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HomeMy WebLinkAbout0105_CobleCDLF_PTOApp_renewal_FID1357327_20190829From:mail@sf-notifications.com on behalf of Hannu Kemppinen To:Chao, Ming-tai Subject:[External] 01-05 20190829 5-yr Permit renewal-LOS & RTC1 Date:Thursday, August 29, 2019 5:23:31 PM CAUTION: External email. Do not click links or open attachments unless you verify. Send all suspicious email as an attachment to report.spam@nc.gov Hannu Kemppinen has sent you files.Expires 2/25/20 A note from Hannu : On behalf of Coble’s Sandrock C&D LF, LaBella submits to the Section responses to commentsreceived on May 22, 2019 and the landfill 5-year permit renewal and Life of Site application. Thisapplication submittal includes the landfill engineering plan revised drawings and updated Plan sections as addressed in the comment letter. The Section hydrogeologist reviewed the water quality and landfillgas monitoring plans, and the revised plans are included in this submittal. If you have questions or require further clarification, we are available to help and please feel free tocontact us. Download Trouble with the above link? You can copy and paste the following URL into your web browser:https://joyce.sharefile.com/d-e2965a50925740ba ShareFile is a tool for sending, receiving, and organizing your business files online. It can be used as apassword-protected area for sharing information with clients and partners, and it's an easy way to send files thatare too large to e-mail. Powered By Citrix ShareFile 2019 1 August 23, 2019 Mr. Ming-Tai Chao, P.E. Environmental Engineer Permitting Branch, Solid Waste Section Division of Waste Management 217 West Jones Street Raleigh, NC 27603 Re: Coble’s Construction and Demolition Debris Landfill (C&DLF) Alamance County, Permit No. 0105-CDLF-1998, File ID No. (FID) 1321354 Comments on the Life-of-Site Permit Application Permit to Construction Application for Phase 3B and Permit to Operate for Phases 1, 2, & 3A Dear Mr. Chao: On behalf of Coble’s C&DLF LaBella Associates (LaBella) has prepared responses to the comments listed below. Labella submitted on May 3, 2019 a permit application on behalf of Coble’s C&DLF (FID 1320279) to the Solid Waste Section (SWS), Division of Waste Management (DWM) for Life-of-Site permit for construction of Phase 3B and for continued operations of Phases 1, 2, & 3A of the Coble’s C&DLF. After a review of the permit application, the SWS informed the Cobles via e-mail message dated May 6, 2019 that the received permit application is incomplete. Pursuant to NCGS 130A-295.8(e), the SWS issued the following comments and to prepare a complete permit application. The original comments are repeated as they appeared on the May 22, 2019 letter, and our responses to the comments are in bold font for clarity and ease of reading. The comments on the engineering portion of the permit application (FID 1320279) are: General 1. The existing franchise agreement between Coble’s Sandrock, Inc. and Alamance County, NC will expire on September 2, 2019. Please provide a signed copy of the new or amended franchise approved by Alamance County. Amended franchise agreement is included in Appendix 1 of the Facility Plan. 2. In this Section, 2nd paragraph described that “Coble Sandrock is conducting active landfill in the Phase 3A, while excavating and SELLING sandrock from the Phase 3B footprint.” The activities of selling earthen material starts in 2011 as stated in this section. Does Coble’s Sandrock, Inc. hold a current and valid NC mining permit to sell earthen material to non-permitted facilities? If not, the described selling activities is illegal and shall be ceased immediately 2 per North Carolina Ming Act. Otherwise, please provide a copy of NC Mining Permit. Please clarify. Mining Act of 1971 Article 7 §74-79 (7) – Less than 1.0 acre area no permit required. The facility mines less than an acre at a time. Facility Plan 3. Please define “SWMP” in the first paragraph of the Facility Plan? Revisions to the paragraph have been made. 4. (2. Landfill Capacity) i. Please provide the gross capacity of the C&DLF unit. Gross capacity is defined as the volume of the landfill calculated from the elevation of the initial waste placement through the top of the final cover, including any periodic cover per Rule 15A NCAC 13B .0537(e)(2). C&D LF permitted gross capacity is 6,935,903 cubic yards ii. Please provide the data of volumes in cubic yards for in-place wastes and remaining wastes at existing operating Phases 1, 2 & 3A. The data will be incorporated into the new permit. Coble submitted 2019 annual report of waste volumes and remaining airspace in Phases 1, 2, & 3A. The landfill capacity estimates are revised in the plan text . iii. Why the service life of the landfill uses two different annual disposal tonnages – 34,512 tons per year used for calculating overall facility life and 12,368 tons per year used for calculating service life of Phase 3B. Overall facility tonnage reflects the average annual waste stream over the last 20 years. Phase 3B text has been revised to reflect this change. iv. The capacity for Phase 3B of 129,569 CY includes the net waste capacity plus weekly and intermediately covers but not includes the proposed final cover system/ final cap. Phase 3B text has been revised. 5. (3. Special Engineering Features) i. The infiltration barrier, one of components of the proposed final cover system of the C&DLF, is 18-inch-thick compacted soil layer with a low permeability (or hydraulic conductivity) less than 1 x 10-5 cm/sec. The near soils having hydraulic conductivity in the order of 1 x 10-7 cm/sec is described in the Section “Overall Facility Soil Balance” per Rule 15A NCAC 13B .0543(c), the 3 cap system must be designed and constructed to have a permeability less than or equal to soils underlying the landfill, or the permeability specified for the final cover in the effective permit, or a permeability no greater than 1 x 10-5 cm/sec, whichever is less. Therefore, the proposed final cover/cap system of the landfill should use an infiltration barrier with a permeability (or hydraulic conductivity) less than 1 x 10-7 cm/sec. Please make necessary correction. The upper two feet of the landfill base grades meet the Section .0540(2) (b) Unified Soil Classification System requirement. The undisturbed base grade soils do not exhibit same permeability as the near surface soil graded and compacted to 95% of the Proctor. It is our opinion arbitrarily revising the permeability requirement is not warranted. The Infiltration Barrier paragraph has not been revised to show the minimum hydraulic conductivity of the closure soils to be 1 x 10-7 cm/sec. Alternate option with GCL for the landfill closure is proposed. ii. The proposed alternative cover system described in the section is not an approved one because the submitted Engineering Plan and CQA Plan do not include the GCL design and specification. To obtain an approval to use the alternative cover system per Rule 15A NCAC 13B .0543(c), the veneer slope stability analysis including the specified interface of GCL and contact material should be included in the revised Engineering Plan, CQA Plan, and Technical Specifications. The design calculations and specification have been developed and are included with this response. 6. (4. Partial Closure of the Landfill) i. The described partial closure area of 3.6 acres are not shown on any submitted drawings. Please provide the closure CQA report and drawings associated with this partial closure activities. Coble is currently working on Phase 3A areas 14 and 15 in addition to the areas 12 and 13 that were closed in 2016. Closure CQA report will be submitted to the Section following the completion of the partial closure areas. ii. The revision of waste footprint of the Phases 1 & 2 of the C&DLF unit was approved in 2016 without changing the approved gross capacity; the current approved waste footprint of the C&DLF is 66 acres. The Facility Plan should be updated phased development plan and recognized this change. 4 The minor changes made to the Phase 1 (0.5 ac), Phase 2A (0.1 ac), and Phase 2B (0.2 ac) were discussed with the Section and approved in 2016. No changes to the gross capacity were requested by the Section. 7. (Drawing No. FP-01) Per Rule 15A NCAC 13B .0537(d), the facility plan drawing must show: i. All solid waste management facilities such as those non-disposal units or recyclable or recovered waste collection areas described in General Section on Page 2 of the permit application such as wood grinding and stockpiled areas, concrete/rock crushing and storage area, etc. The facility management areas have been added to the facility drawings. ii. The partial closure areas which are consistent to the descriptions in the Section 2 – Closure Area of the Closure & Post-Closure Plan. The Partial Closure areas will be included with the Closure CQA report, which will be submitted to the Section following the completion of the partial closure areas. Operations Plan 8. (1. Waste Acceptance and Disposal) Please provide information of waste screening plan, per Rule 15A NCAC 13B .0542, which should describe processes to prevent the prohibited or non-conformance wastes from coming into the landfill disposal unit, in a minimum, the following info must be provided to the waste screening plan: i. Where is the location (or locations) to conduct the waste screening such as at scale house, working face, and/or other designated area? Random waste inspections are conducted at the scale house and waste off-loading is observed at the working face. ii. The person to conduct the screen. Training credential. Copies of the current operator training certificates are included in the Appendix of Operations Plan. iii. Descriptions (step-by-step) of the screening processes (including frequency and random screening approaches) and management of acceptable waste and prohibited or non-conformance wastes (such as Contingency Plan). According to the Facility Compliance Inspection Report dated in May 7, 2019, Coble’s C&DLF conducts waste screening at a frequency of four (4) times per month. If this practice will continue, please state in the plan. 5 Waste inspection form is included in the Appendix of Operations Plan. Waste screening section has been expanded to address the requested information. 9. (1. Waste Acceptance and Disposal) Will the C&DLF accept non-friable asbestos for disposal? If it is acceptable, please add the disposal manner for this special waste per Rule 15A NCAC 13B. 0542. If it is a prohibited waste, please state so. Clarification to the non-friable asbestos disposal has been added to the Operations Plan. 10. (4. Cover Material Requirements) The last paragraph of this section states that “Mulch generated from excavated LCID material may be used as a soil amendment for cover soil.” The statement is confusion, further clarification is required. i. If the described “mulch” material will be used in the top six-inches of vegetative cover layer, one of the components of the proposed final cover system as stated in the Facility Plan - Cap System. Please state so. Or, ACM use on the Cap System has been added to the Operations Plan Section 4. Cover Materials Requirements. ii. The described “mulch” material will be used as an alternative cover – mulch/soil mixture according to the “Approved Alternative Daily Cover Materials (ADCM) for Use at Sanitary Landfill” dated July 21, 2017, which can be found in the web link below: https://edocs.deq.nc.gov/WasteManagement/0/edoc/723214/ApprovedAC M_Rev1_GDE_20170721.pdf?searchid=f7d5b34c-664b-4338-930a- d1db93f0272f See above (item i.) iii. If so, please add the approved ADCM - mulch/soil mixture application to the Section 4 of the Operations Plan. The referenced ACM has been added to Section 4 of the Operations Plan and Appendix G. 11. (5. Spreading and Compacting Requirement) According to the Facility Compliance Inspection Report dated in May 7, 2019, Coble’s C&DLF fails to comply with operation requirement per Rule 15A NCAC 13B .0542(g). The Operations Plan shall add the requirement - at the conclusion of each operating day, all windblown material resulting from the operation must be collected and properly disposed of at the C&DLF working face. Revisions to the paragraph have been made. 6 12. (7. Air Criteria & Fire Control) i. Prior to any planned burning, in addition to submitting a request to SWS, a permit must be obtained from the NCDQA, NC Forest Services/Alamance County, and/or local fire marshal office. Please add the requirement to this Section. Revisions to the paragraph have been made. ii. Please describe the measures/approaches to manage a vehicle containing a “hot load” at each of the following scenarios: the vehicle approaches scale house, the vehicle inside the landfill facility prior to reaching landfill working face, and the vehicle at the landfill working face. For hot loads, if a vehicle approaches scale house, it would immediately be refused. Vehicles that are found inside landfill facility prior to reaching landfill working face, it would be refused and turned around. Vehicles that make it to the landfill working face, the load would be separated from the trash and immediately covered with dirt. These procedures have been added to the Operations Plan. iii. For reporting a fire incidence, please use the standard report form, which can be downloaded from the following web link, and a copy of the form can be appended to the Operations Plan. https://files.nc.gov/ncdeq/Waste%20Management/DWM/SW/Forms/FireOcc urrenceReport.pdf Reference to the location of the standard Fire Occurrence Report has been added to the Operations Plan Appendix C. 13. (10. Drainage Control and Water Protection) Please add the following requirements to this Section. i. Leachate must be contained on-site or treated prior to discharge. An NPDES permit may be required prior to the discharge of leachate to surface waters per Rule 13A NCAC 13B. 0542(l). Section .0542(l) is now referenced in this section of the Operations Plan. ii. After any leachate outbreak or seep observed at the landfill, a verbal notice to the SWS within 24 hours and within 15 days a written notification with the assessment sampling plan must be submitted to the SWS. The leach releases assessment, sampling guidance can be found in the following web link: https://edocs.deq.nc.gov/WasteManagement/0/edoc/1319075/MSWLeach 7 ate_Release_Sampling_Guide.pdf?searchid=22b91c58-be48-4f48-97ec- ae3766e88565 This language is included in this section of the Operations Plan. iii. Please download the guidance and appended to the Operations Plan. The guidance has been included as an appendix to the Operations Plan in Appendix D. 14. The Operations Plan should provide the following operation requirements, but not limited to, for operating non-disposal waste management units. i. All collected recyclables and/or recovered wastes should be listed and the storage locations (non-mobile ones, such as yard waste collection and grinding, concrete/rock collection & crushing, etc.) should be shown the Operation Drawings. The facility operational areas have been added to the Operation Plans. ii. The operations should comply with requirements stated in NCGS 130A- 309.05(c) against speculative accumulation. Requested paragraph has been added to the Operations Plan under 1. Waste Acceptance and Disposal. iii. For operating the post-consumer asphalt shingles unit, if no any update or modification to the existing approved plan (DIN 13014) dated January 11, 2011 will be made, please append the approved plan to the Operations Plan. Otherwise, please remove the unit from the Operations Plan. The approved shingles plan has been added to the Operations Plan as Appendix E. iv. For non-mobile units (yard waste collection and grinding and concrete/rock collection & crushing), please state the extent, in acres, of each unit; the maximum volume (in tonnage or cubic yards for both untreated wastes and products) of the temporary storage or stockpile of each unit at any given day. The location of the facility operational areas have been added to the Operation Plans. v. For a concrete/rock collection & crushing unit, please describe the following requirements: (a) Acceptable waste streams must be clean, unpainted, and non- contaminated concrete blocks, broken concrete, brick, etc. This has been added to Section 1 of the Operations Plan. 8 (b) No liquid or flowable concrete/cement is permitted at this unit. This has been added to Section 3 of the Operations Plan. (c) Control measures must be utilized to minimize and eliminate visible dust emissions. Fugitive dust emissions are prohibited. This has been added to Section 7 of the Operations Plan. (d) No grinding or processing wastes is allowed in a raining day. Acknowledged. This has been added to Section 1 of the Operations Plan. vi. For a yard and wood waste collection and grinding unit, please describe the following requirements: (a) Description of the acceptable waste streams. - Yard trash (high nitrogen vegetative wastes such as grass clipping) as defined in Rule 15A NCAC 13B .0101(55) shall NOT be accepted at this landfill facility. This has been added to Section 1 of the Operations Plan. - Wood wastes – tree limbs and trunks or clean, non-painted wood wastes including wooden pallet as defined in NCGS 130A-290(a)(44a) are permitted wastes for temporarily storage and treatment /processing for mulch. This has been added to Section 1 of the Operations Plan. - Engineering wood shall only be ground for boiler fuel. The stockpile of engineering wood should be separated from other wood waste stockpiles. This has been added to Section 1 of the Operations Plan. (b) Description of waste screen methods and the approaches to handle & manage the detected or observed non-conformance or prohibited wastes including temporary storage and proper disposal (the permitted facilities and the disposal frequency). The facility screens every load that comes over the scales. Anything that they are not permitted to take is refused. In the case of mixed loads (a tire or bag of household waste mixed with construction debris, for example), they tell the customer that they do not accept that item and that they will need to keep that item(s) on the truck. They notify the landfill workers at the working face of the items. 9 (c) A 25-foot minimum distance is required between each storage area and swales or berms to allow for adequate access of firefighting equipment per Rule 15A NCAC 13B .1404(a)(8). Section 7 of the Operations Plan has been updated to include the additional information regarding the firefighting equipment. (d) No composting is permitted at this unit. Acknowledged. This has been added to Section 1 of the Operations Plan. (e) No grinding or processing wastes is allowed in a raining day. Acknowledged. This has been added to Section 1 of the Operations Plan. 15. According to the Facility Compliance Inspection Report dated in May 3, 2018, the mining LCIDLF is almost completed. If the waste activities will be no longer required, please state so. Otherwise, the Operations Plan should provide the following operation requirements, but not limited to, for the activities of mining waste at the existing LCIDLF unit, located at the future Phase 4 of the C&DLF. i. What is the permit number or the notification site number of this LCIDLF? ii. What is the purpose to mining the existing LCIDLF? The old LCID LF is closed and no longer in operation. iii. Description of the waste footprint and approximately remaining in-place waste volume of the LCIDLF. The drawings of the layout (plan view) and the two- major cross-sections of the landfill, which shows the bottom of the landfill and grades of remaining wastes, the basis of calculating remaining in-place waste volume of the LCIDLF. Due to the age of the LCID landfill area no base grade are available so estimating the in-place waste volume would only be a guess at this point. iv. Descriptions the targeted wastes for the mining activities, such as a list (tableted) of wastes, to be recycled/recovered for the designated uses. The target wastes from the mining activities are concrete and soil. This has been added to the Operations Plan in Section 13. Land Clearing and Inert Debris Landfill (LCIDLF). The permit for this work is ALAMA-2002-028. v. Descriptions of how to manage, handle and disposal of the wastes which are no marketable values such as stockpile locations, on-site or off-site permitted disposal facility. 