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HomeMy WebLinkAboutWQ0002702_Regional Office Historical File Pre 2018 (30)SUSTAINABLE STRATEGIES FOR GLOBAL LEADERS rrp J rn ll January 26, 2010 Charlotte V. Jesnick, Head North Carolina Department of Environment and Natural Resources Division of Waste Management Inactive Hazardous Sites Branch Superfund Section 1646 Mail Service Center Raleigh, North Carolina 27699-1646 JAN 2 8 2010 Reference: Inclusion of Alchem, Inc. on the December 31, 2009 Inactive Hazardous Waste Site Priority List Rockwell, Rowan County, North Carolina Groundwater Incident No.: 200502451 Delta Project No.: 5EO805096P ® E L T AA Dear Ms. Jesnick: am<,b« I, Xinoge�—,ce On behalf of Alchem, Inc. (Alchem), Delta Consultants has prepared this letter regarding Alchem's inclusion on the December 31, 2009 State Inactive Hazardous Waste Site Priority List. Alchem requests that the subject site be removed from the list based on the following facts presented below. Alchem manufactures aluminum sulfate, iron sulfate, calcium hydroxide, and manganese hydroxide products for sale to private industry and municipalities for use predominantly in wastewater treatment operations. The subject site currently operates under two permits issued by the North Carolina Department of Environment and Natural Resources (NCDENR), Division of Water Quality (DWQ) including a Recycle System Permit (WQ0002702) and a Surface Disposal of Residual Solids Permit (WQ0016338). Current groundwater assessment at the site has been directed by Ms. Peggy Finley of the DWQ, Aquifer Protection Section (APS), Mooresville Regional Office as detailed in correspondence to Alchem dated February 5, 2008. Since contamination identified at the site is represented by non -hazardous pollutants (pH and sulfate), the DWQ, APS continues to regulate this site and has retained jurisdiction as evidenced by correspondence issued to Alchem by the DWQ, APS dated December 29, 2009 (two years and ten months after the February 2007 reorganization of the NCDENR). The Alchem site has been issued an incident number by the DWQ, APS (No. 200502451) and groundwater impact at the site is currently being defined under oversight by this division. The DWQ and its predecessors have been regulating this site and incident for over 25 years. 8008 CORPORATE CENTER DRIVE SUITE 100 CHARLOTTE, NORTH CAROLINA 28226 USA PHONE 704.541.9890 / 800.477.7411 FAx 704.543.4035 WWW.DELTAENV.COM Inclusion of Alchem, Inc. on the December 31, 2009 Inactive Hazardous Waste Sites Priority List Rockwell, Rowan County, North Carolina Groundwater Incident No. 200502451 Page 2 of 2 In addition to the fact that the DWQ has regulatory responsibility, the Alchem, site should also be removed from the list since the site meets the first exception defined in the overview section of the Inactive Hazardous Sites Branch (IHSB) website. The Alchem site (No. NONCD0001242) should be excluded from the list of an inactive hazardous substance or waste disposal site under the statute because the incident is related to "contamination resulting from permitted activities or those that should have been permitted...". Since the Alchem site meets the exception of an inactive hazardous substance or waste disposal site and Since the DWQ, APS has retained jurisdiction for this incident, we request that the Alchem site be removed from the State Inactive Hazardous Waste Site Priority List. If you have any questions or comments or wish to discuss this matter further, please contact me at (704) 543-3928 or at jreuscher@deltaenv.com. We look forward to your response. Sincerely-, DELTA CONSULTANTS b ohn D. Reuscher, P.G., RSM Project Manager PC: Mr. Randall F. Andrews — Alchem, Inc. Mr. Bruce Parris — NCDENR, DWM, IHSB `Ms: Beggy Finley NCDENR; DWQ,—APS Finley, Peggy From: John Reuscher [JReuscher@deltaenv.com] Sent: Friday, May 14, 2010 2:00 PM To: Finley, Peggy Subject: RE: Alchem Site Thanks. Will do. John Reuscher, P.G., RSM I Senior Project Manager I North American Operations Delta Consultants, an Oranjewoud N.V. Company Direct +1 704 543 3928 1 Mobile +1.704 575 8415 1 USA Toll Free 800 477 7411 jreuscherCldeltaenv.com I www.deltaenv.com SUSTAINABLE STRATEGIES FOR GLOBAL LEADERS Member of Inogen@ I www.inogenet.com Confidentiality Notice: If you are not the intended recipient of this email, please delete it. Thank you. From: Finley, Peggy[mailto:peggy.finley@ncdenr.gov] Sent: Friday, May 14, 2010 1:48 PM Toi John Reuscher Subject: RE: Alchem Site John: I've reviewed the lab results from the water samples. Since the concentration of sulfate in the Anderson well is so close to the 2L standard, please sample this well again during the next round of quarterly sampling. A formal report is not necessary at this time. Please just include the data for these wells in the next quarterly monitoring report. Peggy From: John Reuscher [mailto:JReuscher@deltaenv.com] Sent: Monday, May 03, 2010 10:12 AM To: Finley, Peggy Cc: RANDALL ANDREWS Subject: Alchem Site Peggy: Attached are the laboratory analytical results of the water samples collected from the Daniels (Barbara) and Anderson water -supply wells on April 21, 2010. Both pH and sulfate are within the established range of 6.5 to 8.5 Standard Units and below the established standard of 250 milligrams per liter, respectively. Please review the results and contact me with any questions or comments. Also, if you prefer a formal letter report along with updated tables and figures summarizing this data, please contact me. Thanks and I look forward to your response. John Reuscher, P.G., RSM I Senior Project Manager I North American Operations Delta Consultants, an Oranjewoud N.V. Company Finley, Peggy From: John Reuscher [JReuscher@deltaenv.com] Sent: Monday, May 03, 2010 10:12 AM To: Finley, Peggy Cc: RANDALL ANDREWS Subject: Alchem Site Attachments: Daniels and Anderson Lab Results.pdf Peggy Attached are the laboratory analytical results of the water samples collected from the Daniels (Barbara) and Anderson water -supply wells on April 21, 2010. Both pH and sulfate are within the established range of 6.5 to 8.5 Standard Units and below the established standard of 250 milligrams per liter, respectively. Please review the results and contact me with any questions or comments. Also, if you prefer a formal letter report along with updated tables and figures summarizing this data, please contact me. Thanks and I look forward to your response. John Reuscher, P.G., RSM I Senior Project Manager I North American Operations Delta Consultants, an Oranjewoud N.V. Company Direct +1 704 543 3928 1 Mobile +1 704 575 8415 1 USA Toll Free 800 477 7411 jreuscher@deltaenv.com I www.deltaenv.com Member of Inogen@ I www.inogenet.com Confidentiality Notice: If you are not the intended recipient of this email, please delete it. Thank you. aceAnalytilcaf www.pacekbs.com April 30, 2010 John Reuscher Delta Environmental Consultant 8008 Corp. Center Drive Suite 100 Charlotte, NC 28226 RE: Project: Sampling 4/21 Pace Project No.: 9268005 Pace Analytical Services, Inc. 2225 Riverside Dr. Asheville, NC 28804 (828)254-7176 Pace Analytical Services, Inc. 9800 Kincey Ave. Suite 100 Huntersville, NC 28078 (704)875-9092 Dear John Reuscher: Enclosed are the analytical results for sample(s) received by the laboratory on April 23, 2010. The results relate only to the samples included in this report. Results reported herein conform to the most current NELAC standards, where applicable, unless otherwise narrated in the body of the report. Inorganic Wet Chemistry and Metals analyses were performed at our Pace Asheville laboratory and Organic testing was performed at our Pace Huntersville laboratory unless otherwise footnoted. All Microbiological analyses were performed at the laboratory where the samples were received. If you have any questions concerning this report, please feel free to contact me. Sincerely, Kevin Godwin kevin.godwin@pacelabs.com Project Manager Enclosures REPORT OF LABORATORY ANALYSIS This report shall not be reproduced, except in full, without the written consent of Pace Analytical Services, Inc.. I�VIYL�z �a Page 1 of 9 ('15'oeAnalytical www.pscelabs.ccm Project: Sampling 4%21 Pace Project No.: 9268005 Pace Analytical Services, Inc. 2225 Riverside Dr. Asheville, NC 28804 (828)254-7176 CERTIFICATIONS Asheville Certification IDs 2225 Riverside Dr. Asheville, NC 28804 North Carolina Drinking Water Certification #: 37712 Connecticut Certification #: PH-0106 North Carolina Bioassay Certification #: 9 Virginia Certification #: 00072 New Jersey Certification #: NC011 Tennessee Certification #: 2980 Massachusetts Certification #: M-NC030 South Carolina Certification #: 9903001 Louisiana/LELAP Certification #: 03095 South Carolina Bioassay Certification #: 9903002 Florida/NELAP Certification #: E87648 Pennsylvania Certification #: 68-03578 West Virginia Certification #: 356 North Carolina Wastewater Certification #: 40 REPORT OF LABORATORY ANALYSIS This report shall not be reproduced, except in full, without the written consent of Pace Analytical Services, Inc.. Pace Analytical Services, Inc. 9800 Kincey Ave. Suite 100 Huntersville, NC 28078 (704)875-9092 Page 2 of 9 ;5neAnalXical www.pacelabs cw Project: Sampling 4/21 Pace Project No.: 9268005 Pace Analytical Services, Inc. 2225 Riverside Dr. Asheville, NC 28804 (828)254-7176 SAMPLE SUMMARY Lab ID Sample ID Matrix Date Collected Date Received 9268005001 9268005002 DANIELS ANDERSON Water Water 04/21/10 16:30 04/21/10 16:00 04/23/10 09:30 04/23/10 09:30 REPORT OF LABORATORY ANALYSIS This report shall not be reproduced, except in full, without the written consent of Pace Analytical Services, Inc.. rapnC4-F. Pace Analytical Services, Inc. 9800 Kincey Ave. Suite 100 Huntersville, NC 28078 (704)875-9092 Page 3 of 9 aceAnalytical www.pacelabaccm Project: Sampling 4/21 Pace Project No.: 9268005 Lab ID Sample ID 