HomeMy WebLinkAbout20150041 Ver 1_IP Text and Narrative_20150224Enndividual Permit Application for
U.S. Army Corps of Engineers
Section 4 04 Permit
and
North Carolina 401 Water Quality Certification and
Isolated Wetlands Permit
February 2015
Applicant:
Green Meadows, LLC
Attn: Mr. Charles Price
12601 Plantside Drive
Louisville, KY 40299
Prepared by:
ClearWater Environmental Consultants, Inc.
224 South Grove Street, Suite F
Hendersonville, North Carolina 28792
828- 698 -9800
Corps Submittal Cover Sheet
Please provide the following info:
1. Project Name: Sanford and Brickhaven Mines
2. Name of Property Owner /Applicant: Green Meadows, LLC; Mr. Charles Price
3. Name of Consultant/Agent: ClearWater Environmental Consultants, Inc.
*Agent authorization needs to be attached.
4. Related/previous Action ID numbers(s): SAW- 2014 -02254 and SAW- 2015 -00107
5. Site Address: Moncure - Flatwood Road and Brickyard Road
6. Subdivision Name: N/A
7. City: Moncure and Sanford
8. County: Chatham and Lee
9. Lat: 35.598140N Long: 79.021925W (Decimal Degrees Please)
35.536879N 79.144720W
10. Quadrangle Name: Moncure and Colon
11. Waterway: UTs Shaddox Creek, Roberts Creek, UTs Robert Creek
12. Watershed: Cape Fear 03030004 and 03030002
13. Requested Action:
_ Nationwide Permit #
X Individual Permit
General Permit #
Jurisdictional Determination Request
Pre- Application Request
....................................................................................................................... ...............................
The following information will be completed by the Corps office:
LU
Prepare File Folder Assign number in ORM Begin Date
Authorization: Section 10 Section 404
Project Description/Nature of Activity /Project Purpose:
Site/Waters Name:
Keywords:
U.S. ARMY CORPS OF ENGINEERS
APPLICATION FOR DEPARTMENT OF THE ARMY PER
OMB APPROVAL NO. 0710-0003
33 CFR 325. The proponent agency Is CECW -CO -R.
EXPIRES: 28 FEBRUARY 2013
Public reporting for this collection of Information Is estimated to average 11 hours per response, including the time for reviewing instructions, searching
existing data sources, gathering and maintaining the data needed, and completing and reviewing the collec(on of information. Send comments regarding
this burden estimate or any other aspect of the collection of information, Including suggestions for reducing this burden, to Department of Defense,
Washington Headquarters, Executive Services and Communications Directorate, Information Management Division and to the Office of Management and
Budget, Paperwork Reduction Project (0710 - 0003). Respondents should be aware that notwithstanding any other provision of law, no person shall be
subject to any penalty for failing to comply with a collection of Information If it does not display a currently valid OMB control number. Please DO NOT
RETURN your form to either of those addresses. Completed applications must be submitted to the District Engineer having jurisdiction over the location of
the proposed activity.
PRIVACY ACT STATEMENT
Authorities: Rivers and Harbors Act, Section 10, 33 USC 403; Clean Water Act, Section 4D4, 33 USC 1344; Marine Protection, Research, and Sanctuaries
Act, Section 103, 33 USC 1413; Regulatory Programs of the Corps of Engineers; Rnal Rule 33 CFR 320 -332. Principal Purpose: Information provided on
this form will be used in evaluating the application for a permit. Routine Uses: This information may be shared with the Department of Justice and other
federal, state, and local government agencies, and the public and may be made available as part of a public notice as required by Federal law. Submission
of requested Information Is voluntary, however, If information is not provided the permit application cannot be evaluated nor can a permit be Issued. One set
of original drawings or good reproducible copies which show the location and character of the proposed activity must be attached to this application (ace
sample drawings and/or instructions) and be submitted to the District Engineer having jurisdiction over the location of the proposed activity. An application
that is not completed In full will be returned.
(ITEMS 1 THRU 4 TO BE FILLED BY THE CORPS)
1. APPLICATION NO.
2. FIELD OFFICE CODE
3. DATE RECEIVED
4. DATE APPLICATION COMPLETE
(ITEMS BELOW TO BE FILLED BYAPPLICAN7)
5. APPLICANTS NAME
6. AUTHORIZED AGENTS NAME AND TITLE (agent is not required)
First - Charles Middle- Last - Price
First - R. Middle- Clement Last - Riddle
Company- Green Meadows, LLC
Company- ClearWater Environmental Consultants, Inc.
E -mail Address -
E -mail Address - clement@cwenv.com
6. APPLICANT'S ADDRESS:
B. AGENTS ADDRESS:
Address- 12601 Plantside Drive
Address- 224 South Grove Street, Suite F
city - Louisville State- KY Zip -40299 Country-USA
City - Hendersonville State- NC Zip-28792 Country-USA
7. APPLICANTS PHONE NOs. WARFA CODE
10. AGENTS PHONE NOs. WAREA CODE
a. Residence b. Business c. Fax
a. Residence b. Business c. Fax
502- 245 -1959
828 -698 -9800
STATEMENT OF AUTHORIZATION
11. 1 hereby authorize, R. Clement Riddle to act in my behalf as my agent in the processing of this application and to furnish, upon request,
supplemental information in support of this permit app' lion. !n�
' r a -13 -/s
SIGNATURE OF APPLICANT DATE
NAME, LOCATION, AND DESCRIPTION OF PROJECT OR ACTIVITY
12. PROJECT NAME OR TITLE (see Instructions)
Brickhaven and Sanford Mines.
13. NAME OF WATERBODY. IF KNOWN Of applicable)
14. PROJECT STREET ADDRESS (if applicable)
Please see attached supplemental page for 13 -16.
Address
15. LOCATION OF PROJECT
Latitude: •N Longitude: •W
City - State- Zip -
16. OTHER LOCATION DESCRIPTIONS, IF KNOWN (see Instructions)
State Tax Parcel ID Municipality
Section - Township - Range -
ENG FORM 4345, OUT 2012 PREVIOUS EDITIONS ARE OBSOLETE. Page I of 3
17. DIRECTIONS TO THE SITE
See application (Section 1.0).
18. Nature of Activity (Description of project, include all features)
See application (Section 5.0).
19. Project Purpose (Describe the reason or purpose of the project, see Instructions)
See application (Section 4.0).
USE BLOCKS 20 -23 IF DREDGED AND /OR FILL MATERIAL IS TO BE DISCHARGED
20. Reason(s) for Discharge
See application (Section 5.0).
21. Type(s) of Matedal Being Discharged and the Amount of Each Type in Cubic Yards:
Type Type Type
Amount in Cubic Yards Amount in Cubic Yards Amount in Cubic Yards
Coal ash at Sanford - 7.25 million CY Coal ash at Brickhaven - 9.2 million CY
22. Surface Area in Acres of Wetlands or Other Waters Filled (see instructions)
Acres 1.14 acres of non - isolated wetlands and 0.50 acre of isolated wetlands
or
Linear Feet 4,166 linear feet of stream.
23. Description of Avoidance, Minimization, and Compensation (see instructions)
See application (Sections 6.0 and 7.0).
ENG FORM 4345, OCT 2012 Page 2 of 3
24. Is Any Portion of the Work Already Complete? Yes XJNo IF YES, DESCRIBE THE COMPLETED WORK
25. Addresses of Adjoining Property Owners, Lessees, Etc,, Whose Property Adjoins the Waterbody (ifmme men can w emewhm, pease anam a supmmentatim)
a. Address- Please see list in application.
City - State - ZIP _
b. Address -
City - State - ZiP -
c. Address -
City - State - ZIP -
d. Address -
City - State - Zip -
e. Address -
City - State - zip -
26. List of Other Certificates or Approvals/Denials received from other Federal. State, or Loral Agencies for Work Described in This Application.
AGENCY TYPE APPROVAL' IDENTIFICATION DATE APPLIED DATE APPROVED DATE DENIED
NUMBER
NC -DEMLR Mine Permit 53 -05 - Colon 2014 -11 -21 2015 -01 -23
NC -DEMLR Mine Permit 19 -25 - Brickhaven 2014 -11 -21 2015 -01 -23
Would include but is not restricted to zoning, building, and flood plain permits
27. Application is hereby made for permit or permits to authorize the work described in this application. I certify that this information In this application is
complete and accurate. I further certify that I possess the authority to undertake the work Described herein or am acting as the duly authorized agent of the
applicant
-13 -/5
SIGNATURE OF APPLIC ti:(\ DATE SIGNATURE OF AGENT DATE
The Application must be signed by the person who desires to undertake the proposed activity (applicant) or it may be signed by a duly
authorized agent if the statement in block 11 has been filled out and signed.
18 U.S.C. Section 1001 provides that: Whoever, in any manner within the jurisdiction of any department or agency of the United States
knowingly and willfully falsifies, conceals, or covers up any trick, scheme, or disguises a material fact or makes any false, fictitious or
fraudulent statements or representations or makes or uses any false writing or document knowing same to contain any false, fictitious or
fraudulent statements or entry, shall be fined not more than $10,000 or imprisoned not more than five years or both.
fNG FORM 4345, OCT 2012 Page 3 of 3
Box 13 —Name of Waterbody
Sanford — Roberts Creek and UTs to Roberts Creek
Brickhaven — UTs to Shaddox Creek
Box 14 — Project Street Address
Sanford — Brickyard Road, Sanford, NC 27330
Brickhaven — Moncure- Flatwood Road, Moncure, NC 27559
Box 15 — Location of Project
Sanford — 35.536879, - 79.144720
Brickhaven — 35.598140, - 79.021925
Box 16 — Other Location Descriptors (State Parcel ID)
Sanford - Pin #s 9655 -81- 9374 -00, 9655 -62- 2672 -00, 9654 -58- 2312 -00,
9654 -38- 3247 -00, and 9654 -68- 2373 -00.
Brickhaven - Pin #s 9697 -43- 584.000, 9697 -30- 6864.000, and 9697 -21 -8247.
Q- r
Department of the Army NCDENR
Wilmington District, Corps of Engineers NC DWR, Webscape Unit
Attn: Scott McLendon, Chief Regulatory Division Attn: Karen Higgins
PO Box 1890 512 North Salisbury Street
Wilmington, NC 28402 -1890 Raleigh, North Carolina 27604
I, the current landowner /managing partner of the property identified below, hereby
authorize C1earWater Environmental Consultants, Inc. (CEC) to act on my behalf as my
agent during the processing of jurisdictional determination requests and permits to impact
Wetlands and Water of the US subject to Federal jurisdiction under Section 404 of the
Clean Water Act and /or Section 10 of the Rivers and Harbors Act of 1899. CEC is
authorized to provide supplemental information as needed at the request of the USACE
or DWR.
Additionally, I authorize representatives of the Wilmington District, US Army Corps of
Engineers to enter upon the property herein described for the purposes of conducting on-
site investigations and issuing a determination associated with Wetlands and Waters of
the US subject to Federal jurisdiction under Section 404 of the Clean Water Act and/or
Section 10 of the Rivers and Harbors Act of 1899.
Property Owner of Record:
Green Meadow, LLC
Property Owner of Address:
12601 Plantside Drive
Louisville, KY 40299
Phone Number:
(502) 245 -1353
Property Location: Lee County, NC (Colon (Sanford) Mine)
Owner/Managing Partner
Printed Name: Charles E. Price
Owner/Managing Partner Signature:
Date:
224 South Grove Street, Suite F
Hendersonville, NC 28792
Phone: 828-698-9800
www.cwenv.com
Department of the Army NCDENR
Wilmington District, Corps of Engineers NC DWR, Webscape Unit
Atm: Scott McLendon, Chief Regulatory Division Attn: Karen Higgins
PO Box 1890 512 North Salisbury Street
Wilmington, NC 28402 -1890 Raleigh, North Carolina 27604
I, the current landowner /managing partner of the property identified below, hereby
authorize C1earWater Environmental Consultants, Inc. (CEC) to act on my behalf as my
agent during the processing of jurisdictional determination requests and permits to impact
Wetlands and Water of the US subject to Federal jurisdiction under Section 404 of the
Clean Water Act and/or Section 10 of the Rivers and Harbors Act of 1899. CEC is
authorized to provide supplemental information as needed at the request of the USACE
or DWR.
Additionally, I authorize representatives of the Wilmington District, US Army Corps of
Engineers to enter upon the property herein described for the purposes of conducting on-
site investigations and issuing a determination associated with Wetlands and Waters of
the US subject to Federal jurisdiction under Section 404 of the Clean Water Act and/or
Section 10 of the Rivets and Harbors Act of 1899.
Property Owner of Record:
Green Meadow, LLC
Property Owner of Address:
12601 Plantside Drive
Louisville, KY 40299
Phone Number:
(502) 245 -1353
Property Location: Chatham County, NC (Brickhaven 2 - Tract A Mine)
Owner/Managing Partner
Printed Name: Charles E. Price
Owner/Managing Partner Signature: L/�— V
Date: (/ — 17—/ L/
224 South Grove Street, Suite F
Hendersonville, NC 28792
Phone: 828-698-9800
www.cwenv.com
Adjoining Property Owners
Sanford Mine
John & Elizabeth Riggs William H. Kottcamp
419 Hillcrest Road 2006 Colon Road
Apex, NC 27502 Sanford, NC 27330
Kathy Holland Kenneth L. Moore
1071 Farrel Road 54 Birchard Road
Sanford, NC 27330 Sanford, NC 27330
Bullard Trailer Sales No. 2, Inc. Thurleen J. Kottcamp
5106 Murchison Road 2224 Colon Road
Fayettville, NC 28311 Sanford, NC 27330
Phat Hgoc Trinh
Alvin Mark Reaves
4512 Kilcullen Drive
237 Birchard Road
Raleigh, NC 27604
Sanford, NC 27330
Cherokee Land Company, LLC Michael Monroe Reaves
111 Harnett Street 301 Birchard Road
Raleigh, NC 27601 Sanford, NC 27330
Benson Timber Service, Inc. Emma Cameron Reaves
PO Box 279 343 Birchard Road
Benson, NC 27504 Sanford, NC 27330
Michael David Tarpey Daisy Rascoe
159 Memory Lane 259 Birchard Road
Sanford, NC 27330 Sanford, NC 27330
Timothy and Sharon Rosser William Thomas Reaves
123 Memory Lane 5606 Delaware Drive
Sanford, NC 27330 Oxon Hill, MD 20745
General Shale Brick, Inc. Elnora Petty
PO Box 3547 5015 Valley View Drive
Johnson City, NC 37602 Sanford, NC 27330
Lee Iron and Metal Company Marilyn Berryman
PO Box 778 981 Old US 1
Sanford, NC 27331 Moncure, NC 27559
Richard C. Wicker
Christopher Ross Cherico
2021 Colon Road
113 Le Blanc Ct
Sanford, NC 27330
Cary, NC 27513
Thomas Lee
2846 Colon Road
Sanford, NC 27330
Dawn Crawley
2930 Colon Road
Sanford, NC 27330
Charles Elliot Seymour
180 Osgood Road
Sanford, NC 27330
Mardena Dobson
4433 Dakota Ave North
Washington, DC 20017
Mary McKinnon
276 Osgood Road
Sanford, NC 27330
Rishawn L. Seymore
PO Box 2295
Sanford, NC 27331
Zula Mae Gunter
537 Lennox Drive
Fayetteville, NC 28303
Kenneth Alexander
374 Osgood Road
Sanford, NC 27330
Adjoining Property Owners
Brickhaven Mine
Moncure Holdings, LLC
2717 New Hill Olive Chapel Road
New Hill, NC 27562
Performance Fibers, Inc.
