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HomeMy WebLinkAboutNCG200349_COMPLETE FILE - HISTORICAL_20180803STORMWATER DIVISION CODING SHEET NCG PERMITS PERMIT NO. Iv CC, Z) 00 34y DOC TYPE HISTORICAL FILE ❑ MONITORING REPORTS DOC DATE ❑ �QI �S CJ g � 3 YYYYMMDD I STATE OF NORTH CAROLINA DEPARTMENT OF ENVIRONMENTAL QUALITY DIVISION OF ENERGY, MINERAL, AND LAND RE50URCq&%ECE1VED GENERAL PERMIT NO. NCG200000 AUG 0 3 2018 CERTIFICATE OF COVERAGE No. NCG200349 CENTt-ZAL FILES DINR SECTION STORMWATER DISCHARGES NATIONAL POLLUTANT DISCHARGE ELIMINATION SYSTEM In compliance with the provision of North Carolina General Statute 143-215.1, other lawful standards and regulations promulgated and adopted by the North Carolina Environmental Management Commission, and the Federal Water Pollution Control Act, as amended, OmniSource, LLC is hereby authorized to discharge stormwater from a facility located at: OmniSource, LLC 3415 Glenn Avenue Winston-Salem Forsyth County to receiving waters designated as Brushy Fork in the Yadkin River Basin; in accordance with the effluent limitations, monitoring requirements, and other conditions set forth in Parts 1, 11, Ill, and IV of General Permit No. NCG200000 as attached. This certificate of coverage shall become effective February 2.2015. This Certificate of Coverage shall remain in effect for the duration of the General Permit. Signed this day August 2, 2018. for William E. Vinson, Jr., P. , nterim Director Division of Energy, Mir6ral, and Land Resources By the Authority of the Environmental Management Commission STATE OF NORTH CAROLINA DEPARTMENT OF ENVIRONMENTAL QUALITY DIVISION OF ENERGY, MINERAL, AND LAND RESOURCES GENERAL PERMIT NO. NCG200000 CERTIFICATE OF COVERAGE No. NCG200349 STORMWATER DISCHARGES NATIONAL POLLUTANT DISCHARGE ELIMINATION SYSTEM In compliance with the provision of North Carolina General Statute 143-215.1, other lawful standards and regulations promulgated and adopted by the North Carolina Environmental Management Commission, and the Federal Water Pollution Control Act, as amended, OmniSource, LLC is hereby authorized to discharge stormwater from a facility located at: OmniSource, LLC 3415 Glenn Avenue Winston-Salem Forsyth County to receiving waters designated as Brushy Fork in the Yadkin River Basin; in accordance with the effluent limitations, monitoring requirements, and other conditions set forth in Parts I, II, M, and IV of General Permit No. NCG200000 as attached. This certificate of coverage shall become effective February 2, 2015. This Certificate of Coverage shall remain in effect for the duration of the General Permit. Signed this day August 2, 2018. for WilKam E. Vinson, Jr., P.E',-Interim Director Division of Energy, Mineral, and Land Resources By the Authority of the Environmental Management Commission Corrections Number Name COC Number Organization Name Facility Name Affiliation Type Fax Wrk Phone First Middle Last '/NCG2003S1 J2'01— OmniSource Southeast, LLC Charlotte Facility Environmental Mgr 919.989.3462 919.989.3102 James B. Winegar ✓NCG200353j#___' OmniSource Southeast, LLC Kernersville Facility Environmental Mgr 919.989.3462 919.989,3102 James B Winegar ✓NCG200362 OmniSource Southeast, LLC Raeford Facility Environmental Mgr 919.989.3462 919,989,3102 James B Winegar ,/NCG2003S9 OmniSource Southeast, LLC Lumberton Facility Environmental Mgr 919.989.3462 919.989,3102 James B Winegar f CG20040 OmniSource Southeast, LLC Smithfield Facility Environmental Mgr 919.989.3462 919,989.3102 James B Winegar \/NC(3200366dpL, OmniSource Southeast, LLC Fayetteville Facility Environmental Mgr 919.989.3462 919.989.3102 James B Winegar Missing Facilities CDC Number Organization Name Facility Name Admin Region County Name Regulated Activity Receiving Stream Name Receiving Stream Classification Basin Facility Address Facility City Facility Zip Affiliation Type Fax Number Wrk Phone Number First Name Middle Name Last Name Email NCG200349_✓ VNG200441 ✓ OmniSource Southeast, LLC Winston-Salem Facility Wilmington Facility Winston-Salem Wilmington Forsyth New Hanover Wholesale Trade of Metal Waste and Scrap Stormwater Discharge COC Brushy Fork Cape Fear C SC-Sw Yadkin Cape Fear 3415 Glenn Ave 2830 US Hwy 421 North Winston-Salem Wilmington 27105 29401 Environmental Mgr Environmental Mgr 919.989.3462 919.989,3462 919.989.3102 919.989,3102 James James B B Winegar Winegar jwi n e�¢a r@ om n isou rcese.com �s in- .i'iri ��.�• {� �— G2�a v �LS. Georgoulias, Bethany From: James Winegar <jwinegar@omnisourcese.com> Sent: Thursday, March 05, 2015 1:25 PM To: Georgoulias, Bethany Cc: Bennett, Bradley,- Alexander, Laura Subject: RE: NCG200 will check on the payment of permit fees for both our Wilmington and Winston-Salem facilities (I am assuming that the database may have. an old address and/or contact name that the invoices were mailed to, as I cannot locate a copy of the 2014 invoice for either facility). As for the name change, we originally submitted the forms for a name change on August 5, 2011 and sent a follow-up request the first quarter of 2012, with the COCs being re -issued under OmniSource Southeast, LLC in November of 2012. As I would like to get the database corrected, I can submit yet again for a name change or I can submit a new NOI for each facility. Please let me know the best way of getting