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DEQ-CFW_00001180
Bill Ross Jr. Secretary Department of Environment and Natural Resources TO: DATE: RESPOND BY PLEASE: — Prepare a reply for my signature and return to me. Reply, noting the letter was referred to you by me (copy to Secretary's Office). Prepare a reply for the Governor's signature and rE Reply, noting the letter was referred to you by obi (with a copy to the Secretary's office) For your information 11\\ S Take appropriate action. Note and file. A Note and return to me. Note and see me about this. N Your comments and/or recomme ,I* to me. f ©ia North Carolina Department of Environment and Natural Resources NCDENR 1601 Mail Service Center, Raleigh, NC 27699-1601 / Phone: 919 715-4102 / Fax: 715-060 DEQ-CFW 00001181 DEQ-CFW 00001182 June 2, 2008 Mr. Doug Springer, Cape Fear Riverkeeper Cape Fear River Watch, Inc. 617 Surry Street Wilmington, NC 28401 Michael F. Easley, Governor William G. Ross Jr., Secretary North Carolina Department of Environment and Natural Resources Subject: NC's Role in Monitoring APFO and Assuring Public Safety Dear Mr. Springer: Coleen H. Sullins, Director Division of Water Quality r,r V9-J rp OFFICE 0F i i SECRETARY l - aGo8 We are in receipt of your correspondence dated December 28, 2007 requesting information on the status of monitoring efforts and public safety measures taken in response to discharges of Perfluorooctanoate (PFOA) from the E.I. DuPont De Nemours and Company, Inc facility located in Fayetteville, NC (hereinafter referred to as DuPont -Fayetteville). On behalf of North Carolina Department of Environment and Natural Resources Secretary Bill Ross, please accept our sincerest apologies for the delay in this response to your concerns. As Ms Connie Brower indicated during the phone conversation of May 20, 2008, your request for this information was misplaced and had been delivered to the division staff belatedly. • The N.C. Department of Environment and Natural Resources (NC DENR) is comprised of several divisions with input and involvement on this relevant topic. Two primary divisions, the Division of Water Quality (DWQ) and the Division of Waste Management (DWM), have varied responsibilities for regulatory actions at this facility and jointly offer the following to address the questions with respect to the State's actions. Regarding Question # 1, the DuPont -Fayetteville facility began manufacturing ammonium perfluorooctanoate (APFO), which is also commonly referred to as Perfluorooctanoic Acid (PFOA) or C-8, in 2002. Prior to this date, the plant neither produced C-8 compounds nor used these compounds in its manufacturing processes. Initial groundwater samples were collected in 2002, and confirmation groundwater samples were collected in early 2003. APFO was detected in the parts -per -trillion (ppt or ng/L) range in these samples. In June 2003, DuPont -Fayetteville reported the detections of APFO in groundwater to NC DENR as the discovery of a new chemical in the groundwater. Also in 2003, E.I. DuPont De Nemours and Company, Inc. submitted a Letter of Intent (LOI) to the US Environmental Protection Agency (US EPA). In this LOI, DuPont proposed to investigate all its facilities that manage or have managed C-8 compounds. DuPont -Fayetteville has installed and sampled 39 temporary and permanent monitoring wells on -site. Analytical results greater than North Carolina's 2 parts -per -billion (ppb or ug/L) Interim Maximum Allowable Concentration (IMAC), for APFO in groundwater, have been reported for three of the wells. These wells are located near the DuPont -Fayetteville plant's APFO manufacturing unit. None Carolina &Nlly North Carolina Division of Water Quality 1617 Mail Service Center Raleigh, NC 27699-1617 Phone (919) 733-7015 Customer Service Internet: www ncwaterquality,org Location: 512 N. Salisbury St. Raleigh, NC 27604 Fax (919) 733-2496 1-877-623-6748 An Equal Opportunity/Affirmative Action Employer — 50% Recycled/10% Post Consumer Paper DEQ-CFW 00001183 Mr. Doug Springer May 30, 2008 Page 2 of 4 The facility has also sampled nine off -site private groundwater wells. The analytical results for eight of these wells were reported as non -detections. Two groundwater samples were collected at the ninth well. One sample was non -quantifiable for APFO while APFO was reported at a concentration of 