of the release, and ]low long it lasted y If the release has not been stopped, the length of time it is expected to continue > 'File steps taken, or planned, to stop the release, and to prevent its recurrence 'file written submission will be made to the EPA at EPA Region 4 and the NCDENR Raleigh Regional Office. 1.1.5. Hazardous Waste Spill Response At all times, one of the Emergency Coordinators will either be at the facility or will be able to reach the facility within a short period of time. The Emergency Coordinators are thoroughly familiar with this Plan, with the facility layout, and all activities at the facility, with the location and characteristics of all hazardous materials and wastes on -site, and with the location of all records. Corporate Environmental Staff is available to assist the Emergency Coordinator in properly managing any emergency situation. After a reportable release, Corporate Environmental Staff will work closely with the Emergency Coordinator to ensure all the required notifications and reports are properly filed with the correct agencies. Whenever there is an imminent or actual emergency situation, the Emergency Coordinator must immediately: 1. Assess the situation; identify the character, exact source, amount, and scope of the release: • MinorSpiii - the facility is capable of safely cleaning up internally. A minor spill is a spill for which the Emergency Coordinator judges that they have the capability to address without assistance. > MajorSpili- beyond the facility's capability to safely clean up. Outside contractor assistance is required to cleanup spill. In this case, the facility should immediately contact the spill response contractor for assistance. 2. Assess possible hazards of the release, fire, or explosion to human health or the environment: Consider both direct and indirect effects (i.e., direct effect - actual contact with the waste; indirect - toxic fumes or contaminated run-off). 3. Begin evacuation of facility personnel if substantial hazards exist per Appendix H. Supervisors may also order an evacuation, if appropriate. 4. Begin and Supervise Spill Response and Clean-up Procedures. S. Contact Corporate Environmental. G. Notify local agencies, spill response contractor, or any agencies with designated response roles, when required to do so (see Section 1.1), when directed by Corporate to do so, or if their immediate help is needed. Report spill to the proper agencies as required by law. Remain available to assist the local authorities if the evacuation of the area is required. 7. Take all reasonable measures necessary to ensure that a fire, explosion, or release does not occur, reoccur, or spread to other materials or areas at the facility. These measures shall include, where applicable, stopping manufacturing processes and operations, collecting and containing released materials or wastes, and removing or isolating containers. Such measures should only be undertaken by an adequately trained individual. 8. Ensure that during operational stop, adequate facility monitoring is conducted to avoid leaks, pressure buildup, gas generation, or ruptures in valves, pipes, or other equipment. 9. Provide for treating, storing, or disposing of residues, contaminated soil, etc. that were generated at the facility during the release. Corporate Environmental will be consulted in this matter. Ardagh Glass Inc. I Wilson Facility CESPP I September 2015 10. Ensure that, in the affected areas of the facility, no material or waste incompatible with the released material or residues is processed, stored, treated, or disposed of until clean-up procedures are complete. 11. Ensure that all emergency equipment listed in the Plan is restocked, cleaned, and fit for its intended use before operations are resumed. 12. Notify the State and appropriate local authorities that steps 10 and 11 have been carried out before operations are resumed in the affected area(s) of the facility. 13, Record in the operating record, the time, date, and details of any incident that requires implementing this Plan. The Spill Notification Form will be used for this purpose. A copy of this form is presented in Appendix A of this Plan. 1.1.6. Response Management System One of the primary or alternate Emergency Coordinators will be the coordinator in the event of an emergency at the plant. The Emergency Coordinator is given the authority to commit the necessary resources to carry out this plan. This may include, but is not limited to, calling upon private contractors to provide cleanup services or emergency equipment, and shutting down production operations. The Emergency Coordinator is required to take a series of actions during the following events: 1. Immediately upon discovery of an emergency 2. During the emergency control phase 3. immediately following attaiiiment of control The Emergency Coordinator position will be passed onto the highest -level alternate or the primary Emergency Coordinator as these individuals arrive on the scene of the emergency. As this occurs, previous Emergency Coordinators shall follow instructions given by the active Emergency Coordinator. 1.1.7. Preliminary Assessment Procedures The Emergency Coordinator will identify, to the extent possible, all hazardous substances or conditions present and shall address as appropriate site analysis, use of engineering controls, maximum exposure limits, hazardous substance handling procedures, and use of any new technologies. The Emergency Coordinator will identify the character, exact source, amount, and areal extent of any released material. The Emergency Coordinator will assess the possible hazards to human health and the environment that may result from the release, fire, or explosion. This assessment will include both indirect and direct effects of the incident. The Emergency Coordinator will consider the following information: > What are the effects of any toxic, irritating, or asphyxiating gases that maybe generated? > Will contaminated water run-off site, and if so, will it harm human health or the environment? > How will chemical agents used to control fire or heat -induced explosions affect the environment surrounding the site? To determine maximum exposure limits and assess the possible hazards, the Emergency Coordinator may use a real time air monitor in association with the material's Material Safety Data Sheet (MSDS), the National Institute for Occupational Safety and Health's (NIOSH) Pocket Guide to Chemical Hazards, or the U.S. Department of Transportation, Pipeline and Hazardous Materials Safety Administration's Emergency Response Guidebook (ERG). A copy of the current ERG is available at the following website: http://wi,vw.phmsa.dot.gov/staticriles/PHMSA/DownloadableFiles/Files/Haziriat/ERG2012.pdf. The AGI facility maps in Appendix G, in association with the material storage information in Appendix H, will aid in determining if there are other hazardous substances in proximity to the incident. Ardagh Glass Inc. I Wilson Facility CESPP I September 2015 7Lk1.'1��'Y:.\-.fin=fig•...._:;-}i 1 Q___._ \`S: U_•1}_.::�� �•::: f p'•:__x__ry _�_ 4T.1 ._.�� :-�:::.i ! TF:.:�{:.T"wiu�:\t`J.Wi.`:.l`.•1::::: .i 1 .�.`.. w1.':� X:i'L--�:: _'- YM1ti•�__i } !:ti_"_�V?.M �ti'.'SSitiSa__.Y.....-.1 � 6___ Based on the hazardous substances and/or conditions present, the Emergency Coordinator will implement appropriate emergency operations, and assure that the personal protective equipment worn is appropriate for the hazards to be encountered. 1.1.8. Establishment of Objectives and Priorities for Response Immediate Goals/Tactical Planning The Emergency Coordinator will use the emergency response procedures outlined in Section 1.1.4 to determine isolation and protection action distances to ensure both employee and public safety, and to establish the appropriate goals and tactical plan for dealing with the incident. Mitigating Actions The Emergency Coordinator will use the emergency response procedures outlined in Section 1.1.4 and the data in Appendix H to control, contain, and mitigate incidents. Identification of Resources Required for Response This section is a listing of all emergency equipment presently available at the facility. For each piece of equipment, its location and function is also listed. 1. Payloaders: Located by cullet storage areas and batch tower, they are used to apply absorbent on a spill and/or pick up spilled material. 2. Fire Extinguishers: Located throughout the plant, including the process areas; immediately adjacent to the degreasing operations; in the inventory storage and usage areas; in the hazardous waste drum storage area; and around most aboveground tank locations. Their function is to extinguish small wood, electrical, and liquid Fires. 3. Portable Pumps: Located in the maintenance shop and recirculation building; their function is to pump spilled liquid and rainwater out of dike storage containment into suitable containers. 4. Drums (good condition only): Located in the waste storage area (hangar); their function is to provide suitable containers to place spilled materials. 5. Drum (Overpack): Located in the hazardous waste storage area (hangar). Its function is for placing entire leaking drums for containment. 6. Shovels and Brooms: Located in batch house, maintenance shop, receiving building, hangar area, and hot end; their function is that of applying absorbent material and for pick up of solid waste material. 7. Spill Kits: Located in the hazardous waste storage areas; inventory storage areas; degreasing operations areas; and near the aboveground storage tank areas. Additionally, a mercury cleanup skill kit is located in the universal waste storage area (hangar). 8. Oil Dry (clay based oil absorbent): Located in all ]tot end production areas in portable carts. Its function is to stop the flow of spilled liquids. 9. Oil Absorbent (pigs, socks, mats): Located in all spill kits. Its function is to absorb liquids both on the ground and Floating on water surfaces. 10, Medical First Aid: Located in the plant office and Furnace # 1 area. The function is for the initial treatment of cuts, burns, and bruises. 11. Personal Protective Equipment: Hardhats, gloves, face shields, and protective clothing are all located in the facility's storeroom (Receiving Building). 12. Internal Communications (Telephones and Handheld Radios): Telephones are located throughout the plant in foremen's offices and main office. Handheld radios are used by shift maintenance/electricians, single line mechanics, line attendants, and some department heads. Their function is for proper communication in the event of spills. 13. External Communications (Telephones): Located in the main office and throughout the plant in department manager and supervisor's offices; their function is to report a spill release or discharge. Ardagh Glass Inc. I Wilson Facility CESPP I September 2015 :-}•:....jti� _ Lti�:,.��.:v_.��:i-:�'ti\.>ti•^S:-:.:'s w a:-_r:a.-.-._.r.�.......��....t.•-a w stztiz_�a.�...ra�:�sr.-::a;a a ckxasxaksr...�.�__.r_._.; v i Oh.:..:1.Z.11=::`:-_.:.ti.Yia.:::1 s C:i'---u_zv%x-�^:2:][ The Emergency Coordinator/ or Alternate, will identify additional resources required for responding to a major spill. These resources will be acquired by contacting outside agencies and/or contractors if necessary. 1.1.9. Tactical Plan Implementation The Emergency Coordinator will identify which emergency procedures are most applicable to the situation and immediately implement, as appropriate. In addition to this Plan for potential spills as described, the facility has developed an Emergency Response Plan that includes a Power Outage Section, a Fire Response Section, a Furnace Fire or leak Section, a Bomb Threat Section, and an Emergency Evacuation Plan. The Emergency Response Plan will be available on site in the office of the EHS Manager, HR Manager, and all other department Managers and Supervisors can access through the Quality Management System (QMS) database. 1.1.10. Mobilization of Resources If the Emergency Coordinator determines that outside resources are necessary, then the resources will be ascertained immediately and contactwill be made to the appropriate outside agencies or contractors to request their presence onsite. As discussed in Section 1.1.6, the Emergency Coordinator has the authority to commit the necessary resource, - to carry out this plan, including the authority to bring in outside contractors and resources to help with the response. A list of potential contractors is provided in Table 1-4. 1.2. SUSTAINED ACTIONS if more prolonged mitigation and recovery actions are required, a transition from initial emergency stage to sustained action stage will be necessary. Additional agency support or outside contractor support may be required in a sustained action stage. The Emergency Coordinator, in consultation with any outside agencies involved in the incident response, will determine when the emergency activities are no longer required. Criteria considered will include the following: Is the immediate threat to human health and the environment over? is any released material contained such that it cannot migrate off -site? When the emergency activities are no longer required, the Emergency Coordinator will stand down and the El -IS Manager will be responsible for the sustained action stage dealing with the situation. 1.3. TERMINATION AND FOLLOW-UP ACTIONS The decision of when to begin demobilization will be made by the Emergency Coordinator with the help of local and state emergency agencies, if they were involved. The Emergency Coordinator will decide the order and methods for demobilization. A typical demobilization will include the following: 7 Decontamination of the response equipment used by AGI and any agencies or contractors; • Debriefing session led by the Emergency Coordinator and attended by the responding employees, and any outside agencies or contractors involved to discuss remaining action items and orderly demobilization; > Demobilization of off -site contractors and agencies, if involved; and • Disposal of wastes associated with the incident or responding to the incident. Section 4 includes more information regarding demobilization and management of wastes. Section 1.4 includes more follow-up notifications, documentation requirements (reports), and incident investigation requirements. Following documentation activities, the incident response will be reviewed and critiqued and this CESPP will be reviewed for effectiveness. Ardagh Glass Inc. I Wilson Facility CESPP I September 2015 iS:Lt:i�.,.:�r �___.. _ti-:.�_9 7 6ti•.:-1+titi�ti�:.S:2�'�-_-..4_:t____� � 5•ti-�i-:wli siti9+i�+ltirz::k_•. __..] . .._u:,aJ:, ::C4Y�::,. .�. r._.ti_ �i a .L"-_ ti sia�.\1ti�_`^ ::...-..____: e a �ti=vA•y��,p�tk+=vc-_'-.�__....:a c as 1.4. INCIDENT DOCUMENTATION 1.4.1. Oral Notification Documentation Whenever an oral notification to an agency is made in accordance with the notification requirements included in this section of the CESPP, the AGI employee that makes the notification will utilize the form included in Appendix A -as written documentation. Within 24 hours of the incident, the ENS Manager will enter the spill in the company Environmental Data Center and attach the telephone call report and any other pertinent records. This documentation will serve as the record that an oral notification was completed. A copy of this documentation will also be maintained in Appendix B of this plan. 1.4.2. Written Notification Documentation Written notifications will be documented the same as oral notifications whenever a written notification to an agency is made in accordance with Section 1.1.4 of this CESPP or in accordance with the notification requirements included in this section of the CESPP. This documentation will serve as the record that a written notification was made. Documentation of all incidents and communication will be maintained in Appendix B of this plan. 1.4.3. Post -Accident Investigation Incidents or near misses involving hazardous materials are investigated under the guidance of the ENS Manager. Incidents that require investigation procedures to be initiated within 24 hours, which include a root -cause analysis and implementation of corrective actions, include any of the following accidents. 1. Work related fatality 2. An incident with injuries considered to be life -threatening 3. An incident with injuries resulting in hospitalization of three or more people 4. An injury -Free event resulting in damage to property, equipment, or community, including but not limited to the following information > Business interruption of a major production line > A major fire, explosion, or structural failure > A major release of any chemical considered toxic or immediately hazardous to human health > An occurrence with high potential for disabling/fatal injury > Spills that require regulatory reporting 1.4.4. Regulation -Specific Documentation and Reporting Requirements Tile addresses of outside organizations and agencies that receive notification and/or reports during and/or after an emergency are listed in'rables 1-2 and 1-3. AGI will notify the NCDENR and the local police department or the office of the sheriff of the affected county of the occurrence of a "hazardous condition" as soon as possible after the onset of the hazardous condition or discovery of the hazardous condition if one of the following situations occurs. > The hazardous substance has the potential to leave the property by run-off, sewers, tile lines, culverts, drains, utility lines, or some other conduit > The hazardous substance has the potential to reach a water of the state -- either surface water or groundwater > The hazardous substance can be detected in the air at the boundaries of the facility property by the senses (sight and smell) or by monitoring equipment > There is a potential threatto the public health and safety Ardagh Glass Inc. ► Wilson Facility CESPP I September 2015. �'•4l•:.TS�_.ai 7 lii:':_''.G:tu-��5:2:::_�.t. _a_-.:-:] f.ls-:'.u::a:..1:.::71:.�5\k�iai.�.�..�«.. ] Q_•�i>.Y�:`C�1�'___ .•_-...:::7 _ C�:-:�A�:r:�•_ti2_ti•.......ti J,-....... i 4:si. �ti::.....«..-t--5:_..__:.a s �:,7:.::ay'V�Yw > Local officials (fire department, law enforcement, Hazmat, public health, and emergency management) respond to the incident > The release exceeds a Federal Reportable Quantity The verbal report of such a hazardous condition will provide information on as many items listed below as available data would allow. 1. The exact location of the hazardous condition 2. The time and date of onset or discovery of the hazardous condition 3. The name of the material, the manufacturer's name, and the volume of each material involved in the hazardous condition in addition to contaminants within the material if they by themselves could cause a hazardous condition 4. The medium (land, water, or air) in which the hazardous condition occurred or exists S. The name, address, and telephone number of the party responsible for the hazardous condition 6. The weather conditions at the time of the hazardous condition onset or discovery 7. The name, mailing address, and telephone number of the person reporting the hazardous condition 8. Any other information, such as the circumstances leading to the hazardous condition, visible effects, and containment measures taken that may assist in proper evaluation by the NCDENR The written report of such a hazardous condition shall be submitted NCDENR and contain Items 1 through B. Additionally, the written report will include the time and date of the verbal report to the NCDENR of the hazardous condition. All subsequent finding and laboratory results will be reported and submitted in writing to the NCDENR as soon as they become available. CERCLA Notification and Reporting Requirements [40 CFR 302.6] The Emergency Coordinator will immediately report any "release" into the "environment" equal to or exceeding the ,,reportable quantity" in any 24-hour period to the National Response Center. The oral notification of this release will include the following information identified on the form in Appendix A. No follow-up written report is required. "Reportable quantity" is defined as one pound for hazardous substances other than substances for which specific quantities are listed in 40 CFR Part 302 Table 302A, and 40 CFR Part 300 Appendix D. A table containing a listing of the reportable quantities for all applicable plant site substances is included in Appendix J. "Release" is defined as any spilling, leaking, pumping, pouring, emitting, emptying, discharging, injecting, escaping, leaching, dumping, or disposing into the "environment". "Environment" is defined as all surface and groundwater, land surface, or subsurface strata and ambient air within the United States or under the jurisdiction of the United States. Releases that are contained within a building are not considered to have entered the environment. EPCRA Notification and Reporting Requirements [40 CFR 355.40] The Emergency Coordinator will immediately report releases into the environment of reportable quantities of these substances in any 24-hour period that result in exposure to persons outside the boundaries of the facility to: > National Response Center > Wilson County Emergency Management > North Carolina Division of Emergency Management The oral notification of this release will include the following information. Ardagh Glass Inc. I Wilson Facility 10 CESPP I September 2015 �i4�c:;�A'...`ti3`:;:+.Lti:.3a\:=�:� 1 f�:::�ti-�`:?:4i� .iS:c��2ta::`:9 i 3k-�`.�S3v`.''n?�C.'�s.:.,�•�_''t_:tti i F:=�.W\�:-::a'-•';'1',7:•::s-:C��:`_:: ! iL'•:�:ti•.:::;.:�5-,.,`,'::�..xe:i•:�•:�::,3 s.S�=_•:+::�.aix._.��s:.'�:�.•.�a�s s 1. Chemical name or identity of released suAance(s) 2. Whether or not the substance is listed unAr Section 302(a) Extremely Hazardous Substance List of SARA 3. An estimate of the quantity of substance(s) released 4. The time and duration of the release S. The environmental media or medium into which the substance(s) was released 6. Any known or anticipated acute or chronic health risks associated with the release, and, where appropriate, advice regarding medical attention necessary for exposed individuals 7. Proper precautions to take as a result of the release including evacuation 8. Name and telephone number of person(s) to contact for further information A written report to the Wilson County Emergency Management and North Carolina Division of Emergency Management will follow as soon as possible and will include the following in addition to the oral notification information. 1. Actions taken to respond to and contain the release 2. Confirmation of any known or anticipated acute or chronic health risks associated with the release 3. Advice regarding medical attention necessary for exposed individuals CWA/OPA SPCC Notification and Reporting Requirement [40 CFR 112.7(a)(4)] The Emergency Coordinator will immediately report "spills" into or upon the "navigable water of the United States" to the National Response Center. Addition of dispersants or emulsifiers to "oil' that would circumvent the provisions of CWA Section 311(b)(3) is prohibited. The oral spill report shall include the following information. 1. Address, phone number, and latitude and longitude of main entrance of the AGl facility 2. Date and time of the spill 3. Identity of the material spilled 4. Approximate total quantity spilled S. Approximate quantity discharged into or upon the navigable waters of the United States and/or that affect natural resources belonging to, appertaining to, or under the exclusive management authority of the United States 6. Location and source of the spill including type of tank and tank capacity 7. A description of all affected media (e.g., soil, water, air) 8. Cause and circumstances of the spill 9. Existing or potential hazards (fire, explosion, etc.) if any, including whether an evacuation may he needed 10. Personal injuries or casualties, if any and description of property damage, if any 11. Corrective action being taken and an approximate timetable to control, contain, and clean-up spill 12. Name(s) and telephone number(s) of individual(s) who discovered and/or reported the spill 13. Names of individuals or organizations who have also been contacted 14. Other unique or unusual circumstances "Spills" include "discharges" of oil that violate applicable water quality standards or cause a film or sheen upon or discoloration of the surface of the water or adjoining shorelines or cause a sludge or emulsion to be deposited beneath the surface of the water or upon adjoining shorelines. "Oil" means oil of any kind and in any form, including but not limited to: petroleum, fuel oil, sludge, oil refuse, and oil mixed with water other than dredged spoil. "Discharge" includes but is not limited to spilling, leaking, pumping, pouring, emitting, emptying or dumping. It excludes discharges in co nip Iiance with an NPDES permit. However, most permits prohibit any discharge causing a visible sheen. Ardagh Glass Inc. I Wilson Facility 11 CESPP I September 2015 ft.10 "Navigable Water of the United States" is broadly defined as all surface waters. Ardagh Glass Inc. I Wilson Facility 12 CESPP I September 2015 :S J.2L`:Y•::3'dati:�::::-tT:•=^•_-�:� i ActC�Q\::CL:.SA7di._.� _:"t: �::J t lti�:: :�:.'.`1::{-:.:rti t::�:-� t �:-_ _4'._ :•__l-= =why �:�:.•.':::: � t f't- __o S:iii��:V'=: ti.:.�wv: Yt�•a a a:r. tif:.:��-.�.•::.titil�ii.4�h 2. GENERAL INFORMATION AND PLAN INTRODUCTION ........-- ......... ..----------------__........--......--------.......................... ............ ................................... ........... 2.1. GENERAL FACILITY IDENTIFICATION INFORMATION Facility Name Ardagh Glass Inc. — Wilson, NC Facility Owner/Operator/Agent Owner Dame: Ardagh Glass Inc. Owner Address: 1S09 South Macedonia Ave. P.O. Box 4200 Muncie, IN 47302 Physical Is Mailing Address Street Address: Ardagh Glass Inc. Verallia North America 2201 Firestone Parkway Wilson, NC 27893 County: Wilson County Plant Telephone: 252-234-S22S Plant Fax: 252-234-769S Other Identifying Information SIC Code [4-digit]: 3221 NAICS Code: 327213 Facility location: Latitude: 35-7606610 Longitude:-77.8804330 The Wilson facility is located at 2201 Firestone Parkway in Wilson, North Carolina. The facility manufactures commercial glass containers for food and beverage customers. It employs more than 10 individuals and operates continuously. On the west side of the facility is the manufacturing area. Support services such as electrical substations are located on the west side of the plant. Raw material unloading is located on the northwest side of the property with Gullet piles west of the manufacturing area. On the east side of the facility is the warehouse area for the manufactured glassware. The administrative offices are located oil the south side of the building with the parking lot also located in the south side of the property. A railroad spurs run from the northwest corner to the northeast corner of the facility. To the east of the warehouse area is the pallet storage area and peak shaving units. A site layout for the facility is included in Appendix G. 2.2. PURPOSE AND SCOPE OF PLAN COVERAGE This CESPP has been prepared for AGI for the Wilson facility in accordance with federal and State of North Carolina regulations regarding release prevention and control. This plan is designed to provide the controls and procedures Ardaugh Glass Inc. I Wilson Facility 13 CESPP I September 2015 necessary to minimize hazards to human health and the environment from fires, explosions, and releases of toxic and hazardous substances to the air, soil, surface waters, and groundwater. The contingency provisions of this plan must be carried out immediately whenever there is a fire, explosion, or release of hazardous material or waste including hazardous waste constituents that could threaten human health or the environment. Examples of emergency events include, but are not limited to the following events. 1. Spills > A spill resulting in release of flammable liquids or vapors creating a fire or gas explosion hazard > A spill causing the release of toxic liquids or vapors > A spill contained on -site, but resulting in groundwater contamination > A spill not contained on -site resulting in off -site soil contamination and/or ground or surface water pollution > Any spill outside of a secondary containment structure that exceeds a reportable quantity 2. Fires > A fire causing the release of toxic vapors > A fire that spreads igniting materials at other locations at the site or causing heat -induced explosions > A fire that spreads to off -site areas > Use of water or chemical fire suppressant resulting in contaminated run-off 3. Explosions > An imminent danger exists that an explosion could occur resulting in safety hazard due to flying fragments or shock waves > An imminent danger exists that an explosion could ignite other hazardous waste at the facility > An imminent danger exists that an explosion could result in release of toxic material > An explosion has occurred 4. Depending upon the degree of seriousness, the following specific incidents might call for implementation of the plan. > Overturning of truck carrying hazardous materials and spillage of the material at or near the company property > Onsite spillage of the hazardous material during storage or transfer > Formation and release of toxic gas from hazardous material '['his plan incorporates, where applicable, the pollution prevention, spill control and countermeasures, and emergency planning and response provisions required by the following regulations. > Spill Prevention, Control, and Countermeasures (SPCC) requirements for oils (40 CFR 110 and 112) under the Clean Water Act (CWA) > Stormwater Pollution Prevention Plan (SWPPP) and Best Management Practices requirements under section 304(e) of the CWA, North Carolina Department of Environmental Protection (NCDENR), National Pollutant Discharge Elimination System (NPDES), NPDES Permit No. NCG070000 (Certificate of Coverage No. NCG 070099) and Supplemental Guidance for the Developmentand Implementation of Environmental Emergency Response Plans under the NPDES Storm water Permitting Program, August 6, 2005, Document 400-2200-001. > Hazardous Waste Contingency and Emergency Procedures Plan per 40 CFR Part 265, Subpart D > Slug Control Plan (SCP) requirements for pretreatment industrial wastewater discharge 2.3. PLAN ORGANIZATION This plan was prepared using the National Response Team's Integrated Contingency Plan (ICP) Guidance and is presented in a format intended to provide a highly functional document for use in various emergencies while providing a mechanism for complying with the multiple agency requirements listed in Section 2.2. The guidance was originally published in the Federal Register on June 5, 1996 and a correction notice was published on June 19,1996. Ardaugh Glass Inc. I Wilson Facility 14 CESPP I September 2015 21 Z�^: �"n`ti\::.-: :?� tea "r:C�?4ti�f•: ::ice=ti=::_c�:::t i 1. !. 