this straightened out... James B. Winegar Environmental Manager OmniSource Southeast, LLC (P): 919.989.3102 (C): 919.796.3023 From: Georgoulias, Bethany [mailto:bethan eor oulias ncdenr. ov] Sent: Thursday, March 05, 2015 8:45 AM To: James Winegar Cc: Bennett, Bradley; Alexander, Laura Subject: RE: NCG200 Hi James, The two permits that you did not receive emaiis for have overdue fees. We cannot renew any permits with overdue fees, and that needs to be sorted out with Deborah Reese of our section (deborah.reese@ncdenr.gov or 919-707-9220). However, ALL of these permits have a different owner/operators than OmniSource Southeast, LLC in our database. Did the company submit a Change of Ownership for any of these? Attached is the form that is necessary for that. We will need that form and documentation to make these changes, unless that was submitted already and our database is in error. Please advise. Once the name/ownership changes are processed, and overdue fees are paid, we can issue paper renewal packages for these eight permits. Bethany Bethany Georgoulias, Environmental Engineer NCDENR / Division of Energy, Mineral; and Land Resources Georgoulias, Bethany From: James Winegar <jwinegar@omnisourcese.com> Sent: Friday, March 06, 2015 3:16 PM To: Georgoulias, Bethany Cc: Alexander, Laura Subject: RE: NCG200 Rich Brady, Executive VP OmniSource Southeast, LLC PO Box 578 Lyman, SC 29365 864.439.7039 richbradye?a OMisourcese.com N James B. Winegar Environmental Manager OmniSource Southeast, LLC (P): 919.989.3102 (C): 919,796.3023 From: Georgoulias, Bethany[mailto:bethany.georgoulias@ncdenr.gov] Sent: Friday, March 06, 2015 2:14 PM To: James Winegar Cc: Alexander, Laura Subject: RE: NCG200 James, Could you also provide Rich's details? Address Work Number Fax Number Email address Then we can make sure that is also correct when we make the fixes in the database. Bethanv Georgoidirrs, Envii-onnteill[d Engineer NCDENR / Division of Energy, Mineral, and Land Resources Stormwater Permitting Program 1612 Mail Service Center. Raleigh, NC 27699-1612 512 N. Salisbury Street, Raleigh, NC 27604 919 / 807-6372 (phone), 919 / 807-6494 (fax) Website: http://I)ortal.ncdenr.org/web/Ir/stormwater E-mail correspondence to and front this address nrav be subject to the North Carolina Public Records law and may be disclosed to !Gird parties. 1 Public Works Department StormwaterlEtosion and Sedimentation Control Program City of W=00.541= P.O. Box 2511 vl.u.)-Salan. NC 27102 Csr7LiA 311 (336.727.5000) Fix 336,749.3173 H4VUUrVrMBMW July 15, 2©14 Mr. Matthew Evans Shipping & Receiving Manager OmniSource Southeast P.O Box 1313 Winston Salem, N.0 27102 Dear Mr. Evans: I The Stormwater Division of the City of Winston-Salem would like!to thank you for your time and professional courtesy regarding the June 6, 2014 inspection of OmniSource Southeast. As per your request, a copy of the completed surface water inspection form has been enclosed to you. Part 4 of this report (Required Actions to be completed by Facility) contains Annotations # 1427 that OmniSource Southeast must complete. Please provide documentation that verifies OmniSource Southeast successful completion of the corrective measures to me by October 16, 2014. The Stormwater Division reserves the right to enter and inspect OrAni5ource Southeast as often as necessary to determine compliance with permit requirements of NCG200349. i Thank you for your continued support and implementation of the City of Winston- Salem's Stormwater Program. [f you have any questions, please feel free to contact me at (336) 747-6964. 1 Sincerely, Ladonta Clark Stormwater Inspector Phone: 336.727.6964 Cell: 336.416.2403 Fax: 336,748.3173 Ciq C W=ffi \Mayor Allen Joi %= V'w4n H. Burk-, Mzrw Pro Ta pom N*nhc r Vird. Denua D. AA, Ncrdhv7ard-. Doe Eesre. Soudrnx a v Rnt eK G Clvi his Wa+d: Call or33fi 727 $000 �'�.SmthV&d;V"daNW b4N.`J.�'�"LM� w:,a Ja r r�r.s�, .�vc„ ag,M„wC 1mD.G dy citylink@cityofws.org I V1J 1� Stormwater/Erosion Control Division Surface Water Inspection for Industrial Sites General Information A) Official Company Name: OmniSource Southeast B) Physical Address: 3415 N. Glenn Ave C) Telephone Number: (336)725-8333 Office D) Mailing Address, if different from above address: P.O Box 1313 Winston Salem, N.0 127102 E) Authorized contacts to represent company in environmental regulatory issues: Primary contact: James B. Winegar Title: Environmental Manager i Contact number(s): Office (919) 989-3102 Cell (919) 796-3023 Email address: jwinegar@omnisourcese.com Secondary contact: Matt Evans Title: Yard Manager Contact number(s): Office (336)725-8333 Email address: maevaus@omnisourcese.coni F) SIC Code Number of business: 5093 G) NC Stormwater NPDES Permit Number: NCG: 200349 t Permit Category: Scrap Metal Processing & Recycling H) Any other control authority permit(s) (air quality control, wastewater, hazardous waste) & number(s): NIA 1) Brief description of industrial activities that occur on -site: Receiving[Unloading, Sorting & Sizing, Crushing, Dis-Assembly, and Baling of Scrap Metal Materials for Wholesale Trade. J) Ultimate Receiving Waters: Brushy Fork TMDL stream ®Yes ❑No 1. Best Management Practices a. Li Part 1 - Stormwater Controls st the nonstructural controls emDlovea by the iactlity: 1. Used empty 55 gallon drums that may contain residual fluids are stored under a shed near the retail building. 