HomeMy WebLinkAbout20160212MorrisvilleDryClnrs_RPTNORTH CAROLINA DIVISION OF WASTE MANAGEMENT
Dry Cleaning Solvent Cleanup Act (DSCA) Compliance Program
Inspection Report
Date: 2/18/2016
Facility Identification
Morrisville Dry Cleaners
Facility ID: 920074C
EPA Generator ID: NCCESQG
County/FIPS: Wake/183
DSCA Cleanup ID:
Facility Data
Morrisville Dry Cleaners
10970 Chapel Hill Road, Ste. 126
Morrisville NC 27560
Lat: 35.85598 Long: -78.84031
SIC: 7216 / Dry Cleaning Plants, Except Rugs
NAICS: 81232/ Dry Cleaning and Laundry Services (except Coin-Operated)
Date of Facility Establishment: 10/29/2009
Compliance Data
Inspection Date: 2/12/2016
Time In: 10:00 AM Time Out: 10:35 AM
Inspector: Pam Moore
Operating Status: OO/Operating
Compliance Codes: In Compliance
Action Code: 01/Inspection
Contact Data Classification Data
Service Type: Full Service (Active)
Solvent: DF2000
System: Dry-to-Dry
Installation Date: 2009
Installation Category: N/A
Consumption Category: N/A
HW Generator Status: CESQG
Facility Contact
Kishan Desai
10970 Chapel Hill Road,
Ste. 126
Morrisville, NC 27560
(919) 468-6306
Facility Owner
Kishan Desai
10970 Chapel Hill Road,
Ste. 126
Morrisville, NC 27560
(919) 468-6306
Property Owner
SSS Holdings LLC
11901 Possum Track Rd
Raleigh, NC 27614
Inspector’s Signature:
Date of Signature:
Comments:
(I) DIRECTIONS: From the DENR Green Square building located at 217 W Jones St (Raleigh), head east on W Jones St
toward N McDowell St. Take the 1st left onto N McDowell St and continue onto Capital Blvd. Take the Wade Avenue
ramp and merge onto US-70 W/Wade Ave. Continue to follow Wade Ave and merge onto I-40 West. Proceed for
approximately 12 miles. Take exit 284 for Airport Blvd and keep left at the fork; turn left onto Airport Blvd. Turn right
onto NC 54 W/Chapel Hill Rd. The facility will be on the right, in Perimeter Park.
(II) FACILITY HISTORY: Morrisville Dry Cleaners is a petroleum solvent dry cleaning plant that has been owned and
operated by Mr. Kishan Desai since its establishment in October 2009. The facility is open from 7 am to 7 pm M-F and 8
am to 2 pm on Saturday. The facility is attached to the Daily Grind coffee shop and does not service any area pickup
locations.
Solvent History:
Solvent Dates Used
DF2000 10/29/2009 to Present
Previous Inspections:
Date Visit Type Violation
Type(s)
Worst Violation(s) Action(s)
Taken
Response
Due
Received
Date
Inspector
7/24/2015 Inspection MMP Inadequate spill
containment, No spill
containment under
separator water
container
CHKLST
sent on
7/24/2015
8/14/2015 8/21/2015 Pam
Moore
7/31/2014 Initial
Inspection
MMP Inadequate spill
containment
CHKLST
sent on
7/31/2014
8/21/2014 8/21/2014 Pam
Moore
9/13/2012 Outreach
Training
Visit
MMP No spill containment
(solvent and waste
storage areas)
CAL sent
on
9/25/2012
10/16/2012 Not Rec'd Alicia
Roh
Complaints: None
DSCA Sampling: None
(III) FACILITY CLASSIFICATION:
NSPS INSTALLATION CATEGORY – Not Applicable: Morrisville Dry Cleaners utilizes dry cleaning equipment
installed in 2009 with a 60 pound drying capacity. Although the solvent-recovery system was installed after December
14, 1982, the total manufacturers' rated dryer capacity was less than 84 pounds. Therefore the facility is not subject to
the National New Source Performance Standard (NSPS) for Petroleum Dry Cleaners Subpart JJJ found in Title 40 CFR
Part 60, Subpart JJJ (40 CFR Sections 60.620 through 60.625).
