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HomeMy WebLinkAboutNCG030614_COMPLETE FILE - HISTORICAL_20140515STORMWATER DIVISION CODING SHEET RESCISSIONS PERMIT NO. DOC TYPE ❑COMPLETE FILE -HISTORICAL DATE OF RESCISSION ❑ �" I �-�' OS �S YYYYMMDD om`�'.....A NCDENR North Carolina Department of Environment and Natural Resources Pat McCrory Governor Pierre Lau ffer Static Control Components, Inc 2801 Lemon Springs Road Sanford, NC 27332 Dcar Mr. Lauffer: John E. Skvarla, III Secretary May 15, 2014 Subject: Rescission of NPDES Stormwater Pennit Certificate of Coverage Number NCG030614 Plant 9 Maintenance Storage & Plant 16 Toner Packaging Lee County On April 24, 2014, the Division of Energy, Mineral and Land Resources received your request to rescind YOU coverage under Certificate o1'Coverage Number NCG03,0614. In accordance with your request, Certificate of Coverage Number NCGO30614 is rescinded effective immediately. Operating a treatment facility, discharging wastewater or discharging specific types ofstormwater to waters ofthe State without valid coverage under an NPDES permit is against federal and state laws and could result in fines. If something changes and your facility would again require stormwater or wastewater discharge permit coverage, you should notify this office immediately. We will be happy to assist you in assuring the proper permit coverage. If the facility is in the process of being sold, you will be performing a public service if you would inform the new or prospeciive owners of their potential need for NPDES permit coverage. If you have questions about this matter, please contact Julic Ventaloro at 919-807-6370, or the Stormwater staff in our Raleigh Regional Office at 919-791-4200. Sincerely, ORIGINAL SIGNED B) KEN PICKLE for Tracy E. Davis, PE, CPM, Director Division of Energy, Mineral and Land Resources cc: Raleigh Regional Office —D. Parnell Stormwater Permitting Program Central Files - w/attachments Division of Energy, Mineral, and Land Resources Energy Section - Geological Survey Section - Land Quality Section 1612 Mail Service Center, Raleigh, North Carolina 27699-1612.919-707-9200 / FAX: 919-715.8801 512 North Salisbury Street, Raleigh, North Carolina 27604 • Internet: http:/loortal.ncdenr.orgMeb/ir/ An Equal Opportunity 1 Affirmative Action Employer — 50% Recycled 110% Post Consumer Paper All • Division of.Water Quality I Surface Water Protection . MIA ��®��� National Pollutant Discharge Elimination System N �ouq^°V-^'rmt'C' 'RESCISSION REQUEST FORM ENYIRONI+Ewt Iwo NV,A L Rr5ou Rcc3 FOR AGENCY USE ONLY Date Received Year Month pay Please fill out and return this form if you no longer need to maintain your NPDES stormwater permit. 1) Enter the permit number to which this request applies: Individual Permit (or) Certificate of Coverage i-t 2) Owner/Facility Information: * Final correspondence will be mailed to the address noted below 02 � j j j� Owner/Facility Name Static Control Components, Inc. In!LPL"]14O V�/] R Facility Contact Pierre Lauffer, EH&5 Specialist -- St re et Address 2801 Lemon Springs Road p7 2 4 L014 City Sanford State NC ZIP Code 272 wA County Lee E-mail Address pierrel@scc-i e3 MTER Telephone No. 919/774-3808, ext 1893 Fax: 919 / 776-3740 3) Reason for rescission request (This is required information, Attach separate sheet if necessary): ❑ Facility closed or is closing on . All industrial activities have ceased such that no discharges of stormwater are contaminated by.exposure to industrial activities or materials. ❑ Facility sold to ai on IVY If the facility will continue operations under the new owner it may - be -more -appropriate -to -request -art - ownership -change -to-reissue-to-permit-to-the-flew-owner. -- Z Other- Repeated sampling results to the property at 7801 Lemon Springs Road are above benchmarks for constituents which Static Control does not manufacture, process, or store. Constituents are believed to derive from owners/operations on neighboring property or from previous owners/ operators of this property (see attached document for more detailed background information). 