2. All appliances received on -site are purged of compressor & refrigeration fluids that are stored in sealed containers for re -cycling. 3. Staffs initial inspection of materials received results in appropriate distribution & storage of materials, either inside buildings if pollution causing materials may be present, or out in the open yard if no pollution causing materials are present. b. Are the BMPs reasonable & appropriate for the facility? ®Yes ❑No Immediately clean up oil leaks on the trudk scale and increase cleaning frequency to daily, as per your Good Housekeeping Program requirements. c. Are BWs installed correctly, maintained, and effective operating condition? ®Yes l lNo Comments: Increase the frequency of your outdoor clean-up schedule to weekly, for preventing pollutant exposure to the open environment, for example fluid spills from scrap bins; arid, oils, fluids & greases from vehicles and outdoor processing equipment. I 2. Provide a brief description of other controls that managelpreventlmihimize stormwater runoff (e.g., erosion and sediment controls, inlet protection/control at storm drains, diversion structures): A shed has been installed over the fuel tank to help prevent fuel spills mixing with stormwater runoff. T�e discharge from SDO #5 passes through small settling pools and straw bale:baffles to help reduce suspended solids and oil & grease concentrations in this stormwater discharge. The facility has also utilized storm drain filter inserts in several surface inlets to help reduce stormwater pollution. Part 2 — Miscellaneous t I . Any evidence of discharge to receiving waters/MS4? (e.g_: stormwater runoff, dry weather discharge, co - mingling of process wastewater): ®Yes ©No All outfalls discharge to an unnamed tributary to Brushy Fork Creek. 2) Do the stormwater outfalls on -site correspond with those listed on the site map and in OY Comments: GJ "1VU Please add a description of the physical location, .the latitude & longitude, and the potential pollutants that could be discharged from each outfall .on site map as required by your permit. ,h 3) Summary of Stormwater Discharge Outfalls SDO Identification Potential Pollutants that could be discharged Physical Location Latitude and Longitude l ? I 2 ? ? i i ? 3 ? ? ? 4 ? ? i ? s ? ? ? Site Overview 'Part 3 — SPPP Review (can be completed in office} Yes No ; Notes Is there a SPPP? ✓ Not updated since 2011. Please Update SPPP Does SPPP include a certification statement by the responsible ✓ Not updated since 2012. Please .corporate officer? Update certification statement. Does the general map depict the facility's location on a USGS ✓ Need to provide the receiving quad map (or equivalent map) with receiving waters (or MS4) waters as Brushy Pork, which is listed? a TMDL stream Identification of impaired waters or watershed (if applicable)? ✓ include in'sitemap Narrative Description of these Industrial Activities: Storage Practices ✓ Unloading/Loading Activities ✓ Outdoor Processes Particulate Generating/Control Processes 'r j Waste Disposal Does site map denote drainage items: flow direction, boundaries, Does not provide % impervious % impervious, and structures? Also includes SDOs, industrial ✓ in drainage areas, and there are activity areas, and site topography? no boundaries for industrial activity,areas A list of major spills that have occurred within the past three ✓ No major4spills within the ears with corrective actions to prevent future -spills)? past three ears A signed, annual certification that the facility has been tested for non- ✓ ' stormwater discharges from the site? Comments: NOTE: Please update the City of Winston Salem, Stormwater Division's contact information to OmniSource SOUTHEAST Spill Notification List. The contact for spill notification is: Mr. Keith Huff, Stormwater Director (336) 747-6962 — office, (336) 406-3332 — cell. Mr. Huff's email address is keithhI@cityofws.org for providing written notification. I Stormwater Management Strategy Yes No ! Notes Does SPPP incorporate the nine baseline controls: ✓ , Feasibility Study (technical & economic review to minimize pollutant exposure) ✓ Secondary Containment (table summary of tanks, stored materials, release records) Start maintaining release records ✓ for each release event. BMP Summary (listing of site structural/nonstructural practices) ✓ ✓ Update and revise frequency SPRP & Procedures (identified, responsible personnel w/ signatures & dated) ✓ Increase frequency to weekly PM & GH (inspection of material handling areas & regular cleaning schedules) Facility Inspections (biannual inspections of facility and all stormwater systems) No 2013 Training records. Keep Employee Training (annual basis for staff who perform SRP and PM functions) ✓ consistent, with providing required employee training_ Responsible Party (specific positions) -developing, implementing, & revising SPPP) ✓ Update and revise SPPP annual certification by responsible party Amendment & Annual Update (of major spills, nonsw flows, aws, sampling data Add the new metal turnings storage building w/ oil -grease ✓ separator to amendment and annual update of SPPP Does SPPP contain completed routine inspection reports/records regarding reportable implementation of the nine baseline controls [I— No 2013 Training records and no Secondary! Containment release i.e. SPPP Im lementation ? records were available Analytical Monitoring Yes No � Notes Are samples collected within 30 minutes of measurable rain events Starting next sampling event, and at least 72 hours since the last storm event? ✓ please include the start and end time of each rain event. Are sampling events 60 days apart? (EXCEPTION: Tier 2 & 3 responses) ✓ j Is analytical monitoring complete (including schedule) for each No testing for pH shown in SDO? (EXCEPTION: ROS) records provided. No ✓ monitoring in 2012 (no qualifying storm events). Need to maintain an accurate log of on, site storm/rain events as part of records. Only 1 simpling event in2013. Had exceedences for O&G @ Any exceedences of pollutant parameters when compared against the 2-of 5 outfalls, for COD @ 4 of 5 outfalls, for TSS @ 1 of 5 permit benchmark values? ✓ outfalls, for cadium @ 3 of 5 outfalls and for copper, lead, & zinc at 5 'of 5 outfalls. Facility is in the process of setting up an ecoStorm Plus hydrodynamic separator & filter @ outfall #5 on a trial Has Facility implemented appropriate, selected actions to reduce basis to determine pollutant concentrations, in response to benchmark exceedences (if effectiveness of removing TSS applicable)? ✓ & heavy Imetals from the discharge. This system is being considered for a new structural BMP at all SDO discharges to reduce pollutant concentrations. Qualitative Monitoring Yes No ! Notes Is qualitative monitoring being performed during measurable storm ✓ events? i Is qualitative monitoring complete (including schedule) for each ✓ No monitoring in 2012 due to SDO? no qualifying storm events. Need to maintain an accurate storm/rain event to Are monitoring events 60 days apart? (EXCEPTION: Tier 2 & 3 responses) ✓ Any observable, excessive amounts of pollutant indicators in stormwater discharge at SDOs? Part 4 —Required Actions to be completed by_Facility: 1. Please place locks on all discharge valves at the secondary containment, to help efisure no spills occur. 2. Immediately cleanup oil leaks on truck scale, and increase cleaning for truck scale to daily. 3. Immediately clean up oil leaks on the leaking air compressor at left side of steel shop building. 4. Immediately clean up debris on all storm drain grates and keep them clear of any debris. 5. Increase the frequency of your outdoor inspection & clean-up schedule to weekly for reducing pollutant exposure to the open environment; for example, fluid spills from intake sorting & scrap bins, and spilled oils, fluids & grease from vehicles and outdoor processing equipment.' 6. Place a lid on all outside buckets with liquids in them, to prevent stormwater pollution. If a bucket of liquid is no longer in use, please dispose of it as per your general permit. 7. Repair or replace the secondary containment for portable tank at the steel shop, in. order to prevent a spill. S. Immediately & regularly replace oil saturated sand with new clean sand used for ail & grease absorption at sorting & scrap bins, and increase cleaning for sorting bins near the retail building to weekly. Properly dispose of all oil saturated sand. 9. Replace and/or repair all structural BMP measures at outfall number one, in orderto reduce petroleum concentrations in the stormwater discharge. 10. Rebuild, repair, and clean up outfall number two, in order to prevent stormwater pollution. 11. Rebuild, repair, and clean up outfall number four, in order to be able to collect an accurate sample. 12. Immediately clean up hydraulic oil leak, to help ensure no pollution of stormwatei. 13. Immediately & properly dispose of over saturated oil absorbent at baling equipment, and maintain proper good housekeeping measures for timely removal of contaminated absorbent materials. 14. Dispose of excess fluid in the bottom of the secondary containment at the shop, to'ensure it doesn't overflow. i 18. Maintain employee training at least annually for facility personnel with responsibilities for: spill response and cleanup, preventative maintenance activities, and for any of the facility's operations that have the potential to contaminate stormwater runoff. 19. Please update and revise the Responsible Corporate Officer & Signature on your annual Certification Statement of the implementation of your SPPP. 20. Please update the City of Winston Salem, Stormwater Division's contact information to OmniSource SOUTHEAST's Spill Notification List. 21. Please add the physical location description, latitude, longitude, and potential pollutants that could be discharged at each outfall, the % of impervious surface of each drainage area, delineation of industrial activity areas, and the industrial activities occurring in each drainage area on site map as required by your permit. 22. Due to limited analytical monitoring events in the past four years, and the sampling results during this time frame consistently indicating benchmark exceedences of pollutants, please contact NC DWQ as soon as possible to insure the appropriate Tier Response is being utilized for analytical monitoring of stormwater discharges from the facility. 23. In the future, include required proper pH testing as a part of your analytical monitoring activities as required by your permit. 