13620 Reese Blvd., Ste 400
Huntersville, NC 28078
General Shale Brick, Inc.
PO Box 3547
Johnson City, TN 37602
Phyllis Tilley Buchanan
6812 Lipscomb Drive
Durham, NC 27712
Frank Kent Dickens
250 Dickens Farm Road
Moncure, NC 27559
Douglas E. Utley
1912 Hunting Ridge Road
Raleigh, NC 27615
Shawn J. Ray
849 Moncure Flatwood Road
Moncure, NC 27559
Ellis M. Mansfield
1149 Moncure Flatwood Road
Moncure, NC 27559
Carolina Power and Light
PO BOX 1551 -PEB3A
Raleigh, NC 27602
Individaual Permit Application for
U.S. Army Corps of Engineers
Section 404 Permit
and
North Carolina 401 Water Quality Certification and
Isolated Wetlands Permit
February 2015
Applicant:
Green Meadows, LLC
Attn: Mr. Charles Price
12601 Plantside Drive
Louisville, KY 40299
Prepared by:
ClearWater Environmental Consultants, Inc.
224 South Grove Street, Suite F
Hendersonville, North Carolina 28792
828 - 698 -9800
TABLE OF CONTENTS
LIST
OF ATTACHMENTS ........................................................................................................ ...............................
..
n
1.0
INTRODUCTION TO PROJECT ................................................................................ ..............................1
1.1 Project Location ......................................................................................................... ...............................
2
1.2 Jurisdictional Waters ................................................................................................... ..............................3
2.0
BACKGROUND AND PRIOR PROJECT HISTORY ............................................... ..............................5
3.0
EXISTING SITE CONDITIONS .................................................................................. ..............................8
3.1 Sanford Mine .............................................................................................................. ...............................
8
3.2 Brickhaven Mine ......................................................................................................... ..............................9
3.3 Soils ............................................................................................................................ .............................11
3.4 Fish and Wildlife Use of the Project Site ................................................................. ...............................
11
3.5 Threatened and Endangered Species ........................................................................ ...............................
11
3.6 Cultural Resources ................................................................................................... ...............................
12
4.0
PROJECT PURPOSE ................................................................................................... .............................15
5.0
PROPOSED PROJECT DEVELOPMENT ................................................................ .............................16
5.1 Stream and Wetland Impacts .................................................................................... ...............................
22
6.0
DISCUSSION OF ALTERNATIVES .......................................................................... .............................24
6.1 Project Alternatives .................................................................................................... .............................25
6.2 Avoidance and Minimization ................................................................................... ...............................
30
6.3 Alternatives Concl usion ............................................................................................. .............................32
7.0
CONCEPTUAL MITIGATION PLAN ..................................................................... ...............................
33
7.1 NC Ecosystem Enhancement Program ( EEP) .......................................................... ...............................
33
8.0
US ENVIRONMENTAL PROTECTION AGENCY 404(b)(1) GUIDELINES ....... .............................34
8.1 Factual Determination ................................................................................................ .............................34
8.2 Potential Impacts on Physical and Chemical Characteristics of the Aquatic Ecosystem ........................
34
8.3 Potential Impacts to Biological Characteristics of the Ecosystem ............................ ...............................
36
8.4 Potential Impacts on Special Aquatic Sites .............................................................. ...............................
38
8.5 Potential Effects on Human Use Characteristics ...................................................... ...............................
39
8.6 Summary .................................................................................................................. ...............................
40
9.0
PUBLIC INTEREST CONSIDERATIONS ................................................................ .............................41
9.1 Conservation ............................................................................................................... .............................41
9.2 Economics .................................................................................................................. .............................41
9.3 Aest hetics ................................................................................................................... .............................41
9.4 General Environmental Concerns ............................................................................. ...............................
42
9.5 Wetl ands ..................................................................................................................... .............................42
9.6 Historic Properties .................................................................................................... ...............................
42
9.7 Fish and Wildlife Values ............................................................................................ .............................43
9.8 Flood Hazards .......................................................................................................... ...............................
43
9.9 Floodplain Values ....................................................................................................... .............................43
9.10 Land Use .................................................................................................................. ...............................
44
9.11 Navigation .................................................................................................................. .............................44
9.12 Shore Erosion and Accret ion .................................................................................... ...............................
44
9.13 Recreation ................................................................................................................... .............................45
9.14 Water Supply and Conservation ............................................................................... ...............................
45
9.15 Water Quality (Stormwater Management) ............................................................... ...............................
45
9.16 Energy Needs ........................................................................................................... ...............................
45
9.17 Safety .......................................................................................................................... .............................45
9.18 Food and Fiber Product ion ......................................................................................... .............................46
9.19 Mineral Needs .......................................................................................................... ...............................
46
9.20 Considerations of Property Ownership ..................................................................... ...............................
46
9.21 Needs and Welfare of the Public .............................................................................. ...............................
46
10.0
SECONDARY AND CUMULATIVE EFFECTS ....................................................... .............................47
11.0
SUMMARY .................................................................................................................... .............................48
LIST OF FIGURES
1 a. Site Vicinity Map — Plants and Mines
lb. Site Vicinity Map - Mines
2a. USGS Topographic Map — Sanford
2b. USGS Topographic Map — Brickhaven
3a. Soils Map — Sanford
3b. Soils Map - Brickhaven
4a. Site Plan and Impact Map — Sanford
4b. Site Plan and Impact Map — Brickhaven
5a. 100 -Year Floodplain Map — Sanford
5b. 100 -Year Floodplain Map - Brickhaven
LIST OF ATTACHMENTS
Attachment A
Lynn Good Letter (March 12, 2014)
Attachment B
Internet Links
Attachment C
Coal Ash Excavation Plans
Attachment D
Jurisdictional Determination Information
Attachment E
Public Meeting and Information Sessions
Attachment F
Threatened and Endangered Species Reports
Attachment G
Cultural Resources Reports
Attachment H
Structural Fill Information
Attachment I
Duke Plant Sites Map
Attachment J
City of Charlotte Coal Ash Due Diligence Study
Attachment K
Mitigation Letters
ii
1.0 INTRODUCTION TO PROJECT
Duke Energy (Duke) is in the process of modernizing their coal -fired power plants to
transition to cleaner, more efficient energy sources. As part of this plan, Duke places a
high priority on closing ash basins at the power plants once they are no longer needed.
Duke is implementing comprehensive coal ash management and basin closure plans as a
result of a broken stormwater pipe and subsequent release of coal ash into the Dan River
from the ash basin at the retired Dan River Steam Station (Dan River).
After the event at Dan River, Ms. Lynn J. Good, President and CEO of Duke Energy,
issued a letter dated March 12, 2014 (Attachment A) outlining Duke's plan and initiative
to improve coal ash management and prevent future failures of Duke coal ash facilities.
Although the Dan River Steam Station was the primary topic of the letter, Duke outlines
implementation of a comprehensive plan that applies to all of the coal -fired power plants
in the state. The comprehensive plan will first address all retired sites (21 ponds /7 sites)
and pond management at active sites (12 ponds /7 sites).
On August 20, 2014, the NC General Assembly passed the Coal Ash Management Act of
2014 (CAMA14). An internet link to CAMA14 is provided in Attachment B. Duke
Energy is committed to permanently and safely closing ash basins at its coal plants.
Duke has accelerated its work in response to North Carolina's CAMA14, which requires
basins to be closed at four plants (Asheville Steam Station, Dan River, Sutton Electric
Plant, and Riverbend Stream Station) by August of 2019. Duke Energy submitted coal
ash excavation plans to state regulators in November of 2014 for the first four plants,
including Sutton Electric Plant (Sutton) and Riverbend Steam Station ( Riverbend)
(Attachment C).
On December 19, 2014, the Environmental Protection Agency (EPA) signed the Disposal
of Coal Combustion Residuals from Electric Utilities final rule and submitted it to the
Federal Register for publication. The regulations provide a comprehensive set of
requirements for the safe disposal of coal ash from coal -fired power plants. The rule
establishes technical requirements for landfills and surface impoundments under Subtitle
D of the Resource Conservation and Recovery Act, the nation's primary law for
regulating solid waste.
These regulations address the risks from coal ash disposal such as leaking of
contaminants into ground water, blowing of contaminants into the air as dust, and the
catastrophic failure of coal ash surface impoundments. Additionally, the rule establishes
recordkeeping and reporting requirements, as well as, the requirement for each facility to
establish and post specific information to a publicly - accessible website. This final rule
also supports the responsible recycling of coal ash by distinguishing safe, "beneficial
use" from disposal.
Currently, State regulations included in CAMA14 are more stringent than Federal
regulations included in the EPA rule.
Charah, Inc. ( Charah), a company specializing in short-term solutions as well as long-
term management of coal combustion by- products, has been contracted by Duke to
remove coal ash from Riverbend in Mount Holly, North Carolina and Sutton in
Wilmington, North Carolina (Figure la) as outlined in Ms. Good's letter and CAMA14.
Recommendations and proposed activities specifically related to Riverbend and Sutton
include the following:
• Accelerate planning and closure of the Sutton ash ponds to include evaluation of
possible lined structural fill solutions and other options;
• Move all ash from Riverbend away from the river to a lined structural fill solution
or lined landfill; and
• Close the Riverbend and Sutton basins by 2019.
Green Meadows, LLC (Green Meadows), a subsidiary of Charah, currently owns the
Brickhaven Mine located in Moncure, North Carolina and the Sanford Mine located in
Sanford, North Carolina. Both sites are recently active, open -pit clay mines. Green
Meadows has filed for mining permit modifications to use ash from Riverbend and
Sutton as the primary material for reclamation of the mined areas. This permit
application applies to activities associated with closing ash basins at Riverbend and
Sutton; and transporting coal ash to the Brickhaven and Sanford Mines for "beneficial
use ".
Green Meadows is the applicant for this project.
1.1 Proiect Location
The Sanford Mine is located off Brickyard Road approximately 1 mile northeast
of the Town of Sanford in Lee County, North Carolina. A site vicinity map is
included for review (Figures lb). To access the site from Raleigh, take I -40 West
to Exit 293 (US Highway 1). Take US Highway I to Exit 74 (Colon Road). Turn
left onto Colon Road and travel approximately 2.4 miles. Turn left onto
Brickyard Road and travel approximately 0.3 miles to a gated, gravel drive on the
left. In general, the Sanford Mine is bordered to the north by an unnamed
tributary to Roberts Creek, the south and east by an existing CSX and Norfolk
Southern rail lines, and to the west by Colon Road. A USGS topographic map is
included for review (Figure 2a).
The Brickhaven Mine is located off Moncure - Flatwood Road approximately 2
miles east of the Town of Moncure in Chatham County, North Carolina. A site
vicinity map is included for review (Figure lb). To access the site from Raleigh,
take I -40 West to Exit 293 (US Highway 1). Take US Highway 1 to Exit 84 (Old
US Highway 1). Turn left onto Christian Chapel Road and travel approximately
1.7 miles. Turn right onto Moncure- Flatwood Road and travel approximately 1.8
miles to a gravel drive on the right. In general, the Brickhaven Mine is bordered
to the north by an unnamed dirt road, the south and east by Moncure - Flatwood
Road, and to the west by Corinth Road. A USGS topographic map is included for
review (Figure 2b).
rJ
1.2 Jurisdictional Waters
The Sanford Mine was delineated July 21 -31, 2014 by C1earWater Environmental
Consultants, Inc. (CEC) and a Jurisdictional Determination (JD) site visit was
conducted on January 15, 2015. A "Notification of Jurisdictional Determination"
is pending with the US Army Corps of Engineers (Corps) under Action ID SAW -
2015- 00107. A stream and wetland map showing the delineation is included in
Attachment D. Jurisdictional streams at the Sanford Mine are Roberts Creek and
unnamed tributaries to Roberts Creek. Roberts Creek is a tributary to Hughes
Creek which is a tributary to Lick Creek. Lick Creek is a tributary to the Cape
Fear River which is navigable -in -fact water in Fayetteville, North Carolina.
Roberts Creek and the unnamed tributaries are classified by the NC Division of
Water Resources (DWR) as class "WS -IV" waters. There are also jurisdictional
wetlands and open waters throughout the site.
The Sanford Mine contains the following amounts of jurisdictional waters:
Feature
Amount
Unit
Stream
11,540
linear feet
Wetlands
18.70
acres
Open Water
7.78
acres
Non jurisdictional stormwater basins associated with Mining Permit 53 -05 have
also been identified on the stream and wetland map in Attachment D.
The Brickhaven Mine was delineated August 18 -22, 2014 by CEC and a JD site
visit was conducted on December 8, 2014. A "Notification of Jurisdictional
Determination" is pending with the Corps under Action ID SAW- 2014 - 02254. A
stream and wetland map showing the delineation is included in Attachment D.
Jurisdictional streams at the Brickhaven Mine are unnamed tributaries to Shaddox
Creek. Shaddox Creek is a tributary to the Haw River which is a tributary to the
Deep River. The Deep River is a tributary to the Cape Fear River which is
navigable -in -fact water in Fayetteville, North Carolina. Unnamed tributaries to
Shaddox Creek are classified by the DWR as class "WS -IV" waters. There are
also jurisdictional wetlands associated with unnamed tributaries Gulf Creek
throughout the site (the unnamed tributaries are not located on site).
The Brickhaven Mine contains the following amounts of jurisdictional waters:
Feature
Amount
Unit
Stream
4,834
linear feet
Wetlands (non - isolated)
3.98
acres
Wetlands isolated
0.50
acres
Open Water
0
acres
Non jurisdictional stormwater basins associated with Mining Permit 19 -04 have
also been identified on the stream and wetland map in Attachment D.