9268005001 DANIELS 9268006002 ANDERSON Pace Analytical Services, Inc. 2225 Riverside Dr. Asheville, NC 28804 (828)254-7176 SAMPLE ANALYTE COUNT Method EPA 9040 ASTM D516-90 EPA 9040 ASTM D516-90 REPORT OF LABORATORY ANALYSIS This report shall not be reproduced, except in full, without the written consent of Pace Analytical Services, Inc.. Pace Analytical Services, Inc. 9800 Kincey Ave. Suite 100 Huntersville, NC 28078 (704)875-9092 Analytes Analysts Reported SAJ 1 SAJ 1 SAJ 1 SAJ 1 r Page 4 of 9 aceAnali cal it www.pacelabsx= Pace Analytical Services, Inc. 2225 Riverside Dr. Asheville, NC 28804 (828)254-7176 ANALYTICAL RESULTS Pace Analytical Services, Inc. 9800 Kincey Ave. Suite 100 Huntersville, NC 28078 (704)875-9092 Project: Sampling 4/21 Pace Project No.: 9268005 Sample: DANIELS Lab ID: 9268006001 Collected: 04/21/10 16:30 Received: 04/23/10 09:30 Matrix: Water Parameters Results Units Report Limit DF Prepared Analyzed CAS No. Qual 9040 pH Analytical Method: EPA 9040 pH 6.9 Std. Units 0.10 1 04/27/10 09:55 H6 ASTM D516-90 Sulfate Water Analytical Method: ASTM D516-90 Sulfate 27.8 mg/L 5.0 1 04/30/1010:35 14808-79-8 Date: 04/30/2010 06:06 PM REPORT OF LABORATORY ANALYSIS This report shall not be reproduced, except in full, without the written consent of Pace Analytical Services, Inc.. ■y�� N ACCpq `L11 i Page 5 of 9 aceAnalylical ..pscelabs.com Project: Sampling 4/21 Pace Project No.: 9268005 Pace Analytical Services, Inc. 2225 Riverside Dr. Asheville, NC 28804 (828)254-7176 ANALYTICAL RESULTS Pace Analytical Services, Inc. 9800 Kincey Ave. Suite 100 Huntersville, NC 28078 (704)875-9092 Sample: ANDERSON Lab ID: 9268005002 Collected: 04/21/10 16:00 Received: 04/23/10 09:30 Matrix: Water Parameters Results Units Report Limit DF Prepared Analyzed CAS No. Qual 9040 pH Analytical Method: EPA 9040 ' pH 6.7 Std. Units 0.10 1 04/27/10 09:55 H6 ASTMI D516-90 Sulfate Water Analytical Method: ASTM D516-90 Sulfate 2" mg/L 55.0 11 04/30/10 11:29 14808-79-8 Date: 04/30/2010 06:06 PM REPORT OF LABORATORY ANALYSIS This report shall not be reproduced, except in full, without the written consent of Pace Analytical Services, Inc.. Page 6 of 9 aceAnalyiical wmpacelabs com Project: Sampling 4/21 Pace Project No.: 9268005 QC Batch: WET/12183 QC Batch Method: EPA 9040 Associated Lab Samples: 9268005001, 9268005002 SAMPLE DUPLICATE: 434002 Parameter Units pH Date: 04/30/2010 06:06 PM Std. Units Pace Analytical Services, Inc. 2225 Riverside Dr. Asheville, NC 28804 (828)254-7176 QUALITY CONTROL DATA Analysis Method: EPA 9040 Analysis Description: 9040 pH Pace Analytical Services, Inc. 9800 Kincey Ave. Suite 100 Huntersville, NC 2B078 (704)875-9092 9267688002 Dup Max Result Result RPD RPD Qualifiers 7.1 7.1 0 20 H6 REPORT OF LABORATORY ANALYSIS This report shall not be reproduced, except in full, without the written consent of Pace Analytical Services, Inc.. Page 7 of 9 acmnalytical www.pacelabs.com Project: Sampling 4/21 Pace Project No.: 9268005 Pace Analytical Services, Inc. 2225 Riverside Dr. Asheville, NC 28804 (828)254-7176 QUALITY CONTROL DATA • v 1. Pace Analytical Services, Inc. . 9800 Kincey Ave. Suite 100 Huntersville, NC 28078 (704)875-9092 QC Batch: WETA/7263 Analysis Method: ASTM D516-90 QC Batch Method: ASTM D516-90 Analysis Description: ASTM D516-90 Sulfate Water Associated Lab Samples: 9268005001, 9268005002 METHOD BLANK: 435345 Matrix: Water Associated Lab Samples: 9268005001, 9268005002 Blank Reporting Parameter Units Result Limit Analyzed Qualifiers Sulfate mg/L ND 5.0 04/30/1010:30 LABORATORY CONTROL SAMPLE: 435346 Spike LCS LCS % Rec Parameter Units Conc. Result % Rec Limits Qualifiers Sulfate mg/L 20 20.5 102 90-110 MATRIX SPIKE SAMPLE: 435347 9268001006 Spike MS MS % Rec Parameter Units Result Conc. Result % Rec Limits Qualifiers Sulfate mg/L 17.1 20 35.8 93 75-125 MATRIX SPIKE SAMPLE: 435350 9267844005 Spike MS MS % Rec Parameter Units Result Conc. Result % Rec Limits Qualifiers Sulfate mg/L ND 20 24.5 100 75-125 SAMPLE DUPLICATE: 435348 9268001005 Dup Max Parameter Units Result Result RPD RPD Qualifiers Sulfate mg/L 7.2 7.1 1 20 SAMPLE DUPLICATE: 435349 9267844004 Dup Max Parameter Units Result Result RPD RPD Qualifiers Sulfate mg/L 37.5 38.0 1 20 Date: 04/30/2010 06:06 PM REPORT OF LABORATORY ANALYSIS Page 8 of 9 This report shall not be reproduced, except in full, without the written consent of Pace Analytical Services, Inc • aceAnalj&al www.pacelabs mm QUALIFIERS Project: Sampling 4/21 Pace Project No.: 9268005 T�91v!I�IiPI:F-'? Pace Analytical Services, Inc. 2225 Riverside Dr. Asheville, NC 28804 (828)254-7176 Pace Analytical Services, Inc. 9800 Kincey Ave. Suite 100 Huntersville, NC 28078 (704)875-9092 DF - Dilution Factor, if reported, represents the factor applied to the reported data due to changes in sample preparation, dilution of the sample aliquot, or moisture content. ND - Not Detected at or above adjusted reporting limit. J - Estimated concentration above the adjusted method detection limit and below the adjusted reporting limit. MDL -Adjusted Method Detection Limit. S - Surrogate 1,2-Diphenylhydrazine (8270 listed analyte) decomposes to Azobenzene. Consistent with EPA guidelines, unrounded data are displayed and have been used to calculate % recovery and RPD values. LCS(D) - Laboratory Control Sample (Duplicate) MS(D) - Matrix Spike (Duplicate) DUP - Sample Duplicate RPD - Relative Percent Difference NC - Not Calculable. Pace Analytical is NELAP accredited. Contact your Pace PM for the current list of accredited analytes. U - Indicates the compound was analyzed for, but not detected. ANALYTE QUALIFIERS H6 Analysis initiated more than 15 minutes after sample collection. Date: 04/30/2010 06:06 PM REPORT OF LABORATORY ANALYSIS Page 9 of 9 This report shall not be reproduced, except in full, without the written consent of Pace Analytical Services, Inc.. ,,t ie t7Lej= / 7 ZeAnalytical www.pacelabs.com CHAIN -OF -CUSTODY / Analytical Request Document The Chain -of -Custody is a LEGAL DOCUMENT. All relevant fields must be completed accurately. Section A Section B Section C Page: of Required Client Information: Required Project Information: Invoice Information: 1336080 Attention: Company: I C / e. rn -r„ ` Report To: 366, j� � �� �Iner Address: p 13S Re I� Copy To: �L �n Ui reln��,rr� CQIV� Company Name: 'Ch tM xnC REGULATORY AGENCY pG `( C 29138 '9oo$ Gerpor4e een4 pt .Ell r Purchase Order No.: A -7� �l F Address: �1 35 Re le� a , Pace Quote r NPDES F .GROUND WATER j- DRINKING WATER (- UST (y RCRA F OTHER Email To: Phon„�/ ��p Project Name: Reference: Pace Project CCJJ77��fi .2To Manager. Site Location Requested Due DaterTAT: Project Number. Pace Profile #: STATE: Requested Analysis Filtered (YIN) Section D Matrix Codes Required Client Information MATRIX / CODE m O COLLECTED Preservatives Drinking Water DW 0 ;, U Z Water WT Waste Water WW ProdUCt P m COMPOSITE START COMPOSITE END/GRAB W Z SoiVSolid SL SAMPLE ID w wL = -h 0 CO ~ e (A-Z, ! ,-) A P AR w V a Z_ Oyl a) Sample IDS MUST BE UNIQUE Tissue TS O a ¢ v ~ ��Y1�.J►r/ Other OT U F w Z10 M' H a a U. co co = O m ~ N DATE TIME DATE TIME ti 2 2 2 Z Z 2 O yl Pace Project NoJ Lab I.D. 1 2 �2 T'Z1 � .JV 2 A nder fpil:in q-21 'S`t q-zt qzo 3 4. 5 6 7 8 9 10 11 12 ADDITIONAL COMMENTS RELINQUISHED BY / AFFILWTION} DATE. TIME ACCEPTED YJ' FILIATION . D 'ATJ TIME SAMPLE CONDITIONS Li `4Z'- S d Cam. els 4- f.501 K Y/z. SAMPLER NAMEAND'SIGNATURE ORIGINAL c ^ „ m PRINT Name of SAMPLER: r T► T S a m o U° z H zDATE SIGNATURE of SAMPLER: / �O J IT ro U to E AQJ (MMIDDi/YY)tl 7 V in " ••••,,..• W,,...,,,.....,-.a.... a u „, ,,,,,,, ,.. — awopw,y rave s — ou uay payment corms ana agreeing to late Charges of 1.5 % per month for any Invoices not paid within 30 days. F-ALL-Q-020rev.07, 15-May-2007 Finley, Peggy From: Finley, Peggy Sent: Thursday, January 14, 2010 1:14 PM To: 'John Reuscher'; Peggy Finley Cc: RANDALL ANDREWS Subject: RE: Samples Meeting John: This is a follow-up to our telephone conversation this morning. Since Mr. Samples has denied access, a transitional bedrock monitoring well needs to be installed near Alchem's property boundary in proximity to MW-7. Please continue to monitor Mr. Samples water supply well as part of the quarterly sampling program. Peggy From: John Reuscher [mailto:]Reuscher@deltaenv.com] Sent: Wednesday, January 13, 2010 3:41 PM To: Peggy Finley Cc: RANDALL ANDREWS Subject: Possibly spam: Samples Meeting Peggy: We met with Mr. Larry Samples yesterday to discuss the installation of monitoring wells on his property to better define groundwater quality to the east/northeast of Alchem. He is not going to allow Delta to install the wells on his property. The other property owners located in the area where we need to install the wells have not responded to any of our certified letter requests to sample their wells so it is doubtful they will respond to the request to install wells. As a result, it is unlikely that we will get permission from nearby property owners to define groundwater quality in that direction. We can install the wells which we have permits for and continue to monitor Mr. Samples well. Please call me to discuss and to advise. Thanks. John Reuscher, P.G., RSM I Project Manager I North American Operations Delta Consultants, an Oranjewoud N.V. Company Direct +1 704 543 3928 1 Mobile +1 704 575 8415 1 USA Toll Free 800 477 7411 ireuscher(o)deltaenv.com I www.deltaenv.com SUSTAINABLE STRATEGIES FOR GLOBAL LEADERS Member of Inogen@ I www.inogenet.com Confidentiality Notice: If you are not the intended recipient of this email, please delete it. Thank you. NCDENR North Carolina Department of Environment and Natural Resources Beverly Eaves Perdue Coleen H. Sullins Dee Freeman Governor Division of Water Quality Secretary December 29, 2009 Alchem, Inc. 2042 Buie Philadelphus Road Red Springs, North Carolina 28337 Attention: Randall Andrews RE: Request for Extension Second Comprehensive