24. Starting next sampling event, please include the start and end time of each rain event, rainfall total during the event, and maintain an accurate ongoing log of all rain events. 25. Please add the new Metal Turnings Building with associated Oil & Sand Separator as an amendment to your current SPPP and next annual update to the SPPP. 26. In future, maintain the secondary containment release records for each release event the in the SPPP. 27. When the SPPP has been updated with all required action Items for 2014, please send a copy to me digitally or through the mail. Picture#1 Release valves on secondary containment. Please place locks on all valves at the secondary containment, to ensure no spills occur. Picture#2 Truck scale with visible traces of oil spots. Immediately clean up oil leaks on truck scale, and increase cleaning for truck scale to daily. r - '✓�- Picture#3 Leaking air compressor on the side building of steel shop. Immediately clean up oil leaks on the leaking air compressor. Picture44 Storm drain grate with debris on top. Immediately clean up debris on all storm drain gates and keep them clear of any debris. Picture#5 Bucket of oil exposed with no lid. Place a lid on all buckets with liquids in them, to prevent stormwater pollution. If a bucket of liquid is no longer in use, please dispose of it. Picture#6 Oil tank with broken secondary containment. Repair or replace this secondary containment in order to prevent a spill. Picture#7 Over used sand for BMP at retail building. Immediately replace old sand with new sand at scrap bins, and increase cleaning for scrap bins near the retail building to weekly. Sri' w�i Picture#8 Outfall # 1 Replace and repair all BMP measures at outfall number one, in order to reduce stormwater pollution of petroleum. '��' • S tV r ' �� 1 n .!''x '1 ti�+ may. �•, v/+ �o —h.. 16 Picture# 11 Immediately clean up hydraulic oil leak, to ensure no stormwater pollution. it Picture412 over used oil absorbent. Immediately dispose of over used oil absorbent, in order to keep good housekeeping measures. Picture#13 Secondary containment for shop fluids. Dispose of fluid in the bottom of the secondary containment at the shop, to ensure it doesn't overflow. Company Representative(s) that participated in inspection: James B. Winegar, Jeff Bradley, and Matthew Evans Title(s): Environmental Manager, Yard Manager, and Shipping & Receiving Manager Start of Inspection: 9:00 am Completion of inspection: 1:00 pm Date: 6/6/2014 Signature of Stormwater Inspector: I Compliance Inspection Report Permit: NCG200349 Effective: 01/01/10 Expiration: 12131114 Owner: Atlantic Scrap & Processing LLC SOC: Effective: Expiration: Facility: Atlantic Scrap&Processing, LLC -W-Salem County: Forsyth 3415 Glenn Ave Region: Winston-Salem Winston Salem NC 27105 Contact Person: William R Perry Title; Phone: 336-996-2241 Directions to Facillty: System Classifications. - Primary ORC: Secondary ORC(s): On -Site Representative(s): Related Permits: Inspection Date.- 06/0612014 Entry Time: 09.OQFlM Primary Inspector: Aana Taylor -Smith Secondary Inspector(s): Certification: Phone: Exit Time: 01=PM Phone: 336-771-5000 Reason for Inspection: Routine Inspection Type: Compliance Evaluation Permit Inspection Type: Wholesale Trade of Metal Waste and Scrap Slormwater Discharge COC Facility Status: Q Compliant Not Compliant Question Areas: Storm Water (See attachment summary) Page: 1 Permit: NCG200349 Owner -Facility; Atlantic Scrap & P(ccessing LLC Inspection Date: 0610612014 Inspection Type : Compliance Evaluation Reason for Visit: Routine Inspection Summary: Refer to local program inspection letter on file). DEMLR WSRO will follow up. page: 2 Permil: NCG200349 owner - Facility:Atlaniic Scrap & Processing LLC inspection Date: 0610612014 Inspection Type : Compliance Evaluation Reason for Visit: Routine Stormwater Pollution Prevention Plan Yes No NA NE Does the site have a Stormwater Pollution Prevention Plan? M ❑ ❑ ❑ # Does the Plan include a General Location (USGS) map? ■ ❑ ❑ ❑ # Does the Plan include a 'Narrative Description of Practices'? ❑ ❑ ❑ # Does the Plan include a detailed site map including outfall locations and drainage areas? ❑ S ❑ ❑ # Does the Plan include a list of significant spills occurring during the past 3 years? 0 ❑ ❑ ❑ # Has the facility evaluated feasible alternatives to current practices? M ❑ ❑ ❑ # Does the facility provide all necessary secondary containment? ❑ M ❑ ❑ # Does the Plan include a BMP surrmary? ■ ❑ ❑ ❑ # Does the Plan include a Spill Prevention and Response Plan (SPRP)? ■ ❑ ❑ ❑ # Does the Plan include a Preventative Maintenance and Good Housekeeping Plan? M ❑ ❑ ❑ # Does the facility provide and document Employee Training? ❑ M ❑ ❑ # Does the Plan include a list of Responsible Party(s)? ■ ❑ ❑ ❑ # Is the Plan reviewed and updated annually? ❑ M ❑ ❑ # Does the Plan include a Stormwater Facility Inspection Program? ■ ❑ ❑ ❑ Has the Stormwater Pollution Prevention Plan been implemented? ❑ IN ❑ ❑ Comment: Refer to local program inspection letter (in file). Significant updates must be completed for SPPP. Site map is insufficient and secondary containment is in deed of repair._Employee_ training must be conducted on annual basis and recorded. Site needs maintenance/housekeeping, indicatina SPPP has not been implemented. Qualitative Monitoring Yes No NA NE Has the facility conducted its Qualitative Monitoring semi-annually? 