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HomeMy WebLinkAbout6013_GreenwayNorthMeckCDLF_20180301_WQMPConsultantResponse_FID1087412 March 1, 2018 Ms. Jackie Drummond Compliance Hydrogeologist Division of Waste Management - Solid Waste Section North Carolina Department of Environmental Quality Asheville Regional Office 2090 US Highway 70 Swannanoa, NC 28778 Dear Jackie: Subject: North Mecklenburg C&D Landfill – Permit 60-13 Greenway Waste Solutions of North Meck, LLC Water Quality Monitoring Plan CEC Project 111-370.001 Introduction On behalf of Greenway Waste Solutions of North Meck, LLC (GWS), Civil & Environmental Consultants, Inc. (CEC) prepared an updated Water Quality Monitoring Plan (DIN 28684) for the North Mecklenburg C&D Landfill (Closed Phase I Area and Infill Area), which CEC initially submitted as Appendix E in the Permit Modification Amendment Application to the NCDEQ Solid Waste Section (Section) for review on August 31, 2017. In addition, CEC prepared an Assessment of Corrective Measures report (DIN 28683) for the subject landfill facility, which CEC submitted to the Section for review on November 17, 2017. The strategies outlined in the aforementioned documents are based on unifying the presently separate water quality monitoring plans for the Closed Phase I Area and Infill Area, and to re-establish the point of compliance monitoring wells to reflect the landfill facility boundary based on the intent of Rule 15A NCAC 13B .0544, which have been requested in these documents yet have not been approved by the Section. The Section agreed to a meeting to discuss these matters that was held on February 16, 2018 and attended by representatives of GWS, CEC, and the Section. During the meeting, Section representatives indicated that the request for a permit modification was at an impasse until the Ms. Jackie Drummond - NCDEQ CEC Project 111-370.0001 Page 2 March 1, 2018 strategies and regulatory considerations requested for approval in the Water Quality Monitoring Plan (WQMP) were resolved. To move this matter toward a resolution, the Section requested that GWS prepare a letter providing the rational for the strategies and regulatory considerations outlined in the updated WQMP for review by the Section. This letter has been prepared to serve that purpose. Background In Appendix E of the Permit Modification Amendment Application, CEC updated the WQMP for the North Mecklenburg C&D Landfill, which modifies the previous Proposed Monitoring Plan prepared by Ecological Services, Inc. dated February 2, 1995 for the Closed Phase I Area and Water Quality Monitoring Plan prepared by EnviroPro, P.C. dated January 2010 for the Infill Area. CEC prepared the updated WQMP for the North Mecklenburg C&D Landfill to include assessment monitoring requirements and activities that have been implemented and are on-going at the landfill facility since benzene and vinyl chloride were detected in groundwater samples in October 2012. GWS operates the aforementioned Closed Phase I and Infill Areas at the landfill facility under separate regulatory requirements. Permitted in 1993, GWS maintains the Closed Phase I Area under the “old” .0500 Rules. Permitted in 2002, GWS operates the Infill Area under the current .0500 Rules that became effective January 1, 2007. As depicted in Figure 1, the Closed Phase I Area comprises the southern half of the landfill facility and the Infill Area comprises the northern half of the facility. An unnamed stream tributary to Cane Creek separates the two landfill areas. Cane Creek runs parallel to and lies south of the Closed Phase I Area. As shown in the attached Figure 2, groundwater moving away from the Infill Area and northern half of the Closed Phase I Area either discharges to the tributary stream or flows eastward beneath the stream until it passes beneath the eastern landfill property boundary and ultimately discharges to Cane Creek. The intervening tributary stream is routinely sampled and no significant surface water impacts have been shown by the historical surface water monitoring data. Prior to recent data quality evaluations by several analytical laboratories in 2016-2017, vinyl chloride in excess of the 2L Standard was reported in monitoring wells situated in the vicinity of the confluence of the tributary stream and Cane Creek Ms. Jackie Drummond - NCDEQ CEC Project 111-370.0001 Page 3 March 1, 2018 on the east-central perimeter of the landfill facility. Since the data quality testing, vinyl chloride has not been reported in well samples from this site area above the laboratory reporting limits. The original WQMPs for the subject landfill areas specified downgradient monitoring wells to be placed and monitored in both landfill areas along the centrally located tributary