1 1Zli{a4titi`9^�L','4:::.:::;'.'t��it�i The plan does not follow the sequence of the ICP Guidance, but instead modified in sequence to meet the practical needs of the Wilson facility. Section 1 includes the Emergency Response Action Plan (ERAP) containing the essential steps necessary to initiate, conduct, and conclude an emergency response action: recognition of the emergency, notification of the appropriate people/agencies, and initial response measures including assessment, mobilization, and implementation of the proper procedures to prevent or minimize risks to health or the environment. The Emergency Coordinators and other appropriate spill response personnel are advised to keep this section readily available for quick access. Section 2 includes a summary of the plan contents. Section 3 includes the CESPP review regulatory guidelines and AGI annual review confirmation. Section 4 includes the response management system description. Section 5 identifies the SWPPP specific requirements. Section 6 lists the SPCC Plan specific requirements. Section 7 identifies the applicability of the SCP and requirements included in this plan. A Regulatory Cross Reference 'fable that provides a listing of the various Federal and State regulatory citations for emergency response and planning requirements is provided in Section 8. The table provides a cross-reference for sections of the CESPP that address each of these regulatory requirements applicable to the facility. This table is intended to assist agency inspectors in assessing compliance with the various regulations. Designated AGI employees are familiar with the contents of this plan, and are trained to carry out the necessary procedures either as the lead response coordinators or in concert with the NCDENR, Wilson Fire Department and Police Department, and/or Wilson County Local Emergency Planning Committee (LEPC). The Emergency Coordinator is intended to serve in the role of "qualified individuals" (EPA) and "emergency coordinators" (RCRA) as defined by the appropriate regulatory programs. 2.4. PLAN REVIEW AND CERTIFICATION This version of the CESPP was signed and certified as included in Appendix 0. Amendment considerations to the CESPP are addressed in Appendix F. All future technical amendments will be certified by a Professional Engineer (P.E.). 2.5. PLAN LOCATION A hard copy of the CESPP will he maintained in the EHS Manager's office as well as the Human Resources (HR) office. An electronic version of the plan will be located on the plant server. Additionally, the EHS Manager will include an electronic version of the plan on a flash drive that will be accessible to the EHS Manager when not located atthe facility. 2.6. FACILITY MAPS The following AGI facility maps are included in Appendix G. • Figure G-1. Facility Location • Figure G-2. ail Storage Containers and Oil -Filled Equipment Locations • Figure G-3. Site Plan, Stormwater Drainage, and Exposed Significant Material • Figure G-4. Manufacturing Layout The facility site plans shall be maintained with up-to-date information, including the following minimum information. • Drainage areas and patterns • Pollutant type and capacity for each storage tank • Location of oil pipelines Ardaugh Glass Inc. I Wilson Facility 15 CESPP I September 2015 I G;i':"ttt •�:' 2�=' c:-_1. ti:�: : w k 4 1. Lt:.;_4�_'a::�.}titi.`: � :4: k:::.:.:3.i ] 1 co.= > Pollutants likely to be discharged for each drainage area > Direction of flow > Drainage controls such as secondary containment > Surface water body, stream, river, lake, or other controlled water body receiving stormwater discharge from the site > Structural control measures used to control stormwater flow > Location of significant materials exposed to stormwater > Locations of industrial activities (load/unloading and access areas, vehicle maintenance, waste storage areas, chemical storage areas, and loading dock wells) AGI's stormwater (including non -contact cooling water) leaves the facility at a storm drain southwest of the facility and discharges to the river. 2.7. COMMUNITY NOTIFICATIONS The Emergency Coordinator determines what community notifications will be necessary and if an evacuation will be necessary. Section 1.1 of this plan discusses the criteria that the Emergency Coordinator will use to evaluate whether an evacuation of portions of the surrounding community will be necessary, the list of agencies to contact and the order in which the agencies should be contacted, and the information to provide. Table 1-2 provides contact information for these agencies. Appendix D provides AGI's policy for handling media inquiries. Human Resources will handle notifications made to families of employees who have been injured in the event of an emergency. 2.8. FEDERAL. AND STATE AGENCY NOTIFICATIONS The Emergency Coordinator determines when federal, state, and local agencies must be notified. In the eventof an immediate threat such as a fire, the Emergency Coordinator calls 911 to relay information regarding the emergency. The Emergency Coordinator will decide whether notifications must be made to request assistance or provide information regarding environmental incidents. Immediate external notification procedures and call lists are included in Section 1.1.4 of this CESPP. Ardaugh Glass Inc. I Wilson Facility 16 CESPP I September 2015 3. CESPP REVIEW In accordance with 40 CFR 112.5(b), a review and evaluation of this Plan will be conducted at least once every five years. As a result of the review and evaluation, AGI will amend the CESPP in accordance with the general requirements in 40 CFR 112.7 and 40 CFR 112.8. All technical amendments are to be certified by a P.E. If no technical amendments are made based on the five-year review, P.E. certification is not required. This CESPP is to be available upon request, and must be updated within 30 days of being notified that the CESPP no longer meets one or more of the minimum requirements. In accordance with 40 CFR Part 112.5(a) and NPDES Permit No. NCG070000 (Certificate of Coverage No. NCG 070099), this CESPP will be amended when the following situations occur. 1. There is a change in facility design, construction, operation, or maintenance that materially affects its potential for a discharge of pollutants to a waterway as described in 40 CFR 112.1(b) 2. Applicable regulations are revised 3. The Plan fails in an emergency or drill 4. The list of emergency coordinators changes S. The list of emergency equipment changes 6. If required to do so by the Regional Administrator of the EPA An amendment will be prepared within six months of the change and implemented not later than six months following the amendment A P.E, will certify all technical amendments. Based on the results of annual stormwater inspections, the description of potential pollutants and pollution prevention measures will be revised as appropriate. These revisions will take place within two weeks of the annual inspection. Any changes to the CESPP will be implemented in a timely manner, in no case longer than twelve (12) weeks from the inspection date. In addition, if AGI plans expansion of the facility that involves construction activities disturbing one (1) or more acres of soil, AGI will obtain a Stormwater Construction Permit and implement a SWPPP associated with construction activities to control sediment and other pollutants during construction. Upon completion of expansion activities, AGI will amend this CESPP to address the changes. A copy of this Plan and of all associated reports, monitoring data, and certifications will be retained by the facility until at least three years after the facility's coverage under the Permit terminates. The Plan will be reviewed each year by the EHS Manager to ensure that all portions of the Plan are still current and will be reviewed during employee annual training. Appendix F provides a record of the annual review and the inclusion of any anneudmetits to the plan. The Plant's Management of Change (MOC) Procedure will identify any changes in operation or personnel that trigger a plan revision. The Plant EHS Manager will ensure that the appropriate amendments are made. Ardaugh Glass Inc. I Wilson Facility 17 CESPP I September 2015 4. CONTINGENCY PLAN REQUIREMENTS �................................................. ............... ......... --- ..--....................................................................-----.-----.---.........---. I 4.1. GENERAL AGI hereby adopts by reference the National Interagency Incident Management System (NI1 MS) Incident Command System (ICS). The ICS is an organizational tool designed to effectively control and manage operations during an emergency. The number of people involved in the ICS may range from a few to hundreds, and may include governmental agencies. To efficiently manage these -resources, the organization must provide a leader, establish authority, develop policies and procedures, assign responsibilities, plan and direct operations, and provide internal and external communications. The ICS enables one individual to be in charge of managing the incident, rather than having several people from different areas making separate and sometimes conflicting decisions. The ICS designates who is in charge (i.e,, the Emergency Coordinator), establishes a chain -of -command, and lists key personnel and their functions. The Emergency Coordinator delegates responsibilities for performing various tasks to subordinate "officers." However, one individual, the Emergency Coordinator, develops response strategy, determines response tactics, and makes all decisions. The ICS is automatically activated whenever a response to an incident occurs. The first arriving officer is the Emergency Coordinator, and will remain so until succeeded by a higher -ranking officer (alternate Emergency Coordinator) as specified in Section 1.1. Using the existing ICS framework, the Emergency Coordinator adapts the system to allow for management and response structure for each unique situation. AGI does not have an Emergency Response Team due to the small number of employees. Therefore, the ICS is fairly small for this facility. AGI will rely heavily on outside agencies for personnel support in response to incidents beyond the incipient stage. The ICS size is dependent upon the size and severity of the incident. The larger the incident, the more responders are required. However, AGI is not adequately equipped to respond to incidents larger than the incipient stage. All incidents will he controlled to the best of AGI's abilities until outside response agencies arrive on scene; upon which, AGI will institute a Unified Command with responding agencies. For a small incident, the Emergency Coordinator may perform multiple tasks of the ICS. There may be little or no delegation of tasks to subordinates. Therefore, no matter what size or complexity an incident may be, by implementing an ICS there will be one individual in charge who makes the decisions and gives directions. Moreover, all actions and communications are coordinated through one central point of command. Such a system should reduce confusion, improve safety, organize and coordinate actions, and should facilitate effective management of the incident. 4.2. OPERATIONS Lased on hazardous substances and/or conditions present, the Emergency Coordinator shall implement appropriate emergency operations. When activities are judged by the Emergency Coordinator to he IDLH condition or to involve an imminent danger condition, the Emergency Coordinator shall have the authority to alter, suspend, or terminate those activities. The Emergency Coordinator shall limit the number of emergency response personnel at the emergency site and in those areas of potential or actual exposure to incident or site hazards to those who are actively performing emergency operations. However, operations in hazardous areas shall be performed using the buddy system (groups of two or more). Ardaugh Glass Inc. I Wilson Facility 18 CESPP I September 2015 ....w_-.. tis� f �_._'.w•.: tia-�.-'.".ice �__..;:.1':d 2 2•__•�_•�a:5�-'4��.15.`\-.1Yti_...::J l R-.�1:.'4'+?Q�`-�-`_•_.:.1':.71.-:�:i•:] 1 i'::�LC 141":�4':.:\1'ci __•_A.•::Si3 ! -_.....:.: •4'-�:.il�a1:'+h `4titlS.:\:•K • v__._�.�.5'ti11:1':.i 4.2.1. Operational Response Objectives The operational response objective is to minimize hazards to human health or the environment from fires, explosions, or any unplanned sudden or non -sudden release of hazardous waste or hazardous waste constituents to air, soil, or surface water. The Emergency Coordinator or their operations designee will assure that the personal protective equipment (PPE) worn is appropriate for the hazardous to he encountered. Responding personnel shall obtain and utilize PPE based upon the type and severity of the emergency. 4.2.2. Discharge or Release Control During an emergency, the Emergency Coordinator will take all reasonable measures necessary to ensure that fires, explosions, and releases do not occur, recur, or spread to other hazardous waste or hazardous materials at the facility. These measures include, where applicable, stopping processes and operations, collecting and containing released material, and removing or isolating containers. In the event of a release, the Emergency Coordinator will implement site security and controls to prevent accidental exposure to the contaminant. The procedures for controlling a site will depend upon the location, materials involved, and weather. All of these factors and other incident -specific factors must be taken into account to properly control the site. 4.2.3. Assessment/Monitoring If the facility stops operations in response to a fire, explosion, or release, the Emergency Coordinator will monitor equipment, machines, valves, and pipes for leaks, pressure buildup, gas generation, or ruptures whenever it is appropriate. The Emergency Coordinator will request help from the maintenance personnel due to their knowledge of the facility systems and equipment. After initial discovery of an emergency involving a hazardous spill, the Emergency Coordinator will evaluate the scene to determine the boundaries of the incident. Geographical and weather factors will play a major role in determining the size of the incident and must be taken into account by the Emergency Coordinator. Additional information regarding assessment and monitoring is contained in Section U.7 of this CESPP. 4.2.4. Recovery In the event of a release, response personnel will attempt to recover spilled material, if appropriate. 4.2.5. Decontamination AGI will not initiate decontamination procedures in any emergency event. Outside emergency responders or contract clean-up agencies will handle decontamination. After decontamination procedures are completed, the Emergency Coordinator will ensure that in the affected areas of the facility, all emergency equipment listed in the CESPP is cleaned and fit for its intended use before operations are resumed. Expendable items are to be replaced to ensure availability for future incidents. 4.2.6. Non -Responder Medical Needs AG I personnel are capable and adequately equipped to respond to first aid injuries/illnesses and stabilize more extensive injuries/illnesses while awaiting local EMS to respond. First aid supplies are readily accessible inside each business unit. Ardaugh Glass Inc. I Wilson Facility 19 CESPP I September 2015 B.�_-'—r.____L_?...�_.._....:.1 t 3 A':i-:.1111L1�'Lti-`:. __:_...z.\'_t .S\'� .. 0:-::.�_t!_.. -: �'N\:_.-...n..a.. f i�.'_�.\Y`.'....: �n?Y`21:-�'t-x Js =-.1 s v__....:.1-:....-.:.tila.s. _isv.s s a AGI has employees who are trained in first aid and cardiopulmonary resuscitation (CPR). Severity of injuries is assessed by first responders and members of the management team to determine proper course for treating injured employees. In the event that local EMS transportation is required, the EHS Manager shall be notified by facility personnel. The EHS Manager or his/lrer designee shall then call 911 for dispatch of local emergency transportation. The EHS Manager shall provide directions to the location, and direct on -site personnel to aid in directing the EMS to the scene. The 911 dispatch will notify the local hospital. It is not required that the EHS Manager or other AGI personnel notify the local hospital. 4.3. EMERGENCY EVACUATION PLAN The required Emergency Evacuation Plan for the Wilson facility is not included in the CESPP, but instead in a separate document at the facility. 4.4. INCIDENT HfSTORY AGI has had no significant spills or leaks of toxic, hazardous, or non -hazardous materials within the last three years. In the event that significant spills should take place, AGI will document them in Appendix E of the CESPP. 4.5. INSPECTIONS AGI will complete weekly inspection of the following equipment and areas > Drums and totes in hazardous waste accumulation area > Drums in hazardous waste accumulation area > Drums and containers in hazardous waste satellite area > Universal hazardous waste areas 4.6. TRAINING AND EXERCISES/DRILLS AGI trains employees and oil -handling personnel on spill prevention and response, good housekeeping, and material management practices. The Plant's ISO 14001 Environmental Management System (EMS) includes a procedure to track all environmental training conducted at the facility. A record of the training and attendees will be kept at the facility in accordance with record retention policy No. 99-635-TOP-2.02-131, The facility trains employees at least once per year on the following topics. > Operation and maintenance of equipment > Discharge procedures and protocnl > Prevention measures, including spill prevention and response and preventive maintenance, and any recently developed precautionary measures > Pollution control laws and regulations > Brief review of the goals and components of the Plan > Brief review of known discharges and failed or malfunctioning components When Section 313 water priority chemicals are brought on -site, employees responsible for the handling and use of the specified chemicals will, in addition to the above training, be trained at least once per year in the features and operations of the facility that are designed to minimize discharges of Section 313 water priority chemicals, particularly spill prevention procedures. Currently AGI's only Section 313 water priority chemicals are lead and chromium compounds. AGI completes emergency drills with documentation and critique/analysis maintained in the ISO 14001 EMS records. Ardaugh Glass Inc. I Wilson Facility 20 CESPP I September 2015 I, 5. SWPPP EN REQUIREMTS ................................................................................ .......................... ........................................---........--...--.....--........... The EHS Manager is responsible for discharge prevention. Additionally, the EHS Manager is responsible for reporting to facility management. If the EHS Manager position is unfilled, then the Plant Manager will delegate the EI-IS Manager's responsibilities. The pollution prevention team (identified in Table 5-1) is responsible for the following information. • Developing, implementing, maintaining and revising the Plan • Maintaining documentation required by the Plan • Implementing the water pollution control permit and Plan requirements • Defining and agreeing upon an appropriate set of goals for the facility's stornwater management program • Being aware of any changes made within the plant operations to determine whether a change is required in the Plan • Maintaining a clear line of communication with plant management to ensure a cooperative partnership Table 5-1. Pollution Prevention Team Team Member Responsibility Office Number EHS Manager Overall responsibility of the plan, including coordination, (252) 234-5241 implementation, development, maintenance, training, and revisions of the plan. Coordinates preventative maintenance program for Best Management Practices identified in CESPP. Reviews inspection reports and updates memos resolving comments or problems noted in the inspection reports. Coordinates comprehensive site compliance evaluation inspection each year and completes reports, Coordinates monthly SWPPP ins ections and reviews results. Plant Manager Responsible for implementation and maintenance of the (252) 234-5225 plan. Resolving all comments and/or problems noted on inspection forms. Plant Engineer Responsible for implementation and maintenance of the (252) 252-5212 plan. Resolving all comments and/or problems noted on inspection forms. Maintenance Utility Responsible for implementation and maintenance of the (252) 291-1500 plan. Resolving all comments and/or problems noted on inspection forms. 5.1. BEST MANAGEMENT PRACTICES Based upon the potential stormwater contamination sources identified and assessed at the facility, Best Management Practices (BMPs) have been selected to address these potential sources of pollution. Listed below are the minimum BMP requirements: • identification of a Pollution Prevention Team (Table 5-1) 7 Risk Identification and Assessment (Appendix H) > Good Housekeeping (Section 5.2.12) > Preventive Maintenance (Section 5.2.11) • Visual Inspections (5.2) • Sediment and Erosion Control (5.2.15) Ardaugh Glass Inc. I Wilson Facility 21 CESPP 1 September 2015 I.Lti1-+,'::��ti::ti`Et:��s}_:•S_:.2 7 l3�tti.�:44i'w_,�___•:i-_:�::.:i 1 �::itio:.c�_��_•___:_:z:t:i:_::'. T Rl::'•_�:•_:'}_tS�:�:s_ti:_�ti:::=a c g�.tia::i:•tiiti :mac:"'_�:._ > Employee Training (Appendix K) The following BMPs have been selected based on the feasibility and effectiveness of each practice. BMPs are chosen based on identification of potential pollution sources and process actions. These practices are subject to change based on facility or process changes, inspections, or regulatory requirements. > AGI maintains a clean and orderly facility for the safety of its workers and to reduce the risk of pollutant discharges. Good housekeeping practices and a clean work environment reduce the possibility of any accidental spills that could occur. > Where possible, AGI attempts to recycle, reclaim, and/or reuse materials to reduce the volume of materials brought on -site, and attempts to use less or non -toxic materials to reduce safety hazards to facility personnel. > AGI stores most chemical, process materials, batch materials, salt pile, and waste either indoors or covered to reduce the risk of contact with stormwater. Some uncovered outdoor storage includes scrap metal storage, Gullet pile, and waste cutlet roll -off. > Transformers are located in areas of level terrain on concrete pads, and some are located inside concrete curbing. > Process equipment is inspected and maintained in accordance with manufacturer recommendations and/or industry standards in order to minimize the possibility of equipment failures that could result in the discharge of pollutants to the stormwater system. > I f any leaks or spills occur during the unloading operation, the operator will take immediate steps to stop or reduce the source of leaks or spills. Operator will then take appropriate steps to remove spilled substances within containment boundaries. If appropriate, removal is first focused on recovering the spilled substance and then cleaning up residue. If the quantity of the spill is sufficient it may be prudent to have an outside recovery firm remove the material rather than trying to dispose of it as a waste. Spill response materials will be located at each unloading area. > Large quantities of any waste or spilled materials are immediately placed in a storage area or containers to prevent contact with stormwater. All trash containers are regularly collected and the waste is sent off -site for disposal. Off -specification or waste material will be stored in a manner that prevents stormwater pollution until it can be properly disposed. > SS -gallon drum unloading operations are performed by contractors or company trained employees to ensure that immediate corrective action can be implemented in case of spills or leaks. Unloading operations are performed indoors and away from any drains and AGI personnel are present at all times during unloading. > ACI's security measures are inspected and maintained toensure proper fencing, lighting, vehicular traffic control, and building and equipment securities are in place to prevent accidental or intentional discharge of pollutants to the stormwater system. 5.2. INSPECTIONS AGI's inspection procedure is set up as a weekly inspection of all tanks, all hazardous waste generation and accumulation areas, including universal waste, and a weekly walk -around inspection of the facility to detect signs of deterioration or possible sources of leakage. All emergency clean-up equipment is inspected weekly to restock inventory and ensure integrity. Annually a comprehensive site compliance evaluation is conducted. The inspection program provides a mechanism to prevent and detect system malfunctions, equipment deterioration, and operator errors. The inspection program is designed to discover the potential for spill events so that corrective and preventative actions can be taken in a timely manner. Additional maintenance procedures are performed daily and discrepancies are repaired and noted directly in preventative maintenance file. Ardaugh Glass Inc. I Wilson Facility 22 CESPP I September 2015 The inspection program is implemented by qualified and trained individuals who have been assigned the responsibility to perform inspections and prevent oil spills at the facility. The designated individuals have the training and authority to perform the required inspections, perform necessary evaluations and hazard assessments, and recommend appropriate corrective or remedial actions. Inspections are performed according to general inspection guidelines outlined below, based on engineering knowledge and operational experience with the systems and processes involved. The EHS Manager or designated personnel will evaluate each discovery that indicates a potential deficiency, malfunction, equipment deterioration, or operator error tbfough regular observation of the process and procedures. The level of response and its timing are determined by the nature and severity of the problem identified with the protection of personnel and the prevention of adverse environmental impact being of paramount concern. The facility inspection activities encompass the facility perimeter and those items within the property that are common to all operations. The general inspection activities encompass the following: > Weekly inspection of the following equipment and areas. AGi must inspect all areas of the facility where industrial materials or activities are exposed to stormwater, and of all stormwater control measures used to comply with the effluent limits contained in the stormwater permit. Perform these inspections during periods when the facility is in operation. • Aboveground storage tanks • Process areas • Stormwater B M P • Stormwater outfall • Inspection Documentation (See Appendix M) shall include: • The inspection date and time; • The name(s) and signature(s) of the inspectoo(s); • Weather information and a description of any discharges occurring at the time of the inspection; ■ Any previously unidentified discharges of pollutants from the site; ■ Any control measures needing maintenance or repairs; ■ Any failed control measures that need replacement; • Any incidents of noncompliance observed; and d Any additional control measures needed to comply with the permit requirements. > Annual stormwater comprehensive site compliance evaluation of the following equipment and areas (See Form in Appendix M). • All areas of the facility where materials or activities have been exposed to stormwater in the past 3 years • industrial materials, residue or trash that have, or could have, come into contact with stormwater • Spills and leaks from industrial equipment, drums, tanks, and other containers • Off -site tracking of waste materials, or sediment where vehicles enter or exit the facility • The tracking or blowing of raw, final, or waste materials from areas of no exposure to exposed areas • Evidence of pollutants entering, or of the potential for pollutants to enter, the drainage system • Evidence of pollutants discharging to surface waters at the stormwater outfall • The conditions of and around the stormwater outfall, including flow dissipation measures to prevent erosion • Inspection of BMPs during a stormwater run-off event > Semi -Annual Visual Assessment of Stormwater Discharges • Qualitative monitoring requires a visual inspection of each stormwater outfall associated with industrial activity • A stormwater sample will be collected from each stormwater outfall and visually assessed for: color, odor, clarity, floating solids, settled solids, suspended solids, foam, oil sheen, and other obvious indicators of stormwater pollution Ardaugh Glass Inc. I Wilson Facility 23 CESPP I September 2015 -.'-•:3 7 ^.F.\:5.��:�Yv�_,___.:....:-=2d .i k::-i.� _v.-::...:. µ•me-i:�_.. � a=�--==-.______._`�t:3 �r.._....� [ S.-'c_::.:t�k'aav_s......, _.� � a:_,-a�s^.�ec; _ti _l... s.•.,. __=a n .�:a�:�_•._v: w.�ct�:c::a • Qualitative monitoring shall be performed semi-annually • Only outfalls discharging Stormwater associated with industrial activity must be monitored In the event an atypical condition is noted at a stormwater discharge outfail, the permittee shall documen t the suspected cause of the condition and any actions taken in response to the discovery. • This documentation will be maintained with the SPPP (See form in Appendix M). A registered P.E. will certify that lie or she has examined the facility, is familiar with the provisions of the Supplemental Guidance for the Development and implementation of Environmental Emergency Response Plans under the National Pollution Discharge Elimination System (NPDES) Stormwater Permitting Program, and can attest that the Plan has been prepared in accordance with good engineering practice. 5.2.1. Container and Equipment Inspections All storage containers and related process equipment including pipelines, flanges, pumps, valves, hoses, gauges, hatch covers, and gaskets are visually examined on a weekly basis for indications of leaks, drips, sweating, damage, and corrosion. Repair of any such items are handled on a priority basis. 5.2.2. Pumps, Valves, and Gauges Associated pump seals are inspected and lubricated regularly by AGI employees, or replaced as required. Valves, operating controls and other items normally kept in a closed position are observed during operation to assure they are properly secured. Gauges are inspected regularly and repaired/replaced as needed. 5.2.3. Containment Area Containment areas and catch basins are inspected weekly for cracks, holes, and oil or pollutant accumulation. If signs of leaks, structural damage, or contamination appear, AGI will take immediate action to remedy the situation. Any oil accumulation will be removed and disposed of properly. 5.2.4. Loading/Unloading Area The truck and rail loading/unloading areas are inspected to ensure that the areas remain neat, free of obstacles, and clean. The following BMPs Practices are utilized during loading/unloading activities to ensure products are handled safely are identified below: • Loading/unloading area clear and proper lighting (at night) prior to truck entering area • No visible leaks from the truck being loaded or unloading liquid materials • Adequate spill response materials located in the area • Stormwater drains in the loading/unloading area properly protected during operation > Truck wheels chocked during loading/unloading activity • Transfer hoses properly tightened • Direct radio and/or phone communication established between AGI and the truck driver • Loading/unloading activity observed at all times • Tank volume checked and adequate volume space identified for truck unloading activity > Truck driver aware of unloading and emergency procedures for the facility > Truck valves locked to turn-off after activity completed For drums and totes thatare loaded or unloaded from trucks, utilize the following BMPs: > Truck dock lock confirmation > Drums and totes secured properly to forklift with cage, strap, or chain until transported to contained area Loading/unloading area inspected for spills before truck departs Ardaugh Glass Inc. I Wilson Facitity 24 CESPP I September 2015 S.7:L:'Gi�wti•: _wk}..•-:==] ] �"=is"•.:�S.l}'r._-•_: t.i'..