4) Certification: I, as an authorized representative, hereby request rescission of coverage under the NPDES Stormwater Permit for the subject facility. I am familiar with the information contained in this request and to the best of my knowledge and belief such information is true, complete and accurate, Sig Date `f Li (I -e ._ (-OtWl-Gev _�), I.e_v�i­s '�P R�Gd\ut� �MnaZ Print or type name of person signing above Title Please return this completed rescission request form to t611 Mail Service Center, Raleigtr, North Carolina 27699-1617 Location: 512 N. Salisbury St. Raleigh, North Carolina 27604 Phone: 9IM07-63001 FAX: 919.807-64921 Customer Service: 1.877-623-6748 Internet, www.ncwaterquality.org An Equal Opportunity 1 Aff rmative Action Employer SW NPDES Permit Coverage Rescission Stormwater Permitting Unit 1617 Mail Service Center Raleigh, North Carolina 27699-1617 NorthCaroiina Naturally ��0 From: Pierre Lauffer [mailto:Pierrel@SCC-1NC.comJ Sent: Friday, March 21, 2014 8:13 AM To: Parnell, David Cc: Debbie Bigelow; Michael Stephens Subject: Follow up Discussion of Stormwater at Static Control Components, Sanford, NC David, Thank you so much for agreeing to meet with us yesterday (Wednesday, 1/9/2014) to discuss our path forward regarding our Stormwater Permit as we go through Tier 2 process at the 2801 and 2801-B Lemon Springs Road property As you saw yesterday, the property contains two facilities. Though the facilities are located adjacently on one continuous property, Plant 9 and 16 are different in their processes. The activities at Plant 9 include in-house metal fabrication and equipment & parts painting, wood and plexi-glass carpentry, and vehicle maintenance. They refurbish, upgrade, restore or repair machinery and equipment used throughout the company. if necessary they will also fabricate HVAC system components and other equipment or do carpentry. They conduct all truck repairs for Static Control. The Plant itself is encompassed in a .28 acre (12,000 sq. ft.) sized building with most all activities occurring inside the building with none of the materials used exposed to the outside environment. Plant 16 is a 3.13 acre (135,124 sq.ft.) sized building involved in the mixing and packaging of toner. There are two basic toners- a chemical type and a pulverized resin -based toner. These toners, monochrome and color, are re -packaged in bottles, ranging from 10 -128 ounces, and boxes and bulk drums, for shipment to customers. These finished goods are shipped out of the warehouse side of the Plant to Static's Distribution Center. As with Plant 9, all activities at Plant 16 are in the building- never exposed-to-the-outside:-Further,-nothing-is-manufactured-in-Plant-1-6 The -toner -is -shipped -in -and — repackaged and then subsequently shipped back out. The two buildings that currently encompass Plant 9 and 16 were purchased from Coleman Cable Systems, Inc in 1998 which was the successor to Cable Communication, Inc. Prior to Coleman Cable, the property was owned by a mobile home manufacturing company and prior to that, the property was a tobacco warehouse. There are indications that industrial activities conducted during the predecessor ownership -have resulted in environmental impacts to the property for which we have no control over. Based on the recommendations from our consultant, we initially selected 6 outfalls to be sampled (Please see attached map showing outfalls). The results of the analysis from our initial sampling to satisfy our Tier 1 requirements indicated the presence of copper at Outfalls 4 and 5 and zinc at Outfalls 4 and 6 (See attached summary of sampling events). In response to the results from this sampling event, Static Control implemented a site -wide re -grading, landscaping and re -ditching to improve drainage and Stormwater quality (Please refer to attached map showing these areas) and resampled the outfalls November 26, 2013. Analysis results from this sampling event showed copper above the benchmark in water samples from Outfalls 1, 2, and 5; zinc in samples from Outfalls 1, 4, 5 and 6; and lead in Outfail 5. Sample Results Discussion There is a question of the potential source(s) of these constituents. Static Control does not produce any products that contain these, sources of pollution nor do they use any of these constituents in the manufacturing process. Moreover, Static Control spent over $ 70k to rectify potential problems in response to the Tier i process. It seems that, as evident in the increase in the level of contamination after the site re -grading and landscaping, the source of the pollution derived from the previous owners' activities. The constituents were. stabilized in the soil after a long period of existing in the soil and was disturbed only after doing the re -grading work. The previous property owners, Coleman Cable stored and used many electrical components (including wiring, conducters, etc) that did contain