The Brickhaven Mine site also includes a railroad access corridor through
property owned by Moncure Holdings, LLC. The property was delineated by
Withers & Ravenel in 2013. The site was verified by the Corps on October 10,
2014 under Action ID SAW- 2014 - 00610. A copy of the JD letter and signed map
are included for review (Attachment D).
An "Existing Site Conditions" section (Section 3.0) has been included in this
application for review and finther describes the jurisdictional waters on site.
4
2.0 BACKGROUND AND PRIOR PROJECT HISTORY
Riverbend Steam Station Backaround — Riverbend is located off Horse Shoe Beach Road
near the Town of Mount Holly in Gaston County, North Carolina, on the south bank of
the Catawba River. The 7 -unit station began commercial operation in 1929 with 2 units
and then expanded to 7 by 1954. As of April 1, 2013, all of the coal -fired units were
retired.
The ash from Riverbend's coal combustion operations was historically processed in the
ash basin system located on the northeast of the property adjacent to the Catawba River.
Currently, Riverbend is being decommissioned, and no active ash placement or sluicing
is occurring within the ash basin system.
The ash basin system is located approximately 2,400 feet to the northeast of the power
plant, adjacent to the Catawba River, and consists of a Primary ash basin (west side) and
a Secondary ash basin (north side), which are separated by an intermediate dam. A figure
showing the basin locations is included in the Riverbend Steam Station Coal Ash
Excavation Plan ( Riverbend Excavation Plan) (Attachment Q.
Originally, the ash basin at Riverbend consisted of a single -cell basin commissioned in
1957. It was expanded in 1979 to its current configuration. In 1979, the original single
basin was divided by constructing a divider dam to form the two separate cells (Primary
ash basin and Secondary ash basin). This modification improved the original pond's
overall ability for suspended solids removal. At present, the Primary ash basin and the
Secondary ash basin are estimated to contain approximately 2.1 million and 700 thousand
tons of ash, respectively.
An ash fill deposit, known as the Ash Stack, was constructed from ash removed from the
Primary and Secondary ash basins during past basin clean-out projects. The Ash Stack
was utilized for the ash basin clean-outs periodically to prolong the life of the ash basins.
The Ash Stack is a 29 -acre area located south of the Primary ash basin and is estimated to
contain 1.5 million tons of coal ash. A figure showing the Ash Stack location is included
in the Riverbend Excavation Plan (Attachment Q.
Prior to construction of the original ash basin in 1957, ash was deposited in a primarily
dry condition in an area known as the Cinder Pit. The Cinder Pit is approximately 13
acres and is located in a triangular area northeast of the coal pile and northwest of the rail
spur. This area was utilized for storage of ash material at the station prior to the
installation of precipitators and a wet sluicing system. The Cinder Pit is estimated to
contain approximately 300 thousand tons of coal ash. A figure showing the Cinder Pit
location is included in the Riverbend Excavation Plan (Attachment Q.
Additional information regarding coal ash excavation and removal at the Riverbend
Steam Station is included for review (Attachment C).
5
Sutton Electric Plant Backeround — Sutton is located between the Cape Fear River to the
west and the Northeast Cape Fear River to the east in New Hanover County near
Wilmington, North Carolina. Sutton was a 3 -unit coal -fired power plant that operated
from 1954 until retirement of the coal -feed units in November of 2013. Upon retirement
of the coal -fired units, a new gas -fired unit began operations.
There are two ash basins (the 1971 basin and 1984 basin) and a large cooling basin at the
plant. The cooling basin is accessible to the general public and is used for recreational
purposes. Two other areas that contain ash material are the Lay of Land Area (LOLA)
and the 1971 borrow area. The LOLA consists mostly of bottom ash and soil, while the
1971 borrow area consists of fly and bottom ash.
The 1971 basin is an unlined basin that was operated from 1971 to 1985. It was opened
again in 2011 for temporary use during repair work and previous ash removal activities.
An area underneath the footprint of the 1971 basin contains additional ash material and is
referred to as the 1971 borrow area. The 1971 basin and borrow area contain
approximately 3.5 million tons of ash material. A figure showing the basin and borrow
area locations is included in the Sutton Electric Plant Coal Ash Excavation Plan (Sutton
Excavation Plan) (Attachment Q.
The 1984 basin was operated from 1984 to 2013. Both the 1984 and 1971 basins contain
fly ash, bottom ash, boiler slag, stormwater, ash sluice water, coal pile runoff, and low
volume wastewater. The 1984 basin was constructed with a 12 -inch thick clay liner at
the basin bottom which extended along the side slopes where it is protected by a 2 -foot
thick sand layer. Currently, the 1984 basin contains approximately 2.8 million tons of
ash material. A figure showing the basin location is included in the Sutton Excavation
Plan (Attachment Q.
The LOLA is located between the discharge canal and the coal pile. It is believed that the
presence of ash in this area may have been due to the plant operations between
approximately 1954 and 1972. A significant portion of this area toward the discharge
canal is heavily vegetated while the portion adjacent to the coal pile storage was used to
house fuel oil storage tanks. The LOLA is on the North Carolina Inactive Hazardous
Waste Sites Priority List. This area contains approximately 840 thousand tons of ash and
soil mixture at depths of 2 to 15 feet. A figure showing the LOLA location is included in
the Sutton Excavation Plan (Attachment Q.
Additional information regarding coal ash excavation and removal at Sutton is included
for review (Attachment Q.
Public Meetings and Information Sessions
Approximately seven Public Meetings or Information Sessions have been held between
November of 2014 and January of 2015. These meetings were held by local government
entities or Duke Energy. Local citizens where invited to 5 of the 7 meetings; and one -on-
one interaction with the public or public comments were accepted at 5 of the 7 meetings.
0
The table below summarizes the date, type of event, host organization, and format of the
meetings. An expanded table with additional information is included in Attachment E.
Date
Event
Host
Format
Organization
Commission -led meeting, Charah
11/17/2014
Lee County Board of
Lee County Board
and Duke presented and
Commissioners meeting
of Commissioners
answered questions, included
public comment period
Lee County Chamber
Lee County
Lunch briefing from Charah;
12/1/2014
Board — Lunch
Chamber of
open questions from Chamber
Commerce
members
Public forum with speakers each
Lee County
Lee County Board
getting 3 minutes. Neither Duke
12/8/2014
Commissioners Public
of Commissioners
nor Charah invited to
Hearing
speak/present.
Information booth setup for one-
Duke Energy's Lee
on -one interface for public to
12/10/2014
County Public
Duke Energy
speak with industry experts from
information meeting
Duke and Charah.
Duke Energy's Chatham
Information booth setup for one-
12/11/2014
County Public
Duke Energy
on -one interface for public to
information meeting
speak with industry experts from
Duke and Charah.
Chatham County Board
Chatham County
Commission -led meeting, Charah
1/20/2015
of Commissioners work
Board of
and Duke Energy presented and
session
Commissioners
answered questions, included
ublic comment eriod
Board -led meeting, Charah and
City of Sanford
Sanford
Duke Energy presented and
1/20/2015
Environmental Affairs
Environmental
answered questions, no public
Board meeting
Affairs Board
comment
3.0 EXISTING SITE CONDITIONS
The project sites are recently active clay mines which include: wooded areas, dirt roads,
mine pits, sediment and erosion control basins, etc. The sites are relatively flat with an
average elevation of approximately 250 -300 feet above mean sea level (MSL).
3.1 Sanford Mine
3.1.1 Streams and Riparian Forest
These freshwater habitats include the streambeds and banks and immediate riparian
areas of Roberts Creek and unnamed tributaries to Roberts Creek. Nearly all of
Roberts Creek has been affected (ditched, rerouted, impounded, etc.) by historic
mining operations. Permanently rooted aquatic plants are practically non - existent in
on -site streams. The unnamed tributaries are narrow systems varying from 2 -6 feet
wide. Dominant overstory species include red maple (Acer rubrum), sweetgum
(Liquidambar styraciflua), water oak (Quercus nigra), willow oak (Quercus
phellos), black gum (Nyssa sylvatica), and loblolly pine (Pinus taeda). Tag alder
(Alnus serrulata), black willow (Salix nigra), and sourwood (Oxydendrum
arboretum) dominate the understory. Herbaceous species include bracken fern
(Pteridium aquilinum), sensitive fern (Onoclea sensibilis), netted chain fern
(Woodwardia areolata), cinnamon fern (Osmundastrum cinnamomeum), possum
haw (Viburnum nudum), Virginia creeper (Parthenocissus quinquefolia), and poison
ivy (Toxicodendron radicans). Less dominant species include tulip poplar
(Liriodendron tulipifera), American holly (Ilex opaca), northern red oak (Quercus
rubra), royal fern (Osmunda regalis), running cedar (Lycopodium), and sassafras
(Sassafras albidum).
3.1.2 Wetland
Wetlands on the northern end of the project are seepage and stream -flow driven
systems adjacent to or at the head of perennial and intermittent streams.
Dominant overstory species include black willow, red maple, sweetgum, black
gum, willow oak, loblolly pine, and water oak. In addition to saplings of the
above trees, species observed in the shrub layer include elderberry (Sambucus
canadensis), tag alder, and possumhaw. The herbaceous layer consists of
cinnamon fern, sensitive fern, royal fern, sedges (Carex spp.), and rushes (Juncus
spp.).
Beaver activity and mining operations have also influenced wetland development
along Roberts Creek on the southern end of the project. These open marsh
wetland habitats are dominated by herbaceous plants and shrubs. Dominant
species include black willow, tag alder, woolgrass (Scirpus cyperinus), lizard's
tail (Saururus cernuus), cattail (Typha latifolia), and tearthumb (Polygonum
sagittatum). Other species observed include elderberry, pickerelweed (Pontederia
cordata), black gum, wax myrtle (Morelia cerifera), button bush (Cephalathus
occidentalis), red maple, and sweetgum.
8
3.1.3 Ruderal Corridors
The ruderal habitat consists of road edges and power line rights -of way. It is
considered a disturbed and/or transitional community type. These areas are
dominated by early successional saplings, shrubs, and herbaceous plants. Species
observed include baccharis ( Baccharis sp.), wax myrtle, lespedeza (Lespedeza
sp.), blackberry (Rubus sp.), dog fennel (Eupatorium capillifolium), goldenrod
(Solidago sp.), broomsedge (Andropogon virginicus), and switchgrass (Panicum
virgatum). Other species observed include southern red oak (Quercus falcata),
blackjack oak (Quercus marilandica), persimmon (Diospyros virginiana), and
poison ivy.
3.1.4 Early Successional Field
This habitat includes old abandoned fields dominated by baccharis, lespedeza,
blackberry, and goldenrod. Other early successional saplings and shrubs include
loblolly pine, sweetgum, and winged sumac (Rhus copallinum).
3.1.5 Mixed Pine/Hardwood Forest
The mixed pine/hardwood forest is dominated by 15 -20 -year old loblolly pine,
sweetgum, sourwood, and black cherry (Prunus serotina). The dense understory
is comprised of saplings and blackberry.
3.1.6 Oak Hickory Forest
This habitat consists of predominately oak and hickory species. Species include
white oak (Quercus alba), southern red oak, northern red oak, mockernut hickory
(Carya tomentosa), tulip poplar, sweetgum, sourwood, red maple, and a few
scattered loblolly pines. The understory consists of sassafras, blueberry (Vaccinium
sp.), dogwood (Cornus florida), winterbeny (Ilex verticillata), grapevine (Vitis sp.),
and heart leaf (Hexastylis spp.).
3.1.7 Loblolly Pine Forest
This community is dominated by 10 -25 -year old loblolly pine stands. The
understory is dense and other species observed include tulip poplar, sweetgum,
sourwood, red maple, and water oak. The herbaceous layer consists of Japanese
honeysuckle (Lonicera japonica), greenbrier (Smilax rotundifolia), bracken fern,
blackberry, and poison ivy.
3.2 Brickhaven Mine
3.2.1 Stream Bank and Riparian Forest
These freshwater habitats include the streambeds and banks and immediate riparian
areas of unnamed tributaries to Shaddox Creek. These tributaries are intermittent in
character and lack base flow throughout. Streams on site are dominated by sand and
silt substrate. Permanently rooted aquatic plants are practically non - existent in on-
site streams. The unnamed tributaries are narrow systems varying from 2 -6 feet
wide. Dominant overstory species include red maple, sweetgum, water oak, willow
oak, and black gum. Herbaceous species include bracken fern, cinnamon fern,
Virginia creeper, poison ivy, and greenbrier. Other species noted include tulip
E
poplar, American holly, northern red oak, and American beautyberry (Callicarpa
americana).
3.2.2 Wetland
The majority of wetlands within the project boundary are seepage and stream -
flow driven systems adjacent to or at the head of intermittent streams. Dominant
overstory species include red maple, sweetgum, and black gum. The herbaceous
layer consists of woolgrass, common rush (Juncus effusus), cinnamon fern,
Virginia chain fern (Woodwardia virginica), false nettle (Boehmeria cylindrica),
and sedges.
Mining operations have influenced wetland development along the eastern portion
of the project. Abandoned sediment basins have been reclaimed with wetland
vegetation. Dominant overstory species include black willow, red maple, and
sweetgum. In addition to saplings of the above trees, species observed in the
shrub layer were limited to buttonbush and American beautyberry. Dominant
species in the herbaceous layer include lizard's tail, cattail, and woolgrass. Other
species observed include loblolly pine, pickerelweed, ironweed (Vernonia sp.),
false nettle, and common rush.
3.2.3 Ruderal Corridors
The ruderal habitat consists of road edges and power line rights -of way. It is
considered a disturbed and/or transitional community type. These areas are
dominated by early successional saplings, shrubs, and herbaceous plants. Species
observed include baccharis, lespedeza, blackberry, dog fennel, goldenrod, and
switchgrass. Other species observed include loblolly pine, persimmon,
sweetgum, Johnson grass (Sorghum halepense), and bracken fern.
3.2.4 Mixed Pine/Hardwood Forest
The mixed pine/hardwood forest is dominated by 30 -50 -year old loblolly pine,
white oak, mockernut hickory, red maple, sweetgum, and black gum. The
understory is comprised of highbush blueberry (Vaccinium corymbosum),
muscadine (Vitis rotundifolia), bracken fern, and greenbrier. Other species
observed include American holly, sourwood, post oak (Quercus stellata), and
black oak (Quercus velutina).
3.2.5 Oak Hickory Forest
This habitat consists of predominately oak and hickory species. Species include
white oak, northern red oak, mockernut hickory, pignut hickory (Carya glabra)
tulip poplar, sweetgum, sourwood, red maple, and a few scattered loblolly pines.
The understory consists of blueberry, dogwood, black cherry, sourwood, Christmas
fern (Polystichum acrostichoides), grapevine, and heart leaf. Other species noted
include willow oak, American beech (Fagus grandifolia), ironwood (Carpinus
caroliniana), and bracken fern.