`.C�ti•:._:. 1 fp._-_•7i�w_•}:r: _•_. �:'�?_�....... _:l i ICtiS"•;.L'u::-u.a:�an�":ii•:rK'\L�..:� 1 K•.. .Sti 11..vY1'�1�.1•:::.".'�i"^.:`1 11:�.1'i �.t=•_1-1.1111.kk1-w�1'=1 • Y-_:::.'. 5.2.5. Outfall Locations The storm drains at AGI are inspected on a weekly basis for signs of stormwater pollution. If pollutants are seen entering the stormwater system, the emergency coordinator will take immediate actions to stop the source of pollution and contact the appropriate agencies as required. 5.2.6. Response Equipment Absorbent material is checked weekly to make sure an adequate supply is available. Other response materials including berms and protective equipment are also checked for adequate supply and functionality. 5.2.7. Annual Stormwater Outfall Inspection AGI will perform a visual inspection at least annually of the stormwater outfall during a rainfall event that produces at least one tenth of an inch (0.1 inches) of rain during a 24'hour period. The results of tine inspection are to be recorded and kept on file for a period of three years after the date of the inspection. 5.2.8. Non-Stormwater Discharge Assessment and Certification The Wilson facility has no unpermitted discharges to the Toisnot Swamp (Toisnot Reservoir}. AGI will certify whether or not non-stormwater discharges are being released to surface waters. 5.2.9. Discharges from Secondary Containment In the event thatwater is found within secondary containment structures at the facility, the water will he inspected prior to its release. The inspection will check for pollution including, but not limited to; sheen, odor, turbidity, or discoloration. There are no secondary containment structures located in areas subject to rainfall at the facility, so it is highly unlikely that water will enter any secondary containment structure. 5.2.10. Records Completed inspection checklists, as provided in Appendix M, and associated reports are given to the EHS Manager or designated personnel who review and then take action as necessary to ensure implementation of required remedial actions. The inspection checklist includes important administrative information such as the scope of the inspection, name of the inspector, and the date of the inspections. The assessment includes notations of the major observations, actions taken, and the urgency of the required response. The inspection report is signed by the inspector's supervisor. All completed forms and attachments are accumulated and filed at the facility. These fornns are retained at the facility for a minimum period of five years from the date of inspection. 5.2.11. Preventive Maintenance AGI has a preventive maintenance program that involves routine inspection and maintenance of stormwater management devices and routine maintenance inspections of facility operations. Examples of the type of preventive maintenance activities conducted include the following activities. • Performing regular checks on any storage tanks, process and material handling equipment, and bulk storage areas for leaks, corrosion, support, or structural failure, or other deterioration > Reviewing conditions that may lead to processes and/or pollutants reaching stormwater runoff > Perform proper maintenance of industrial machinery and processes Ardaugh Glass Inc. I Wilson Facility 25 CESPP I September 2015 51� ii a Ci:::r-:- ti-.nU:�..•'^..�'-:-::tii::_a� i eu2:•;:at' �\_s:___'J t Kii:;.:+ik{i-+w{tip:: _J::.:-_•_V:] : 'N.�1. 3:sCt^^�`^:a2Li:::_ _i2?:::�:7 .1 CS:i�:tiC��`'.i.i-�.�^-•'�'.�:.a:1�t:==itS T CY__� The preventive maintenance inspection form is included as part of AGI's weekly inspections. A copy of this form is located in Appendix M. Completed forms are retained at the facility for three years following the date of the inspection in Appendix N. Preventive maintenance is scheduled and notifications issued through a software program. 5.2.12. Good Housekeeping The following are some of the simple procedures that AGI uses for the good housekeeping program. • Maintain a clean and orderly work environment • Perform safe material storage practices > Prompt clean-up of any spilled chemical or substance • Maintain up to date material inventory, including • Proper identification of all chemical substances present in the workplace • Proper labeling of all containers • Schedule routine clean-up operations, including • Removal of empty storage containers Sweeping and general clean up • Ensure that no hazardous substances are stored in any area unprotected by secondary containment or in a manner that could flow into a storm drain • Train employees and contractors about good housekeeping practices 5.2.13. Containment Refer to Appendix H for data regarding containment systems designed to contain releases that may occur. 5.2.14. Flow, Directionality, and Pollutant Prediction Oil storage facilities at AGI are designed such that a non -catastrophic spill from any oil storage container can be contained at the site of the spill. There is a potential for tank overflow, rupture, or leakage to be a source of a discharge; however, these are not likely, based upon the use of over -fill alarms. There is a more likely potential for bulk loading and unloading activities to be a source of a discharge. AGI does not treat any significant materials on -site, therefore these activities pose no threat to stormwater or run off. Appendix 1 includes a prediction of the direction, rate of flow, and total quantity of oil which could be discharged from the facility as a result of a major equipment failure. During a rainfall event, stormwater runoff leaves the facility as described below. • Surface drainage from the western side of the facility drains as sheet flow into an unnamed tributary of Toisnot Swamp. > Surface drainage front the northern, eastern, and southern sides of the facility drain to stormwater conveyances that discharge into the on -site sedimentation and retention basin. The outlet from this basin discharges into the unnamed tributary of Toisnot Swamp. AGI estimates that minimal pollutants will reach the stormwater run-off due to structural and non-structural control measures used to prevent stormwater from contacting pollutants. Pollutant types could be any pollutants found in the exposed significant materials discussed in Appendix H. 5.2.15. Sediment and Erosion Controls AG1 has containment and Best Management Practices in place to prevent possible sources of erosion due to topography or cover materials. The facility does not perform any activities that would present a high potential for soil erosion. Ardaugh Glass Inc. I Wilson Facility 26 CESPP I September 2015 5.2.1 b. Security Security measures are an integral part of preventing incidents caused by unauthorized access. The facility's security system is designed to prevent accidental or intentional entry into the plant so that a release incident related to vandalism, theft, or sabotage is avoided. AGI maintains fencing, lighting, vehicular traffic control, and physical security intended to mitigate the risk of accidental or intentional release of pollutants. Vehicle barriers and fences control traffic around the facility and fences prohibit vehicles from having free access to the facility. Doors to the facility are locked when not in use to ensure that non -authorized personnel cannot gain access to sensitive materials. Access Control AGI is manned approximately 24-hours per day, seven days a week. During normal office hours, visitors to the facility enter through the main office lobby, where they are given safety equipment and escorted fi•om that point throughout the facility. if the facility does ever shut down, the gates in the fence will be closed, and the tanks will he guarded for the duration of the shutdown. The parking lots, entrances to the facility, and the outside storage areas are illuminated as needed to allow the discovery of discharges and to prevent discharges occurring through acts of vandalism. Ardaugh Glass Inc. 1 Wilson Facility 27 CESPP I September 2015 .: 3" ..a ai T1 ! La •. _i_a l:CiatiS• .:.::...:..... a f t Flow Miains and Valves j Any valves on AGI's secondary containment systems are maintained in the closed and locked position unless manually opened after observation that there is no sheen or evidence of oil spillage. The valve key and opening of any valve must be under the direction and supervision of the Plant Engineer. Pump Starter Control Pump starter controls are locked when not in use, and only authorized personnel are authorized to operate them. Connections to Pipelines The pipeline connections for the bulk oil tanks have caps that are secured when not in service. The loading access ports for the tanks at unloading area are kept closed and locked when not in service. End -of -line pipe connections on the bulk storage tanks are secured. Facility Lighting All areas of the plant are provided with a level of lighting considered sufficient to allow for discovery and reaction to spills occurring during hours of darkness and to discourage vandalism. 5.2.17. Unloading Area Drainage Tank trucks loading and unloading operations are conducted on the northwest side of the facility. During loading/unloading operations, buckets will be placed under tanker transfer points to capture small spills and leaks. A spill kit is located in the oil storage shed on the north side of the property near the bulk loading/unloading operations and is available for use to prevent the release of oil from the area in the immediate vicinity of the spill. Any major spillage during the loading or unloading of fuel/oil would flow to the Wastewater Treatment Facility (WWTF) (approximate net capacity 300,000 gallons). Therefore secondary containment is sufficient to contain the largest compartment of the vehicle involved in the transfer (expected to be a maximum of 50,000 - 100,000 gallons). Loading and unloading activities are constantly attended. When a vehicle is being unloaded to a tank and the level gauge on the tank is not immediately adjacent to or in the line of sight of the person attending the vehicle, the level gauge are attended by another person throughout the unloading process. Adequate communication is maintained through voice contact or by radio. Before commencing any loading/unloading, the wheels on the tank truck/trailer are chocked. Before commencing the loading of a tank truck/trailer, and after loading or unloading is complete, the truck/trailer is inspected for leaks, and any leaks are stopped before releasing the vehicle. Any fuel/oil spilled during unloading or loading will be cleaned up and properly disposed. AGI includes unloading procedures at each unloading area at the facility. 5.2.18. Commitment of Manpower, Equipment, and Materials AGI will commit the necessary manpower, equipment, and materials required to expeditiously control and remove any quantity of oil discharged that may be harmful. This commitment consists of applying the necessary manpower, equipment, and materials to the extent of AG1's capabilities, and when additional manpower, equipment, or materials are required by outside agencies or response teams, AGI will contact the appropriate agencies immediately to ensure a timely control and removal of any oil discharge. 5.3. DISCHARGES THROUGH MUNICIPAL STORMWATER SYSTEMS Surface drainage from the western side of the facility drains as sheet flow into an unnamed tributary of Toisnot Swamp. Run-off from the northern, eastern, and southern sides of the Facility drain to stormwater conveyances that Ardaugh Glass Inc. I Wilson Facility 28 CESPP I September 2015 discharge into the on -site sedimentation and retention basin. The outlet from this basin discharges into the unnamed tributary of Toisnot Swamp, which is a class WSII I CA Waterbody in the Meuse River Basin. There is also one stormwater drain in the southern parking lot 5.4. SECTION 313, WATER PRIORITY CHEMICAL REQUIREMENTS AGI currently has controls in place for Section 313 chemicals to be stored, handled, processed, and/or transferred on site. All Section 313 chemicals are protected from precipitation and/or becoming a stormwater pollutant. A list of the current Section 313 chemicals can be obtained from the following EPA website (littp://www.epa.gov/tri/tricliemicals/) and a copy of the 2012 version of the list is included in Appendix S. These chemicals are present in trace quantities in the sand used to manufacture the glass at the facility. The sand is not exposed to precipitation. Lead and chromium may be present in the collet, some of which is stored outside. However, the lead and chromium in encapsulated in the glass and will not become a stormwater pollutant. Chromium is used as an additive to the glass and is protected from precipitation during transportation, unloading, storage, and usage. 5.4.1. Containment and Drainage Control AGI employs drainage control to prevent run-on. Landscaping is sloped away from building and toward storm drains. AGI stores all Section 313 water priority chemicals as described above in order to minimize the risk of contact with stormwater. 5.4.2. Proper Storage and Containment of Section 313 Water Priority Chemicals All Section 313 water priority chemicals are stored in suitable containers designed to properly contain Section 313 water priority chemicals at AGI's chemical storage temperatures and pressures. All Section 313 water priority chemicals are stored in liquid form, which is immediately cleaned up in the event of a spill. 5.4.3. Loading and Unloading Areas for Section 313 Water Priority Chemicals AGI uses best management practices to reduce the risk of Section 313 water priority chemicals in unloading areas. These include the use of safe handling procedures. Truck unloading docks are operated in a manner intended to reduce the risk of stormwater entering the truck or being contaminated by the contents of the truck. 5.4.4. Section 313 Water Priority Chemical Handling and Storage Areas In areas of the plant that employ the use of Section 313 water priority chemicals, AGI uses only process equipment that is rated for the use of Section 313 water priority chemicals. This equipment is designed and operated in a manner intended to minimize discharge of Section 313 water priority chemicals. AGI uses these control measures to minimize the risk of Section 313 water priority chemicals entering stormwater. 5.4.5. Discharges from Areas Containing Section 313 Water Priority Chemicals AGI has no areas where Section 313 water priority chemicals will become stormwater pollutants. 5.4.6. Preventive Maintenance and Good Housekeeping Associated with Section 313 Water Priority Chemicals AGI properly maintains all plant areas employing the use of Section 313 water priority chemicals and inspects them at specified intervals to minimize the occurrence of any situations that may lead to the release of Section 313 water Ardaugh Glass Inc. I Wilson Facility 29 CESPP I September 2015 J::.......:,..•.l•..b i Swti_si.U:v::iiiitt l.-A�.-�.'....::7 f 5:2:,'a'�,:.A1':•: tc.:. :tiv___.._t i a_•:,�.+�:: _ti.w;�oa�_=_-.,..:�. _� ■ x.:.:....;,:. a._�:o:;.A�:•?a)a •:-..x . a____......_...: ti�n^.�vc-�_x_�, � r.._.=rr::arc.,n priority chemicals. Specifics of these inspections items and intervals have been discussed and can be found in Section S.2 of this Plan. Inspections include examination for leaks and other forms of deterioration and non -containment Any instances where leaks, or conditions that may lead to leaks, are discovered are addressed immediately. AGI takes action to stop and properly clean up the leak If the leak cannot he immediately stopped, the process is shut down until repairs can be made. 5.5. EXISTING SAMPLING DATA AG[ is not required to maintain sampling data for the stormwater outfall. However, the facility maintains semi-annual visual inspections per the current corporate guidance. Ardaugh Glass Inc. I Wilson Facility 30 CESPP I September 2015 I . la S::::';ii;:::;:i;:ik�_ 4-�:__.._t•I .i 3 �.�..;:'kae,�:->. }:ti�...:.ti?::::::x 7 :__-::..�__..,�.:_: sue: s:??�: �.: :s r s a:: si::xx.:nit3___r: ti-r k•:ti.� 6. SPCC PLAN SPECIFIC REQUIREMENTS ..............................................................................................---........------.............._......---............ --. t.----------------- Items within this section are SPCC Plan specific requirements. These requirements must be followed, but do not affect the requirements of the other regulations included in this CESPP. When other regulation requirements are more stringent than SPCC requirements, AGI will conform to whichever requirement is more stringent, and at all times ensure that all requirements are met. The facility is in conformance with all of the applicable requirements of the 40 CFR Part 112 regulations. Specifically, this includes the requirements of 40 CFR Part 112.7 (General Requirements for Spill Prevention, Control, and Countermeasure Plans) and 40 CFR Part 112.8 and 112.12 (Spill Prevention, Control, and Countermeasure requirements for onshore facilities (excluding production facilities)). Any exceptions to this in accordance with the equivalent environmental protection provision under 112.7(a](2] are noted throughout the reportwhere appropriate. 6.1. ADDITIONAL CRITERIA FOR STATE, LOCAL, AND REGIONAL OIL REMOVAL CONTINGENCY PLANS 6.1.1. Critical Water Use Areas [ 109.5(b)(1)] Surface drainage from the facility Flows to the retention basin located near the southwest corner of the facility, which discharges to the Toisnot Swamp. Thus, in the event of a significant oil spill from a vendor tanker or tanks located on - site, the oil discharged would have a chance of reaching Toisnot Swamp. Reporting the event and an oil spill response would be necessary if this were to occur. 6.1.2. Maximum Oil Discharge Anticipated [109.5(c)(2)] No processes from the facility are allowed to discharge to any drain or discharge point that leads to the ditches. Any spill that is threatening to enter any Facility drain or ditch is immediately contained and cleaned up. All aboveground tanks, diked areas, and their associated aboveground lines have also been purposely located away from the drains to reduce the probability of any spill reaching these and possibly going off -site. The last stormwater discharge point on the southwest side of the site is inspected on a weekly basis For the presence of any unusual discharge or oil sheen. No storage devices at the facility will result in a non -contained spill. 6.1.3. Oil Discharge Response Operating Team [109.5(d)(1) and 112.7(a)(iv)] AGI has employees who are trained and available to respond to an oil discharge. All AGI employees are familiar with the facility layout, location of spill response equipment, response strategies, and with the CESPP for the facility. AGI employees are capable of containing small spills. And local contractors can assist with larger spills. In the case of a very large spill, local and State agencies may be notified for assistance. AGI trains employees in the deployment of response material and employees attend the required refresher courses. 6.1.4. Order of Priority in which Water Uses are to be Protected [109.5(d)(5)] The only critical water use area that may be affected by an oil discharge is Toisnot Swamp. Oil does have the possibility of exiting to the Toisnot Swamp, if it is not first contained in either the on -site WWTF or the on -site retention basin (which discharge to the Toisnot Swamp). If evidence shows an oil spill has occurred, then it should be contained at the Wastewater Treatment Facility before it reaches Toisnot Swamp. If an oil spill reaches the retention basin on the southwest corner of the property, it should be contained to prevent the oil From spreading further downstream. Ardau;h Glass Inc. I Wilson Facility 31 CESPP I September 2015 ev'_'aa}i-� _�__i_•:t! 1 �`tih�sc��:tis.-::.,:._-..��� t.::iiti:•��•?3�::;:Li�_.�-.1..:_: � � _.-�-----:_�_•>r=4_.,._.�:_s r r<c�.;,.�u��t,{t•_.:....:,.v,-� 4 _:� �w1�aa�.t r>::li\k_:-?__a � r��:-_�1:.: 6.2. FACILITY DRAINAGE 6.2.1. Facility Drainage from Containment Areas [112.8/112.12(b)(1) and (2)] Any water accumulating in the secondary containment around the storage tanks will be removed, as necessary, as part of the weekly inspection. Depending on the condition stated below, this water could be disposed in several different ways. 1. if there have been no noted leaks or spills in this area since the previous inspection and the water does not have a visible sheen, the water will be pumped out of the dike and discharged with the rest of the non -contact wastewater at the facility. 2. if there have been no noted leaks or spills in this area but the water does show a sheen, the water will be pumped into a container and placed with the contact - oily wastewaters at the facility, being careful not to overflow the oil/water separating system. 3. If a spill or leak has occurred in this area since the previous inspection, all waters in the area will be pumped into a suitable container (i.e., drum) and sampled to determine the disposal options. The area will also be thoroughly cleaned, and the water from the cleaning operation will also be placed in a container for proper disposal. The results of the inspection of the stormwater in each diked area will be recorded. Any indication of contamination (such as a sheen, discoloration, or floating product) will be noted. The approximated volume of water removed and the method of disposal (either onto the ground or disposal as contaminated water) will be recorded. 6.2.2. Facility Drainage from Non -Contained Areas [112.8/112.12(b)(3) and (4)] Tank truck loading and unloading operations are conducted on the northwest side of the facility. Any major spillage during the loading or unloading of fuel/oil would flow to the WVVTF (approximate net capacity 300,000 gallons). Therefore secondary containment is sufficient to contain the largest compartment of the vehicle involved in the transfer (expected to be a maximum of 50,000 — 100,000 gallons). Loading and unloading activities are constantly attended. When a vehicle is being unloaded to a tank and the level gauge on the tank is not immediately adjacent to or in the line of sight of the person attending the vehicle, the level gauge are attended by another person throughout the unloading process. Adequate communication is maintained through voice contact or by radio. Before commencing any loading/unloading, the wheels on the tank truck/trailer are chocked. Before commencing the loading of a tank truck/trailer, and after loading or unloading is complete, the truck/trailer is inspected for leaks, and any leaks are stopped before releasing the vehicle. Any fuel/oil spilled during unloading or loading will be cleaned up and properly disposed prior to reaching any storm drains. 6.2.3. Drainage Water Treatment [112.8/112.12(b)(5)] Drainage water is not treated in more than one continuous treatment unit where pump transfer is needed; therefore, these provisions do not apply. 6.3. BULK STORAGE CONTAINERS 6.3.1. Compatibility of Containers and Product Stored [112.8/112.12(c)(1)] All containers are fully compatible with the material held and the environmental conditions to which they can reasonably be expected to be subjected. Ardaugh Glass Inc. I Wilson Facility 32 CESPP I September 2015 aim 1 5�:"�tiL=gisCi�ti_:-_:..�. :�1ti�d d Cii �x__3�i•�:_: k'•.'G---`-:: ;'i T Ci:.::�i::...:: �:7�\:5.�'--� f Y___i�tiitiatilt:{i; u:.titi L'.1 ] Lti-=:�.xY•�iY-�`Ci :at-= _•_:.._.::7 .i Oi:v:�:xiraRY•-_'ti:1:.:.i-Cv 6.3.2. Secondary Containment [112.8/112.12(c)(2)] AGI utilizes the secondary containment addressed in Appendix H. All tanks contain sized secondary containment through concrete structures or a double walled construction. A small number of totes and drums do not have secondary containment; however they are located inside the manufacturing building and the building itself provides equivalent environmental protection, since no doorways, floor drains or other openings are located near the totes/drums. Secondary containment for tanks located outdoors, is designed capable of containing the contents of at least the single largest container in the containment area plus sufficient freeboard for precipitation. 6.3.3. Drainage of Rainwater [112.8/112.12(c)(3)(i) thru (iv)] AGI uses secondary containment for tanks located outdoors. Rainwater is pumped out of these secondary containment areas upon inspection. If any oily sheen is present oily water is pumped into a drum for proper disposal. The following is true for secondary containment areas: • Any bypass valves are normally closed > Rainwater is inspected to ensure no discharge has occurred > Records of these events are maintained If upon inspection, the oil water separator fails to perform adequately, personnel performing the inspection procedure will contact the EHS Manager and corrective action will be taken. 6.3.4. Buried Metallic Storage Containers [112.8/112.12(c)(4)] AGI does not have buried metallic storage containers, therefore the provisions of 112.8(c)(4) and 112.12(c)(4) do not apply. 6.3.5. Partially Buried Metallic Storage Containers [112.8/112.12(c)(5)] AGI does not have any partially buried storage containers, therefore the provisions of 112.8(c)(5) and 112.12(c)(5) do not apply. 6.3.6. Periodic Integrity Testing [112.8/112.12(c)(6)] In general, the rule requires visual testing in conjunction with another method of testing when visual testing alone is normally insufficient to measure the integrity of a container. Visual inspection is sufficient to measure the integrity of all the tanks because they are either double -walled tanks such that the interstitial space can be observed or are small -volume, factory -built containers within secondary containment such that inspection of the sides and the bottom of the tank for corrosion and other conditions which could cause failure of the tank. A visual inspection is sufficient for these containers because these containers do not make contact with the ground. This is explained per the response to comments in the Federal Register (67 FR 47042) dated July 17, 2002, which states: "For certain smaller shop -build containers in which internal corrosion poses minimal risk of failure; which are inspected monthly, and, for which all sides are visible (i.e., the container has no contact with theground) visual inspection alone mightsuffice, subject to good engineering practice." The level indicators on the oil tanks are tested at least as often as the non -visual integrity tests are carried out on the tanks. The results of the integrity tests will be signed by the inspector or supervisor as appropriate, and included in Appendix R. Ardaugh Glass Inc. j Wilson Facility 33 CESPP j September 2015 Please note that AGI sets a small number of 55-gallon drums on the Floor. The oil in these drums are consumed in a short period of time, therefore, only a visual inspection will be performed. The frequent use and short duration on site of these SS -gallon drums is deemed to provide equivalent environmental protection and only visual inspections will be required. 6.3.7. Internal Heating Coils [112.8/112.12(c)(7)] AGI does not have any containers with operational internal heating coils, therefore, the provisions of 112.8(c)(7) and 112.12(c)(7) do not apply. 6.3.8. Liquid Level Control [112.8/112.12(c)(8)] A facility must provide at least one of the following devices to avoid discharges. • High liquid level alarms with an audible or visual signal. In smaller facilities, an audible air vent may suffice • High liquid level pump cutoff devices to stop flow at a predetermined container content level • Direct audible or code signal communication between the container gauge and the pumping station • A fast response system for determining the liquid level of each bulk storage container such as digital computers, telepulse, or direct vision gauges. If you use this alternative, a person must be present to monitor gauges and the overall filling of bulk storage containers. > Regularly test liquid level sensing devices AGI has level indicators for all aboveground storage tanks. The two (2) 500,000-gallon fuel oil tanks (Tanks 1 and 2) are equipped with high liquid level alarms. 6.3.9. Facility Effluent Discharged into Navigable Waters [112.8/112.12(c)(9)] AGI's only water treatment process is the two oil water separators. AGI. Effluent from the oil water separators discharges to the lagoon system for pre-treatment before being discharged to the POTW. As such, this requirement does not apply. 6.3.10. Correction of Container Deficiencies [112.8/112.12(c)(10)] If, by regular inspections or otherwise, it is determined that the integrity of the containers or auxiliary equipment is or may have been compromised, the system shall immediately be taken out of service, the problem evaluated, and appropriate steps taken to correct all deficiencies. AGI personnel will promptly remove any accumulations of oil in associated containment areas. 6.3.11. Mobile/Portable Oil Storage Containers [112.8/112.12(c)(11)] The portable oil storage container on -site is the 500-gallon diesel tank that sits on a skid and is located by in the oil storage shed near the northwest corner of the manufacturing area. 6.4. FACILITY TRANSFER OPERATIONS 6.4.1. Buried Piping Installations [112.8/112.12(d)(1)] AGI does have buried piping; installations associated with the out -of -service oil water separator; however, the piping has been blocked off and is not in use. Therefore, the provisions of 112.8(d)(1) and 112.12(d)(1) are not applicable. Ardaugh Glass Inc. I Wilson Facility 34 CFSPP I September 2015 6.4.2. Out -of -Service Piping 1112.8/112.12(d)(2)] AGI has out -of -service piping connected to the old oil water separator, therefore, the provisions of 112.8(d)(2) and 112.12(d)(2) apply. 112.8(d) (2) states that a facility must cap or blank -flange the terminal connection at the transfer point and mark it as to origin when piping is not in service or is in standby service for an extended time. The facility has properly blocked off the out -of -service piping connected to the old oil water separator. 6.4.3. Piping Support Design [112.8/112.12(d)(3)] Pipe supports are properly designed to minimize abrasion and corrosion and to allow for expansion and contraction. 6.4.4. Inspection of Aboveground Valves and Pipelines [112.8/112.12(d)(4)] All valves, fittings, hoses, and aboveground pipelines are inspected weekly according to the general inspection schedule in Section 5.2. Minor leaks are identified and repaired before becoming a spill event. 6.4.5. Potential for Damage to Aboveground Piping [112.8/112.12(d)(5)] All aboveground oil carrying piping is located within or adjacent to the facility with no vehicular access potential. No vehicle will endanger the piping or other oil transfer operation. s Ardaugh Glass Inc. I Wilson Facility 35 CESPP I September 2015 :}+:•.T.ti'C.�'�:-`-=_:r=�i�.::'3 � �?::: �;�:.:�:32:_�c�i�__=:=_� i S__iiarlti_i--.::'c?;:.�.\.;:-\.:-:A i ti-`2• 'U�:.-: _.:vct-=:::___� s a:=-:�ti'::tixva��:::.1--v-a • G::::�: ,,s•.:a•aa�..�c.�cc-__..rr.r a r::: _• 7. SLUG CONTROL PLAN .....------..................................................................................................... _-...-,,,--.................................. 40 CFR 426 includes federal wastewater pretreatment requirements for glass container facilities. 