copper, lead and zinc. Further, located adjacent, and uphill, to this property is a Duke/Progress Energy site that could also be a source of these constituents. Indications that this could be the case is illustrated with the laboratory results from the sample collected from Outfall 6 which indicated the presence of zinc. Outfall 6 is actually up -gradient from both Plant 9 and 16 but is down -gradient and adjacent to the Duke/Progress Energy Property (See attached map). Further, we realize that the North American Industry Classification Code System (NAICS) for this property is listed as 335999 which fits nothing that takes place on the property. Static Control manufactures nothing on site nor do they manufacture any electronic goods for retain nor wholesale The closest NAILS code that would fit the activities on site would be 488991- Packing and Preparing Goods for Shipping. Based on these findings, Static Control feels that it would be legitimate in asking that the property located at 2801 Lemon Springs Road, Sanford, NC 77331 be allowed to be removed from the stormwater permitting process. " Pierre iauffer -Environmental-Health-and-Safety-Specialist- Static Control Components, Inc. 919-774-3808 ext. 1893 Ventaloro, Julie From: Parnell, David Sent: Wednesday, May 14, 2014 1Oil 3 AM To: Ventaloro, Julie Cc: Holley, John Subject: RE: Rescission Requests - Multiple Follow Up Flag: Follow up Flag Status: Flagged NCG030614 — Static Control, Plant 9 and 16 —Agree to Rescind. NCG020412- Fountain Pit — DLR has closed out the pit. Agree to Rescind. More later. Dave From: Ventaloro, Julie Sent: Thursday, May 01, 2014 4:33 PM To: Parnell, David Cc: Holley, John Subject: Rescission Requests - Multiple Dave, We've received rescission requests for seven facilities in your region: NCG030614 — Plant 9 Maintenance Storage & Plant 16 Toner Packaging (Static Control Components, Inc) in Lee County. Dave, they included a copy of an email to you from March 2014 that indicates you met with them in January 2014 to discuss issues with the Tier 2 process. Ken Pickle informed me that he and Bethany provided you with his opinions on the situation as well. I've attached that email string for your reference. Let me know if you agree with Ken and Bethany's assessment of the situation and are okay with rescinding. NCG030594 — Harris Rebar North Carolina, Inc in Granville County. They state that all the run-off from the industrial activity is collected in retention/infiltration ponds resulting in no discharge. Contact person for this facility is James Moseley at 919-528-8333 or imoselev@,harrisrebar.com. I'm not sure how we've handled these inquiries in the past, but I don't know if there are any ponds out there that really never discharge. But then if there is no discharge on most days, there wouldn't be any outfalis to sample... NCG140333 —Johnson's Block and Concrete Co in Vance County. They state they have gone out of business. No contact information provided. The rescission request came in the form of a returned invoice. NCG020412 — Fountain Pit facility (Barnhill Contracting) in Edgecombe County. They state that the facility is closed. Contact is Buddy Rose at 252-823-1021. NCG060247, NCG060010, and NCG060011-Omtron USA, all in Chatham County. The attorney for the company states that they filed for bankruptcy. Please let me know if the Raleigh Regional Office recommends rescission of these permits. Thanks! Julie Ventaloro Stormwater Permitting Program NC Division of Energy. Mineral, and Und Resources 16iz Mail Service Center, Raleigh. NC z7699-i6m P11011e: (919) 807-637o Fax: (919) 807-649 i Websitc: s E-rvtrtil correspondcoce to and from this address nmy be subject to the North C'urolinn Public Recurds, Law crud cony be disclosed to thirst partics, Ventaloro, Julie From: Pickle, Ken Sent: Thursday, May 01, 2014 4:15 PM To: Ventaloro, Julie Subject: FW: Follow up Discussion of Stormwater at Static Control Components, Sanford, NC Hi Julie, Here's the rationale I put together in March. But, please note, Dave Parnell did not communicate his agreement, or dissent. I would suggest that we need to close the loop with Dave, and act (accept or deny rescission) only after we give him another chance to comment. Ken Ken Pickle Environmental Engineer NCDENR I DEMLR I Stormwater Permitting Program 1612 Mail Service Center, Raleigh, NC 27699-1612 512 N. Salisbury St, Raleigh, NC 27604 Phone: (919)807-6376 Fax: (919) 807-6494 Email: ken.oickle@ncdenr.gov Website: http://portal.ncdenr.org/web/Ir/stormwater ** Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties unless the content is exempt by statute or other regulations.