stream. It is our understanding that at the time the permit was issued for the Infill Area, the Section reasoned and GWS concurred that placement and routine monitoring of downgradient monitoring wells north of the internal stream tributary were needed should groundwater contamination be detected in order to assign cause to the contributing landfill area. These particular wells appeared reasonable and warranted until it was determined that both landfill areas are sources of VOC contamination. At this point, the monitoring wells along the tributary stream monitor groundwater conditions internal to the landfill facility. This internal monitoring area is more related to a "review boundary" than it is a point of compliance boundary. Rule 15A NCAC 02L .0108 states a review boundary is established around any disposal system midway between the compliance boundary and the waste boundary. When the concentration of a contaminant equals or exceeds the standard at the review boundary as determined by monitoring, this Rule requires the permittee to take action in accordance with Rule 15A NCAC 02L .0106 (c)(2)(A), which appears to be cited in the Rule in error. However, Rule 15A NCAC 02L .0106(d)(1) requires any person conducting or controlling an activity which is conducted under the authority of a permit issued by the Division and which results in the exceedance of a 2L Standard at or beyond a review boundary, shall demonstrate through predictive calculations or modeling that natural site conditions, facility design, and operational controls will prevent a violation of standards at the compliance boundary; or submit a plan for alteration of existing site conditions, facility design, or operational controls that will prevent a violation at the compliance boundary, and implement that plan upon Section approval. CEC has submitted a plan proposing operational controls (i.e. landfill gas extraction) to address the groundwater VOC exceedances in this internal landfill area. It appears that the intent of 15A NCAC 13B .0544 is to utilize relevant point of compliance wells to timely evaluate groundwater quality at a suitable interception distance from an adjacent landfill Ms. Jackie Drummond - NCDEQ CEC Project 111-370.0001 Page 4 March 1, 2018 property boundary. A significant number of the internal monitoring wells placed along the tributary stream are located less than 50 feet from the respective waste disposal area and at a considerable distance from the nearest property boundary. Thus, such wells are monitoring internal portions of the landfill facility and are not suitably located to meet the intent of point of compliance. The updated WQMP specifies the site monitoring wells that are suitable for point-of-compliance boundary monitoring and those that are better suited for review boundary. While delineating the extent of the groundwater contaminants, GWS installed 23 assessment wells, which are now a part of the assessment monitoring program. Please note that GWS does not propose that monitoring be terminated in any on-site groundwater monitoring well until such time that the monitoring data confirms groundwater quality has been restored to its natural state. GWS, that is, proposes to continue monitoring during the implementation of the proposed active remedial measures. Regulatory Considerations Since the Infill Area was permitted in 2002 under the current .0500 Rules, GWS has performed separate water quality monitoring and regulatory reporting for the older Closed Phase I Area and more recently permitted Infill Area. The water quality monitoring requirements differ for each landfill area, and the Section has required separate monitoring plans and semi-annual water quality monitoring reports for each landfill area. In addressing on-going and pending corrective action at the landfill facility, we anticipate that there will not be a distinct outcome or response relative to a specific landfill area. For these regulatory considerations, GWS is requesting that the two landfill areas be combined under a single WQMP and to re-establish the point of compliance monitoring wells to reflect the landfill facility boundary. In accordance with 15A NCAC 13B .0544(b)(1), the purpose of the updated WQMP is to identify the current monitoring network, methods, and procedures to be used to effectively monitor background and downgradient point of compliance water quality in the uppermost aquifer at the subject site. In determining the relevant point of compliance at the subject facility, Rule 15A NCAC 13B .0544(b)(1)(B) allows the owner and operator to make recommendations for consideration by the Division based upon 1) site hydrogeology; 2) proximity and withdrawal rate of the ground-water users; 3) existing groundwater quality including other