40 CFR 426.86 requires glass container facilities to comply with 40 CFR 403, which includes the requirement for a Slug Control Plan (SCP). The Wilson facility CESPP does include a SCP due to the industrial wastewater pretreatment permit (Sewer Discharge Permit 48409). Per 40 CFR 403.8 (f) (2)(vi) — Pretreatment Program Requirements: Development and Implementation by POTW, a slug control plan must contain the following content included in this plan. > (A) Description of discharge practices, including non -routine batch discharges; o Runoff from the southwestern side of the facility, which contains the cullet storage area, drains to the wastewater treatment lagoons (WWTF). This runoff is recycled with process cooling water. The effluent from the WWTF is discharged to the POTW and is inspected every weekday to ensure that any upset conditions are quickly addressed. > (B) Description of stored chemicals; o Refer to Tables H-1 and H-2 of the plan. (C) Procedures for immediately notifying the POTW of Slug Discharges, including any Discharge that would violate a prohibition under § 403.5(b) with procedures for follow-up written notification within five days; o Refer to the notification procedures in Section 1 of the plan. > (D) If necessary, procedures to prevent adverse impact from accidental spills, including inspection and maintenance of storage areas, handling and transfer of materials, loading and unloading operations, control of plant site run-off, worker training, building of containment structures or equipment, measures for containing toxic organic pollutants (including solvents), and/or measures and equipment for emergency response. c Accidental spills, including inspection and maintenance of storage areas, handling and transfer of materials, loading and unloading operations, control of plant site run-off. ■ Refer to Table H-3 of the plan. o Worker training. ■ Refer to Section 4.6 and Appendix K of the plan. o Building of containment structures or equipment, measures for containing toxic organic pollutants. ON The facility will follow the provisions of 112.8(c)(1) for compatibility of containers and products stored and the secondary containment provisions of 112.8(c)(2). o Measures and equipment for emergency response. 4 Refer to procedures in Sections 1 and 4.2 of the plan. Ardaugh Glass Inc. I Wilson Facility 36 CESPP I September 2015 ttii--_-.�� ! OG?__•'l':v`_i_titi_a7�_'�_�::�::::.e tl �ii ti+: �.: ti.._1wwwi..C-V z'..:::a ■ 3L:::.z..ti-.ti7}.:l"^::::: �ti': �-_:_-JI .I n:=.:Al'kti �'a•.-�:w�•�i _•. tea.: _.-.)s • �.. _t:___::.•.-�.a�v..ti ��c-=�._-. r v__.._r...,....:r..:r:. B. CROSS-REFERENCE MATRICES FOR REGULATIONS AND CESPP SECTIONS ............................................................................................................. .............................-.--.I.,.....------ ........................... - ----............... -----... The tables included in this section are a series of regulatory cross-reference tables that provide a listing of the various regulatory citations for emergency response and planning requirements. The tables provide a cross-reference for potentially applicable federal regulatory requirements and this CESPP. These tables are intended to assist facility personnel in determining if specific planning requirements are applicable to their facility, and to assist inspectors from regulatory agencies in assessing compliance with the various regulations. Note that the following requirements are not included in the regulatory cross-reference tables since these requirements are not applicable to the Wilson facility. 40 CFR 265 Subpart D - Interim Status Standards for Owners and Operators of Hazardous Waste Treatment Storage, and Disposal Facilities, Contingency Plan and Emergency Procedures 40 CFR 279.52(b) - Standards for Used Oil Processors and Re -refiners 40 CFR 112.20 and Appendix F - Oil Pollution Prevention Facility Response Plan for a facility that meets the substantial harm criteria and Facility -Specific Response Plan 33 CFR 154 - United States Coast Guard Facility Response Plan requirements 49 CFR 194 - Department of Transportation and Research and Special Projects Administration (RSPA) Facility Response Plan 40 CFR 265 Subpart D is not applicable to the Wilson facility since the facility is not a hazardous waste treatment, storage, or disposal facility. 40 CFR 279.52(b) is not applicable to the Wilson facility since the facility does not "process" used oil per 40 CFR 279.50(a). 40 CFR 112.20 and Appendix F are not applicable to the Wilson facility since the facility does not have the potential to cause substantial harm per Appendix C to 40 CFR 112. 33 CFR 154 is not applicable to the Wilson facility since the facility is not capable of transferring oil or hazardous materials, in bulk, to or from a vessel, where the vessel has a total capacity, from a combination of all bulk products carried, of 39.75 cubic meters (250 barrels) per 33 CFR 154.100(a). 49 CFR 194 is not applicable to the Wilson facility since an onshore oil pipeline is not located at the facility per 49 CFR 194.3. Note: The following regulations may be applicable to the Wilson facility, but are not currently included and referenced in the CESPP. OSHA Emergency Action Plans (29 CFR 1910.38(a) OSHA HAZWOPER (29 CFR 1910.120) Ardaugh Glass Inc. I Wilson Facility 37 CESPP I September 2015 I . a a--=;._=__z: �.v�x�:.... ..;..k..e ■ .r . — Table 8-1� Hazardous Waste Contingency Plan Cross References 1 EPA's Hazardous Waste Contingency Plan Section(s) Requirements 40 CFR 265.52)CESPP 256.52(a) Plan must describe the actions facility Section 1.1.4 personnel must take to develop and implement the Contingency Plan i.e., emergency rocedures 265.52(h) Plan must describe arrangements agreed to Section 1.1.1 by local police departments, fire departments, hospitals, contractors, and state and local emergency teams to coordinate emergency services 265.52(c) Plan must list names, addresses, and phone Section 1.1 numbers of all persons qualified to act as emergency coordinator 265.52(d) Plan must include a list of all emergency Section 1.1.8 equipment at the facility when the a ui meat is re aired 265.52 e Plan must include an Evacuation Plan Section 4.3 265.52(f) If site has an SPCC Plan, then the SPCC Plan CESPP can be amended to incorporate these plan requirements. Other plans can be integrated into one plan to meet all regulatory requirements e.., CESPP). Table 8-2. SPCC Plan Cross References EPA's Oil Pollution Prevention Regulation (40 CFR 112), Non-NRT's CESPP Guidance Elements CESPP Section(s) 112.3 d Professional Engineer certification Appendix 0 112.5 Amendment of Spill Prevention, Control, and Countermeasure Plan by owners or operators Appendix F 112.7 General requirements for Spill Prevention, Control, and Countermeasure Plans a 1 2 Facility conformance Section 6 a 3 Physical layout of facili G i Type of oil in each fixed container and storage capacity —Aependix Appendix H ii Discharge prevention measures Appendix H (iii) Discharge or drainage controls Section 5.2.14 and AppendixH (iv) Countermeasures for discharge discovery, response, and cleanup Section 6 (vj Methods of disposal of recovered materials Section 1.1.3 vi Contact list and phone numbers Section 1.11 a 4 Reporting requirements Section 1.4.4 a 5 Procedures for a discharge Section 1.1.2 (h) Prediction of direction, rate of flow, and total quantity of oil Section 5.2.14 and Appendix l (c) Containment and/or diversionary structures or equipment to prevent a discharge Appendix H 1 For onshore facilities Appendix H 2 For offshore facilities N/A d Impracticability of c N/A 1 Oil spill contingency lam —N/A Ardaugh Glass Inc. I Wilson Facility 38 CESPP I September 2015 =-.1-_2s__'3 f T'iiiiiiCCii {•_�.::;\u--•ti'.-:3 :: 1: k'- :_".".�-_i-.:ti= _:titi.;:a I c:-'a-L-_' •:__�—: ', ■ a. ::— i EPA's Oil Pollution Prevention Regulation (40 CFR 112), Non-NRT's CESPP Guidance Elements CESPP Section(s) (2) Written commitment of manpower, equipment, and materials Section 5.2.18 e Inspections, tests, and records Section 5.2 (f) Personnel, training, and discharge prevention measures 1 Training Aependix K 2 Person accountable for discharge prevention Section 1.1.1 3 Discharge prevention briefings Section 4.6 Security Section 5.2.16 (h) Facility tank car and tank truck unloading/unloading rack Section 5.2.17 (1) Drainage that does not flow into a catchment basin or treatment facility designed to handle discharges Section 5.2.17 (2) Interlocked warning light or physical barrier system, warning signs, wheel chocks, or vehicle brake interlock system Section 5.2.17 (3) Inspection requirements prior to filling and departure of any tank car or tanktruck Section 5.2.17 i Field -constructed aboveground container Appendix 11 Conformance with applicable requirements Section 6 kQualified Oil -filled Operational Equipment Appendix 11 1Qualification Criteria - Reportable Discharge History Appendix E (2) Alternative Requirements to General Secondary Containment Appendix 1-1 112.8 Spill Prevention, Control, and Countermeasure Plan requirements for onshore facilities (excluding production facilities a Meet the general requirements under 40 CFR 112.7 Section 6 b Facility drainage Section 6.2 1 Drainage From diked storage areas Section 6.2.1 2 Valves for diked storage areas Section 6.2,1 3 Drainage from undiked areas N/A 4 Final discharge of all ditches Section 6.2.2 5 Drainage water treatment Section 6.2.3 c Bulk storage containers Section 6.3 1 Compatible products and containers Section 6.3.1 2 Secondary containment Section 6.3.2 3 Drainage of uncontaminated rainwater Section 6.3.3 4 Buried metallic storage containers Section 6.3.4 5 Partially buried metallic storage containers Section 6.3.5 6 Periodic integrity tests Section 6.3.6 7 Internal heating coils Section 6.3.7 8 Liquid level control Section 6.3.8 9 Effluent treatment facilities Section 6.3.9 10 Visible discharges from oil containers Section 6.3.10 (111 Mobile or portable oil containers ositionin Section 6.3.11 d FaciNty transfer operations Section 6.4 1 Buriedpiping Section 6.4.1 Ardaugh Glass Inc. I Wilson Facility 39 CESPP I September 2015 .8i:J .::.Z]:�—:iiu :.: _•__�:_::.:zi 1 C_:.i,'::a:•�ti- -. .-'___. a t: _•__7:-_-_',_'_77___y_..'... ss r:u::an.�:,_;.__�.c•_t_��_..:_n a:::a:::cr x-c.�:._:-ti•.ti .k� EPA's Oil Pollution Prevention Regulation (40 CFR 112), Nan-NRT's CESPP Guidance Elements CESPP Sectipn(s} 2 Out -of -service piping Section 6.4.2 3 Pipe support design Section 6.4.3 4 Inspection of aboveground valves andpiping Section 6.4.4 5 Potential for dama e to aboveground i in Section 6.4.5 Table 8-3. Oil Removal Contingency Plan Cross References EPA's Criteria for State, Local, and Regional Oil Removal Contin enc Plans 40 CFR 104 CESPP Sectian[s) 104.5 Development and implementation criteria for State, local, and regional oil removal contingency plans (a) Definitions of the authorities, responsibilities, and duties of all persons, or anizations, ar a encies Section 1.1 U Notification procedures Section 1AA 1 Identification of critical water use areas Section 6.1.1 (2) Names, telephone numbers, and addresses of the responsible persons, alternates, organizations, and agencies Section 1.1 (31 Access to a reliable communications stem Section 1.1.6 4 Procedure for requesting assistance Section 1.1.10 (c) Provisions to assure that full resource capability is known and can be committed 1 Identification and inventory o€applicable equipment Section 1.1.8 (2) Estimate of the equipment, materials, and supplies which would he required to remove the maximum oil discharge to be anticipated Section 6.1.2 3 Agreements and arranements NIA d Actions after discovery and notification 1 Oil discharge response operating team Section 6.1.3 (2) Pre -designation of a properly qualified oil discharge response coordinator Section 1.1.1 (3) Preplanned location for an oil discharge response operations center Section 1.1.6 4 Provisions for varyingvaFyjDg degrees of response Section 1.1.7 (5) Order of priority in which water uses are to be protected Section 6.1.4 e Recovery of damages and enforcement measures Section 1.3 Ardaugh Glass Inc. I Wilson Facility 40 CESPP J September 2015 Table 8-4. Slug Control Plan Cross References EPA's General Pretreatment Regulations for Existing and New Sources of Pollution (40 Cl~R CESPP Sections) 403.8 1 iii B 403.8(f](1)(iil)(B) Both individual and general control mechanisms must be enforceable and contain, at a minimum, the following conditions. 403.8 1 iii B 1 Statementofduration Section 7 403.8(f](1)(iii)(13)(2) Statementof non -transferability Section 7 without, at a minimum, prior notification to the POTW and provision of a copy of the existing control mechanism to the operator 403.8(f)(1)(iii)(13)(3) Effluent limits, including Best Section 7 Management Practices, based on applicable general Pretreatment Standards -- - ----- ------ Section? 403,8(f)(1)(iii)(B)(4) Self-monitoring,sampling, reporting, notification and recordkeeping requirements, including an identification of the pollutants to be monitored, sampling location, sampling frequency, and sample type, based on the applicable general Pretreatment Standards 403.8(f)(1)(iii)(B)(S) Statement of applicable civil and Section 7 criminal penalties for violation of Pretreatment Standards and requirements, and any applicable compliance schedule. 403.8(f)(1)(iii)(B)(6) Requirements to control Slug Section 7 Discharges, if determined by the POTW to be necessa Ardaugh Giass Inc. ( Wilson Facility 41 CESPP I September 2015 APPENDIX A - EMERGENCY AND SPILL NOTIFICATIONS --------------------------------------------------.----.--------------.......-....---.---......... - ------------------------------ EMERGENCY NOTIFICATION FORM Primary Emergency Coordinator's Phone Number: (252) 291-1500 or (252) 583-4781 (cell). [f someone calls the Primary Emergency Coordinator with an emergency, collect the following information from the caller. Do not let the caller disconnect until all of the following information is collected. Note: the caller shall not put himself/herself in harm's way to collect the information. Date and time of the emergency event: Exact location of the emergency event (include building number and location within building): Type and description of the emergency: Estimate of the amount of chemicals/material released or the size of the fire: Extent of injury or property damage incurred: Extent of the actual or potential environmental damage: Remedial action taken, if any: Name of Notifier/Discoverer: Ardaugh Glass Inc. I Wilson Facility 42 CESPP I September 2015 �."'._= :.:-:�:::: _.-:tii ! Lti•:�'::::4 �3.�.5.:�`'4ii.�_�:.::i-:..._. T i.-:vw�.•S-c._..-.-.....�.c.�.:='s i 7:�-_:,..zaLw:.i:i2_�i� -: •.•aura .,=�a.�.�JM.:a ..:..„�� _-__==a 1 c0.i-�•_-a:__ ti tia'+nA'._a.:i,:��a • cc::::a-_ SPILL NOTIFICATION FORM Name of person making notification: Phone number of person making notification: Facility Information: • Facility Name and address: Ardagh Glass lne. Facility 2201 Firestone Parkway Wilson, North Carolina 27893 • Facility ID #: NCDO8417OS70 • Latitude, and longitude: 35.760661°,-77.880433' Date and time of the release: Type of container from which release occurred: Source and cause of the release: Type of material released: Estimate of the quantity of material released: Streams/rivers/bodies of water which have been or may be affected by the release: Toisnot Swamp Injuries caused by the release: Damage caused by the release: Whether evacuation was/will be necessary (circle one): Yes Steps being taken or proposed to contain and clean up the release: Estimated quantity and disposition of any recovered materials: Names of authorities/organizations that have also been/will also be contacted: • National Response Center • North Carolina Division of Emergency Management No Also contact Fire Department, Police Department, Wilson County Planning Group and/or Hospital if considered necessary. Ardaugh Glass Inc. I Wilson Facility 43 CESPP I September 2015 APPENDIX B - WRITTEN NOTIFICATION RECORDS (MAINTAINED) Ardau;h Glass Inc. I Wilson Facility 44 CESPP I September 2015 •?:;`:.ik:.�.``. =...2C:=:..-.. ►.tiSr_-::-:::i:??:it :..:.-.. _a,.�1_.'-.7 7 S:.i'�i"ti�:}:�;+iCii{•.�. _s__.,�:•S i Lti•: W.L i�:C_i1��`: _z: _,s_.:: �] 1 A:ii-:1e:�ar.•_,.__....�-w1-"_a s �i__ ��1_i _i:a?�C�: _?`=.==_Y a-r�ss APPENDIX C - MINOR SPILL RESPONSE PROCEDURES """"-""...... .....................................'..................._..........................................""......... -____.-.-...................................... AGI shall implement the following procedures for minor spills. 1. Upon observation of a minor spill or release of oil or a stored substance, employees are instructed to safely attempt to the best of their ability to contain the spill or release (place absorbent material (i.e., floor dry], shut off pumps, close valves, and/or discontinue loading/unloading operations]. Such measures should only be undertaken by an adequately trained individual. 2. Employees should contact the Emergency Coordinator or most immediate available supervisor and provide them with information concerning the spill, such as: > Employee name; > Location of the spill; > Type and amount of material spilled; > Any injuries sustained; > Actions and result of actions taken to mitigate spill; > Releases to drains, soils or the air; and > Circumstances that caused the spill. 3. The Emergency Coordinator will notify and instruct facility personnel and the maintenance department to initiate immediate spill containment measures. The maintenance department is responsible for gathering the needed manpower and equipment to adequately respond to the release. 4. Spill containment will be given a high priority by all employees. Minor spills will be contained by using absorbents. Every effort shall be made to prevent the spill fi•om reaching surrounding soils, sanitary sewers, storm sewers, public waters, or otherwise escape the facility's property. S. Clean-up of the spilled material (by adequately trained individuals only) will be as follows: > Leaking drum/container: Safely upright drum and/or transfer contents to a new drum, if possible, or place drum in an overpack container; > Spilled liquids: Use floor dry or absorbent pigs to absorb spilled liquids - under no conditions will water be used to wash spilled liquids away; > Spilled solids: Use brooms and shovels or appropriate equipment to clean up this material; and A list of spill response and clean-up equipment maintained at the facility is provided in Section 5 of the CESPP. b. All spilled material will be placed in containers that have been inspected for integrity. Only containers that are compatible with the waste generated by the spill will be used. Ardaugh Glass Inc. I Wilson Facility 45 CESPP I September 2015. s-�:'::_"-i i Ei-:;.:'ti:::'i:�'c...:�\iic_.=-:} I till{tilr::tii;a•:.�:i:il _.__'.. i �� �SAt-:::CCO.\+:.--_. _. __:: �] I ._::i•:.WV::.-::1:.:. `:i:..... 7 �:i.=_�..:'r.^::.:Y :.�....-:___s � t�_,-:�V.?'.4?a::.A"��]:_l APPENDIX D - MEDIA RESPONSE PLAN ........................ .......­ ---- - ---------..........-........................................ I .................... ................. ARDAGH GLASS INC. FACILITY WILSON, NORTH CAROLINA Media Response Plan In the event of a catastrophe, the news media; i.e., television, radio, and newspaper will probably have representatives at the plant. Since incorrect or misinterpreted information could have severe damaging effects, it is necessary to establish a policy covering this sensitive area. The Saint-Gobain Containers policy is as follows: "Only the Plant Manager is authorized to speak to media representatives. All other employees, salaried, as well as hourly, should, if approached by representatives of the news media, refer them to the above person." It is imperative that other members of management keep the Plant Manager fully informed and up-to-date on all activities being carried out, so that accurate information may be disseminated. The Plant Manager will prepare a written statement, at least daily, or more often if necessary, to be given or read to reporters. Each written statement must be approved by the Manufacturing Vice President before it is released. The condition of the injured should not be discussed with reporters. For this information refer them to the hospital. Note: Avoid specifying the exact cause of the incident. Avoid making estimates of damage or downtime. It is also important to keep the union officers well informed and up-to-date. Ardaugh Glass Inc. I Wilson Facility 46 CESPP I September 2015 APPENDIX E - SPILL HISTORY Date Spill Amount (gal) Spill Description Ardaugh Glass Inc. I Wilson Facility 47 CESPP i September 2015 APPENDIX F - CESPP; REVIEW LOG Date Review Purpose P.E. Certification Management and/or P.E. Responsible for Required Review 1980s Initial Plan Yes Predecessor Company Completed 4/5/2006 Revised Plan Yes Richard Snyder, P.E. 3/2010 Revised Plan No 1/30/2012 Administrative updates No Revisions to oil storage 12/2013 at Facility, update of Yes Aimee Andrews, P.E. regulatory citations, re- formatting of sections 8/2014 Revised Plan Yes Aimee Andrews, P.E. Revision to Table H-3- 10/2014 Exposed Significant William C. Johnson Materials - Trash No EHS AManager Compactor Has Been Ardagh Glass - Wilson Facility Removed from Facility Added propane storage 3/2015 tanks and oil/used oil Yes Aimee Andrews, P.E. storage tanks Changed T-8 to 240 gallon diesel fire pump 9/2015 tank; Added SW Yes Aimee Andrews, P.E. draining color coded areas to ma Ardaugh Glass Inc. I Wilson facility 48 CESPP I September 2015 - ---------- -, - APPENDIX G - SITE MAPS .................................................... I-- ............................... ............ ............. Ardaugh Glass Inc. I Wilson Facility 49 CESPP I September 2015 z z z Z O 0 0 v o 0 fn f7 �t0(p Ml 0 :1J0 IMMETES ?rsfld 4em 10?0! C2001 \ati:" 0e _gip ,dz zal"xp (non:;:po,cam) Figure G-1 Site Location Map Tt3 T12 T.— Power S.cw���P} u © ]d6 T wanYs5d6 n.,.nr. / TSLrre �05 06 iiiiii�nbenb Te ��rapo5Mtl � T1O NSK CYumt 1 Pmp.ne rlou.. j� j�j� }�'111 4 IE111B } 1 �— Acs-id p P' xr.,,-2.na.3 AY lYJ1,Ai. D:ypmTW.- Abew mour.l a pma 7L Manufacluring c T�6do E0 o a sue: Warehouse —RJ T e c�a'o w.ee+ra P•• �'i'eeW� rA..P wrw _ oaw.rr steal[ ♦\//\\\\ Perry[`• SM 000 ir,n iwl PI m tu. o•r. rr,y aT.eY 5a. T.r„atma r ,am p.a w«uar..r W prkn MrN,m. t �tl rt.rn.n.M b.p etTil� r�P.a iweawn e.xp..M.1 fN SW O.rP+iW' l.eY n..� Srwvq Owwwon Pt am ar, a tt.ey re ,mo asa o..a rw w,tww.r h..tm.R Lipoan L, GENO alormwaler Drainage NO 1 Property Border +H*F R.O..d rY«e SK spie IGI Figure G-2 Oil Storage Containers and Oil -Filled Equipment Locations wrt Store. Arx Figure G-3. Site Plan, Stormwater Drainage, and Exposed Significant Materials Ardaugh Glass Inc. I Wilson Facility 52 CESPP I September 2015 000O $crap Metal Storage ReG�wlauon Scab d C Line a.wo� 1 wastewater; j aeatmem Pe„ Lagoon lRn O[[p oc.am et :�• Loraoon o2 LEGEND Property Bwde' Ra ..d ® Sturmvrater D— Un rgr-nd Slorntan �— Drain � Site Orainapa IN—, 11—ge Fl— tar Duman et 9a» h three. Lnloe g weer E southwest of Mtn Bu g' Overall pe Flaw For Oupall e2 North, Eest, South of Main E—T, Bud�nQ, $oath PaplllrlQ Loi' 9�uaa t=iPrwq`__"_ urcerpapq :01� Figure G-3 Site Plan, Stormwater Discharge, and Exposed Significant Materials Figure G-4. Manufacturing Layout Ardaugh Glass Inc. I Wilson Facility 53 CESPP I September 2015 ii.YTJfx ltiaiRn .uM G-�nrq Cainlvn � BdrfJ1 .�. ^^••t► ® � � � ® 11 I�'7 �. I Crier I 1J , CV 'J / 1rip.lfYat -------', ♦' - I i ir]Olill:obi f �• l 11�11������"'����AAAA x ❑ ❑ L NI: I - aC` � � $• � thlr i ti ` r�pp�� .�. f =4w Figure G-4 Manufacturing Layout yI ILIP it I-E n I rr ru I r r rl I kiYwae . r . APPENDIX H - OIL STORAGE CONTAINERS AND OPERATING EQUIPMENT Table H-1 covers all oil storage containers 5S gallons or greater, exposed significant materials that may pose a threat to stormwater, associated containment measures, and map designations. AGI takes measures to minimize the potential for a discharge of oil products at the facility. Aboveground valve and piping is inspected during the weekly inspection. The conditions of pipes, joints, catch pans, pipeline supports, locking of valves, and those areas where the piping has a high potential for leaking are noted on the inspection report. During loading and unloading of oil, facility personnel will oversee vendors. Vendors must comply with the minimum requirements for loading and unloading, including, but not limited to no smoking, handbrake set, attendance required, and engine stopped. Warning signs are posted to prevent vehicles from departing prior to completely disconnecting from transfer lines. The signage instructs the attendant loading or unloading to stay with the vehicle at all time during transfer and to examine the valves, hoses, connections, fittings and outlets of their vehicles for leakage prior to loading, unloading, or departure. 'Fable H-1. Oil Containing Storage and Connecting Lines Material of Exposed to Type of Capacity Material of Construction, Level Ke y in Contents Location Construction, Storm Container (gallons) Container Secondary Containment Indicator water? Fig. G-2 Compacted Clay AST #2 Fuel Oil 500,000 West Tank Area Steel Yes Yes Tank 1 (716,159 gal) Fuel oil mix Compacted Clay AST 540,OD0 East Tank Area Steel Yes Yes Tonic 2 42 Fuel Oil (718,159 gal) Compacted Clay AST Lubricating oil 10,000 West Tank Area Steel Yes Yes 'Tank 3 (718,159 gal) Compacted Clay AST Lubricating oil 10,000 West Tank Area Steel Yes Yes Tank 4 (718,159 gal) Compacted ed Clay ct AST Diesel fuel 16,000 East Tank Area Steel Yes Yes Tgi1'.;,�. gal) Compacted Clay AST Diesel fuel 16,000 East Tank Area Steel Yes Yes Tank 6 (718,159 gal) AST Used oil 8,000 NE of Sprinkler Pond Steel Concrete (8,190 gal) Yes Yes Tank 7 AST Diesel fuel 240 NE of Sprinkler Pond Steel Concrete (605 gal) Yes Yes Tank 8 Ardaugh Glass Inc. I Wilson Facility 54 CESPP [ September 2015 Material of Exposed to Type of Capacity Material of Construction, Level Key in Container Contents (gallons) Location Construction, Secondary Containment Indicator Storm Fig. G-2 Container water? Concrete Storage Shed NW of Building (2,000 gal) AST Kerosene 1,000 Mfg. Bldg. Steel Sump (90 gal) Yes No Tank 9 WWTF (3D0,000 gal) Portable Storage Shed NW of Double -walled tank AST Used Oil 1,000 Mfg. Bldg. Steel Yes No Tank 10 W of Tanks 1, 3, and 4 - Runs Power Secure Double -walled tank AST Diesel fuel 5000 Steel Yes Yes Tank 12 peak shaving No. 4 and 5 generators SW of Warehouse near pallet Storage - Runs 3 Double -walled tank AST Diesel fuel 12,000 Steel Yes Yes Tank 13 peak shaving No. 1, 2, and 3 generators Portable Storage Shed NW of Double -walled tankAST Used Oil 500 Steel Yes No Portable Mfg g• . Bld Double -walled steel cabinet Hazardous Max Storage Shed NW of Cabinet (45 gal) Drums Waste 55-gals Mfg. Bldg. Misc. Building (2,000 gal) N/A No Drums 1 Sump (90 gal) WWTF (300,000 gal) Concrete Max 15 x Storage Shed NW of Building (2,000 gal) Drums Lubricating oil Steel N/A No Drums 1 SS -gals Mfg. Bldg. Sump (90 gal) WWTF (300,000 gal) Totes Mold dope Max 2 x Mfg. Bldg. Plastic Concrete curbing (200 gal) N/A No Totes 1 100-gals Ardaugh Glass Inc. I Wilson Facility 55 CESPP I September 2015 Material of Exposed to Type of Capacity Material of Construction, Level Key in Container Contents [gallons} Location Construction, Secondary Containment Indicator StormFig. 6-2 Container water? Oily water; Oil/Water Separator Oil/Water Oil/Water (OWS) Building Concrete curbing (11,220 sludge; used 10,000 Coucrete Yes Na Separator Separators oil Southwest of Mfg. gal)Bldg Bldg. Forklift -Propane AST Diesel Fuel 600 Steel Double -walled tank Yes No Tank 11 Storage Shed Oil/Water Separator Concrete Curbing (1500 AST Used Oil 1,000 OWS Building -Mfg. Steel Yes No Tank 14 gal) Building Oil/Water Separator Concrete Curbing (1500 AST Oil Sludge 1,000 OWS Building -Mfg. Steel Yes No Tank 15 gal) Building Inside of Peak Shaving AST Diesel Fuel 1,000 Generator No. 5-Mfg. Steel Double -walled tank Yes No Tank 16 Building AST Propane Gas 30,000 West of Main Facility Steel N/A Yes Yes Propane Tank 1 AST Propane Gas 30,000 West of Main Facility Steel N/A Yes Yes Propane Tank 2 AST Propane Gas 30,000 West of Main Facility Steel N/A Yes Yes Propane Tank 3 AST Propane Gas 30,000 West of Main Facility Steel N/A Yes Yes Propane Tank 4 West of Main Facility AST Propane Gas 1,D00 in Cage Near Steel N/A Yes Yes Propane Warehouse Tank 5 Ardaugh Glass Inc. I Wilson Facility 56 CFSPP J September 2015 Table H-2. Oil -Filled Operating Equipment Material of Material of Exposed to Type of Container Contents Capacity Location Construction, Construction, Level Storm Key in [gallons) Container Secondary Containment indicator water? Fig. G-2 Concrete Floor Inside Air Compressors Motor oil 40 each West of Maintenance Steel Bldg.* N/A No ACS 1-8 No.1, 3, 5 Shop Concrete Floor Inside Air Compressors Motor oil 13S each West of Maintenance Steel Bldg.* N/A No ACS 1-8 No. 2, 4, 6, 8 Shop Concrete* Transformer XF-1 Mineral oil 1,577 NW of Mfg. Bldg. Steel N/A Yes XF-1 Concrete* Transformer XF-2 Mineral oil 1,577 NW of Mfg. Bldg. Steel N/A Yes XF-2 Concrete* Transformer XF-3 Mineral oil 1,050 NW of Mfg. Bldg, Steel N/A Yes XF-3 Concrete Floor Inside Transformer Sub 1 Mineral oil 224 Inside Mfg. Bldg, Steel Bldg.* N/A No Sub 1 Concrete Floor Inside Transformer Sub 2 Mineral oil 224 Inside Mfg. Bldg. Steei Bldg.* N/A No Sub 2 Concrete Floor Inside Transformer Sub 4 Mineral oil 224 Inside Mfg. Bldg. Steel Bldg.* N/A No Sub 4 Concrete Floor Inside Transformer Sub 5 Mineral oil 224 Inside Mfg, Bldg. Steel Bldg.* N/A No Sub 5 Concrete Floor inside Transformer Sub 6 Mineral oil 224 inside Mfg. Bldg. Steel Bldg.