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HomeMy WebLinkAboutNCG080082_Rescission Request_20211025FOR AGENCY USE ONLY Assigned to: ARO FRO MRO RRO WARO WIRO WSRO RECEIVED OCT 2 5 2021 DENR-LAND QUALITY STORMWATER PERMITTING Division of Energy, Mineral, and Land Resources Land Quality Section National Pollutant Discharge Elimination System Rescission Request Form Please fill out and return this form if you no longer need to maintain your NPDES stormwater permit. Directions: Print or type all entries on this application form. Send the original, signed application to: NCDEMLR Stormwater Program, 1612 Mail Service Center, Raleigh, NC 27699-1612. The submission of this form does not guarantee recission of your NPDES stormwater permit. Prior to the recission of your NPDES stormwater permit, a site inspection will be conducted. 1. Owner/Operator (to whom all permit correspondence will be mailedl: Name of legal organizational entity: Legally responsible person as signed in Item (4) below: Intermont Group, LTD Stevan Rainero, President Street address: City: State and zip code: 824 Ellis Road Durham 27703 Telephone number: Email address: 276-466-2275 srainem@intermontpanners.com 2. Industrial Facilitv (facilitv reauestinR rescission): Facility name: Intennont Group, LTD Street address: 824 Ellis Road City: State: Zip Code: County: Durham NC 27703 Durham Permit Number to which this request applies: NCGO80082 3. Reason for rescission Request ..a,..Y. Facility is closed or closing. All industrial activities have ceased such that no discharges of stormwater are contaminated by exposure to industrial activities or materials. Facility sold. Sold to: 0 Other (please explain): Facility SIC Code is not included in any regulated sector. Permit may have been applicable to previous owner based on that facility's activities. 4. Applicant Certification: North Carolina General Statute 143-215.6E (i) provides that: Any person who knowingly makes any false statement, representation, or certification in any application, record, report, plan, or other document filed or required to be maintained under this Article or a rule implementing this Article ... shall be guilty of a Class 2 misdemeanor which may include a fine not to exceed ten thousand dollars ($10,000). 1 hereby request exclusion from NPDES stormwater permitting. Under penalty of law, I certify that: IZI I, as an authorized representative, hereby request recission 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. Printed Name of Person Signing: Louis Stevan Rainero, Jr. Title: President Z /:2� Z� /D /9 ( gnature of Applicant) (Dat Sign d) Mail the entire package to: DEMLR —Stormwater Program Department of Environmental Quality 1612 Mail Service Center Raleigh, NC 27699-1612 Page 2 of 2 October 19, 2021 Ms. Suzanne McCoy NC Department of Environmental Quality NCDEMLR Stormwater Program 1612 Mail Service Center Raleigh, NC 27699-1612 Re: Intermont Group, LTD NPDES Permit NCG080082 Permit Rescission Request Ms. McCoy: RECEIVED 'IT 2 5 2021 Via FedEx DEAlR-LAND QUALITY Next Day Delivery STORMWATER PERMITTIAIG Intermont Group, LTD (Intermont) leases and operates a cement distribution facility located in Durham, NC under SIC Code 5032. Intermont leased the facility in 2010. At the time of the lease, the facility was covered under the North Carolina General Stormwater Permit NCGO80000, and that permit was transferred to Intermont. However, we believe that the Intermont operations (and associated SIC Code) are not required to be permitted under the North Carolina NPDES permit program and therefore, we are submitting this Permit Rescission request. The following provides additional information in support this request and a completed NC DEQ Permit Rescission Form is provided as an attachment to this letter. Background and Applicability: Stormwater permitting requirements for industrial activities in the State of North Carolina are incorporated by reference from 40 CFR 122.21, 122.26, and 122.28 through 122.37. 40 CFR 122.26(b)(14) defines the term "Stormwater Discharge from Industrial Activity" and § 122.26(b)(1 4)(i) through (xi) provide the "categories of facilities (that) are considered to be engaging in "industrial activity" for purposes of paragraph (b)(14)." These categories are defined both in terms of SIC Codes and specific industry descriptions. In addition, 40 CFR §122.26(a)(1)(v) grants authority for the State to require a permit for a discharge which the Director or the EPA Regional Administrator "determines to contribute to a violation of a water quality standard or is a significant contributor of pollutants to waters of the United States," except for those discharges from conveyances which do not require a permit under paragraph § 122.26 (a)(2) [oil and gas exploration / mine operation stormwaters not contacting materials specified above] or agricultural stormwater runoff exempted from the definition of a point source in § 122.2.E I NC DEQ Guidance, "Who is subject to the NPDES Stormwater Program?", January 27,2016. As detailed above, Intermont's Durham facility operates as a wholesale cement distributor under SIC Code 5032. SIC Code 5032 (and the type of facility represented by Intermont) is not included at §122.26(b)(14) and therefore, Intermont is not considered to be engaged in "industrial activity" as defined in the rule. Consequently, Intermont would not be required to obtain a stormwater permit in North Carolina unless DEQ determined Intermont "to contribute to a violation of a water quality standard" or to be a "significant contributor of pollutants to waters of the United States." Intermont's operation consists of an enclosed cement unloading and loading operation. Railcars are unloaded to enclosed silos using enclosed transfer equipment. Subsequently, cement material is transferred to outgoing trucks within a loading building such that that the loading operation is not exposed to stormwater. No material or oil storage operations occur where they could be exposed to stormwater. In fact, notwithstanding our categorical exemption position discussed above, we believe that the facility would also qualify for a no exposure certification, even if it were not categorically exempt. Specifically: • Answers to all checklist questions included in the material handling table in Section 4 (Exposure Checklist) of the NC DEMLR No Exposure Certification Form would either be "No" or "N/A." • The facility does not store any materials in ASTs at the site and therefore, the answers to all questions detailed in the "Aboveground Storage Tanks (ASTs) and Secondary Containment" table in Section 4 of the No Exposure Certification Form would be "N/A." • All answers to the "Other Information" table in Section 4 of the No Exposure Certification Form would be "No" except that the facility does operate under an air permit issued by the NC DEQ. However, as detailed above, the material transfer operations at the site are all performed using enclosed conveyance/loading equipment and the transfer points are controlled using high - efficiency fabric filter dust collectors subject to periodic inspection, maintenance, and recordkeeping requirements. Therefore, we do not believe that the facility would either "contribute to a violation of a water quality standard" or be considered "a significant contributor of pollutants to waters of the United States." Consequently, we do not believe that the facility would be subject to permitting under 40 CFR §122.26(a)(1)(v). Summary: Intermont's Durham facility is not included as a facility engaging in industrial activity at 40 CFR Part 122.26(b)(14). In addition, the facility would neither "contribute to a violation of a water quality standard" or be a "significant contributor of pollutants to waters of the Unites States." Therefore, we request that the existing Certificate of Coverage under NCG 080082 be rescinded. I If you have any questions or require additional information, please contact me at 423- 794-8384. Sincerely, LourAanRnero, Jr. President