contaminant sources Ms. Jackie Drummond - NCDEQ CEC Project 111-370.0001 Page 5 March 1, 2018 and their cumulative impacts on the ground water; 4) whether the ground water is currently used or reasonably expected to be used for drinking water; 5) public health, safety, and welfare effects; and 6) practicable capability of the owner and operator. These conditions are briefly described in the following paragraphs. Site Hydrogeology Groundwater moves beneath both landfill areas discharging either to the tributary stream or to Cane Creek to the south or east as predicted by the Piedmont "slope aquifer system" described by LeGrand in LeGrand, H.E. 2004. Master conceptual model for hydrogeological site characterization in the Piedmont and Mountain region of North Carolina: a guidance manual. North Carolina Department of Environment and Natural Resources, Division of Water Quality, Groundwater Section. This particular site hydrogeologic setting allows for adequate water quality monitoring at assigned point of compliance wells located along the perimeter of the landfill property as proposed in the updated WQMP. The routine monitoring of internal review wells is useful to evaluate internal landfill conditions; however, internal wells may indicate groundwater impacts that never migrate to the proposed facility point of compliance. Thus, decision-making regarding corrective action should be based upon groundwater quality conditions identified at downgradient point of compliance monitoring wells that are located relevant to the landfill property boundaries. Area Groundwater Use In 2014, GWS provided a public water supply to three adjacent residences situated at the southern boundary of the landfill facility. Private water supply wells formerly operated at these residences were made inactive. As depicted on Figure 3, other known area wells are located hydraulically upgradient of the facility or are located at distances greater than 1,300 feet from the closest landfill boundary on the opposite side of Cane Creek. Existing Area Groundwater Quality Other than the aforementioned neighboring residences that were provided public water by GWS, we are not aware of other area water supply wells that are potentially threatened by observed Ms. Jackie Drummond - NCDEQ CEC Project 111-370.0001 Page 6 March 1, 2018 groundwater conditions observed at the GWS landfill facility. Other area water supply wells appear to be more threatened by impacts from the neighboring Mecklenburg County Holbrooks Road (unlined MSW) Landfill (Solid Waste Facility Permit #60-02) than the subject C&D landfill. Expectation of Groundwater Use as Drinking Water Mecklenburg County Government adopted the Mecklenburg County Groundwater Well Regulations in October 2004. Before issuing a water supply well construction permit, the County conducts a field investigation to evaluate the topography, landscape position, available space, and potential sources for groundwater contamination on or around the site on which a water supply well is to be located. Should the County determine a water supply well cannot be constructed in compliance with the subject regulations, it will issue a written notice of denial of a construction permit. Further, the regulations require the County to establish an Area of Regulated Groundwater Usage (ARGU) when the groundwater standards as referenced in 15A NCAC 2L .0202 are exceeded at a property. The tax parcel occupied by the North Mecklenburg C&D Landfill is shown as a Mecklenburg Priority List (MPL) site on the Well Information System 4.0 map, as is the adjacent Mecklenburg County Holbrooks Road (unlined MSW) Landfill. Per the regulation, the ARGU is to extend 1,500 feet around the property boundary of the contamination site, if the source area of the contaminant is unknown and the contaminant plume has not been defined or partially defined. New and existing water supply well use is regulated within the ARGU. If public water is available, a new well will not be permitted 1,000 feet or less from the property boundary of the contamination site, if the source area of the contaminant is unknown and the contaminant plume has not been defined or partially defined. A new or existing well permitted within the ARGU will require initial water sampling and biannual sampling for the contaminants of concern, and treatment for identified contaminants. These regulations allow the County to review new and existing groundwater wells with respect to known mapped contaminated sites for public safety. Given that the GWS and Mecklenburg County Landfills coexist in the same general area, it is not reasonably expected that area Ms. Jackie Drummond - NCDEQ CEC Project 111-370.0001 Page 7 March 1, 2018 groundwater will be used in the future for drinking