Dry Cleaning Equipment Summary
No Type of
Machine
Gen Manufacturer
(Mfr)
Model # Serial # Mfr
Date
Install
Date
End
Date
Solvent Used Observed
Operating?
1 Dry-to-
Dry
n/a Union HL 860 607 B9
1048
2009 10/1/2009 N/A DF2000 yes
HAZARDOUS WASTE GENERATOR CATEGORY - CESQG: Morrisville Dry Cleaners is classified as a
Conditionally Exempt Small Quantity Generator (CESQG) because the facility has routinely generated less than 220
pounds of waste per month during the past 12 months, and stores less than 2,200 pounds of hazardous waste on site.
Morrisville Dry Cleaners has contracted with MCF Systems of Atlanta (EPA ID# GAD981269095) to transport the
facility-generated hazardous waste to a licensed Treatment Storage or Disposal (TSD) facility. The most recent
hazardous waste generated was transported to EWS Alabama Inc. in Glencoe, AL (EPA ID# ALD981020894). Three
years of hazardous waste manifests were on site and available for review. Approximately 69 pounds of hazardous
waste are generated per month. In the past 12 months, 550 pounds of facility-generated waste were transported off site.
The last waste pickup occurred on November 5, 2015, when a total of 550 pounds of hazardous waste were transported
off site (liquid waste). One partially full 55-gallon drum of hazardous waste was observed on site at the time of the
inspection (approx. 275 lbs.). The facility does not utilize an onsite wastewater treatment unit (WWTU) to dispose of
facility-generated contact water.
(IV) INSPECTION SUMMARY: On February 12, 2016, Pam Moore, Compliance Inspector, with the North Carolina
Division of Waste Management, Dry Cleaning Solvent Cleanup Act (DSCA) Program conducted a Compliance Inspection
at Morrisville Dry Cleaners. The inspector met with Mr. Joe Nucharel, machine operator, who provided the inspector access
to the facility's equipment and available records.
The facility continues to use the same dry cleaning machine observed during previous inspections, as listed above. The
machine is normally operated from 8 a.m. to 1 p.m. Monday through Friday and was observed in operation. No leaks or
other problems were observed. Separator water is collected in a container that is stored in spill containment. Less than one
gallon of separator water was observed in the container and about half a gallon is generated per week and is disposed in the
waste drum. Solvent filters are changed every two months and are drained over the weekend prior to removal and disposal.
The solvent waste drum is stored behind the dry cleaning machine in spill containment of adequate capacity, a correction
of a previous violation. Mr. Desai had told the inspector after the 2015 inspection that he planned to switch from the 55-
gallon waste drum to a smaller waste drum; however, Mr. Desai called Ms. Moore in November 2015 to inform her that he
decided to continue to use the 55-gallon waste drum and had obtained an attachment for his existing spill deck that is an
expandable bladder that would increase the capacity of the spill deck to meet the regulatory requirement. No solvent drums
were stored onsite.
Waste manifests were onsite, an emergency information form was completed and posted and spill cleanup material was
stored onsite.
The following is a summary of Morrisville Dry Cleaners' compliance with respect to the DSCA Required Minimum
Management Practices provided in 15A NCAC 02S.0202, National New Source Performance Standard (NSPS) for
Petroleum Dry Cleaners Subpart JJJ found in Title 40 CFR Part 60, Subpart JJJ (40 CFR Sections 60.620 through 60.625),
and Recovery Act (RCRA) referenced in 40 CFR part 261.5 and 262.
MMP VIOLATIONS - 15A NCAC 02S.0202
None
(V) CONCLUSIONS: Based on observations documented by the DSCA Inspector during the February 12, 2016 inspection,
Morrisville Dry Cleaners is currently in compliance with the applicable regulations.
(VI) ENFORCEMENT HISTORY (Penalties): None
(VII) RECOMMENDATIONS: A DSCA Compliance Program Checklist (#01528) was issued to Mr. Joe Nucharel,
employee and machine operator at Morrisville Dry Cleaners, indicating any compliance issues to be addressed (no response
required). Mr. Nucharel was instructed to take the necessary actions to maintain compliance at Morrisville Dry Cleaners. A
follow-up inspection should be conducted by February 12, 2017 to confirm compliance.
55-gallon waste drum is now stored in spill containment of adequate capacity due to the addition of the expandable bladder
attachment.