10 The concrete is crushed on an as needed basis and is therefore not stockpiled. If stockpiling is required at some future time it will be adjacent to future Phase 4. vi. Will the mined/open area be covered by earthen material or alternative cover material? How often the cover material is applied at the opened area? Descriptions of measures for stormwater separation (run-in to the mining area) and minimizing the leachate generation at the mined area in the LCIDLF. The mining is completed, the area graded and does not need to be covered. The area is graded to eliminate leachate generation and run off. 16. The Operations Plan must provide the operation requirements for the existing LCIDLF according to Rules 15A NCAC 13B .0563 through .0566. i. Please note that the rule-required info of this landfill is not available in the SWS record or file system; therefore, all applicable siting requirements stated in .0564 should be included in the revised permit application. This existing facility includes the Phase 4 area under permit 0105-CDLF- 1998. Operational requirements for the site are found in the permit under Part 1 Facility Operating Conditions. ii. Please provide the permit number or notification site number for this LCIDLF. See response in Item 15 above. iii. Additionally, the existing erosion and sediment control plan (ESCP) for the C&DLF unit does not cover this LCIDLF unit. Please modify the existing ESCP permit issued by the NC Land Quality Section to include this LCIDLF unit. The Phase 4 has been added to the existing ESC Plans for the facility. iv. Please provide property deed for this LCIDLF unit which is seated at the permitted landfill property but not inside the C&DLF unit. The property deed has been included with this submittal. 17. For operating destruction of mobile home at the C&DLF working face, please append the Solid Waste Section Guidance to the Operations Plan and add the additional requirements below to the Operations Plan: 11 i. Mobile homes that are defined in N.C.G.S. 105 - 164.3(20) and generated from mobile or modular home manufacturers located in Alamance County will be accepted for deconstruction. But a mobile home consisting of a component or components containing friable asbestos material shall not accepted at this C&DLF per franchise agreement. This has been added to Section 1 of the Operations Plan. ii. All non-permitted wastes must be properly removed from the mobile home prior to delivering to the C&DLF facility. Waste screening processes should be conducted and documented to ensure that the mobile home only contains permitted C&D wastes. This has been added to Section 1 of the Operations Plan. iii. White goods, as defined in N.C.G.S. 130A-290(a)(44), should be removed from mobile homes to be deconstructed prior to arriving and being accepted at the landfill facility. White goods is not permitted waste stream for a C&DLF and shall NOT be stored in the scrap metal collection area. White goods, as defined, are shown as not acceptable under Section 3, item 13, on page 5 of the Operation Plan. iv. All mobile homes must be deconstructed within 45 days from acceptance into the deconstruction area. The date of receipt at the landfill shall be posted on the mobile home or its frame. This requirement has been added to Section 1 of the Operations Plan. v. All material not planned for recycling must be placed in an approved disposal unit before the end of the day when deconstruction takes place. This has been added to Section 1 of the Operations Plan. vi. Recyclable materials may be stockpiled at the mobile home deconstruction area for no more than 45 days from the date of deconstruction. This has been added to Section 1 of the Operations Plan. vii. Records shall be kept at the facility in accordance with the Operations Plan – Operating Record and Recordkeeping. Records of mobile home deconstruction has been added to Section 11 of the Operations Plan. 18. A permitted temporary disaster debris staging site (TDDSS) is located at the landfill facility according to the Facility Compliance Inspection Report dated in May 7, 2019. Please add the following requirements to the Operations Plan. 12 i. The Permit No. of this TDDSS is DS01-015. This has been added per your comment. ii. The size (in acreage) of the TDDSS and the location shows on the drawings. This has been added per your comment. iii. The TDDSS shall not receive disaster debris without the Section’s approval. This has been added per your comment. iv. When the site is activated following an emergency event: (a) Only PERMITTED wastes for the Coble’s C&DLF may be accepted in the TDDSS. Through the waste screening processes, all non-conformance or prohibited wastes shall not be accepted at this unit; any inadvertently accepted non-conformance or prohibited wastes shall be properly handled, managed, and disposal off according to the approved Contingency Plan. (b) Activation must be requested and received from the Regional Environmental Senior Specialist for the facility. (c) All permitted debris must be removed from the TDDSS within six (6) months from the activation date. (d) Storm debris must be placed in rows with a maximum of 12 feet high and 25 feet wide. A minimum of 15 feet row aisles must be maintained to separate piles. (e) Adequate isle lines shall be established and maintained for each waste stockpile for firefighting. These items have been added per your comment. 19. (Operations Plan Drawing) The submitted Operation Plan Drawings DO NOT meet the requirements stated in Rule 15A NCAC 13B .0524(b)(1). Additionally, i. The Drawing No. EP-01 shows the facility conditions occurred in 2009. Lots of information are out of date. Additionally, the LCIDLF and other non-disposal waste management units must be added to the drawing. Existing Conditions have been updated per a more recent survey. The LCIDLF and other non-disposal waste management units have been added to the drawing. ii. The drawing (EP-01through EP-07) must provide (a) each permanently closed area with acreage & fill grades, (b) the existing fill grades in Phase 3A per Rule 15A NCAC 13B .0542(m), (c) labels of Phase 1 & Phase 3A & Phase 3B, (d) the progressive filling plan for Phases 3A & Phase 3B (please note can only 13 operate 4-acre at any given time until the existing financial assurance arrangement is improved) must be revised according to the Facility Plan such as one year of service life expectancy for Phases 1 through 3A, etc. These items have been added to the drawings per your comment. Closure Plan 20. (1. Description of Cap System) Soil having hydraulic conductivity in the order of 1 x 10-7 cm/sec is described in the Facility Plan - “Overall Facility Soil Balance.” Per Rule 15A NCAC 13B .0543(c), the cap system must be designed and constructed to have a permeability less than or equal to soils underlying the landfill, or the permeability specified for the final cover in the effective permit, or a permeability no greater than 1.0 x 10-5 cm/sec, whichever is less. Therefore, the proposed final cover/cap system of the landfill must use an infiltration barrier with a permeability (or hydraulic conductivity) less than 1 x 10-7 cm/sec. Permeability of the base grade Sandrock has not been established for permitted Phases 1-3A/3B. The conditions have not changed since the Section accepted previously closed areas. 21. (2. Closure Area & 5. Cost Estimate for Closure) i. According to the January 16, 2014 letter (DIN 24363), Coble’s Sandrock, Inc. requested the open area within the approved waste disposal limits should equal to or less than four (4) acres at any time, and this request was approved and incorporated into the existing permit and annual financial assurance, which is subject to an annual inflation factor adjustment. However, the submitted cost estimates for landfill closure in the Permit Application is based on closure area of 9.3 acres. Coble’s Sandrock, Inc. must assure the SWS that sufficient and adequate financial assurance is available to cover the costs to close 9.3 acres of the C&DLF, which is a requirement must be satisfied per Rule 15A NCAC 13B .0546 & Law NCGS 130A-295.04. If Coble’s Sandrock, Inc. fails to meet the above-referenced law requirement, the SWS will not issue a new permit but issue a letter for demanding for ceasing waste operations and executing landfill site closure. Acknowledged. The Financial Assurance will be revised to include the 9.3 acres of open area. ii. Please submitted the certified closure CQA report for portion of Phase 3A and as- built drawing (delineating the certified closed area) signed, sealed and certified by a NC listened surveyor. 14 The Phase 3A closure report is being prepared and will be submitted when completed. 22. (3. Waste Inventory) The approved gross capacity for Phases 1, 2 & 3A is 1,255,963 cubic yards (CY) according to February 08, 2016 Permit (DIN 25405). The Facility Plan - Landfill Capacity states the remaining disposal capacity for Phases 1, 2 & 3A is approximately 48,536 CY and the Closure Plan – Waste Inventory states that approximately 1,075,951 CY wastes disposed in Phases 1, 2 & 3A 1,075,951 CY. Both data are based on scale house data from 1999 to August 2008. According to the waste inventory data and approved gross capacity of Phases 1, 2 & 3A, the remaining capacity should be 180,012 CY which is far more than the estimated volume of 48,536 CY stated in the Facility Plan. Please explain the discrepancy and determine the remain waste capacity for Phases 1, 2 & 3A. Waste Inventory 2018 shows that approximately 1,075,951 CY waste was disposed in Phases 1, 2 & 3A and remaining capacity was 180,012 CY. Based on the historical average tonnage received at the landfill, projections indicate near full capacity by 2020 with remaining volume 48,536. 23. (5. Cost Estimate for Closure) Please address the following concerns: i. The following unit costs are the same as the ones in 2016 dollar-value (DIN 24363). The inflation factors should be applied from 2017 through 2019. Cost Item 2016 dollar- value Inflation Factor 2016 2017 2018 2019 1 1.013 1.018 1.022 Mobilization $ 5,000 $ 5,000 $ 5,156 $ 5,270 18-inch vegetative soil $ 3.5/CY $ 3.5/CY $ 3.5/CY $ 3.5/CY Seeding/vegetation $ 1,500 $ 1,500 $ 1,554 $ 1,589 The table of prices has been updated per your comment. ii. The unit cost of $3.5 per CY for 18-inch compacted soil liner (CSL) is the same as that for not compacted and non-specified vegetative soil layer. Based on the cost data collected by SWS, the unit price for CSL is unreasonable low. Please provide a reasonable unit cost. The per CY cost for clay cap has been revised per your comment. 15 iii. The costs for installation passive gas venting system (one vent per acre) is not available in the cost estimate. Please add the cost to the closure cost estimates. The cost for gas vent installation has been added to the closure cost estimate per your comment. iv. The cost for stormwater/ erosion and BMPs for the approved sediment control devices for the final cover system (as shown on Drawing No. EP-07) is not available in the closure cost estimate. Please add the cost to the closure cost estimates. The cost for the stormwater/erosion control BMPs have been added to the cost estimate per your comment. v. The lump sum price (approximately 5% of the subtotal) for cost items – Engineering/CQA & Contingency should be revised accordingly. These costs have been updated accordingly. Post-Closure Care Plan 24. (3. Post-Closure Maintenance) Provide descriptions or measures including remedial approaches for repairing final cover system if leachate seeps are observed as noted in Appendix B. A paragraph has been added to this section for leachate seeps if they are discovered as occurring. 25. (4. Inspection Plan) i. Please add the inspection of the edge markers of the landfill waste footprint/ disposal boundary to the inspection task item. This item has been added to the inspection list in Section 4. ii. Please add the reporting & sampling requirements if a leachate seep or outbreak is observed in the routine inspection tasks as noted in Appendix B. After any leachate outbreak or seep observed at the landfill, a verbal notice to the SWS within 24 hours and within 15 days a written notification with the assessment sampling plan must be submitted to the SWS. The leach releases assessment/sampling guidance that can be found in the following web link should be appended to the plan: https://edocs.deq.nc/gov/WasteManagement/0/edoc/1319075/MSW%20L eachate_Releases_Sampling_Guide.pdf?searchid=22b91c58-be48-4f48- 97ecae3766e88565 16 This section has been revised per your comment. 26. (5. Post-Closure Land Use) According to the Facility Compliance Inspection Report dated in May 7, 2019, the closed areas at the C&DLF is used for raising goats. Since goat grazes the vegetation for protection of the final cover system should be properly managed; otherwise the vegetation established on the final cover system will be destroyed by goats. A grazing plan, a portion of the Post-Closure Plan, should be submitted for a review and approval; otherwise the landfill shall not be used for raising animal per Rule 15A NCAC 13B .0543(f)(3). A section restricting animal raising on the final closure cap has been added to the Post Closure Land Use section. Prepared For: COBLE’S SANDROCK, INC. 5833 FOSTER STORE ROAD LIBERTY, NORTH CAROLINA 27298 Submitted By: LaBella Associates 2211 West Meadowview Rd. Suite 101 Greensboro, NC 27407 336-323-0092 NC License No. C-0430 PERMIT RENEWAL - GENERAL REPORT COBLE’S SANDROCK CONSTRUCTION & DEMOLITION DEBRIS LANDFILL PERMIT NO. 01-05 august 2019 Project no. 2191087 ________________________________________________________________________ I - General 1 LaBella Associates, PC C&D LF 5-Year Permit Renewal/LOS August 2019 Coble’s Sandrock, North Carolina I. GENERAL This report was prepared on behalf of Coble’s Sandrock in accordance with the North Carolina Solid Waste Management Rules, 15A NCAC 13B, Sections .207 and .500. The intent is to demonstrate compliance with the applicable permit application requirements therein so that a permit renewal for Life of Site may be issued for the Coble’s Sandrock Construction and Demolition Landfill. The C&D Landfill is owned and operated by Kent and Brenda Coble. The facility is currently operating under North Carolina Solid Waste Permit No. 01-05. The site was originally permitted for operation in September 30, 1998. DENR Solid Waste Section issued Permit to Continued Operate for Phase 1 & 2 in February 2009. Permit to Construct Phases 3A & 3B expansion was issued on January 30, 2009. Joyce Engineering submitted a Letter of Notification for Partial Closure of Phases 1 & 2 in April 2010. Permit to Operate Phases 2 and 3A was issued in April 2011 with Permit for Construction Phase 3B expansion. Five-year operation permit for Phases 2 and 3A and Permit to Construction was issued on February 2016. Coble Sandrock is conducting active landfilling in the Phase 3A, while excavating and the Phase 3B footprint. Permit condition, Attachment 2 notes that the Permit to Construct (PTC) shall expire August 8, 2017, eighteen (18) months from the issuance date of the permit according to Rule 15A NCAC 13B .0534(b)(2)(H). If the initial or substantial construction authorized in the permit does not begin within 18 months from the issuance date of the permit, then the permittee must obtain a permit modification from the Section prior to construction, comply with the conditions of the approval and submit a permit modification fee. Substantial construction includes, but is not limited to, issuance of construction contracts, mobilization of equipment on site, and construction activities including installation of sedimentation and erosion control structures. A Modification to the Permit to Construct for the facility will be required in accordance with rules in effect at the time of review of the request and shall be subject to a permit modification fee according to NCGS 130A-295.8. Coble’s has been excavating the 3B footprint, and the 3B area has been under construction for the landfill expansion since the issuance of the PTC in April 2011. Coble has completed the 3B area construction and the CQA report is submitted to the SWS under separate cover. PERMITTING HISTORY Permit Type Date Issued Doc ID No. (DIN) Original Issue September 30, 1998 5987 Permit Modification 1 (Area Certifications) April 4, 2000 5987 Permit Modification 2 (Area Certifications) August 29, 2000 5987 Permit Modification 3 (1.15 acre Addition) January 24, 2002 5987 Permit to Construct (PTC) for the Phase 2 Ei May 20, 2003 5987 PTC for the Phases 3A & 3B Expansion January 30, 2009 4918 ________________________________________________________________________ I - General 2 LaBella Associates, PC C&D LF 5-Year Permit Renewal/LOS August 2019 Coble’s Sandrock, North Carolina Permit to Operate (PTO) for the Phases 1 and 2, Continued February 23, 2009 6889 PTC for Phase 3B and PTO for Phases 2 & 3A April 29, 2011 13652 Administratively Modified PTO Consisting of Address correction page 1; Elimination of Attachment 3, Condition 21 referring to leachate collection; and Restoration of Part V conditions relating to material recovery. January 20, 2012 15921 PTC for Phase 3B and PTO for Phases 2 & 3A, Continued a 5-yr Operation. February 8, 2016 25405 In addition to disposing of C&D waste in an unlined landfill, various waste recovery and processing activities are carried out at the site. These include temporary storage and grinding of wood waste, collection of recyclable metal materials, collection rubble concrete and asphalt shingles for off-site recycling or disposal, and dismantling phased out mobile home units. Facilities such as a scale house and maintenance building are also located on the site. According to the annual facility report for FY2019, the C&D landfill received 19,487.16 tons of solid waste. Of this total 11.25 tons was cardboard, 551.01 tons of metal, 1,121.21 tons of concrete/rubble/asphalt, and 1,541.09 of wood waste. Total recycled content was 3,224.56 tons and landfilled 16,262.60 tons. This permit renewal application intends to provide information to allow the Solid Waste Section to reissue a five-year permit to continue operate and for the Life of Site. This permit renewal contains only the following Sections that have been revised: I – General Section Narrative; II – Engineering Plan Drawings III - Facility Plan IV - Operations Plan V – CQA Plan VI - Closure and Post-Closure Care Plan and their cost estimates; VII - Water Quality Monitoring Plan VIII - Landfill Gas Monitoring Plan LEGENDINDEX TO DRAWINGSALAMANC E C H U RCH RO AD FOSTER STORE ROADSMITH ROADSPANISH OAK HILL ROADKIMESVILLE ROADALAMANCE CHURCH ROADALAMANCE COUNTY LINE ROADCOBLE'S SANDROCK INC.SANKEY ROADMOUNT ZION ROADVERNON LANEBROWN ROADSWANNY COBLE ROADCOBLE'SSANDROCKPROPERTYAUTO BODY SHOPCOBLE'S SANDROCK, INC.ALAMANCE COUNTY, NORTH CAROLINAAPPLICATION FOR PERMIT TO CONSTRUCTPHASE 3 ENGINEERING PLANMARCH 2008REVISED AUGUST 2019RevisionsNO:DATE:DESCRIPTION:1 08/27/19PERMIT RENEWAL RTCINDEX, NOTES AND LEGENDHKLBBDRAWING NAME:6/3/2010 8:47:56 AMDRAWING NUMBER:DATE:ISSUED FOR:DRAWN BY:REVIEWED BY:PROJECT NUMBER:© 2019 LaBella Associates1604 Ownby LaneRichmond, VA 23220804-355-4520labellapc.comCoble's Sandrock Inc.Alamance County, North Carolina2191087.00PERMIT RENEWAL08/27/2007L:\Coble Sandrock\dwg\2019 RENEWAL\Engineering Plan\Plot Sheets\a_COVER INDEX AND VICINITY MAP.dwg Layout=Layout1NOT FOR CONSTRUCTIONEP-T 570570580590600580580580570610630600610620620630640650640650660600610620630650640610620630640640630650640630620640630640650640650640640640570570610640570580630650640630640650590600FOSTER STORE ROADFOSTER STORE ROAD200' PROPERTYBUFFER (TYP.)50' STREAM BUFFERPRIVATEDWELLINGPRIVATEDWELLINGPRIVATEDWELLINGPRIVATEDWELLING PHASE 1(7.0 AC)PHASE 2B(4.76 AC)PHASE 2A(1.1 AC)WASTE LIMITS500'BUFFERFROMRESIDENCE50'STREAMBUFFER100 YEAR FLOODPLAIN LIMITSPHASE 3A(6.36 AC)PHASE 3B(5.87 AC)SCALE HOUSEABANDONEDRESIDENCE640640650640620610620640660620610 600610SURVEY WITHIN BOUNDARY DATEDMAY 22,2019. SURVEY OUTSIDEBOUNDARY DATED JANUARY 24, 2005569.37P-23P-25MW-10SMW-10DMW-8PZ-19SPZ-19DMW-4MW-2MW-7MW-5P-24MW-11MW-6FACILITY BOUNDARY(154.20 ACRES)50' STREAMBUFFER50' STREAMBUFFERTEMPORARYMETALSTORAGEAREASHINGLESTOCKPILECONCRETECRUSHERCONCRETESTOCKPILEAREATDD S S AR EA APPROXIMATE LIMITSOF CLOSURE (12.0 AC.)0(FEET)GRAPHIC SCALE600300150RevisionsNO:DATE:DESCRIPTION:1 08/27/19PERMIT RENEWAL RTCEP-01ENGINEERING PLAN:EXISTING CONDITIONSRHHKDRAWING NAME:6/3/2010 8:47:56 AM DRAWING NUMBER:DATE:ISSUED FOR:DRAWN BY:REVIEWED BY:PROJECT NUMBER:© 2019 LaBella Associates1604 Ownby LaneRichmond, VA 23220804-355-4520labellapc.comCoble's Sandrock Inc.Alamance County, North Carolina2191087.00PERMIT RENEWAL08/27/2007L:\Coble Sandrock\dwg\2019 RENEWAL\Engineering Plan\Plot Sheets\e_EP-01- EXIST COND.dwg Layout=Layout1 NOT FOR CONSTRUCT ION C&D PHASE 17.0 ACRES(CURRENTLYPERMITTED) C&D PHASE 2CELL B4.76 ACRES(CURRENTLYPERMITTED)C&DPHASE 2CELL A1.1 ACRES(CURRENTLYPERMITTED) PROPOSED C&D PHASE 3CELL B(5.8 ACRES) PROPOSED C&D PHASE 3CELL A(6.3 ACRES)550555560565570575580585590595600605610550555570575580585590595600640635595615610605600595590585580570575580585590595600605610635200100500(FEET)GRAPHIC SCALERevisionsNO:DATE:DESCRIPTION:1 08/27/19PERMIT RENEWAL RTCBASE GRADING PLANHKLBBDRAWING NAME:6/3/2010 8:47:56 AMDRAWING NUMBER:DATE:ISSUED FOR:DRAWN BY:REVIEWED BY:PROJECT NUMBER:© 2019 LaBella Associates1604 Ownby LaneRichmond, VA 23220804-355-4520labellapc.comCoble's Sandrock Inc.Alamance County, North Carolina2191087.00PERMIT RENEWAL08/27/2007L:\Coble Sandrock\dwg\2019 RENEWAL\Engineering Plan\Plot Sheets\f_EP-02 BASE GRADING PLAN.dwg Layout=layout DNOT FOR CONSTRUCTIONEP-02 A A' 200100500 (FEET) GRAPHIC SCALE Revisions NO:DATE:DESCRIPTION: 1 08/27/19 PERMIT RENEWAL RTC FINAL GRADING PLAN HK LBB DRAWING NAME:6/3/2010 8:47:56 AMDRAWING NUMBER: DATE: ISSUED FOR: DRAWN BY: REVIEWED BY: PROJECT NUMBER: © 2019 LaBella Associates 1604 Ownby Lane Richmond, VA 23220 804-355-4520 labellapc.com Coble's Sandrock Inc. Alamance County, North Carolina 2191087.00 PERMIT RENEWAL 08/27/2007 L:\Coble Sandrock\dwg\2019 RENEWAL\Engineering Plan\Plot Sheets\j_EP-06 - FINAL GRADING PLAN.dwg Layout=layout DNOT F O R C O N S T R U C TI O N EP-06 LEGEND CONSTRUCTION SEQUENCE: 1. OBTAIN PLAN APPROVAL AND APPLICABLE PERMITS. 