Site Assessment Addendum Red Road Facility Rowan County, N.C. Dear Mr. Andrews: On December 28, 2009, this office received your consultant's request for an extension of the deadline for submission of your second CSA addendum. The report was due in this office by January 15, 2010. It was stated in the correspondence that negotiations are underway to secure access to install a monitoring well(s) on the Larry Samples property but that this cannot be finalized before January 12, 2010. The purpose of these wells would be to establish vertical and horizontal extent of groundwater contamination to the northeast of the Alchem property Your request for an extension is hereby granted until March 30, 2010. Your report should also include data and evaluation of.the quarterly sampling event in February. Should unforeseen obstacles arise that may prevent you from meeting this deadline, you must notify this office immediately. Please be advised that prior to the installation of these monitoring wells, it will be necessary for you to obtain a monitoring well permit from this office. Should you have any questions, please call me at 704/235-2183 or contact me via email at: peggy.finley0ncdenr.gov. Sincerely, Peggy Finley Environmental Specialist Cc: Robert Wolcott — Alchem, Inc., 8135 Red Road, Rockwell 28138 John Reuscher, P.G. — Delta Consultants, 8008 Corporate Center Dr., Ste.100, Charlotte 28226 MAF/achem/CSA/ext req 12-29-09 610 East Center Avenue, Suite 301, Mooresville, North Carolina 28115 One Phone: 704-663-16991 FAX: 704-663-6040 Internet: www.ncwaterquality.org NNat o�%�-a olina An Equal Opportunity 1 Affirmative Action Employer— 50% Recycled 110% Post Consumer Paper "��� Finley, Peggy From: John Reuscher [JReuscher@deltaenv.com] Sent: Monday, December 28, 2009 2:42 PM To: Peggy Finley Cc: RANDALL ANDREWS Subject: Alchem Incident No. 200502451 Peggy: We have received our permit from the NCDENR to install monitoring wells on the Industrial and Agricultural Chemicals, Inc. (IAC) property and within the North Carolina Department of Transportation (NCDOT) right of way along Red Road. As such, we have permission from IAC and NCDOT as well. We are in the process of obtaining permission from Larry Samples to install wells on his property to better define groundwater quality to the northeast of Alchem. Mr. Samples cannot meet with us to discuss our proposed locations on his property until January 12, 2010 due to health issues with his wife and father-in-law. As a result, it is unlikely that we can meet the deadline of January 15, 2010 for completion of the second CSA Addendum as requested in your letter to Alchem dated October 14, 2009. Mr. Samples property is the only real alternative we have northeast of the site since we have received no response from other nearby property owners regarding our water -supply well survey/sampling request. We submitted the Quarterly Groundwater Monitoring Results report to you on December 12, 2009 which clarified items No. 2, 3, and 4 in your letter. The next quarterly sampling event will be conducted in February 2010. The installation of the off -site wells we proposed and agreed upon by you will provide the information requested in item No. 1 of the letter. We can schedule the installation of the IAC and NCDOT wells at this time but wanted to make you aware of the Samples situation. As such, to provide the data you requested, Alchem would likely require an extension to submittal of the second Addendum. Please advise and thank you. John Reuscher, P.G., RSM I Project Manager I North American Operations Delta Consultants, an Oranjewoud N.V. Company Direct +1 704 543 3928 1 Mobile +1 704 575 8415 1 USA Toll Free 800 477 7411 ireuscher@deltaenv.com I www.deltaenv.com SUSTAINABLE STRATEGIES FOR GLOBAL LEADERS Member of Inogenp I www.inogenet.com Confidentiality Notice: If you are not the intended recipient of this email, please delete it. Thank you. Finley, Peggy From: John Reuscher [JReuscher@deltaenv.com] Sent: Thursday, November 12, 2009 4:38 PM To: Peggy Finley Cc: RANDALL ANDREWS Subject: Alchem Additional Assessment Attachments: ALCHEM - Proposed Well Location Map.pdf Peggy: Please find the attached Proposed Groundwater Monitoring Well Location Map for the Alchem site (Incident No. 200502451). The proposed wells include two shallow Type II wells and three deep Type III wells at the locations shown in green. One well pair will be installed in the NCDOT right of way along Red Road, one pair on Industrial and Agricultural Chemicals, Inc. property east of the Alchem property, and one deep well to pair with shallow well MW-7. The owner of the property south of MW-4 has not accepted previous certified mail submitted to him in order to gain access to the property and it is unlikely that will change in the future (considering past relationships). Since installing deep monitoring wells is very expensive we wanted to get your input into our proposed plan prior to implementation. Please review the attached and let us know your thoughts as well as any revisions that you might suggest as we move forward. A quarterly sampling event is being scheduled for next week, which will include the on -site monitoring wells and water -supply wells as well as three off -site water -supply wells (Beaver, Samples, and Daniels) for analysis of pH and sulfate. We have not received an authorized access agreement to sample the well on the Bautista/McIntyre property; however, these parcels are connected to municipal water supplied by Alchem. Thank you and we look forward to your response. John Reuscher, P.G., RSM I Project Manager I North American Operations Delta Consultants, an Oranjewoud N.V. Company Direct +1 704 543 3928 1 Mobile +1 704 575 8415 1 USA Toll Free 800 477 7411 ireuscher0deltaenv.com I www.deltaenv.com SUSTAINABLE STRATEGIES FOR GLOBAL LEADERS Member of Inogen@ I www.inogenet.com Confidentiality Notice: If you are not the intended recipient of this email, please delete it. Thank you. Corrective Action Groundwater Monitoring Network • Include the compliance wells in Permit No. WQ0001730 in the corrective action monitoring. - These wells are MW-13, MW-20, MW-22, MW-41, MW-42, MW-44, MW-45, MW- 46, MW-47, MW-48, MW-49, MW-50, MW-51, MW-52, MW-53, and MW-54. - The permit compliance sampling schedule is the same as the recommended monitoring schedule (March, July, and November of each year). • Continue sampling and monitoring the existing groundwater monitoring wells shown in Figure 1 the Groundwater Corrective Action Variance Application (June 26, 2009). - All "active monitoring wells" listed on Figure 1: TW-1, TW-2, TW-9, TW-11, TW- 14, TW-16, TW-18, TW-24, TW-25, TW-30, TW-30.1, TW-31, TW-31 A, TW-32, TW-32A, TW-33, TW-34, TW-35, TW-36, TW-37, TW-45A, TW-642, MW-100, MW-101, MW-101 D, MW-102, MW-103, MW-104, MW-105, MW-105D, MW-106, MWA 07, MWA 08, MWA 09, MWA 10, MWA 11, MWA 11 D, MWA 12, MWA 13D, MW114, MW-115, MW-116, MW-117, MW-121, MW-122, MW-122D, MW-123D, MW-124D, MW-125D, MW-126D, MW-127, MW-201, MW-202, MW-203, GP-1, GP-3, GP-5, GP-8, GP-9, GP-10, GP-12, GP-17, GP-21, and GP-22. - Replace monitoring wells in this network that are chronically dry with deeper wells. Use existing water level information to plan replacement well depths such that well would not be expected to be dry under typical seasonal conditions. - After reviewing the "Remediation and Non-compliance Well Data" received on August 31, 2009, DWQ identified several "active monitoring wells" as chronically dry such that water quality parameters could not be collected. For this review, "chronically dry" was defined as the well being listed as "dry" three or more times during the time period from January 2007 through July 2009 on a sampling schedule three times each year (March, July, and November). These wells are TW-1, TW-2, TW-14, TW-16, TW-31A, TW-45A, MW-104, MW-121, MW-124A, GP-1, GP-3, GP-5, GP-8, GP-10, GP-12, and GP-22. - Specifically, it is recommended that monitoring wells MW-121, MW-104, and GP-3 be replaced with wells screened in partially weathered rock or bedrock. • The existing wells at the site are predominantly shallow and screened in saprolite. To address concerns about the nitrate impacts to deeper groundwater in the partially weathered rock and bedrock aquifers, the installation of additional deep wells is recommended in several locations. - Install a deep well screened in partially weathered rock south of Field 60, near or adjacent to existing well MW-48. - Install a deep well screened in bedrock near or adjacent to existing well MW-112. 24 a — _ 0 200 400 EET e -7 H ME ROAD CRESCENT AVE MW-8 I - -2 1.500 FOOT RADIUS FROM MW-9 MW-1 POTENTIAL CONTAMINANT AREA OMW-I-- MW-5 MW 1 I x O Go C3 MW-3 pq4. i 9 �------- MW_10 MW-4 O T O f� C J Co�a6i LEGEND: — — PROPERTY BOUNDARY PROPOSED DEEP —• — FENCE LINE ® GROUNDWATER MONITORIG ++++- RAILROAD TRACKS WELL ^/1 STREAM �i PROPOSED SHALLOW GROUNDWATER MONITORING ❑ SITE POND WELL TITLE: OWN: DES.: PROJECT NO.: PROPOSED GROUNDWATER MONITORING WELL - NEW 5EO805096P CHKD` APPO: LOCATION MAP FlGURE NO.: ALCHEM, INC. DATE: REV.: D E LTA ROCKWELL, NORTH CAROLINA 10/27/08 10/05/09 (��' �-n �,j 4-,,� v-,,— j, 6,_e .-�o4(5�1`�--> - 36:) -:2- � ,. 