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HomeMy WebLinkAbout3606-20121011INSPA ia NCDENR NORTH CAROLINA DEPARTMENT OF ENVIRONMENT AND NATURAL RESOURCES FACILITY COMPLIANCE INSPECTION REPORT Division of Waste Management Solid Waste Section UNIT TYPE: Lined X I LCID YW X Transfer Compost SLAS COUNTY: GASTON MSWLF PERMIT NO.: 36-06 Closed X HHW White X Incin T&P X FIRM MSWLF nods FILE TYPE: COMPLIANCE CDLF X TireT&P� X Tire Industrial DEMO SDTF Collection Monofill Landfill Date of Site Inspection: October 11TH and 15TH, 2012 FACILITY NAME AND ADDRESS: Gaston County Landfill 3155 Philadelphia Church Rd. (SR-1169) Dallas, NC 28034 GPS COORDINATES: N: 35.3887' E: - 81.17237' FACILITY CONTACT NAME AND PHONE NUMBER: Ray Maxwell, Gaston Co. Public Works Director (704)922-0267 rmaxwellkco. gaston.nc.us Marcie Smith - Solid Waste & Recycling Administrator (704)922-0267 marcie. smithgco. gaston.nc.us FACILITY CONTACT ADDRESS: P.O. Box 1578 Gastonia, NC 28053-1578 PARTICIPANTS: Date of Last Inspection: March 14, 2012 Bill Wagner, Environmental Senior Specialist — Solid Waste Section. Jason Watkins, Western District Supervisor — Solid Waste Section Marcie Smith — Solid Waste and Recycling Administrator, Gaston County Barry Cloninger — Gaston County Solid Waste STATUS OF PERMIT: MSW Permit to Operate is current and shall expire on April 3, 2014. C&D Permit to Operate is current and shall expire on April 24, 2016. PURPOSE OF SITE VISIT: Comprehensive Audit STATUS OF PAST NOTED VIOLATIONS: N/A FACILITY COMPLIANCE INSPECTION REPORT Division of Waste Management Solid Waste Section Page 2 of 8 Leered ® Shallow Monitor WeU Location Deep Monitor Well Location ® Surfacewater Sample Location Landfill Gas Monitor Well Construction & Demolition Landfill (Closed) MW-14 ' i MW-20 %LFG-S LFG-0 LFG-: MW-12 ! MW-: I MW-7 13,J Faaity \ Ll �/ ® Unlined MSW Laudfitl (Closed) and MW8 Construction&Demolition r; Landfll(Active) MW6 % MW-9 SW-1(LL) UnlinedLandil3 1�lUS-1 StoamWaterPond ULO.1 g _don,) r i LLO.3� -B r LinedLandfil�; &iW BD4 ' Stoma Water Pon MW-BD3 1 (abandoned) MW-Io ' MW-17 Cell l.eachate f S mP MW-0A Unit I Lined MSW Landfill (active) McGee Residence ® (Water Supply Wells) MW-19 \ TMW-1(abandoned) \ �r MW-22 ® ` 1 b •os,. d o 'd6 c 3uild. s a i H 1 Lendt-ill LFG-1 ^t' (Water Su ply \pl Storm Water W U) L1 S e Ron Pond Yard Waste f� QO Com4astin9 . 7 {add Faclity na ell dP rod Stoma Water tyG-1fj f Pond MW-21 y¢ MW-23 r h4W-1 ® c �FU-2 fren" anoCeB 2�--2 ®MW-13 j Unit II Phase I Lined MSW Landfill LLO-I °- - (Cells IA, 113, 1C and 2A are active) KW-18A - � _Leachale `®MW-18 -I � SumWasteBoun MW-l6' sk:skerchgasacapl \ \ / Gaston County Landfill 3155 Philadelphia Church Rd, Dallas, North Carolina J Lined Landfill LL0.2 Storm Water Pond ® MW-26 ®MW 27 I ®F— J Approximate Property Boundary SW-2 (LL)IDS-1 Buxton Environmental, Inc, Scale 0 Feet 600 Figure 2. Site Layout Map Figure 1: Gaston Co. Landfill (Hardin Site) — Site Map FACILITY COMPLIANCE INSPECTION REPORT Division of Waste Management Solid Waste Section Page 3 of 8 OBSERVED VIOLATIONS 1. 15A NCAC 13B .0534(b)(2)(A) requires that "The permittee must comply with all conditions of the permit, unless otherwise authorized by the Division. Any permit noncompliance, except as otherwise authorized by the Division, constitutes a violation of the Act and is grounds for enforcement action or for permit revocation, modification or suspension." Item 3, in Part 111, of Attachment #3, of the Permit to Operate (Document ID Number [DIN] 16695) requires that "The permittee must maintain permanent markers that accurately identify the edge of the approved waste disposal boundary. The boundaries of both the C&DLF unit and the closed MSWLF unit must be marked." 15A NCAC 13B .0540(1) requires operators and owners of construction and demolition (C&D) landfill to establish and maintain buffers. In order to comply with this requirement, and as outlined in a Memorandum dated May 29, 2009 owners and operators of all active, inactive and closed C&D landfill units shall install and maintain permanent edge of waste disposal boundary markers for all landfill units. Gaston County is in violation of 15A NCAC 13B .0534(b)(2)(A) and .0540(1) for permit condition and Rule violations, associated with the failure to accurately identify the edge of the approved waste disposal boundary at the active C&D landfill, which is located on top of the closed unlined MSW landfill. (This deficiency had been previously noted in the inspection