2. INSTALL SB-1, TEMPORARY DIVERSIONS, SILT FENCE, AND TEMPORARY SEDIMENT TRAPS FOR PHASE 3A. 3. INSTALL PERMANENT STORMWATER CONVEYANCE CHANNELS FOR PHASE 3A AND GRADE ACCESS ROADS AND BASE OF LANDFILL. STOCKPILE EXCESS SOIL. 4. STABILIZE THE SITE AS AREAS ARE BROUGHT TO FINAL GRADE. PROVIDE GROUND COVER ON EXPOSED SLOPES WITHIN 21 CALENDAR DAYS FOLLOWING COMPLETION OF ANY PHASE OF GRADING AND PERMANENT GROUND COVER FOR ALL DISTURBED AREAS WITHIN 15 WORKING DAYS OR 90 CALENDAR DAYS (WHICHEVER PERIOD IS SHORTER) FOLLOWING COMPLETION OF CONSTRUCTION OR DEVELOPMENT. 5. BEGIN LANDFILLING ACTIVITIES AFTER ALL REQUIRED APPROVALS ARE OBTAINED FROM THE REGULATORY AUTHORITIES. 6. PRIOR TO THE END OF LANDFILLING ACTIVITIES FOR PHASE 3A, INSTALL TEMPORARY DIVERSIONS, SILT FENCE, AND TEMPORARY SEDIMENT TRAPS FOR PHASE 3B. 7. INSTALL PERMANENT STORMWATER CONVEYANCE CHANNELS FOR PHASE 3B. 8. GRADE ACCESS ROADS AND BASEE OF LANDFILL. STOCKPILE EXCESS SOIL. 9. STABILIZE THE SITE AS AREAS ARE BROUGHT TO FINAL GRADE. PROVIDE GROUND COVER ON EXPOSED SLOPES WITHIN 21 CALENDAR DAYS FOLLOWING COMPLETION OF ANY PHASE OF GRADING AND PERMANENT GROUND COVER FOR ALL DISTURBED AREAS WITHIN 15 WORKING DAYS OR 90 CALENDAR DAYS (WHICHEVER PERIOD IS SHORTER) FOLLOWING COMPLETION OF CONSTRUCTION OR DEVELOPMENT. SEEDING SPECIFICATIONS FERTILIZER AND LIME A. APPLY LIME AND FERTILIZER ACCORDING TO SOIL TESTS, OR APPLY LIME AT THE RATE OF 90 LBS/1000 SQ.FT. AND FERTILIZER AT THE RATE OF 20 LBS/1000 SQ.FT. B. MIX THOROUGHLY INTO UPPER 4 INCHES OF TOPSOIL. C. LIGHTLY WATER TO AID THE DISSIPATION OF FERTILIZER AND LIME. SEEDBED PREPARATION A. PREPARE SEEDBED TO A DEPTH OF 4 TO 6 INCHES. B. REMOVE LOOSE ROCKS, ROOTS AND OTHER OBSTRUCTIONS SO THAT THEY WILL NOT INTERFERE WITH THE ESTABLISHMENT AND MAINTENANCE OF VEGETATION. TEMPORARY SEEDING A. PROVIDE TEMPORARY SEEDING ON ANY CLEARED, UN-VEGETATED, OR SPARSELY VEGETATED SOIL SURFACE WHERE VEGETATIVE COVER IS NEEDED FOR LESS THAN ONE YEAR OR WHEN SEEDING DATES WILL PREVENT THE ESTABLISHMENT OF VEGETATIVE COVER IF PERMANENT SEEDING IS ATTEMPTED. B. SEED IN ACCORDANCE WITH THE GUIDLINES BELOW: TEMPORARY SEEDING RECOMMENDATIONS FOR LATE WINTER & EARLY SPRING SEEDING MIXTURE SPECIES RATE (LB/ACRE) RYE (GRAIN)120 ANNUAL LESPEDEZA (KOBE IN PIEDMONT AND COASTAL PLAIN, KOREAN IN MOUNTAINS) 50 OMIT ANNUAL LESPEDEZA WHEN DURATION OF TEMPORARY COVER IS NOT TO EXTEND BEYOND JUNE. SEEDING DATES MOUNTAINS - ABOVE 2500 FT: FEB. 15 - MAY 15 BELOW 2500 FT: FEB. 1 - MAY 1 PIEDMONT - JAN. 1 - MAY 1 COASTAL PLAIN - DEC. 1 - APR. 15 SOIL AMENDMENTS FOLLOW RECOMMENDATIONS OF SOIL TESTS OR APPLY 2,000 LB/ACRE GROUND AGRICULTURAL LIMESTONE AND 750 LB/ACRE 10-10-10 FERTILIZER. MULCH APPLY 4,000 LB/ACRE STRAW. ANCHOR STRAW BY TACKING WITH ASPHALT, NETTING, OR A MULCH ANCHORING TOOL. A DISK WITH BLADES SET NEARLY STRAIGHT CAN BE USED AS A MULCH ANCHORING TOOL. MAINTENANCE REFERTILIZE IF GROWTH IS NOT FULLY ADEQUATE. RESEED, REFERTILIZE AND MULCH IMMEDIATELY FOLLOWING EROSION OR OTHER DAMAGE. TEMPORARY SEEDING RECOMMENDATIONS FOR SUMMER SEEDING MIXTURE SPECIES RATE (LB/ACRE) GERMAN MILLET 40 IN THE PIEDMONT AND MOUNTAINS, A SMALL-STEMMED SUNDANGRASS MAY BE SUBSTITUTED AT A RATE OF 50 LB/ACRE. SEEDING DATES MOUNTAINS - MAY 15 - AUG. 15 PIEDMONT - MAY 1 - AUG. 15 COASTAL PLAIN - APR. 15 - AUG. 15 SOIL AMENDMENTS FOLLOW RECOMMENDATIONS OF SOIL TESTS OR APPLY 2,000 LB/ACRE GROUND AGRICULTURAL LIMESTONE AND 750 LB/ACRE 10-10-10 FERTILIZER. MULCH APPLY 4,000 LB/ACRE STRAW. ANCHOR STRAW BY TACKING WITH ASPHALT, NETTING, OR A MULCH ANCHORING TOOL. A DISK WITH BLADES SET NEARLY STRAIGHT CAN BE USED AS A MULCH ANCHORING TOOL. MAINTENANCE REFERTILIZE IF GROWTH IS NOT FULLY ADEQUATE. RESEED, REFERTILIZE AND MULCH IMMEDIATELY FOLLOWING EROSION OR OTHER DAMAGE. TEMPORARY SEEDING RECOMMENDATIONS FOR FALL SEEDING MIXTURE SPECIES RATE (LB/ACRE) RYE (GRAIN)120 SEEDING DATES MOUNTAINS - AUG. 15 - DEC. 15 COASTAL PLAIN AND PIEDMONT - AUG. 15 - DEC. 30 SOIL AMENDMENTS FOLLOW RECOMMENDATIONS OF SOIL TESTS OR APPLY 2,000 LB/ACRE GROUND AGRICULTURAL LIMESTONE AND 1,000 LB/ACRE 10-10-10 FERTILIZER. MULCH APPLY 4,000 LB/ACRE STRAW. ANCHOR STRAW BY TACKING WITH ASPHALT, NETTING, OR A MULCH ANCHORING TOOL. A DISK WITH BLADES SET NEARLY STRAIGHT CAN BE USED AS A MULCH ANCHORING TOOL. MAINTENANCE REPAIR AND REFERTILIZE DAMAGED AREAS IMMEDIATELY. TOPDRESS WITH 50 LB/ACRE OF NITROGEN IN MARCH. IF IT IS NECESSARY TO EXTEND TEMPORARY COVER BEYOND JUNE 15, OVERSEED WITH 50 LB/ACRE KOBE (PIEDMONT AND COASTAL PLAIN) OR KOREAN (MOUNTAINS) LESPEDEZA IN LATE FEBRUARY OR EARLY MARCH. MAINTENANCE NOTE: MAINTENANCE OF EROSION AND SEDIMENT CONTROL FEATURES, AS DESCRIBED BELOW, IS THE RESPONSIBILITY OF MR. KENT COBLE. THE SEDIMENT BASINS SHALL BE INSPECTED REGULARLY DURING LAND DISTURBING ACTIVITIES AND AFTER EACH SIGNIFICANT RAINFALL. SEDIMENT SHALL BE REMOVED, AND THE BASIN RESTORED TO ITS ORIGINAL DIMENSIONS WHEN SEDIMENT ACCUMULATES TO ONE-HALF THE DESIGN DEPTH. THE EMBANKMENTS, SPILLWAYS, AND OUTLETS SHALL BE INSPECTED REGULARLY FOR SIGNS OF PIPING AND SETTLEMENT. REPAIRS SHALL BE MADE IMMEDIATELY. THE RISER AND POOL AREA SHALL BE KEPT FREE OF TRASH AND OTHER DEBRIS. DIVERSION BERMS SHALL BE INSPECTED WEEKLY AND AFTER EACH SIGNIFICANT RAINFALL. ACCUMULATED SEDIMENT SHALL BE REMOVED IMMEDIATELY FROM THE FLOW AREA, AND DIVERSION BERMS REPAIRED PROMPTLY. GRASS-LINED CHANNELS SHALL BE CHECKED AFTER EVERY RAINFALL WHILE GRASS IN THE CHANNEL IS BEING ESTABLISHED. AFTER GRASS IS ESTABLISHED, THE CHANNEL SHALL BE REMOVED AS NECESSARY TO MAINTAIN THE DESIGN CAPACITY OF THE CHANNEL. GRASS THAT IS LINING THE CHANNEL SHALL BE KEPT IN A HEALTHY AND VIGOROUS CONDITION AT ALL TIMES. SEDIMENT FENCES SHALL BE INSPECTED AT LEAST ONCE A WEEK AND AFTER EACH RAINFALL. REPAIRS SHALL BE MADE IMMEDIATELY. SEDIMENT DEPOSITS SHALL BE REMOVED AS NEEDED TO PROVIDE ADEQUATE STORAGE VOLUME FOR THE NEXT RAINFALL EVENT, AND TO REDUCE PRESSURE ON THE FENCE. FENCING MATERIALS AND SEDIMENT DEPOSITS SHALL BE REMOVED, AND THE AREA BROUGHT TO GRADE FOLLOWING STABILIZATION OF UPGRADIENT DISTURBED AREAS. PERMANENT SEEDING A. SEED IN ACCORDANCE WITH THE FOLLOWING SCHEDULE AND APPLICATION RATES: Seeding Dates Seeding Mixture Species Rate (lbs./acre) JAN 1-APRIL 15 TALL FESCUE 80 SERICIA LESPEDEZA 30 RYE (GRAIN)40 APRIL 15-JUNE 15 TALL FESCUE 80 SERICIA LESPEDEZA 30 BERMUDAGRASS 15 GERMAN MILLET 10 B. COMPACT SEED AREAS BY MEANS OF A ROLLER OR OTHER APPROVED EQUIPMENT IMMEDIATELY AFTER SOWING. C. MULCH WITH 3-INCH STRAW APPLIED AT THE RATE OF 4,000 LBS/ACRE. ANCHOR STRAW BY TACKING WITH ASPHALT, NETTING, OR ROVING, OR BY CRIMPING WITH A MULCH-ANCHORING TOOL OR DISK SET NEARLY STRAIGHT. D. REFERTILIZE IN THE SECOND YEAR UNLESS GROWTH IS FULLY ADEQUATE. RESEED, REFERTILIZE, AND MULCH DAMAGED AREAS IMMEDIATELY. 200100500 (FEET) GRAPHIC SCALE Revisions NO:DATE:DESCRIPTION: 1 08/27/19 PERMIT RENEWAL RTC PHASES 1 THROUGH 3B E&S PLAN HK LBB DRAWING NAME:6/3/2010 8:47:56 AMDRAWING NUMBER: DATE: ISSUED FOR: DRAWN BY: REVIEWED BY: PROJECT NUMBER: © 2019 LaBella Associates 1604 Ownby Lane Richmond, VA 23220 804-355-4520 labellapc.com Coble's Sandrock Inc. Alamance County, North Carolina 2191087.00 PERMIT RENEWAL 08/27/2007 L:\Coble Sandrock\dwg\2019 RENEWAL\Engineering Plan\Plot Sheets\k_EP-07 CAP E&S PLAN.dwg Layout=layout DNOT F O R C O N S T R U C TI O N EP-07 C&D PHASE 1 7.0 ACRES (CURRENTLY PERMITTED) C&D PHASE 2 CELL B 4.76 ACRES (CURRENTLY PERMITTED) C&D PHASE 2 CELL A 1.1 ACRES (CURRENTLY PERMITTED) PROPOSED C&D PHASE 3 CELL B (5.8 ACRES) PROPOSED C&D PHASE 3 CELL A (6.3 ACRES) LEGEND 200100500 (FEET) GRAPHIC SCALE Revisions NO:DATE:DESCRIPTION: 1 8/27/19 PERMIT RENEWAL RTC PHASE 3A E&S PLAN HK LBB DRAWING NAME:6/3/2010 8:47:56 AMDRAWING NUMBER: DATE: ISSUED FOR: DRAWN BY: REVIEWED BY: PROJECT NUMBER: © 2019 LaBella Associates 1604 Ownby Lane Richmond, VA 23220 804-355-4520 labellapc.com Coble's Sandrock Inc. Alamance County, North Carolina 2191087.00 PERMIT RENEWAL 08/27/2007 L:\Coble Sandrock\dwg\2019 RENEWAL\Engineering Plan\Plot Sheets\l_EP-08 3A E&S PLAN.dwg Layout=layout DNOT F O R C O N S T R U C TI O N EP-08 EXISTING LCID DISPOSAL AREA C&D PHASE 1 7.0 ACRES (CURRENTLY PERMITTED) C&D PHASE 2 CELL B 4.76 ACRES (CURRENTLY PERMITTED) C&D PHASE 2 CELL A 1.1 ACRES (CURRENTLY PERMITTED) PROPOSED C&D PHASE 3 CELL B (5.8 ACRES) PROPOSED C&D PHASE 3 CELL A (6.3 ACRES) LEGEND 200100500 (FEET) GRAPHIC SCALE Revisions NO:DATE:DESCRIPTION: 1 08/27/19 PERMIT RENEWAL RTC PHASE 3B E&S PLAN HK LBB DRAWING NAME:6/3/2010 8:47:56 AMDRAWING NUMBER: DATE: ISSUED FOR: DRAWN BY: REVIEWED BY: PROJECT NUMBER: © 2019 LaBella Associates 1604 Ownby Lane Richmond, VA 23220 804-355-4520 labellapc.com Coble's Sandrock Inc. Alamance County, North Carolina 2191087.00 PERMIT RENEWAL 08/27/2007 L:\Coble Sandrock\dwg\2019 RENEWAL\Engineering Plan\Plot Sheets\m_EP-09 3B E&S PLAN.dwg Layout=layout DNOT F O R C O N S T R U C TI O N EP-09 A A' B B' C C' D' D EXISTING PHASE 2 CELL B EXISTING C&D LANDFILL PROPOSED PHASE 3A EXISTING PHASE 2 CELL A PROPOSED PHASE 3B 550 600 650 700 0+00 0+50 1+00 1+50 2+00 2+50 3+00 3+50 4+00 4+50 5+00 5+50 6+00 6+50 7+00 7+50 8+00 8+50 9+00 9+50 10+00 600 650 700 0+00 0+50 1+00 1+50 2+00 2+50 3+00 3+50 4+00 4+50 5+00 5+50 6+00 6+50 7+00 7+50 8+00 8+50 600 650 700 0+00 0+50 1+00 1+50 2+00 2+50 3+00 3+50 4+00 4+50 5+00 5+50 6+00 6+50 7+00 7+50 8+00 600 650 700 0+00 0+50 1+00 1+50 2+00 2+50 3+00 3+50 4+00 4+50 5+00 5+50 6+00 6+50 7+00 7+50 8+00 550 600 650 700 600 650 700 600 650 700 600 650 700 SECTION THROUGH A-A' SCALE VERT: 1'=40' HORIZ: 1'=100' SECTION THROUGH B-B' SCALE VERT: 1'=40' HORIZ: 1'=100' SECTION THROUGH C-C' SCALE VERT: 1'=40' HORIZ: 1'=100' SECTION THROUGH D-D' SCALE VERT: 1'=40' HORIZ: 1'=100' LEGEND EXISTING GROUND PROPOSED SUBGRADE PROPOSED PHASE 3 CAP LONG-TERM SEASONAL HIGH WATER TABLE SEASONAL HIGH WATER TABLE (MARCH 6, 2007) BEDROCK ELEVATION 4002001000 (FEET) GRAPHIC SCALE Revisions NO:DATE:DESCRIPTION: 1 08/27/19 PERMIT RENEWAL RTC CROSS SECTIONS HK LBB DRAWING NAME:6/3/2010 8:47:56 AMDRAWING NUMBER: DATE: ISSUED FOR: DRAWN BY: REVIEWED BY: PROJECT NUMBER: © 2019 LaBella Associates 1604 Ownby Lane Richmond, VA 23220 804-355-4520 labellapc.com Coble's Sandrock Inc. Alamance County, North Carolina 2191087.00 PERMIT RENEWAL 08/27/2007 L:\Coble Sandrock\dwg\2019 RENEWAL\Engineering Plan\Plot Sheets\n_EP-10 CROSS SECTIONS.dwg Layout=layout DNOT F O R C O N S T R U C TI O N EP-10 OUTLET PROTECTION INLET PROTECTION STORMWATER CONVEYANCE CHANNEL (SCC) SLOPE DRAINS SILT FENCE TEMPORARY SEDIMENT TRAP ROCK DAM BAFFLE Revisions NO:DATE:DESCRIPTION: 1 08/27/19 PERMIT RENEWAL RTC DETAILS HK LBB DRAWING NAME:6/3/2010 8:47:56 AMDRAWING NUMBER: DATE: ISSUED FOR: DRAWN BY: REVIEWED BY: PROJECT NUMBER: © 2019 LaBella Associates 1604 Ownby Lane Richmond, VA 23220 804-355-4520 labellapc.com Coble's Sandrock Inc. Alamance County, North Carolina 2191087.00 PERMIT RENEWAL 08/27/2007 L:\Coble Sandrock\dwg\2019 RENEWAL\Engineering Plan\Plot Sheets\o_EP-11 E&S DETAILS.dwg Layout=OTHERNOT F O R C O N S T R U C TI O N EP-11 SEDIMENT BASIN Revisions NO:DATE:DESCRIPTION: 1 08/27/19 PERMIT RENEWAL RTC SED BASIN DETAILS HK LBB DRAWING NAME:6/3/2010 8:47:56 AMDRAWING NUMBER: DATE: ISSUED FOR: DRAWN BY: REVIEWED BY: PROJECT NUMBER: © 2019 LaBella Associates 1604 Ownby Lane Richmond, VA 23220 804-355-4520 labellapc.com Coble's Sandrock Inc. Alamance County, North Carolina 2191087.00 PERMIT RENEWAL 08/27/2007 L:\Coble Sandrock\dwg\2019 RENEWAL\Engineering Plan\Plot Sheets\p_EP-12 SED BASIN DETAILS.dwg Layout=SED BASINNOT F O R C O N S T R U C TI O N EP-12 FOSTER STORE ROAD FOSTER STORE RO A D CLOSED LCID DISPOSAL AREA PHASE 1 (7.0 AC)PHASE 2B (4.76 AC) PHASE 2A (1.1 AC) PHASE 3A (6.36 AC)PHASE 3B (5.87 AC) SOIL STOCKPILE LCID DISPOSAL AREA 0 (FEET) GRAPHIC SCALE 400200100 Revisions NO:DATE:DESCRIPTION: 1 08/27/19 PERMIT RENEWAL RTC MONITORING NETWORK HK LBB DRAWING NAME:6/3/2010 8:47:56 AMDRAWING NUMBER: DATE: ISSUED FOR: DRAWN BY: REVIEWED BY: PROJECT NUMBER: © 2019 LaBella Associates 1604 Ownby Lane Richmond, VA 23220 804-355-4520 labellapc.com Coble's Sandrock Inc. Alamance County, North Carolina 2191087.00 PERMIT RENEWAL 08/27/2007 L:\Coble Sandrock\dwg\2019 RENEWAL\Engineering Plan\Plot Sheets\q_MP-01 - MONITORING NETWORK.dwg Layout=Layout1NOT F O R C O N S T R U C TI O N MP-01 Prepared For: COBLE’S SANDROCK, INC. 5833 FOSTER STORE ROAD LIBERTY, NORTH CAROLINA 27298 Submitted By: LaBella Associates 2211 West Meadowview Rd. Suite 101 Greensboro, NC 27407 336-323-0092 NC License No. C-0430 FACILITY PLAN COBLE’S SANDROCK CONSTRUCTION & DEMOLITION DEBRIS LANDFILL PERMIT NO. 01-05 august 2019 Project no. 2191087 II - Facility Plan Labella Associates, PC. C&D LF 5-Year Permit Renewal/LOS August, 2019 Coble Sandrock, North Carolina 1 TABLE OF CONTENTS FACILITY PLAN .................................................................................................................................1 1. Waste Stream ......................................................................................................................2 2. Landfill Capacity ..................................................................................................................3 3. Special Engineering Features ............................................................................................4 4. Partial Closure of the Landfill .............................................................................................5 FIGURES Site Location Map Partial Closure Survey Maps TABLES Table 1 Future Tonnage Projection DRAWINGS Drawing FP-01 Facility Plan – Site Development Drawing FP-02 Facility Plan – Proposed Final Contours Drawing FP-03 Facility Plan – Facility Boundary Plat APPENDICES Appendix 1 Franchise Agreement Appendix 2 Slope Stability FACILITY PLAN This facility plan defines the development of the Coble’s Sandrock C&D landfill property and describes the permit of an existing facility. This plan includes drawings, which present the long-term, general design concepts related to construction, operation, and closure of the C&DLF unit(s). Additional solid waste management activities located at the C&DLF facility are identified in the plan to meet the requirements of the SWMP .0537 Subchapter. The facility plan defines the waste stream proposed for management at the C&DLF facility, different types of landfill units or non-disposal activities included in the facility design, and describe general waste acceptance procedures. The facility will accept construction and demolition (C&D) debris, and other wastes similar to those typically found in the accepted waste streams such as roofing shingle waste from the manufacturer, waste building materials from mobile home manufacturers and wooden pallets for disposal. No municipal solid waste, hazardous waste, industrial waste, liquid waste, or waste not characterized as LCID or C&D, shall be accepted for disposal. II - Facility Plan Labella Associates, PC. C&D LF 5-Year Permit Renewal/LOS August, 2019 Coble Sandrock, North Carolina 2 The areal limits of the C&DLF unit(s), total capacity of the C&DLF unit(s), and the proposed waste stream must be consistent with the Division's approval set forth in accordance with Rule .0536 (a)(1). Revised Facility and Engineering Plans Drawings (FP-01, FP-02 and EP- 04, EP-05) provide the information required in Section .0537(d). 1. Waste Stream Types of Waste Specified for Disposal: Only construction/demolition debris will be accepted at the C&D landfill.. Construction and demolition debris defined in NC General Statutes is waste or debris resulting solely from construction, remodeling, repair, or the demolition of pavement, buildings, or other structures. Service Area: The Alamance County Franchise Agreement, provided in Appendix 1, limits the service area to be served by the Coble’s Sandrock Landfill to customers within 25 miles from the site. Existing customers outside the 25-mile service limitation are grandfathered under the Franchise Agreement and Coble's Sandrock may continue to accept wastes from these customers. Coble's Sandrock may also accept waste from new customers outside the 25-mile service area to replace existing customers outside the service area; however, first priority in terms of disposal capacity is to be given to waste generated within Alamance County. The Counties from which the facility has previously taken waste include Alamance, Cabarrus, Caswell, Chatham, Davidson, Forsyth, Green, Guilford, Lee, Orange, Randolph, Rockingham, and Wake. Alamance County recognizes that the Coble Sandrock C&D landfill currently accepts waste from customers outside the 25-mile radius, and these existing customers are grandfathered under the Franchise Agreement. New customers outside the 25-mile radius may be accepted to replace the existing customers in accordance with Section 4 of the Franchise Agreement. Segregation Management Procedures: Recyclable material will be segregated from the waste stream and temporarily stored in containers or stockpiles prior to removal from the site. Recyclable material may include wood, metals, concrete, plastic, cardboard, and other materials with appropriate recycling markets. Scrap metal is removed from the site frequently and taken to a metal recycling facility. Cardboard is stored in a 40-yard container that is removed from the site by various vendors when full. Coble’s Sandrock deconstructs mobile trailer homes at the working face of the C&D landfill. Identified C&D waste material removed from the deconstruction process is placed into the landfill. The franchise agreement requires monitoring waste and to reject any significant levels of asbestos. The locations of the mobile trailer home deconstruction area and the recyclables storage areas follow the location of the working face as it progresses across the landfill. Equipment: Coble Sandrock proposes to operate the following equipment at the C&D landfill: CAT 330 CL II - Facility Plan Labella Associates, PC. C&D LF 5-Year Permit Renewal/LOS August, 2019 Coble Sandrock, North Carolina 3 CAT 973 Loader CAT D8 Dozer CAT Rubber Tire Loader TREX off-road Truck TREX Pan TREMAC Shear Muncher Precision Husky Tub Grinder PowerScreen Screener Fuel Truck Link Belt Trackhoe Equipment may be added or deleted, depending condition to upgrade and on the volume of waste accepted. 