** From: Georgoulias, Bethany Sent: Tuesday, March 25, 2014 1:38 PM To: Pickle, Ken Cc: Holley, John; Bennett, Bradley; Parnell, David Subject: RE: Follow up Discussion of Stormwater at Static Control Components, Sanford, NC Ken, I agree with your assessment. I was also shocked they'd already spent 70K in Tier 1 response ---it seemed very premature, particularly if there was a question about whether the permit even applied. -Bg Beih,imtr CeoiWmlius, l nviro nmeniol lalghwer NCDENR / Division of Energy. Mineral, and Land Resources Stormwater Permitting Program 1612 Moil Service Center, Raleigh, NC 27699-1612 512 N. Salisbury Street, Raleigh, NC 27604 919 / 807-6372 (phone): 919 / 807-6494 (fax) Website: http://Vot-tal.iicdenr.oraJ veb/Ir/stormwater . !.'-mail corresporideace to and,lrorn this address may he sublect to the Earth (.'arolina PuNic Records !mr and may he disclosed to third parlies. From: Pickle, Ken Sent: Tuesday, March 25, 2014 10:37 AM To: Parnell, David Cc: Halley, John; Bennett, Bradley; Georgoulias, Bethany Subject: RE: Fallow up Discussion of Stormwater at Static Control Components, Sanford, NC Hi Dave, OK, Pierre lays out an interesting set of circumstances. Here's how I'd attack his several questions. 1. First, we need to settle the question of whether or not this site is conducting a regulated activity under the federal stormwater regs. That is, are they subject to our authority to require o federal !NPDES stormwater permit? a. First step: It's apparent he has a stormwater discharge. OK then, the second necessary aspect that would capture his site is its SIC code. The SIC codes captured are named in the federal rules. He cites the NAICS code of 488991, which translates into the older SIC code of 4783 according to the NAICS website crosswalk tool shown here. http://www.naics.com/wp/wo-content/upEoads/2013/12/NAICS- to-SIC-CrosAwalk. df SIC Major Group 47, including code 4783 are not regulated under federal rule at 40 CFR 122.26(b)(14). So, on this count his facility would not be regulated under the NPDES stormwater rules. We would not be required to issue a permit for his industrial activities. b. Furthermore, EPA guidance in 1992 at the start of the federal Stormwater program explains that off -site ,warehouses associated with a manufacturing activity are not part of the regulated manufacturing activity. c. So, if this site operates mostly like an off -site (relative to the manufacturing activity) warehouse, he is not engaged in a regulated activity. Or, if this site is engaged in packing and crating as per SIC 4783, he is not engaged in a regulated industrial activity under NPDES. d. One last caveat: However, if he is painting, assembling, or otherwise engaged in industrial activities that are best characterized as part of the manufacturing process, i.e. 'making his product', then he is engaged in industrial activity under NPDES. It sounds like he isn't based on his email below. e. Endpoint: So, presuming no problems from the caveat in item d above, we should concur with his request. We should rescind his permit for this site. He needs to use our forms on our website to make the rescission request. We will typically ask the Region to visit on every rescission request, and to confirm that site conditions and activities substantiate his description of them, and that the Region has not objection to rescinding the permit. Given that you have already been on site twice, you might want to skip a third trip, if you wish. lust let us know. 2. 1 think the issue is resolved immediately above. However, his other comments deserve some consideration, even if we limit it to internal assessment. a. If he were regulated under federal NPDES rules, we would not be receptive to the argument that a prior owner caused contamination that now appears in the stormwateri discharge from his facility. He bought the site; it's his site; and he's responsible for the pollutants that run off of it in a rain. A robust market exists for consulting services associated with property transfers, the Environmental Site Assessment, or Phase I; market. Prudent businesses and lenders regularly require a Phase I for property transfers. Even in 1998, b. He -comments that_he__ha� no,control-over _the, prior pollutants, On the contrary, he has control over his site now. That he didn't cause the past pollution is not significant under the