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July 12, 2017
Sent Via Email – timbmcn@msn.com
Mr. Tim McNeil
Central Carolina Holdings, LLC
1616 McKoytown Road
Cameron, North Carolina 28326
Re: Corrective Action Plan
Central Carolina Tire Monofill
Harnett County
4304‐TIRELF‐1992
DIN 28174
Dear Mr. McNeil:
It has come to the attention of the Solid Waste Section (Section) that no action has taken place
regarding corrective action at the Central Carolina Tire facility. The facility submitted an
Assessment of Corrective Measures Report (DIN 24855) in August 2015 outlining all potential
groundwater remedies. In accordance with 15A NCAC 13B .0503(2)(d) and 15A NCAC 2L, the
facility selected a remedy proposed to restore groundwater quality at and beyond the relevant
point of compliance and to effectively reduce the overall groundwater contamination at the
facility. The remedy includes enhanced in situ bioremediation and monitored natural
attenuation. The Section sent a letter (DIN 25161) approving the assessment report and
remedy selection on October 21, 2015. In this letter, the Section requested the facility submit a
Corrective Action Plan for approval.
To date, the Solid Waste Section has not received a proposed Corrective Action Plan (CAP). The
CAP should include an updated Water Quality Monitoring Plan (WQMP) and a specific
timeline/schedule outlining the next five years following the approval of the Corrective Action
Plan.
If the Corrective Action Plan is not submitted, Central Carolina Tire may be entered into Tiered
Enforcement to achieve compliance with penalties up to $15,000 per day 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 and may also be subject to other enforcement actions including
injunction from operation and any such further relief.
If you have any questions, please do not hesitate to contact me via email
elizabeth.werner@ncdenr.gov or phone (919) 707‐8253.
Sincerely,
Elizabeth S. Werner
Permitting Hydrogeologist
Solid Waste Section
Cc via email: Brian Boutin, PG – Nautilus Geologic Consulting
Vance Moore, PE ‐ Garrett & Moore
Shannon Aufman – SWS, Permitting Engineer
Liz Patterson – SWS, Environmental Specialist
Drew Hammonds – SWS, Field Operations Eastern Supervisor
Jason Watkins – SWS, Field Operations Branch Head
Ed Mussler, PE – SWS, Permitting Branch Head