2. Landfill Capacity Overall Facility Life The available airspace for waste, operational cover soil and intermediate cover material for the entire facility is 6,935,903 cy. Assuming that 10% of that volume will be soil, 6,242,313 cy are available for waste material. Utilizing in-place waste density of 1050 lbs/cy, the remaining tonnage capacity of the landfill is 3,277,214 tons. The in-place waste density stated above is within the typical range of densities measured for C&D debris. Based on excerpt from the historical record (Table 1), Coble’s Sandrock landfilled an average of 34,512 tons per year; cumulative in-place waste volume 2019 is 724,763 tons or 1,141,689 cy. Using this historical average, the remaining capacity (year 2020) calculates approximately 48,536 cy or 1 year 3 months of life in the permitted capacity Phases 1-3A (1,255,963 cy). Subsequently, utilizing Phase 3B added capacity 349,213 cy, the full date for Phases 1-3B would be 2026 (1,605,176 cy). Permitted capacities are shown in the below: Permitted Capacity for each Phase Phase Acres Gross Capacity (CY) Cumulative (CY) 1 7.0 365,301 2 5.8 320,000 3A 6.3 570,662 3B 5.8 349,213 1,605,176 Permit Status 1,255,963 PTO (9/30/1998) PTO (5/20/2003) PTO (4/29/2011) PTC (1/30/2009) Table 1. Phase 3A & 3B projections based on historical average tonnage received. II - Facility Plan Labella Associates, PC. C&D LF 5-Year Permit Renewal/LOS August, 2019 Coble Sandrock, North Carolina 4 Annual Report Tons Received Waste in Place (tons) Air Space Consumed Annual (CY) Air Space Consumed Cumulative (CY) Survey Date UF (tn/cy) Density (lbs/cy) Remaining Capacity each Phase (CY) Remaining Capcity Entire Facility (CY) 2017 13,539.15 677,839.34 30,316 1,052,311 7/25/2017 0.45 893 203,652 5,883,592 2018 12,411.09 690,250.43 23,640 1,075,951 6/21/2018 0.53 1050 180,012 5,859,952 2019 34,512.52 724,762.95 65,738 1,141,689 0.53 1050 114,274 5,794,214 2020 34,512.52 759,275.47 65,738 1,207,427 0.53 1050 48,536 5,728,476 2021 34,512.52 793,787.99 65,738 1,273,166 0.53 1050 332,010 5,662,737 2022 34,512.52 828,300.52 65,738 1,338,904 0.53 1050 266,272 5,596,999 2023 34,512.52 862,813.04 65,738 1,404,642 0.53 1050 200,534 5,531,261 2024 34,512.52 897,325.56 65,738 1,470,380 0.53 1050 134,796 5,465,523 2025 34,512.52 931,838.08 65,738 1,536,118 0.53 1050 69,058 5,399,785 2026 34,512.52 966,350.60 65,738 1,601,856 0.53 1050 3,320 5,334,047 Note:Table is based on annual average tonnage of 34,512.52 landfilled from 1999 thru 2018. Cumulative volume includes weekly cover soil. Utilization factor 0.53 is representative for the industry . Future phases 4-8 approved for development require permits to construct and operate. Overall Facility Soil Balance The base grading plan, including access roads, for the entire remaining facility yields a net 1,537,784 cy of cut. Approximately 325,871 cy of soil will be needed for final cap (3 feet thick) construction. Assuming 10% of the volume will be soil material, 693,590 cy of soil will be needed for cover soil material. Subtracting the estimated soil requirements from the calculated available material leaves an excess of 518,323 cy of soil. Phase 3B To evaluate the air space requirement for a 5-year phase, assuming an average annual tonnage of 34,512 tons/year the projected total tonnage for the next 5-year phase is 172,560 tons, and assuming an average annual consumed air space of 65,738 cy/year the projected annual volume for next 5-year phase is 328,690 cy. Closure cap soil volume for 3B is estimated 28,072 cy. Phase 3B permitted gross capacity is 349,213 cu. Assuming the waste disposal at the historical average rate for the next five years, the capacity would be reached some time during 2026 as shown in the Table 1. 3B has been under construction and the work was completed in June 2019. The Construction report will be submitted to the Section for review and issuance for Permit to Operate. 3. Special Engineering Features Containment and Environmental Control Systems Cap System: The cap system is described from bottom to top in the following paragraphs. II - Facility Plan Labella Associates, PC. C&D LF 5-Year Permit Renewal/LOS August, 2019 Coble Sandrock, North Carolina 5 Infiltration Barrier: The infiltration barrier is proposed to consist of either (1) 18 inches of compacted soil with a permeability no greater than 1x10-5 cm/sec; or (2) a geosynthetic clay liner. The low-permeability soil barrier, or the GCL, will lie directly above an intermediate soil cover layer of at least 12 inches in thickness. GCL stability analysis and specifications are included in Appendix 2 of this Plan. Erosion Control Components (Protective Layer and Erosion Layer): A protective layer consisting of at least 12 inches of local soil will be placed on top of the infiltration barrier. The erosion and protective layers will not be heavily compacted to promote vegetative growth. Vegetative Cover: After placement of the protective layer, the area that has been closed will be seeded with a grass mixture. Mulch and erosion control matting will be used as needed to further minimize erosion and promote vegetative growth. Leachate Management Systems: Leachate collection and management systems are not designed or permitted for this construction and demolition unlined waste disposal facility. Base Liner Systems: The base of the landfill is excavated to designed base grades and remaining native soil will serve as the base of the landfill, with the condition that the upper two feet of the base soils consist of the following soil types: SC, SM, ML, CL, MH, or CH (according to Unified Soil Classification System). Gas Management System: Passive gas vents will be installed to a minimum depth of 10-feet in the waste mass at a frequency of one vent per acre. 4. Partial Closure of the Landfill The west side of the landfill Phases 1 and 2 Coble closed in 2012-2013 and the CQA report was submitted to the Section in August 2013. Coble has continued partial closure in the north end of the landfill during 2014 and 2016. Areas marked on the partial closure maps as 12 and 13 piggyback on the Phase 1 east side slopes, encompass approximately 3.6 acres. Coble is currently continuing the partial closure in the areas 14 and 15. At completion of the current closure efforts, the partial closure CQA report includes the areas 12-15. Partial closure surveys are included in the Figures attachment of this Plan. LaBella will prepare a closure CQA report for the areas 12-15 for submittal to the Section for review. At that time, the financial assurance for the C&D landfill will be revised in accordance with rule .01628. END SOURCE: U.S.G.S. 7.5 MINUTE TOPOGRAPHIC QUADRANGLE FOR KIMESVILLE, NORTH CAROLINA, APPROXIMATE LOCATION OF PROPERTY LINE 0 (FEET) GRAPHIC SCALE 400020001000 2211 W. MEADOWVIEW ROAD GREENSBORO, NC 27407 PHONE: (336) 323-0092 1 SITE LOCATION MAP DRAWING NUMBER: © 2019 LaBella Associateslabellapc.com It is a violation of New York Education Law Article 145 Sec.7209, for any person, unless acting under the direction of a licensed architect, professional engineer, or land surveyor, to alter an item in any way. If an item bearing the seal of an architect, engineer, or land surveyor is altered; the altering architect, engineer, or land surveyor shall affix to the item their seal and notation "altered by" followed by their signature and date of such alteration, and a specific description of the alteration. DRAWING NAME: PROJECT NAME: DRAWN BY: ISSUED FOR: DATE:PROJECT NO.: RWH COBLE'S SANDROCK C&D LANDFILL KIMESVILLE, NORTH CAROLINA 219108704/29/2019 GROUNDWATER MONITORING REPORT COBLE SANDROCK C&D LF Annual Report Tons Received Waste in Place (tons) Air Space Consumed Annual (CY) Air Space Consumed Cumulative (CY) Survey Date UF (tn/cy) Density (lbs/cy) Remaining Capacity each Phase (CY) Remaining Capcity Entire Facility (CY) Facility Cumulative (CY) 1998 1999 14,111.32 14,111.32 2000 40,488.38 54,599.70 2001 99,225.55 153,825.25 2002 79,035.85 232,861.10 2003 78,328.36 311,189.46 2004 57,962.06 369,151.52 2005 57,855.27 427,006.79 2006 55,849.02 482,855.81 2007 49,981.45 532,837.26 2008 40,428.22 573,265.48 51,905 736,000 5/30/2008 0.78 1558 6,199,903 2009 14,488.29 587,753.77 844,632 6,091,271 2010 12,769.32 600,523.09 18,156 853,861 6/8/2010 0.70 1407 6,082,042 2011 10,104.71 610,627.80 2012 8,428.04 619,055.84 2013 9,352.22 628,408.06 2014 11,046.38 639,454.44 16,558 958,539 6/13/2014 0.67 1334 297,424 5,977,364 2015 9,954.39 649,408.83 15,201 991,714 7/15/2015 0.65 1310 264,249 5,944,189 2016 14,891.36 664,300.19 30,281 1,021,995 6/28/2016 0.49 984 233,968 5,913,908 2017 13,539.15 677,839.34 30,316 1,052,311 7/25/2017 0.45 893 203,652 5,883,592 2018 12,411.09 690,250.43 23,640 1,075,951 6/21/2018 0.53 1050 180,012 5,859,952 2019 34,512.52 724,762.95 65,738 1,141,689 0.53 1050 114,274 5,794,214 2020 34,512.52 759,275.47 65,738 1,207,427 0.53 1050 48,536 5,728,476 Phase 3A 2021 34,512.52 793,787.99 65,738 1,273,166 0.53 1050 332,010 5,662,737 1,255,963 2022 34,512.52 828,300.52 65,738 1,338,904 0.53 1050 266,272 5,596,999 2023 34,512.52 862,813.04 65,738 1,404,642 0.53 1050 200,534 5,531,261 2024 34,512.52 897,325.56 65,738 1,470,380 0.53 1050 134,796 5,465,523 2025 34,512.52 931,838.08 65,738 1,536,118 0.53 1050 69,058 5,399,785 2026 34,512.52 966,350.60 65,738 1,601,856 0.53 1050 3,320 5,334,047 Phase 3B 2027 34,512.52 1,000,863.12 65,738 1,667,594 0.53 1050 980,827 5,268,309 1,605,176 TABLE 1 - FUTURE TONNAGE PROJECTION LEGEND INDEX TO DRAWINGS ALAMANCE CHURCH ROADFOSTER STORE ROADSMIT H R O A D SPANIS H O A K H I L L R O A DKIMES VI L L E R O A D ALAMAN C E C H U R C H R O A D ALAMANCE COUNTY LINE ROADCOBLE'S SANDROCK INC. SAN K E Y R O A D MOUNT ZI O N R O AD VERNON L A N E BROW N R O A D SWAN NY C O BLE R O A D COBLE'S SANDROCK PROPERTYAUTO BODY SHOPCOBLE'S SANDROCK, INC. ALAMANCE COUNTY, NORTH CAROLINA APPLICATION FOR PERMIT TO CONSTRUCT PHASE 3 FACILITY PLAN MARCH 2008 REVISED AUGUST 2019 Revisions NO:DATE:DESCRIPTION: 1 8/27/19 PERMIT RENEWAL RTC INDEX, NOTES AND LEGEND RH LBB DRAWING NAME:6/3/2010 8:47:56 AMDRAWING NUMBER: DATE: ISSUED FOR: DRAWN BY: REVIEWED BY: PROJECT NUMBER: © 2019 LaBella Associates 1604 Ownby Lane Richmond, VA 23220 804-355-4520 labellapc.com Coble's Sandrock Inc. Alamance County, North Carolina 2191087.00 PERMIT RENEWAL 08/27/2007 L:\Coble Sandrock\dwg\2019 RENEWAL\Facility Plan\Plot Sheets\a_COVER INDEX AND VICINITY MAP.dwg Layout=Layout1NOT F O R C O N S T R U C TI O N FP-T FOSTER STORE ROAD FOSTER STORE ROA D PHASE 1 (7.0 AC)PHASE 2B (4.76 AC) PHASE 2A (1.1 AC) PHASE 3A (6.36 AC) PHASE 3B (5.87 AC)PHASE 4 (8.2 AC) PHASE 6 (8.0 AC) PHASE 7 (6.9 AC) PHASE 8 (11.8 AC) PHASE 5 (7.0 AC) TEMPORARY METAL STORAGE AREA SHINGLE STOCKPILE CONCRETE CRUSHER CONCRETE STOCKPILE AREA CONCRETE AREA TDD S S ARE A MO B I L E H O M E DIS M A N T L I N G AR E A CLOSED LCIDLF AREA 57057 0 580 590 60 0 58 0 580 5805706106306006106206206306406506406 5 0 6 6 0 60061062063065 0 6 4 0610620630 640640630650640630620640630640 65064065064064 0 640 570 570610640570 580630 650640630640650590600650 650640630 620 65064 0 660630 620 610600650 630650640 620 640 630650 6 4 0650 0 (FEET) GRAPHIC SCALE 400200100 Revisions NO:DATE:DESCRIPTION: 1 8/27/19 PERMIT RENEWAL RTC SITE DEVELOPMENT HK LBB DRAWING NAME:6/3/2010 8:47:56 AMDRAWING NUMBER: DATE: ISSUED FOR: DRAWN BY: REVIEWED BY: PROJECT NUMBER: © 2019 LaBella Associates 1604 Ownby Lane Richmond, VA 23220 804-355-4520 labellapc.com Coble's Sandrock Inc. Alamance County, North Carolina 2191087.00 PERMIT RENEWAL 08/27/2007 L:\Coble Sandrock\dwg\2019 RENEWAL\Facility Plan\Plot Sheets\b_FP-01 - SITE DEVELOPMENT PLAN.dwg Layout=Layout1NOT F O R C O N S T R U C TI O N FP-01 Revisions NO:DATE:DESCRIPTION: 1 8/27/19 PERMIT RENEWAL RTC PROPOSED FINAL CONTOURS HK LBB DRAWING NAME:6/3/2010 8:47:56 AMDRAWING NUMBER: DATE: ISSUED FOR: DRAWN BY: REVIEWED BY: PROJECT NUMBER: © 2019 LaBella Associates 1604 Ownby Lane Richmond, VA 23220 804-355-4520 labellapc.com Coble's Sandrock Inc. Alamance County, North Carolina 2191087.00 PERMIT RENEWAL 08/27/2007 L:\Coble Sandrock\dwg\2019 RENEWAL\Facility Plan\Plot Sheets\c_FP-02 - FINAL CONTOURS.dwg Layout=layout DNOT F O R C O N S T R U C TI O N FP-02 0 (FEET) GRAPHIC SCALE 30015075 Revisions NO:DATE:DESCRIPTION: 1 8/27/19 PERMIT RENEWAL RTC FACILITY BOUNDARY PLAT HK LBB DRAWING NAME:6/3/2010 8:47:56 AMDRAWING NUMBER: DATE: ISSUED FOR: DRAWN BY: REVIEWED BY: PROJECT NUMBER: © 2019 LaBella Associates 1604 Ownby Lane Richmond, VA 23220 804-355-4520 labellapc.com Coble's Sandrock Inc. Alamance County, North Carolina 2191087.00 PERMIT RENEWAL 08/27/2007 L:\Coble Sandrock\dwg\2019 RENEWAL\Facility Plan\Plot Sheets\d_FP-03 - SURVEY PLAT.dwg Layout=Layout1NOT F O R C O N S T R U C TI O N FP-03 0 (FEET) GRAPHIC SCALE 400200100 FOSTER STORE ROAD FOSTER STORE ROA D CLOSED LCID DISPOSAL AREA PHASE 1 (7.0 AC)PHASE 2B (4.76 AC) PHASE 2A (1.1 AC) PHASE 3A (6.36 AC) PHASE 3B (5.87 AC)PHASE 4 (8.2 AC) PHASE 6 (8.0 AC) PHASE 7 (6.9 AC) PHASE 8 (11.8 AC) PHASE 5 (7.0 AC) TEMPORARY METAL STORAGE AREA SHINGLE STOCKPILE CONCRETE CRUSHER CONCRETE AREACONCRETE AREA TDD S S ARE A MO B I L E H O M E DIS M A N T L I N G AR E A CLOSED LCIDLF AREA 57057 0 580 590 60 0 58 0 580 5805706106306006106206206306406506406 5 0 6 6 0 60061062063065 0 6 4 0610620630 64064063065064063062064063064 0 650640650640640 640 570570610640570 580630 6506406306406 5 0 5906000 (FEET) GRAPHIC SCALE 400200100 Revisions NO:DATE:DESCRIPTION: SITE DEVELOPMENT HK LBB DRAWING NAME:6/3/2010 8:47:56 AMDRAWING NUMBER: DATE: ISSUED FOR: DRAWN BY: REVIEWED BY: PROJECT NUMBER: © 2019 LaBella Associates 1604 Ownby Lane Richmond, VA 23220 804-355-4520 labellapc.com Coble's Sandrock Inc. Alamance County, North Carolina 2191087.00 PERMIT RENEWAL 08/27/2007 \\jei-gso-fs1\Land2Projects\Coble Sandrock\dwg\2019 RENEWAL\Facility Plan\Plot Sheets\b_FP-01 - SITE DEVELOPMENT PLAN.dwg Layout=Layout1NOT F O R C O N S T R U C TI O N FP-01 Project: Coble Sandrock C&D Landfill Project Number: 2191087 Phase 04 Calculated By: DWT Date: 7/16/2019 Revised By: Date: Checked By: Date: Subject: Low Normal Load Interface Strength Sheet: 1 of 8 P:\Coble's Sandrock\C&D Landfill\Permitting NC\2019 Permit Renewal\2019 RTC 1\GCL stability\FC-Low.Nomal.Load.docx DETERMINATION OF LOW NORMAL LOAD INTERFACE STRENGTH FOR THE FINAL COVER SYSTEM OBJECTIVE Calculate the shear strength that will provide an unsaturated veneer slope stability FS ≥ 1.5 with respect to the geocomposite drainage layer / soil protective cover layer failing along the final cover 3H:1V sideslopes. The calculation will also consider the presence of moving equipment placing and spreading protective cover material across the sideslope. METHODOLOGY The analytical method used to calculate the veneer slope stability FS is taken from a report prepared by the Geosynthetic Research Institute (GRI), Drexel University: 1) “Cover Soil Slope Stability Involving Geosynthetic Interfaces”, (GRI REPORT #18), by Te-Yang Soong and Robert M. Koerner, December 9, 1996 and GRI Report #18 is used to consider the presence of equipment on top of the protective cover layer and provides a FS based on the most critical interface shear strength of final cover components. The spreadsheet calculates a FS by dividing the protective cover material along the 3H:1V sideslope into two blocks: 1) an active wedge of protective cover material along the length of the sideslope; and 2) a passive wedge of protective cover material at the toe of the sideslope. A freebody diagram is then drawn identifying the forces on each wedge and static equilibrium equations are resolved in terms of vertical and horizontal components. Expressions are derived that quantify the magnitude of both the passive and active interwedge forces. Subsequently, the interwedge force equations are set equal to each other and are arranged in the form of a quadratic equation that can be solved to calculate a FS. This calculation analyzes the longest length of the 3H:1V final cover sideslope between benches. Figure 1 illustrates the proposed geometry of the final cover sideslope and the freebody of the forces acting along the sideslope. Project: Coble Sandrock C&D Landfill Project Number: 2191087 Phase 04 Calculated By: DWT Date: 7/16/2019 Revised By: Date: Checked By: Date: Subject: Low Normal Load Interface Strength Sheet: 2 of 8 P:\Coble's Sandrock\C&D Landfill\Permitting NC\2019 Permit Renewal\2019 RTC 1\GCL stability\FC-Low.Nomal.Load.docx Figure 1, Slope Geometry & Free Body Diagram Slope Dimensions Maximum Length of Cover Sideslope (along the length of the geomembrane) 320 feet Cover Sideslope Orientation 3H:1V or 18.43 degrees This veneer slope stability FS calculation is prepared proposing the following assumptions: • The presence of moving equipment (dynamic loading) along the 3H:1V protective cover sideslope is analyzed within GRI Report #18. • The shear strength component of adhesion developed between geosynthetic material layers is ignored. • Tensile strength of the geosynthetic materials contributing to the veneer slope stability FS is ignored. • The protective cover material provides a buttress at the toe of the slope, i.e. the passive soil wedge. • For conservatism, the cohesive strength of the proposed protective cover material was ignored. • Weights of the geosynthetic components are negligible compared to the weight of protective cover material and therefore are not considered in the calculations. • All calculations will utilize a 1-foot unit width of sideslope. PROPOSED FINAL COVER The proposed Final Cover System is outlined below, from top to bottom: Project: Coble Sandrock C&D Landfill Project Number: 2191087 Phase 04 Calculated By: DWT Date: 7/16/2019 Revised By: Date: Checked By: Date: Subject: Low Normal Load Interface Strength Sheet: 3 of 8 P:\Coble's Sandrock\C&D Landfill\Permitting NC\2019 Permit Renewal\2019 RTC 1\GCL stability\FC-Low.Nomal.Load.docx • 18-inch thick Erosion Layer capable of sustaining native plant growth; • 18-inch thick Low-Permeability Infiltration Layer; • Geosynthetic Clay Liner (GCL); • 12-inch thick Intermediate Cover Layer. PROTECTIVE COVER MATERIAL PARAMETERS Unit weight: γTotal = 125 pcf; Cohesion: c = 0 psf; and Internal angle of friction: φi = 30 degrees REQUIRED SHEAR STRENGTH PARAMETERS The calculation spreadsheet presented within GRI Report #18 will be used to determine the shear strength parameter (contact interface friction angle, δinterface friction) that corresponds to a FS ≥ 1.5 under drained conditions for all geosynthetic interfaces. The input variables of final cover sideslope length, protective cover, and LGP equipment will be held constant within the spreadsheet while the contact interface friction angle, δinterface friction, is varied until a FS of ≥ 1.5 is achieved. Cohesion values of 0 psf will be entered. The calculated δinterface friction that corresponds to the FS ≥ 1.5 represents laboratory data where a straight line is drawn from the origin through the first data point (i.e. c = 0 psf) that corresponds to the lowest normal load within the given data set. The lowest normal load models the shear strength of protective cover material under relatively light normal loads that are anticipated to be initially encountered in the field during placement of the material. With respect to the protective cover, normal loads representative of 3.0 foot of protective cover are appropriate. The proposed critical contact interface will undergo ASTM D-5321-92 Direct Shear Testing and will be required to meet the minimum calculated contact interface friction angle corresponding to the first normal load. The resulting contact interface friction angles will be included with other minimum shear strength parameters specified within the Construction Quality Assurance (CQA) Plan and/or specifications. VARIABLES DEFINED WA = Total weight of the active wedge; WP = Total weight of the passive wedge; NA = Effective force normal to the failure plane of the active wedge; NP = Effective force normal to the failure plane of the passive wedge; γ = Unit weight of the protective cover material; h = Thickness of the protective cover material; L = Length of slope measured along the GCL; Project: Coble Sandrock C&D Landfill Project Number: 2191087 Phase 04 Calculated By: DWT Date: 7/16/2019 Revised By: Date: Checked By: Date: Subject: Low Normal Load Interface Strength Sheet: 4 of 8 P:\Coble's Sandrock\C&D Landfill\Permitting NC\2019 Permit Renewal\2019 RTC 1\GCL stability\FC-Low.Nomal.Load.docx β = Soil slope angle beneath the GCL; φ = Internal angle of friction within the protective cover soil; δ = Interface friction angle between the most critical geosynthetic to soil interface; Ca = Adhesive force between the components lying along the most critical geosynthetic interface of the active wedge; ca = The adhesion developed between the components lying along the most critical geosynthetic interface of the active wedge; C = Cohesive force along the failure plane of the passive wedge; c = cohesion of the protective cover soil; EA = Interwedge force acting on the active wedge from the passive wedge; EP = Interwedge force acting on the passive wedge from the active wedge; and FS = Factor of safety against protective cover soil sliding down the slope. CALCULATIONS It is proposed that a Low Ground Pressure (LGP) bulldozer will be used to place protective cover material across the sideslope. The pressure exerted upon the top of the geosynthetic layers by a bulldozer is modeled as illustrated in Figure 2 thus the bulldozer will