program. c. Ug comments that he enggged in re. -grading and improved the ditching and drainage at the site. Without knowing the details, it's my suspicion that very likely this made things worse. Generally speaking, improved stormwater control is not accomplished by removing the water off the site more expeditiously, Le, by'better drainage'. I hope my impression of his activities is mistaken, because spending money for that would suggest that neither the company nor the engineer understood this typical and basic constraint at the intersection of traditional site drainage design and stormwater pollution control. d. The_}i spent_S7Qk in response to Tier_ 1? These folks should have followed the steps in the permit before spending money on a knee-jerk reaction. Including contacting us for help after the fourth exceedance. Their obligation under Tier 1 is to just do a walk -around, and fix the problem, if they know what the 2 problem is!! They didn't know what the problem was, but they spent $70K anyway? I really hope my. interpretation of his note below is off the mark due to my ignorance of site conditions and his site history. The best interpretation of their actions is that they were over -zealous in their reaction to Tier 1 conditions, hoping to be pro -active in pollution control. e. His point that they don't use Cu, Pb, and Zn is an important one and a good one. They don't use these materials, but yet they are showing up in stormwater samples. We are receptive to this information. It turns the focus on the benchmark exceedances away from industrial activities, and over to possible other causes. It could suggest that there is a pre-existing pollutant load in the soil from prior operations (as he concludes); it could suggest that these metals are present in the natural, unpolluted soils; it could suggest that he has a galvanized roof (Zn); or, perhaps the metals hits are coming from something we haven't yet considered. f. They re in Tier 2 now, and the obligation to contact us for help would normally -be -kicking in after lust a few more months. That's how it's supposed to work. That they jumped ahead with a premature response is discouraging. I Dave, as to your question of what BMP would remove metals, my first suggestion would be to see if the metals are tracking TSS. If they are, then I like bioretention in just about any circumstance. And infiltration is even better if the soils are suitable for infiltration BMPs. Bioretention can remove metals associated with TSS as it removes TSS. Bioretention also has been shown to remove some portion of the metals that are not associated with TSS. If the monitoring results are pretty close to the benchmarks, then bioretention would be my first approach. It can double as landscaping, so that the owner can feel like it adds to the appeal of the property. If the owner already has done landscaping, but without bioretention, he missed.an opportunity. Ken Pickle Environmental Engineer NCDENR I DEMLR I Stormwater Permitting Program 1612 Mail Service Center, Raleigh, NC 27699-1612 512 N. Salisbury St, Raleigh, NC 27604 Phone: (919) 807-6376 Fax: (919) 807-6494 Email: ken.aickle2ncdenr.aov Website: o rtal.nc enr.or web lr st rmwter ** Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties unless the content is exempt by statute or other regulations.** From: Parnell, David Sent: Monday, March 24, 2014 5:44 PM To: Pickle, Ken; Georgoulias, Bethany Cc: Holley, John; Bennett, Bradley Subject: FW: Fallow up Discussion of Stormwater at Static Control Components, Sanford, NC Ken and Bethany, Please read Pierre's e-mail below. I have visited the site (twice) and they have made repeated attempts to rectify the presence of the referenced metals in their stormwater. This is a case of their site having been affected by prior operations. These are always difficult questions since the facility does not feel that they impacted the soil, but yet they took over a site that had these issues. I have instructed them to follow the permit with respect to the tiers and continue to implement BMPs and sample. Do you know of any BMP that they may implement that could help with the copper, zinc and lead that most likely corning from their soil? Thank9i Dave From: Pierre Lauffer i - ] Sontc Friday; March 21, 2014 8:13 AM To: Parnell, David Cc: Dabble Bigelow; Michael Stephens Subject: Follow up Discussion of Stormwater at Static Control Components, Sanford, NC Greetings David, I am emailing to see if there has been any movement regarding Static