HomeMy WebLinkAboutWQ0033587_FP AttA_20121231�Tf �
NCDENR
North Carolina Department of Environment and Natural Resources
Beverly Eaves Perdue
Governor
BRIAN A. SMITH, PRESIDENT
GRANVILLE FARMS, INC.
POST OFFICE BOX 1396
OXFORD, NORTH CAROLINA 27565
Dear Mr. Smith:
Division of Water Quality
Charles Wakild, P. E.
Director
December 31, 2012
Dee Freeman
Secretary
Subject: Attachment A Certification
Permit No. WQ0033587
Granville Farms, Inc.
Distribution of Class A Residuals
Granville County
In accordance with your permit modification request received on November 19, 2012, we are
forwarding herewith a modified Attachment A, Version 1.3, certified December 31, 2012, to Granville
Farms, Inc. for the subject residuals land application program.
This certification is being issued to approve the Town of Mooresville's Rocky River Wastewater
Treatment Plant as an additional residuals source for Class A distribution. The tonnage from this new
source is 1,573 dry tons per year.
Please replace the existing Attachment A of Permit No. WQ0033587 that was previously
certified on April 20, 2012, with this modified Attachment A. It is the Permittee's responsibility to
ensure that a complete permit is created by inserting this modified Attachment A into Permit No.
WQ0033587, issued on April 20, 2012.
This modified Attachment A shall be effective from the date of certification; shall void
Attachment A of Permit No. WQ0033587 that was previously (most recently) certified on April 20, 2012;
and shall be subject to the conditions and limitations as specified therein and well as those specified in the
above -referenced permit. Note that this modified Attachment A is hereby incorporated by reference into
Permit No. WQ0033587, issued on April 20, 2012.
If any parts, requirements, and/or limitations contained in this certification or modified
Attachment A are unacceptable, you have the right to request an adjudicatory hearing upon written
-- -- —request withia 30 days following receipt of the certification. This -request -shall be in the -form of a written-------
petition,
ritten— _ petition, conforming to Chapter 150B of the North Carolina General Statutes and filed with the Office of
Administrative Hearings at 6714 Mail Service Center, Raleigh, North Carolina 27699-6714. Unless such
demands are made, this permit shall be final and binding.
1617 Mail Service Center, Raleigh, North Carolina 27699-1617
Location: 512 N. SaWbury St Raleigh, North Carolina 27604
Phone: 919-807-63001 FAX: 919-807-H492
Internet: www.ncwatercuality.org
An Equal Opportunity t Affmmative Action EmpEoyer
One
NorthCarohiia
Natu-pally
Mr. Smith
December 31, 2012
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If you need any additional information concerning this matter, please contact David Goodrich by
telephone at (919) 807-6352 or via e-mail at david.goodrich@ncdenr.gov.
Sincerely,
Ifor C arles Wakild, P.E.
cc: Granville County Health Department
Raleigh Regional Office, Aquifer Protection Section
C. Scott Carpenter, LSS, Soils Plus, 208 Williams Street, Greenville, NC 27858
Permit File WQ0033587
Notebook File WQ0033587
i
ATTACH1viENT A - Appr ved Residual Sources
Granville Farms, Inc.
I
Certification Date: December 31, 2012
Permit Number: WQ0033587 Version: 1.3
1. Maximum Dry Tons per Year is theamount of residuals approved for land application from each permitted facility.
2. Analyses to demonstrate that residuals are non -hazardous (i.e., TCLP, ignitability, reactivity, and corrosivity) as stipulated under permit Condition 1V.2.
3. Testing of metals and nutrients as stipulated under permit Condition IV.3.
4. Analyses of pathogen and vector atttaction reductions as stipulated under permit Condition 1VA. Permit application indicated that heat drying will be performed to meet pathogen reduction
requirements for biological residuals generated at the Winston-Salem/Forsyth County Utilities Facility ind timeltemperature compliance will be performed to meet pathogen reduction requirements
for biological residuals generated at the Town of Mooresville Facility. Drying of stabilized residuals will be performed to meet vector attraction reductions for the biological residuals generated at
the Winston-Salern/Forsyth County Utilities Facility and at the 'Town of Mooresville Facility. However, other methods listed under 15A NCAC 02T .1106(b) and .1107(a) can also be used to
demonstrate compliance with this permit requirement.
