HomeMy WebLinkAbout#5322 12-Final
INSPECTION REPORT ROUTING SHEET
To be attached to all inspection reports in-house only.
Laboratory Cert. #: 5322
Laboratory Name: John Poteat
Inspection Type: Field Commercial Maintenance
Inspector Name(s): Jeffrey R. Adams
Inspection Date: August 16, 2012
Date Report Completed: August 22, 2012
Date Forwarded to Reviewer: August 22, 2012
Reviewed by: Jason Smith
Date Review Completed: August 27, 2012
Cover Letter to use: Insp. Initial X Insp. Reg. Insp. No Finding Insp. CP __ Corrected
Unit Supervisor: Dana Satterwhite
Date Received: August 29, 2012
Date Forwarded to Linda: October 19, 2012
Date Mailed: October 22, 2012
_____________________________________________________________________
On-Site Inspection Report
LABORATORY NAME: John Poteat
NPDES PERMIT #: NC0042285; NC0043559
ADDRESS: P.O. Box 16474
Chapel Hill, NC 27516
CERTIFICATE #: 5322
DATE OF INSPECTION: August 16, 2012
TYPE OF INSPECTION: Field Commercial Maintenance
AUDITOR(S): Jeffrey R. Adams
LOCAL PERSON(S) CONTACTED: John Poteat
I. INTRODUCTION:
This laboratory was inspected by a representative of the North Carolina Wastewater/Groundwater
Laboratory Certification (NC WW/GW LC) program to verify its compliance with the requirements of 15A
NCAC 2H .0800 for the analysis of environmental samples.
II. GENERAL COMMENTS:
The laboratory was clean and records were well organized; however, some quality control procedures
need to be implemented. Proficiency Testing (PT) samples have been analyzed for all certified
parameters for the 2012 proficiency testing calendar year.
Current quality assurance policies for Field laboratories and approved procedures for the analysis of
the facility’s currently certified parameters were provided at the time of the inspection.
The requirements associated with Findings A, B, C and D are new policies that have been implemented
by our program since the last inspection.
Contracted analyses are performed by Pace Analytical, Inc. (Certification #67).
III. FINDINGS, REQUIREMENTS, COMMENTS AND RECOMMENDATIONS:
General
Recommendation: In order to improve the quality of the data being reported, it is recommended that
the laboratory expand their data verification system to include a technical peer review process to check
for accuracy and completeness of data on laboratory benchsheets and Discharge Monitoring Report
(DMR) forms. Steps must be taken to minimize and correct errors in calculations and may include
checks for the following: transcription errors, errors of omission, calculation errors, correct application
of dilution factors, etc. The transcription errors noted in the Paper Trail Investigation section of this
report, underscore the importance of this type of technical peer review process.
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Traceability
A. Finding: The laboratory needs to increase the documentation of purchased materials and
reagents.
Requirement: All chemicals, reagents, standards and consumables used by the laboratory
must have the following information documented: Date Received, Date Opened (in use),
Vendor, Lot Number, and Expiration Date. A system (e.g., traceable identifiers) must be in
place that links standard/reagent preparation information to analytical batches in which the
solutions are used. Documentation of solution preparation must include the analyst’s initials,
date of preparation, the volume or weight of standard(s) used, the solvent and final volume of
the solution. This information as well as the vendor and/or manufacturer, lot number, and
expiration date must be retained for chemicals, reagents, standards and consumables used for
a period of five years. Consumable materials such as pH buffers and lots of pre-made
standards are included in this requirement. Ref: Quality Assurance Policies for Field
Laboratories.
Proficiency Testing
B. Finding: The laboratory is not analyzing Proficiency Testing (PT) samples in the same manner as
environmental samples.
Requirement: All PT samples are to be analyzed and the results reported in a manner consistent
with the routine analysis and reporting requirements of compliance samples and any other
samples analyzed according to the requirements of 15A NCAC 2H .0800. Ref: Proficiency Testing
Requirements, February 20, 2012, Revision 1.2.
Comment: The laboratory’s common practice was to analyze a known standard along with the PT
sample as additional quality control.