* N/A No Sub 6 Ardatigh Glass Inc. I Wilson Facility 57 CESPP I September 2015 Furnace Mezzanine Concrete* Transformer T1-28 Mineral oil 445 West of Mfg. Bldg. Steel N/A Yes T 28 Furnace Mezzanine Concrete* Transformer T2-28 Mineral oil 445 West of Mfg. Bldg. Steel N/A Yes T-28 Furnace Mezzanine Concrete" Transformer T3-28 Mineral oil 428 West of Mfg. Bldg. Steel N/A Yes T-2$ Furnace Mezzanine Concrete* Transformer T1 29 Mineral oil 445 West of Mfg. Bldg. Steel N/A Yes T-29 Furnace Mezzanine Concrete* Transformer T2 29 Mineral oil 428 West of Mfg. Bldg. Steel N/A Yes T 29 Furnace Mezzanine Concrete* Transformer T3-29 Mineral oil 42$ Steel N/A Yes T-29 West of Mfg. Bldg. *The transformers and compressors on site are exempt from sized secondary containment requirements. Such equipment is defined as oil -filled operating equipment, not bulk storage containers, and therefore, not subject to the SPCC requirements in 40 CFR 112.8. Per Section E of the preamble to the 40 CFR 112 rule as stated below, electrical transformers and process equipment are exempt from the secondary containment requirements: '...We [EPA] have distinguished the bulk storage of oil from the operational use of oil... Facilities that use oil operationally include electrical substations, facilities containing electrical transformers, and certain hydraulic or manufacturing equipment The requirementsfor bulk storage containers may not always apply to these facilities since the primary purpose of the equipment is not the bulk storage of oil. Facilities with equipment containing oil for ancillary purposes are not required to provide secondary containment required for bulk storage facilities...' AGI has not had a reportable discharge in the last twelve months. Therefore, all oil -filled equipment at AGI meets the criteria of qualified oil -filled equipment. Since AGI meets the spill history criteria and does not provide general secondary containment for oil -filled operational equipment, as required by 40 CFR 112.7(c), AGI has prepared an oil spill contingency plan (located throughout this CESPP, see Cross -Reference Matrix for guidance in Section 8) and a written commitment to have manpower, equipment and materials available to expeditiously control and remove any quantity of oil discharged that may be harmful (see Section 5.2.18). Ardaugh Glass Inc. l Wilson Facitity 58 CESPP I September 2015 Table H-3. Exposed Significant Materials Secondary Mode of Map Designation Sources Failure Containment and (Figure G-3) Comments Diversionary Structure Bulk Fuel/Oil Liquid Overfill or Follow BMPs in written Bulk unloading/ BMPs are followed during transfer per written procedures, e.g., transfer Unloading/Loading Rupture procedures; WWTF and Loading supervision, chocking wheels, inspection of hoses and connections, use of Retention Basin absorbent materials as needed; Northwest of manufacturing building; Large spills not immediately captured in vicinity of loading area would flow and be captured by the WWTF and/or SW Retention Basin as a failsafe measure. Vehicle Fueling Area Overfill or Follow BMPs in written Vehicle Fueling BMPs are followed during transfer per written procedures, e.g., transfer Rupture procedures; WWTF and Area supervision, chocking wheels, inspection of hoses and connections, use of Retention Basin absorbent materials as needed; Northwest of manufacturing building; Large spills not immediately captured in vicinity of loading area would flow and be captured by the WWTF and/or SW Retention Basin as a failsafe measure. Scrap Metal/Storage Run-off None Required Scrap Metal Storage No potential pollutant (metal is clean); Stored near southeast of warehouse by pallet storage Cullet Piles Run-off None Required Cullet Pile No potential pollutant Gullet is clean); Stored east of production buildin Waste Cullet with Lube Oil Run-off None Required Cullet Pile Stored in roll -off east of production building; Roll -off covered when not in use Aboveground Storage Tanks, Overfill or None Required See Table H-1 See Table 14-1 Drums, Totes Rupture Rail spur batch material from Overfill or None Required Batch House/Raw No potential pollutant (raw materials are clean); Stored northwest of unloading or railcar leaks Rupture I I Material Unloading manufacturing building Possible spillage areas at the AGI facility described below. For each area, the description of the area (i.e., location, contents, emergency equipment), spill containment, spill prevention measures, and a description of the spill response actions, along with a listing of the location of the emergency equipment in the area is provided. Ardaugh Glass Inc. l Wilson Facility 59 CESPP I September 2015 Table H-4. Potential Spillage Areas Description Spill Containment Spill Prevention Emergency/Spill Response Machinery and operations in the All machinery operates inside the All machinery is checked daily for The source of any leakage that exceeds production areas and warehouses, buildings of the Facility. Any spills excessive leakage of any fluids and the machines' normal operating including the furnace area, hot end and inside the building (with the other equipment problems. Oil conditions is repaired as soon as cold end lines, warehouses, and the exception of the office area) will be absorbents around the glass -forming practicable. The leakage is immediately maintenance shop. contained inside the building. Any machines are replaced as needed. contained with floor dry and cleaned up spills which might occur in the area General good housekeeping practices after the leak has been repaired. The will be picked up or directed to the are followed throughout the facility. floor dry is stored near the batch house, WWTF. All open floor drains These practices include the prompt beside the forming department and in the discharge into the basement where removal of small spills, regular refuse compressor room. Telephones are wastewater is collected prior to pickup and disposal, maintenance of located in the hot end at the supervisor's being directed to the WWTF. There dry, clean floors, and the proper office and the quality control laboratory. are no open floor drains inside the storage and handling of chemicals on Telephones are also located in the building or basement to allow spills the production line. maintenance shop. Fire extinguishers are to escape directly to the outside. located throughout these areas. Batch raw material storage and All batch raw materials are stored in The storage and handling operations Spilled materials are immediately picked handling operations. outside contained areas that will not are checked daily for signs of material up and put in a compatible container for allow material spills to escape or leakage. General good housekeeping use.in the facility if possible. Any liquid inside process buildings with no practices are followed throughout the residues left on the floor will be picked up open floor drains, facility. with an absorbent material and disposed of properly. Fire extinguishers and spill kits are located in each of the areas. Degreasing operations are performed All areas are inside the building on These degreasers are used and Spill kits are located in the packing room, in the maintenance shop and use a concrete floors. All open floor drains inspected on a daily basis. All parts shipping, and forming departments. Any Safety -Keen tank with hydrocarbon discharge into the basement where are allowed to drip dry in the leaks discovered from the degreasers are solvents. A sodium hydroxide (caustic) wastewater is collected prior to degreasers to prevent any spills from plugged as soon as possible, and any parts washing system is locate on the being directed to the WWTF. There occurring elsewhere in the facility. spilled material is picked up with southwest side of the facility. The are no floor drains located near absorbents from the spill kits. There are system is covered and has walls on these degreasers that would allow also fire extinguishers located in these three sides. Run-off from the area is any spillage to be released outside areas, and telephones are located in each prevented by a containment curb on the buildings. Spillage in these areas of these areas. the open side. will be contained in these areas. Ardaugh Glass Inc. I Wilson Facility 60 CESPP I September 2015 Description Spill Containment Spill Prevention Emergency/Spill Response Various types of materials used by the These areas are covered. The shed Material is constantly being moved in Spilled materials are immediately picked Facility are stored in these inventory area where drums of lubricating and out of these areas. Containers are up and put in a compatible container for storage areas prior to their use: oils and the kerosene tank are handled in a safe manner to avoid use in the facility if possible. Any liquid hydraulic oil, motor oil, transmission located has a concrete floor which puncturing, and are inspected before . residues left on the floor will be picked up oil, and antifreeze in the fork lift shop; drains to a sump (gross capacity - they are placed in the areas for proper with an absorbent material and disposed degreasing solvent, mold dopes, and 40 gallons) from which any spilled labeling and to ensure the containers of properly. Fire extinguishers, shear spray oils in the receiving oil material would be pumped to are in good condition and properly telephones, and spill kits are located in- — building and drum storage area; paint wastewater lagoons (approximate labeled. Containers are closed while each of the areas. and thinners in the paintshop; and net capacity - 300,000 gallons) that stored in this area. Employees have lubrication oil and kerosene in the oil are part of a WWTF designed to been instructed to look for any signs of storage shed. remove oil from process cooling leakage while in this area. If leakage is water. The discharge from the discovered, the employees will take WWTF is discharged into the City of immediate spill response actions. Wilson POTW. This system provides adequate secondary containment for the drums of lubricating oil and the kerosene tank. Inventory usage areas include the hot These areas are located inside the These areas are in use 24 hours per Spilled or leaked materials are end, forklift shop, maintenance shop, building on a concrete floor. All day, 7 days per week, therefore any immediately picked up and put in a and compressor room. The hot end open floor drains discharge into the leakage would be quickly discovered compatible container for use by the _ uses hot end coatings, transmission oil basement where wastewater is and reported to the proper individual. Facility if possible, Any liquid left on the and mold dopes; tine forldift shop, collected prior to being directed to Containers are labeled as to their floor or spilled product that is not usable maintenance shop, and compressor the WWTF. There are no floor contents and must be in good shall be collected and disposed of room use lubricating oils, water drains located near these areas that condition before they are placed in properly. Spill kits, fire extinguishers, and treatment chemicals, and would allow any spillage to be this area. telephones are located in all of these miscellaneous oils. released outside the buildings. areas. Spillage in these areas will be contained in these areas. Ardaugh Glass Inc. I Wilson Facility 61 CESPP I September 2015 Description i Spill Containment Spill Prevention Emergency/Spill Response The storage area for hazardous Hazardous waste is stored within a This area is inspected weekly to see if For minor spills only. At least one spill kit waste is located in the shed west of the double -walled storage cabinet. any leakage or spillage has occurred. is located in the hazardous waste storage earthen berms. Since hazardous waste The cabinet provides approximately All containers are inspected for area. If a leak or any spillage is is seldom generated at the facility, the 45 gallons of spill containment. Any integrity before being placed in this discovered, the remaining contents of the area is also used for drum storage. materials escaping from the cabinet area. Any spillage in this area would leaking container will be immediately would flow to the facility's WWTF be quickly discovered and reported to transferred to a compatible container that (net containment capacity the proper individual. Minimum is in good condition. Any solid or liquid - 300,000 gallons). access is allowed to this area. Caution material that is spilled will be promptly signs are present and visible to cleaned up and also placed in this employees. Any drums used must be container. Any residue remaining on the in good condition, closed, and labeled floor will be picked up by an absorbent properly. All containers placed in this material and placed in a compatible area are shipped off Site before the container. Any spills are reported to the 90-day accumulation time expires. In Facility's Emergency Coordinator and are order to reduce the possibility of noted on the Facility's inspection log. leakage, an attempt will be made to store only a limited amount of drums for disposal at any one time, and a minimum aisle space of 2.5 feet shall be maintained between the rows of drums. Inspections of satellite storage area and used oil tanks are performed weekly and corrections are made immediately. The used oil storage area is for the All used oil storage containers are Containers are handled in a safe if a leak or spill is discovered, it will be storage of used oils generated from located on secondary containment. manner to avoid puncturing drums reported to the Emergency Coordinator. facility operations. Used oil is stored in All containers are inspected for and are inspected before they are The remaining contents of the leaking 55 gallon drums and labeled as "Used integrity before being placed in the placed in the areas to ensure the containerwill then be transferred to a Oil". These drums are stored within area. Minimum access is allowed to containers are in good condition and compatible container that is in good secondary containment within a secure this area to reduce any accidental properly labeled. Containers are condition, if the person who observes it is area with a diked, concrete floor coated spillage or vandalism. To reduce the closed while stored in this area. trained. Spilled material will be gathered with an impervious layer. possibility of leakage, an attempt Employees in the area look for any and also placed in this container. Any will be made to store only a limited signs of leakage. If leakage is liquid residue remaining on the floor will number of drums for disposal at any discovered, the employees will take be picked up by an absorbent material one time. immediate spill response actions, if and placed in a compatible container. A properly trained. spill kit is located in this area. Spill kits, fire extinguishers, and telephones are located nearby. Ardaugh Glass Inc. I Wilson Facility 62 CESPP I September 2015 Description Spill Containment Spill Prevention Emergency/Spill Response The universal waste storage areas Unlikely that a liquid material spill Containers are handled in a safe A mercury cleanup kit is located in the for the storage of batteries and used will occur for the type of universal manner to avoid spill of universal storage areas for spill cleanup. fluorescent lights from the process waste stored at the facility. All waste materials. Containers are closed buildings are located with various materials will be placed in material- while stored in this area. other satellite storage areas for aerosol specific secondary containment. cans throughout the facility (see Inspection sheets for complete list). The accumulation start dates are laced on each container. The aboveground tanks, drums, and The spill containment for the tanks, All tanks, tank supports and Any leaks or loose connections are totes that are subject to the SPCC rule drums, and totes is shown in Table foundations, and lines are visually repaired immediately. All spilled material are described in Table H-1. The H-1. All piping that drains the inspected weekly for any leaks or signs that is still usable will be transferred to a locations of the tanks and of the secondary containment areas is of deterioration. Any leaks or loose compatible container for use by the associated transfer lines are shown on equipped with manual open -and- connections are repaired immediately. facility. All remaining residue or Figure G-2. Tanks 1 and 2 are field closed type valves (i.e., not flapper- unusable product will be collected and constructed. The secondary type valves}, placed in the used oil storage tank for containment for the tanks is described recycling or proper disposal. Corporate in Table H-1. The capacity of the Environmental Group will be contacted secondary containment for each of with regard to the recycling of disposal. those tanks that are not double -walled is at least equal to the capacity of the tank plus sufficient Freeboard for precipitation based on the 24-hr/25-yr rainfall event, Ardaugh Glass Inc. I Wilson Facility 63 CESPP I September 2015 Description Spill Containment Spill Prevention Emergency/Spill Response Bulk loading and unloading of During loading/unloading Loading and unloading activities are Any spill or leak will be stopped as fuel/oil takes place west of the earthen operations, buckets will be placed constantly attended. When a vehicle is quickly as possible and the discharged containment area. under tanker transfer points to being unloaded to a tank and the level liquid will be contained, collected, and capture small spills and leaks. Any gauge on the tank is not immediately properly disposed of, Should a spill reach major spillage during the loading or adjacent to or in the tine of sight of the the WWTF, it is equipped with an oil unloading of fuel/oil would flow to person attending the vehicle, the level skimmer so that any discharge of oil to the WWTF (approximate net gauge will be attended by another the pond can be removed and properly capacity 300,000 gallons). person throughout the unloading disposed of Therefore secondary containment is process. sufficient to contain the largest compartment of the vehicle involved Before commencing any in the transfer (expected to be a loading/unloading, the wheels on the maximum of 50,000 — 100,000 tank truck/trailer will be chocked. gallons). Before commencing the loading of a tank truck/trailer and after ioading or unloading is complete, the truck/trailer will be inspected for leaks, and any leaks will be stopped before releasing the vehicle. Ardaugh Glass Inc. I Wilson Facility 64 CESPP E September 2015 APPENDIX I - SPILL FLOW DIRECTION Table 11-2. Spill Flow Directionality Predictions Material of Total Material of Prediction of Rate of Quantity of Type of Capaity c Construction, Key in Contents Location Construction, Direction of FIDw Oil that Could Container (gallons) Secondary Fig. G-2 Container Containment Discharge (gpm) be Discharged Compacted Clay SW towards SW AST H2 Fuel Oil 500,000 West Tank Area Steel (718,159gal) Retention Basin 50 500,000 Tank1 (1,500,000 gal) Compacted Clay SW towards SW AST #2 Fuel Oil 500,000 East Tank Area Steel (718,159 gal) Retention Basin 50 500,000 Tank 2 (1,500,DOO gal) Compacted Clay SW towards SW AST Lubricating 10,000 West TanicArea Steel (718,159 gal) Retention Basin 50 10,000 Tank 3 oils (1,500,000 gal) Compacted Clay SW towards SW AST Lubricating 10,O00 West Tank Area Steel (718,159 gal) Retention Basin 54 1D,000 Tank 4 oils (1,500,000 gal) Compacted Clay SW towards SW AST Diesel fuel 16,000 East Tank Area Steel (718,159 gal) Retention Basin 5D 16,000 Tank 5 (1,500,000 gal) Compacted Clay SW towards SW AST Diesel fuel 16,000 East Tank Area Steel (718,159 gal) Retention Basin 50 16,O00 Tank 6 (1,500,000 gal) NE of Sprinkler SW towards SW AST Used oil 8,000 Steel Concrete (8,190 gal) Retention Basin 25 8,000 Tank 7 Pond (1,500,000 gal) Ardaugh Glass Inc. I Wilson Facility 65 CESPP l September 2015 Total Material of Material of Prediction of Rate of Quantity of Type of Contents Capacity Location Construction, Construction, Direction of Flow Oil that Could Rey in Container (gallons) Container Secondary Discharge (gpm) be Fig. G-2 Containment Discharged SW towards SW AST Diesel fuel 240 NE of Sprinlder Steel Concrete (605 gal) Retention Basin 25 240 Tank 8 Pond (1,S00,000 gal) Concrete Storage Shed NW Building (450 gal) SW towards SW AST Kerosene 1,000 Steel Retention Basin 50 1,000 Tank 9 of Mfg. Bldg. g g• 5innp (90 gal) (1,500,D00 gal) WWTF (300,000 gal) Double -walled tank Portable Storage Shed NW Building (450 gal) SW towards SW Used Oil 1,000 Steel Retention Basin 50 1,000 Tank 10 AST of Mfg. Bldg. g g• Sump (90 gal) (1,500,000 gal) WWTF (300,000 gal) SW towards SW AST Diesel Fuel 600 Forklift -Propane Steel Double -walled tank Retention Basin 25 600 Tank 11 Storage Shed (1,500,000 gal) W of Tanks 1, 3, and 4 - Runs Concrete SW towards SW AST Diesel fuel 500 Power Secure peak Steel Retention Basin 25 500 Tank 12 shaving No. 4 and WWTF (300,000 gal) (1,500,000 gal) 5 generators SW of Warehouse near Pallet Storage Double -walled tank SW towards SW AST Diesel fuel 12,000 - Runs 3 peak Steel Retention Basin 5D 1,000 Tank 13 shaving No. 1, 2, WWTF (300,OD0 gal) (1,500,000 gal) and 3 generators Oil / Water AST Used Oil 1,000 Separator OWS Steel Concrete gal) ing (1500 Within building 50 1,000 Tank 14 Building -Mfg. Bldg. Ardaugh Glass Inc. I Wilson Facility 66 CESPP I September 2015 Total Material of Material of Prediction of Rate of Quantity of Type of Contents Capacity Location Construction, Construction, Direction of Flow Oil that Could Key in Container (gallons) Container Secondary Discharge (gpm) be Fig. li-2 Containment Discharged Oil / Water AST Diesel fuel 1,000 Separator OWS Steel Concrete Curbing (1500 Within building 50 1,000 Tank 15 gal) Building -Mfg. Bldg. Inside of Peak AST Diesel fuel 1,000 Shaving Generator Steel Double -walled tank Within building 50 1,000 Tank 16 No. 5-Mfg. Bldg. Double -walled tank Portable Shed NW Storage Building (450 gal) ) SW towards SW Oil Storage AST Used Oil 500 of Mfg. Bldg. Steel Sump (90 gal) Retention Basin 25 500 Shed (1,500,000 gal) WWTF (300,000 gal) Double -walled steel cabinet Hazardous Storage Shed NW Cabinet (45 gal) SW towards SW Drums Waste Max 55-gals of Mfg. Bldg. Misc. Building (450 gal) Retention Basin 10 55 Drums 1 (1,500,000 gal) Sump (90 gal) WWTF (300,000 gal) Concrete Lubricating Max 15 x Storage Shed NW Building (450 gal) SW towards 5W Drums oil 55 als g of Mfg. Bldg. g g• Steel Sump [90 gal) Retention Basin 10 55 Drums 1 (1,500,000 gal) WWTF (300,000 gal) Concrete Totes Mold dope Max 2 x 100-gals Mfg. Bldg. Plastic Building Within building 15 100 Totes 1 WWTF (300,000 gal) Oil/Water Oil/Water Oily water; Separator COWS) Oil/Water sludge; used 10,000 Building Concrete Concrete Within building 25 10,000 Separator Separators oil Southwest of Mfg. Bldg Bldg. Ardaugh Glass Inc. I Wilson Facility 67 CESPP [ September 2015 APPENDIX J - REPORTABLE QUANTITIES .................... ...--........ ............................ ............... ................. -- A reportable quantity (RQ) is defined in Appendix B of the EPA document Stormwater Management for Industrial Activities — Developing Pollution Prevention Plans and Best Management Practices (EPA 832-R-92-006) as: "The quantityof a hazardous substance or oil that triggers reporting requirements under CERCLA or the Clean Water Act (CWA). If a substance is released in amounts exceeding its RQ, the release ntustbe reported to the National Response Center, the State Emergency Response Commission, and community emergency coordinators for areas likely to be affected." Contact the National Response Center regarding a spill that includes a RQ, ONLY if: 1. Oil is spilled into surface water or adjoining shoreline. 2. Any hazardous substance is released in an amount equal to or exceeding its reportable quantity. Hazardous substances that might be found in AGI Containers Inc. Plants and the corresponding RQs are listed below. 3. Spills of polychlorinated biphenyls (PCB) containing materials must be reported when the total volume spilled times the concentration equals or exceeds 1 pound. The threshold is defined in pounds pursuant to the list of chemicals listed in 40 CPR 302.4, 355 Appendices A and B, 117.3, and 110.3. The table below includes potential hazardous substances and the RQ as defined above. A complete list of the federal hazardous substances RQ is included in this Appendix. Table 1-1. Reportable Quantities Material Reportable Quantity (lb) Oil Sheen on navigable waters Asbestos friable forms only) 1 Sulfuric Acid 1,000 Benzene 10 Methylene Chloride 1,000 Selenium 100 Hazardous Waste Corrosive DOOZ 100 Hazardous Waste Cadmium D006 10 Hazardous Waste Chromium D007 10 Hazardous Lead D008 10 Hazardous Waste Ignitable (DO011 100 Hazardous Waste Listed F0011 10 Hazardous Waste Listed F002 10 Hazardous Waste Listed 17003 100 Hazardous Waste Listed F004 1,000 Hazardous Waste Listed FO05 100 Report spills of oil or hazardous substances onto the ground or into surface water to the regional office of the NCDFNR identified in Table 1-3, and to downstream water users who could potentially be affected. Ardagh Glass Inc. I Wilson Facility 68 CESPP I September 2015 i S=_.i'J�.:i:.'1P :.:. ti'-ti:V".:.a.-1 ! i\ti,. \1r:L`:.s.:.: titiu1__:.�:] i l5:-.-.v'-4�1'-1 �1 titi3 __.. v- -_-. T iY�-.__.titiki .IaNA:?=.....:-` ! 0:-1'-1-.n.t= NCDENR Hazardous Waste Regulations, Title 25, Chapter 262a.43: 1) Spills and discharges which are in amounts less than the reportable quantities, which do not result in discharges into waters of this Commonwealth, and which are managed according to an approved contingency plan, need not be reported. 2) The reportable quantities are: a. Liquid hazardous waste or liquids that become hazardous waste when spilled or discharged shall be reported to the Department when the quantity spilled or discharged equals or exceeds the reportable quantity for the waste contained in 40 CFR 302.4 (relating to designation of hazardous substances) or 10 gallons, whichever is more stringent Liquids are flowable substances which contain less than 20 percent solids by dry weight. Flowable refers to Flow in the sense of pourable as a liquid. b. Solid hazardous waste or solids that become hazardous wastes when spilled or discharged shall be reported to the Department when the quantity spilled or discharged equals or exceeds the reportable quantity for the waste contained in 40 CFR 302.4 or S00 pounds, whichever is more stringent. Ardagh Glass Inc. I Wilson Facility 69 CESPP I September 2015 APPENDIX K - MISCELLANEOUS REGULATION REQUIREMENTS Training Program Requirements Besides the state and federal requirements described below, the waste handling/disposal classification of the facility, process safety requirements, and the responsibilities of facility personnel during emergency situations determine minimum training requirements. All facility personnel involved with hazardous material or hazardous waste management and supervisors will be trained annually in hazardous waste management, hazardous material management, and spill prevention procedures. New employees, or employees assigned to one of the listed positions at the facility, will complete the training requirements within 90 days of hire or reassignment. New employees will not work unsupervised until the training has been completed. In addition, upon amendment of the Plan, employees will receive additional training to insure adequate understanding of the changes. The training program will consist of annual classroom instruction of relevant hazardous waste management, hazardous material management, and spill prevention procedures. Training sessions will include open discussion, viewing of a videotape, presentations on the Plan, training handouts, a session summary, and a test. Alternatively, training may be presented by a third party consultant or by Computer -Based Training (CBT). At a minimum, the training program is designed to insure that facility personnel are able to perform day-to-day hazardous waste and hazardous material handling procedures properly and can respond effectively to emergencies. Personnel will become familiar with the following emergency procedures, emergency equipment, and emergency systems. • Personnel safety equipment • Procedures for using, inspecting, repairing, and replacing Facility emergency and monitoring equipment • Communications and alarm systems • Response to fire or explosions • Response to groundwater contamination incidents • Shutdown of operations 40 CFR 265 (Hazardous Waste) - Training Requirements Hazardous waste handling personnel will be trained in the following minimum requirements. • 'rypes of hazardous waste generated at the facility > Satellite and accumulation storage area locations • Proper labeling of waste containers • Procedures for responding to a discharge • Confirming secondary containment for liquid hazardous waste storage containers • Failures or malfunctions of components related to the storage and handling of hazardous waste • Recently developed precautionary measures • The contents of this CESPP 40 CFR 112 (SPCC) - Training Requirements Oil -handling personnel will be trained in the following minimum requirements. > Operation and maintenance ofequipmentto preventdischarges • Discharge procedure protocols • Procedures for responding to a discharge Ardagh Glass Inc. I Wilson Facility 70 CESPP 1 September 2015 2 • Applicable pollution control laws, rules, and regulations • Discharges of oil over the previous years F • Failures or malfunctions of components related to the storage and handling of oil • Recently developed precautionary measures • General facility operations > The contents of this CESPP Discharge prevention briefings will he conducted for oil -handling personnel at least once a year to assure adequate understanding of the CESPP. These briefings will highlight and describe known discharges or failures, malfunctioning components, and any recently developed precautionary measures. SWPPP - Training Requirements The facility implements employee training programs to inform personnel all levels of responsibility of the components and goals of the CESPP's SWPPP elements. Training addresses topics including spill response, good housekeeping, and material management practices. Facility employees and contractor personnel using the facility will be trained in and informed of preventive measures at the facility. Employee training will be conducted not less than once per year, in matters of pollution control laws and regulations, and in the SWPPP and the particular features of the facility and its operation which are designed to minimize discharges of Section 313 water priority chemicals. The plan shall designate a person who is accountable for spill prevention at the facility and who will set up the necessary spill emergency procedures and reporting requirements so that spills and emergency releases of Section 313 water priority chemicals can be isolated and contained before a discharge of a Section 313 water priority chemical can occur. Contractor or temporary personnel will be informed of plan operation and design features in order to prevent discharges or spills from occurring. The following documents and records will be maintained at the facility. > The job title for each position at the facility related to hazardous waste management, and the name of the employee filling each job • A written job description for each job title listed above • A written description of the type and amount of introductory and continuing training that will be given to employees involved in hazardous waste management • Documentation that facility personnel have completed the required training These records will be maintained on current employees until the facility closes and on former employees for a period of three years. Inspection Requirements 40 CFR 265 (Hazardous Waste) - Inspection Requirements The storage container labeling and date of accumulation will be inspected weekly. Each liquid storage container will be inspected for integrity and maintenance (including cleanliness) of secondary containment. Written procedures and a record of the inspections, signed by the appropriate supervisor or inspector, will be kept with this CESPP for a period of five years. Ardagh Glass Inc. I Wilson Facility 71 CESPP 1 September 2015 ::�.�..•x:':v� a o-'.w �..>_-.w:.ti�:er.:"'-r.__v:. r ..-r_sr_......ws-xr__.r..av_..w . a._-_tiu•_�sr :a_.