10
3.2.6 Loblolly Pine Forest
This habitat is dominated by planted loblolly pines approximately 5 -10 years old.
Other species observed include sweetgum, big bluestem (Andropogon gerardii),
blackberry, baccharis, persimmon, winged sumac, white oak, water oak, post oak,
mockernut hickory, and princess tree (Paulownia tomentosa).
3.3 Soils
The project sites are located within the Piedmont physiographic region of North
Carolina and more specifically the Triassic Ecoregion. Soils in this ecoregion are
dominated by clay with a low permeability and high shrink -swell potential. Soil
series present at the Sanford Mine include: Chewacla, Creedmoor, Pinkston, and
Udorthents. Soil series present at the Brickhaven Mine include: Chewacla,
Creedmoor -Green Level complex, Merry Oaks - Moncure complex, Peawick,
Udorthents, and White Store - Polkton. A soils map and legend for each site have
been attached for review (Figures 3a and 3b).
3.4 Fish and Wildlife Use of the Proiect Site
Wildlife species inhabiting the site include those typically found in rural settings.
Although site - specific studies and inventories documenting species utilization of
the project boundaries have not been conducted by CEC, general observations of
wildlife use were recorded during the stream and wetland delineation; and habitat
evaluations.
3.5 Threatened and Endangered Species
CEC has conducted a file review of up -to -date records maintained by the US Fish
and Wildlife Service (FWS) and the North Carolina Natural Heritage Program
(NHP). The desktop literature review involved a review of the FWS list of
protected species in Chatham and Lee Counties; and the NHP Element
Occurrence Data on which NHP identifies current and historic occurrences of
listed species for a specific locale. The FWS lists 4 species as occurring in
Chatham and Lee Counties that are subject to Section 7 consultation. The NHP
database identifies 76 element occurrences (EO) within a 5 -mile radius of the
project site; 6 EOs, comprised of 3 species, hold Federal status and are subject to
Section 7 consultation. The Federally listed species identified by the FWS and
NHP are listed below.
Common Name
Scientific Name
Federal Status
Northern Long -Eared Bat
Myotis septentrionalis
P
Cape Fear Shiner **
Notropis mekistocholas
E
Red Cockaded Woodpecker **
Picoides borealis
E
Harperella **
Ptilimnium nodosum
E
Bald Eagle
I Haliaeetus leucocephalus
BGPA
"Species with a Federal status subject to Section 7 Consultation and within 5 miles of the project
site.
11
A protected species survey was conducted in July of 2014 and August of 2014 at
the Sanford and Bickhaven Mines, respectively. Potential fauna were identified to
the taxonomic unit level necessary to determine if the observed specimen was a
protected species. Flora were identified to the lowest taxonomic level readily
discernible in the field during the time of survey.
The proposed project sites are within recently active mine sites. Regular
maintenance and manipulation of the areas has eliminated suitable habitat for any
Federally listed species. No Federally threatened or endangered species were
observed on site during the site visits. A "Threatened and Endangered Species
Review and Habitat Assessment' was completed for each site and the reports are
included for review (Attachment F).
It is the opinion of CEC that Federally protected species are not likely to be present
within the Sanford or Brickhaven Mines. As such, the proposed project is not
likely to cause an adverse impact to any Federally threatened or endangered species
or their critical habitat.
Withers & Ravenel conducted a protected species study in September of 2012 on
a tract neighboring the Brickhaven Mine and owned by Moncure Holdings, LLC
(Green Meadows would have rail access through the Moncure Holdings site).
Withers & Ravenel discussed 4 species in their report: bald eagle, red - cockaded
woodpecker, Cape Fear shiner, and harperella. None of the Federal species
known to occur in Chatham County or their habitats were observed within the
Moncure Holdings site. It is the opinion of Withers & Ravenel that development
activities on the Moncure Holdings site would have no effect on Federally listed
species. A "Threatened and Endangered Species Report" was completed for the
Moncure Holdings site and the report is included for review (Attachment F).
The FWS will be notified via Public Notice about the project and will be given the
opportunity to comment on the project and its potential effects on threatened and
endangered species.
3.6 Cultural Resources
Sanford Mine - A desk review of the National Register of Historic Places records
maintained by the NC State Historic Preservation Office (SHPO) indicates 2
historic properties and 4 historic districts within approximately 5 miles of the
Sanford Mine: the Endor Iron Furnace (Reference #LE0001) located
approximately 4.5 miles from the Sanford Mine; the John D. McIver House and
Farm (Reference #LE0648) located approximately 4.7 miles from the Sanford
Mine; and Rosemont - McIver Park (Reference #LE0795), Downtown Sanford
(Reference #LE0005), East Sanford (Reference #LE0792), and Hawkins Avenue
(Reference #LE0493) Historic Districts are all located approximately 4.2 miles
from the Sanford Mine.
12
An archaeological survey was conducted by TRC for the Sanford Mine in July and
August of 2014. The archaeological survey identified a total of 12 archaeological
sites within the project area; however, all 12 of the sites are recommended not
eligible for the National Register. TRC recommended no additional
archaeological investigations at the site. TRC identified one cemetery, presumed
to be the Zion Hill Cemetery. TRC recommends that no ground - disturbing
activities be allowed within the cemetery boundary or within 50 feet of the
cemetery. The proposed project does not include ground - disturbance or site work
within 100 feet the cemetery.
An addendum to the Sanford Mine survey was conducted in January of 2015. The
addendum includes approximately 18 acres that was not included in the previous
survey. No archaeological resources were identified and no additional
investigations were recommended. The Management Summary and Addendum for
the Sanford Mine are included for review (Attachment G). The draft Final Report
is available upon request.
Brickhaven Mine - A desk review of the National Register of Historic Places
records maintained by SHPO indicates 2 historic properties within approximately 5
miles of the Brickhaven Mine: the Obediah Farrar House (Reference #LE0687)
located approximately 3 miles from the Brickhaven Mine and the Lockville Dam,
Canal, and Powerhouse (Reference #CH0018) located approximately 4.4 miles
from the Brickhaven Mine. It is the opinion of CEC that activities taking place
within the project boundaries will not affect the integrity of the historic sites.
An archaeological survey was conducted by TRC for the Brickhaven Mine in
August of 2014. The archaeological survey identified a total of 6 archaeological
sites within the project area. Five of the sites are recommended not eligible for
the National Register and no further investigation is recommended. One site
identified (FS2) is considered potentially eligible for the National Register. TRC
recommends avoidance or further investigation at this site. A separation of
approximately 50 feet would be maintained between FS2 and site development.
The boundary will marked in the field and the site will be surrounded by silt
fencing.
An addendum to the Brickhaven Mine survey was conducted in February of 2015.
The addendum includes approximately 146 acres that was not included in the
previous survey. One archaeological resource was identified; however, the site is
recommended not eligible for the National Register. TRC recommended no
additional archaeological investigations at the site. The Management Summary and
Addendum for the Brickhaven Mine are included for review (Attachment G). The
draft Final Report is available upon request.
It is the opinion of CEC, that the proposed activities are not likely to threaten the
integrity of archeologically or culturally significant sites at the Sanford or
Brickhaven Mines. The SHPO will be notified via Public Notice about the project
13
and will be given the opportunity to comment on the project and its potential effects
on cultural resources.
14
4.0 PROJECT PURPOSE
The purpose of the proposed project is to close ash basins at the Riverbend Steam Station
and the Sutton Electric Plant by August of 2019 as required by CAMA14. Closing ash
basins requires moving and disposing of ash in a manner that is consistent with all
Federal and State regulations.
15
5.0 PROPOSED PROJECT DEVELOPMENT
Coal ash from Riverbend and Sutton would be primarily transported to the Brickhaven
and/or Sanford Mines. Coal ash would also be transported to the Anson County Landfill
and the Roanoke Cement Company. Details regarding each plant site and the proposed
project are discussed below.
Riverbend Steam Station - Duke's Riverbend Steam Station is estimated to contain the
following amounts of coal ash on plant property:
Location
Amount million tons
Primary Ash Basin
2.1
Secondary Ash Basin
0.7
Ash Stack
1.5
Cinder Pit
0.3
Total
4.6 million tons
Coal ash from the Ash Stack will be removed first (Phase 1). During that time, the
Primary and Secondary ash basins will be dewatered and coal ash prepared for removal.
The primary options for disposal of coal ash from the Ash Stack include the Roanoke
Cement Company in Troutville, Virginia, the Anson County Landfill in Polkton, North
Carolina, and the Brickhaven and/or Sanford Mines.
For Phase 1 of ash removal, approximately 115,000 tons (10,000 tons per month) of coal
ash will be transported to Roanoke Cement Company for production of fly ash modified
concrete; and approximately 885,000 tons of coal ash will be transported to the
Brickhaven and Sanford Mines for use in mine reclamation (a total of 1 million tons of
coal ash).
Ash will be transported from the plant to the Brickhaven Mine or Roanoke Cement
Company by railroad and/or highway trucks. For the first 3 -4 months, approximately
10,000 tons per month of coal ash will be excavated and hauled by truck to the Roanoke
Cement Company facility. This equates to approximately 15 -22 truckloads per day.
After the initial start-up period, an additional 50,000 - 55,000 tons per month of coal ash
will be excavated and hauled by truck to the Brickhaven Mine. The total amount of
60,000- 65,000 tons per month of coal ash equates to approximately 120 -142 truckloads
per day. Truck routes are included in the Riverbend Excavation Plans (Attachment C).
A rail loading/unloading system would be developed at each mine to transport coal ash
from Riverbend to the Brickhaven and/or Sanford Mines. Once the rail system is
complete, a combination of rail and truck, or all rail, could be utilized to transport coal
ash to the Brickhaven and/or Sanford Mines. By utilizing a combination of truck and
rail, or all rail, the volume of transported coal ash increases to 160,000 to 165,000 tons.
Duke and Charah have committed to transporting all coal ash to the Sanford Mine by rail.
Existing dirt roads on site would be upgraded to gravel roads for use for hauling within
site boundaries.
16
The Anson County Landfill, a permitted solid waste landfill, will also accept ash for
disposal. The Anson County Landfill is located in Polkton, North Carolina and material
would be transported by rail. The landfill can accept a total of 500,000 tons of ash with
the possibility of accepting additional tonnage in 2 -3 years.
In accordance with NCGS 130A- 309.216(a)(2), coal ash must be collected and
transported in a manner that will prevent nuisances and hazards to public health and
safety. Coal ash would be moisture conditioned and transported in covered trucks or rail
cars to prevent dusting. To prevent air -borne loss of coal ash during rail transit, ash is
kept at 20% moisture and ash contained in rail cars is sprayed with a sealant.
Sutton Electric Plant - Duke's Sutton Electric Plant is estimated to contain the following
amounts of coal ash on plant property:
Location
Amount million tons
1971 Ash Basin and Borrow Area
3.5
1984 Ash Basin
2.8
Lay of the Land Area (LOLA )
0.84
Total
7.2 million tons
The 1971 ash basin would be dewatered first. Initially, approximately 2 million tons of
coal ash would be removed from Sutton (Phase 1). The primary option for disposal of
coal ash from Sutton is the Brickhaven and/or Sanford Mine; and the Anson County
Landfill. For Phase 1 of ash removal, approximately 2 million tons of coal ash will be
transported to the Brickhaven and/or Sanford Mine for use in mine reclamation.
Ash will be transported from the plant to the Brickhaven and/or Sanford Mines by
railroad. Trains will consist of 110 gondola cars carrying 100 tons per car. One train will
leave Sutton every other day or 3 -3.5 trains per week. In the event of rail transportation
disruption, truck transportation remains a contingency option for transporting coal ash
from Sutton to the Brickhaven and/or Sanford Mines. Truck routes are included in the
Sutton Excavation Plans (Attachment Q.
Existing dirt roads on site would be upgraded to gravel roads for use for hauling within
site boundaries.
The Anson County Landfill, a permitted solid waste landfill, will also accept ash for
disposal. The Anson County Landfill is located in Polkton, North Carolina and material
would be transported by rail. The landfill can accept a total of 500,000 tons of ash with
the possibility of accepting additional tonnage in 2 -3 years.
In accordance with NCGS 130A- 309.216(a)(2), coal ash must be collected and
transported in a manner that will prevent nuisances and hazards to public health and
safety. Coal ash would be moisture conditioned and transported in covered trucks or rail
cars to prevent dusting.
17
At the Sanford Mine, Charah has committed to bring all ash to the site by rail. Although
the Solid Waste permit application submitted to NC Department of Environmental and
Natural Resources (NCDENR) designated that trucks and rail would transport coal ash to
the Sanford Mine, this plan was revised to include rail only. To prevent air -bome loss of
coal ash during rail transit, ash is kept at 20% moisture and ash contained in rail cars is
sprayed with a sealant.
The proposed project will provide a capacity of approximately 20 million tons (11.5
million tons at the Brickhaven Mine and 9 million tons at Sanford Mine). Both mines
will be receiving ash from Riverbend and Sutton concurrently in order to meet mandated
time frames in CAMA14.
Beneficial Use — The Brickhaven and Sanford Mines will be reclaimed with coal ash
structural fill. Coal ash is a coal combustion by- product (CCB) that includes both the fly
ash that is recovered by pollution control equipment installed in a coal -fired power plant
stack and the bottom ash that is removed from the base of the coal furnace after
combustion. CCBs that may be reused under North Carolina regulations include fly ash,
bottom ash, boiler slag, and flue gas desulfurization residue produced by coal -fired
generation units. The use of coal ash as a structural fill material is considered a
permissible reuse of CCBs. The proposed project includes the "beneficial use" of coal
ash as structural fill at the Brickhaven and Sanford Mines. `Beneficial use" is defined by
theEPA as reuse of CCBs, such as coal ash, in a product to replace virgin raw materials
that would otherwise be obtained through extraction, thus conserving natural resources.
The EPA encourages the "beneficial use" of CCBs in an appropriate and protective
manner because this practice can produce positive environmental, economic, and
performance benefits, including:
• Environmental benefits such as reduced greenhouse gas emissions, reduced need
for disposing in landfills, and reduced use of virgin resources;
• Economic benefits such as reduced costs associated with CCBs disposal,
increased revenue from the sale of ash, and savings from using ash in place of
other, most costly materials; and
• Performance benefits such as improved strength, durability, and workability of
materials.