74 r NCDENR North Carolina Department of Environment and Natural Resources Beverly Eaves Perdue Coleen H. Sullins Dee Freeman Governor . Division of Water Quality Secretary September 20, 2010 Alchem, Inc. 2042 Buie Philadelphus Road Red Springs, North Carolina 28337 Attention: Randall Andrews RE: Request for Extension Submission of Corrective Action Plan Red Road Facility, Rockwell Groundwater Incident No. 2997 Rowan County, N.C. Dear Mr. Andrews: Your request for an extension was received in this office on September 15, 2010. Based on the information provided, the request is hereby granted. The plan will be due in this office no later than December 20, 2010. Should you have any questions, please call me or Peggy Finley at 704/663-1699. Sincerely, Andrew H. Pitner, P.G. Environmental Program Supervisor III Aquifer Protection Section Cc: Groundwater Investigation Unit, APS John Reuscher, P.G., Delta Environmental, 8008 Corporate Center Dr., Ste. 100, Charlotte 28226 MAF/alchem CAP ext req 9-20-10 610 East Center Avenue, Suite 301, Mooresville, Noah Carolina 28115 Phone: 704-663-16991 FAX: 704-663-6040 Internet: www.ncwaterquality.org An Equal Opportunity 1 Affirmative Action Employer— 50% Recycled 110% Post Consumer Paper Nne orthCarolina �Vaturjallry SUSTAINABLE STRATEGIES FOR GLOBAL LEADERS LTA September' 13, 20`10 North Carolina Department ofEnviroiunent `and Natural Resources Division of Water Quality - Aquifer Protection Section 610 East Center Avenue, Suite 301 Mooresville, North Carolina 28115 Attn: Peggy Finley Subject: Request for Extension Corrective Action Plan Alchem, Inc. Site Rockwell, Rowan County, North Carolina Incident No.: 2997 Delta Project No.: 5E0805096P Dear Peggy: On behalf of Alchem, Inc. (Alchem), Delta Consultants (Delta) is requesting an extension for completion and submittal of the Corrective Action Plan as requested by your office in the Acknowledgement of Receipt, CSA — Addendum C dated July 23, 2010. Delta requests anextension of 90 days from the date of this letter to review available technologies applicable for remediating groundwater impacted by low pH and elevated concentrations of sulfate. Based on our review of the site hydrogeological characteristics and initial discussions with remediation contractors; typical remedial technologies such as in situ chemical reduction and groundwater extraction would not likely be feasible alternatives for groundwater cleanup at the site. As a result, further investigations into alternative technologies are necessary. Groundwater monitoring of the incident related monitoring and water - supply wells is planned for October 2010. This event will be coordinated with the monitoring required to comply with Alchem's non -discharge permit WQ0002702 (condition 33). A groundwater monitoring report will be provided to you within 60 days of completing the sampling event. We appreciate your consideration for the extension requested. If you have any questions or comments, please do not hesitate to contact me at (704) 543-3928 or at jreuschergdeltaenv.com. Sincerely, DELTA CONSULTANTS QoD. Reuscher, Senior Project Manager . -b,, f. 8008 CORPORATE CENTER DRIVE SUITE 100 CHARLOTTE, NORTH CAROLINA 28226 USA Ino en° me gE���.�,,,,,,�Ce PHONE 704.541.9890 / 800.477.7411 FAX 704.543.4035 WwW.DELTAENV.COM METHOD 6020A INDUCTIVELY COUPLED PLASMA -MASS SPECTROMETRY SW-846 is not intended to be an analytical training manual. Therefore, method procedures are..written based on the assumption that they will be performed. by analysts who are formally trained in at least the basic principles of chemical analysis and in the use of the subject technology. In addition, SW-846 methods, with the exception of required method use for the analysis of method -defined parameters, are intended to be guidance methods which contain general information on how to perform an analytical procedure or technique which a laboratory can use as a basic starting point for generating its own detailed Standard Operating Procedure (SOP), either for its own general use or for a specific project application. The performance data included in this method are for guidance purposes only, and are not intended to be and must not be used as absolute QC acceptance criteria for purposes of laboratory accreditation. 1.0 SCOPE AND APPLICATION 1:1 Inductively coupled plasma -mass spectrometry (ICP-MS) is applicable to the determination of sub-Ng/L concentrations of a large number of elements in water samples and in waste extracts or. digests (Refs. 1 and 2). When dissolved constituents are required, samples must be filtered. and acid -preserved prior to analysis. No digestion is required prior to analysis for dissolved elements in water samples. Acid digestion prior to filtration and analysis is required for groundwater, aqueous samples, industrial wastes, soils, sludges, sediments, and other solid wastes for which total (acid -soluble) elements are required. 1.2 ICP-MS has been applied to the determination of over 60 elements in various matrices. Analytes for which EPA has demonstrated the acceptability of this method in a multi - laboratory study on solid and aqueous wastes are listed below. Element CASRN8 UJ Aluminum (AI) — 7429-90-5 Antimony . (Sb) 7440-36-0 Arsenic (As)— 7440-38-2 Barium (Ba) 7440-39-3 Beryllium (Be) 7440-41-7 Cadmium (Cd) 7440-43-9 Calcium (Ca) 7440-70-2 Chromium (Cr) — 7440-47-3 Cobalt (Co) 7440-48-4 Copper (Cu) 7440-50-8 W 5 (�Jl ron (Fe) 7439=89-6 w50 Lead (Pb) — 7439-92-1 Magnesium (Mg) 7439-95-4 yy,JManganese (Mn)--- 7439-96-5 Mercury (Hg) 7439-97-6 Nickel (Ni) — 7440-02-0 Vs� uJ ,le, 6020A - 1 Revision 1 February 2007 METHOD 6010C INDUCTIVELY COUPLED PLASMA -ATOMIC EMISSION SPECTROMETRY SW 846 is not intended to be an analytical training manual. Therefore, method procedures are written based on the assumption that they will be performed by analysts who are formally trained in at least the basic principles of chemical analysis and in the use of the subject technology. In addition,•SW-846 methods, with the exception of required method use for the analysis of method -defined parameters, are intended to be guidance methods which contain general information on how to perform an analytical procedure or technique which a laboratory can use as a basic starting. point for generating its own detailed Standard Operating Procedure (SOP), either for its own general use or for a specific project application. The performance data included in this method are for guidance purposes only, and are not intended to be and must not be used as absolute QC acceptance criteria for purposes of laboratory accreditation. 1.0 SCOPE AND APPLICATION 1.1 Inductively coupled plasma -atomic emission spectrometry (ICP=AES) may be used to determine trace elements in solution. With the exception of groundwater samples, all aqueous and solid matrices need acid digestion prior to analysis. Groundwater samples that were prefiltered and acidified will not need acid digestion. Samples which are not digested need either an internal standard or should be matrix -matched with the standards. If either option is used, instrument software should be programmed to correct for intensity differences of the internal standard between samples and standards. Refer to Chapter Three, "Inorganic Analytes," for a listing of digestion procedures that may be appropriate. The following analytes have been determined by this method: Element Symbol CAS Number Element Symbol CAS Number Aluminum Al 7429-90-5 Mercury Hg Antimony Sb 7440-36-0 Molybdenum Mo Arsenic As 7440-38-2 Nickel Ni Barium Ba 7440-39-3 Phosphorus P Beryllium Be 7440-41-7 Potassium K Boron - B 7440-42-8 Selenium Se Cadmium Cd 7440-43-9 Silica SiOZ Calcium Ca 7440-70-2 Silver Ag Chromium Cr 7440-47-3 Sodium Na Cobalt Co 7440-48-4 Strotium Sr Copper. Cu 7440-50-8 Thallium TI Iron . Fe 7439-89-6 Tin Sn Lead Pb 7439-92-1 Titanium Ti Lithium Li 7439-93-2 Vanadium V 6010C - 1 7439-97-6 7439-98-7 7440-02-0 7723-14-0 7440-09-7 7782-49-2 7631-86-9 7440-22-4 7440-23-5 7440-24-6 7440-28-0 7440-31-5 7440-32-6 7440-62-2 Revision 3 February 2007 Michael F. Easley, Governor William G. Ross Jr., Secretary North Carolina Department of Environment and Natural Resources Coleen 11. Sullins Director Division of Water Quality August 15, 2007 MEMORANDUM TO: All Laboratories, Consultants, Permittees, and Interested Parties FROM: Ted L. Bush, Jr., Chief Aquifer. Protection Secti SUBJECT: Aquifer Protection See ion Policy for Metals Determinations Required by 15A NCAC 2L The policy that addresses the preparation of groundwater samples for metals analyses, implemented March 1, 1993 under the former Division of Environmental Management, Groundwater Section, currently the Division of Water Quality, Aquifer Protection Section, is still in effect. All groundwater samples for metals analyses required by the North Carolina Division of Water Quality, Aquifer Protection Section, will be collected and analyzed according to Standard Method 3030C "Preliminary Treatment for Acid -Extractable Metals", "Preliminary Treatment for Acid -Extractable Metals, Standard Methods for the Examination of Water and Wastewater 17th edition, 1989, 18th edition, 1992, and 19t1i edition, 1995. Specific conditions that are outlined in. this memorandum will apply. The policy was implemented to establish statewide consistency in the handling of groundwater sample analyses and continues to be applicable. . 