�-:..: _z_:::. r ----------- 40 CFR 112 (SPCC) - Inspection Requirements The condition of any accumulation will be inspected before emptying diked storage areas by pumps or ejectors to ensure no oil will be discharged into the drainage system. Each aboveground container will be inspected or tested for integrity on a regular schedule and whenever material repairs are made. The appropriate qualifications will be determined, in accordance with industrial standards, for personnel performing tests and inspections, the frequency and type of testing and inspections, which take into account container size, configuration, and design. Comparison records will be kept and the container's supports and foundations will be inspected. In addition, the outside of the container will be inspected for signs of deterioration, discharges, or accumulation of oil inside diked areas. AGI currently has two (2) field -constructed above ground containers (Tanks 1 and 2). If these tanks undergo a repair, alteration, reconstruction, or a change in service that might affect the risk of a discharge or failure due to brittle fracture or other catastrophe, or has discharged oil or failed due to brittle fracture failure or other catastrophe, the tanks will be evaluated for risk of discharge or failure due to brittle fracture or other catastrophe, and as necessary, appropriate action will be taken. All aboveground valves, piping, and appurtenances will he regularly inspected. During the inspection, the general condition of items, such as flange joints, expansion joints, valve glands and bodies, catch pans, pipeline supports, locking of valves, and metal surfaces will be assessed. Written procedures and a record of the inspections and tests, signed by the appropriate supervisor or inspector, will be kept with this CESPP for a period of three years. NPDES General Permit (SWPPP) - Inspection Requirements Qualified personnel visually inspect designated equipment and plant area at appropriate intervals, no less than once a year. The following three paragraphs detail the inspection requirements: Material handling areas and other potential sources of pollution must be inspected for evidence of, or the potential for, pollutants entering the drainage system. Structural stormwater management measures, sediment and control measures, and other structural pollution prevention measures must be observed to ensure that they are operating correctly. A visual inspection of equipment needed to implement the plan, such as spill response equipment, must be made. Based on the results of the inspection, the description of potential pollutant sources and pollution prevention measures must be revised as appropriate within two weeks of such inspection and shall provide for implementation of any changes to the plan made in a timely manner, but in no case less than twelve weeks from the inspection. Any change to the BMPs resulting from the revision to the SWPPP will, if possible, be initiated before the next storm event, but not later than 60 days after discovery of the incident precipitating the change to the Plan. A report sununarizing the scope of the inspection, personnel making the inspection, the date(s) of the inspection, major observations relating to the implementation of the stormwater pollution prevention plan, and actions taken must be made and retained as part of the CESPP plan for at least three years. Arda;h Glass Inc. I Wilson Facility 72 CESPP I September 2015 APPENDIX L - CERTIFICATION OF NON-STORMWATER DISCHAR............................... Not applicable for the Wilson facility. Ardagh Glass Inc. 1 Wilson Facility 73 CESPP I September 2015 t..::-iti::==�i} I Ltitiv::`__-ti .�-µ._ �_::-i.�. 1 a�.-____�s::::„y'_:ti:�--_:+iitR:=_1 1 A•?_�=.:sl:::y_ti�::ot_a... �:�:.i i..;:��:.:rat�_-:_=_t:.-a:t_____ � A:, _<;.Y__.1..-wa�_: __.._::3 � A___.-.._ti1.tiz�a APPENDIX M - PERIODIC MONITORING INSPECTION FORMS (BLANK) ......................................................._...... -.- ........ -----....................... -.-................. ............. ...........-...-.... ................-...--........_ ------- This appendix includes all the inspection fortes for the Wilson facility. The inspections forms were created to satisfy all the requirements outlined in the CESPP. The following inspection forms and procedures are included in this appendix. • Waste Weekly Inspection Checklist > SPCC/SWPPP Weekly Inspection Checklist • Containment Structure Drainage Record • Annual Stornwater Inspection (Comprehensive Site Compliance Evaluation) > NCDENR Stormwater Discharge Outfall (SDO) Qualitative Monitoring Report Ardagh Glass Inc. I Wilson Facility 74 CESPP I September 2015 WASTE WEEKLY INSPECTION CHECKLIST Facility: Ardagh Glass Inc. Facility 2201 Firestone Parkway, Wilson, Forth Carolina Inspector (Printed Name): Inspector (Signature): Date: (Pagel of 2) Answer the questions below with "Y" [= Yes) or "N" ( No). If your answer is No, take corrective action. Document all corrective actions taken on this checklist. Containers in Hazardous Waste Accumulation Area All containers in good condition (e.g., roll -offs, tanks, drums, nags, etc.)? All roll -offs and drums free of leaks? All roll -offs and drums properly labeled with label facing outward? All roll -offs and drums closed? Start date on all containers and roll -offs less than 90 days? Is storage area clean and orderly? At least 2 feet between rows of drums? Spill containment clean and dry? Are there spill kits in place and is there adequate supply of spill response material? Containers in Hazardous Waste Satellite Accumulation Area (ail containers must be less than or equal to 55 gallons in satellite accumulation area) All drums and containers in good condition? All drums and containers free of leaks? All drums and containers properly labeled with label facing outward? All drums and containers closed? Is area clean and orderly? Spill containment clean and dry? Are there spill kits in place and is there adequate supply of spill response material? Universal Waste Accumulation Area — Fluorescent Lamps (e.g., bulbs, etc.) All containers holding fluorescent lamps in good condition? Are there dividers between the fluorescent lamps? Is the container closed containing the fluorescent lamps? Start date on all containers less than 365 days? Is area clean and orderly? All containers properly labeled with label facing outward? Is there adequate aisle space around containers? Ardagh Glass Inc. I Wilson Facility 75 CESPP I September 2015 (Page 2 of 2) Inspector (Initials): Date: Universal Waste Accumulation Area — Batteries All batteries in secondary containment? All batteries properly labeled with label facing outward? All batteries protected from damage? Start date on ail containers less than 365 days? Is area dean and orderly? is there adequate aisle space around containers? Spil] containment clean and dry? Continents: Corrective actions (describe actions and date completed): Ardagh Glass Inc. I Wilson Facility 76 CESPP I September 2015 (Page I of 3) SPCC/SWPPP WEEKLY INSPECTION CHECKLIST Facility: Ardagh Glass Inc. Facility 2201 Firestone Parkway, Wilson, North Carolina Inspector (Printed Name): Inspector (Signature): Date: Answer the questions below with °Y" (= Yes) or "N" (= No). If your answer is No, take corrective action. Document all corrective actions taken on this checklist. Aboveground Storage Tanks NW of Manufacturing Building NE of Sprinkler Pond 500,000 gal s00,0 10,000 gal 10,000 gal 16,000 gal 16,000 gal 8,000 gal Fuel Oil 00 gal Fuel Lube Oil Lube Oil Diesel Diesel Used Oil (Tank 1) Oil (Tank (Tank 3) (Tank4) (Tank 5) (Tank 6) (Tank 7) 2) Tank in good condition? Paint and labeling in good condition with no corrosion? Is tank free of leaks? No spills in containment area or surrounding ground? Foundation in good condition? Water removed from containment? Drain valves closed? Containment is clear of debris and spills? Piping all leak -free? Aboveground Storage Tanks NE of Sprinkler Pond Oil Storage Shed North of Manufacturing Building NW of Mfg Bldg near Generators SE of Warehouse near Pallet Storage 240 gal Diesel (Tank8) 1,000 gal Kerosene (Tank 9) 1,000 gal Used Oil (Tank 10) 500 gal Diesel (Tank 12) 1,000 gal Diesel (Tank 13) Tank in good condition? Is tank free of leaks? Foundation in good condition? Water removed from dike? Piping all leak -free? Ardagh Glass Inc. I Wilson Facility 77 CESPP I September 2015 (Page 2 of 3) Inspector (Initials): Date: 1 Containers and Location Lube Oil Drums Lube Oil Totes All containers in good condition? All containers free of leaks? All containers properly labeled? Spill containment clean and dry? All containers closed? Oil -Filled Equipment and Location Transformer Areas Compressor Area All equipment in good condition? All equipment free of leaks? Spill containment clean and dry? Foundation in good condition? Piping all leak -free? Process Areas (Hot End, Cold End, Fork Lift Shop, Compressor Room, Maintenance Shop, Mold Shop, Warehouse, Machine Repair, and Batch House, etc.) Machinery free of excessive leaks? Areas around machinery clean and dry? Good housekeeping practices followed? Are there spill kits in place and is there adequate supply of spill response material? Are eye wash stations in place? Stormwater BMPs (see Section 5.1 of the plan) Are BMPs Being Adequately Implemented? Stormwater from Source Free of Contamination (if precipitation occurred)? Scrap Metal Storage Trash Storage Cutlet Pile Waste Cutlet -Roll -Off Sand/Salt Pile Inspection of Stormwater Outfall Location at Exit from Site Drain and discharge free of sheen, discoloration, floating product, cutlet or of any unusual discharge? Ardagh Glass Inc. I Wilson Facility 78 CESPP 1 September 2015 (Page 3 of 3) Inspector (Initials): Date: Commen Corrective actions: Ardagh Glass Inc. I Wilson Facility 79 CESPP I September 2015 CONTAINMENT STRUCTURE DRAINAGE LOG #1 - Tank Nos. 1-6 (Fuel oil tank main containment area) Facility: Ardagh Glass Inc. Facility 2201 Firestone Parkway, Wilson, North Carolina Records of ay secondary containment discharge must he maintained using this drainage record. Water released from the secondary containment must not have a sheen. If a sheen is present, the water must be pumped into a drum for proper disposal or cleaned by use of absorbent pads, absorbent booms, or other approved methods. When the sheen is removed, the water may be drained or pu nped out. If the water cannot be cleaned adequately, contact the EH5 Manager immediately. Note - N/A must be entered if not used because no sheen was observed in the containment structure discharge. Date Name of Person Performing Drain Procedure (First Name & Last Name) Visible Sheen Observed? (Yes No Type of Absorbent Material Used Water Removal: Start Time Water Removal: End Time Estimated Gallons of Water Removed Continents: Ardagh Glass Inc. I Wilson Facility 80 CESPP I September 2015 CONTAINMENT STRUCTURE DRAINAGE LOG #2 - Tank No. 7 (3,000 gal used oil) & Tank No. 8 (260 gal diesel) V Facility: Ardagh Glass Inc. Facility 2201 Firestone Parkway, Wilson, North Carolina Records of ay secondary containment discharge must be maintained using this drainage record. Water released from the secondary containment must not have a sheen. If a sheen is present, the water must be pumped into a drum for proper disposal or cleaned by use of absorbent pads, absorbent booms, or other approved methods. When the sheen is removed, the water may be drained or pumped out. If the water cannot be cleaned adequately, contact the IHS Manager immediately. Note - N/A must be entered if not used because no sheen was observed in the containment structure discharge. Date Specify Tank Name of Person Performing Drain Procedure (First Name & Last Name) Visible Sheen Observed? (Yes Na Type of Absorbent Material Used Water Removal: Start Time Water Removal.- End Time Estimated Gallons of Water Removed Comments: Ardagh Glass Inc. I Wilson Facility 81 CESPP I September 2015 ANNUAL COMPREHENSIVE SITE COMPLIANCE EVALUATION The Comprehensive Site Compliance Evaluation (CSCE) must be carried out annually by a properly qualified person who has the knowledge and skills to assess conditions and activities that could impact stormwater quality at the Facility, and who can evaluate the effectiveness of the BMPs selected. The CSCE will cover all areas of the Facility where materials or activities have been exposed to stormwater within the past 3 years. Date of CSCE: Names) of Inspector(s): Is there any evidence of: • Industrial materials, residue, or trash that have, or could have, come into contact with Yes No stormwater? • Spills and leaks from industrial equipment, drums, tanks, and other containers? Yes No • Off -Site tracking of waste materials or sediment where vehicles enter or exit the Site? Yes No • The tracking or blowing of raw, final, or waste materials from areas of no exposure to Yes No exposed areas? • Evidence of pollutants entering, or of the potential for pollutants to enter, the Yes No drainage system? • Evidence of pollutants discharging to surface waters at all Facility outfalls? Yes No • Any degradation or erosion in and around all Facility outfalls? Yes No For any of the above questions for which the answer is Yes, describe the action(s) that will be taken to make the answer(s) No?: The above action(s) must he completed within the time frame given in the CESPP. * Note: Document any event (spill, treatment unit malfunction, etc.) which would require an inspection, together with the results of the inspection and any subsequent corrective activity. If the answers to all of the above questions are No, then the following must be signed by someone identified in the subsection on Signatory Requirements in the CESPP: Ardagh Glass Inc. I Wilson Facility 82 CESPP I September 2015 I hereby certify that this Facility is in compliance with the requirenients of the SWPPP portion of the Facility's CESPP. Signature: Print Nance and Title: Ardaah Glass Inc. I Wilson Facility 83 CESPP I September 2015 _ Iw NCDENR Storinwater Discharge Outfall (SDO) Qualitative Monitoring Report FrJ+'yuida++re ors (iliiny out tiais form please visit: htm-/mortal nrdenr.nrg/web jlrinudes•stormmvatcrl Permit No.: �JJ—/JJJJ_,f or Certificate of Coverage No.: h[lg�jlJJ—/—/ Facility Name: County: Inspector.• Date of Inspection: Time of Inspection: Phone No. Total Event Precipitation (inches): Was this a "Representative Storm Event" or'Nleasureable Storm Event" as defined by the permit? (See inrormatibn below.) ❑ Yes ❑ No Please verify whether Qualitative Monitoring must be performed during u "representative storm event"or "measureable storm event" (requirements vary, dependin j on the pern+it), Qualitative monitoring requirements vary. Most permits require qualitative monitoring to be performed during a "representative storm event" or during a "measureable storm event." However, some permits do nut have this requirement Please refer to these definitions, if applicable. A "representative storm event" is a storm event that measures greater than 0.1 inches of rainfall and that is preceded by at least 72 hours (3 days) in which no storm event measuring greater than 0.1 Incites has occurred. A'single storm event may contain up to 10 consecutive hours of no precipitation. A "measurable storm event" is a storm event that results in an actual discharge from the permitted site outrall. The previous measurable storm event roust have been at least 7.2 hours prior. The 727hour storm interval does not apply if the permitlee is able to document that a shorter interval is representative for local storm events during the sampling period, and the permittee obtains approval from the local DWQ Regional Office. By this signature, I certify that this report is accurate and complete to the best of my knowledge: (Signature of Permittee or Designee) Page t of 2 SW U-'2i2, Last .nodift" 10/25/2012 Ardagh Glass Inc. I Witson Facility 84 CESPP I September 2015 1. Outfall Description: Dutfall No. Structure (pipe, ditch, etc.) Receiving Stream: Describe the industrial activities that occur within the outfall drainage area: 2. Color: Describe the color of the discharge using basic colors (red, brown, blue, etc.) and tint (light, medium, dark) as descriptors: 3. Odor: Describe any distinct odors that the discharge may have (im-, smells strongly ofoil, weak chlorine odor, etc.): 4. Clarity: Choose the number which best describes the clarity of the discharge, where 1 is clear and S is very cloudy: 1 2 3 4 5 5. Floating Solids: Choose the number which best describes the amount of floating solids in the stormwater discharge, where 1 is no solids and 5 is the surface covered with floating solids: 1 2 3 4 5 6. Suspended Solids: Choose the number which best describes the amount of suspended solids in the stormwater discharge, where i is no solids and 5 is extremely muddy: 1 2 3 4 5 7. Is there any foam in the stormwater discharge? Yes No 8. Is there an oil sheen in the stormwater discharge? Yes No 9. Is there evidence of erosion or deposition at the outfall? Yes No 10. Other Obvious Indicators of stormwater Pollution: List and describe Note: Low clarity, high solids. and/or the presence of foam, oil sheen, or erosion/deposition may be indicative of pollutant exposure. These conditions warrant further investigation. Page 2of2 SWU-242.List madtHed 100SJ2012 Ardagh Glass Inc. I Wilson Facility 85 CESPP I September 2015 APPENDIX N - PERIODIC MONITORING INSPECTION FORMS (COMPLETED) ..................... -------'................................................ - ................... --- ... ---- - ---------- --- ---- ................. -- ........... Ardagh Glass Inc. I Wilson Facility 86 CESPP I September 2015 r._._..._.. 4�x:::a���:__��__ti.... .. - -- sc. ..:;+: •- - --..-...... ,._..�.-a:cti.. 4"�:..z__�•.i.=:;.ii��.-.Lti�.:: •yea [�,':ih:�,1�.$r"..v�i::R�= APPENDIX O - CESPP IMPLEMENTATION AND CERTIFICATION Certification of CESPP Implementation This CESPP for the AGI facility will be implemented as described herein. 1 certify under penalty of law that this document and all attachments were prepared under my direction or supervision in accordance with a system designed to ensure that qualified personnel properly gathered and evaluated the information submitted. Based on my inquiry of the person or persons who manage the system, or those persons directly responsible for gathering the information, the information submitted is, to the best of my knowledge and belief, true, accurate, and complete. I am aware that there are significant penalties for submitting false information, including the possibility of fine and imprisonment for knowing violations. The following certification by AGI management will serve to fulfill all certifications required from AGI in this CESPP. Name: n""�SinsatuCertification ai Engineer Official Title: Plant Mana Date Signed:I3 I certify that I have examined the facility plans and being familiar with the provision of 40 CFR 112, attest that I or my agent have visited and examined the facility, this CESPP Plan has been prepared in accordance with good engineering practices, including consideration of applicable industry standards, and with the requirements of this part, that the procedures for required inspections and testing have been established, have been appropriately reviewed, and that the Plan is adequate for the facility. �2 SEAL 029987 — �t t l 104P9, A40L� L- 4�Lj Ms. Aimee Andrews, P.E. Trinity Consultants Certificate No. 29987 - North Carolina Ardagh Glass Inc. I Wilson, Facility CESPP I September 2015 87 i APPENDIX P - STATEMENTS OF MANAGEMENT APPROVAL ..................................----.....-----................. i SPCC Portion of CESPP As a member of the management of the Ardagh Glass Inc. facility (facility), located at 2201 Firestone Parkway, Wilson, North Carolina, with the authority to commit the necessary resources to fully implement the SPCC portion of this Contingency, Emergency And Spill Prevention Plan (Plan), I hereby fully approve of the Plan and commit the necessary resources to fully implement it ' jj� Official Name: �i �(� ►�,�rYw Title: TX'614 re: SWPPP Portion of CESPP Date Signed: As a member of the management of the Ardagh Glass Inc. facility (facility), located at 2201 Firestone Parkway, Wilson, North Carolina, with the authority to commit the necessary resources to fully implement the SPCC portion of this Contingency, Emergency And Spill Prevention Plan (Plan), I hereby fully approve of the Plan and commit the necessary resources to fully implement it u Name: Contingency Plan Portion of CESPP Official q) L� S Title: Date Sinned: As a member of the management of the Ardagh Glass Inc. facility (facility), located at 2201 Firestone Parkway, Wilson, North Carolina, with the authority to commit the necessary resources to fully implement the SPCC portion of this Contingency, Emergency And Spill Prevention Plan (Plan), I hereby fully approve of the Plan and commit the necessary resources to fully implement it. r � s Name: c re: Official Title:t Date S `3/3 r(0'0/w Ardagh Glass Inc. I Wilson Facility 88 CESPP I September 2015 APPENDIX Q - SPCC PLAN SUBSTANTIAL HARM CRITERIA Certification that AGI does not meet the SPCC Substantial Harm Criteria Facility Name: Ardagh Glass Inc. Facility Facility Address: 2201 Firestone Parkway, Wilson, North Carolina 1. Does the facility transfer oil over water to or from vessels and does the facility have a total oil storage capacity greater than or equal to 42,000 gallons? Yes No X 2. Does the facility have a total oil storage capacity greater than or equal to 1 million gallons and does the facility lack secondary containment that is sufficiently large to contain the capacity of the largest aboveground oil storage tank plus sufficient freeboard to allow for precipitation within any aboveground oil storage tank area? Yes No X 3. Does the facility have a total oil storage capacity greater than or equal to 1 million gallons and is the facility located at a distance such that a discharge from the facility could cause injury to fish and wildlife and sensitive environments? Yes No X 4. Does the facility have a total oil storage capacity greater than or equal to 1 million gallons and is the facility located at a distance such that a discharge from the facility would shut down a public drinking water intake? Yes No X S. Does the facility have a total oil storage capacity greater than or equal to 1 million gallons and has the facility experienced a reportable oil spill in an amount greater than or equal to 10,000 gallons within the last S years? Yes Certification: No X I certify under penalty of law that 1 have personally examined and am familiar with the information submitted in this document, and that based on my inquiry of those individuals responsible for obtaining this information, 1 believe that the submitted information is true, accurate, and complete. Name: Signaturf Official Title: Plant Manager Date Signed: 3/Qf l-A/�, Ardagh Glass inc. I Wilson Facility 89 CESPP I September 2015 APPENDIX R - PERIODIC INTEGRITY TESTING REQUIREMENTS AND RESULTS ...................................... ............ ......_-...................... -.........--.............---.....---....----............................................-.....-........-................................................ Table R-1. Oil Storage Containers Integrity Testing Requirements Type of STI SP-001 Category Integrity Testing Container Location Method Frequency N/A (Field -erected) Visual Inspection; Annually; AST West Tank Area API-653 Every Ten Years N/A (Field -erected) Visual Inspection; Annually; AST East`I'ankArea API-6S3 Every Ten Years Category 1 (less than Visual Inspection; Annually; AST West Tank Area 30,000 gal and greater ST SP-001 EveryTwenty than 5,000 gal) Years Category 1 (less than Visual Inspection; Annually; AST West Tank Area 30,000 gal and greater ST SP-001 EveryTwenty than 5,000 gal) Years Category 1 (less than Visual Inspection; Annually; AST Fast Tank Area 30,000 gal and greater ST SP-001 Every Twenty than 5,000 gal) Years Category 1 (less than Visual Inspection; Annually; AST East Tank Area 30,000 gal and greater ST SP-001 Every'1'wenty than 5,000 gal) Years Category 1(less than Visual Inspection; Annually; AST NE of Sprinkler Pond 30,000 gal and greater ST SP-001 Every Twenty than 5,000 gal) Years Category 1 (less than Visual Inspection Monthly AST NE of Sprinkler Pond 1,100 gal) Annually Storage Shed NW of Category 1 (less than Visual Inspection Monthly AST Mfg. Bldg. gal) , 1g ) Annually Storage Shed NW of Category 2 (portable) Visual Inspection Manthly Portable AST Mfg. Bldg. W of Tanks 1, 3, and 4 — Category 1 (less than Visual Inspection Monthly AST Runs Power Secure 1,100 gal) Annually peak shaving generators SW of Warehouse near Category 1 (less than Visual Inspection Monthly AST Pallet Storage — Runs 3 1,100 gal) Annually peak shaving generators Storage Shed NW of Category 2 (portable) Visual Inspection Monthly Portable AST Mfg. Bldg. Storage Shed NW of Category 2 (portable) Visual Inspection Monthly Drums Mfg. Bldg, Ardagh Glass Inc. I Wilson Facility 90 CESPP I September 2015 C:.::!'=a-}:-_:] 1 8_ii_=S{iuti_•]h _..=, .... _.?3 ♦ �.•-'.�•:..,.:.�_r_A': l_v__=:....i f C:.,..:.�:.Z,:.vv.w.l'.wv:�fi:.: =::} 1 6 _.: ��til�ti:�___iii•:..-.: __v:il 7 a:.::.:{w�'i-=titi-•,: z7�1'v�.».=.ti'1 '! C`::: i:ss-.:ta Type of Location STI SP-001 Category Integrity Testing } Frenency Container Method Storage Storage Slied NW of Category 2 (portable) Visual Inspection Monthly Drums Bldg. Totes Mfg. Bldg. Category 2 (portable) Visual Inspection Monthly Oil/Water Oil/Water Separator Category 1 (less than Visual Inspection; Annually; Separator (OWS) Building 30,000 gal and greater ST SP-001 Every Twenty Southwest of Mfg. Bldg. than 5,000 gal) Years Ardagh Glass Inc. I Wilson Facility 91 CESPP I September 2015 APPENDIX S - 2012 SECTION 313 CHEMICALS LIST .......... __ ............. ---- ............................................................. .................. ................................ Ardach Glass Inc. I Wilson Facility 92 T CESPP I September 2015 .._.,.a.�.�_.... .• � w.................t,,,__�_____� � .._.....w ____..____t.___.�..:.v,a.�...-w.�.�1_._......�____-__. • �.-______... ��v+.t,..t::.]ac�____v • i________a___ti _..�'..1.1.._1.:..s[ i e.'�tivy_i•--- APPENDIX T - EXAMPLE UPDATED CESPP NOTIFICATION LETTER ............. ........................... ........................ ......................... ............... ................ ......................... ........................ ............-- .......................... -�- ....._..........I.............. Certified Mail No. {insert number) {Date} (Agency addresses included in Tables 1-2 and 1-3 of updated plan) RE. Updated CESPP Ardagh Glass Inc. - Wilson, NC Dear (Identify Contact): Ardagh Glass Inc. North America (AGI) has updated the Contingency, Emergency, and Spill Prevention Plan (CESPP) developed for the Wilson, North Carolina facility (Wilson facility). Enclosed is a hard copy of the updated CESPP for the Wilson facility. This plan incorporates, where applicable, the pollution prevention, spill control and countermeasures, and emergency planning and response provisions required by the following regulations. > Spill Prevention, Control, and Countermeasures (SPCC) requirements for oils (40 CFR 110 and 112) under the Clean Water Act (CWA) • Stormwater Pollution Prevention Plan (SWPPP) and Best Management Practices requirements under section 304(e) of the CWA, North Carolina Department of Environmental Protection (NCDENR), National Pollutant Discharge Elimination System (NPDES), NPDES Permit No. NCG070000 (Certificate of Coverage No. NCG 070099) and Supplemental Guidance far the Developmentand Implementation of Environmental Emergency Response flans under the NPDESStormwater Permitting Program, August 6, 2005, Document 400-2200-001 • Hazardous Waste Contingency and Emergency Procedures Plan per 40 CFR Part 265, Subpart D • Slug Control Plan (SCP) requirements for pretreatment industrial wastewater discharge The Wilson facility is located at 2201 Firestone Parkway in Wilson, North Carolina. The facility manufactures commercial glass containers for food and beverage customers. If you have any questions or comments about the information included in the updated CESPP, please do not hesitate to call me at (252) 234-5225. Sincerely, ARDAGH GLASS INC. Cliff Humphreys Plant Manager Enclosed - CESPP Ardagh Gtass Inc. I Wilson Facility 93 CESPP I September 2015 APPENDIX U - RESPONSE AND CORRECTIVE ACTION DOCUMENTATION Ardagh Glass Inc. j Wilson Facility 94 CESPP I September 2015 ,I A114 Z.=�VA NCDENR North Carolina Department of Environment and Natural Resources Pat McCrory Governor Mr. Clifford G. Humphreys Ardagh Glass Inc. P.O. Box 1757 Wilson, NC 27893 Dear Mr. Humphreys: May 7, 2014 John E. Skvarla, III Secretary RECEIVFD MAY 0 9 2014 CENTRAL FILES DWQ/BOG Subject: NPDES General Permit NCG070000 Ardagh Glass Inc Formerly Saint-Gobain Containers Inc. Certificate of Coverage NCG070099 .Wilson County Division personnel received your request to revise your stormwater permit Certificate of Coverage to accurately reflect your new company and/or facility name. Please find enclosed the revised Certificate of Coverage. The terms and conditions contained in the General Permit remain unchanged and in full effect. This revised Certificate of Coverage is issued under the requirements of North Carolina General Statutes 143-215.1 and the Memorandum of Agreement between North Carolina and the U.S. Environmental Protection Agency. If you have any questions or need further information, please contact the Stormwater Permitting Program at (919) 807-6300. Sincerely, 4 - , F" �' b, for Tracy E. Davis, P.E., CPM, Director Division of Energy, Mineral and Land Resources Division of Energy, Mineral, and Land Resources Energy Section - Geological Survey Section - Land Quality Section 1612 Mail Service Center, Raleigh, North Carolina 27699-1612 - 919-707-92001 FAX: 919-715-8801 512 North Salisbury Street, Raleigh, North Carolina 27604 - Internet: http:Ilportal.ncdenr,orglweb/Ir/ An Equal opportunity 1 Affirmative Action Employer — 50% Recycled 110% Post Consumer Paper STATE OF NORTH CAROLINA DEPARTMENT OF ENVIRONMENT AND NATURAL RESOURCES DIVISION OF ENERGY, MINERAL, AND LAND RESOURCES GENERAL PERMIT NO. NCG070000 CERTIFICATE OF COVERAGE No. NCG070099 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, Ardagh Glass, Inc. is hereby authorized to discharge stormwater from a facility located at Ardagh Glass, Inc. 2201 Firestone Parkway Wilson Wilson County to receiving waters designated as unnamed tributary to Toisnot Swamp, a class WS-III;NSW,CA water in the Neuse River Basin, in accordance with the effluent limitations, monitoring requirements, and other conditions set forth in Parts I, II, III, and IV of General Permit No. NCG070000 as attached. This certificate of coverage shall become effective May 7, 2014. This Certificate of Coverage shall remain in effect for the duration of the General Permit. Signed this day May 7, 2014 for Tracy E. Davis, P.E., Director Division of Energy, Mineral, and Land Resources By the Authority of the Environmental Management Commission In Via Certified Mail: No. 7012 0470 0001 6469 9951 Return Receipt Requested North Carolina Department of Environment and Natural Resources Division of Energy, Mineral and Land Resources Stormwater Permitting Program 1612 Mail Service Center Raleigh, NC 27699-1612 April 21, 2014 Re: Saint-Gobain Containers, Inc. Wilson, NC Permit # NCG070099 Notification of Stock Sale and Name Change Dear Sir/Madam Arda hGrou r�it_N)V' J p www.ardaghgroup.com Ardagh Glass Inc. 2201 Firestone Parkway PO Box 1757 Wilson, NC 27894 T: 252-234-5225 F:252-234-7695 9IJ ' 2 4 2014 4 DENR - WATc R DUALITY WETLANDS AND cT,-Ri tJATE.H FIANCH You will note new letterhead on this letter. On April 11, 2014, all of the stock of Saint-Gobain Containers, Inc. was transferred from Compagnie de Saint Gobain S.A. to Ardagh Holdings USA, Inc. In conjunction with this stock sale, Saint-Gobain Containers, Inc. is changing its name to Ardagh Glass Inc. The owner and operator of the Wilson Plant, the tax ID, responsible official, landowner, and contact information (other than the name) remain the same, since there was no transfer of assets as a result of the stock sale and name change. Enclosed with this letter is the required Permit Name/Ownership Change Form to request the name change from Saint-Gobain Containers, Inc. to Ardagh Glass Inc. If you have any questions or require additional information, please feel free to contact me at 252-234-5225. Yours sincerely Cliffor umphreys C/ Plant Manager Enclosures: Permit Name/Ownership Change Form cc: Via Certified Mail: No. 7012 0470 0001 6459 9968 John W. Carroll Pepper Hamilton, LLP 100 Market Street Harrisburg, PA 17108 Registered Office. 