The NCDENR, Division of Waste Management, Solid Waste Section regulates the use of
CCBs in North Carolina. CCB generators are required to submit annual reports that
include volume of CCBs produced, disposed, and reused in structural fill, as well as reuse
in other application. The CCBs used as structural fill for the proposed project would be
used in accordance with CAMA14. This includes the following regulatory requirements:
• Coal ash is not permitted within 50 feet of any property boundary;
• Coal ash is not permitted within 300 horizontal feet of a private dwelling or well;
• Coal ash is not permitted within 50 horizontal feet of the top of bank of a
perennial stream or other surface water body;
• Coal ash is not permitted within 4 feet of the seasonal high water table;
18
• Coal ash is not permitted within a 100 -year floodplain except as authorized under
GS 143- 215.54A(b); and
• Coal ash is not permitted within 50 horizontal feet of a wetland, unless the Corps
issues a permit for the fill.
Engineered Structural Fill Cell — At the Brickhaven Mine, the structural fill and
associated infrastructure will encompass approximately 166 acres, of which,
approximately 145 acres will we covered with a composite base liner system and filled
with coal ash. Five individual cells make up the total 145 -acre fill area. Generally, each
cell is lined, filled to grade, and capped with an interim soil cover before moving to the
next cell; however, more than one cell can be operational at a time and individual cells
can be divided into sub - cells. The anticipated filling rate at the Brickhaven Mine is
approximately 6,000 -8,000 tons per day. At that filling rate, the Brickhaven Mine would
be operational for 6.8 - 7.4 years. The filling process is summarized below; however,
more detailed information can be found in the Brickhaven Mine Structural Fill Permit
Application. A link to the application is included in Attachment B.
At the Sanford Mine, the structural fill and associated infrastructure will encompass
approximately 137 acres, of which, approximately 118 acres will be covered with a
composite base liner system and filled with coal ash. Five individual cells make up the
total 118 -acre fill area. Generally, each cell is lined, filled to grade, and capped with an
interim soil cover before moving to the next cell; however, more than one cell can be
operational at a time and individual cells can be divided into sub - cells. The anticipated
filling rate is approximately 6,000 -8,000 tons per day. At that filling rate, the Sanford
Mine would be operational for 5.4 - 5.8 years. The filling process is summarized below;
however, more detailed information can be found in the Sanford Mine Structural Fill
Permit Application. A link to the application is included in Attachment B.
The coal ash used at the Brickhaven and Sanford Mines would be placed in operational
lifts 3 -5 feet high and tested for moisture content and compaction. The coal ash lifts
would be contained within an engineered fill cell that utilizes a High Density
Polyethylene (HDPE) liner that is seamed and welded to ensure the liner is leak- proof.
The liner encompasses all sides of the fill and forms a continuous chemical- resistant
barrier to prevent potential soil and groundwater contamination. The base of the fill cell
would be comprised of a geosynthetic clay liner (GCL), overlain by the HDPE liner, and
then by a fabric drainage liner. Coal ash has moisture added prior to transport to prevent
dust; the fabric drainage liner would allow for water to filter down through the uppermost
layer of the liner, into a collection pipe, and out of the fill cell to a collection basin that is
emptied by a vacuum truck for appropriate off -site disposal (i.e. existing waste water
treatment facility). The top and sides of the fill cell would also be comprised of the
impervious HDPE liner. The fill cell would be "capped" with a compacted soil layer that
would be a minimum of 6 feet in depth along the surface and a minimum of 2 feet deep
along the side slopes. An information page which further describes "structural fill at clay
mines" is included for review (Attachment H).
ie,
The proposed HDPE liner is designed to industry standards and is the same liner required
for all permitted Subtitle D landfills. The liner has an expected life of 500+ years. The
liner and final cap system will be constructed in accordance with NCGS 130A- 309.216.
Dust Control - NCGS 130A- 309.216(a)(9) requires sufficient dust control measures to
minimize airborne emissions and prevent dust from becoming a nuisance or safety
hazard. Dust on site and in active cells would be controlled through a variety of methods.
Dust control methods for the facility include: watering, establishing vegetative cover,
mulching, wind breaks, temporary coverings (i.e. tarps), spray applied dust suppressants,
calcium chloride, soil stabilizers, interim and operational soil cover, and modification of
the active working area and operations during dry and windy conditions. If fugitive dust
emissions are observed and observations indicate dust control measures are not achieving
their intended purpose, then appropriate corrective actions will be taken. More detailed
information regarding dust control can be found in the Brickhaven and Sanford Mine
Structural Fill Permit Applications. A link to the applications is included in Attachment
B.
Erosion and Sediment Control — Proposed erosion and sediment control structures are
designed and maintained to manage the run -off generated by the 25 -year storm event.
Sediment basins are designed to pass the 10 -year, 24 -hour design storm without
employing use of emergency spillways. Vegetation would be established to protect the
final cover system from erosion and to enhance the aesthetics of the closed structural fill.
More detailed information regarding erosion and sediment control can be found in the
Brickhaven and Sanford Mine Structural Fill Permit Applications. A link to the
applications is included in Attachment B.
Stormwater Management - The stormwater management system includes slope drains,
culverts, perimeter channels, etc., that convey stormwater to the sediment basins.
Stormwater that does not come in contact with structural fill will be treated as non-
contact water. To improve operations, stormwater should be diverted from the active
area. To divert stormwater runoff away from the working face, temporary diversion
berms may be installed as dictated by the direction of grade. In addition, interim soil
cover may be placed over structural fill that has reached final grade. This cover will be
uniformly graded and compacted to prevent the formation of erosion channels. hi the
event that channels do form, the cover should be promptly repaired.
Typically, all stormwater runoff that has not contacted structural fill will be drained from
the active fill areas and routed to the peripheral drainage channels that surround each
working area. The stormwater channels, culverts, and sedimentation ponds are designed
to convey, and discharge all stormwater runoff from a 25 -year, 24- hour - duration storm
event. Within the active portion of the site, all working areas are to be maintained and
graded to allow stormwater to flow away from the active face and toward the peripheral
drainage channels. Interceptor berms to control the flow of runoff from the surface are to
be constructed so that runoff will not be allowed to cascade down the side slopes. More
detailed information regarding stormwater management can be found in the Brickhaven
20
and Sanford Mine Structural Fill Permit Applications. A link to the applications is
included in Attachment B.
Leachate Management — The general leachate management system includes the
collection, storage, treatment, and disposal of leachate. The collection of leachate will be
facilitated within the structural fill by the geocomposite drainage layer located directly on
top of the base liner system and the use of perforated HDPE pipe laterals and header
designed to hydraulically convey leachate to sump areas, which will contain submersible
pumps. From there, leachate will be pumped through a solid wall HDPE force main to a
leachate storage tank that will be located at the site. A leachate collection system would
also be installed beneath the loading/unloading area at the end of the rail spur. Leachate
storage is provided in a 250,000 gallon storage tank with a secondary containment.
Leachate storage may be managed in the structural fill as needed.
Charah will dispose of the leachate properly at an existing wastewater treatment plant and
will obtain a discharge permit for the leachate. More detailed information regarding
leachate management can be found in the Brickhaven and Sanford Mine Structural Fill
Permit Applications. A link to the applications is included in Attachment B.
Groundwater Monitoring - A groundwater monitoring plan will be developed,
implemented, and funded by Charah. Development and implementation of this
groundwater monitoring plan would be coordinated with the NCDENR, Division of
Water Resources (DWR) to ensure that the use of ash as a structural fill material for the
proposed project does not adversely impact water quality. Groundwater monitoring wells
would be installed up gradient of the structural fill area to establish the baseline
groundwater constituents, down gradient to monitor the structural fill cells, and at various
locations around the perimeter of the structural fill area. Ground water sampling would
be conducted on a semi - annual basis and the results would be submitted to the NCDENR,
DWR. More detailed information regarding groundwater monitoring can be found in the
Brickhaven and Sanford Mine Structural Fill Permit Applications. A link to the
applications is included in Attachment B.
Post - Closure Monitoring and Maintenance — A general site inspection would occur
quarterly. The inspection includes a cap system inspection, a stormwater management
system inspection, utilities inspection, a leachate collection system inspection, and other
inspections as deemed necessary. In addition to inspections, general maintenance would
also be conducted. General maintenance includes maintaining on -site vegetation,
removing woody debris, and mowing at least twice per year or as needed. The
groundwater monitoring systems would also continue to be monitored after closure of the
sites. Post - closure monitoring and maintenance will continue at the site for 30 years after
closure. More detailed information regarding post - closure monitoring and maintenance
can be found in the Brickhaven and Sanford Mine Structural Fill Permit Applications. A
link to the applications is included in Attachment B.
21
5.1 Stream and Wetland Impacts
The proposed project includes the following stream and wetland impacts at the
Sanford and Brickhaven Mines (Figures 4a and 4b):
Impacts per site:
Sanford - Streams Sanford - Wetlands (non- isolated)
Impact #
Linear Feet
Type of Impact
3
405
Fill Cell and SEC Structure
6
201
Fill Cell and SEC Structure
10
660
Fill Cell and SEC Structure
11
217
Fill Cell and SEC Structure
13
96
Fill Cell
15
23
Fill Cell
21
2
Road Crossing
22
100
Railroad
23
2
Road Crossing
24
10
Road Crossing
Total
1,716
Railroad
Impact #
Acres
Type of Impact
1
0.005
SEC Structure
2
0.11
SEC Structure
4
0.03
Fill Cell
5
0.14
Fill Cell
7
0.19
SEC Structure
8
0.09
SEC Structure
9
0.07
SEC Structure
12
0.02
Fill Cell
14
0.04
Fill Cell
16
0.10
Fill Cell
17
0.24
Railroad
18
0.03
Railroad
19
0.02
Railroad
20
0.004
Railroad
Total
1.09
Brickhaven - Streams Brickhaven - Wetlands (non - isolated)
Impact #
Linear Feet
Type of Impact
1
320
SEC Structure
10
0.01
Stockpile Yard and SEC
3
906
Structure
9
0.10
Stockpile Yard and SEC
4
913
Structure
5
311
SEC Structure
Total
2,450
1'J?
Impact #
Acres
Type of Impact
2
0.04
SEC Structure
10
0.01
SEC Structure
Total
0.05
Fill Cell
Brickhaven - Wetlands (isolated)
Impact #
Acres
Type of Impact
6
0.08
Fill Cell
7
0.01
Fill Cell
8
0.29
Fill Cell
9
0.10
Fill Cell
11
0.02
SEC Structure
Total
0.50
Total impacts (for Sanford Mine and Brickhaven Mine):
Streams
Sanford
1,716
Brickhaven
2,450
Total Streams
4 166
Wetlands (non- isolated)
Sanford
1.09
Brickhaven
0.05
Total Wetlands non - isolated
1.14
Wetlands (isolated)
Sanford
0
Brickhaven
0.50
Total Wetlands isolated)
0.50
23
6.0 DISCUSSION OF ALTERNATIVES
This discussion of alternatives is submitted by the applicant to assist the Wilmington
District, Corps in evaluating the application for authorization to discharge dredged or fill
material into waters of the United States, including wetlands, under Section 404 of the
Clean Water Act, 33 U.S.C. § 1344 at the proposed project site.
An analysis of the Section 404(b)(1) Guidelines (Guidelines) requirements for
consideration of alternatives as required by 40 C.F.R. 230.10(a) is set forth below.
The Guidelines' alternatives requirements provide that "no discharge of dredged or fill
material shall be permitted if there is a practicable alternative to the proposed discharge
which would have less adverse impact on the aquatic ecosystem, so long as the
alternative does not have other significant adverse environmental consequences." [See
40 C.F.R. 230.10(a) (emphasis added).] The record must contain "sufficient information
to demonstrate that the proposed discharge complies with the requirements of Section
230.10(a) of the Guidelines. The amount of information needed to make such a
determination and the level of scrutiny required by the Guidelines is commensurate with
the severity of the environmental impact (as determined by the functions of the aquatic
resource and the nature of the proposed activity) and the scope /cost of the project." [See
Corps/EPA Memorandum to the Field "Appropriate Level of Analysis Required for
Evaluating Compliance with Section 404(b)(1) Guidelines Alternatives Requirements," p.
2, dated August 23, 1994, hereinafter the "Memorandum. "] As noted in the
Memorandum on pages 3 -4, the 404(b)(1) Guidelines "only prohibits discharges when a
practicable alternative exists which would have less adverse impact on the aquatic
ecosystem." [See Memorandum.] "If an alleged alternative is unreasonably expensive to
the applicant, the alternative is not practicable." [See Guidelines Preamble, "Economic
Factors," 45 Federal Re ig ster 85343 (December 24, 1980).]
Practicable alternatives for the project are those alternatives that are "available and capable
of being done after taking into consideration costs, existing technology, and logistics in
light of overall project purposes." [See 40 C.F.R. 230.10(a)(2).] Clarification is provided
in the Preamble to the Guidelines on how cost is to be considered in the determination of
practicability. An alternative site is considered "available" if it is presently owned by the
applicant or "could reasonably be obtained, utilized, expanded or managed in order to
fulfill the basic purpose of the proposed activity." 40 C.F.R. § 230.10(a)(2).
The intent is to consider those alternatives, which are reasonable in terms of the overall
scope and cost of the proposed project. The term economic [for which the term "costs"
was substituted in the final rule] might be construed to include consideration of the
applicant's financial standing, or investment, or market share, a cumbersome inquiry
which is not necessarily material to the objectives of the Guidelines.
24
The EPA 404(b)(1) Guidelines state that, "we have chosen instead to impose an explicit,
but rebuttable presumption that alternatives to discharges in special aquatic sites are less
damaging to the aquatic ecosystem, and are environmentally preferable." Of course, the
general requirements that impacts to the aquatic system not be acceptable also applies.
This presumption "...contains sufficient flexibility to reflect circumstances of unusual
cases" (249 Fed. Reg., 85339, December 24, 1980). It is clear from these stipulations
that a preferable alternative may allow filling in certain wetland areas and subsequent
mitigation and/or management of other areas.
6.1 Proiect Alternatives
The project as proposed, along with a total of 163 alternatives, were considered
when determining the most practical alternative. The following table is a
summary alternatives considered; each alternative is discussed in further detail
below.
Alternatives Nnmher of Sites /Ontions Cnnsidered
Industrial Solid Waste Landfills
8
Municipal Solid Waste Landfills
10
Close-In-Place/Cap-In-Place
1
Materials/Product Use
1
Other `Beneficial Use " /Structural Fill Projects
2
Project As-Proposed/Mine Reclamation
140
No Action
1
Total
163
6.1.1 Industrial Solid Waste Landfills
Industrial solid waste is solid waste generated by manufacturing or industrial
processes that is not hazardous waste, such as coal ash. Industrial solid waste
does not include office materials, restaurant and food preparation waste, discarded
machinery, demolition debris, municipal solid waste, municipal solid waste
combustor ash, or household refuse.