0.011 ppb (ug/L) in the second sample. In response to a request by NC DENR, US EPA Region 4 observed a sampling event conducted by DuPont -Fayetteville and conducted analysis of split groundwater, surface water, and sediment samples with the facility. The US EPA's National Enforcement Investigations Center and National Exposure Research Laboratory analyzed the EPA samples. The analytical results were reported in 2006 and the EPA's analytical results were consistent with those reported by the Dupont- Fayetteville facility. Analytical data suggest the sources for APFO in groundwater at the DuPont -Fayetteville facility are two surface impoundments and the APFO manufacturing unit. The twin surface impoundments contain water from the Cape Fear River that supplements the plant's non -potable water supply. The concentrations of APFO in groundwater samples collected in the area of the two surface impoundments are similar to the concentrations reported by DuPont -Fayetteville and the US EPA for the Cape Fear River. The greatest concentrations of APFO in groundwater at the site have been reported in a perched aquifer zone beneath the APFO manufacturing unit. Monitoring wells screened in this zone, which appears to have impacted the aquifer below it, are frequently dry. The facility plans to conduct investigations that will better define the relationship between the shallow perched zone, the deeper aquifer, and the distribution of APFO in the groundwater. These investigations will be conducted under NC DENR oversight. Currently, DuPont -Fayetteville monitors the groundwater for APFO on an annual schedule. Analytical results are reported to both NC DENR and the US EPA. Documents containing the details of information mentioned in response to Question #1 are maintained at the NC Division of Waste Management's office at 401 Oberlin Road, Suite 150, Raleigh, NC 27605. The second question is in regards to the EPA Global Stewardship Program. E.I. DuPont De Nemours and Company, Inc. is one of the companies participating in the 2010/2015 PFOA Stewardship Program. The progress these companies, including DuPont, have made toward achieving their goals can be viewed at the US EPA web site(http://www.epa.gov/opptintr/pfog/pubs/preports.htm#summary). DuPont -Fayetteville does not report directly to NC DENR concerning this initiative. Question # 3 pertains to the establishment of an Interim Maximum Allowable Concentration (IMAC) for Perfluorooctanoic acid (C8). DWQ staff, in consultation with the Division of Waste Management and with the cooperation of the Department of Health and Human Services (DHHS), developed a health -based level for PFOA based on the systemic threshold concentration, using published and peer -reviewed toxicological data. Additional supporting information is located at http://h2o.enr.state.nc.us/csu/documents/IMACBasisC8.pdf . The established IMAC concentration aids the Division of Water Quality and the Division of Waste Management in evaluating site conditions DEQ-CFW 00001184 + A4i4Doug Springer May 30, 2008 Page 3 of 4 and in setting health protective ground water and soil remediation levels. North Carolina is the first and only state to establish a statewide enforceable groundwater concentration for the compound. The Groundwater Committee of the Environmental Management Commission (EMC), the Division of Waste Management, the Department of Health and Human Services (through the Division of Public Health) and Michael Johnson of E.I. DuPont De Nemours — Fayetteville were all notified of the establishment of the IMAC and were further informed that the chemical was undergoing a full evaluation by the North Carolina Science Advisory Board (NC SAB) and was, therefore, a temporary criterion subject to revaluation upon completion of a review by the NC SAB. The NC SAB is an advisory panel created by the Secretary of DENR to assess toxic effects of chemicals in the environment. The NC SAB is composed of seven individuals, appointed to four-year terms, having expertise in Environmental Health, Occupational Medicine, Toxicology, Risk Assessment, Exposure Assessment, and Biostatistics. The NC SAB is currently seeking all existing toxicity information and has invited participation by noted risk assessors and toxicologists from the US EPA and E.I. DuPont De Nemours and Company, Inc: Additionally, the NC SAB members, as