0 ❑ ❑ ❑ Comment: Refer to local pro -gram inspection letter in file Analytical Monitoring Yes No NA NE Has the facility conducted its Analytical monitoring? ❑ ■ Cl ❑ # Has the facility conducted its Analytical monitoring from Vehicle Maintenance areas? ❑ ❑ 0 ❑ Comment: Refer to local program inspection letter (in file). Not enough AM events and pH left out of testing. Permit and Outfalls Yes No NA NE # Is a copy of the Permit and the Certificate of Coverage available at the site? ® ❑ ❑ ❑ # Were atl outfalls observed during the inspection? ® ❑ ❑ ❑ # It the facility has representative outfall status, is it properly documented by the Division? ❑ ❑ 0 ❑ # Has the facility evaluated all illicit (non stormwater) discharges? M ❑ ❑ ❑ Comment: Refer to local program inspection letter (in file). Outfalls need significant upkeep/repair. Page: 3 City of Winston-Salem Stormwater Division Surface Water Inspection for industrial Sites Part 1 �- General information A. Official Company Name: OmniSource Southeast B. Physical Address: 3415 N. Glenn Avenue, Winston-Salem, NC 27105 C. Telephone Number: 336-725-8333 D. Mailing Address, If different from above address! Same E. Primary contact who is authorized to represent company in environmental regulatory issues: a. Name: James Winegar b. Title: Environment Consultant c'lContact Number(s): 919-796-3023, Cell: 919-796-3023 j,"t nail: JWinegar@omniSoueceSE.com s y� F. SIC,CQde number of business: 5015, 5093 n dt! G. jNC'Stormwater NPDES Permit Number NCG0200349 � t.1 i1 �c st. �,r -f,.Err1 F! ,. a Facility -Type The scrap -metal -recycling industry. Scrap Fmetal`generatedas a by - a 3. �1 F q! `:" � is @t n 7 g al ill I Snp-r6ddctof industriallmanofacturmg, construction.andidemolition, and itheidisposal -of:obsolete metal produ`cts:i5 recycled.into new rawmateriais�for the production of._primary metals such as steel, copper, and aluminum - -IN . H: Any other control authority Permit(s) (air quality control, wastewater, hazardou"s•inwaste)e f.: Brief, description bif- ndustrial activities that occur on -site: Metals recycling ,,Brief ceiviing.Wat [) / MS4: Brushy Fork Creek, City of Winston-Salem MS4 1. Best management Practices A. List the non/structural controls employed by the facility: 1.Secondary Containment for the AST Above ground oil/water separator. Each load is inspected to ensure that no material enters the facility that is not allowed. B. Are the BMPs reasonable & appropriate for the facility: xxxx Yes No C. Are BMPs installed correctly, maintained, and effective operation condition: xxxx Yes No 2. Provide a brief description of other controls that manage/prevent/minimize stormwater runoff (e. g., erosion and sediment controls, inlet protection/control at storm drains, diversion structures): I. Drop inlet sleeves for debris. 2.Sediment structure at outfall # 3 3.Oil Water Separator 1. Any evidence of discharge to receiving waters/M54? (e.g., stormwater runoff, dry weather discharge, co -mingling of process wastewater): xxx Yes No i. Comments: outfall #1 had water exiting facility. 2. Do the stormwateroutfalls on -site correspond with those listed on the site map and in SWPPP? Yes No xxx N/A i. Comments: no latitude and longitude for the outfalls. i P 4Part`3-aSWPPP'ReView (can be completedinoffice)11-41411111 F y n .r u Y • u v v ai u ., ti r r i. si �. d Ir —Lei Gene ra I-- 1 1s there-a�SWPPP?= Yesl (i No d ...� . 2) Does SWPPP_ ideritffy',ayspecific position(s) for responsible party purposes-(e.g.overalf coordination, development, im lementatiori & fevisi n Yes No 3 Does SWPPP designate facility personnel responsible for g Yp P implementing SRP? Yes No 4 Does SWPPP include a certification statement? Yles No No training records where 5) Are employee training records regarding stormwater pollution available for prevention topics included in SWPPP? Yes No review Comments: Training records where keep with the FIR department Site MaD NOTES 1 Is there a site map? jTes No 2 Drainage patterns/outfalls s No 3) Identification of potential pollutants likely to be discharged from each drainage area? Yes No Potential pollutants which were likely, was not noted 4 Narrative description and locations of check if resent): 1. Storage practices 2. Unloading/Loading activities XX i 3. Outdoorprocesses XX 4. Particulate generating/control processes XX 5. Waste Disposal 5 Name of receiving waters or MS4's listed? Yes No MS4 Not listed 6 Locations of sign icant materials ex ose'd'to stormwateirk?� '° „Yes, i i). i' 1 � 1 9, W. V , 8. 9 9 V'V 7) Locations and,descriptions of major=spills-occurring-within the 3previous years (w/•'corr.`ective actions',to �f�ventfuture s`iEEs ?�` � M. d. k'l �. � rYesj F I V k...