1509 S. Macedonia Avenue, Muncie, IN USA 47307-4200 A.Division of Energy, Mineral & Land Resources !' Quality uali SectionlStormwater Permitting AM. whomm *� NCDENR National Pollutant Discharge Elimination System NOK C:Va—A OCMRTKMT OF PERMIT NAME/OWNERSHIP CHANGE FORM FOR AGENCY USE ONLY Date Received Year Month Da I. Please enter the permit number for which the change is requested. NPDES Permit (or) Certificate of Coverage N G 1 'S 16, N C G 1 0 1 7 10 0 9 9 II. Permit status prior to requested change. a. Permit issued to (company name): Saint-Gobain Containers, Inc. b. Person legally responsible for permit: Clifford G Humphreys c. Facility name (discharge): d. Facility address: First MI Last Plant Manager Title PO Box 1757 Permit Holder Mailing Address Wilson NC 27893 City State Zip (252) 234-5225 (252) 234-7695 Phone 1,ax Saint-Gobain Containers, Inc. 2201 Firestone Parkway Address Wilson NC 27893 City State Zip e. Facility contact person: William C Johnson (252) 234-5241 First 1 M1 / Last Phone III. Please provide the following for the requested change (revised permit). a. Request for change is a result of: ❑ Change in ownership of the facility ® Name change of the facility or owner If other please explain b. Permit issued to (company name): Arda gh Glass Inc. c. Person legally responsible for permit: Clifford G Humphreys u First Ml Last Plant Manager Title PO Box 1757 Permit Molder Mailing Address Wilson NC 27893 d. Facility name (discharge): e. Facility address: f. Facility contact person: City State Zip (252) 234-5225 Cliff. G.Hum phreyspardaghgroup.com Phone E-mail Address Arda�h Glass Inc. 2201 Firestone Parkway Address Wilson NC 27893 City State Zip William C Johnson I,irst MI Last 252) 234-5241 William.C.Johnson@ardughgroup.com Phone E-mail Address IV. Permit contact information (if different from the person legally responsible for the permit) Revised Jan. 27, 2014 NPDES PERMIT NAME/OWNERSHIP CHANGE FORM Page 2 of 2 Permit contact: Robert A Metzger First M! Last Environmental Engineer Title PO Box 4200 Mailing Address Muncie IN 47307 City State Zip (765) 741-7116 Robert. A. Metzger(yardaghgroup.com Phone F,-mail Address V. Will the permitted facility continue to conduct the same industrial activities conducted prior to this ownership or name change? ® Yes ❑ No (please explain) VI. Required Items: THIS APPLICATION WILL BE RETURNED UNPROCESSED IF ITEMS ARE INCOMPLETE OR MISSING: ❑ This completed application is required for both name change and/or ownership change requests. ❑ Legal documentation of the transfer of ownership (such as relevant pages of a contract deed, or a bill of sale) is required for an ownership change request. Articles of incorporation are not sufficient for an ownership change. The certifications below must be completed and signed by both the permit holder prior to the change, and the new applicant in the case of an ownership change request. For a name change request, the signed Applicant's Certification is sufficient. PERMITTEE CERTIFICATION (Pert -nit holder prior to ownership change): I, NIA , attest that this application for a name/ownership change has been reviewed and is accurate and complete to the best of my knowledge. I understand that if all required parts of this application are not completed and that if all required supporting information is not included, this application package will be returned as incomplete. Signature Date APPLICANT CERTIFICATION I, Clifford Humphreys, attest that this application for a name/ownership change has been reviewed and is accurate and complete to the best of my knowledge. I understand that if all required parts of this application are not completed and that if all required supporting information is not included, this application package will be returned as incomplete. Lzo� Signatlu Date PLEASE SEND THE COMPLETE APPLICATION PACKAGE TO: Division of Energy, Mineral and Land Resources Stormwater Permitting Program 1612 Mail Service Center Raleigh, North Carolina 27699-1612 Revised Jan, 27, 2014 S�� i- NC®ENR North Carolina Department of Environment and Natural Resources Pat McCrory //'>-John E, Skvarla, III Governor J , ' �=Secretary May 7, 2014 Mr. Clifford G. Humphreys 20141 Ardagh Glass Inc. P.O. Box 1757 J Wilson, NC 27893 Subject: NPDES General Permit NCG070000 Ardagh Glass Inc Formerly Saint-Gobain Containers Inc. Certificate of Coverage NCG070099 Wilson County Dear Mr. Humphreys: Division personnel received your request to revise your stormwater permit Certificate of Coverage to accurately reflect your new company and/or facility name. Please find enclosed the revised Certificate of Coverage. The terms and conditions contained in the General Permit remain unchanged and in full effect. This revised Certificate of Coverage is issued under the requirements of North Carolina General Statutes 143-215.1 and the Memorandum of Agreement between North Carolina and the U.S. Environmental Protection Agency. If you have any questions or need further information, please contact the Stormwater Permitting Program at (919) 807-6300. Sincerely, ORIGINAL SIGNED W KEN PICKLE for Tracy E. Davis, P.E., CPM, Director Division of Energy, Mineral and Land Resources Division of Energy, Mineral, and Land Resources Energy Section • Geological Survey Section • Land Quality Section 1612 Mail Service Center, Raleigh, North Carolina 27699-1612.919-707-9200 / FAX: 919-715-8801 512 North Salisbury Street, Raleigh, North Carolina 27604 • Internet: http:llportal.ncdenr.org/web/Ir/ An Equal opportunity 1 Affirmative Action Employer — 50% Recycled 110% Post Consumer Paper LE STATE OF NORTH CAROLINA DEPARTMENT OF ENVIRONMENT AND NATURAL RESOURCES DIVISION OF ENERGY, MINERAL, AND LAND RESOURCES GENERAL PERMIT NO. NCG070000 CERTIFICATE OF COVERAGE No. NCG070099 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, Ardagh Glass, Inc. is hereby authorized to discharge stormwater from a facility located at Ardagh Glass, Inc. 2201 Firestone Parkway Wilson Wilson County to receiving waters designated as unnamed tributary to Toisnot Swamp, a class WS-III;NSW,CA water in the Neuse River Basin, in accordance with the effluent limitations, monitoring requirements, and other conditions set forth in Parts I, I1, III, and IV of General Permit No. NCG070000 as attached. This certificate of coverage shall become effective May 7, 2014. This Certificate of Coverage shall remain in effect for the duration of the General Permit. Signed this day May 7, 2014. ORIGINAL SIGNED M KEN PICKLE for Tracy E. Davis, P.E., Director Division of Energy, Mineral, and Land Resources By the Authority of the Environmental Management Commission NCDENR North Carolina Department of Environment and Natural Resources Pat McCrory Governor Mr. Clifford G. Humphreys Ardagh Glass Inc. P.O. Box 1757 Wilson, NC 27893 Dear Mr. Humphreys: Jahn E. Skvarla, III Secretary May 7, 2014 Subject: NPDES General Permit NCG070000 Ardagh Glass Inc Formerly Saint-Gobain Containers Inc. Certificate of Coverage NCG070099 Wilson County Division personnel received your request to revise your stormwater permit Certificate of Coverage to accurately reflect your new company and/or facility name. Please find enclosed the revised Certificate of Coverage. The terms and conditions contained in the General Permit remain unchanged and in full effect. This revised Certificate of Coverage is issued under the requirements of North Carolina General Statutes 143-215.1 and the Memorandum of Agreement between North Carolina and the U.S. Environmental Protection Agency. If you have any questions or need further information, please contact the Stormwater Permitting Program at (919) 807-6300. Sincerely, ORIGINAL SIGNED S1 KEN PICKLE for Tracy E. Davis, P.E., CPM, Director Division of Energy, Mineral and Land Resources Division of Energy, Mineral, and Land Resources Energy Section • Geological Survey Section - Land Quality Section 1612 Mail Service Center, Raleigh, North Carolina 27699-1612.919-707-92001 FAX: 919-715-8801 512 North Salisbury Street, Raleigh, North Carolina 27604 - Internet: http:llportal.ncdenr,or.q/web/Ir/ An Equal Opportunity 1 Affirmative Action Employer — 50% Recycled 110% Post Consumer Paper �h STATE OF NORTH CAROLINA DEPARTMENT OF ENVIRONMENT AND NATURAL RESOURCES DIVISION OF ENERGY, MINERAL, AND LAND RESOURCES GENERAL PERMIT NO. NCG070000 CERTIFICATE OF COVERAGE No. NCG070099 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, Ardagh Glass, Inc. is hereby authorized to discharge stormwater from a facility located at Ardagh Glass, Inc. 2201 Firestone Parkway Wilson Wilson County to receiving waters designated as unnamed tributary to Toisnot Swamp, a class WS-I1I;NSW,CA water in the Neuse River Basin, in accordance with the effluent limitations, monitoring requirements, and other conditions set forth in Parts I, I1,111, and IV of General Permit No. NCG070000 as attached. This certificate of coverage shall become effective May 7, 2014. This Certificate of Coverage shall remain in effect for the duration of the General Permit. Signed this day May 7, 2014. ORIGINAL SIGNED Bl KEN PICKLE for Tracy E. Davis, P.E., Director Division of Energy, Mineral, and Land Resources By the Authority of the Environmental Management Commission Via Certified Mail: No. 7012 0470 0001 6459 9951 Return Receipt Requested North Carolina Department of Environment and Natural Resources Division of Energy, Mineral and Land Resources Stormwater Permitting Program 1612 Mail Service Center Raleigh, NC 27699-1612 April 21, 2014 Re: Saint-Gobain Containers, Inc. Wilson, NC Permit # NCG070099 Notification of Stock Sale and Name Change Dear Sir/Madam Arch h G ro u 1. www.ardaghgro(jp.com Ardagh Glass Inc. 2201 Firestone Parkway PO Box 1757 Wilson, NC 27894 T: 252-234-5225 F: 252-234-7695 You will note new letterhead on this letter. On April 11, 2014, all of the stock of Saint-Gobain Containers, Inc. was transferred from Compagnie de Saint Gobain S.A. to Ardagh Holdings USA, Inc. In conjunction with this stock sale, Saint-Gobain Containers, Inc. is changing its name to Ardagh Glass Inc. The owner and operator of the Wilson Plant, the tax ID, responsible official, landowner, and contact information (other than the name) remain the same, since there was no transfer of assets as a result of the stock sale and name change. Enclosed with this letter is the required Permit Name/Ownership Change Form to request the name change from Saint-Gobain Containers, Inc. to Ardagh Glass Inc. If you have any questions or require additional information, please feel free to contact me at 252-234-5225. Yours sincerely Cliffor umphreys Plant Manager Enclosures: Permit Name/Ownership Change Form cc: Via Certified Mail: No. 7012 0470 0001 6459 9968 John W. Carroll Pepper Hamilton, LLP 100 Market Street Harrisburg, PA 17108 Registered Office: 1509 S. Macedonia Avenue, Muncie, IN USA 47307-420C Ake a Division of Energy, Mineral & Land Resources Land Quality SectionlStormwater Permitting Q h g .. NCDENRNational Pollutant Discharge Elimination System N '. ri�oL14. oCM—C-or —DNa A R.E­tEs PERMIT NAME/OWNERSHIP CHANGE FORM FOR AGENCY USE ONLY Date Received Year Month Day I. Please enter the permit number for which the change is requested. NPDES Permit (or) Certificate of Coverage N 1 C S O N C G 0 1 7 1 0 1 0 19 9 H. Permit status prior to requested change. a. Permit issued to (company name): Saint-Gobain Containers, Inc. b. Person legally responsible for permit: Clifford G_ Humphreys First Nil Last Plant Mier — — Title PO Box 1757 Permit Holder Mailing Address Wilson NC 27893 � Citv State "Lip (252) 234-5225 (252) 234-7695 Phone Fax c. Facility name (discharge): Saint-Gobain Containers, Inc. d. Facility address: 2201 Firestone Parkway Address Wilson NC 27893 City State Zip e. Facility contact person: William C Johnson (252) 234-5241 First 1 MI 1 Last Phone [[I. Please provide the following for the requested change (revised permit). a. Request for change is a result of: ❑ Change in ownership of the facility ® Name change of the facility or owner If other please explain: b. Permit issued to (company name): Ardagh Glass Inc. c. Person legally responsible for permit: Clifford G Humphreys First MI Last Plant Manager Title PO Box 1757 Permit Holder Mailing Address Wilson NC 27893 City State `Lip (252) 234-5225 Cliff.G.Humphreys(a�ardaghgroup.com Phone E-mail Address d. Facility name (discharge): Ardagh Glass Inc. e. Facility address: 2201 Firestone Parkway Address Wilson NC 27893 City State Zip f. Facility contact person: William C Johnson First MI Last (252) 234-5241 _ WiIIiam.C.Johnson(@,ardaghgroup.com ardaghgroup.com Phone E-mail Address W. Permit contact information (if different From the person legally responsible for the permit) NPDES PERMIT NAME/OWNERSHIP CHANGE FORM Page 2 of 2 Permit contact: Robert A Metzger First Ml Last Environmental Engineer �Title PO Box 4200 \Mailing Address Muncie IN 47307 City State Zip_ (765) 741-7 116 Robert. A.Metzger@ardaphhgroup.com Phone E-mail Address V Will the permitted facility continue to conduct the same industrial activities conducted prior to this ownership or name change? ® Yes ❑ No (please explain) VI. Required Items: THIS APPLICATION WILL BE RETURNED UNPROCESSED IF ITEMS ARE INCOMPLETE OR MISSING; ❑ This completed application is required for both name change and/or ownership change requests. ❑ Legal documentation of the transfer of ownership (such as relevant pages of a contract deed, or a bill of sale) is required for an ownership change request. Articles of incorporation are not sufficient for an ownership change. The certifications below must be completed and signed by both the permit holder prior to the change, and the new applicant in the case of an ownership change request. For a name change request, the signed Applicant's Certification is sufficient. PERMITTEE CERTIFICATION (Permit holder prior to ownership change): 1, NIA , attest that this application for a name/ownership change has been reviewed and is accurate and complete to the best of my knowledge. I understand that if all required parts of this application are not completed and that if all required supporting information is not included, this application package will be returned as incomplete. Signature Date APPLICANT CERTIFICATION I, Clifford Humphreys, attest that this application for a name/ownership change has been reviewed and is accurate and complete to the best of my knowledge. I understand that if all required parts of this application are not completed and that if all required supporting information is not included, this application package will be returned as incomplete. Signata Date PLEASE SEND THE COMPLETE APPLICATION PACKAGE TO: Division of Energy, Mineral and Land Resources Stormwater Permitting Program 1612 Mail Service Center Raleigh, North Carolina 27699-1612 Revised Jan. 27.2014 Via Certified Mail: No. 7012 0470 0001 6459 9951 Return Receipt Requested North Carolina Department of Environment and Natural Resources Division of Energy, Mineral and Land Resources Stormwater Permitting Program 1612 Mail Service Center Raleigh, NC 27699-1612 April 21, 2014 Re- 'Saint-Gobain Containers, Inc. Wilson, NC Permit # NCG070099 Notification of Stock Sale and Name Change Dear Sir/Madam www.ardaghgroup.com Ardagh Glass Inc. 2201 Firestone Parkway Pp Box 1757 Wilson, NC 27894 T: 252-234-5225 F: 252-234-7695 t-i LAI APR 2 4 2014 ' You will note new letterhead on this letter. On April 11, 2014, all of the stock of Saint-Gobain Containers, Inc. was transferred from Compagnie de Saint Gobain S.A. to Ardagh Holdings USA, Inc. In conjunction with this stock sale, Saint-Gobain Containers, Inc. is changing its name to Ardagh Glass Inc. The owner and operator of the Wilson Plant, the tax ID, responsible official, landowner, and contact information (other than the name) remain the same, since there was no transfer of assets as a result of the stock sale and name change. Enclosed with this letter is the required Permit Name/Ownership Change Form to request the name change from Saint-Gobain Containers, Inc. to Ardagh Glass Inc. If you have any questions or require additional information, please feel free to contact me at 252-234-5225. Yours sincerely Cliffor umphreys Plant Manager Enclosures: Permit Name/Ownership Change Form cc: Via Certified Mail: No. 7012 0470 0001 6459 9968 John W. Carroll Pepper Hamilton, LLP 100 Market Street Harrisburg, PA 17108 Registered Office! 1519 S. Macedonia Avenue, Muncie, IN USA 47307-4200 I PAA NCDENR E.rnuo«hvn un N.+w.l R[sav+cn Division of Energy, Mineral & Land Resources Land Quality Section/Stormwater Permitting National Pollutant Discharge Elimination System PERMIT NAME/OWNERSHIP CHANGE FORM FOR AGENCY USE ONLY Date Received I Year Month Da I. Please enter the permit number l'or which the change is requested. -� NPDES Permit (or) Certificate of Coverage N G S O N C 1 G 0 17 10 0 c" II. Permit status prior to requested change. a. Permit issued to (company name): Saint-Gobain Containers, Inc. C\1 b. Person legally responsible for permit: mm Clifford G Humphreys First Ml Last CL. °r Plant Manager Title - J PO Box 1757 _ Permit Holder Mailing Address Wilson NC 27893 City State Zip 252 234-5225 252 234-7695 Phone Fax c. Facility name (discharge): Saint-Gobain Containers, Inc. d. Facility address: 2201 Firestone Parkway Address Wilson NC 27893 City State Zip e. Facility contact person: William C Johnson (252) 234-5241 First I MI I Last Phone III. Please provide the following for the requested change (revised permit). a. Request for change is a result of: ❑ Change in ownership of the facility ® Name change of the facility or owner If other please explain: b. Pen -nit issued to (company name): c. Person legally responsible for permit Ardagh Glass Inc. _ Clifford G Humphreys First Ml Last Plant Manager Title PO Box 1757 Permit Holder Mailing Address Wilson NC 27893 City State Zip (252) 234-5225 Cliff.G.Humphreys@ardaghgroup.com Phnne E-mail Address d. Facility name (discharge): Ardagh Glass Inc. _ c. Facility address: 2201 Firestone Parkway _ Address Wilson NC 27893 City State Zip f. Facility contact person: William C Johnson First Ml Last (252) 234-5241 William.C.Johnson@ardaghgroup.com Phone E-mail Address IV. Permit contact information (if different from the person legally responsible for the permit) Revised Jan. 27, 2014 NPDES PERMIT NAME/OWNERSHIP CHANGE FORM Page 2 of 2 Permit contact: Robert A Metz€ First Mt Last Environmental Engineer Title PO Box 4200 Mailing Address Muncie IN 47307 City State Zip (765) 741-7116 Robert.A.Metzger(a,)ardaghgroup.com Phone E-mail Address V. Will the permitted facility continue to conduct the same industrial activities conducted prior to this ownership or name change`! ® Yes ❑ No (please explain) VI. Required Items: TFIIS APPLICATION WILL BE RETURNED UNPROCESSED IF ITEMS ARE INCOMPLETE OR MISSING: ❑ This completed application is required for both name change and/or ownership change requests. ❑ Legal documentation of the transfer of ownership (such as relevant pages of a contract deed, or a bill of sale) is recluired for an ownership change request. Articles of incorporation are not sufficient for an ownership change. The certifications below must be completed and signed by both the permit holder prior to the change, and the new applicant in the case of an ownership change request. For a name change request, the signed Applicant's Certification is sufficient. PERMITTEE CERTIFICATION (Permit holder prior to ownership change): I, NIA , attest that this application for a name/ownership change has been reviewed and is accurate and complete to the best of my knowledge. I understand that if all required parts of this application are not completed and that if all required supporting information is not included, this application package will be returned as incomplete. Signature Date APPLICANT CERTIFICATION 1, Clifford Humphreys, attest that this application for a name/ownership change has been reviewed and is accurate and complete to the best of my knowledge. I understand that if all required parts of this application are not completed and that if all required supporting information is not included, this application package will be returned as incomplete. .J Si6ata Date .................................... PLEASE SEND THE COMPLETE APPLICATION PACKAGE TO: Division of Energy, Mineral and Land Resources Stormwater Permitting Program 1612 Mail Service Center Raleigh, North Carolina 27699-1612 Revised Jan, 27, 2014 Division of Energy, Mineral & Land Resources FOR AGENCY USE ONLY • Date Received Land Quality SectionlStormwater Permitting Year Month I Day z National Pollutant Discharge Elimination System NCDENR Nortm CNOLJM• CP•rrMCM or EaoME,^�N•,�• RR°�s PERMIT NAMEIOWNERSHIP CHANGE FORM �, 1. Please enter the permit number for which the change is requested. NPDES Permit (or) Certificate of Coverage 1- N C jlqCJ61017101019191 II. Permit status prior to requested change. a. Permit issued to (company name): Saint-Gobain Containers. Inc. b. Person legally responsible for permit: Clifford G Humphreys mm First Ml Last Plant Manager Title PG Box 1757 Permit Flo]der Mailing Address Wilson NC 27893 City State Zip (252) 234-5225 (252) 234-7695 - Phone Fax i c. Facility name (discharge): Saint-Gobain Containers, Inc. d. Facility address: 2201 Firestone Parkway Address Wilson NC 27893 City State Zip e. Facility contact person: William C Johnson (252) 234-5 24 1 First / MI / Last Phone Ill. Please provide the following for the requested change (revised permit). a. Request for change is a result of: ❑ Change in ownership of the facility ® Name change of the facility or owner If other please explain: b. Permit issued to (company name): c. Person legally responsible for permit: Arda h Glass Inc. Clifford G Humphreys First Nil Last Plant Manager Title PO BOX 1757 Permit Holder Mailing Address Wilson NC 27893 Citv State Zip (252) 234-5225 Ctiff.G.Humphreys@ardaghgroup.com Phone E-mail Address d. Facility name (discharge): Arda h�Glass Inc. c. Facility address: 2241 Firestone Parkway .Address Wilson NC 27893 City State Zip f. Facility contact person: William C Johnson First MI Last (252) 234-5241 William. C.Johnson@ardaghgroup.com Phone E-mail Address 1V. Permit contact information (if different from the person legally responsible for the permit) Revised Jan. 27, 2014 NPDES PERMIT NAME/OWNERSHIP CHANGE FORM Page 2 of 2 Permit contact: Robert A Metzger -- _ First MI Last Environmental Engineer Title PO Box 4200 Mailing Address Muncie IN 47307 City State Zip (765) 741-7116 Robert.A.MetzgerAardaghgroup.com Phone E-mail Address ,V Will the permitted facility continue to conduct the same industrial activities conducted prior to this ownership or name change? ® Yes ❑ No (please explain) Vl Required Items: THIS APPLICATION WILL BE RETURNED UNPROCESSED IF ITEMS ARE INCOMPLETE OR MISSING: ❑ This completed application is required for both name change and/or ownership change requests. ❑ Legal documentation of the transfer of ownership (such as relevant pages of a contract deed, or a bill of sale) is rea uired for an ownership change request Articles of incorporation are not sufficient for an ownership change. ..................................................................................................................... The certifications below must be completed and signed by both the permit holder prior to the change, and the new applicant in the case of an ownership change request. For a name change request. the signed Applicant's Certification is sufficient. PERMITTEE CERTIFICATION (Permit holder prior to ownership change), I, NIA , attest that this application for a name/ownership change has been reviewed and is accurate and complete to the best of my knowledge. I understand that if all required parts of this application are not completed and that if all required supporting information is not included, this application package will be returned as incomplete. Signature Date APPLICANT CERTIFICATION I, Clifford Humphreys, attest that this application for a name/ownership change has been reviewed and is accurate and complete to the best of my knowledge. 1 understand that if all required parts of this application are not completed and that if all required supporting information is not included, this application package will be returned as incomplete. K c . , 4— Z_ t ( zo- Signat Date PLEASE SEND THE COMPLETE APPLICATION PACKAGE TO: Division of Energy, Mineral and Land Resources Stormwater Permitting Program 1612 Mail Service Center Raleigh, North Carolina 27699-1612 Revised Jan. 27, 2014 NCDENR NOR1�1 LMOIJN� CPh�TNCMT OF E�wor.ru+ N.µ - R,e Cw e Division of Energy, Mineral & Land Resources FOR AGENCY USE ONLY Date Received Land Quality Section/Stormwater Permitting Year Month Day National Pollutant Discharge Elimination System � PERMIT NAME/OWNERSHIP CHANGE FORM I. Please enter the permit number for which the change is requested. N PDES Permit (or) Certificate of Coverage iI C S 101 1 1 =7 I N I C 1 G 10 17 1 0 1 0 1 9 9 II. Permit status prior to requested change. a. Permit issued to (company name): Saint-Gobain Containers, Inc. b. Person legally responsible for permit. Clifford G Humphreys First Ml Last Plant Manager Title PO Box 1757 Permit Holder Mailing Address Wilson NC 27893 City State Zip (252)234-5225 (252)234-7695 Phone Fax c. facility name (discharge): Saint-Gobain Containers, Inc. d. Facility address: 2201 Firestone Parkway Address Wilson NC 27893 city state Zip e. Facility contact person: William C Johnson (252) 234-5241 First / MI / Last Phone III. Please provide the following for the requested change (revised permit). a. Request for change is a result of: ❑ Change in ownership of the facility ® Name change of the facility or owner If other please explain: b. Permit issued to (company name): c. Person legally responsible for permit: Ardagh Glass Inc. Clifford G Humphreys First Ml Last Plant Manager Title PO Box 1757 Permit Holder Mailing Address Wilson NC 27893 City State Zip (252) 234-5225 Cliff. G.flumphreys(a},ardaghgroup.com Phone E-mail Address d. Facility name (discharge): Ardagh Glass Inc. c. Facility address: 2201 Firestone Parkway Address Wilson NC 27893 Citv State Zip f Facility contact person: William C Johnson First Ml Last (252) 234-5241 William.C.Johnsotpardaghgroup.com Phone E-mail Address 0 1V. Permit contact information (if different from the person legally responsible for the permit) Revised Jan. 27, 2014 NPDES PERMIT NAME/OWNERSHIP CHANGE FORM Page 2 of 2 Permit contact: Robert A Metzger First MI Last Environmental Engineer Title PO Box 4200 Mailing Address Muncie IN 47307 Ciiy State Zip (765) 741-7116 Robert.A.Metzger(aardaghgroup.com Phone / E-mail Address V. Will the permitted facility continue to conduct the same industrial activities conducted prior to this ownership or name change" ® Yes ❑ No (please explain) VI. Required Items: THIS APPLICATION WILL BE RETURNED UNPROCESSED IF ITEMS ARE INCOMPLETE OR MISSING: ❑ This completed application is required for both name change and/or ownership change requests. ❑ Legal documentation of the transfer of ownership (such as relevant pages of a contract deed, or a bill of sale) is re uired for an ownership change request. Articles of incorporation are not sufficient for an ownership change. The certifications below must be completed and signed by both the permit holder prior to the change, and the new applicant in the case of an ownership change request. For a name change request, the signed Applicant's Certification is sufficient. PERMITTEE CERTIFICATION (Permit holder prior to ownership change): 1, N/A , attest that this application for a name/ownership change has been reviewed and is accurate and complete to the best of my knowledge. I understand that if all required parts of this application are not completed and that if all required supporting information is not included, this application package will be returned as incomplete. Signature Date APPLICANT CERTIFICATION 1, Clifford Iiumphreys, attest that this application for a name/ownership change has been reviewed and is accurate and complete to the best of my knowledge. 1 understand that if all required parts of this application are not completed and that if all required supporting information is not included, this application package will be returned as incomplete. S ign at Date PLEASE SEND THE COMPLETE APPLICATION PACKAGE TO: Division of Energy, Mineral and Land Resources Stormwater Permitting Program 1612 Mail Service Center Raleigh, North Carolina 27699-1612 Revised Jan. 27, 2014 Georgoulias, Bethany From: admin@ncdenr.gov Sent: Wednesday, May 29, 2013 2:11 PM To: SVC_DENR.stormwater Subject: Confirmation for Renewal of DWQ Stormwater NPDES General Permit ** Do not reply to this e-mail as it is from an unmonitored mailbox. ** Thanks for renewing your permit using our on-line option. No further action is necessary. The new General Permit is available for printing from our website at http:l/portal.ncdenr.org/web/wci/sw/su/npdessw . If you have questions, please contact Bethany Georgoulias at bethany.Peorgoulias a,ncdenr.yovv phone (919) 807-6372 or Bradley Bennett at bradley.bennettgc ncdenr.gov phone (919) 807-6378, If you forgot to print your Certificate of Coverage you can resubmit the data and print another copy. This COC is issued 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 General Permit authorizes discharges of stormwater and specifies your obligations for discharge controls, management, monitoring, reporting, and record keeping. Please review the new permit to Familiarize yourself with all of the changes. Parts III and IV contain the Standard Conditions, including Compliance and Liability, Reporting, Monitoring and Records requirements; Operation and Maintenance obligations; and Definitions. Your facility has six months from receipt of the COC to update its Stormwater Pollution Prevention Plan (SPPP) to comply with changes in SPPP requirements. Other changes are effective immediately. Please note that Tier 3 Actions (if applicable) are triggered by four benchmark exceedances beginning on the effective date of the renewal permit and do not count prior exceedances. Please visit our website above to review the new General Permit carefully. 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. CONFIRMATION DETAILS Pei riit Number: INCGO70099 Effective Date: 6/1/2008 Expiration Date: 9/31/2013 Organization Name: Saint-Gobain Containers Facility Name: Saint Gobain Containers Incorporated Admin Region: Raleigh County Name: Wilson Regulated Activity:. Clay, Stone, Glass products manufacture Receiving Stream Name: JIToisnot Swamp (Toisnot Reservoir) Receiving Stream Class: WS-III;NSW,CA Basin: JiNeuse Facility Address: 2200 Firestone Pkwy 151 Facility State: NC Affiliation Type: Owner Work Phone Number: (765)741-7103 Pirst Name: William;.: Middle Name: Email: william.hoover a,saint-gobain.com 152 ,AC NCDENR North Carolina Department of Environment and Natural Resources Division of Water Quality Beverly Eaves Perdue Coleen H. Sullins Dee Freeman Governor Director Secretary May 27, 2009 Mr. Charles Watson EHS Manager St. Gobain Containers 2202 Firestone Parkway P.O. Box 1757 Wilson, NC 27893 Subject: Stormwater Compliance Evaluation Inspection St. Gobain Containers NPDES Stormwater Permit No. NCG070099 Wilson, NC Wilson County Dear Mr. Watson: On May 22, 2009 Mr. Myr] Nisely of the Raleigh Regional Office of the Division of Water Quality carried out a stormwater inspection at the Wilson container manufacturing facility. The help provided by you and Mr. Charles Gooch was appreciated. The facility was in compliance. A copy of the inspection checklist is attached. A few comments are as follows: Locating the program documents was troublesome because they were intertwined with all other environmental documents at the corporate level. A corporate review and update was in progress. Various parts were available as electronic files, thus allowing us to eventually see that all components of the program are accounted for and are being accomplished. While the permit does not specifically require it, the intent is for the Stormwater Pollution Prevention Plan manual to be a stand-alone document at the facility, readily available for storing Quantitative Monitoring reports, proof of annual Employee Training and all other required activities throughout each year. The manual should contain five years' worth of records as a moving window through time and be reviewed annually for any changes at the plant. Made available this way, the details of stormwater activities will be readily available during future inspections. Stormwater from around the plant site culminates in a retention pond. Monitoring has historically been done at two inlets to this pond, and observing water duality is at those points is probably a good idea. However, for of the purpose of the permit, it will be acceptable to consider the release point of the pond as the monitoring point. St. Gobain has taken commendable extra precautions by installing booms in the pond, as well as in the outfall channel before the creek. Though not required, analytical sampling of the two inlets to the pond in August 2008 showed excellent water quality: Oil and Grease < 5 mgll, TSS of 54 and 4 mg/l, respectively and pH within 6 to 9. If you have questions or comments on this inspection, please contact me at 919-791-4200, Sincerely, V a Myr A. Nisely Environmental Chemist Surface Water Protection Section ccC:-SWP files Central Files North Carolina Division of Water Quality Raleigh Regional Office Surface Water Protection Phone (919) 791-4200 No� Carolina www.nmazerquality.org 1628 Mail Service Center Raleigh, NC 27699-1628 FAX (9l9) 788-7159 ✓ lltu fi .