15A NCAC 2L .0202(g) that addresses Class GA Standards for groundwater, states that "the standard refers to the total concentration in milligrams per liter of any constituent in a. dissolved, colloidal or particulate form that is mobile in groundwater." The purpose of collecting and analyzing groundwater samples is to obtain a representation of constituents that are mobile in groundwater. This can usually be achieved with few problems when. clear samples are collected from wells that have been properly developed so that sediment in the water is minimal. There has been considerable controversy about whether or not highly sedimented samples (primarily a result of poor well construction and/or poor well development) should be filtered prior.to laboratory analysis. In the past some samples have been filtered in the held or laboratory prior to analysis. There was no consistency on when, and under what conditions, filtration tools place. In other instances, no filtration was conducted, all acid -reactive particulate matter was digested (i.e. dissolved and digested in boiling nitric acid), and the result reported as a "total" concentration. These inconsistencies have caused conflict and confusion among permittees, consultants, laboratories, regional office personnel, and other regulatory officials. There is no olle No thCarolina . �GZifllPll��1,1 Aquifer Protection Section 1636 Mail Service Cutter lnternt t: www.ncwaterquality.ora Location: 2728 Capital Boulevard An Equal Opportunity/Affirmative Action Employer— 50% Recyded/10% Post Consumer Paper Raleigh, NC 27699-1636 Telephone: (919) 733-3221 Raleigh, NC27604 Fax 1: (919) 715-0588 Fax 2: (919) 715-6048 Customer Service: (877) 623-6749 established guidance for clarification of highly sedimented samples analyzed for mobile constituents in groundwater. Inquiries and -requests for guidance from the U.S. Environmental Protection Agency, U.S. Geological Survey, environmental industry, and the scientific community, failed to provide a consistent resolution of the concerns. There seems to be no way to differentiate between sediment that represents formational material in a sample, and mobile particulates or precipitates. Laboratory analysis of groundwater is our primary tool for evaluating compliance with groundwater quality standards. We, therefore, must ensure that those analyses reflect as little bias as possible as a result of the presence of sediment in samples being analyzed for metals that are.mobile (i.e., dissolved and colloidal phases). Well redevelopment has been recommended for highly sedimented wells. Other recommendations have included using specific groundwater sample collection techniques, such as low flow purging andsampling, as well as purging and then allowing wells to settle for up to 24 hours prior to collecting samples when sediment in wells is a problem. Analysis for "Total Metals" and "Total Recoverable Metals" have been the established methods for determining total concentrations, however both employ digestion .procedures that may bias results high by including metals in the sediment as well -as colloidal and dissolved phases. On the other hand, analysis for "Dissolved Metals" may bias results low as a result of sample filtration through a 0.45 micron filter prior to acidification. Filtration prior to acidification may remove some normally mobile metals that are colloids, metals that have been absorbed onto formational material, or metals that have moved from the liquid to solid phase as chemical precipitates upon exposure to air. Standard Method 3030C, "Preliminary Treatment for Acid -Extractable Metals," (Standard Methods for the Examination of Water and Wastewater 17`h edition, 1989, 181h edition, 1992, and 19`h edition, 1995) was designed to determine both the dissolved and extractable metals lightly adsorbed on particulate matter. Of the established methods available, this method provides the least impact from sediment on groundwater analyses for total concentrations of mobile metals. The following policy, established March 1, 1993 to address treatment of all groundwater quality samples for metal analyses required by 15A NCAC 2L is still applicable: Note: This policy affects those metals analyses that are required to determine compliance with North Carolina's groundwater quality standards. Additional metals analyses, that may be required under local ordinances or federal regulations (such as RCRA and CERCLA), are not affected by this policy. Sample filtration in the field will not be permitted for metals analyses. Standard Method 3030C, "Preliminary Treatment for Acid -Extractable Metals," (Standard Methods for the Examination of Water and Wastewater 17`h edition, 1989, 181h edition., 1992, and 19`h edition, 1995) will be the only accepted preparation method for all metals analyses, except mercury, for determination of compliance with groundwater quality standards in 15A NCAC 2L .0202. This method requires field acidification, and laboratory filtration following an acid extraction procedure. Acid contact time (holding time) and filter size are unspecified by the method and must be specified as procedural conditions. Since the objective of the method is to extract metals which are lightly adsorbed on particulate material while limiting absorption by the sample container, it is, necessary to limit the acid contact time in order to minimize the dissolution of some formational material that may be present. The following specific conditions will apply to all groundwater samples for metals analysis: Samples must be acidified at the time of collection with 5 mL of concentrated nitric acid per liter of sample, maintained at 4° C, and delivered to the laboratory so that preparation for analysis (acid extraction and filtration) can be completed within 72 hours of collection. Acid may be added to the samples in the field at the time of collection, or may be added to the clean containers prior to transport to the field. A 0.45-micron filter must be used .for filtration in the laboratory following acid extraction. A 72 hour holding time is specified for sample preparation (acid extraction and filtration) to allow reasonable transport time to the laboratories and to allow some flexibility in scheduling sample collection while minimizing acid contact tithe. Since field acidification will prevent precipitation and adsorption of metals onto the container, and filtration is required after acid extraction in the laboratory, a sinall pore size (6.45 micron) filter is specified. Please ensure that this policy, effective March 1, 1993 and still applicable, continues to be adhered to by all staff and applicable members of the public. cc: Environmental Regional Supervisors Coleen Sullins Debra Watts Betty Wilcox Files 6 A NCDNgR North Carolina Department of Environment and Beverly Eaves Perdue Governor Alchem, Inc. 2042 Buie Philadelphus Road Red Springs, North Carolina 28337 Attention: Randall Andrews Dear Mr. Andrews: Coleen H. Sullins Division of Water Quality t Natural Resources Dee Freeman Secretary May 28, 2009 RE: Third Request for Extension Comprehensive Site Assessment Red Road Facility Rowan County, N.C. In a January 29, 2009 letter, this office requested that you to submit a CSA addendum -by April 30, 2009. Your most recent CSA extension request was received in this office on May 12, 2009. Robert Wolcott, your operations manager, provided some additional information during a telephone conversation with me on May 26. Your request for an extension is hereby granted on the condition that you provide monthly updates via emails to this office on your progress. The addendum report is due in this office no later than August 31, 2009. Should unforeseen obstacles arise that may prevent you from meeting this deadline, you must notify this office immediately. It should be noted that the new deadline is more than one year beyond when the completed CSA was originally due! You should be aware that failure to meet the deadline may subject you to a civil penalty assessment under the authority of G.S.143-215.6A of up to $10,000 a day from the original due date. Please be advised that prior to the installation of off -site monitoring wells, it will be necessary for you to obtain a monitoring well permit from this office. Should you have any questions, please call me at 704/235-2183 or contact me via email at: peq_ yq finley @ncdenr.gov. Sincerely, Pe yUny. Environmental Specialist Cc: Robert Wolcott— Alchem, Inc., 8135 Red Road, Rockwell 28138 John Reuscher, P.G. — Delta Consultants, 8008 Corporate Center Dr., Ste.100, Charlotte 28226 610 East Center Avenue, Suite 301, Mooresville, North Carolina 28115 Phone: 704-663-16991 FAX: 704-663-6040 Internet: www,ncwaterquality.org An Equal opportunity l Affirmative Action Employer— 50% Recycled %.10% Post Consumer Paper NorthCarolina �Vaturallff SUSTAINABLE STRATEGIES FOR GLOBAL LEADERS May 11, .2009 North 'Carolina Department bf Environment and Natural Resources Division of Water Quality Aquifer Protection Section D 610 East Center Avenue, Suite 3 V9 12 Mooresville, North Carolina 2811 Attn- Peggy Finley ' pWQ -Aquifer Protection 1 Subject- Request for Extension Comprehensive Site Assessment Addendum Alchem, Inc. Facility D EL T A Rockwell, Rowan County, North Carolina Delta Project No.: 5EO805096P Dear Peggy:- On'behalf of Alchem, Inc. (Alchem), Delta Consultants (Delta) is requesting'an extension for--completionand submittal of the Comprehensive Site Assessment (CSA) Addendum as requested by your office in the Acknowledgement of Receipt/Additional Info Request dated January 29, 2009. Delta requests an extension of 120 days from receipt of this letter to conduct the necessary additional CSA components and provide an addendum report summarizing these activities. To date, Delta has completed the following activities related to the CSA Addendum: ■ A review of available files at the DWQ Mooresville Regional Office was completed in March 2009. ■ Property owners with water -supply wells located within 1,500 feet of the Alchem site were contacted via certified mail in March 2009 regarding available construction and usage information of their well(s) as well as access approval to collect a groundwater quality sample from the well(s). To date out of the 59 property owners contacted, we have received 20 responses and 13 returned certified letters (34% response). It is unlikely that the response percentage will increase dramatically in the future. a member of: 8008 CORPORATE CENTER DRIVE SUITE 100 CHARLOTTE, NORTH CAROLINA 28226 USA Ino en gEnwonmentnlAlliance PHONE 704.541.9890 / 800.477.7411 FAX 704.543.4035 WWW.DELTAENV.COM Request for Extension ' Alchem, Inc. Facility Rockwell, North Carolina Additional tasks are currently being evaluated and budgeted including: May 11, 2009 Page 2 • Off -site monitoring well installations (two) along Red Road within the North Carolina Department of Transportation right of way; ■ Completion of the unused, on -site water -supply well (WW-3) as a deep monitoring well (including packer testing and down -hole video logging); • Completion of the deep, on -site monitoring well (MW-6D) installed in September 2009 (including packer testing and down -hole video logging); and ■ Initiation of quarterly sampling of on -site monitoring and water -supply wells and selected off -site water -supply wells. We appreciate your consideration for the extension requested. If you have any questions or comments, please do not hesitate to contact me at (704) 543-3928 or at ireuscher@deltaenv. com. Sincerely, DELTA CONSULTANTS ohn D. Reuscher, P.G., RSM Project Manager PC: Randall F. Andrews — Alchem, Inc.; Red Springs, NC Robert A. Wolcott — Alchem, Inc.; Rockwell, NC Alchem Well Sampling Subject: Alchem Well Sampling From: Peggy Finley <peggy.fmley@ncmail.net> Date: Tue, 03 Mar 2009 09:22:09 -0500 To: jreuscher@deltaenv.com John: We'd like the first round of metals sampling to include the 3030C parameters. We can modify that for subsequent sampling events, based on the first results. Peggy Peggy Finley - Peggy.Finley@ncmail.net North Carolina Dept. of Environment & Natural Resources Div. of Water Quality - Aquifer Protection Section Iredell County Government Center 610 E Center St., Suite 301 Mooresville, NC 28115 Ph: (704) 235-2183 Fax: (704) 663-6040 E-mail correspondence to and from this address may be subject to the North Carolina Public Records Law and may be disclosed to third parties. 