Control's request that the property located at 2801 Lemon Springs Road, Sanford, NC 27331 be allowed to be removed from the stormwater permitting process. When we initially met on Wednesday, 1/9/2014 we had discussed our path forward regarding our Stormwater permit as we go"through Tier 2 process at the 2801 and 2801-B Lemon Springs Road property. The property, with the two buildings, was purchased from Coleman Cable Systems, Inc in 1998 which was the successor to Cable Communication, Inca Prior to Coleman Cable, the property was owned by a mobile home manufacturing company and prior to that, the property was a tobacco warehouse. There are indications that industrial activities conducted during the predecessor ownership have resulted In environmental impacts to the property for which we have no connirol 6Vdr. Based on the recommendations from our consultant, we initially selected 6 outfalls to be sampled. The results of the analysis from our initial sampling to satisfy our Tier 1 requirements indicated the presence of copper at Outfalls 4 and 5 and zinc at ©uttells 4 and 6. In response to the results from this sampling event, Static Control implemented a site -wide re -grading, landscaping and re -ditching to improve drainage and stermwater quality and have continued to sample the Outfalls with the last event taking place on Marth 15, 2014. Analysis results from the November 23, 2013 sampling event showed copper above the benchmark in water samples from Outfalls 1, 3, and 5; zinc in samples from Outfalls 1, 4, 5 and 6; and lead in ©utfall 5, Results from the most recent round of sampling conducted on March 1.5, 2014, laboratary results showed high copper levels at Outfall 5 at 21 ug/i: Another sample retrieved up -gradient to Dutfall 5 but still within the drainage also showed high levelt of copper at 23 a09 Sample REsults discussion There is a question of the potential source(s) of these constituents, laboratory results from sampling all the Outfalls (1- 6) show that, even though not over the benchmark for these constituents, Static is receiving levels close to the benchmark for zinc, copper and sometimes lead at most of the Outfalls. Static Control does not produce any products that contain these sources of pollution nor do they use any of these constituents in the manufacturing process. Moreover, Static Control spent over $ 70k to rectify potential problems in response to the Tier I process. It seems that, as evident in the increase In the level of contamination after the site re -grading and landscaping, the source of the pollution derived from the previous owners' activities, The wristituents were stabilized In the soil after a long period of existing in the soil and was disturbed only after doing the re -grading work. The previous property owners, Coleman Cable stored and used many electrical components (including wiring, conducterc, etc) that did contain copper, lead and zinc. Further, located adjacent, and uphill, to this property is a Duke/Progress Energy site that could also be a source of these eonstituents� Indications that this could be the eahe N illustrated with the laboratory results from the sample collected from Outfall 6 which indicated the presence of zinc. Outfall 6 is actually up -gradient from both Plant 9 and 16 but is down -gradient and adjacent to the Duke/Progress Energy Property (See attached map). Further, we realize that the North American Industry Classification Code System (NAILS) for this property is listed as 335999 which fits nothing that takes place on the property. Static Control manufactures nothing on site nor do they manufacture any electronic goods for retain nor wholesale. The closest NAICS code that would fit the activities on site would be 488991- Packing and Preparing Goods for Shipping. Based on these findings, Static Control feels that it would be legitimate in asking that the property located at 2801 Lemon Springs Road, Sanford, NC 27331 be allowed to be removed from the stormwater permitting process. Please feel free to contact us if you have any questions. Again, thanks for meeting with us. We appreciate the efforts you all dedicate to helloing us, the public. Pierre Lauffer Environmental Health and Safety Specialist Static Control Components, Inc. 919-774-3808 ext. 1893 This message contains confidential information. if you are not the intended recipient you should not disseminate, distribute or copy this e-mail. Please notify sender immediately by e-mail if you have received this e-mail by mistake and