� ` 7tNo �. � C a q. U IN(YjsFill"s,wliere listed Storm w,a:Corttrolsav] Cal �IL�j Lf +-: lI f ENOTES 1) Does,the_S,WPPP'describe the non-structural controls tliat:wili be used toprevent/reduce discharge of pollutants 1 I sior/mwaterlunofF? Yer s No 2) Does the SWR_, R describe the structural controls that will be used to prevent/reduce discharge of pollutants in stormwater runoff? Yes No 3) Does the SWPPP describe other controls that will be used to prevent/reduce off -site tracking or blowing of sediment, dust, and raw, final, or waste products, or other solid materials and floatingdebris? Yes No 4) Does the SWPPP incorporate the 8 baseline controls (good housekeeping, BMP summary, feasibility study, PM, SRP procedures, facility inspections, and comprehensive site evaluations, employee training, secondary containment, and sediment control? Yes No 5) Does the SWPPP describe the pollutant or activity to be controlled by BMPs and assessed the need of Pollutants where not listed in implementation through data collected? Yes No SWPPP Non-stormwater Discharges NOTES 1) Certification that the facility has been tested for non- stormwater discharges from the site? Yes No 2) Description of testing method, drainage points observed results, date, and signature? I No Monitoring NOTES 1) Are samples collected within 30 minutes of measurable weather events occurring 72 hours after No previous measurable weather event? 2) Were samples collected and preserved in accordance with 40 CFR 136? I , . ,� YetYet s No 3 Was ro enchain -of custod pro eclures foliowed'?t � -- Yes; r-No7�- � . �, ombhitorin fj�_J�t�S^ f � ...Jr FAT` 1 4 Was ana! ical•and: ua(itative com lete? Yes. Na 5) Any ex eedences'of-poiluta t parameters in regards tl. t4 to ben chmark -values?ram", -1 YetYet s No Partg4 Required Actions to he;completed,tiyFacility� 1. Update SWPPP to reflect current permit requirements (i.e. feasibility studies, training records). a. Conduct a Feasibility Study for loading and unloading activities as well reflect SOP for a rain event and what materials cannot be loaded or unloaded in such a rain event. b. Updated site plan that shows potential pollutants and a description of what are the expected pollutants within your site_ c. Conduct a Feasibility Study for sheet flow within the scrap yard area to indicate what pollutants can enter the stormwater conveyance system. d. Conduct a Feasibility Study for catchment basins to ensure that items such as but not limited to metal shavings does not leave the site. e. Conduct Training and document training in your SWPPP. 2. Notate Latitude and Longitude of all outfalls on site plan 3. Clean up the metal shaving scrap area to insuring that metal shavings do not come into contact with storm water. 4. Replace damaged dumpster and ensure that they have lids and/or drain plug. 5. Provide a copy of your SWPPP after all updates are completed 6. Provide a copy of your sampling to the Stormwater Division after each sampling event. The City of Winston-Salem Stormwater Division is requiring that Items # 1-5 be completed on or before May 27, 2011 and Item # 6 after each rain event. OmniSource shall keep the Stormwater Division updated or milestones and activities completed in its progression to comply with these required actions. The Stormwater Division may conduct follow-up inspections in order to ensure completion of mandated activities. Educational Resources: 1, NC Stormwater Manual for Industrial Users: . ,http://h2o.enr.state.nc.us/su/storm water.html. 15N. http.-//portal.ncdenr.org/web/.wq/ws/su/bmp-manual , ' (b Company R6 presentative (s) that participated in inspection name and title(s): Scott McDaniel, Regional Manager; James Winegar, Environmental Contractor° a.a4 r � e l\NStattof Inspecti6m.413:00 hrs LU re�,:l' ..,-. Jam.-._.. O 4 4 C6mpletioi.of Inspect��n:-'15:00 hrs Date of inspection:;4/19%201.1 Signature,,'of Sto rAnspector and title: William D. Baugher, Stormwater Inspector Permit: NCG200349 SOC: County: Forsyth Region: Winston-Salem Compliance Inspection Report Effective: 01/01/10 Expiration: 12/31/14 Owner: Atlantic Scrap & Processing LLC Effective: Expiration: Facility: Atlantic Scrap&Processing, LLC -W-Salem 3415 Glenn Ave Contact Person: William R Perry Directions to Facility: System Classifications: Primary ORC: Secondary ORC(s): On -Site Representative(s): Related Permits: Winston Salem NC 27105 Title: Phone: 336-996-2241 Certification: Phone: Inspection Date: 04/19/2011 Entry e: 01:00 PM Exit Time: 03:00 PM Primary Inspector: Ron Boone d,2lZ$/Z�rt Phone: 336-771-4967 Secondary Inspector(s): Reason for Inspection: Routine Inspection Type: Compliance Evaluation Permit inspection Type: Wholesale Trade of Metal Waste and Scrap Stormwater Discharge COC Facility Status: ❑ Compliant i Not Compliant Question Areas: 0 Storm Water (See attachment summary) Page: 1 Permit. NCG200349 Owner - Facility: Atlantic Scrap & Processing LLC Inspection Date: 0411912011 Inspection Type: Compliance Evaluation Reason for Visit: Routine Inspection Summary: Inspection actually conducted by City of WS Stormwater Inspector Bill Baugher. Refer to his attached inspection summary letter. Page: 2 Permit: NCG200349 Owner - Facility: Atlantic Scrap & Processing I_LC Inspection Date: 04/19/2011 Inspection Type: Compliance Evaluation Reason for Visit: Routine Stormwater Pollution Prevention Plan Yes No NA NE Does the site have a Stormwater Pollution Prevention Plan? ■ ❑ 0 0 # Does the Plan include a General Location (USGS) map? n n n ■ # Does the Plan include a "Narrative Description of Practices"? e n Q n # Does the Plan include a detailed site map including outfall locations and drainage areas? ■ 0 Q 0 # Does the Plan include a list of significant spills occurring during the past 3 years? n ■ n n # Has the facility evaluated feasible alternatives to current practices? n ■ n n # Does the facility provide all necessary secondary