1 of 1 3/3/2009 9:44 AM C ; , V Finley, Peggy From: John Reuscher [JReuscher@deltaenv.com] Sent: Tuesday, September 02, 2008 8:41 AM To: Peggy Finley Subject: RE: Alchem CSA - Additional Information Request OK. We are proceeding as quickly as our schedules allow. -----Original Message ----- From: Peggy Finley [mailto:peggy.finley@ncmail.net] Sent: Friday, August 29, 2008 4:55 PM To: John Reuscher Subject: Re: Alchem CSA - Additional Information Request John: After reviewing your request, please be advised that we cannot grant your request for an extension. Peggy John Reuscher wrote: > Peggy: > We have completed the historical review and site history - the basic > background info required in the CSA. The earliest the drilling > company can get on -site is September 18th since we had to postpone > drilling that was scheduled for tomorrow. The drilling activities > will take approximately two days. We will be collecting soil samples > during well installation and groundwater samples the week after to > allow the wells to equilibrate. Let me know if you will require slug > testing as that may add to the schedule as well. Ultimately, once we > review the lab results and can confirm that, for the most part the CSA > is complete, we can prepare and submit the report. Considering the > time requirements, that is why I suggested a due date at the end of > October. > Please advise and thank you. > --- yiginal Messaged ---- > From: Peggy Finley [mailto:peggy.finley@ncmail.net] > Sent: 'W�dnesday,- August�27;2008�1:31PM > To: John Reuscher > Cc: Andrew Pitner > Subject: Alchem CSA - Additional Information Request > John: > In reviewing your request with Andrew, we noted that the current CSA > submission deadline of August 31, 2008 was granted in response to your > May 2 request for an extension. The original deadline for receipt of > this report, as stated in the February 5 NOV, was May 6. In other > words, over six months have passed since we made our original request. 1 to Another extension would push it out to eight months. Please submit a time line that shows which aspects of the CSA have been accomplished date. Peggy John Reuscher wrote: Peggy: As we discussed this morning, Delta Consultants.is requesting an extension for submittal of the Comprehensive Site Assessment (CSA) at >> the Alchem, Inc. site in Rockwell, Rowan County. As I mentioned, we >> have approval from Alchem to implement our proposed activities which >> includes the installation of five shallow Type II and one deep Type >> III groundwater monitoring wells at the site. We have to date » collected information required for the CSA but have been held up with >> the drilling schedule due to the driller's availability, heath issues >> with the site manager, and of course the current weather situation. >> As you are aware, Alchem has made substantial progress in correcting >> past issues and intends to comply fully with the requirements of the >> CSA. Please allow an extension for completion and submittal of the >> CSA activities and final report until October 31, 2008. Once the >> site > >> is allowed to dry sufficiently to access the well locations, the >> drilling company will be scheduled to begin work. It is our >> understanding that they will not be able to begin work on the project >> until mid -September based on their current work load. >> In addition, please advise me whether the Regional Office will >> require slug tests to be performed at the site as part of the CSA. >> Based on the Guidelines, this activity is optional and at the >> discretion of the >> Office. >> Thank for your consideration of this proposed extension. If you have >> any questions, comments, or concerns, please contact me. >> Sincerely; >> John D. Reuscher, P.G. >> Project Manager >> DELTA CONSULTANTS >> 8008 Corporate Center Drive r >> Suite 100 >> Charlotte, NC 28226 >> ireuscher(@deltaenv.com <mailto:-jreuscher(@deltaenv.com> >> Direct: 704.543.3928 » Fax: 704.543.4035 >> Mobile: 704.575.8415 >> www.deltaenv.com <http://www.deltaenv.com/> >> Member of: >> Inogen Environmental Alliance >> www.inogenet.com <http://www.inogenet.com/> Peggy Finley - Peggy.Finley(@ncmail.net North Carolina Dept. of Environment & Natural Resources Div. of Water Quality - Aquifer Protection Section Iredell County Government Center 610 E Center St., Suite 301 Mooresville, NC 28115 Ph: (704) 235-2183 Fax: (704) 663-6040 y� a 3 Ze: Alchem CSA - Additional Information Request 9 Subject: Re: Alchem CSA - Additional Information Request From: Peggy Finley <peggy.flnley@ncmail.net> Date: Fri, 29 Aug 2008 16:54:58 -0400 To: John Reuscher <JReuscher@deltaenv.com> John: After reviewing your an extension. Peggy John Reuscher wrote: Peggy: request,. please be advised that we cannot grant your request for We have completed the historical review and site history - the basic background info required in the CSA. The earliest the drilling company can get on -site is September 18th since we had to postpone drilling that was scheduled for tomorrow. The drilling activities will take approximately two days. We will be collecting soil samples during well installation and groundwater samples the week after to allow the wells to equilibrate. Let me know if you will require slug testing as that may add to the schedule as well. Ultimately, once we review the lab results and can confirm that, for the most part the CSA is complete, we can prepare and submit the report. Considering the time requirements, that is why I suggested a due date at the end of October. Please advise and thank you. --Original Message----- 27, ggy.finley@ncmail.net] Sent: Wednesday, August From: Peggy Finley[mailto:pe 2008 1:31 PM To: John Reuscher Cc: Andrew Pitner Subject: Alchem CSA - Additional Information Request John: In reviewing your request with Andrew, we noted that the current CSA submission deadline of August 31, 2008 was granted in response to your May 2 request for an extension. The original deadline for receipt of this report, as stated in the February 5 NOV, was May 6. In other words, over six months have passed since we made our original request. Another extension would push it out to eight months. Please submit a time line that shows which aspects of the CSA have been accomplished to date. Peggy John Reuscher wrote: Peggy* As we discussed this morning, Delta Consultants is requesting an extension for submittal of the Comprehensive Site Assessment (CSA) at the Alchem, Inc. site in Rockwell, Rowan County. As I mentioned, we have approval from Alchem to implement our proposed activities which includes the installation of five shallow Type II and one deep Type III groundwater monitoring wells at the site. We have to date collected information required for the CSA but have been held up with the drilling schedule due to the driller's availability, heath issues with the site manager, and of course the current weather situation. As you are aware, Alchem has made substantial progress in correcting past issues and intends to comply fully with the requirements of the CSA. Please allow an extension for completion and submittal of the CSA activities and final report until October 31, 2008. Once the site 10/15/2008 9:54 A 1 Af Re: Alchem CSA - Additional Information Request is allowed to dry sufficiently to access the well locations, the drilling company will be scheduled to begin work. It is our understanding that they will not be able to begin work on the project until mid -September based on their current work load. In addition, please advise me whether the Regional Office will require slug tests to be performed at the site as part of the CSA. Based on the Guidelines, this activity is optional and at the discretion of the Office. Thank for your consideration of this proposed extension. If you have any questions, comments, or concerns, please contact me. Sincerely; John D. Reuscher, P.G. Project Manager DELTA CONSULTANTS 8008 Corporate Center Suite 100 Charlotte, NC 28226 jreuscher@deltaenv.com Direct: 704.543.3928 Fax: 704.543.4035 Mobile: 704.575.8415 www.deltaenv.com <http Drive <mailto:lreuscher@deltaenv.com> ://www.deltaenv.com/> Member of: Inogen Environmental Alliance www.inogenet.com <http://www.inogenet.com/> Peggy Finley - Peggy.Finley@ncmail.net North Carolina Dept. of Environment & Natural Resources Div. of Water Quality - Aquifer Protection Section Iredell County Government Center 610 E Center St., Suite 301 Mooresville, NC 28115 Ph: (704) 235-2183 Fax: (704) 663-6040 2 of 2 10/15/2008 9:54 AM Alchem CSA - Additional Information