report of April 4, 2012.) Within 30-days of your receipt of this report, please determine and mark the edge of the approved waste disposal boundary C&D landfill in accordance with the enclosed May 29, 2009 Memo (Permanent Edge -of -Waste Markers at Construction and Demolition Debris Landfills, Industrial Solid Waste Landfills and Municipal Solid Waste Landfills'). When installing these edge waste disposal boundary markers please ensure that the cap of the under lying MSW landfill is not compromised. Upon completion of the installation of the edge -of -waste makers, please notify Bill Wagner the following address: NCDENR — Ashville Regional Office, 2090 US Hwy 70, Swannanoa, NC 28778. 2. 15A NCAC 13B .0542(k)(2) states, in part, that "Adequate sediment control measures consisting of vegetative cover, materials, structures or devices must be utilized to prevent excessive on -site erosion of the C&DLFfacility or unit. " Gaston County is in violation of 15A NCAC 13B .0542(k)(2) in that the eastern and southern slopes of the C&D landfill are sparsely vegetated and exhibiting signs of on -site erosion. 1. Sparse vegetation and excessive on -site erosion of the lower slopes of the C&D landfill. 2. Looking NE from the top of the active C&D landfill at excessive on -site erosion of the lower slopes. Note the two 250,000-gallon leachate tanks. FACILITY COMPLIANCE INSPECTION REPORT Division of Waste Management Solid Waste Section Page 4 of 8 Within 60-days of your receipt of this report, please develop and submit a plan for the establishment and maintenance of adequate vegetative cover and sediment control measures to prevent excessive on -site erosion at the Gaston Co. Landfill. This plan must include a timeline for implementation. Submit the plan, for review and approval, to Bill Wagner at the following address: NCDENR — Ashville Regional Office, 2090 US Hwy 70, Swannanoa, NC 28778. 3. 15A NCAC 13B .1626(7)(a)states, in part, that `Adequate sediment control measures (structures or devices), shall be utilized to prevent silt from leaving the MSKEF facility." Gaston County is in violation of 15A NCAC 13B .1626(7)(a) in that sediment has moved off of the southwest slopes of Unit I, of the lined MSW landfill, and onto the perimeter road. (Photo #3) Within 60-days of your receipt of this report, please develop and submit a plan for the establishment and maintenance of adequate vegetative cover and sediment control measures to prevent excessive on -site erosion at the Gaston Co. Landfill. This plan must include a timeline for implementation. Submit the plan, for review and approval, to Bill Wagner at the following address: NCDENR — Ashville Regional Office, 2090 US Hwy 70, Swannanoa, NC 28778. 4. 15A NCAC 13B .1626(7)(b)states, in part, that " Adequate sediment control measures (structures or devices), shall be utilized to prevent on -site erosion. " Gaston County is in violation of 15A NCAC 13B .1626(7)(b) in that the eastern slopes of Unit I, of the lined MSW landfill as well as the lower slopes of Unit II, in Phase I of the lined MSW landfill are exhibiting significant on -site erosion. (Photos #3, #4 and #5) Within 60-days of your receipt of this report, please develop and submit a plan for the establishment and maintenance of adequate sediment control measures to prevent excessive on -site erosion at the Gaston Co. Landfill. This plan must include a timeline for implementation. Submit the plan, for review and approval, to Bill Wagner at the following address: NCDENR — Ashville Regional Office, 2090 US Hwy 70, Swannanoa, NC 28778. 3. Looking SW down the perimeter road, at sediment that has washed onto the road, on the SW side of Unit I of the lined MSW landfill. 4. Sparse vegetation and excessive on -site erosion of the lower slopes of Unit II of Phase I of the lined MSW landfill. The item(s) listed above were observed by Section staff and require action on behalf of the facility in order to come into or maintain compliance with the Statutes, Rules, and/or other regulatory requirements applicable to this facility. Be advised that pursuant to N.C.G.S. 130A-22, an administrative penalty of up to $15,000 per day may be assessed for each violation of the Solid Waste Laws, Regulations, Conditions of a Permit, or Order under Article 9 of Chapter 130A of the N.C. General Statutes. Further, the facility and/or all responsible parties may be subject to enforcement actions including penalties, injunction from operation of a solid waste management facility or