not operate over the geosynthetic layers until the 36-inch thick protective cover material layer is placed. Figure 2, Stress Distribution of the LGP Bulldozer upon the Geosynthetic Layers The following typical LGP Bulldozer equipment specifications are used within the GRI Report #18. • 2 tracks • Track length = 9.4 feet • Track width = 3.0 feet • Operating weight = 38,300 lbs Project: Coble Sandrock C&D Landfill Project Number: 2191087 Phase 04 Calculated By: DWT Date: 7/16/2019 Revised By: Date: Checked By: Date: Subject: Low Normal Load Interface Strength Sheet: 5 of 8 P:\Coble's Sandrock\C&D Landfill\Permitting NC\2019 Permit Renewal\2019 RTC 1\GCL stability\FC-Low.Nomal.Load.docx • One Track Contact area = 28.2 ft2 • One Track Contact pressure = 19,150 lbs / 28.2 ft2 = 679.1 psf Subsequently, the forces illustrated in Figure 1 are resolved below to produce a veneer slope stability FS. The equations presented are taken from pages 13 and 14 of GRI Report #18. Balancing the forces in the vertical direction, the following formulation results: The interwedge force acting on the active wedge is: The passive wedge can be considered in a similar manner:   −= =   −−= β β β βγ sin h L C cos WN 2 tan sin 1 h L h W a a a 2 a ac βδββsin FS C tanN cos N Wsin E aAA AA +−−= ()() FS sin sin C tan Ncos NW FS E aAAAAβ βδβ+−−⋅= β β γ sin E WN 2sin h W ppp 2 p += = βsin h cC= Project: Coble Sandrock C&D Landfill Project Number: 2191087 Phase 04 Calculated By: DWT Date: 7/16/2019 Revised By: Date: Checked By: Date: Subject: Low Normal Load Interface Strength Sheet: 6 of 8 P:\Coble's Sandrock\C&D Landfill\Permitting NC\2019 Permit Renewal\2019 RTC 1\GCL stability\FC-Low.Nomal.Load.docx Balancing the forces in the horizontal direction produces: The interwedge force acting on the passive wedge is: Setting EA = Ep the equation can be arranged in the form of the quadratic equation: Where the coefficients a, b and c are equal to the following expressions: The quadratic equation is then used to calculate the FS: For the ease of calculations the above quadratic equation was input into a spreadsheet format to produce a FS corresponding to a given set of input parameters. A copy of the spreadsheet calculations displaying the results is included in Attachment A. CONCLUSIONS Utilizing a contact interface shear strength friction angle of 26.6 degrees within GRI Report #18 resulted in a veneer slope stability FS equal to 1.54 while the equipment is static. This is the FS tan NC cos E p p φβ+= ()φββ φ tansinFS cos tan WC E p p − += ()()02=++cFSbFSa () ()()()[] ()φβδ φβββδφββ ββ tansin tan tansincos sin tan tansincos coscos 2 aA paAAA AA CNc WCCNNWb NWa += ++++−−= −= a acbbFS2 42−+−= Project: Coble Sandrock C&D Landfill Project Number: 2191087 Phase 04 Calculated By: DWT Date: 7/16/2019 Revised By: Date: Checked By: Date: Subject: Low Normal Load Interface Strength Sheet: 7 of 8 P:\Coble's Sandrock\C&D Landfill\Permitting NC\2019 Permit Renewal\2019 RTC 1\GCL stability\FC-Low.Nomal.Load.docx critical interface friction angle for all final cover interfaces. While the equipment is placing the protective cover, a veneer slope stability FS equal to 1.49 was calculated. Additional assumptions include: • The presence of an equipment load along the final cover sideslope, equipment pushes material from toe towards the crest; • The shear strength component of adhesion/cohesion between the protective cover material and nonwoven geotextile cushion does not exist; • Geosynthetic materials are not in tension; and • Calculations consider that the 36-inch thick soil protective cover layer is entirely in- place along the longest length of final cover sideslope approximately 320 feet. Project: Coble Sandrock C&D Landfill Project Number: 2191087 Phase 04 Calculated By: DWT Date: 7/16/2019 Revised By: Date: Checked By: Date: Subject: Low Normal Load Interface Strength Sheet: 8 of 8 P:\Coble's Sandrock\C&D Landfill\Permitting NC\2019 Permit Renewal\2019 RTC 1\GCL stability\FC-Low.Nomal.Load.docx Attachment A Spreadsheet Calculation FC-Low.Normal.Load.xls 8/23/2019 Calculation of FS Active Wedge: Wa=116254.1 lb Na=110291.5 lb Passive Wedge: Wp=1875.4 lb a=36706.2 b=-63304 c=10612.3 FS=1.536 thickness of protective cover soil = h =3.00 ft pro. cov. mat. slope angle beneath the geocomposite = b =18.43 °=0.32 (rad.) finished protective cover material slope angle = w =18.43 °=0.32 (rad.) length of slope measured along the geocomposite = L =320.0 ft unit weight of the protective cover soil = g =125.0 lb/ft^3 friction angle of the protective cover soil = f =30.0 °=0.52 (rad.) cohesion of the protective cover soil = c =0.0 lb/ft^2 C=0 lb critical interface friction angle = d =26.60 °=0.46 (rad.) adhesion = ca =0.0 lb/ft^2 Ca=0 lb thickness of the protective cover soil = h =3.00 ft b/h=1.0 equipment ground pressure (= wt. of equipment/(2wb)) = q =679.1 lb/ft^2 We=qwI=6128.2 length of each equipment track = w =9.4 ft Ne=Wecosb=5813.9 width of each equipment track = b =3.0 ft Fe=We(a/g)=0.0 influence factor* at geocomposite interface = I =0.96 acceleration/deceleration of the bulldozer = a =0.00 g Note:numbers in boxes are input values numbers in Italics are calculated values COBLE SANDROCK C&D LANDFILL Placement of the 36-inch thick Soil Protection Layer across the 3:1 (H:V) Final Cover Sideslopes FS = -b + b2 - 4ac2a Cover Soil Thickness Equipment Track Width Very Wide Wide Standard ² 300 mm 1.00 0.97 0.94 300-1000 mm 0.97 0.92 0.70 ³ 1000 mm 0.95 0.75 0.30 *Influence Factor Default Values W β A NA h EPEA NP C Passive Wedge WP N tanφp GM We Ne Fe L Active Wedge FC-Low.Normal.Load.xls 8/23/2019 Calculation of FS Active Wedge: Wa=116254.1 lb Na=110291.5 lb Passive Wedge: Wp=1875.4 lb a=37810.8 b=-63517 c=10612.3 FS=1.492 thickness of protective cover soil = h =3.00 ft pro. cov. mat. slope angle beneath the geocomposite = b =18.43 °=0.32 (rad.) finished protective cover material slope angle = w =18.43 °=0.32 (rad.) length of slope measured along the geocomposite = L =320.0 ft unit weight of the protective cover soil = g =125.0 lb/ft^3 friction angle of the protective cover soil = f =30.0 °=0.52 (rad.) cohesion of the protective cover soil = c =0.0 lb/ft^2 C=0 lb critical interface friction angle = d =26.60 °=0.46 (rad.) adhesion = ca =0.0 lb/ft^2 Ca=0 lb thickness of the protective cover soil = h =3.00 ft b/h=1.0 equipment ground pressure (= wt. of equipment/(2wb)) = q =679.1 lb/ft^2 We=qwI=6128.2 length of each equipment track = w =9.4 ft Ne=Wecosb=5813.9 width of each equipment track = b =3.0 ft Fe=We(a/g)=1164.4 influence factor* at geocomposite interface = I =0.96 acceleration/deceleration of the bulldozer = a =0.19 g Note:numbers in boxes are input values numbers in Italics are calculated values COBLE SANDROCK C&D LANDFILL Placement of the 36-inch thick Soil Protection Layer across the 3:1 (H:V) Final Cover Sideslopes with the incorporation of Equipment Loads FS = -b + b2 - 4ac2a Cover Soil Thickness Equipment Track Width Very Wide Wide Standard ² 300 mm 1.00 0.97 0.94 300-1000 mm 0.97 0.92 0.70 ³ 1000 mm 0.95 0.75 0.30 *Influence Factor Default Values W β A NA h EPEA NP C Passive Wedge WP N tanφp GM We Ne Fe L Active Wedge Project: Coble Sandrock C&D Landfill Project Number: 2191087 Phase 04 Calculated By: DWT Date: 7/16/2019 Revised By: Date: Checked By: Date: Subject: Veneer Seismic Stability Sheet: 1 of 8 P:\Coble's Sandrock\C&D Landfill\Permitting NC\2019 Permit Renewal\2019 RTC 1\GCL stability\FC-Veneer.seismic.docx FINAL COVER VENEER SEISMIC SLOPE STABILITY OBJECTIVE The objective of this calculation is to perform a seismic slope stability analysis for the final cover system of the landfill. METHODOLOGY A spreadsheet taken from a report prepared by the Geosynthetic Research Institute (GRI), Drexel University, entitled “Cover Soil Stability Involving Geosynthetic Interfaces”, by Te-Yang Soong and Robert M. Koerner is utilized to perform the calculation. This method analyzes the situation where a uniform layer of cover soil lies along a finite length of landfill side slope. The seismic coefficient used within the stability analysis was obtained from the “Peak Acceleration (%g) with 2% Probability of Exceedance in 50 Years (site: NEHRP B-C boundary)” published by the U.S.G.S in 2002 and Figure 9-9 of the “Geotechnical and Stability Analyses for Ohio Waste Containment Facilities” September 14, 2002, which are included here. As suggested, the factor of safety for the worst-case slope and most critical interface must be greater than or equal to 1.0. VARIABLES DEFINED The shear strength envelope of the most critical interface in the final cover system was defined in the “Final Cover Veneer Slope Stability” calculation included with this Amendment. The seismic coefficient, Cs, is defined as follows: Cs = Seismic Coefficient, or the yield acceleration, Ky, which is expressed as a percentage of g, (acceleration due to gravity) The seismic coefficient is multiplied by the weight of the active and passive blocks to produce a horizontal force resulting from the seismic acceleration. (F = ma) Project: Coble Sandrock C&D Landfill Project Number: 2191087 Phase 04 Calculated By: DWT Date: 7/16/2019 Revised By: Date: Checked By: Date: Subject: Veneer Seismic Stability Sheet: 2 of 8 P:\Coble's Sandrock\C&D Landfill\Permitting NC\2019 Permit Renewal\2019 RTC 1\GCL stability\FC-Veneer.seismic.docx Figure 1, Side Slope Geometry & Free Body Diagram Slope Dimensions Maximum Slope Length 600 feet Slope Orientation 3H:1V or 18.43 degrees The proposed final cover system along the landfill sideslope is outlined below, from top to bottom: • 6-inch thick Vegetative Support Layer; • 18-inch thick Soil Protection Layer; • Geocomposite Drainage Layer (geotextile heat bonded to both sides of a geonet); • Geomembrane; • Geosynthetic Clay Liner (GCL); • Geocomposite Drainage Layer (geotextile heat bonded to both sides of a geonet); • 12-inch thick Intermediate Cover Layer. WA = Total weight of the active wedge; WP = Total weight of the passive wedge; NA = Effective force normal to the failure plane of the active wedge; NP = Effective force normal to the failure plane of the passive wedge; γ = Unit weight of the cover soil; h = Thickness of the cover soil; L = Length of slope measured along the geomembrane; β = Soil slope angle beneath the geomembrane; φ = Internal angle of friction within the cover soil; δ = Interface friction angle between the most critical geosynthetic interface; Ca = Adhesive force between the components lying along the most critical geosynthetic interface of the active wedge;    GEOMEMBRANE OR OTHER CRITICAL INTERFACE Project: Coble Sandrock C&D Landfill Project Number: 2191087 Phase 04 Calculated By: DWT Date: 7/16/2019 Revised By: Date: Checked By: Date: Subject: Veneer Seismic Stability Sheet: 3 of 8 P:\Coble's Sandrock\C&D Landfill\Permitting NC\2019 Permit Renewal\2019 RTC 1\GCL stability\FC-Veneer.seismic.docx ca = The adhesion developed between the components lying along the most critical geosynthetic interface of the active wedge; C = Cohesive force along the failure plane of the passive wedge; c = cohesion of the cover soil; EA = Interwedge force acting on the active wedge from the passive wedge; EP = Interwedge force acting on the passive wedge from the active wedge; FS = Factor of safety against cover soil sliding down the slope; and Cs = Seismic coefficient in percent of gravity. The resulting acceleration at the crest of the landfill is based on the design bedrock acceleration. Relevant Geosynthetic Strength Data As determined in the “Final Cover Veneer Slope Stability” calculation, the minimum shear strength envelope required in the final cover system was determined to be δ = 26.6º with no adhesion. Additional Material Properties Assumed unit weight of the cap protection layer material: γs = 125 pcf The final cover soils were modeled as one layer with a thickness of 3.0 feet and assigned the average values for cohesion and friction angle. Internal angle of friction = 30° Equations Used The forces illustrated in Figure 1 are resolved below to produce a FS: Balancing the forces in the horizontal direction, the following formulation results:   −= =   −−= β β β βγ sin h L C cos WN 2 tan sin 1 h L h W a a a 2 a ac Project: Coble Sandrock C&D Landfill Project Number: 2191087 Phase 04 Calculated By: DWT Date: 7/16/2019 Revised By: Date: Checked By: Date: Subject: Veneer Seismic Stability Sheet: 4 of 8 P:\Coble's Sandrock\C&D Landfill\Permitting NC\2019 Permit Renewal\2019 RTC 1\GCL stability\FC-Veneer.seismic.docx The interwedge force acting on the active wedge is: The passive wedge can be considered in a similar manner: Balancing the forces in the horizontal direction produces: The interwedge force acting on the passive wedge is: Setting EA = Ep, the equation can be arranged in the form of the following quadratic equation: Where the coefficients a, b and c are equal to the following expressions: ββδβsinNWC cos FS C tanN cosE AASaAA+=++ ()() β βδβ cos FS cos C tan Nsin NWC FS E aAAASA +−+⋅= β β β γ sin h cC sin E WN 2sin h W ppp 2 p = += = FS tan NC WCcos E p PSp φβ+=+ ()φββ φ tansinFS cos )FS(WC tan WC E PSp p − −+= ()()02=++cFSbFSa Project: Coble Sandrock C&D Landfill Project Number: 2191087 Phase 04 Calculated By: DWT Date: 7/16/2019 Revised By: Date: Checked By: Date: Subject: Veneer Seismic Stability Sheet: 5 of 8 P:\Coble's Sandrock\C&D Landfill\Permitting NC\2019 Permit Renewal\2019 RTC 1\GCL stability\FC-Veneer.seismic.docx The quadratic equation is then used to calculate the FS: For the ease of calculation the above quadratic equation was input into a spreadsheet format to produce a FS corresponding to a given set of input parameters. A copy of the spreadsheet calculations displaying the results is included in Attachment A. Seismic Analysis The shear wave acceleration is modeled within the stability analysis by inputting a coefficient, (Cs) that is some fraction of gravity. The peak acceleration for the site is estimated to be 0.07 g which is taken from the “Peak Acceleration (%g) with 2% Probability of Exceedance in 50 Years (site: USGS)” published by the U.S.G.S in 2014 shown below. Since this analysis is for the final cover system, the acceleration at the crest of the landfill will be considered. () ()()()[] ()φββδ φββδφββ βββ tancossinC tanNc tanWCosccosC tanN tansinins NWCb cosWCcossinNWCa aA p2aAAAS pSAAS += +++++−= ++= a acbbFS2 42−+−= Project: Coble Sandrock C&D Landfill Project Number: 2191087 Phase 04 Calculated By: DWT Date: 7/16/2019 Revised By: Date: Checked By: Date: Subject: Veneer Seismic Stability Sheet: 6 of 8 P:\Coble's Sandrock\C&D Landfill\Permitting NC\2019 Permit Renewal\2019 RTC 1\GCL stability\FC-Veneer.seismic.docx When plotting this value onto Singh and Sun’s 1995 figure below for the relationship between maximum horizontal seismic acceleration at the base and crest of the landfill, the maximum horizontal seismic acceleration at the crest of the landfill can be expected to be 0.10 g. The parameters used in the seismic analysis are stated below: h = Thickness of cover soil = 3.0 ft L = Length of slope measured along the geomembrane = 320 ft γ = Unit weight of the cover soil = 125.0 lb/ft3 δ = Critical interface friction angle = 26.6 degrees Project: Coble Sandrock C&D Landfill Project Number: 2191087 Phase 04 Calculated By: DWT Date: 7/16/2019 Revised By: Date: Checked By: Date: Subject: Veneer Seismic Stability Sheet: 7 of 8 P:\Coble's Sandrock\C&D Landfill\Permitting NC\2019 Permit Renewal\2019 RTC 1\GCL stability\FC-Veneer.seismic.docx ca = Adhesion of cover soil = 0 lb/ft2 D = Thickness of cover soil along the bottom of the slope = 3.0 ft φ = Friction angle of the cover soil layer = 30 degrees c = Cohesion of cover soil = 0 lb/ft2 CALCULATIONS The spreadsheet printout of the seismic stability analysis considering yield acceleration is included in Attachment A. RESULTS The results of the seismic stability analyses to determine the yield acceleration is presented below: Cs = 0.10 g, FS = 1.15 Therefore, the final cover system should be stable during seismic activity with a factor of safety of 1.00. REFERENCES 1. Soong, Te-Yang and Koerner, R.M., (1996) “Cover Soil Slope Stability Involving Geosynthetic Interfaces”, Geosynthetic Research Institute, Drexel University, GRI Report #18 2. Ohio EPA, (September 14, 2002), “Geotechnical and Stability Analyses for Ohio Waste Containment Facilities”. Project: Coble Sandrock C&D Landfill Project Number: 2191087 Phase 04 Calculated By: DWT Date: 7/16/2019 Revised By: Date: Checked By: Date: Subject: Veneer Seismic Stability Sheet: 8 of 8 P:\Coble's Sandrock\C&D Landfill\Permitting NC\2019 Permit Renewal\2019 RTC 1\GCL stability\FC-Veneer.seismic.docx ATTACHMENT A FINAL COVER SYSTEM SEISMIC STABILITY ANALYSIS COMPUTER SPREADSHEET RESULT Project: Coble Sandrock C&D Landfill Project Number: 2191087 Phase 04 Calculated By: DWT Date: 7/16/2019 Revised By: Date: Checked By: Date: Subject: Veneer Static Slope Stability Sheet: 1 of 3 P:\Coble's Sandrock\C&D Landfill\Permitting NC\2019 Permit Renewal\2019 RTC 1\GCL stability\FC-Veneer.static.docx FINAL COVER VENEER STATIC SLOPE STABILITY OBJECTIVE To demonstrate that a factor of safety (FS) greater than or equal to 1.50 exists, with respect to the final cover components failing along the proposed final cover sideslopes of the landfill. REFERENCES “Design of Lateral Drainage Systems for Landfills” by Gregory N. Richardson and Aigen Zhao, 1999. “Designing with Geosynthetics” by Robert Koerner, 1994. METHODOLOGY The analytical method used to calculate veneer slope stability FS is taken from a report entitled “Design of Lateral Drainage Systems for Landfills” by Gregory N. Richardson and Aigen Zhao, 1999. The method analyzes the ability of the drainage geocomposite to adequately transmit infiltrating rain flow, and also considers the stability of the final cover soils considering seepage forces. Exceeding the drainage capacity of the geocomposite could potentially cause the final cover soil to become saturated and possibly unstable. The calculation determines the FS with respect to slope failure. The most critical interface friction angle will be varied such that the FS is greater than or equal to 1.5. The proposed 3H:1V final cover slope presented in this analysis for the MSW landfill. The final cover slope will be have a longest sideslope length of approximately 320 feet, but the slope is interrupted by diversion berms at an interval as specified in the calculation to achieve the necessary factor of safety. An industry accepted design approach for establishing a soil retention design is to use the soil’s grain size characteristics and compare them to the 95% opening size (O95) of the geotextile. The term, apparent opening size (AOS) is equivalent to O95. PROPOSED FINAL COVER SYSTEM The permitted Final Cover System is outlined below, from top to bottom: • 18-inch thick Erosion Layer capable of sustaining native plant growth; • 18-inch thick Low-Permeability Infiltration Layer; • Geosynthetic Clay Liner (GCL); • 12-inch thick Intermediate Cover Layer. Project: Coble Sandrock C&D Landfill Project Number: 2191087 Phase 04 Calculated By: DWT Date: 7/16/2019 Revised By: Date: Checked By: Date: Subject: Veneer Static Slope Stability Sheet: 2 of 3 P:\Coble's Sandrock\C&D Landfill\Permitting NC\2019 Permit Renewal\2019 RTC 1\GCL stability\FC-Veneer.static.docx ADDITIONAL MATERIAL PROPERTIES Assumed unit weight of final cover soil: γs = 125 pcf VARIABLES DEFINED β = Sideslope angle; δ = Minimum contact interface friction angle of the geosynthetics along the final cover sideslope; CALCULATIONS FS against slope failure is calculated by: FSf = Tan δ / Tan β Since the assumed FS against slope failure is 1.5, the equation is rearranged to solve for Tan δ and the resulting δ will be the minimum interface friction angle required within all of the final cover system components. Tan δ =(FSf) * Tan (β) Solving: Tan δ = (1.5) * Tan (18.43) = 0.50 δ = Tan-1 0.50 = 26.6 degrees Verification Of AOS Specification As suggested in Designing with Geosynthetics, the AOS of a geotextile to be used in a soil retention or separation function can be calculated as a function of the grain size of the soil. This is given by the following equation: AOS < (2 to 3)*d85 Where d85 = the particle size in mm for which 85% of the total soil is finer. Assuming an AOS equivalent to a US sieve size of 70 (0.212 mm), the d85 of the cover soil must be: d85 > AOS/2 d85 > (0.212 mm /2) d85 > 0.106 mm Project: Coble Sandrock C&D Landfill Project Number: 2191087 Phase 04 Calculated By: DWT Date: 7/16/2019 Revised By: Date: Checked By: Date: Subject: Veneer Static Slope Stability Sheet: 3 of 3 P:\Coble's Sandrock\C&D Landfill\Permitting NC\2019 Permit Renewal\2019 RTC 1\GCL stability\FC-Veneer.static.docx CONCLUSIONS During the analysis, a FS against slope failure of 1.5 was assumed, and the value of the minimum interface friction angle of the components proposed to be placed along the final cover sideslope was solved for. The minimum interface friction angle required for a FS of 1.5 was determined to be 26.6 degrees. The AOS for the geotextile component of the geocomposite will be specified as a maximum of 0.212 mm, which corresponds US Sieve size of 70. Therefore, the d85 of the cover soils must be greater than 0.106 mm. This AOS and d85 will be listed in Technical Specifications for the Geocomposite. Prepared For: COBLE’S SANDROCK, INC. 5833 FOSTER STORE ROAD LIBERTY, NORTH CAROLINA 27298 Submitted By: LaBella Associates 2211 West Meadowview Rd. Suite 101 Greensboro, NC 27407 336-323-0092 NC License No. C-0430 OPERATIONS PLAN COBLE’S SANDROCK CONSTRUCTION & DEMOLITION DEBRIS LANDFILL PERMIT NO. 01-05 August 2019 Project no. 2191087 III-Operations Plan LaBella Associates, PC C&D LF 5-Year Permit Renewal/LOS 1 August 2019 Coble’s Sandrock, North Carolina TABLE OF CONTENTS OPERATIONS PLAN ....................................................................................................................................................... 