Request m Subject: Alchem CSA - Additional Information Request From: Peggy Finley <peggy.finley@ncmail.net> Date: Wed, 27 Aug 2008 13:30:44 -0400 To: John Reuscher <JReuscher@deltaenv.com> CC: Andrew Pitner <Andrew.Pitner@ncmail.net> John: In reviewing your request with Andrew, we noted that the current CSA submission deadline of August 31, 2008 was granted in response to your May 2 request for an extension. The original deadline for receipt of this report, as stated in the February 5 NOV, was May 6. In other words, over six months have passed since we made our original request. Another extension would push it out to eight months. Please submit a time line that shows which aspects of the CSA have been accomplished to date. Peggy John Reuscher wrote: Peggy: As we discussed this morning, Delta Consultants is requesting an extension for submittal of the Comprehensive Site Assessment (CSA) at the Alchem, Inc. site in Rockwell, Rowan County. As I mentioned, we have approval from Alchem to implement our proposed activities which includes the installation of five shallow Type II and one deep Type III groundwater monitoring wells at the site. We have to date collected information required for the CSA but have been held up with the drilling schedule due to the driller's availability, heath issues with the site manager, and of course the current weather situation. As you are aware, Alchem has made substantial progress in correcting past issues and intends to comply fully with the requirements of the CSA. Please allow an extension for completion and submittal of the CSA activities and final report until October 31, 2008. Once the site is allowed to dry sufficiently to access the well locations, the drilling company will be scheduled to begin work. It is our understanding that they will not be able to begin work on the project until mid -September based on their current work load. In addition, please advise me whether the Regional Office will require slug tests to be performed at the site as part of the CSA. Based on the Guidelines, this activity is optional and at the discretion of the Office. Thank for your consideration of this proposed extension. If you have any questions, comments, or concerns, please contact me. Sincerely; John D. Reuscher, P.G. Project Manager DELTA CONSULTANTS 8008 Corporate Center Drive Suite 100 Charlotte, NC 28226 jreuscher@deltaenv.com <mailto:jreuscher@deltaenv.com> Direct: 704.543.3928 Fax: 704.543.4035 Mobile: 704.575.8415 www.deltaenv.com <http://www.deltaenv.com/> Member of: Inogen Environmental Alliance www.inogenet.com <http://www.inogenet.com/> 1 of 2 8/27/2008 1:55 PM SUSTAINABLE STRATEGIES FOR GLOBAL LEADERS May 29, 2008 North Carolina Department: of: Environmel and Natural Resources Division of Water Quality D Aquifer Protection Section 610 East Center Avenue, Suite 301 Mooresville, North Carolina 28115 Attn: Peggy Finley JUN - 2 2008 Subject: Clarification and Request for Data Alchem, Inc. Facility Rockwell, Rowan County, North Carolina D E LTA Delta Project No.: 5070210112 Dear Peggy: On behalf of Alchem, Inc. (Alchem), Delta Consultants (Delta) is providing the following clarification to our correspondence to the. North Carolina Department of Environment and Natural Resources (NCDENR) :dated May 20, 2008. Based on further discussions with Mr. Robert Wolcott of Alchem, subsurface soil excavation was not completed at potential source areas. Rather, the former acid containment structure including associated holding tanks were removed and replaced with new process equipment. In addition, limited grading was completed at the site for purposes of erosion control and contouring for placement of the upgraded containment operation. No subsurface soils were excavated at potential source areas at the site and disposed off -site. We apologize for any confusion our previous correspondence may have caused. In order to move forward with completion of the initial elements of the Comprehensive Site Assessment, Delta requests that we be provided with copies of the laboratory analytical reports, sample location maps, and property owners information associated with the water -supply wells sampled by the NCDENR in the vicinity of the Alchem site. As such, please contact me regarding the most convenient and expeditious manner to satisfy this request. a member of.• xlnogen® Environmental Alliance 8008 CORPORATE CENTER DRIVE SUITE 100 CHARLOTTE, NORTH CAROLINA 28226 USA PHONE 704.541.9890 / 800.477.7411 FAx 704.543.4035 WWW.DELTAENV.COM Clarification and Request for Data Alchem, Inc. Facility Rockwell, North Carolina May 29, 2008 Page 2 We appreciate your response. If you have any questions or comments, please do not hesitate to contact me at (704) 543-3928 or at ire uscher a�deltaenv.com. Sincerely, DELTA CONSULTANTS C C)n D. Reuscher, P.G. Project Manager PC: Randall F. Andrews — Alchem, Inc.; Red Springs, NC Robert A. Wolcott — Alchem, Inc.; Rockwell, NC ivy` z � �� � `� W ATFR QG Alchem, Inc. 8135 Red Road Rockwell, North Carolina 28138 Attention: Robert Wolcott Dear Mr. Wolcott: Michael F. Easley, Governor [FlyWilliam G. Ross Jr., Secretary North Carolina Department of Environment and Natural Resources Coleen H. Sullins, Director Division of Water Quality AQUIFER PROTECTION SECTION May 28, 2008 RE: Receipt of Additional Information CSA Extension Request On May 21, 2008, this office received the additional information submitted on your behalf by John Reuscher, P.G. The work schedule proposed a submission date of October or November for the CSA report. The report was originally due on May 6, 2008. Based on a review of all the information associated with this extension request, this office will extend the deadline to no later than Auqust 31, 2008. The CSA report must include the horizontal and vertical extent of soil and groundwater contamination. Please refer to the enclosed guideline. The letter makes reference to soil excavation that has recently taken place. The purpose of the CSA is to identify the source of the problem so that an appropriate corrective action plan (CAP) can be developed and executed. The Division has not been informed of nor approved the excavation of any soil in any potential source areas at the site. Within 30 days, please submit a description, map and copies of disposal manifests for such activities. In response to other issues raised in the letter, please be aware that sampling by MRO staff identified two other off -site water supply wells that appear to have been impacted by the activities at Alchem. The McIntyre well was cited in the February 5, 2008 Notice of Violation because it was the most affected water supply known at the time. Also, the contaminants of concern do not have to be considered hazardous by statute to represent a violation of Title 15A NCAC 2L .0202. Should you have any questions, feel free to contact me by phone at 704/235-2183 or via email at peggy.finley@ncmail.net. Sincerely, re �L , Peg it ey Environmental Specialist Enclosure: excerpt from Groundwater Section Guidelines for the Investigation and Remediation of Soil and Groundwater, July 2000 Cc: Kim Colson, P.E. — APS Land Application Unit Randall Andrews, 2042 Buie Philadelphus Rd., Red Springs, NC 28377 John Reuscher, P.G., Delta Environmental, 8008 Corporate Center Dr., Suite 100, Charlotte 28226 Maf/alchem ext Itr 5-28-08 Division of Water Quality / Aquifer Protection Section / Mooresville Regional Office Phone: (704) 663-1699 Fax: (704) 663-6040 Nor hCarolina 610 East Center Avenue, Suite 301, Mooresville, NC 28115 Customer Service 1-877-623-6748 Internet: www.ncwaterguality.org Xqw, 11b, SUSTAINABLE STRATEGIES FOR GLOBAL LEADERS May 20, 2008 North Carolina Department of Environment and Natural Resources Division of Water Quality Aquifer Protection Section 610 East Center Avenue, Suite 301 Mooresville, North Carolina 28115 Attn: Peggy Finley Subject: Request for Extension Comprehensive Site Assessment Alchem, Inc. Facility Rockwell, Rowan County, North Carolina D E LTA Delta Project No.: 5E0702101 P .mabe.,. Xinogen mental Alliance Dear Peggy: On behalf of Alchem, Inc. (Alchem), Delta Consultants (Delta) is requesting an extension for completion and submittal of the Comprehensive Site Assessment (CSA) as requested by your office in the Notice of Violation (NOV-2008-LV-0064) dated February 5, 2008. The NOV was issued to the referenced facility as a result of apparent on -site and off -site groundwater impacted by sulfate concentrations above the established North Carolina Groundwater Quality Standard (NCGQS) and pH levels below the established NCGQS range. Delta requests an extension of 120 days from receipt of this letter to conduct the necessary initial CSA components and provide a report summarizing these activities. Delta proposes to complete the CSA in increments based on the following: ■ Substantial environmental restoration has occurred at the subject site over the previous four months. The activities completed at the site to date have included excavation of subsurface soils at areas thought to represent potential source areas of the impact identified. ■ Only one off -site potable water -supply well has been impacted, the source of which has not been determined. Alchem has voluntarily connected the well users to the municipal supply thereby eliminating the potential exposure pathway. 8008 CORPORATE CENTER DRIVE SUITE 100 CHARLOTTE, NORTH CAROLINA 28226 USA PHONE 704.541.9890 / 800.477.7411 FAx 704.543.4035 WWW.DELTAENV.COM 2� �\ z� 9�� ��«�7 {� :� � � } . ■ )-- »�_.,_7�{ d Q} . , -: . \{ . . � & &« � }`~ \/ - � . .\� � .