containment? n n n ■ # Does the Plan include a BMP summary? ■ n ❑ n # Does the Plan include a Spill Prevention and Response Plan (SPRP)? e n n n # Does the Plan include a Preventative Maintenance and Good Housekeeping Plan? Cl ■ ❑ Q # Does the facility provide and document Employee Training? ❑ ■ Cl Cl # Does the Plan include a list of Responsible Party(s)? ❑ S n n # Is the Plan reviewed and updated annually? ❑ ❑ Q ■ # Does the Plan include a Stormwater Facility Inspection Program? n ■ Cl 0 Has the Stormwater Pollution Prevention Plan been implemented? Q ■ 0 0 Comment: Inspection actually conducted by City of WS Stormwater Inspector Bill Baugher. Refer to his attached inspection summary letter. Qualitative Monitoring Yes No NA NE Has the facility conducted its Qualitative Monitoring semi-annually? ■ ❑ Q 0 Comment: Inspection actually conducted by City of WS Stormwater Inspector Bill Baugher. Refer to his attached inspection summary letter. Analytical Monitoring Yes No NA NE Has the facility conducted its Analytical monitoring? ■ n n n # Has the facility conducted its Analytical monitoring from Vehicle Maintenance areas? ■ fl Q it Comment: Inspection actually conducted by City of WS Stormwater Inspector Bill Baugher. Refer to his attached inspection summary fetter. Permit and Outfalls Yes No NA NE # Is a copy of the Permit and the Certificate of Coverage available at the site? 0 fl Q ■ # Were all outfalls observed during the inspection? n n n ■ # If the facility has representative outfall status, is it properly documented by the Division? n n ■ n # Has the facility evaluated all illicit (non Stormwater) discharges? ■ n n n Page: 3 Permit: NCG200349 Owner - Facility: Atlantic Scrap & Processing LLC Inspection Date: 04/19/2011 Inspection Type: Compliance Evaluation Reason for Visit: Routine Comment: Inspection actually conducted by City of WS Stormwater Inspector Bill Baugher. Refer to his attached inspection summary letter. Page: 4 r- Atlantic Scrap and Processing LLC P.O. Box 1313 - Winston-Salem, NC - 27102 USA July 19, 2005 North Carolina Division of Water Quality Water Quality Section Stormwater and General Permits Unit 1617 Main Service Center Raleigh, North Carolina 27699-1617 Subject: Representative Outfall Status Atlantic Scrap & Processing, LL,C 3415 Glenn Avenue Winston-Salem, North Carolina General Permit No, NCG200000 Permit No. NCG200349 To Whont It May Concern: Atlantic Scrap & Processing, 1..LC is requesting Representative Outfall Status for Outfall 001 (representative of out€ills 002 and 005) and for Outfall 003 (representative of outfall 004) at our Winston-Salem facility due to similarities of the industrial activities that have the potential to impact storm water quality at those outfalls. Pursuant to the General Permit, we will conduct Annual Analytical Monitoring on Outfalls 001 and 003, as being representative for those inclusive outfalls- The site plan indicating the outfall locations, the drainage patterns and the industrial activities is attached. We appreciate your attention to this request.. If you have any questions or require additional information, please contact Mr. Mike Brenner- at (336) 725-8333.. Sincerely, cq'� Mr. Mike Brenner General Manager Attachment: Site Plan PROCESSING FACILITIES Kernersville, NC (Corporate) Winston-Salem, NC Phone 336-996-2350 Fax 336-996-0493 Phone 336-725-8333 Fax 336-725-2458 JUL 2 1 2005 DENR - WATER WoUarKIa & Stormwater Branch Charlotte, NC Smithfield, NC Phone 704-375-5937 Fax 704-342-3658 Phone 919-989-3102 Fax 919-989-3462 i « , Atlantic Scrap and Processing LLC P.O. Box 1313 - Winston-Salem, NC • 27102 USA NON -STORM WATER DISCHARGE CERTIFICATION Atlantic Scrap & Processing, LLC Winston-Salem, North Carolina ECS, Ltd. Project NO. G-5698Q The following evaluation is provided as demonstration that the facility does not have unpermitted non - storm water, discharges including, but not limited to, the five stormwater outfalls: I.. There are no floor drains inside the facility buildings. 2. Residual fluids are collected and properly disposed. 3. The facility has no equipment or truck cleaning operations with outside discharges. The wash bay is connected to the sanitary sewer. 4, All sanitary discharges are to the public sanitary sewer system. 5. This evaluation is based on the personal knowledge of facility personnel. No other evaluative approaches were utilized or deemed necessary. I certify under penalty of law that this document and all attachments were prepared under - my direction or supervision in accordance with a system designed to assure that qualified personnel properly gather and evaluate the information submitted. Based on my inquiry of the person or persons who manage the system, or- those persons directly responsible for gathcring the information, the information submitted is to the best of my knowledge and belief, true, accurate and complete. I am aware that there are significant penalties for submitting false information, including the possibility of fine and imprisonment for knowing violations. PROCESSING FACILITIES Kernersville, NC (Corporate) Winston-Salem, NC William Perry, Phone336-996-2350 Fax 336-996-0493 Phone336-725-8333 Fax 336-725-2458 ident I-)-Iq_0S Date Charlotte, NC Smithfield, NG 7 ir_ I uws tom' too Phone 70 Fax 704-342-3658 Phone 919-989-3102 Fax 919-989-3462