Duke owns and operates the 8 following industrial solid waste landfills in North
Carolina at power generation plants: Allen, Belews Creek (two landfills),
Cliffside, Mayo, Marshall (two landfills), and Roxboro. A map of Duke coal
plant sites is included for review (Attachment I). An industrial solid waste
landfill is not currently present at Riverbend or Sutton. Allen in Belmont, North
Carolina is located approximately 5 -10 miles south of Riverbend and is the closest
industrial solid waste landfill. Mayo located in Roxboro, North Carolina is
located approximately 186 miles north of Sutton and is the closest industrial solid
waste landfill.
Railroad infrastructure does exists at Riverbend and Sutton that allows for
transportation of ash to an industrial solid waste landfill owned and operated by
Duke; however, all of those landfills are at power generation plants that are
currently operational and generating power (and ash) on a daily basis. Industrial
solid waste landfills at plant sites are generally reserved for ash generated at the
25
plant were the landfill is located. Placing ash from another location at these
landfills shortens the lifespan of the landfill and only delays the onset of finding
permanent and safe locations to dispose of ash.
Duke is considering an on -site industrial solid waste landfill at Sutton; however, a
new landfill would require a minimum of 3 -5 years of permitting prior to
placement of ash. In order to comply with a mandatory closure date of August 1,
2019, the Sutton Excavation Plan includes initial removal of ash from Sutton to an
off -site location. Development and permitting of the Sutton industrial solid waste
landfill plan will take place concurrently with the proposed project. Development
of an industrial solid waste landfill is an element of the comprehensive ash basin
closure /excavation strategy and management plan; however, development of the
landfill would not be complete in a time frame which would allow for mandatory
basin closure by August 1, 2019.
6.1.2 Municipal Solid Waste Landfills
Municipal solid waste is a type of solid waste generated from community,
commercial, and agricultural operations. This includes wastes from households,
offices, stores, and other non - manufacturing activities. Municipal solid waste
landfills can accept municipal solid waste, as well as, all other solid waste and
exempt wastes, such as non -toxic coal ash. Municipal solid waste landfills cannot
accept hazardous waste, regulated PCB wastes, bulk liquids or wastes containing
free liquids, untreated infectious waste from a large generator, scrap tires, or yard
waste.
Charah considered ash disposal at municipal solid waste landfills; and Federal and
State regulations do allow for the disposal of ash with municipal solid waste.
However, due to liability concerns with mixing waste products, Duke requires a
monofill landfill operation (industrial solid waste landfills at plant sites are
monofill). A monofill landfill or cell is designated for only one specific type of
waste. This type of waste disposal is widely considered one of the most
conscientious and responsible ways to dispose of waste. Additionally, the
monofill process provides the ability for future innovation and technology to be
used on the specific waste material. Since there is only one specific waste within
the site, as technology is developed, landfill operators may be able to dispose of
the waste more efficiently or recycle the waste completely at a later date.
Charah contracted 9 municipal solid waste landfill providers regarding disposal of
ash: Anson County, City of Greensboro, City of Winston - Salem, Davidson
County, Gaston County, Mecklenburg County, New Hanover County,
Rockingham County, and Wake County -South Wake. Although all of the
municipal solid waste landfill providers contacted had land available for an
expansion, they all (with exception of Anson County) were unwilling to expand
their respective facilities for disposal of ash. Additionally, all of the municipal
solid waste landfill providers contacted (with exception of Anson County) have
26
insufficient capacity at their existing landfills and insufficient daily acceptance
rates. Tipping fees were also cost prohibitive in most locations.
In general, municipal solid waste landfills are permitted to accept 400 -1,500 tons
of waste per day. Coal ash disposal alone would require 5,000 -7,000 tons of
waste disposal per day. In order to accept increased volumes of material, the
landfills would need to be expanded and modification to daily acceptance rates
would need to occur. Landfill expansion could take 2 -5 years and modifying
daily acceptance rates could take 1 -1.5 years. Mandates in CAMA14 require all
ash from Riverbend and Sutton to be removed by August 1, 2019. The CAMA14
timeline does not provide enough time to complete landfill expansions.
Additionally, the Counties' and Cities' priority is providing citizens a place to
dispose of municipal solid waste. Placing ash from Riverbend and Sutton at
municipal solid waste landfills shortens the lifespan of the landfill which
ultimately effect citizens in the County or City.
The Anson County Landfill, a permitted solid waste landfill, will accept ash for
disposal. The Anson County Landfill is located in Polkton, North Carolina and
material would be transported by rail. The landfill can accept a total of 500,000
tons of ash with the possibility of accepting additional tonnage in 2 -3 years. Use
of a municipal solid waste landfill is an element of the comprehensive ash basin
closure /excavation strategy and management plan; however, Anson County
cannot accept all ash that needs disposal.
6.1.4 Close -In -Place /Cap -In -Place
Closing or capping ash in place would require dewatering the ash basin,
consolidating ash into a smaller area, and installing an engineered, synthetic
capping system.
CAMA14 (link in Attachment B) does not allow for cap -in -place at Riverbend or
Sutton. Part II, Section 3(b)(2) and (4) mandates that ash basins at Riverbend and
Sutton be deemed high priority and closed as soon as practicable but no later than
August 1, 2019. Part II, Section 3(c)(2) mandates that all ash must be removed
from the impoundments and transferred for disposal in a coal combustion
residuals landfill, industrial landfill, or municipal solid waste landfill; or use in a
structural fill or other "beneficial use" as allowed by law.
6.1.5 Materials/Product Use
Coal ash is used as a component in Portland cement and asphalt concrete. Its use
in cement reduces the energy demands of manufacturing other concrete
ingredients. This reduces energy consumption, costs, greenhouse emissions, and
slows the depletion of natural resources. More than 12 million tons of coal ash is
used in American concrete products each year. Duke is already sending
approximately 25,000 tons of coal ash per month to the Roanoke Cement
Company for their use in cement manufacturing and plans to send approximately
27
115,000 tons (10,000 tons per month) of coal ash as a part of ash removal from
the Ash Stacks at Riverbend. The amount of coal ash they can use is directly
related to demand for their product (cement). At this time, the Roanoke Cement
Company cannot accept additional ash from Duke.
Transporting ash to the Roanoke Cement Company is an element of the
comprehensive ash basin closure /excavation strategy and management plan;
however, the Roanoke Cement Company cannot accept all ash that needs
disposal.
6.1.6 Other "Beneficial Use " /Structural Fill Projects
In a presentation to the City of Charlotte (owners of the Charlotte - Douglas
International Airport (CDIA)), City Council on March 24, 2014, Duke Energy
proposed using coal ash from Riverbend as structural fill at CDIA under a future
fourth runway. It was estimated that encapsulating the coal ash and creating a
structural fill at CDIA would save approximately $30 million in construction
costs and would employee approximately 100 people over 5 years. At the
direction of City Council and the City Manager, City of Charlotte staff conducted
a Coal Ash Due Diligence Study (Attachment J) to determine if placing coal ash
from Riverbend at CDIA would be "unambiguously good for the environment"
and "unambiguously good for CDIA ". Staff was then to make a recommendation
to the City Council regarding the future of the project.
Staff concluded in the study that removing coal ash from Riverbend would be
beneficial for the long -term environmental integrity of Mountain Island Lake
(currently, ash ponds are adjacent to the lake). Riverbend has two coal ash ponds
that are held by an earthen dam that are not lined or covered. Several
municipalities have drinking water intakes in Mountain Island Lake (providing
80% of drinking water to the region), including the City of Charlotte which has its
water intake 3 miles downstream of the coal ash ponds. Removing coal ash from
Riverbend removes threats to the water supply, recreational use at the lake, and
water quality in the lake. After reviewing the proposed encapsulation design,
staff also determined that structural fill in the form of coal ash posed a low
environmental risk based on available science and technical knowledge.
While the possibility of saving $30 million in developing a fourth runway is an
attractive proposition to CDIA, after further consideration, staff determined that
the risks of placing coal ash under a runway were unacceptably high. In addition,
staff also determined that the risks of using coal ash under any area that the
airport may use for future airfield development, not just a runway, were
unacceptably high. CDIA is currently the sixth busiest airport and eighth largest
airport in the US. Airport staff have indicated that even a remote chance that the
encapsulation system could fail and/or require maintenance is not acceptable. It is
the opinion of CDIA staff that loss of use of a runway due to issues with the
encapsulation system would impact: operation efficiency and capacity, revenues,
airline partner's revenue, the national air traffic system, international air traffic,
28
regional (and potentially global) economic systems, approximately 20,000 daily
jobs, and the ability of CDIA to maintain its role as a primary hub to a major
airline. It became apparent to CDIA that any realized construction cost savings
would be minimal when compared to the opportunity cost lost should failure or
maintenance of the encapsulation system occur.
City of Charlotte staff opposed the project (structural fill for airfield
development); the Charlotte City Council, Environmental Committee
recommended to the City Council that the project not move forward; and the
Interim Airport Director, Brent Cagle, has rejected the project. Without approval
from the City of Charlotte and CDIA, coal ash cannot be placed at the airport.
Although the City of Charlotte has opposed the use of coal ash for airfield
development, the City Council understands the value and benefit of moving coal
ash away for Mountain Island Lake. The City of Charlotte offered Duke a "land
swap" option. Duke owns approximately 42 acres generally located between Old
Dowd Road, Little Rock Road, Wilkinson Boulevard, and Marshall Drive.
Currently, this property houses Duke's Operations Center and other infrastructure.
The property is adjacent to existing airport facilities (Long Term Parking Lot 1).
CDIA has a standing offer to buy the parcel from Duke and has been trying to
purchase the property for several years. CDIA would use the Operations Center
for airport offices and develop other parts of the property into more airport
parking. The City of Charlotte (CDIA) owns property west of the Operations
Center generally located between Sears Road, Wilkinson Boulevard, I -485, and
Old Dowd Road. The property is currently wooded. The City of Charlotte
proposed to swap approximately 100 -140 acres of City -owned land for the 42-
acre Duke Operation Center. The proposal suggests that Duke would use the land
to dispose of coal ash from Riverbend. Agreeing to the swap would require Duke
to relocate the Operations Center and up to 250 employees. At this time, Duke
cannot relocate the Operations Center and employees. Additionally, Duke is
concerned with how the land swap would affect utility operations, customers, and
the overall ash basin closure /excavation strategy and plan.
6.1.7 Proiect As-Proposed— Mine Reclamation
CAMA14 specifically includes mine reclamation projects in the list of approved
structural fill uses for coal ash. Mine reclamation is the process of restoring land
that has been mined to a natural or economically usable state. Although the
process of mine reclamation occurs once mining is completed; generally, the
preparation and planning of mine reclamation activities occur prior to a mine
being permitted or started. Mine reclamation creates useful landscapes that meet
a variety of goals ranging from the restoration of productive ecosystems to the
creation of industrial and municipal resources.
Charah evaluated mine reclamation for disposal of ash from Riverbend and
Sutton. Charah first compiled a list of more than 140 active mine sites across
North Carolina. Charah evaluated each mine for site conditions such as mine
29
status (active vs. inactive), road access, rail access, proximity to Duke plant sites,
and availability for redevelopment. The mines that were not eliminated due to
site constraints were contacted regarding potential purchase of the mines.
After contacting the mine operators, only General Shale was willing to sell mine
sites to Green Meadows. General Shale was the operator of the Sanford and
Brickhaven Clay Mines.
6.1.8 No Action Alternative
Ash disposal, which meets the applicant's stated project purpose and need, is not
feasible on the proposed properties without regulated impacts. Reducing cell
sizes to avoid stream and wetland impacts would reduce the overall capacity of
the sites. Without large sites with large capacity, multiple smaller sites would be
required. It is not logistically feasible to place ash in multiple, low- capacity sites.
Doing so would increase transportation traffic (truck and rail), increase cost of
disposal, increase the number of adjacent land owners, and increase the time it
would take to dispose of ash. It has also been demonstrated above that landfills
(industrial or municipal) and materials use alone cannot accommodate the tonnage
of ash that needs disposal. The project purpose is to close ash basins at Riverbend
and Sutton by August of 2019 as required by CAMA14. Without the proposed
regulated impacts, complying with mandates in CAMA14 are not likely.
If the Corps opted not to issue the permit for the project as proposed, ash would
not be used as structural fill at the sites and basins would not be closed by 2019.
In this case, the project purpose and need would not be met.
6.2 Avoidance and Minimization
The proposed project is designed in a way to avoid streams and wetlands where
practicable while still meeting the project purpose. The tables below summarize
avoidance at the sites:
Streams On -Site Proposed Amount Percent
Streams Impacts Avoided Avoided
Sanford
11,540
1,716
9,824
85
Brickhaven
4,834
2,450
2,384
49
Total Streams
16,374
4,166
12,208
75
Wetlands (non - isolated) On -Site Proposed Amount Percent
Wetlands Impacts Avoided Avoided
Sanford
18.70
1.09
17.61
94
Brickhaven
3.98
0.05
3.93
99
Total Wetlands (non - isolated)
22.68
1.14
21.54
95
Ull
Wetlands (isolated) On -Site Proposed Amount Percent
Wetlands Imnacts Avoided Avoided
Sanford
0
n/a
n/a
n/a
Brickhaven
0.50
0.50
0
0
Total Wetlands (isolated)
0.50
0.50
0
0
The proposed rail line at the Sanford Mine has been redesigned to avoid the
largest wetland on site; and streams and wetlands in the location of Impact #21
(Figure 4a). Original designs included a rail line that traveled southwest along the
eastern property boundary and into the large wetland, the rail then turned to the
northwest (while still in the wetland), then exited the wetland and traveled
northwest towards the streams and wetlands in the location of Impact #21.
Although the designs for the original rail configuration were never finished, it is
estimated that by changing the alignment, approximately 4 acres of wetland
impacts and 430 linear feet of stream impacts were avoided.
At the Sanford Mine, the previously proposed stockpile and laydown yard in the
location of Impact #22 (Figure 4a) has been eliminated. Impacts have been
reduced to a 100 - linear foot rail line crossing. Eliminating the stockpile and
laydown yard reduces impacts by 837 linear feet of stream and 0.33 acre of
wetlands.
At the Brickhaven Mine, the rail line has been realigned (moved upslope) to avoid
stream channels at the Brickhaven Mine and on the Moncure Holdings site.
Original plans included a rail line access corridor with the edge of rail within 40
feet of the stream channel. Grading along the originally proposed alignment
would have included additional stream impacts on site. The realignment avoids
approximately 2,000 linear feet of potential stream impacts associated with the
rail line at the Brickhaven Mine and on the Moncure Holdings site. Additionally,
4 of the 6 proposed basins at the Brickhaven Mine have avoided stream impacts
and the three largest non - isolated wetlands at the Brickhaven Mine have been
avoided. This accounts for 99% of non - isolated wetlands on the site.