2 1. Waste Acceptance and Disposal ................................................................................................................ 2 2. Wastewater Treatment Sludge ................................................................................................................... 4 3. Waste Exclusions ........................................................................................................................................ 5 4. Cover Material Requirements ..................................................................................................................... 6 5. Spreading and Compacting Requirements ................................................................................................ 7 6. Disease Vector Control ............................................................................................................................... 7 7. Air Criteria and Fire Control ........................................................................................................................ 7 8. Access and Safety Requirements .............................................................................................................. 8 9. Erosion and Sediment Control .................................................................................................................... 9 10. Drainage Control and Water Protection ..................................................................................................... 9 11. Survey for Compliance ................................................................................................................................ 9 12. Operating Record and Recordkeeping ....................................................................................................... 9 13. Land Clearing and Inert Debris Landfill (LCIDLF) .................................................................................... 10 14. Temporary Disaster Debris Staging Site (TDDSS) ................................................................................... 11 APPENDICES APPENDIX A WASTE INSPECTION FORM APPENDIX B EPA HAZARDOUS WASTE INSPECTION GUIDE APPENDIX C FIRE OCCURRENCE REPORT APPENDIX D LEACHATE RELEASE SAMPLING GUIDE APPENDIX E SHINGLES RECYCLING APPENDIX F OPERATOR TRAINING CERTIFICATES APPENDIX G ALTERNATE DAILY COVER MATERIALS APPENDIX H DEEDS DRAWINGS DRAWING OP-01 – EXISTING CONDITIONS DRAWING OP-02 – PHASING PLAN YEARS 3 AND 4 DRAWING OP-03 – PHASING PLAN YEARS 4 AND 5 III-Operations Plan LaBella Associates, PC C&D LF 5-Year Permit Renewal/LOS 2 August 2019 Coble’s Sandrock, North Carolina OPERATIONS PLAN The owner or operator of a C&DLF unit must prepare an operation plan for each phase of landfill development. Each phase of operation must be defined by an area, which contains approximately five years of disposal capacity. The Plan drawings must be consistent with the engineering plan and prepared in a format useable for the landfill operator. No changes to the Engineering Plan are proposed for this five-year permit renewal and Life of Site application. This Plan is compiled to address the rule .0542 for a C&D landfill operation. 1. Waste Acceptance and Disposal Only construction/demolition and land clearing/inert debris is proposed for disposal at the landfill in their respective permitted areas. Construction and demolition debris is defined in NC General Statutes as waste or debris resulting solely from construction, remodeling, repair, or the demolition of pavement, buildings, or other structures. The landfill owner or operator will notify the Division of Waste Management (Division) within 24 hours of attempted disposal of any waste the C&DLF is not permitted to receive, including waste from outside the area the landfill is permitted to serve. Random waste inspections are conducted at the scale house and waste off-loading is observed at the working face. Facility personnel will examine, to the extent practicable, the loads during weighing, tipping, and while handling the waste, to identify unauthorized waste. Facility personnel will randomly inspect and document the inspected loads. Every effort will be made to preclude the inadvertent acceptance of unauthorized waste through public education, signage, and inspections. The facility screens the loads that come over the scales. Anything that are not permitted to take is refused. In the case of mixed loads (a tire or bag of household waste mixed with construction debris, for example), the customer is to be told that the facility does not accept that item and that they will need to keep that item(s) on their truck. The facility will notify the landfill workers of the items to ensure they are not disposed of at the working face. Non-disposable treatment/process waste such as recyclable material will be segregated from the waste stream and temporarily stored in containers or stockpiles prior to being removed from the site. Recyclable material may include wood, yard waste, metals, mobile home destruction materials, concrete, cardboard, post-consumer asphalt shingles, and other materials identified as appropriate for recycling. Land clearing debris and clean wood is stockpiled and ground to mulch periodically. Engineered wood is separated from clean wood and ground periodically and sold for boiler fuel. The wood grinding and stockpiling is currently conducted within the Phase 4 landfill footprint. No grinding or processing wastes are allowed during rainy days. Yard trash (high nitrogen vegetative wastes such as grass clipping) as defined in Rule 15A NCAC 13B .0101(55) shall NOT be accepted for landfilling at this landfill facility. III-Operations Plan LaBella Associates, PC C&D LF 5-Year Permit Renewal/LOS 3 August 2019 Coble’s Sandrock, North Carolina Wood wastes including tree limbs and trunks or clean, non-painted wood wastes including wooden pallet as defined in NCGS 130A-290(a)(44a) are permitted wastes for temporarily storage and treatment /processing for mulch. Engineering wood shall only be ground for boiler fuel. The stockpile of engineering wood should be separated from other wood waste stockpiles. Coble’s Sandrock destructs mobile trailer homes at the working face of the C&D landfill. Identified C&D waste material removed from the destruction process is placed into the landfill. The mobile home destruction and the recyclable materials storage area is at the working face of the landfill. Scrap metal is frequently taken to off-site recycling. In the process of destruction of the mobile homes, the facility operator will adhere to Section 6 in the County Franchise Agreement regarding asbestos and the Solid Waste Management Rule .0542 (c)2. Mobile Homes containing friable asbestos shall not be accepted at this C&DLF. Prior to acceptance of the mobile homes for disposal all unauthorized wastes shall be properly removed from the mobile home. All mobile homes must be deconstructed within 45 days from acceptance into the deconstruction area. The date of receipt at the landfill shall be posted on the mobile home or its frame. All material not planned for recycling must be placed in an approved disposal unit before the end of the day when deconstruction takes place. Recycleable materials may be stockpiled at the mobile home deconstruction area for no more than 45 days from the date of deconstruction. The landfill receives broken concrete, block and brick from demolition projects. Acceptable waste streams must be clean, unpainted, and non-contaminated concrete blocks, broken concrete, brick, etc. The material is stockpiled on site and crushed to ruble. Coble owns the rock and concrete crushing machine and the crushing is based on as needed and the rubble is sold for aggregate. The concrete stockpiling and crushing is conducted within the Phase 4 landfill footprint. Cardboard is stored in a 40-yard container that is removed from the site by cardboard recycling vendor when full. Various plastics are received with the waste, but due to the variety of the material and limited quantity the plastics are placed in the working face for landfilling. The facility is permitted for recycling post-consumer asphalt shingles. The asphalt shingles stockpiling is within the Phase 4 landfill footprint. The Permit Modification is included in Appendix E. The facility engages temporary disaster debris staging and screens wood from soil. The wood is mixed with the clean land clearing debris, and the material is ground and included in the mulch. The mulch is sold to general public. The recyclable and recoverable materials will be segregated from the waste stream and temporarily stored in containers or stockpiles. The segregation and handling of the recyclable/recoverable materials is mostly managed by front end and track loaders. III-Operations Plan LaBella Associates, PC C&D LF 5-Year Permit Renewal/LOS 4 August 2019 Coble’s Sandrock, North Carolina Appendix A includes a Waste Inspection Form, and Appendix B EPA Hazardous Waste Inspection Guidance. The operator conducts waste screening inspections of the incoming load if it looks suspicious that non-acceptable waste may be included. The waste screens are conducted at random frequency, but at minimum four times each month. The screening process is conducted in the order of the Waste Inspection Form. Unacceptable waste is turned back to the source and the inspection form is filled to include all pertinent information. Recovered material is not subject to regulation as solid waste under Article NCGS 130- 309.05(c). In order for a material that would otherwise be regulated as solid waste to qualify as a recovered material, the Department may require any person who owns or has control over the material to demonstrate that the material meets the requirements of this subsection. In order to protect public health and the environment, the Commission may adopt rules to implement this subsection. Materials that are accumulated speculatively, as that term is defined under 40 Code of Federal Regulations § 261.2, shall not qualify as a recovered material, and shall be subject to regulation as solid waste. In order to qualify as a recovered material, the material shall be managed as a valuable commodity in a manner consistent with the desired use or end use, and all of the following conditions shall be met: (1) Seventy-five percent (75%), by weight or volume, of the recovered material stored at a facility at the beginning of a calendar year commencing January 1, shall be removed from the facility through sale, use, or reuse by December 31 of the same year. (2) The recovered material or the products or by-products of operations that process recovered material shall not be discharged, deposited, injected, dumped, spilled, leaked, or placed into or upon any land or water so that the products or by-products or any constituent thereof may enter other lands or be emitted into the air or discharged into any waters including groundwater or otherwise enter the environment or pose a threat to public health and safety. Facilities that process recovered material shall be operated in a manner to ensure compliance with this subdivision. (3) The recovered material shall not be a hazardous waste or have been recovered from a hazardous waste. (4) The recovered material shall not contain significant concentrations of foreign constituents that render it unserviceable or inadequate for sale, or its intended use or reuse. No composting is permitted at this facility. 2. Wastewater Treatment Sludge Wastewater treatment sludge will not be accepted for disposal. Wastewater treatment sludge may be accepted, with the approval of the Division, for utilization as a soil conditioner and incorporated into or applied onto the vegetative growth layer. The wastewater treatment sludge will neither be applied at greater than agronomic rates nor to a depth greater than six inches. III-Operations Plan LaBella Associates, PC C&D LF 5-Year Permit Renewal/LOS 5 August 2019 Coble’s Sandrock, North Carolina 3. Waste Exclusions The following wastes will not be disposed of in the landfill: (1) Containers such as tubes, drums, barrels, tanks, cans, and bottles unless they are empty and perforated to ensure that no liquid, hazardous or municipal solid waste is contained therein, (2) Garbage as defined in G.S. 130A-290(a)(7), (3) Hazardous waste as defined in G.S. 130A-290(a)(8), to also include hazardous waste from conditionally exempt small quantity generators, (4) Industrial solid waste unless a demonstration has been made and approved by the Division that the landfill meets the requirements of Rule .0503(2)(d)(ii)(A), (5) Liquid wastes, including liquid and flowable concrete/cement. (6) Medical waste as defined in G.S. 130A-290(a)(18), (7) Municipal solid waste as defined in G.S. 130A-290(a)(18a), (8) Polychlorinated biphenyls (PCB) wastes as defined in 40 CFR 761, (9) Radioactive waste as defined in G.S. 104E-5(14), (10) Septage as defined in G.S. 130A-290(a)(32), (11) Sludge as defined in G.S. 130A-290(a)(34), (12) Special wastes as defined in G.S. 130A-290(a)(40), (13) White goods as defined in G.S. 130A-290(a)(44), and (14) Yard trash as defined in G.S. 130A-290(a)(45), (15) The following wastes cannot be received if separate from C&DLF waste: lamps or bulbs including, but not limited to halogen, incandescent, neon or fluorescent; lighting ballast or fixtures. Thermostats and light switches; batteries including, but not limited to those from exit and emergency lights and smoke detectors. Lead pipes, lead roof flashing, transformers, capacitors, and copper chrome arsenate (CCA), and creosote treated woods. (16) Waste accepted for disposal in a C&DLF unit must be readily identifiable as C&D waste and must not have been shredded, pulverized, or processed to such an extent that the composition of the original waste cannot be readily ascertained except as specified in Subparagraph (17) of this Paragraph. (17) C&D waste that has been shredded, pulverized or otherwise processed may be accepted for disposal from a facility that has received a permit from an authorized regulatory authority, which specifies such activities are inspected by the authority, and whose primary purpose is recycling and reuse of the C&D material. A waste screening plan and waste acceptance plan must be available to the Division upon request. III-Operations Plan LaBella Associates, PC C&D LF 5-Year Permit Renewal/LOS 6 August 2019 Coble’s Sandrock, North Carolina (18) The owner or operator will not knowingly dispose any type or form of C&D waste that is generated within the boundaries of a unit of local government that by ordinance: (A) Prohibits generators or collectors of C&D waste from disposing that type or form of C&D waste. (B) Requires generators or collectors of C&D waste to recycle that type or form of C&D waste. (19) Friable asbestos 4. Cover Material Requirements Waste must be covered with six inches of earthen material when the waste disposal area exceeds one-half acre and at least once weekly. Cover must be placed at more frequent intervals if necessary to control disease vectors, fires, odors, blowing litter, and scavenging. A notation of the date and time of the cover placement must be recorded in the operating record. Temporarily dormant areas that will not receive waste for three months or longer, but where final termination of disposal operations has not occurred, must be covered and stabilized with vegetative ground cover or other stabilizing material. Mulch generated from wood grinding may be used as a soil amendment for cover soil. Approved Alternative Daily Cover Materials (ADCM) for Use at Sanitary Landfill” dated July 21, 2017, is included in Appendix G, or can be found in the web link: https://edocs.deq.nc.gov/WasteManagement/0/edoc/723214/ApprovedACM_Rev1_GDE_ 20170721.pdf?searchid=f7d5b34c-664b-4338-930a-d1db93f0272f ACM: Soil/Mulch Mixture (S&M) APPROVED LANDFILL USE: MSWLF, C&DLF, IndLF MATERIAL CHARACTERISTICS: Soil/Mulch Mixture is, generally, a mixture of native soils and wood mulch generated from the grinding of yard trash, land clearing debris and pallets constructed of unpainted and untreated natural wood. Additionally, shredded tire chips may be used in addition to, or in lieu of, wood mulch. USAGE CRITERIA: 1. S&M can be applied, in lieu of soil, to a full depth of six inches. 2. S&M can be mixed at a ratio from 80% soil to 20% mulch up to 50% soil to 50% mulch by volume. 3. During the use of S&M as an ACM, soil cover to a full depth of six inches shall be applied once per week. 4. S&M may not be used for intermediate cover. III-Operations Plan LaBella Associates, PC C&D LF 5-Year Permit Renewal/LOS 7 August 2019 Coble’s Sandrock, North Carolina 5. Spreading and Compacting Requirements The open waste disposal area must be kept as small as is feasible. Compact waste as densely as practical into cells. Windblown litter is not anticipated to be a significant problem at the C&D landfill due to the heavy, bulky nature of this waste type. Prompt compaction of the waste at the working face must be conducted to minimize litter. At the conclusion of each operating day, all windblown material resulting from the operation must be collected and properly disposed of at the C&D LF working face. Use wind fence as necessary to minimize windblown trash. 6. Disease Vector Control Prevent and control on-site populations of disease vectors using techniques appropriate for the protection of human health and the environment. 7. Air Criteria and Fire Control The landfill must not violate any applicable requirements developed under a State Implementation Plan (SIP) approved or promulgated by the U.S. EPA Administrator pursuant to Section 110 of the Clean Air Act, as amended. No open burning of solid waste, except for the approved burning of land clearing debris generated on-site or debris from emergency clean-up operations. Prior to any planned burning, submit a request to the Division, a permit must be obtained from the Department of Air Quality (DAQ), NC Forest Service/Alamance County, and/or local Fire Marshal office. A notation of the date of approval and the name of the Division personnel who approved the burning must be included in the operating record. The facility must implement a fire prevention plan that includes maintaining a minimum of 25 feet wide fire isle between each stockpile of flammable or combustible, recyclable, recovered material, swales, and berms to allow for firefighting equipment. Maintain reasonable isle width between each stockpile at all times for accessing heavy equipment for material handling, transportation and management. If a fire occurs at the waste disposal area, remove or segregate other waste in the disposal area if possible. Following the segregation, reevaluate the situation to determine should emergency personnel be notified. Hot loads are loads that have the potential to catch fire when exposed to air or other materials. For this reason hot loads are not acceptable at this facility. Vehicles approaching the scale house are inspected. If a vehicle approaches scale house with a hot load, it will immediately be refused. If vehicles are found inside the landfill facility with hot loads prior to reaching landfill working face, it will be refused and turned around. If vehicles with hot loads make it to the landfill working face, the load would be separated from the working face trash and immediately covered with dirt. If necessary, call the Snow Camp and/or E.M. Holt Volunteer Fire Departments to render assistance and provide support in fighting any fires that occur at this site. III-Operations Plan LaBella Associates, PC C&D LF 5-Year Permit Renewal/LOS 8 August 2019 Coble’s Sandrock, North Carolina Fire extinguishers must be carried on each piece of landfill equipment on site, and used for small, localized fires. Equipment operators must be trained in the use of these extinguishers. Maintain a stockpile of soil near the working face to be used for extinguishing surface fires that are too large to control with the fire extinguishers on the landfill equipment. Water in sedimentation ponds and nearby creeks is available for firefighting to extinguish larger fires. Fires and explosions that occur at the landfill must be verbally reported to the Division within 24 hours and written notification submitted within 15 days. Written notification must include the suspected cause of fire or explosion, the response taken to manage the incident, and the action(s) to be taken to prevent the future occurrence of fire or explosion. For reporting a fire incidence, please use the standard report form in Appendix C, which can be downloaded from the following web link, https://files.nc.gov/ncdeq/WasteManagement/DWM/SW/Forms/FireOccurrenceReport.pdf Wind-blown litter, dust and odor control measures are typically not problematic at C&D landfills. Maintain small working face, place the waste and compact promptly to prevent wind gusts to blow the lighter material. Fugitive dust and odors are best managed by covering the waste immediately with other waste or with daily cover material. 