water. Recent land development pressures in the area are making public water more readily available to local residences. Public Health, Safety, and Welfare Effects The public health, safety, and welfare will not be jeopardized by our request to provide adequate point of compliance monitoring of the landfill facility under one consolidated landfill monitoring plan. GWS will undertake appropriate active corrective measures, including landfill gas extraction, in areas where point of compliance monitoring data indicate significant groundwater quality impacts. In fact, GWS has proactively implemented an active landfill gas extraction system that we believe will improve groundwater quality at the landfill facility. As noted above, Mecklenburg County regulates existing and new water supply well use in the vicinity of the subject landfill. Practicable Capability of the Owner and Operator GWS is capable of addressing appropriate corrective actions that are necessary to protect human health and the environment. In fact, GWS has been proactive and expended considerable financial resources in undertaking several precautionary measures to reduce potential human health risks including the provision of public water to three neighboring residences. Because the VOC contamination observed in site groundwater appears to be largely the result of landfill gas impacts, GWS has installed a landfill gas extraction system that is currently operating in the Closed Phase I Area, which has been expanded to other areas. In addition, GWS has installed a new landfill gas extraction system in the Infill Area that was activated the week of February 26, 2018. Revisions to Recently Submitted Updated Water Quality Monitoring Plan On behalf of GWS, CEC has revised the updated WQMP (DIN 28684) in response to the Section’s comments in a January 10, 2018 letter (DIN 28715) and justification presented in this letter. The revised WQMP is attached under separate cover. The revised WQMP proposes to combine both the active Infill Area and the Closed Phase I Area into one single entity for monitoring purposes. Revisions have been made to the list of specified point of compliance (POC) wells and review boundary wells in Tables 1 and 2 of the revised WQMP. In addition, Figure 2 has been revised to Ms. Jackie Drummond - NCDEQ CEC Project 111-370.0001 Page 8 March 1, 2018 include POC wells MW-4D-1 and MW-6D-1 that were inadvertently omitted in the figure, and has been updated to include three new surface water sampling locations along Cane Creek to the south and southeast of the landfill facility. Conclusions Based on the information provided, we believe that combining the separate monitoring plans for the Closed Phase I Area and Infill Area into a unified updated facility WQMP meets the intent of 15A NCAC 13B .0544(b)(1), which is to provide a monitoring network, methods, and procedures to effectively monitor background and downgradient point of compliance water quality in the uppermost aquifer at the subject site. Thank you for your consideration of this request. If you have any questions or comments, please feel free to contact me at (704) 578-9950. Sincerely, CIVIL & ENVIRONMENTAL CONSULTANTS, INC. Ed Stephens, PG Scott L. Brown, P.E. Senior Project Manager Vice President Attachments Figure 1 Site Map Figure 2 2017 Spring Groundwater Potentiometric Map Figure 3 Area Water Supply Well Location Map EXPANSION AREA 2 PHASE 1, 2 AND 3 ACTIVE C&D LANDFILL CELLS EXPANSION AREA 1 CLOSED C&D LANDFILL CELL CLOSED C&D LANDFILL CELL INFILL EXPANSION AREA ACTIVE C&D LANDFILL CELL 8 A B 34567 12 C D E F G H 8 34567 12 A B C D E F G H DESCRIPTIONDATENOREVISION RECORDDATE:DWG SCALE:DRAWN BY:CHECKED BY:APPROVED BY:PROJECT NO:FIGURE NO.:SITE MAP111-370.0001AS NOTEDFEBRUARY 2018JKS/PABEHSEHS1GREENWAY WASTE SOLUTIONS OFNORTH MECK, LLCNORTH MECKLENBURG LANDFILLHUNTERSVILLE, NCNORTH www.cecinc.com1900 Center Park Drive - Suite A - Charlotte, NC 28217Ph: 980.237.0373 · Fax: 980.237.0372REFERENCE LEGEND 8 A B 34567 12 C D E F G H 8 34567 12 A B C D E F G H DESCRIPTIONDATENOREVISION RECORD333 Baldwin Road · Pittsburgh, PA 15205412-429-2324 · 800-365-2324www.cecinc.comDATE:DWG SCALE:DRAWN BY:CHECKED BY:APPROVED BY:PROJECT NO:ATTACHMENT:2017 SPRINGGROUNDWATER POTENTIOMETRIC MAP111-370.0001AS NOTEDFEBRUARY 2018PNP/PABEHSSLB2GREENWAY WASTE SOLUTIONSAT NORTH MECK, LLCNORTH MECK LANDFILLHUNTERSVILLE, NCNORTH LEGEND NOTES DATE:DWG SCALE: DRAWN BY:CHECKED BY:APPROVED BY: PROJECT NO: FIGURE NO.: AREA WATER SUPPLY WELL LOCATION MAP 111-370.0011" = 1,000'NOVEMBER 2017 CTH MK EHS 3 GREENWAY WASTE SOLUTIONS AT NORTH MECK, LLC NORTH MECK LANDFILL HUNTERSVILLE, NORTH CAROLINA REFERENCE www.cecinc.com 1900 Center Park Drive - Suite A - Charlotte, NC 28217 Ph: 980.237.0373 · Fax: 980.237.0372 NORTH