well as staff of the Division of Water Quality have actively participated in on -going national level discussions on the topic. The next scheduled seminar is "PFAA Days II at EPA" in Research Triangle Park, NC on June 3-5, 2008. This seminar will include representatives from multiple disciplines and agencies, including the Office of Pollution Prevention and Toxics, US EPA's Science Advisory Board, the US EPA Office of Research and Development's National Health and Environmental Effects Research Laboratory and National Exposure Research Laboratory. All of the agencies have developed research programs to characterize the toxicity of these chemicals, to explore their modes of actions; to develop analytical methods for their detection in various media, and to investigate the fate and transport. This research will continue the human health risk assessment of PFOA and complement the US EPA's draft report that was released in May 2006. Collectively, these agencies are making significant strides in these research areas with the goal of identifying more clearly the toxic effects of the perfluoroalkyl acid compounds. Should this NC SAB assessment support a recalculation of the IMAC, DWQ staff will pursue action, which includes cooperation with DHHS, to consider this information for adoption in accordance with the 15A NCAC 2L .0202. This rule -making procedure will allow for public review and public comment in accordance with the North Carolina Administrative Procedures Act. Again, this IMAC remains in effect as the regulatory concentration until a groundwater standard is established. Regarding the final question (Question #4) of sediment carryover from the DuPont -Fayetteville facility outfall channel, the Division of Water Quality required the facility to present alternatives which addressed the sediment loads delivered to the Cape Fear. DuPont -Fayetteville supplied the required model and information and the DWQ has subsequently approved a request to relocate the final effluent discharge outfall. This relocation was approved to stop erosion and discharge of sediment that was occurring in the existing effluent channel. After DWQ review of the facility's modeling report, DWQ staff determined that the proposed relocation would not affect dissolved oxygen levels in the Cape Fear River and approval was granted to relocate the outfall above Lock and Dam #3. This approval was given on February 26, 2008. A summary of the status of the project is provided as follows: DEQ-CFW 00001185 ivir. lioug springer May 30, 2008 Page 4 of 4 • The DuPont staff has contacted DWQ Construction Grants and Loans Section (CGL). DuPont has requested information as to requirements that must be met for CGL to issue an "Authorization to Construct" • In accordance with the requirements of CGL, the NPDES permit was modified to identify the location of the proposed discharge. The permit now provides for a future location upstream of Lock and Dam #3. • The US Army Corps of Engineers must grant 404 Certification to allow the proposed pipeline(s) to enter the Cape Fear River. Ronnie Smith with the Corps has visited the site and toured the proposed area where the pipeline(s) will be located. • The US Corp of Engineers has required that the DuPont facility get a 401 Water Quality Certification from NC DWQ before they can issue the 404 Certification. • DuPont's next step will be to initiate the process to obtain the 401 Certification. • According to DuPont —Fayetteville representatives, the preliminary engineering design work for this project is underway. On behalf of NC Department of Environment and Natural Resources, the Division of Waste Management and the Division of Water Quality, we hope that this correspondence fully addresses your questions and concerns. However, should you require any additional clarification, please contact Mr. Larry Stanley at 919-508-8562 for information on Division of Waste Management activities (Questions 1 and 2); Ms. Connie Brower at 919-733-7015 X 380 for Division of Water Quality groundwater standards issues (Question 3) and Mr. Gil Vinzani 919-733-7015 X 540 for Division of Water Quality NPDES information (Question 4). Sineerel)y Co n H. Sullin .� V CHS/cub cc: Bill Ross, Secretary NC DENR Dexter Matthews, Director, DWM Paul Rawls, DWQ, Point Source Branch Chief Alan Clark, DWQ, Planning Branch Chief DEQ-CFW 00001186