# e.. e ­1 A 1;; c—i., — - rnOl D. I.Alinaf o.,..4 r.,..,.,,....,. 0. --I Permit: NCG070099 SOC: County: Wilson Region: Raleigh Compliance Inspection Report Effective: 06/01/08 Expiration: 05/31/13 Owner: Saint-Gobain Containers Effective: Expiration: Facility: Saint Gobain Containers Incorporated 2200 Firestone Pkwy Contact Person: Charles Watson Directions to Facility: System Classifications: Primary ORC: Secondary ORC(s): On -Site Representative(s): Related Permits: Title: Inspection Date: 05/22/2009 Entry Time: 10:00 AM Primary Inspector: Myrl Nisely Secondary Inspector(s): Wilson NC 27893 Phone: 252-291-1500 Ext.5241 Certification: Exit Time: 12:50 PM Phone: Phone: 919-791-4200 Reason for Inspection: Routine Inspection Type: Compliance Evaluation Permit inspection Type: Stone, Clay, Glass, and Concrete Products Stormwater Discharge COC Facility Status: ■ Compliant ❑ Not Compliant Question Areas: ® Storm Water (See attachment summary) Page: 1 w Permit: NCG070099 Owner - Facility: Saint-Gobain Containers Inspection Date: 05122/2009 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? ■ ❑ ❑ ❑ # Does the Plan include a General Location (USGS) map? ■ ❑ ❑ ❑ # Does the Plan include a "Narrative Description of Practices"? ■ ❑ ❑ ❑ # 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 Parly(s)? ■ ❑ ❑ ❑ # Is the Plan reviewed and updated annually? ■ ❑ ❑ ❑ # Does the Plan include a Stormwater Facility Inspection Program? ■ ❑ ❑ ❑ Has the Stormwater Pollution Prevention Plan been implemented? ■ ❑ ❑ ❑ Comment: Documentation for the SW program will be more accessible if housed separately in its own 3-ring binder. See cover letter. Earthen berms serving as part of the containment for large fuel oil tanks had recently been shored up Qualitative MonqRELnq Yes No NA NE Has the facility conducted its Qualitative Monitoring semi-annually? 000.0 Comment: Observations are being carried out a great deal more frequently than required by the permit. Analytical! Monitoring Yes No NA NE Has the facility conducted its Analytical monitoring? ❑ ❑ ■ Cl # Has the facility conducted its Analytical monitoring from Vehicle Maintenance areas? ❑ ❑ ■ ❑ Comment: Exempt from Vehicle Maintenance, below the used oil threshhold. Permit and Outfalls Yes No NA NE # Is a copy of the Permit and the Certificate of Coverage available at the site? ■ ❑ ❑ ❑ # Were all outfalls observed during the inspection? ■ ❑ ❑ ❑ # If the facility has representative outfall status, is it properly documented by the Division? ❑ ❑ ■ ❑ Page: 3 Permit: NCG070099 Owner - Facility: Saint-Gobain Containers Inspection Date: 05/22/2009 inspection Type: Compliance Evaluation Reason for Visit: Routine # Has the facility evaluated all illicit (non stormwater) discharges? Comment: DWQ recommends considering the location of the outfall to be where the stormwater leaves the property. ❑ ❑ ❑ Page; 4 J NlAT Michael F. Easley, Governor O�OF F9pG William G. Ross Jr., Secretary North Carolina Department of Environment and Natural Resources U} 7 Alan W. Klimok, P.E. Director Division of Water Quality April 28, 2003 B Lindsay Saint Gobain Containers Incorporated PO Box 4200 Muncie, IN 47307 Subject: NPDES Stormwater Permit Renewal Saint Gobain Containers incorporated COC Number NCG070099 Wilson County Dear Permittee: In response to your renewal application for continued coverage under general permit NCG070000, 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 NCG070000 A copy of the Analytical Monitoring Form (DMR) • A copy of the Qualitativel Monitoring Form • 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 the Department of Environment and Natural Resources, 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 Mack Wiggins of the Central Office Stormwater and General Permits Unit at (919) 733-5083, ext. 542. Sincerely, Bradley Bennett, Supervisor Stormwater and General Permits Unit cc: Central Files Stormwater & General Permits Unit Files Raleigh Regional Office N. C. Division of Water Quality 1617 Mail Service Center Raleigh, NC 27699-1617 (919) 733-8053 OEM Customer Service 1 800 623-7748 STATE OF NORTH CAROLINA DEPARTMENT OF ENVIRONMENT AND NATURAL RESOURCES DIVISION OF WATER QUALITY GENERAL PERMIT NO. NCG070000 CERTIFICATE OF COVERAGE No. NCG070099 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, Saint-Gobain Containers is hereby authorized to discharge stormwater from a facility located at Saint Gobain Containers Incorporated 2200 Firestone Parkway Wilson Wilson County to receiving waters designated as a UT to Toisnot Creek, a class WS-III NSW CA stream, in the Neuse River Basin in accordance with the effluent limitations, monitoring requirements, and other conditions set forth in Parts I, II, III, IV, V, and VI of General Permit No. NCG070000 as attached. This certificate of coverage shall become effective May 1, 2003. This Certificate of Coverage shall remain in effect for the duration of the General Permit. Signed this day April 28, 2003. for Alan W. Klimek, P.E., Director Division of Water Quality By Authority of the Environmental Management Commission +J . O�0� WAr�9QG Michael F. Easley, Governor William G. Ross Jr., Secretary North Carolina Department of Environment and Natural Resources 0) (&'P Alan W. Klimek, P.E., Director 0 Division of Water Quality September 4, 2002 B LINDSAY SAINT GOBAIN CONTAINERS INCORPORATED PO BOX 4200 MUNCIE, IN 47307 Subject: NPDES Stormwater Permit Coverage Renewal Saint Gobain Containers Incorporated COC Number NCG070099 Wilson County Dear Permittce: Your facility is currently covered for stormwater discharge under General Permit NCG070000. This permit expires on March 31, 2003. The Division staff is currently in the process of rewriting this permit and is scheduled to have ,the permit reissued by early spring of 2003. 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 coverage will be expiring. Enclosed you will find a Permit Coverage Renewal Application Form. The application must be completed and returned by October 2, 2002 in order to assure continued coverage under the general permit. Due to staff and budget constraints, letters confirming our receipt of the completed application will not be sent. Failure to request renewal within the time period specified, 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. l 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 I 1 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 facility 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.stkte,ne.us/su/stormwater.htiiil 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 ofthe form. You will be notified when the rescission process has been completed. If you have any questions regarding the permit renewal procedures please contact Joe Albiston of the Raleigh Regional Office at 919-571-4700 or Mack Wiggins of the Central Office Stormwater Unit at (919) 733-5083, ext. 542 Bradley Bennett, Supervisor Stormwater and General Permits Unit cc: Central Files Stormwater and General Permits Unit Files Raleigh Regional Office ©�� NCDENR N. C. Division of Water Quatity 1617 Mail Service Center Raleigh, NC 27699-1617 (919) 733-7015 Customer Service 1-800.623-7748 I State of North Carolina Department of Environment and Natural Resources Division of Water Quality James B. Hunt, Jr., Governor Bill Holman, Secretary Kerr T. Stevens, Director November 7, 2000 Mr. Anthony Cappellino Saint-Gobain Containers, LLC PO Box 4200 Muncie, Indiana 47307-4200 J` t Subject n Gov 2 0 Sao y Dear Mr. Cappellino: RcG44�1at- �FF,� �.s NCDENR NORTH CAROLINA DEPARTMENT OF ENVIRONMENT ANr> NATURAL RESOURCES NPDES Permit Modification — Name Change Permit NCG070099 Saint-Gobain Containers, LLC (Formerly Ball -Foster Glass Container Co:) 'Wilson County In accordance with your request received October 30, 2000, the Division is forwarding the subject permit modification. This modification documents the change in name at the subject facility. All other terms and conditions in the original permit remain unchanged and in full effect. This permit modification is issued under the requirements of North Carolina General Statute 143-2I5.1 and the Memorandum of Agreement between North Carolina and the U. S. Environmental Protection Agency dated December 6, 1983. If any parts, measurement frequencies or sampling requirements contained in this permit modification are unacceptable to you, you have the right to an adjudicatory hearing upon written request within thirty (30) days following receipt of this letter. This request must be a written petition conforming to Chapter 150B of the North Carolina General Statutes, filed with the Office of Administrative Hearings, Post Office Drawer 27447, Raleigh, North Carolina 27611-7447. Unless such demand is made, this decision shall be final and binding. This permit does not affect the legal requirement to obtain other permits which may be required by the Division of Water Quality, the Division of Land Resources, Coastal Area Management Act, or any other Federal or Local government permit that may be required. If you have any questions concerning this permit, please contact Valery Stephens at the telephone number or address listed below. cc: Central Files Raleigh Regional Office, Water Quality Section NPDES Unit Point Source Compliance Enforcement Unit 1617 Mail Service Center, Raleigh, North Carolina 27699.1617 Sincerely, Kerr T. Stevens 919 733.5083. extension 520 (lax) 919 733.0719 VGT 11SONTHE INTERNET @ htlp)/h2o.enr,state,nc.us/ Valery.Stephens@ncmall.nel i STATE OF NORTH CAROLINA DEPARTMENT OF ENVIRONMENT AND NATURAL RESOURCES DIVISION OF WATER QUALITY GENERAL PERMIT NO. NCG070000 CERTIFICATE OF COVERAGE No. NCG070099 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, SAINT-GOBAIN CONTAINERS, LLC is hereby authorized to discharge stormwater from a facility located at 2200 Firestone Parkway Wilson, North Carolina Wilson County to receiving waters designated as UT Toisnot Creek, in the Neuse River Basin in accordance with the effluent limitations, monitoring requirements, and other conditions set forth in Parts I, II, III, IV, V, VI and VII of General Permit No. NCG070000 as attached. This certificate of coverage shall become effective November 7, 2000. This Certificate of Coverage shall remain in effect for the duration of the General Permit. Signed this day November 7, 2000. tKe�rArT. Stevens, Director ivision of Water Quality By Authority of the Environmental Management Commission State of North Carolina Department of Environment and Natural Resources . Division of Water Quality James B. Hunt, Jr., Governor Wayne McDevitt, Secretary A. Preston Howard, Jr., P.E., Director April 30, 1998 VALERIE KRULIC BALL -FOSTER GLASS CONTAINER CO PO BOX 4200 MUNCIE, IN 47307 Subject: Reissued Stormwater General Permit for Certificate of Coverage No. NCG070099 Wilson 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 permit 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 which 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 and General Permits Unit at telephone number (919) 733-5083 Sincerely, forA 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 Afl-irtnative Action Employer 50% recycled/ 10% post -consumer paper STATE OF NORTH CAROLINA DEPARTMENT OF ENVIRONMENT, HEALTH AND NATURAL RESOURCES DIVISION OF WATER QUALITY GENERAL PERMIT NO. NCG070000 CERTIFICATE OF COVERAGE NO. NCG070099 STORMWATER DISCHARGES 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, BALL -FOSTER GLASS CONTAINER CO is herby authorized to discharge stormwater from a facility located at: 2200 FIRESTONE PARKWAY WILSON, NC WILSON COUNTY to receiving waters designated as UT To Toisnot Creek in the Neuse River Basin in accordance with the effluent limitations, monitoring requirements and other conditions set forth in Parts I, II, III and IV of General Permit No. NCG070000 as attached. This Certificate of Coverage shall become effective May 1, 1998, This Certificate of Coverage shall remain in effect for the duration of the General Permit. Signed this day April 30,1998 for A Preston Howard, Jr., P.E., Director Division of Water Quality By Authorization of the Environmental Management Commission State of North Carolina Department of Environment, �'�Aj Health and Natural Resources A74Division of Environmental Management James B. Hunt, Jr., Governor Jonathan B. Howes, Secretary 1: D FE F1 A. Preston Howard, Jr., P.E., Director November 15, 1995 Ms. Valerie Krulic Ball -Foster Glass Container Company P. O. Box 249 Marion, IN 46952 Subject: NPDES No. NCG070099 Ball -Foster Glass Container Co. formerly: Beverage Glass North America, American National Can Co. Wilson County Dear Ms. Krulic: In accordance with your request dated September 28, 1995, we are forwarding herewith the modified Certificate of Coverage page for the subject facility. The change is in name and ownership. Please discard the previous correspondence with respect to the facility in Asheville. This Certificate of Coverage is issued pursuant to the requirements of North Carolina General Statute 143-215A and the Memorandum of Agreement between North Carolina and the U. S. 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 i, ,Jividual 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 Land Resources, Coastal Area Management Act or any other Federal or Local governmenta! permit that may be required. If you have any questions concerning this permit, please contact Steve Ulmer at telephone number 919/733-5083, Ext. 545. Sincerely, A. Preston Howard, Jr., P.E. cc: Raleigh Regional Office Compliance -Jeanne Phillips, ISB � • Central Files P.O. Box 29535, Raleigh, North Carolina 27626-0535 Telephone 919-733-5083 FAX 919-733-9919 An Equal Opportunity Affirmative Action Employer 50% recycled/ 10% post -consumer paper STATE OF NORTH CAROLINA DEPARTMENT OF ENVIRONMENT, HEALTH, AND NATURAL RESOURCES DIVISION OF ENVIRONMENTAL MANAGEMENT GENERAL PERMIT NO. NCG070000 CERTIFICATE OF COVERAGE NO. NCG070099 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, Ball -Foster Glass Container Co.,'L' :L.C. is hereby authorized to discharge stormwater from a facility located at 2200 Firestone Parkway Wilson Wilson County to receiving waters designated as an unnamed tributary to Toisnot Swamp in the Neuse River Basin in accordance with the effluent limitations, monitoring requirements, and other conditions set forth in Parts I, I1, III and IV of General Permit No. NCG070000 as attached. This Certificate of Coverage shall become effective November 15, 1995. This Certificate of Coverage shall remain in effect for the duration of the General Permit. Signed this day November 15, 1995. ly A. Preston Howard, Jr., P.E., Director Division of Environmental Management By Authority of the Environmental Management Commission :: State 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 Mr. Rhoniton Rivetona American National Can Company 8770 West Bryn Mawr. Ave. Chicago, IL 60631 Dear Mr. Rivetona: &TX.YAFA RFCEIVE AD� IFA � f99�1 ID E H N F1 August 19, 1994 Subject: General Permit No. NCG070000 American National Can Comaany COC NCG070099 Wilson Company In accordance with your application for discharge permit received on June 27, 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 .l 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 Land 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 919/733-5083. Sincerely, 1 Signal By ot.41ne 5Ui1►t�s dole A. Preston Howard, Jr., P. E. cc: lRaleigh Region al-Qffice� P.O. Box 29535, Raleigh, North Carolina 27626-0535 Telephone 919-733-5083 FAX 919-733-9919 An Equal Opportunity Affirmative Action Employer 50% recycled/ 10% post -consumer paper STATE OF NORTH CAROLINA DEPARTMENT OF ENVIRONMENT, HEALTH, AND NATURAL RESOURCES DIVISION OF ENVIRONMENTAL MANAGEMENT GENERAL PERMIT NO, NCG070000 CERTIFICATE OF COVERAGE No. NCG070099 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, American National Can Company is hereby authorized to discharge stonnwater from a facility located at Beverage Glass North America, American National Can Co. 2200 Firestone Parkway Wilson Wilson County to receiving waters designated as an unnamed tributary to Toisnot Swamp in the Neuse River Basin in accordance with the effluent limitations, monitoring requirements, and other conditions set forth in Parts I, H, III and IV of General Permit No. NCG070000 as attached. This certificate of coverage shall become effective August 19, 1994. This Certificate of Coverage shall remain in effect for the duration of the General Permit. Signed this day August 19, 1994. original z,l,�"',,d i=,y cc;seen �1- Suililt A. Preston Howard, Jr., P.E. Division of Environmental Management By Authority of the Environmental Management Commission `✓ �ss _�- i+ "65 rl \,� �o� �`\u —J •�. •/3a Dunn 47'3D" f " Crossroads �� •� / nbem rr ��- u' ~\ - - • it • Il 1330 J i Peace - - ---- n. Ch 3262 GethsemaCnhi rii •\\� 06 Zzz ,t kk z�— — Ch , a y \N ONIk er Water 2. .� _Ralph L Fike �� \ ' — �ti� r39 , 1✓ — 73fakHigh Sch i, /"/i (� \ - ''� \ / 'o—= '� 132, // l �— r-- •' l %. 23b 55' " ''r =38 1NTe.1oR—G(040 1C•L SW*VlT. RESTON. VINGINl.-1.77 35745' rPr. ETOPSr7,41. 239000.E 77°52'30" ROAD CLASSIFICATION N ! MILE Primary highway, Light -duty road, hard or `Foy 7000 FEET hard surface ................._ improved surface.,..... � •� � tIIOMETER Secondary highway, hard surface. ................. Unimproved road__...===r__=_= Interstate Route _ U. S. Route �; State Route N- C. ■ '� QUAORANGLE LOCATION WINSTEAD CROSSROADS, N.C. SW/4 ROCKY MOUNT 15' QUADRANGLE N3545—W7752.517.5 Michael F. Easley, Governor William G. Ross Jr., Secretary North Carolina Department of Environment and Natural Resources Alan W. Klimek, P.E., Director Division of Water Quality September 4, 2002 B LINDSAY SAINT GOBAIN CONTAINERS INCORPORATED PO BOX 4200 MUNCIE, IN 47307 Subject: NPDES Stormwater Permit Coverage Renewal Saint Gobain Containers Incorporated COC Number NCG070099 Wilson County Dear Permittec: Your facility is currently covered for stormwater discharge under General Permit NCG070000. This permit expires on March 31, 2003. The Division staff is currently in the process of rewriting this permit and is scheduled to have the permit reissued by early spring of 2003. 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 coverage will be expiring. Enclosed you will find a Permit Coverage Renewal Application Norm. The application must be completed and returned by October 2, 2002 in order to assure continued coverage under the general permit. Due to staff and budget constraints, letters confirming our receipt of the completed application will not be sent. Failure to request renewal within the time period specified, 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 I I 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 facility 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 mcmher listed below or check the Stormwater & General Permits Unit Web Site at http:llh2o.enr.state.nc.us/su/stormwater.himl 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 he notified when the rescission process has been completed. If you have any questions regarding the permit renewal procedures please contact Joe Albiston of the Raleigh Regional Off ice at 919-571-4700 or Mack Wiggins of the Central Office Stormwater Unit at (919) 733-5083, ext 542 Bradley Bennett, Supervisor Stormwater and General Permits Unit cc: Central Files Stormwater and General Permits Unit Files Raleigh Regional Office N. C. Division of Water Quality 1617 Mail Service Center Raleigh, NC 27699-1617 (919) 733-7015 Customer Service 1-800-623-7748 State of North Carolina Department of Environment and Natural Resources Division of Water Quality James B. Hunt, Jr., Governor Bill Holman, Secretary Kerr T. Stevens, Director November 7, 2000 Mr. Anthony Cappellino Saint-Gobain Containers, LLC PO Box 4200 Muncie, Indiana 47307-4200 A M15WA NCDENR NORTH CAROONA DEPARTMENT OF - ENVIRONMENT AND NATURAL RESOURCES Subject: NPDES Permit Modification — Name Change Permit NCG070099 Saint-Gobain Containers, LLC (Formerly Ball -Foster Glass Container Co.) Wilson County Dear Mr. Cappellino: In accordance with your request received October 30, 2000, the Division is forwarding the subject permit modification. This modification documents the change in name at the subject facility. All other terms and conditions in the original permit remain unchanged and in full effect. This permit modification is issued under the requirements of North Carolina General Statute 143-215.1 and the Memorandum of Agreement between North Carolina and the U. S. Environmental Protection Agency dated December 6, 1983. If any parts, measurement frequencies or sampling requirements contained in this permit modification are unacceptable to you, you have the right to an adjudicatory hearing upon written request within thirty (30) days following receipt of this letter. This request must be a written petition conforming to Chapter 150B of the North Carolina General Statutes, filed with the Office of Administrative Hearings, Post Office Drawer 27447, Raleigh, North Carolina 27611-7447. Unless such demand is made, this decision shall be final and binding. This permit does not affect the legal requirement to obtain other permits which may be required by the Division of Water Quality, the Division of Land Resources, Coastal Area Management Act, or any other Federal or Local government permit that may be required. If you have any questions concerning this permit, please contact Valery Stephens at the telephone number or address listed below. cc: Central Files Raleigh Regional Office, Water Quality Section NPDES Unit Point Source Compliance Enforcement Unit 1617 Mail Service Center, Raleigh, North Carolina 27699.1617 VISIT US ON THE INTERNET @ httpA2o.enr.slale.nc.Us! Sincerely, Kerr T. Stevens 919733.5083, extension 520 (fax) 919 733.0719 Valery.Stephens @ ncmail.nel STATE OF NORTH CAROLINA DEPARTMENT OF ENVIRONMENT AND NATURAL RESOURCES DIVISION OF WATER QUALITY GENERAL PERMIT NO. NCG070000 CERTIFICATE OF COVERAGE No. NCG070099 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, SAINT-GOBAIN CONTAINERS, LLC is hereby authorized to discharge stormwater from a facility located at 2200 Firestone Parkway Wilson, North Carolina Wilson County to receiving waters designated as UT Toisnot Creek, in the Neuse River Basin in accordance with the effluent limitations, monitoring requirements, and other conditions set forth in Parts I, II, III, IV, V, VI and VII of General Permit No. NCGO70000 as attached. This certificate of coverage shall become effective November 7, 2000. This Certificate of Coverage shall remain in effect for the duration of the General Permit. Signed this day November 7, 2000. tKe,'rArT. Stevens, Director ision of Water Quality By Authority of the Environmental Management Commission ' State of North Carolina Department of Environment and Natural Resources. Division of Water Quality James B. Hunt, Jr., Governor Wayne McDevitt, Secretary A. Preston Howard, Jr., P.E., Director April 30, 1998 VALERIE KRULIC BALL -FOSTER GLASS CONTAINER CO PO BOX 4200 MUNCIE, IN 47307 im. WA AM .0 IDE N R Subject: Reissued Stormwater General Permit for Certificate of Coverage No. NCG070099 Wilson 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 permit package: w A copy of the stormwater general permit. w 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 which 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 and General Permits Unit at telephone number (919) 733-5083 Sincerely, foA. 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 STATE OF NORTH CAROLINA DEPARTMENT OF ENVIRONMENT, HEALTH AND NATURAL RESOURCES DIVISION OF WATER QUALITY ' GENERAL PERMIT NO. NCG070000 CERTIFICATE OF COVERAGE NO. NCG070099 STORMWATER DISCHARGES 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, BALL -FOSTER GLASS CONTAINER CO is herby authorized to discharge stormwater from a facility located at: 2200 FIRESTONE PARKWAY WILSON, NC WILSON COUNTY to receiving waters designated as UT To Toisnot Creek in the Neuse River Basin in accordance with the effluent limitations, monitoring requirements and other conditions set forth in Parts I, II, II1 and IV of General Permit No. NCG070000 as attached. This Certificate of Coverage shall become effective May 1, 1998. This Certificate of Coverage shall remain in effect for the duration of the General Permit. Signed this day April 30,1998 f or A. Preston Howard, Jr., P.E., Director Division of Water Quality By Authorization of the Environmental Management Commission State of North Carolina Department of Environment, Health and Natural Resources 74jo Division of Environmental ManagementAN James B. Hunt, Jr., Governor Jonathan B. Howes, Secretary N A. Preston Howard, Jr., P.E., Director November 15, 1995 Ms. Valerie Krulic Ball -Foster Glass Container Company P. O. Box 249 Marion, IN 46952 Subject: NPDES No. NCG070099 Ball -Foster Glass Container Co. formerly: Beverage Glass North America, American National Can Co. Wilson County Dear Ms. Krulie: In accordance with your request dated September 28, 1995, we are forwarding herewith the modified Certificate of Coverage page for the subject facility. The change is in name and ownership. Please discard the previous correspondence with respect to the facility in Asheville. This Certificate of Coverage is issued pursuant to the requirements of North Carolina General Statute 143-215.1 and the Memorandum of Agreement between North Carolina and the U. S. Environmental Protection Agency dated December 6, 1983, If any parts, measurement frequencies or sampling requirements contained in this permit are unacceptable to ycli, 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 Land 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 Steve Ulmer at telephone number 919/733-5083, Ext. 545. Sincerely, zu A. Preston cc: Raleigh Regional Office Compliance -Jeanne Phillips, ISB Central Files ^ rPP61 f Howard, Jr., P.E. P.O. Box 29535, Raleigh, North Carolina 27626-0535 Telephone 919-733-5083 FAX 919-733-9919 An Equal Opportunity Affirmative Action Employer 50% recycled/ 10% post -consumer paper ti STATE OF NORTH CAROLINA DEPARTMENT OF ENVIRONMENT, HEALTH, AND NATURAL RESOURCES DIVISION OF ENVIRONMENTAL MANAGEMENT GENERAL PERMIT NO. NCG070000 CERTIFICATE OF COVERAGE NO. NCG070099 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 Art, as amended, Ball -Foster Glass Container Co., L.L.C. is hereby authorized to discharge stormwater from a facility located at 2200 Firestone Parkway Wilson Wilson County to receiving waters designated as an unnamed tributary to Toisnot Swamp in the Neuse River Basin in accordance with the effluent limitations, monitor-ing requirements, and other conditions set forth in Parts I, II, III and IV of General Permit No. NCG070000 as attached. This Certificate of Coverage shall become effective November 15, 1995, This Certificate of Coverage shall remain in effect for the duration of the General Permit. Signed this day November 15, 1995. A. Preston Howard, Jr., P.E., Director Division of Environmental Management By Authority of the Environmental Management Commission State 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 August 19, 1994 Mr. Rhoniton Rivetona American National Can Company 8770 West Bryn Mawr. Ave. Chicago, IL 60631 Subject: General Permit No. NCG070000 American National Can Comapny COC NCG070099 Wilson Colrt� Dear Mr. Rivetona: In accordance with your application for discharge permit received on June 27, 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 Land 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 con t Aisha Lau at Re' phone number 919/733-5083. Sincerely, Original Signed gv coleen 4u11,, A. Preston Howarrq, 7r., `l35E. cc: Raleigh Regional Office P.Q. Box 29535, Raleigh, North Carolina 27626-0535 Telephone 919-733-5083 FAX 919-733-9919 An Equal Opportunity Affirmative Action Employer 50% recycled/ 10% post -consumer paper STATE OF NORTH CAROLINA DEPARTMENT OF ENVIRONMENT, HEALTH, AND NATURAL RESOURCES DIVISION OF ENVIRONMENTAL MANAGEMENT GENERAL PERMIT _NO:N_ CG070� CERTIFICATE OF COVERAGE No. NCG070099 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, American National Can Company is hereby authorized to discharge stormwater from a facility located at B Glass North Amcri American National Can Co. �— ---- 220@ irestone Parkway Wilson Wilson County to receiving waters designated as an unnamed tributary to Toisnot Swamp in the Neuse River Basin in accordance with the effluent limitations, monitoring requirements, and other conditions set forth in Parts I, II, III and IV of General Permit No. NCG070000 as attached. This certificate of coverage shall become effective August 19, 1994. This Certificate of Coverage shall remain in effect for the duration of the General Permit. Signed this day August 19, 1994. Ori;lnal A. Preston Howard, Jr., P.E. Division of Environmental Management By Authority of the Environmental Management Commission ��s mil! •r332 47'3G' 3e Dunn Crossroads 'Cem 1-5 3964 Cem-. ���u l 33oJ• 14\ Imo' / � � � i '�-%� ��• Ill I' 9: � i ,ram •� � � t! i` � � � � _ ��., .� - .... .. .31 . ,� �� •E I� �, 136� { Il li r Peace I �(x ray Ch ` i( ° �� _ - ------ ---"� i �� Nrs3 I 133 4 1, 062 ��, /49 Gethsemane} �,.••••'•••'� I� .' 144/ Ch 06 ��-� i --• 142 �. •r� p-_ __ _—_ J� 3961 to A Co -engnt Ch 136 141 .\WaterRalph L Fike l'323f\� �y ` ; Iros _ I / x 139 /� j 60 N Tank Schr�� '36 55' \ '•ti'lLdM:JKS d L'I. l x i INTERIOR—GEOwgJCAi SURVEY, REsror., ViRG-1 35°45' P1rtl E.'OPS ' 17 ,�d 1. 38 239000-E 7 7' 52' 30' ROAD CLASSIFICATION ll i MILE Primary highway, Light -duty road, hard or %P 700p FEET hard surface ........... .......... - improved surface -,..,. ass'• � uLaMETI:R Secondary highway, hard surface...._.._...__...-- Unimproved road.._. J Interstate Route rci. S. Route �jState Route WINSTEAD CROSSROADS, N.C. QUADRANGLE LOCATION SW/4 ROCKY MOUNT 15' OUADRANOLE Iva'rAri W77S') r-17 r IVa �'t G o couf 3TY NpoES /V C 0 -7 00 MAP _`t7 S I/P/ Dwi a i y„W SLj � Z-ASI N n 3 c� -' 0 �7 Lo �.-YUDE -7 -7 ° �a ` 5.7 11 Ai e p e RECE ViNG STREAM S S h 5 y 4 STREAM CLASS %V S 14 DISCHARGE CLASS m w If EXPIRATION DATE /