5. Monitoring frequencies are based on the actual dry tons applied per year using the table below, unless specified above.
Dry Tons Generated
short tons j2er ear
Monitoring Frequency
Established in 40 CFR 503 and 15A NCAC 02T .1111
<319
1/Year
=>319 - <1,650
11 Quarter (4 times er ear)
Maximum
Monitoring
Monitoring
Monitoring
Frequency for
Approved
Owner
.Facility Name
County
Permit Number
Biological
Dry Tons
Frequency for
Frequency for
Pathogen &
Mineralization
Residuals
per Year
Non -hazardous
Characteristics 2
Metals and
3, 5
Vector Attraction
Rate
Nutrients
Reductions 4, s, 6
Elizabeth
City Water Treatment
City of Elizabeth City
II Plant
Pasquotank
PWS -04-70-010
No
1,048
Annually
Annually
Annually
0.40
City of Elizabeth City
Elizabe
Plant
ii City Water Treatment
sidual Storage Facility
Pasquotank
WQ0014808
No
1,273
Annually
See Table Below
See Table Below
0.40
Town of Smithfield
Tow_g7
of Smithfield Water
Treatment Plant
Johnston
NC0083348
No
363
Annually
See Table Below
See Table Below
0.40
Winston-Salem/Forsyth
Winston-Salem/Forsyth County
County Utilities
Utilities Thermal Biosolids
Forsyth
WQ0029804
Yes
12,264
Annually
See Table Below
See Table Below
0.20
Commission
D er Management Facility..
Town ofFranklinton
Town; of Franklinton Water
Treatment Plant
Franklin
PWS -02-35-010
No
15
Annually Annually
Annually
0.40
Town of Mooresville
Rocky River WWTP
lredell
NC0046728
Yes
1,573
Annually
See Table Below
See Table Below
0.30
Total
16,536
1. Maximum Dry Tons per Year is theamount of residuals approved for land application from each permitted facility.
2. Analyses to demonstrate that residuals are non -hazardous (i.e., TCLP, ignitability, reactivity, and corrosivity) as stipulated under permit Condition 1V.2.
3. Testing of metals and nutrients as stipulated under permit Condition IV.3.
4. Analyses of pathogen and vector atttaction reductions as stipulated under permit Condition 1VA. Permit application indicated that heat drying will be performed to meet pathogen reduction
requirements for biological residuals generated at the Winston-Salem/Forsyth County Utilities Facility ind timeltemperature compliance will be performed to meet pathogen reduction requirements
for biological residuals generated at the Town of Mooresville Facility. Drying of stabilized residuals will be performed to meet vector attraction reductions for the biological residuals generated at
the Winston-Salern/Forsyth County Utilities Facility and at the 'Town of Mooresville Facility. However, other methods listed under 15A NCAC 02T .1106(b) and .1107(a) can also be used to
demonstrate compliance with this permit requirement.
5. Monitoring frequencies are based on the actual dry tons applied per year using the table below, unless specified above.
Dry Tons Generated
short tons j2er ear
Monitoring Frequency
Established in 40 CFR 503 and 15A NCAC 02T .1111
<319
1/Year
=>319 - <1,650
11 Quarter (4 times er ear)
=>1,650 - 46,500
1/60 Das 6 times er ear
=X16,500
1/month (I2 times per ear)
6. Water Treatment Plant residuals' are exempt from meeting the vector attraction reduction requirements in Condition FVA., provided they are not mixed with residuals
that have been generated during the treatment of domestic wastewater, the treatment of animal processing wastewater, or the biological treatment of industrial
wastewater. The Water Treatment Plant residuals must be treated and processed in a manner as to not meet the definition of Biological Residuals" as defined in 15A
NCAC 02T .1102(6). 1
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If no land application events oci
sampling data is required durin
report to EPA may be required
it during a required sampling period (e.g. no land application occur during an entire year when annual monitoring is required), then no
the period of inactivity. The annual report shall include an explanation for missing sampling data. Those required to submit the annual
D mane up the missed sampling; contact the EPA for additional information and clarification.
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