delete this e-mail from your system. Any copyrighted material sent to you is for your own inlemal use only, Usors aro not permitted to modify, distribute, publish, transmit or create derivative works of any material found contained heroin for any public or commercial purpose. E-mail transmission cannot be guaranteed to be secure or error -free as information could be intercepted, corrupted, Jost, destroyed, arrive late or incomplete, or contain viruses. Sender therefore does not accept liability for any errors or omissions in the contents of this message which arise as a result of a -mail transmission. KWA Rja rr IWDENR North Carolina Department of Environment and Natural Resources Pat McCrory Governor Mr, Paul Harbison, EHS Specialist Static Control Components, Inc. P.O. Box 152 SanfordNorth Carolina 27331-0152 Dear Mr. Harbison: Division of Water Quality Charles Wakild, RE, Director February 15, 2013 John E. Skvarla, III Secretary Subject: General Permit No. NCG030000 Static Control Components Plants 9 & 16 COC No. NCG030614 Lee County In accordance with your application for a discharge permit received on October 12, 2011, we are forwarding herewith the subject certificate of coverage (COC) to discharge under the subject state — NPDES general permit. This permit is issued pursuant to the requirements of North Carolina General Statute 143-215.1 and the Memorandum of Agreement between North Carolina and the US Environmental Protection Agency dated October 15, 2007 (or as subsequently amended). If any parts, measurement frequencies, or sampling requirements.contained in this permit are unacceptable to you, you have the right to request an individual permit by submitting an individual permit application. Unless such demand is made, this certificate of coverage shall be final and binding. Please take notice that this certificate of coverage is not transferable except after notice to the Division of Water Quality, The Division of Water Quality may require modification or revocation and reissuance of the certificate of coverage. This permit does not affect the legal requirements to obtain other permits which may be required by the Division of Water Quality or permits required by the Division of Land Resources, Coastal Area Management Act or any other federal or local governmental permit that may be required. The original separate NOI applications (Notice of Intents) for Plant 9 and 16 have been combined into one permit. If you have any questions concerning this permit, please contact Bill Diuguid, Stormwater Staff Planner at telephone number (919) 807-6369. Sincerely, ORIGINAL SIGNED W KEN PICKLE Charles Wakild, P.E. cc: Raleigh Regional Office Central Files Stormwater Permitting Unit Files Attachments Wetlands and Stomwi-ater Branch 1617 Mail Service Center, Raleigh, North Carolina 27699-1617 Location: 512 N, Salisbury S1. Raleigh, North Carolina 27604 Phone: 919�807-63001 FAX: 919-807.6494 IntemeL www,ncwaterquality.org An Equal opportunity l Atfirmative AtGon Employer NorthCarolina A'aturallil STATE OF NORTH CAROLINA DEPARTMENT OF ENVIRONMENT AND NATURAL RESOURCES DIVISION OF WATER QUALITY GENERAL PERMIT NO. NCG030000 CERTIFICATE OF COVERAGE No. NCG030614 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, Static Control Components Inc. is hereby authorized to discharge stormwater from a facility located at Plant 9 Maintenance Storage and Plant 16 Toner Packaging 2801-Band 2801 Lemon Springs Road S an ford Lee County to receiving waters designated as an unnamed tributary to Gastors Creek, a Class C waterbody, Cape Fear River Basin; in accordance with the effluent limitations, monitoring requirements, and other conditions set forth in Parts 1, 11, 111, IV, V and VI of General Permit No. NCG030000, as attached. This Certificate of Coverage shall become effective February 15, 2013. This Certificate of Coverage shall remain in effect for the duration of the General Permit. Signed this day February 15, 2013. ORIGINAL SIGNED Bl KEN PICKLE Charles Wakild, P.E., Director Division of Water Quality By Authority of the Environmental Management Commission �7'.,• �r • MA, l} �j a v�b 7} ­Y r y 3�„ Jir4P + 4 w R µ r i ' ,L yam` • �./�i� ../ {�. .. ]��\y r� • st rt P .' b�-G^°{.'47 ¢ 'Y� ..t'. {- � �� ' ,� , �'•' • �.+y If 'i 1 'ram\ 1 p„��' Y. I 'Z � �+ • �Fr^►.. K-,�" ,� .'. Y • .�+ • }r G�r j' � J... 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Y + _rt 1 r � f r � ;E [li �4 '`��F��.�T "�At �I. ,. .i�t ,=' `'_'� .�dr. 4�',"�`ypr 4 1I yr , �� ,.