8. Access and Safety Requirements Access to the facility is controlled through a single access road. A metal gate prevents access after operating hours. Traffic moves from the entrance gate to the landfill along gravel haul road that extends approximately a quarter-mile from the facility entrance. The entrance is planned to remain at its present location. The haul roads may be rerouted as needed to access the proposed C&D expansion area. In accordance with G.S. 130A-309.25, an individual trained in landfill operations must be on duty at the site while the facility is open for public use and at all times during active waste management operations to ensure compliance with operational requirements. The access road to the site and roads to monitoring locations are of all-weather construction and maintained in good condition. Water access roads periodically, as needed, to minimize dust. Control measures must be utilized to minimize and eliminate visible dust emissions. Fugitive dust emissions are prohibited. A sign providing information on disposal procedures, the hours during which the site is open for public, the permit number and other pertinent information specified in the permit conditions is posted at the site entrance. Liquids, hazardous and municipal solid waste are listed on a sign as excluded wastes. Provide signs or markers as necessary to promote an orderly traffic pattern to and from the disposal area and to maintain efficient operating conditions. No removal of solid waste from the landfill is allowed unless indicated in the operations plan as a recycling procedure. General public is not allowed to remove material from the working face. III-Operations Plan LaBella Associates, PC C&D LF 5-Year Permit Renewal/LOS 9 August 2019 Coble’s Sandrock, North Carolina 9. Erosion and Sediment Control Sediment control measures must be followed to prevent sediment from leaving the facility, and to prevent on-site erosion of the landfill. Vegetative cover must be established on all competed areas of the landfill. 10. Drainage Control and Water Protection Divert surface water from the operational area and prevent impounding in waste. Do not dispose of waste in water. The landfill must not cause a discharge of pollutants into waters of the United States, including wetlands, that violates any requirements of the Clean Water Act, including the National Pollutant Discharge Elimination System (NPDES) requirements, pursuant to Section 402. The landfill must not cause the discharge of a nonpoint source of pollution to waters of the United States, including wetlands, that violates any requirement of an area-wide or State-wide water quality management plan that has been approved under Section 208 or 319 of the Clean Water Act, as amended. Leachate must be contained on-site or treated prior to discharge. An NPDES permit may be required prior to the discharge of leachate to surface waters per Rule 13A NCAC 13B. 0542(l). After any leachate outbreak or seep observed at the landfill, a verbal notice to the SWS within 24 hours and within 15 days a written notification with the assessment sampling plan must be submitted to the SWS. The leachate releases assessment/sampling guidance can be found in the following web link: https://edocs.deq.nc.gov/WasteManagement/0/edoc/1319075/MSWLeachate_Release_ Sampling_Guide.pdf?searchid=22b91c58-be48-4f48-97ec- ae3766e88565 11. Survey for Compliance Within 60 days of the permittee's receipt of the Division's written request, the permittee must conduct a survey of active or closed portions of unit(s) at the facility in order to determine whether operations are being conducted in accordance with the approved design and operational plans. The permittee must report the results of such survey, including a map produced by the survey, to the Division within 90 days of receipt of the Division's request. The survey must be performed by a registered land surveyor who is authorized under North Carolina law to conduct such activities. 12. Operating Record and Recordkeeping The owner and operator must record and retain at the facility, or in an alternative location near the facility, the following information: (A) records of random waste inspections, monitoring results, certifications of training, and training procedures required by Rule .0544 of this Section; (B) amounts by weight of solid waste received at the facility to include, consistent with G.S. 130A-309.09D, county of generation; III-Operations Plan LaBella Associates, PC C&D LF 5-Year Permit Renewal/LOS 10 August 2019 Coble’s Sandrock, North Carolina (C) any demonstration, certification, finding, monitoring, testing, or analytical data required by Rules .0544 through .0545 of this Section; (D) any closure or post-closure monitoring, testing, or analytical data as required by Rule .0543 of this Section; (E) any cost estimates and financial assurance documentation required by Rule .0546 of this Section; (G) records of mobile home deconstruction; and, (F) notation of date and time of placement of cover material; and (H) all audit records, compliance records and inspection reports. All information contained in the operating record must be furnished to the Division according to the permit or upon request, or be made available for inspection by the Division. The operating record must also include: (A) A copy of the approved operation plan required by this Rule and the engineering plan required by Rule .0539 of this Section; (B) A copy of the current Permit to Construct and Permit to Operate; and (C) The Water Quality and Landfill Gas Monitoring Plans, in accordance with Rule .0544 of this Section. 13. Old Land Clearing and Inert Debris Landfill (LCIDLF) The permit for this work is ALAMA-2002-028. The closed LCID area is 3.7 acres in size and is located in the Phase 4 footprint. The facility mined in past concrete out of the old LCID (Phase 4) unit and is crushing it. The dirt that is screened out of the old waste is being used as cover. There is also an old closed LCID area behind the scale house that is 2.3 ac in size. The target wastes from the mining activities are concrete and soil. The crushed concrete is crushed on an as needed basis and is therefore not stockpiled. If stockpiling is required at some future time it will be adjacent to future phase 4. The mined area is already native sandrock and does not need to be covered. The area is graded to run off. Adequate erosion control measures, structures, or devices shall be utilized to prevent silt from leaving the site and to prevent excessive on site erosion. Ground cover sufficient to restrain erosion must be accomplished within 30 working days or 120 calendar days upon completion of any phase of landfill development. The facility shall be adequately secured by means of gates, chains, berms, fences, etc. to prevent unauthorized access except when an operator is on duty. An attendant shall be on III-Operations Plan LaBella Associates, PC C&D LF 5-Year Permit Renewal/LOS 11 August 2019 Coble’s Sandrock, North Carolina duty at all times while the landfill is open for public use to assure compliance with operational requirements and to prevent acceptance of unauthorized wastes. Access roads shall be of all-weather construction and properly maintained. Surface water shall be diverted from the working face and shall not be impounded over waste. Solid waste shall not be disposed of in water. Open burning of solid waste is prohibited. The concentration of explosive gases generated by the facility shall not exceed: (a) Twenty- five percent of the lower explosive limit for the gases in facility structures. (b) The lower explosive limit for the gases at the property boundary. Leachate shall be properly managed on site through the use of current best management practices. 14. Temporary Disaster Debris Staging Site (TDDSS) This facility has a TDDSS area for emergency debris intake. The permit for this work is DS01-015. The DDSS area is 3 acres in size and is located as shown on the permit’s Engineerig Plans. The TDDSS will not receive disaster debris without approval from the SWS When the site is activated following an emergency event only permitted wastes for the Coble C&DLF may be accepted in the TDDSS. Through the waste screening processes, all non- conformance or prohibited wastes shall not be accepted at this unit; any inadvertently accepted non-conformance or prohibited wastes shall be properly handled, managed, and disposal off according to the approved Contingency Plan. Activation must be requested and received from the Regional Environmental Senior Specialist for the facility. All permitted debris must be removed from the TDDSS within six (6) months from the activation date. Storm debris must be placed in rows with a maximum of 12 feet high and 25 feet wide. A minimum of 15 feet row aisles must be maintained to separate piles. Adequate isle lines shall be established and maintained for each waste stockpile for firefighting. END APPENDICES APPENDIX A WASTE INSPECTION FORM Attach related correspondence to this form File completed form in Operating Record COBLE’S C&D LANDFILL WASTE INSPECTION FORM FORM A DATE: TIME WEIGHED IN. TRUCK OWNER: DRIVER NAME: TRUCK TYPE: VEHICLE ID/TAG: WEIGHT: TARE: WASTE SOURCE: Reason Load Inspected: Random Inspection ______ Staff Initials _____ Detained at Scales ______ Staff Initials _____ Detained by Operating Staff ______ Staff Initials _____ Inspection Location: ____________________________________________________________ Description of Load: ____________________________________________________________ Waste: Accepted [ ] Rejected [ ] Held [ ] Notified: Supervisor [ ] County EMS [ ] Generator [ ] Hauler [ ] NCDENR [ ] Federal [ ] Loader Operator: ____________________________________________________________ Personnel Conducting the Inspection: __________________________________________ Load Accepted (signature) _____________________ Date ___________ Load Not Accepted (signature) _____________________ Date ___________ REASON LOAD NOT ACCEPTED (Complete the following section if load not accepted)_ Description of Suspicious Contents: Color ________________ Texture ________________ Smell __________________ Drums Present __________ Haz. Waste Markings _____________________________ Estimated CY present in load: _________ Estimated tons present in load:________ Emergency Management Contacted? ______________ ___________________ Hazardous Materials Present: ____________________________________________________ ______________________________________________________________________________ Hauler notified (if waste not accepted) Phone: ____________ Time Contacted: _________ Other Observations: ____________________________________________________________ ______________________________________________________________________________ Final Disposition Signature: _________________________ Date: _________ Time: _______ Waste Screening Inspector or Landfill Manager ADDITIONAL COMMENTS: on the back APPENDIX B EPA HAZARDOUS WASTE INSPECTION GUIDE EPA Landfill Criteria Technical Manual, Subpart C, November 1993 APPENDIX C FIRE OCCURRENCE NOTIFICATION APPENDIX D LEACHATE RELEASE SAMPLING GUIDE Updated April 10, 2019 NC Division of Waste Management – Solid Waste Section Leachate Release Sampling & Analysis Guidelines For MSW Landfills In accordance with General Requirements for MSWLF Facilities in 15A NCAC 13B .1604(b)(2)(L)(iii), a facility shall notify the Solid Waste Section (Section) within 24 hours of any release or discharge outside the liner, collection system or other containment compound. After the initial notification to the Section, the facility shall comply with the following: 1. Submit a Sampling Plan for Section approval prior to sampling. The proposed plan shall be submitted in electronic format sent via email and meet the following requirements: • Include a map/aerial photo depicting area of impact and proposed sampling locations; • Provide a description of the proposed sampling methodology; and • Describe proposed subsurface soil sampling and surface water sampling (if applicable) at specific locations, including background soil and upstream water locations, to evaluate the extent of the potential environmental impacts from the release(s) at the facility; i. Subsurface soil samples shall be collected between one to two feet below ground surface; ii. Discrete soil samples shall be collected. Composite samples will not be accepted; and iii. All soil and surface water samples shall be analyzed by a NC certified laboratory for 40 CFR Part 258 Appendix I parameters (VOCs and Total Metals), total phosphorus, sulfate, nitrate, and pH. 2. After Section approval of the sampling plan, the plan shall be implemented within seven (7) days. Within 10 business days after receiving the analytical results from the laboratory, submit documentation regarding the sampling event which shall include the following: • A summary of the leachate release, actions taken to address the release, and the release assessment; • A map/aerial photo depicting the sampling locations; • A table of the surface water analytical results compared to the NCDWR Surface Water Quality Standards & Protective Values (Sept 2017); • A table of the subsurface soil analytical results compared to the NCDEQ Preliminary Soil Remediation Goals (PSRGs) - Feb 2018. Both the Residential Health Based and the Protection of Groundwater PSRGs must be met; • The associated laboratory reports from the NC certified laboratory including the chain of custody and QA/QC results; • The sampling methodology, if different from the proposed plan; and • Conclusions and recommendations. APPENDIX E ASPHALT SHINGLES RECYCLING PERMIT MODIFICATION APPENDIX F OPERATOR TRAINING CERTIFICATES APPENDIX G APPROVED ALTERNATE DAILY COVER MATERIALS 1646 Mail Service Center, Raleigh, NC 27699-1676 Telephone: 919-707-8200 Internet: http://portal.ncdenr.org/web/wm/sw An Equal Opportunity/Affirmative Action Employer – Printed on Dual Purpose Paper North Carolina Department of Environmental Quality Division of Waste Management Solid Waste Section APPROVED ALTERNATIVE DAILY COVER MATERIALS FOR USE AT SANITARY LANDFILLS Date of Issue: July 21, 2017 Document Number 723214 NOTICE This is a guidance document developed to assist landfills in the selection and use of alternative daily cover materials. It should not be interpreted as a replacement to North Carolina General Statutes or Administrative Code. DEQ officials may determine that the guidance is not applicable based on site specific conditions. DEQ reserves the right to change this guidance at any time without public notice. Guidance Document History Date Document Number Revision January 7, 2014 20365 Original Issue July 21, 2017 723214 Processed Glass Fines, changed DENR references to DEQ, update compliance section on page 3 TABLE OF CONTENTS Introduction .......................................................................................................................... 1 Regulatory Authority and Interpretation ............................................................................. 1 Implementation .................................................................................................................... 2 Compliance ........................................................................................................................... 3 Approved Alternative Daily Cover Material Detail Sheets Automotive Shredder Residuals ................................................................................ 4 Combustion Residuals ............................................................................................... 5 Construction & Demolition Debris Fines .................................................................. 6 Petroleum Contaminated Soils ................................................................................. 7 Spray-applied Mortar Coating ................................................................................... 8 Foam Coating ............................................................................................................. 9 Foundry Sand ............................................................................................................ 10 Soil/Mulch Mixture .................................................................................................... 11 Synthetic Tarps ......................................................................................................... 12 Processed Glass Fines……………………………………………………………………………………………13 APPROVED ALTERNATIVE DAILY COVER MATERIALS Page 1 July 21, 2017 – DIN 723214 Rev 1 INTRODUCTION Session Law 2013-413 was passed during the 2013 session of the North Carolina General Assembly. The law amended North Carolina General Statute (NCGS) 130A-295.6 and concerned the use of alternative cover materials (ACM) as daily cover at sanitary landfills. The statute directs that once an ACM has been approved for use by the North Carolina Department of Environmental Quality (DEQ) at any sanitary landfill in North Carolina, it may be used at all sanitary landfills within the state. The Solid Waste Section (Section) of the NC DEQ Division of Waste Management prepared this guidance document to assist the regulated community in the implementation of the statue. Section staff developed an inventory of ACM approved for use in North Carolina and summarized the approved operational conditions and application processes for use of the ACM. This information, along with instructions on how to add the use of previously approved ACM to a sanitary landfill operation and permit, is provided. REGULATORY AUTHORITY AND INTERPRETATION Industrial waste landfills (IndLF), construction and demolition solid waste landfills (C&DLF), and municipal solid waste landfills (MSWLF) are all considered sanitary landfills by North Carolina statutes and rules. Previously there was no statutory language regarding daily cover, alternative daily cover or alternative cover materials. However, cover requirements and alternatives based on specific types of sanitary landfills were addressed in the Solid Waste Management Rules - Title 15A Chapter 13, Sub- chapter B of the North Carolina Administrative Code (15A NCAC 13B). The following rule references provide the current requirements which can affect the use of an ACM at a specific type of sanitary landfill. Industrial waste landfills are permitted and operated under Sections .0503, .0504, .0505 and .0510 of the NCAC.  Part .0505(3)(a) specifically states: Solid waste shall be covered after each day of operation, with a compacted layer of at least six inches of suitable cover or as specified by the Division. C&D waste landfills are currently permitted and operated under Sections .0531 through .0547 of the NCAC.  