Impacts have been minimized at both sites by utilizing existing road crossings.
Additionally, jurisdictional railroad crossings on the Moncure Holdings site will
utilize arched culverts.
Proposed basins on site are in locations that accommodate the smallest basin size
necessary to meet sediment and erosion control; and stormwater management
requirements. Existing non jurisdictional stormwater basins associated with the
existing mining permits must remain in place and as constructed to comply with
mining permit requirements.
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6.3 Alternatives Conclusion
This discussion of alternatives, together with the documents submitted by the
applicant in support of the 404 Permit, shows that the project complies with the
Guidelines. As this analysis clearly demonstrates the project is designed to avoid
and minimize impacts to the site to the maximum extent practicable while
maintaining a rational project design.
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7.0 CONCEPTUAL MITIGATION PLAN
Upon completion and implementation of practical avoidance and minimization efforts,
4,166 linear feet of stream channel and 1.64 acres of wetland (isolated and non - isolated)
associated with the Sanford and Brickhaven Mine projects are unavoidable. The
following mitigation plan is provided in support of this permit application; the mitigation
measures are described below.
7.1 NC Ecosystem Enhancement Program (EEP)
Green Meadows proposes to mitigate for unavoidable impacts (4,166 linear feet
of stream and 1.64 acres of wetland) at a 1:1 ratio through payment into the EEP
in -lieu fee program. By letter dated February 10, 2015, EEP has indicated they
are willing to accept payment for impacts associated with development at the site.
The acceptance letters are enclosed for review (Attachment K).
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8.0 US ENVIRONMENTAL PROTECTION AGENCY 404(b)(1) GUIDELINES
The EPA interim regulations providing guidance for specification of deposit on sites for
dredge and fill material were published on September 17, 1993, in 40 C.F.R. 230 per
Section 404(b)1. Sub -Parts A through I pertain to dredge and fill permits, and apply to
project sites similar to this project.
Sub -Part D presents a summary of compliance criteria for the 404(b)(1) guidelines. This
section references and defines practicable alternatives and indicates that a dredge and fill
permit shall not be issued if practicable alternatives exist. Alternatives reviewed, detailed
in Section 6.0, were assessed for compliance with 404(b)(1) guidelines.
Additional EPA guidance is presented related to general regulatory criteria, wildlife
value, and human health guidelines. The discharge of dredge and fill material is
considered permittable under these guidelines if the discharge activity: does not
contribute to violation of state water quality standards; does not violate toxic effluent
standards; does not jeopardize the continued existence of species listed as threatened and
endangered pursuant to the federal Endangered Species Act of 1973 and subsequent
amendments; does not cause degradation to any marine sanctuaries; does not contribute
to significant degradation of "waters of the United States;" does not adversely affect
human health as it pertains to water supply; does not adversely impact wildlife, the food
chain, and special aquatic sites; does not contribute to the discharge of pollutants that
may affect the food web; does not have negative effects on the productivity of the aquatic
ecosystem, or their physical values; and does not have adverse impacts on recreation,
aesthetic, or economic values. Additionally, the applicant is required to minimize
potential adverse impacts on the aquatic ecosystem.
8.1 Factual Determination
The Corps is required to determine both potential short-term and long -term effects
of a proposed discharge of dredge and fill material on the physical, chemical, and
biological components of an aquatic environment.
8.2 Potential Imaacts on Phvsical and Chemical Characteristics of the Aquatic
Ecosystem
Sub -Part C of the 40 C.F.R. 230 guidelines lists six physical and chemical
characteristics that must be assessed during the permit review, and the effects of
which must be determined to be minimal on the aquatic ecosystem.
8.2.1 Substrate
Fill material will be placed in jurisdictional streams and wetlands. Any discharge
will consist of suitable fill material and will not include any trash, debris, car
bodies, asphalt, etc. The fill material will also be free of toxic pollutants in toxic
amounts. Proper sediment and erosion control devices will be installed prior to
and during construction to ensure that the bottom elevation of remaining streams
and wetlands on the property will not change.
34
Upland fill areas for the project will include coal ash from Duke's Riverbend and
Sutton plants. All coal ash fill material will be handled, utilized, and placed in
accordance with rules and regulations outlined in 15A NCAC 13B and CAMA14
administered by the State of North Carolina. Only clean fill material will be used
to fill streams and wetlands; coal ash will not be used in jurisdictional areas.
8.2.2 Suspended Particulate /Turbidity (Erosion and Sediment Control)
During construction activities on the site, there may be a minimal increase in
suspended particulates that may lead to increased turbidity downstream.
However, the increase is anticipated to be minimal and temporary due to the
installation and maintenance of proper sediment and erosion control measures
during construction and shortly thereafter. The proposed Erosion and Sediment
Control Plans are discussed in Section 5.0 (Proposed Project Development) of this
application. Additional information regarding the Erosion and Sediment Control
Plans can be found in the Brickhaven and Sanford Mine Structural Fill Permit
Applications. Additionally, the Erosion and Sediment Control Plans have been
submitted for review and approval as a part of the Structural Fill Permit
Applications. A link to the applications is included in Attachment B.
8.2.3 Water Quality
The proposed discharge of dredge and fill material should not cause increased
chemical contamination levels within the aquatic ecosystem. Specifically,
changes in clarity, color, odor, and taste of water in addition to possible chemical
contamination shall be minimized or reduced. All discharges of dredge and fill
material will be controlled with erosion and sediment control measures. The
proposed Erosion and Sediment Control Plans are discussed in Section 5.0
(Proposed Project Development) of this application. Stormwater management
will also be implemented on site and is discussed in Section 5.0 (Proposed Project
Development) of this application. Additional information regarding the Erosion
and Sediment Control Plans; and stormwater management can be found in the
Brickhaven and Sanford Mine Structural Fill Permit Applications. A link to the
applications is included in Attachment B.
The Erosion and Sediment Control Plans; and stormwater management plans (as
required as a part of the Post - Closure Plans) have been submitted for review and
approval as a part of the Structural Fill Permit Applications.
Groundwater Monitoring Plans are discussed in Section 5.0 (Proposed Project
Development) of this application. Groundwater wells will be installed and
monitored semi - annually to ensure that use of ash as structural fill material for the
proposed project does not adversely impact water quality. Additional information
regarding the Groundwater Monitoring Plans can be found in the Brickhaven and
Sanford Mine Structural Fill Permit Applications. A link to the applications is
included in Attachment B.
35
Fill for the project will include coal ash from the Riverbend and Sutton plants.
CAMA14 prohibits coal ash placement within 50 feet of any unimpacted stream
or wetland. All coal ash fill material will be handled, utilized, and placed in
accordance with applicable rules and regulations. Only clean fill material will be
used to fill streams and wetlands; coal ash will not be used in these areas.
The applicant will be concurrently applying for a DWR 401 Water Quality
Certification.
8.2.4 Current Patterns in Water Circulation
The discharged fill material will modify current water circulation patterns by
obstructing flow, changing direction or velocity of water, and changing velocity
or flow of circulation in the channels proposed for impact; however, water
circulation and patterns will be re- established in the stream channels provided as
mitigation.
8.2.5 Normal Water Fluctuations
The discharge of fill material associated with this project is not anticipated to
have any significant effect on the downstream hydrologic regimes.
8.2.6 Salinity
Because this project is located inland and away from tidally influenced waters and
wetlands, no modification to the salinity of on -site or adjacent waters is expected.
8.3 Potential Impacts to Bioloeical Characteristics of the Ecosystem
Sub -Part D of the 40 C.F.R. 230 guidelines specifies three areas of concern in
which disposal of dredge and fill material can affect the biological components of
the ecosystem. These components are threaten and endangered species, fish,
crustaceans, mollusks, other aquatic organisms in the food web, and wildlife.
8.3.1 Threatened or Endangered Species
CEC has conducted a file review of up -to -date records maintained by the FWS
and the NHP. The desktop literature review involved a review of the FWS list of
protected species in Chatham and Lee Counties; and the NHP Element
Occurrence Data on which NHP identifies current and historic occurrences of
listed species for a specific locale. The FWS lists 4 species as occurring in
Chatham and Lee Counties that are subject to Section 7 consultation. The NHP
database identifies 76 element occurrences (EO) within a 5 -mile radius of the
project site; 6 EOs, comprised of 3 species, hold Federal status and are subject to
Section 7 consultation. The Federally listed species identified by the FWS and
NHP are listed below.
36
Common Name
Scientific Name
Federal Status
Northern Long -Eared Bat
Myotis septentrionalis
P
Cape Fear Shiner **
Notropis mekistocholas
E
Red Cockaded Woodpecker **
Picoides borealis
E
Harperella**
Ptilimnium nodosum
E
Bald Eagle
Haliaeetus leucocephalus
BGPA
* *Species with a Federal status subject to Section 7 Consultation and within 5 miles of
the project site.
A protected species survey was conducted in July of 2014 and August of 2014 at
the Sanford and Bickhaven Mines, respectively. Potential fauna were identified to
the taxonomic unit level necessary to determine if the observed specimen was a
protected species. Flora were identified to the lowest taxonomic level readily
discernible in the field during the time of survey.
The proposed project sites are within recently active mine sites. Regular
maintenance and manipulation of this area has eliminated suitable habitat for any
Federally listed species. No Federally threatened or endangered species were
observed on site during the site visits. A "Threatened and Endangered Species
Review and Habitat Assessments" was completed for each site and the reports are
included for review (Attachment F).
Withers & Ravenel conducted a protected species study in September of 2012 on
the neighboring tract owned by Moncure Holdings, LLC (Green Meadows would
have rail access through the Moncure Holdings site). Withers & Ravenel
discussed four species in their report: bald eagle, red - cockaded woodpecker,
Cape Fear shiner, and harperella. None of the federal species known to occur in
Chatham County or their habitat were observed within the Moncure Holdings site.
It is the opinion of Withers & Ravenel that development activities on the Moncure
Holdings site would have no effect on Federally listed species. A "Threatened
and Endangered Species Report" was completed for the Moncure Holding site
and the report is included for review (Attachment F).
It is the opinion of CEC that federally protected species are not likely to be present
within the project boundaries. As such, the proposed project is not likely to cause
an adverse impact to any federally threatened or endangered species or their critical
habitat. The FWS will be notified via Public Notice about the project and will be
given the opportunity to comment on the project and its potential effects on
threatened and endangered species.
8.3.2 Fishes. Crustaceans, Mollusks, and other Aquatic Organisms in the Food
Web
Discharges of dredge and fill material can alter the food web by impacting
animals such as invertebrates that make up the basis of a food chain. The release
of contaminants or an increase in turbidity has the potential to negatively affect
37
certain aspects of the food web. Such releases may also potentially increase the
levels of exotic species.
Impacts to primary food chain production within the waters of the US and
wetlands will occur on the project site; however, food chain production will be re-
establish over time in the streams and wetlands provided as mitigation. Net
impacts to primary food chain production are expected to be minimal.
8.3.3 Other Wildlife
The discharge of dredge and fill material has the potential to negatively affect
breeding and nesting areas, escape cover, travel corridors, and preferred food
sources for resident and migrant wildlife species.
Although some evidence of wildlife usage was apparent on site, because the
project areas are within and in close proximity to recently active mines, wildlife
habitat is minimal. Noise pollution, denuded vegetation, and anthropogenic
activity make this area less desirable for resident and migrant wildlife. While a
loss of wildlife habitat for stream and wetland species may result from
construction of the project, the proposed mitigation will compensate for any
minor loss of habitat.
8.4 Potential Impacts on Special Aquatic Sites
Sub -Part E of the 40 C.F.R. 230 guidelines addresses considerations for potential
impacts on special aquatic sites, which include: sanctuaries and refuges,
wetlands, mud flats, vegetated shallows, coral reefs, and riffle -pool complexes.
8.4.1 Sanctuaries and Refuges
The discharge of dredge and fill material has the potential to negatively affect
adjacent sanctuaries and wildlife refuges by impacting water quality, decreasing
wildlife habitat, increasing human access, and creating the need for frequent
maintenance activity, resulting in the establishment of undesirable plant and
animal species, which can change the balance of habitat type. There are no
sanctuaries or refuges in the project vicinity; therefore, impacts to sanctuaries or
refuges will not occur as a result of the proposed project.
8.4.2 Wetlands
The discharge of dredge and fill material has the potential to adversely affect
wetlands including wetland substrate, hydrology, and vegetation. Discharges can
lead to a loss of wetland values, such as wildlife habitat, flood storage, and
groundwater recharge. The discharge of fill material will impact 1.14 acres of
non - isolated wetlands and 0.50 acre of isolated wetlands on site. Approximately
21.54 acres of non - isolated wetlands have been avoided; totaling approximately
95 percent of total wetlands at the sites. The applicant will make payment into the
EEP in -lieu fee program to offset impacts to wetlands.
38
8.4.3 Mud Flats
Discharges of dredge and fill material has the potential to negatively affect mud
flats that exist along inland lakes, ponds, and riverine systems. There are no mud
flat communities within the project boundaries; therefore, loss of these
ecosystems will not occur as a result of development of the proposed projects.
8.4.4 Vegetated Shallows
Vegetated shallows are permanently inundated areas that contain rooted aquatic
vegetation. This type of habitat generally exists within estuarine and marine
environments; and some freshwater lakes and rivers. No vegetated shallow
habitats exist within the project boundaries; therefore, no impacts to this
ecosystem will occur as a result of development of the proposed projects.
8.4.5 Coral Reefs
Coral reefs typically exist within marine ecosystems. Coral reefs do not exist
within the project boundaries; therefore, no impacts to this ecosystem will occur
as a result of development of the proposed projects.
8.4.6 Riffle -Pool Complexes
Discharge of dredge and fill material into or upstream of riffle -pool complexes
has the potential to negatively affect water quality and wildlife value. Fill has the
potential to be placed into riffle -pool complexes. Any permanent impact to riffle -
pool complexes will be mitigated for through the proposed mitigation plan.
8.5 Potential Effects on Human Use Characteristics
Sub -Part F of the 40 C.F.R. 230 guidelines address potential effects on human use
of wetlands and waterways. Factors including water supply, recreational and
commercial fisheries, water - related recreation, aesthetics, and parks and similar
preserves are considered within this portion of the guidelines. No effects on
human use characteristics are anticipated as a result of the proposed project.
8.5.1 Municipal and Private Water SMI
The public water supply will not increase or decrease as a result of the proposed
activities. Part II, Section 130A- 309.216(c)(2) of CAMA14 prohibits coal ash
within 300 horizontal feet of a private dwelling or well. Additionally, removing
coal ash from Riverbend will eliminate any threat to Mountain Island Lake
associated with the presence of the existing coal ash ponds at Riverbend.