a solid waste collection service and any such further relief as may be necessary to achieve compliance with the North Carolina Solid Waste Management Act and Rules. FACILITY COMPLIANCE INSPECTION REPORT Division of Waste Management Solid Waste Section Page 5 of 8 CKI]u lU I Biel Ify11►11X603 c 0 01 WKI Closed C&D Solid Waste Unit (Unlined): 1. This unit closed in 1998, and is located to the west of the active C&D landfill is on top of the closed MSW landfill. (Figure 1) 2. A review of the Solid Waste Section's records has failed to find any specific requirements for the closure of this landfill unit. Please review Gaston County's files for any records pertaining to closure requirements of the unlined, closed C&D landfill and inform Mr. Wagner of your findings. 3. Edge -of -waste markers are in place at this unit. 4. The cap is well maintained with a good vegetative cover and no evidence of on -site erosion. (Photo #6) 5. Excessive on -site erosion of the lower slopes in Unit I of Phase I of the lined MSW landfill. 6. Looking (S) down the center of cap on the closed C&D landfill. Construction &Demolition (C&D) Landfill 10. The C&D landfill (designated as Area "C") is on top of the closed, unlined MSW landfill. This operation of the C&D landfill became effective on March 23, 2000. 11. Tipping fees for the C&D landfill are currently $24 per ton. 12. The facility charges haulers an extra $52 per ton for cleaning up unacceptable or prohibited wastes. 13. The C&D landfill is currently taking in approximately 100 to150-tons of waste per day. 14. The landfill was actively receiving waste during the inspection. 15. No prohibited wastes were observed during the inspection. 16. Waste screening is done daily. Waste screening records were reviewed. 17. The active working face of the C&D landfill was well managed, and not too large. (Photo #7) 18. Windblown waste is very well controlled. Windblown waste is collected and returned to the working face at close of operations each day. 19. A "Construction and Demolition Recycling Plan " for the recovery and recycling of asphalt shingles, scrap metal, clean wood waste, concrete and block, and cardboard was incorporated into the permit to operate and approved on February 2, 2012. Closed Municipal Solid Waste Unit (Unlined): 20. This unit closed in 1998, and the active C&D landfill is on top of the closed MSW landfill. 21. A review of the Solid Waste Section's records failed to find any specific requirements for the closure of this landfill unit. Please review Gaston County's records for any documentation relative to any closure requirements for the closed MSW landfill. 22. Edge -of -waste markers are in place at this unit. 23. Landfill gas is recovered from the closed MSW landfill to run generators that send power back to the FACILITY COMPLIANCE INSPECTION REPORT Division of Waste Management Solid Waste Section Page 6 of 8 electric grid. 24. The eastern slopes of the closed MSW landfill are exhibiting significant on -site erosion. (Photo #8) 61, 7. Looking SW into the working face of the C&D landfill. 8. Looking NW at the eastern slopes of closed unlined MSW landfill. (Note the surface erosion and sparse vegetation.) Lined Municipal Solid Waste (MSW) Landfill (Unit I, and Unit II, Phase 1, Cell 10 25. Tipping fees for the MSW landfill are currently $32 per ton. 26. The facility charges haulers an extra $52 per ton for cleaning up unacceptable or prohibited wastes. 27. The MSW landfill is currently taking in approximately 550 to 600-tons of waste per day. 23. The landfill was actively receiving waste during the audit. 24. No prohibited wastes were observed during the inspection. 25. Waste screening records were reviewed. Waste screening is done daily. 26. The working face of the MSW landfill was small and well managed. (Photo # 9) 27. The edge of waste was clearly identified with permanent markers. 28. Posi-Shell' was approved for use as an Alternative Cover Material (ACM) on December 22, 2011. 9. Looking (E) from MSW Unit II, Phase I at the active MSW working face in Cell "2A" of Unit II, Phase I. Leachate Management: 10. Monitoring well that is not labeled with a unique ID or well tag. (Believed to be well MW-2) 29. The leachate collection system consists of two 250,000-gallon aboveground storage tanks (ASTs). 30. Leachate is gravity fed to lift stations which pump the leachate up to the leachate ASTs. FACILITY COMPLIANCE INSPECTION REPORT Division of Waste Management Solid Waste Section Page 7 of 8 31. Leachate is removed from the ASTs and hauled by Cedar Hill Grading to the City of Gastonia's Long Creek waste water treatment plant. 