C. Finding: The preparation of Proficiency Testing (PT) samples is not documented.
Requirement: PT samples received as ampules must be diluted according to the PT provider’s
instructions. The preparation of PT samples must be documented in a traceable log or other
traceable format. The diluted PT sample becomes a routine environmental sample and is added
to a routine sample batch for analysis. Ref: Proficiency Testing Requirements, February 20,
2012, Revision 1.2.
D. Finding: The laboratory is not documenting Proficiency Testing (PT) sample analyses in the
same manner as environmental samples (e.g., on a laboratory benchsheet or field notebook).
Requirement: All PT sample analyses must be recorded in the daily analysis records as for any
environmental sample. This serves as the permanent laboratory record. Ref: Proficiency Testing
Requirements, February 20, 2012, Revision 1.2.
Comment: There was no supporting documentation of the PT analyses. Only a copy of the
electronic data submittal to the PT vendor was retained, as required.
Temperature – Standard Methods, 18th Edition, 2550 B
E. Finding: The alcohol in the National Institute of Standards and Technnology (NIST) traceable
thermometer, used for verifying temperature sensors on the DO instruments used to obtain
reported temperature values, was separated and was not measuring accurately.
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Requirement: Each facility must have glassware, chemicals, supplies, equipment, and a source
of distilled or deionized water that will meet the minimum criteria of the approved methodologies.
Ref: 15A NCAC 02H .0805 (g) (4). Please perform temperature sensor verification checks
with an appropriate NIST traceable thermometer for each instrument and submit copies of
the documentation with the response to this report.
F. Finding: There was no documentation confirming when the NIST traceable thermometer was
calibrated, therefore, NIST traceability cannot be confirmed.
Requirement: NIST traceable thermometers used to verify the calibration of other
thermometers or temperature sensors (i.e., limited use only) must be recalibrated in
accordance with the manufacturer’s recalibration date and the process documented. If no
recalibration date is given, the NIST traceable thermometer must be recalibrated every 5 years.
Ref: NC WW/GW LC Approved Procedure for Field Analysis of Temperature. Please submit
documentation of the NIST traceability for the thermometer that will be used to verify
the DO meter temperature sensors with the response to this report.
Comment: The laboratory may either have this thermometer calibrated to NIST traceable
specifications or a new thermometer may be obtained and a copy of the certificate of NIST
traceability submitted with the response to this report.
Total Residual Chlorine – Standard Methods, 18th Edition, 4500 Cl G
G. Finding: The laboratory is not verifying the instruments’ internally stored curves every 12
months.
Requirement: Analyze a water blank to zero the instrument and then analyze a series of five
standards. The curve verification must check 5 concentrations (not counting the blank) that
bracket the range of the samples to be analyzed. This type of curve verification must be
performed at least every 12 months. The values obtained must not vary by more than 10% of
the known value for standard concentrations greater than or equal to 50 g/L and must not vary
by more than 25% of the known value for standard concentrations less than 50 g/L. The
overall correlation coefficient of the curve must be ≥0.995. Ref: NC WW/GW LC Approved
Procedure for Field Analysis of Total Residual Chlorine. Please submit calibration
verification curves for each instrument with the response to this report.
Recommendation: It is recommended that the laboratory verify the internal calibration using
the concentrations: 10, 20, 50, 200 and 400 µg/L. This will verify the analytical range used to
measure Proficiency Testing (PT) and environmental samples, demonstrate accuracy at or
below client permit limits and allow the use of the 0.20 mg/L (i.e., 200 µg/L) Gel Standard as the
midrange daily check standard.
Comment: The laboratory is using 2 different Hach DR-2800 instruments. Each instruments’
internal calibration curve must be verified every 12 months. Documentation showed the last time
either instrument was verified was on November 20, 2009.
H. Finding: The lab is reporting results less than the lower reporting concentration from the last
verified calibration curve for Total Residual Chlorine on the monthly Discharge Monitoring Reports
(DMRs).
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Requirement: The concentrations of the calibration standards or calibration verification standards
must bracket the concentrations of the samples analyzed. One of the standards must have a
concentration equal to or below the lower reporting concentration for Total Residual Chlorine. Ref:
NC WW/GW LC Approved Procedure for Field Analysis of Total Residual Chlorine.
Comment: Currently, all values greater than 1.0 µg/L are reported on the Discharge Monitoring
Report (DMR). Any sample concentration lower than 1.0 µg/L is being reported as <1.0 µg/L on
the DMR. The lowest concentration used to verify the calibration curve is 10 µg/L; therefore,
results less than 10 µg/L must be reported as “<10 µg/L” in the daily cells on the DMR.