Mountain Island Lake provides 80% of the drinking water in the metro Charlotte
region.
8.5.2 Recreational and Commercial Fisheries
Discharges of dredge and fill material has the potential to negatively affect
recreational and commercial fisheries. Opportunity for recreational and
commercial fisheries is not present on the sites. The amount and quality of
recreational and commercial fisheries will not increase or decrease as a result of
the proposed projects.
39
8.5.3 Water- Related Recreation
Proposed activities will not increase or decrease waterborne recreation within the
project vicinity. However, removing coal ash from Riverbend will eliminate any
threat to Mountain Island Lake associated with the presence of the existing coal
ash ponds at Riverbend (which are adjacent to Mountain Island Lake). Mountain
Island Lake is used recreationally by residents in the metro Charlotte region.
8.5.4 Aesthetics
Aesthetically, the proposed projects will be similar to other mine reclamation
projects in the vicinity. The projects will be designed in a manner that is
consistent with adjacent land use. The project is not expected to diminish the
aesthetic value of the area or cause disharmony from an aerial or neighboring
view.
8.5.5 Parks National and Historical Monuments, National Beach Shores,
Wilderness Areas, Research Sites, and Similar Preserves
No areas as described above will be affected by the proposed activities.
8.6 Summary
Based on the EPA guidelines identified within 40 C.F.R. 230, and enumerated
herein, a number of potential environmental impacts have been presented and
subsequently addressed. The proposed permanent impact to 4,166 linear feet of
streams, 1.14 acres of non - isolated wetlands, and 0.50 acre of isolated wetland
will not cause any off site adverse impacts. Mitigation offered through payment
in to the EEP will compensate for any on -site impacts.
U41
9.0 PUBLIC INTEREST CONSIDERATIONS
When reviewing this application, the Corps is required to consider the project in terms of
the public interest. In considering the public interest, the Corps must evaluate the
probable impacts of the project and evaluate the "benefits which reasonably may be
expected to occur from the proposal against reasonably foreseeable detriments." In
balancing these interests, the Corps must consider the public and private need for the
proposed project, the practicability of using reasonable alternative locations, and the
extent and permanence of the beneficial and/or detrimental impacts of the project. The
Corps also considers the following public interest factors:
conservation, economics, aesthetics, general environmental concerns,
wetlands, historic and cultural resources, fish and wildlife values, flood
hazards, floodplain values, land use, navigation, shore erosion and
accretion, recreation, water supply and water quality, energy needs, safety,
food and fiber production, mineral needs, and considerations of the
property ownership.
Pursuant to 33 C.F.R. 323.6, a determination that the project is not contrary to the public
interest must be achieved before permit issuance. Public interest considerations are listed
in 33 C.F.R. 320.4 (a)(1) and are discussed below.
Furthermore, the Corps regulations state that a permit will be granted unless the district
engineer determines that it would be contrary to the public interest.
The applicant has extensively evaluated these factors through the planning process and
believes that the proposed project is clearly in the public interest.
9.1 Conservation
The applicant is not proposing preservation as a component of the project;
however, those projects completed by the EEP in association with this
project will be preserved in perpetuity.
9.2 Economics
The projects will provide an overall benefit to the local economy of
Chatham and Lee Counties. During and upon completion of construction,
the site will provide job opportunities associated with the development and
maintenance of the proposed sites. It is estimated that approximately 60
jobs in Chatham County and 40 jobs in Lee County would be created
associated with the proposed projects. The appropriate economic
evaluations have been completed and the projects as proposed are
economically viable.
9.3 Aesthetics
Aesthetically, the proposed projects will be similar to other mine
reclamation projects in the vicinity. The projects will be designed in a
41
manner that is consistent with adjacent land use. The project is not
expected to diminish the aesthetic value of the area or cause disharmony
from an aerial or neighboring view.
9.4 General Environmental Concerns
Other than wetland impacts, proposed development activities will have no
significant identifiable impacts upon other environmental components.
The proposed projects also requires Mining Permits which have already
been approved, NPDES permits which have already been approved as a part
of the existing mining permits, and Solid Waste Structural Fill permits
which have been applied for through the Division of Solid Waste.
9.5 Wetlands
The discharge of dredge and fill material has the potential to adversely
affect wetlands including wetland substrate, hydrology, and vegetation.
Discharges can lead to a loss of wetland values, such as wildlife habitat,
flood storage, and groundwater recharge. The discharge of fill material
will impact 1.14 acres of non - isolated wetlands and 0.50 acre of isolated
wetlands on the sites. Approximately 21.54 acres of non - isolated wetlands
have been avoided; totaling approximately 95 percent of total wetlands on
the sites. The applicant will make payment into the EEP in -lieu fee
program to offset impacts to wetlands.
9.6 Historic Properties
Sanford Mine - A desk review of the National Register of Historic Places
records maintained by the SHPO indicates 2 historic properties and 4
historic districts within approximately 5 miles of the Sanford Mine: the
Endor Iron Furnace (Reference #LE0001) located approximately 4.5 miles
from the Sanford Mine; the John D. McIver House and Farm (Reference
#LE0648) located approximately 4.7 miles from the Sanford Mine; and
Rosemont - McIver Park (Reference #LE0795), Downtown Sanford
(Reference #LE0005), East Sanford (Reference #LE0792), and Hawkins
Avenue (Reference #LE0493) Historic Districts all located approximately
4.2 miles from the Sanford Mine.
Brickhaven Mine - The SHPO indicates 2 historic properties within
approximately 5 miles of the Brickhaven Mine: the Obediah Farrar House
(Reference #LE0687) located approximately 3 miles from the Brickhaven
Mine and the Lockville Dam, Canal, and Powerhouse (Reference #CH0018)
located approximately 4.4 miles from the Brickhaven Mine.
It is the opinion of CEC, that the proposed activities are not likely to
threaten the integrity of historic properties. The SHPO will be notified via
Public Notice about the project and will be given the opportunity to
comment on the project and its potential effects on cultural resources.
42
9.7 Fish and Wildlife Values
Riparian and wetland areas provide habitat for many types of wildlife
because of their diverse and productive plant communities, complex
structure, and close proximity to surface water. Wildlife may be
permanent residents of riparian and wetland areas or occasional visitors
that use the areas for food, water, or temporary shelter.
Food availability varies with the type of vegetation in riparian and wetland
areas, but includes fruit, seed, foliage, twigs, buds, insects, and other
invertebrates. Trees and shrub produce a variety of foods that are eaten by
many animals and may be especially important sources of nutrition during
the winter months. Grasses and herbaceous vegetation provide seeds and
forage both within riparian and wetland areas and along the forest border.
The stream environment provides moving water for many animals to
drink, feed, swim, and reproduce. Water is also available on the moist
vegetation and in wetlands that are often associated with riparian areas.
These areas, both permanent and temporary, are especially important for
amphibians and macro- invertebrates.
Riparian and wetland areas provide a sheltered environment for many
species of animals to feed, rest, and reproduce. Animals use these areas to
seek shelter from extreme weather and to escape predators and human
activity. Riparian and wetland areas may also provide important travel
corridors for some species, and are frequently used as stop -over points for
migratory birds.
Although some evidence of wildlife usage was apparent on site, because
the project areas are within close proximity to recently active mines,
wildlife habitat is minimal. Noise pollution, denuded vegetation, and
anthropogenic activity make these areas less desirable for resident and
migrant wildlife. While a loss of wildlife habitat for stream and wetland -
dependent species may result from construction of the projects, the
proposed mitigation should compensate for any lost functions and values.
9.8 Flood Hazards
It is likely that some tributaries at the Sanford and Brickhaven Mines will
flood occasionally due to natural fluctuations in weather patterns that
increase precipitation. The proposed activities are not expected to
significantly increase or decrease the natural rate of flooding at the site or
downstream.
9.9 Floodplain Values
Based on data from the North Carolina Floodplain Mapping Program,
100 -year floodplains associated with Roberts Creek are located within the
Sanford Mine property (Figure 5a) (FEMA Panels 3710965500J,
43
3710966400J, and 3710965400J, all effective September 6, 2006). The
100 -year floodplains associated with Shaddox Creek and the Cape Fear
River are located within the access corridors for the Brickhaven Mine
(Figure 5b) (FEMA Panels 3710969600J, 37190968700K, 3710968600K,
and 3710969700J, all effective February 2, 2007). The railroad access
corridor at the Brickhaven Mine will include impacts to the 100 -year
floodplain. Green Meadows will apply for a No -Rise Certification
through Chatham County.
9.10 Land Use
The proposed project will be in compliance with local zoning regulations
and ordinances. The project is consistent with surrounding land use and
development.
9.11 Navigation
Jurisdictional streams at the Sanford Mine are Roberts Creek and unnamed
tributaries to Roberts Creek. Roberts Creek is a tributary to Hughes Creek
which is a tributary to Lick Creek. Lick Creek is a tributary to the Cape
Fear River which is navigable -in -fact water in Fayetteville, North
Carolina.
Jurisdictional streams at the Brickhaven Mine are unnamed tributaries to
Shaddox Creek. Shaddox Creek is a tributary to the Haw River which is a
tributary to the Deep River. The Deep River is a tributary to the Cape
Fear River which is navigable -in -fact water in Fayetteville, North
Carolina.
The project will not have direct effects on the Cape Fear River; therefore,
proposed activities are not likely to affect navigation.
9.12 Shore Erosion and Accretion
The project should have minimal effects on erosion and runoff. An erosion
control plan will be implemented as part of the construction plan for the
project. During the construction process, BMPs will be followed. These
BMPs may include the construction of swales, erosion and sediment control
structures, turbidity barriers, and other measures that will prevent sediment
transport off the project site and into other waters. Use of devices such as
silt screens, staked hay bales, temporary grassing, wind rowing of
vegetation, and other mechanisms to prevent turbidity may be employed.
Erosion and Sediment Control Plans; and stormwater management plans
(as required as a part of the Post - Closure Plans) have been submitted for
review and approval as a part of the Structural Fill Permit Applications. A
link to the applications is included in Attachment B.
44
9.13 Recreation
Proposed activities will not increase or decrease waterborne recreation on
site or in the project vicinity. However, removing coal ash from
Riverbend will eliminate any threat to Mountain Island Lake associated
with the presence of the existing coal ash ponds at Riverbend (which are
adjacent to Mountain Island Lake). Mountain Island Lake is used
recreationally by residents in the metro Charlotte region.
9.14 Water Supply and Conservation
The public water supply will not increase or decrease as a result of the
proposed activities. Part II, Section 130A- 309.216(c)(2) of CAMA14
prohibits coal ash within 300 horizontal feet of a private dwelling or well.
Additionally, removing coal ash from Riverbend will eliminate any threat
to Mountain Island Lake associated with the presence of the existing coal
ash ponds at Riverbend. Mountain Island Lake provides 80% of the
drinking water in the metro Charlotte area. As required by CAMA14, the
proposed projects include 50 -foot setbacks from unimpacted streams and
wetlands. These setbacks also satisfied buffer requirements set forth by
DWR for stream channels classified as WS -IV.
9.15 Water Ouality (Stormwater Management)
Stormwater management plans (as required as a part of the Post - Closure
Plans) have been submitted for review and approval as a part of the
Structural Fill Permit Applications. Additional information regarding
stormwater management can be found in the Brickhaven and Sanford
Mine Structural Fill Permit Applications. A link to the applications is
included in Attachment B.
The applicant will be concurrently applying for a NC Division of Water
Resources Water Quality Certification.
9.16 Energy Needs
Activities associated with the proposed project, during construction and at
full operation, are not expected to significantly increase energy demands
beyond the capacity of the local facility. Energy will not be produced as a
result of the proposed activities.
9.17 Safety
The proposed projects will be designed with the maximum possible
considerations for public safety. Operations at the Brickhaven and Sanford
Mines were developed considering the health and safety of the facility's
operating staff. The operating staff is provided with site - specific safety
training prior to operations, and on -site activities are to be conducted
according to the applicable sections of Charah's Health and Safety Plan
which shall be written to comply with all applicable OSHA standards.
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Charah will prepare an Emergency Action Plan to address potential
emergency situations at the sites.
The general public would not have access to the Brickhaven and Sanford
Mines. Security for the site consists of perimeter fencing, gates, berms,
and wooded buffers. Unauthorized vehicle access to the site is prevented
around the property by woodlands, fencing, gates, and stormwater
conveyance features.
The proposed activities will not increase or decrease public safety.
9.18 Food and Fiber Production
The proposed projects will not increase or decrease food and fiber
production.
9.19 Mineral Needs
Clay will continue to be mined at both sites. Clay will be used on site, as
well as made available to the public and industry. The projects fulfill no
other mineral needs.
9.20 Considerations of Property Ownership
The applicant owns the properties proposed for development and has the
inherent right to develop the land in a reasonable and responsible manner,
which includes adhering to all Federal, State, and local regulations.
Property Owner of Record:
Green Meadows, LLC
12601 Plantside Drive
Louisville, KY 40299
9.21 Needs and Welfare of the Public
The project will positively address the needs and welfare of the public by
closing existing ash basins at the Riverbend and Sutton plants; and
disposing of the ash in a safe and beneficial way.
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10.0 SECONDARY AND CUMULATIVE EFFECTS
The proposed projects are located within the Cape Fear River Subbasin 03- 06 -07.
Approximately 69 percent of this subbasin is forested and the total land mass includes
approximately 403 square miles (258,000 acres). The project areas are comprised of
approximately 757 acres (1.2 square miles). All of the land mass included within the
project site accounts for less than 0.3 percent of the land mass of the basin. These
percentages alone, limit significant cumulative effects on the watershed. Past and current
activities within the subbasin include logging/silviculture; agricultural, commercial and
residential development; and road building. Continued and future development of the
watershed is independent of activities proposed at the Sanford and Brickhaven Mines.
Impacts within the project boundaries include mine reclamation and "beneficial use" in the
form of structural fill. Stream and wetland impacts are necessary for development at the
sites. Activities associated with the proposed projects should not result in a significant
impairment of remaining water resources on site or interfere with the productivity and
water quality of the existing aquatic ecosystem.
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11.0 SUMMARY
The proposed projects involve mine reclamation and "beneficial use" in the form of
structural fill. Alternatives have been evaluated and the project "As Proposed" is the least
damaging practical alternative which meets the project purpose. Potential impacts to the
physical and chemical characteristics of the ecosystem, biological characteristics of the
ecosystem, impacts on special aquatic sites, and potential effects on human use
characteristics will be minimal. The project is not contrary to the public interest and will
aid in the continued growth of Chatham and Lee Counties.
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