«2! � � ��� \ � � -� \ Request for Extension May 20, 2008 Alchem, Inc. Facility Rockwell, North Carolina Page 2 The contaminants of concern at the subject site are not hazardous substances, do not exhibit the characteristics of a hazardous waste, or are not listed hazardous wastes as defined in 40 CFR Part 261. Our proposed schedule for implementation of the CSA-related activities include: Completion of the site usage history, updated receptor survey, and assess me nt/ch aracte rizati on of potential source areas— May to July 2008; Completion of the site hydrogeologic assessment beginning with the installation of a network of shallow groundwater monitoring wells sufficient to define the horizontal extent of apparent impact. Vertical assessment of the apparent impact as well as groundwater modeling will be conducted to the extent required based on the shallow investigation results — July to October 2008; and Completion and submittal of a CSA report or interim report detailing the CSA components addressed during this time frame — October to November 2008. We appreciate you consideration for the extension requested. If you have any questions or comments, please do not hesitate to contact me at (704) 543-3928 or at 0reuscher@deltaenv. com. Sincerely, DELTA CONSULTANTS ohn D. Reuscher, P.G. Project Manager PC: Randall F. Andrews — Alchem, Inc.; Red Springs, NC Robert A. Wolcott — Alchem, Inc.; Rockwell, NC ALCHEM, INC 8135 RED ROAD ROCKWELL NC 28138'' 704-279-7908 fax 704-279-8418 FF2dwolcott2@windstream.net May 2, 2008 RE: REQUEST FOR EXTENSION ON COMPREHENSIVE SITE ASSESSMENT FOR ALCHEM, INC Dear Ms. Peggy Finley, Alchem has hired John Rouscher, NC Licensed Geologist with Delta Environmental. Mr. Roucher has informed me that due to the extensiveness of this study and the work entailed in completing this study, the May 6, 2008 deadline for this to be completed is not feasible. Based on this, it is at this time that I would like to respectfully request an extension for this study to be preformed. The delay in hiring Delta Environmental is due to ALL the other compliance issues that ALCHEM, INC has received from the Mooresville Office over the past 3months. However it is at this time that I am pleased to inform you that approximately 90% of the first 10 compliance issues are complete. With these issues being almost complete, we are now able to proceed with the Lagoon Inspections & CSA of the site. During the past month Alchem, Inc has gone through a monumental undertaking of Environmental & General Clean — Up. I would ask that you also take financial reasons into consideration for this delay. Over the past 3 '/2 - 4 months, ALCHEM has spent close to $500,000.00 in its effort to rectify compliance issues and clean up, i.e. payroll + overtime, equipment rentals, fuel, etc. From what Mr. Roucher has explained to me the CSA that you are requiring be performed can run into the 6 figure range. Once again let me say that I truly understand the track record Alchem, Inc has had in the past with NCDENR. I regretfully can not change the past but have asked that NCDENR recognize the fact that Alchem, Inc is a completely NEW company with new employees, management, image and that we have worked EXTREMELY hard to get into compliance with all of your requests over the past 4 months. In closing I would like to thank you in advance for your understanding and cooperation during the reconstructuring of ALCHEM. Thank you, Robert Wolcott CHIEF OPERATIONS OFFICER ALCHEM, INC 8135 RED RD ROCKWELL, NC 28138 cc: Kim Colson, P.E., Supervisor, APS Land Application Unit John Roucher, Licensed Geologist, Delta Environmental 8008 Corporate Center Dr, Suite 100 Charlotte, NC 28226 Randall Andrews H. Addison Winters, Attorney at Law, The Yarborough Law firm P.O. Drawer 705 Fayetteville, NC NC STATE SENATOR Andrew Brock, 1119 Legislative Building Raleigh, NC 27601-2808 Sean Walker, Attorney at Law, Law Firm of Woodson, Sayers, Lawther, Short, Parrot & Walker, LLP 225 North Main St, Suite 200 P.O. Box 829 Salisbury, NC 28145-0829 micnaei r-. tasiey, governor William G. Ross Jr., Secretary North Carolina Department of Environment and Natural Resources Coleen H. Sullins, Director Division of Water Quality 'IV LF) 11 AQUIFER PROTECTION SECTION May 9, 2008 Alchem, Inc. 8135 Red Road Rockwell, North Carolina 28138 Attention: Robert Wolcott RE: Acknowledgement of Receipt Request for Extension Dear Mr. Wolcott: Your letter requesting an extension for submission of the comprehensive site assessment (CSA) was received in this office on March 6, 2008. The request arrived on the day of the deadline as per NOV- 2008-LV-0064. In order to consider your request, additional information is needed. Within 10 days of receipt of this letter, please submit a proposed work schedule. The schedule should include a timeline for completion of the activities required by the CSA as well as submission of the report that details the findings and recommendations. Should you have any questions, please call me at 704/235-2183. Sincerely, Peggy Finley Environmental Specialist Cc: Kim Colson, P.E., APS Land Application Unit Randall Andrews 2042 Buie Philadelphus Rd., Red Springs NC 28377 John Reuscher, L.G. — Delta Environmental, 8008 Corporate Center Dr., Suite 100, Charlotte 28226 maf/achem req for ext 5-8-08 Division of Water Quality / Aquifer Protection Section / Mooresville Regional Office Phone: (704) 663-1699 Fax: (704) 663-6040 NorthCarolina 610 East Center Avenue, Suite 301, Mooresville, NC 28115 Customer Service 1-877-623-6748 Internet: w,,vw.nclvaterauality.ora Naturallb, Michael F. Easley, Governor O William G. Ross Jr., Secretary \L�J/ North Carolina Department of Environment and Natural Resources i Coleen H. Sullins, Director Division of Water Quality AQUIFER PROTECTION SECTION April 25, 2008 Alchem, Inc. 8135 Red Road Rockwell, North Carolina 28138 Attention: Robert Wolcott RE: Acknowledgement. of Receipt Report on Providing Alternate Water to McIntyre Well Users Non -discharge Permit No. WQ0002702 Industrial Recycle — Bauxite Process Alchem Facility, Rockwell, Rowan County Dear Mr. Wolcott: This office received the referenced status report on March 12, 2008. The report detailed the installation of a municipal water line for the residents heretofore served by the water supply well known as the McIntyre Well, described in the Notice of Violation (NOV-2008-PC-0064) dated February 5, 2008. We appreciate your efforts to comply in a timely fashion with this requirement of the notice. Your environmental concerns regarding land use activities on adjacent properties are being forwarded to the appropriate regulatory agencies, specifically the Rowan County Environmental Health for the failing septic tank and drainfield issues and the North Carolina Division of Waste Management and Rowan County Solid Waste for the hazardous and solid waste issues. As I stated in our telephone conversation earlier this week, Alchem is responsible for submission of the Comprehensive Site Assessment, which is due in this office on or before May 6, 2008. Should you have any questions, do not hesitate to contact me at 704/663-1699, ext. 2180. Sincerely, a Andrew H. Pitner, P.G. Environmental Regional Supervisor Cc: Kim Colson — APS Land Application Unit Randall Andrews, Alchem Inc., 2042 Buie Philadelphus Rd., Red Springs, NC 28377 MAF/achem/enforcements ack 4-25-08 Division of Water Quality / Aquifer Protection Section / Mooresville Regional Office Phone: (704) 663-1699 Fax: (704) 663-6040 NorthCarolina 610 East Center Avenue, Suite 301, Mooresville, NC 28115 Customer Service 1-877-623-6748 Internet: www.ncwateraualitv.ora Naturally �William G. Ross Jr., Secretary � North Carolina Department of Environment and Natural Resources Coleen H. Sullins, Director Division of Water Quality AQUIFER PROTECTION SECTION March 19, 2008 Rowan County Environmental Health 402 N. Main Street Salisbury, North Carolina 28147 Attention: Lyn Aldrege, Supervisor RE: Citizen Complaint Concerning 230 Large Ave., Rockwell Dear Mr. Aldrege: Enclosed you will find a copy of a letter that was included in a report that I recently reviewed. The author, Robert Wolcott, operates the Alchem, Inc. facility that is adjacent to the property at 230 Large Ave. Since the issue of a failing septic system this is a matter that would be under the jurisdiction of Rowan County Environmental Health, I have advised Mr. Wolcott that I would be forwarding this information 'to you for follow-up. Should you have any questions, please contact me or Andrew Pitner at 704/663-1699. Sincerely, , Peggy Finley Environmental Specialist Enclosures Maf/Alchem-Lyn Aldrege Itr 3-19-08 One Division of Water Quality / Aquifer Protection Section / Mooresville Regional Office Phone: (704) 663-1699 Fax: (704) 663-6040 NthCarolhia 610 East Center Avenue, Suite 301, Mooresville, NC 28115 Customer Service 1-877-623-6748 Internet: vvww.ncwaterguality.org d►utllra��1� micnaei r. casiey, %zeovernur William G. Ross Jr., Secretary North Carolina Department of Environment and Natural Resources Coleen H. Sullins, Director Division of Water Quality AQUIFER PROTECTION SECTION March 19, 2008 Rowan County Environmental Services 402 N. Main Street Salisbury, North Carolina 28147 Attention: Lori Swaim RE: Citizen Complaint Concerning 230 Large Ave., Rockwell Dear Ms Swaim: Enclosed you will find a copy of a letter that was included in a report that I recently reviewed. The author, Robert Wolcott, operates the Alchem, Inc. facility that is adjacent to the property at 230 Large Ave. Since some of the issues mentioned are matters that would be under the jurisdiction of Rowan County Environmental Services, I have advised Mr. Wolcott that I would be forwarding this information to you for follow-up. Should you have any questions, please contact me or Andrew Pitner at 704/663-1699. Sinc erely, �r�'ley v Environmental Specialist Enclosures Maf/Alchem-Lori Swaim CO SW Itr 3-19-08 One Division of Water Quality / Aquifer Protection Section / Mooresville Regional Office Phone: (704) 663-1699 Fax: (704) 663-6040 N0 Carolina 610 East Center Avenue, Suite 301, Mooresville, NC 28115 Customer Service 1-877-623-6748 Internet: 1rrww.ncARaterauality.ora d+u�ura��l✓