IV. PAPER TRAIL INVESTIGATION:
The paper trail consisted of comparing field testing records and contract lab reports to DMRs submitted
to the North Carolina Division of Water Quality. Data were reviewed for The Trails Subdivision (NPDES
permit #NC0042285) and Fearrington Village WWTP (NPDES permit #NC0043559) for April, May and
June, 2012. The following reporting errors were noted:
The Trails Subdivision permit #NC0042285
Date Parameter Location Value on Benchsheet
*Contract Data
Value on DMR
4/5/12 Fecal Coliform Effluent *<2 2
4/12/12 Fecal Coliform Effluent *<2 2
6/14/12 Fecal Coliform Effluent *<2 2
6/21/12 Fecal Coliform Effluent *<2 2
6/28/12 Fecal Coliform Effluent *<2 2
Fearrington Village WWTP permit #NC0043559
Date Parameter Location Value on Benchsheet
*Contract Data
Value on DMR
4/12/12 Total Kjeldahl Nitrogen Effluent *<0.25 mg/L 0.25 mg/L
4/20/12 Ammonia Effluent *<0.08 mg/L 0.008 mg/L
5/3/12 Total Kjeldahl Nitrogen Effluent *<0.25 mg/L 0.25 mg/L
5/17/12 Total Kjeldahl Nitrogen Effluent *<0.25 mg/L 0.25 mg/L
6/6/12 Fecal Coliform Effluent *15 CFU/100 ml 16 CFU/100 ml
6/8/12 Total Residual Chlorine Effluent 19 µg/L 21.9 µg/L
Comment: The lab is not calculating the geometric mean for fecal coliform and the monthly averages
for the other permitted parameters correctly. This was noted for the following parameters at each
permitted location for the month of June, 2012:
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The Trails Subdivision Fearrington Village WWTP
BOD BOD
Ammonia Nitrogen Ammonia Nitrogen
Fecal Coliform Fecal Coliform
Total Suspended Residue Total Suspended Residue
pH (should not report a monthly
average for pH)
All averages are to be calculated as the arithmetic mean of the recorded values with the exception of
that of Fecal Coliform, which is to be calculated as a geometric mean. It was also noted that values
with a “less than” sign were reported in the “average” field on the DMR.
Comment: For calculation purposes only, recorded values of less than a detectable limit (< #.##) may
be considered to equal zero (0) for all parameters except Fecal Coliform, for which values of "less
than" may be considered to be equal to one (1). Therefore, if all monthly values are “less than” values,
the monthly arithmetic average would be “zero”. Values of results which are less than a detectable limit
should be reported in the daily cells using the "less than" symbol (<) and the detectable limit used
during the testing (or the value with appropriate unit conversion). Please note there is never a case
when an average would need to be recorded along with a "less than" symbol. Instructions for
completing a DMR and calculation of data (i.e., NC DWQ NPDES Permitting Guidance for DMR
Calculations and Directions for Completing Monthly Discharge Monitoring Reports) can be found at
http://portal.ncdenr.org/web/wq/swp/ps/npdes/forms under Compliance Forms.
Comment: Additionally, the units of measure and parameter codes were not always documented in the
column headers for each parameter on the DMR. All data values must be accompanied by
corresponding units of measurement, noted at the top of the data column for the particular parameter.
If your permit contains a numeric limit for any parameter, then the reporting units must be the same
units of measurement of that limit. Parameter codes for the more commonly monitored parameters can
be found on the back of form MR-1 or MR-1.1. A complete list of parameter codes can be found on the
NPDES website.
In order to avoid questions of legality, it is recommended that you contact the appropriate Regional
Office for Guidance as to whether an amended Discharge Monitoring Report will be required. A copy of
this report will be made available to the Regional Office.
V. CONCLUSIONS:
Correcting the above-cited findings and implementing the recommendations will help this lab to
produce quality data and meet certification requirements. The inspector would like to thank the staff for
its assistance during the inspection and data review process. Please respond to all findings.
Report prepared by: Jeffrey R. Adams Date: August 22, 2012
Report reviewed by: Jason Smith Date: August 27, 2012