�� I r 4a 'r� 11`�.r4,•� �I` � ��_F� 4 � •` .7il��IC�PM.,. .1 ��' 4� . �i-:�-Li1.�tw..^:�.r�1:. •r .• i'.�'J •' �\♦k ��9� i"� ,�}���" �r'-,. �'}, !t .`.`�,.'_'�Y�.l. l::i °1= �J Latitude: 35" 26'53" NG G030614 Facility Longitude: 79 09 42 �; 3#t�� ,'''�r•� �,���'-�.+� :; County: Lee Static Control Components Locations Stream Class: C Plants 9 & 16 Sanford Receiving Stream: Gasrors Creek Sub -basin: 03-06-13 (Cape Fear River Basin) NOT ICALIED ConnectGIS Page 1 of l 1:215 feet i -EE L,,OUNT'lj Committed Today for a Better Tomorrow jj • S:ke Pcr��s-�t,�loau�c�Ga yes 1C S�cFmdrt�:n5 l cC �cd z ui113'�c�� •"�c (�lt� �4: .�.. i(Y.:c�L o� J http://lee.connectgis.com/Map/PrintWindow.aspx?Map=http://lee.connectgis.com/arcgisou... 9/27/2011 r Static Control" y°met $ 4 r 21-8T 3� �y Main Street - �wY• 42 B adwa � Y Rd. o a M 10 s � r"r jpigh Rd• ilii�tns `�• � � � J. R.lhdusW of Ra Dr, 3 LeeA. ll R�• Inn-, M. Hwy. 421 0 0 UN N ,a PLANT # DESCRIPTION PLANT # DESCRIPTION 1 Injection Molding �,YD Cxeaf—'-"-- Clzr! 12 Chip Manufacturing No Eat zej-",. 3115 Hal Siler Dr, 911 J.R. Industrial Dr. 2 Mag Roller Manufacturing No 16 Toner Packaging & Doctor Bar Manufacturing c_e: k . 2801 Lemon Springs Rd. 2907 Lee Ave. 17 PCRIMag Rollers Manufacturing 5 F in Finished Goods & Human Resources 00 fzxQG— 905 J.R. Industrial Dr. 2903 Lee Ave. 6 Corporate Headquarters 19 Warehouse &o rZxovovjt CeJr! 9065 J.R. industrial Dr. 921 J.R. Industrial Dr. 7 OPC Drums, Seals & Blade 20 Imaging Distribution twcfehau5z) Manufacturing & Assembly 3020 Lee Ave. 908 J.R. Industrial Dr. 26 Manufacturing Services 9 Maintenance Storage & Warehouse 2801-B Lemon Springs Rd. 2652 Dalrymple St. 10.2011 Diu uid, Bill From: Diuguid, Bill Sent: Friday, February 10, 2012 11:38 AM To: 'Paulh@a scc-inc.com- Cc: Pickle, Ken; Bennett, Bradley Subject- Static Control Components Two submitted NCG03 NOls Paul Harbison: What we have decided to do is combine the two NOls together into one and process it that way. You do not need to re -submit anything or any money. We will work with the DENR DWQ Finance people to credit $100 towards this permit application. We will then see if we can refund the other $100 or worse case, apply it to the second year of the new permit once issued. I will update you as we process this. You will eventually get the permit, and I'll let you know that timetable once established. Thanks. Bill D. Bill Diuguid, AICP Staff Planner, Stormwater Permitting Wetlands and Stormwater Branch Division of Water Quality I NCDENR 1617 Mail Service Center (Mail) 512 N. Salisbury St, Raleigh, NC 27604 1 911, Floor (Location & Parcels) Raleigh North Carolina 27699-1617 Phone: 919-807-6369 1 Fax: 919-807-6494 Website: htto://oortal.ncdenr.org/web/wq/ws/su 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. fi z r z. r • 1 r l: XI ' I 0 ooER, _ T _ • .___._._.. _.. ®�, �,...nr \�\R/� .aft j+ R , yj r MUM , • P r � U o F 1 i' _ r a� =' — i _ �._„_� D • � ` i -•. � � ..its � �`^ k;�' � 'a.•/ � ® , s _ ca VA 0 7 All n tr v a � e ;M. 1 s O . v _ r rh. n, • ". _ ... _—_.�.ay..._-'t�_._-__— .i_— __."_._ _ ___.-_ ___.. _._ -"_- ,. _ _-__.. a� ,,tee • __....__ __. _ _-_ __ __-__—'.�zP -. _ 1 i � a , O ■/► At 1011. 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Projection and 1 000-meter grid: Universal Transverse Mercator, Zone 17S 10 000-foot ticks: North Carolina Coordinate System of 1983 Imagery......................................................NAIP, July 2008 Roads..............................................©2006-2010 Tele Atlas Names...............................................................GNIS, 2008 Hydrography .................National Hydrography Dataset, 2008 Contours............................National Elevation Dataset, 2008 8° 26' 150 MILS 1' 3" 19 MILS UIM GRID AND 2010 MAGNt I u DECLINATION AT CENTER OF U.S. National Grid 100,000-m Square ID PV Grid Zone Designaton 17S 1 0.5 0 KILOMETERS 1 2 1000 500 0 METERS 1000 2000 1 0.5 0 1 MILES 1000 0 1000 2000 3000 4000 5000 000 7000 8000 9000 10000 Ifaal CONTOUR INTERVAL 10 FEEI NORTH AMERICAN VERTICAL DATUMOF 1988 This map was produced to conform with version 0.5.10 of the draft USGS Standards for 7.5-Minute Quadangle Maps. A metadata file associated with this product is deft version 0.5.11 "i A11RANh1 F 1 OCATION Goldston Colon Moncure White H8 Sanford Rroadawa Vass Mumhicontu Olivia Interstate Route US Route -- Ramp �. Interstate Route US Route 1 State Route SANFORD, NC 2010 Tel ' 30" 99 .2 0 Z5' 9 119 918 35°22'30" " 30" ADJOINING 7.5' QUADRANGLES