32. Leachate recirculation is approved for and done in Cells #1 and #2 of Unit #1. 33. All of the storm -water sediment basins were well maintained and had ample freeboard. Treatment and Processing(_T&P) Area — Wood Grinding 34. Wooden pallets and other mixed wood waste are ground into boiler fuel. 35. Currently there is very little market for this boiler fuel. 36. Type I compost is produced from mixed wood waste that is ground and windrowed on site. Temperatures are maintained at 131 °F for three consecutive days. 37. Pallets and other clean, un-treated wood are ground into mulch. 38. The mixed yard waste (land clearing debris, yard waste, and other wood wastes) in the wood grinding area is staged within approximately 85-ft. of the water supply well for the landfill. (Photos #10 and #11) Please ensure that, in accordance with 15A NCAC 13B .1404(a)(4)), `A 100 foot minimum buffer is required between all wells and compost areas. " 11. Looking (N) from the edge of the mixed yard waste staging area at the green cover for the water supply well. White Goods & Scrap Metal Area 12. Looking (E) down the (N) edge of the mixed yard waste staging area. Green cover for the water supply well is outside of the fence, on the left. 39. White goods were well organized and stored in upright positions. 40. Webb Metal in Dallas, NC removes white goods as needed. 41. CFCs (refrigeration gases) are removed from the white goods by Major Appliance Parts & Service, Inc. of Shelby, NC. (P.O. Box 1767, 1243-1, East Dixon Blvd.) 42. CFCs were last collected on June 13, 2012. Freon gases are shipped to United Refrigeration. 43. This area was clean and well maintained. Scrap Tires 44. Scrap tires are stored in semi -trailers prior to being shipped to the US Tire facility in Concord, NC. 45. Scrap tire records were reviewed. (The landfill has implemented the use of a "Daily Tire Log Sheet".) 46. The scrap tire area was well managed. FACILITY COMPLIANCE INSPECTION REPORT Division of Waste Management Solid Waste Section Page 8 of 8 Water Quality Monitoring 47. Water quality monitoring records were reviewed. 48. Water quality samples are collected semi-annually by the landfill's consultant, Buxton Environmental. The most recent report of water quality monitoring was for the sampling event that occurred on December 5TH through December 9TH 2O11. 49. The water quality monitoring plan consists of nine groundwater monitoring wells (MWs- 1,2,6,7,8,9,10,19, and 21) and two surface water monitoring points (US-1 and US-2) and one leachate sample. 50. A random inspection of several groundwater monitoring wells found all wells to be in good repair, and secured with padlocks. At least one well (believed to be MW-2) was not marked with a unique IDs / well tag. (Photo #10) Please ensure that monitoring wells (groundwater and landfill gas monitoring wells) have unique IDs (well tags). Also, please ensure that a site map is available that accurately correlates with the "mapped" locations of each well with the actual physical locations of the wells. Submit the map of the well locations, for review, to Bill Wagner at the following address: NCDENR — Ashville Regional Office, 2090 US Hwy 70, Swannanoa, NC 28778. Landfill Gas Monitoring 51. Landfill gas monitoring is done by Buxton Environmental. 52. A GEMTM 2000 Landtec gas monitor is used. 53. Then landfill gas monitoring plan consists of gas monitoring wells MMW-1 through MW-9, along with the monitoring the maintenance building, scale house and bailing building. 54. A random inspection of two landfill gas monitoring wells found all wells to be in good repair, and secured with padlocks. However, at least one well (believed to be LFG-4) was not clearly marked with a unique ID. Please contact me if you have any questions or concerns regarding this inspection report. X,�z Phone: 828-296-4705 Bill Wagnd1rr Environmental Senior Specialist Regional Representative Hand us Certified No. 7009 1680 0000 7515 3233 Sent on: 11/09/12 X Email To: Delivery Mail X To: Ray Maxwell —Gaston Co. Public Works Director Jan Winters, Gaston County Manager, P.O. Box 1578, Gastonia, NC 28053 ec: Jason Watkins, District Supervisor — Solid Waste Section Mark Poindexter, Field Operations Branch Head — Solid Waste Section Jessica Montie, Compliance Officer — Solid Waste Section Marcie Smith, Solid Waste & Recycling Administrator — Gaston County