Part .0542(f)(1) states: Except as provided in Subparagraph (3) of this Paragraph, the owners and operators of all C&DLF units must cover the solid waste with six inches of earthen material when the waste disposal area exceeds one-half acre and at least once weekly. Cover must be placed at more frequent intervals if necessary to control disease vectors, fires, odors, blowing APPROVED ALTERNATIVE DAILY COVER MATERIALS Page 2 July 21, 2017 – DIN 723214 Rev 1 litter, and scavenging. A notation of the date and time of the cover placement must be recorded in the operating record as specified in Paragraph (n) of this Rule.  Part .0542(f)(3) states: Alternative materials or an alternative thickness of cover may be approved by the Division if the owner or operator demonstrates that the alternative material or thickness controls disease vectors, fires, odors, blowing litter, and scavenging without presenting a threat to human health and the environment. A C&DLF owner or operator may apply for approval of an alternative cover material. If approval is given by the Division, approval would extend to all C&DLF units at one specific facility. MSW landfills are currently permitted and operated under Sections .1601 through .1680 of the NCAC.  Part .1626(2)(a) states: Except as provided in Sub-Item (b) of this Item, the owners or operators of all MSWLF units must cover disposed solid waste with six inches of earthen material at the end of each operating day, or at more frequent intervals if necessary, to control disease vectors, fires, odors, blowing litter, and scavenging.  Part .1626(2)(b) states: Alternative materials of an alternative thickness (other than at least six inches of earthen material) may be approved by the Division if the owner or operator demonstrates that the alternative material and thickness control disease vectors , fires , odors, blowing litter, and scavenging without presenting a threat to human health and the environment, in accordance with 40 CFR Part 258.21. A MSWLF owner or operator may apply for a generic approval of an alternative cover material, which would extend to all MSWLF units. IMPLEMENTATION The use of an ACM must be documented in the approved operation plan for the facility. If a facility intends to utilize an ACM that is currently not in their approved operation plan but is included in the ACM summary, they may do so by following one of the following procedures: 1. The facility may elect to use an approved ACM in the manner prescribed in this document. To implement the use of the ACM, the facility owner or operator should place a notice in the facility operating record with the procedure for using the ACM according to the information in this document and send a copy of the notice and procedure to the Permitting Branch Supervisor of the Section and the facilities Environmental Senior Specialist (ESS). The ADC must be incorporated into the facility operation plan and will be listed in the permit at the next permit action. 2. The facility may choose to implement an ACM that has been approved in a manner not prescribed in this document by performing an abbreviated demonstration period. This will allow the operator to tailor the ACM to their specific use, staff, and facility operation. The Section will provide oversight and concurrence to the process. The owner or operator should contact their (ESS) to discuss APPROVED ALTERNATIVE DAILY COVER MATERIALS Page 3 July 21, 2017 – DIN 723214 Rev 1 the specifications for the testing. At the conclusion of the process, a notice should be placed in the facility operating record with the procedure for using the ACM and a copy of the notice and procedure sent to the Permitting Branch Supervisor of the Section. At the next permit action, the ACM must be incorporated into the facility operation plan and will be listed in the permit. 3. If a facility wishes to use an ACM that has not previously been approved by the Section, the operator must complete a demonstration process. Contact your ESS for assistance. COMPLIANCE Regardless of the method chosen, the Section will ensure compliance with the proper use of the ACM in accordance with the rules, statutes, site specific conditions, and historical precedent. An operator who chooses to implement an ACM as described in choice 1 above will be immediately responsible for compliance and subject to the NCDENR tiered-enforcement process. An operator who chooses option 2 will be subject to enforcement that considers the demonstration nature of the action, with the understanding that changes to the process or ACM will be instituted immediately to correct any issues. If the ACM used is not sufficient to maintain adequate cover at a facility or if at any time it is determined by Field Operations Branch staff to not meet the requirements for cover, soil cover may need to be applied more frequently. ALTERNATIVE DAILY COVER MATERIAL DETAIL SHEET APPROVED ALTERNATIVE DAILY COVER MATERIALS Page 4 July 21, 2017 – DIN 723214 Rev 1 ACM: Automotive Shredder Residuals (ASR) APPROVED LANDFILL USE: MSWLF, C&DLF (lined)* MATERIAL CHARACTERISTICS: Automotive Shredder Residuals are the fines remaining after scrap cars have passed through a shredder and all recoverable materials have been removed. ASR can consist of glass, synthetic fibers, rubber, plastics, automobile liquids residue, metal fines and dirt. It is possible for the ASR to contain substances considered hazardous such as lead, cadmium and PCB. USAGE CRITERIA: 1. ASR can be applied, in lieu of soil, to a full depth of six inches given calm site (weather) conditions. 2. If site (weather) conditions are, or are forecast to be, windy the ASR must either be: a. Mixed with soil at a ratio of 50% soil with 50% ASR prior to application on the working face, or b. Placed on the working face to a minimum depth of 3” and then covered with soil a minimum depth of 3”. 3. During the use of ASR as an ACM, soil cover to a full depth of six inches shall be applied once per week. 4. ASR shall not be used on any exterior/outside slopes and may not be used for intermediate cover. 5. The ASR must be sourced from within the approved service area of the landfill facility. * A CDLF equipped with a liner system may use the ASR as alternate daily cover only. Use of more than six inches equates to disposal. ASR is not a C&D waste. To dispose of ASP in a lined CDLF, contact the Permitting Branch of the Solid Waste Section for further clarification. ALTERNATIVE DAILY COVER MATERIAL DETAIL SHEET APPROVED ALTERNATIVE DAILY COVER MATERIALS Page 5 July 21, 2017 – DIN 723214 Rev 1 ACM: Combustion Residuals (CR)/Ash APPROVED LANDFILL USE: : MSWLF, C&DLF (lined)*, IndLF (lined)* MATERIAL CHARACTERISTICS: Combustion Residuals or Ash are, generally, the residuals remaining from the combustion of coal or the incineration of waste materials. The CR/Ash generally consists of fine particles such as fly-ash as well as larger particles similar to sand, gravel or stone. USAGE CRITERIA: 1. CR/Ash can be applied, in lieu of soil, to a full depth of six inches given calm site (weather) conditions. 2. If site (weather) conditions are, or are forecast to be, windy the CR/Ash must either be: a. Mixed with soil at a ratio of 50% soil with 50% CR/Ash prior to application on the working face if it can become airborne or exhibits dust like properties, or b. Placed on the working face to a minimum depth of 3” and then covered with soil a minimum depth of 3” if it can become airborne or exhibits dust like properties. 3. During the use of CR/Ash as an ACM, soil cover to a full depth of six inches shall be applied once per week, unless otherwise approved by the Section*. 4. CR/Ash may not be used for intermediate cover, it can become airborne or exhibits dust like properties. 5. The CR/Ash must be sourced from within the approved service area of the landfill facility. Warning: Some materials such, as flue gas desulfurization residue, are destined for recycle and cannot be contaminated with soil. Site specific handling practices should be discussed with the Solid Waste Section prior to implementation. * A CDLF or IndLF equipped with a liner system may use the CR as alternate daily cover only. Use of more than six inches equates to disposal. CR is not a C&D waste. To dispose of CR in a lined CDLF, or a non-CCB industrial landfill, contact the Permitting Branch of the Solid Waste Section for further clarification. ALTERNATIVE DAILY COVER MATERIAL DETAIL SHEET APPROVED ALTERNATIVE DAILY COVER MATERIALS Page 6 July 21, 2017 – DIN 723214 Rev 1 ACM: Construction and Demolition Debris (C&D) Fines APPROVED LANDFILL USE: : MSWLF, C&DLF MATERIAL CHARACTERISTICS: Construction and Demolition Debris Fines are, generally, the residuals and fine particles remaining in the bottom of dumpsters, roll-off containers, and trucks used in the transportation or processing of C&D debris. USAGE CRITERIA: 1. C&D Fines can be applied, in lieu of soil, to a full depth of six inches given calm site (weather) conditions. 2. If site (weather) conditions are, or are forecast to be, windy the C&D Fines must either be: a. Mixed with soil at a ratio of 50% soil with 50% C&D Fines prior to application on the working face, or b. Placed on the working face to a minimum depth of 3” and then covered with soil a minimum depth of 3”. 3. During the use of C&D Fines as an ACM, soil cover to a full depth of six inches shall be applied once per week. 4. C&D Fines shall not be used on any exterior/outside slopes and may not be used for intermediate cover. 5. The C&D Fines must be sourced from within the approved service area of the landfill facility. Warning: C&D fines can contain large percentages of drywall dust or gypsum. These materials may produce significant amounts of hydrogen sulfide, an obnoxious smelling compound. If odor problems develop, the use of the fines should be suspended immediately and the offending area covered with soil. ALTERNATIVE DAILY COVER MATERIAL DETAIL SHEET APPROVED ALTERNATIVE DAILY COVER MATERIALS Page 7 July 21, 2017 – DIN 723214 Rev 1 ACM: Petroleum Contaminated Soils (PCS) APPROVED LANDFILL USE: : MSWLF, C&DLF (lined)*, IndLF (lined)* MATERIAL CHATRACTERISTICS: Petroleum Contaminated Soils are, generally, native soils contaminated with some petroleum liquid. Generally, these soils are be sourced from environmental cleanup sites, spill sites or sites associated with above ground or underground storage tank (AST or UST) removal. In the case of ACM usage, petroleum is narrowly defined as the low to medium boiling point petroleum derived fuels such as gasoline, kerosene, diesel, motor oil, mineral spirits and fuel oils #11 through #6. All other petroleum derived liquids such as solvents, acids, tars and asphalts are excluded. In all cases, the concentration of Total Petroleum Hydrocarbons (TPH) in the PCS cannot exceed 3,000 parts per million (PPM) regardless of type or test method. The material may not contain chlorinated solvents or other hazardous materials or exhibit the hazardous characteristic of flammable. USAGE CRITERIA: 1. PCS can be applied, in lieu of soil, to a full depth of six inches. 2. The PCS must be stockpiled within a disposal area and shall be managed and applied in such a way that runoff cannot leave the lined landfill area. 3. The PCS shall be managed in such a way to prevent run-off and fugitive emissions (i.e. use of tarps, berms and/or wetting to prevent blowing). 4. PCS is prohibited from disposal. Therefore, the facility may not accept more PCS than can be used in a 45 day period. The amount of PCS accepted should not exceed 20% of the permitted facility average monthly waste stream. 5. PCS shall not be used on any exterior/outside slopes and may not be used for intermediate cover. 6. The PCS must be sourced from within the approved service area of the landfill facility. 7. PCS can only be used at lined landfill facilities. 8. Records must be maintained in the facility operating record indicating the volume of PCS accepted and applied at the facility on a daily basis. * A CDLF or IndLF equipped with a liner system may use the PCS as alternate daily cover only. Use of more than six inches equates to disposal. PCS is neither a C&D nor an Industrial waste. To dispose of PCS in a lined CDLF, or a non-CCB industrial landfill, contact the Permitting Branch of the Solid Waste Section for further clarification. ALTERNATIVE DAILY COVER MATERIAL DETAIL SHEET APPROVED ALTERNATIVE DAILY COVER MATERIALS Page 8 July 21, 2017 – DIN 723214 Rev 1 ACM: Spray-applied Mortar Coating (SMC) APPROVED LANDFILL USE: : MSWLF, C&DLF, IndLF MATERIAL CHARACTERISTIC: SMC is, generally, a commercially sourced non-flammable, non-toxic product containing proprietary components including mix setting agents, reinforcing materials and cement. Other components, such as latex paint, may also be added to the mixture. All of the components are generally mixed on site with water and/or leachate to produce slurry that is then spray-applied to the working face. USAGE CRITERIA: 1. SMC can be applied, in lieu of soil, given appropriate site (weather) conditions. 2. SMC must be applied in accordance with the manufacturers’ application guidelines. 3. SMC must be applied in two directions to ensure adequate coverage. 4. During the use of SMC as an ACM, soil cover to a full depth of six inches shall be applied once per week unless otherwise approved by the Section. 5. The use of non-hazardous latex or water based paint in the mixture is approved provided that the paint has been collected for recycling. ALTERNATIVE DAILY COVER MATERIAL DETAIL SHEET APPROVED ALTERNATIVE DAILY COVER MATERIALS Page 9 July 21, 2017 – DIN 723214 Rev 1 ACM: Foam Coating (Foam) APPROVED LANDFILL USE: MSWLF, C&DLF, IndLF MATERIAL CHARACTERISTICS: Foam Coating is, generally, a commercially sourced non-flammable, non-toxic, non-hardening water based product. The proprietary liquid concentrate is delivered to the site and diluted with water prior to application with proprietary equipment. USAGE CRITERIA: 1. Foam can be applied, in lieu of soil, given appropriate site (weather) conditions. 2. Foam must be applied in accordance with the manufacturers’ application guidelines. 3. During the use of Foam as an ACM, soil cover to a full depth of six inches shall be applied once per week. 4. Foam shall not be used on any exterior/outside slopes and may not be used for intermediate cover. ALTERNATIVE DAILY COVER MATERIAL DETAIL SHEET APPROVED ALTERNATIVE DAILY COVER MATERIALS Page 10 July 21, 2017 – DIN 723214 Rev 1 ACM: Foundry Sand (Sand) APPROVED LANDFILL USE: MSWLF, C&DLF (lined)*, IndLF (lined)* MATERIAL CHARACTERISTICS: Foundry Sand is, generally, a by-product of the smelting and forging processes for metals fabrication. Metal pieces and particulate may also be found in the sand. Prior to use, a Toxicity Characteristic Leaching Procedure (TCLP) analysis must be performed to ensure no hazardous constituents are found in the sand at the source. The TCLP analysis results must be submitted with the Operation Plan revision. USAGE CRITERIA: 1. Sand can be applied, in lieu of soil, to a full depth of six inches. 2. The Sand must be stockpiled within a disposal area and shall be managed and applied in such a way that runoff cannot leave the lined landfill area. 3. The Sand shall be managed in such a way to prevent run-off and fugitive emissions (i.e. use of tarps, berms and/or wetting to prevent blowing). 4. Sand is prohibited from disposal. Therefore, the facility may not accept more Sand than can be used in a 45 day period. The amount of Sand accepted should not exceed 20% of the permitted facility average monthly waste stream. 5. Sand shall not be used on any exterior/outside slopes and may not be used for intermediate cover. 6. The Sand must be sourced from within the approved service area of the landfill facility. 7. Sand can only be used at lined landfill facilities. 8. Records must be maintained in the facility operating record indicating the volume of Sand accepted and applied at the facility on a daily basis. * A CDLF or IndLF equipped with a liner system may use the sand as alternate daily cover only. Use of more than six inches equates to disposal. Sand is not a C&D waste. To dispose of sand in a lined CDLF, a lined landfill not previously permitted to accept it or a non-CCB industrial landfill, contact the Permitting Branch of the Solid Waste Section for further clarification. ALTERNATIVE DAILY COVER MATERIAL DETAIL SHEET APPROVED ALTERNATIVE DAILY COVER MATERIALS Page 11 July 21, 2017 – DIN 723214 Rev 1 ACM: Soil/Mulch Mixture (S&M) APPROVED LANDFILL USE: MSWLF, C&DLF, IndLF MATERIAL CHARACTERISTICS: Soil/Mulch Mixture is, generally, a mixture of native soils and wood mulch generated from the grinding of yard trash, land clearing debris and pallets constructed of unpainted and untreated natural wood. Additionally, shredded tire chips may be used in addition to, or in lieu of, wood mulch. USAGE CRITERIA: 1. S&M can be applied, in lieu of soil, to a full depth of six inches. 2. S&M can be mixed at a ratio from 80% soil to 20% mulch up to 50% soil to 50% mulch by volume. 3. During the use of S&M as an ACM, soil cover to a full depth of six inches shall be applied once per week. 4. S&M may not be used for intermediate cover. ALTERNATIVE DAILY COVER MATERIAL DETAIL SHEET APPROVED ALTERNATIVE DAILY COVER MATERIALS Page 12 July 21, 2017 – DIN 723214 Rev 1 ACM: Synthetic Tarps (Tarps) APPROVED LANDFILL USE: MSWLF, C&DLF, IndLF MATERIAL CHARACTERISTICS: Synthetic Tarps are, generally, a commercially sourced non-flammable, non-toxic, sheet product constructed of an impermeable synthetic polymer typically reinforced with fibers. Acceptable sheet products include, but are not limited to, geotextiles, polyethylene membranes, plastic film, tarps and composite geotextile/plastic membranes. Tarps may be applied by hand, using landfill equipment and/or an Automatic Tarping Machine (ATM). USAGE CRITERIA: 1. Tarps can be applied, in lieu of soil, given appropriate site (weather) conditions. 2. Tarps must cover the entire working face. Any waste not covered by tarps must be covered by soil. 3. Tarps must be secured in place with the use of soils or other ballast system such as tires or sand bags. 4. During the use of Tarps as an ACM, soil cover to a full depth of six inches shall be applied once per week. 5. Tarps shall not be used on any exterior/outside slopes and may not be used for intermediate cover. ALTERNATIVE DAILY COVER MATERIAL DETAIL SHEET APPROVED ALTERNATIVE DAILY COVER MATERIALS Page 13 July 21, 2017 – DIN 723214 Rev 1 ACM: Processed Glass Fines (GF) APPROVED LANDFILL USE: MSWLF, C&DLF* MATERIAL CHARACTERISTICS: Processed Glass Fines are remnants from glass recycling and are predominately glass material with some porcelain fines. The material has been processed to remove deleterious material and to screen for size. The fines must be passing the ½ inch mesh and contain minimal amounts of contaminants such as bone,food, paper and plastic. No more than 10% by mass or volume of non-conforming materials is acceptable. USAGE CRITERIA: 1. GF can be applied, in lieu of soil, to a full depth of six inches. 2. During the use of GF as an ACM, soil cover to a full depth of six inches shall be applied once per week for a MSWLF and once per month for a CDLF 3. GF shall not be used on any exterior/outside slopes and may not be used for intermediate cover. 4. GF may be used for road base. 5. Materials stored off the landfill footprint must be containerized and covered to prevent run- off and leachate formation. 6. GF is prohibited from disposal in a C&DLF but is allowed at a MSWLF and should be tracked accordingly. To avoid disposal the facility may not accept more GF than can be used in a 45- day period. The amount of GF accepted should not exceed 20% of the permitted facility average monthly waste stream. 7. The landfill shall maintain records of the material use including tons received and tons used, as is required by permit. * A CDLF may use GF as alternate daily cover or road base. Use of more than six inches equates to disposal. GF are not a C&D waste. APPENDIX H DEEDS DRAWINGS LEGEND INDEX TO DRAWINGS ALAMANCE CHURCH ROADFOSTER STORE ROADSMIT H R O A D SPANIS H O A K H I L L R O A D KIME S VI L L E R O A D ALAMAN C E C H U R C H R O A D ALAMANCE COUNTY LINE ROADCOBLE'S SANDROCK INC. SAN K E Y R O A D MOUNT ZI O N R O AD VERNON L A N E BROW N R O A D SWAN NY C O BL E R O A D COBLE'S SANDROCK PROPERTYAUTO BODY SHOPCOBLE'S SANDROCK, INC. ALAMANCE COUNTY, NORTH CAROLINA APPLICATION FOR PERMIT TO CONSTRUCT PHASE 3 OPERATIONS PLAN AUGUST 2019 Revisions NO:DATE:DESCRIPTION: INDEX, NOTES AND LEGEND RH HK DRAWING NAME:6/3/2010 8:47:56 AMDRAWING NUMBER: DATE: ISSUED FOR: DRAWN BY: REVIEWED BY: PROJECT NUMBER: © 2019 LaBella Associates 1604 Ownby Lane Richmond, VA 23220 804-355-4520 labellapc.com Coble's Sandrock Inc. Alamance County, North Carolina 2191087.00 PERMIT RENEWAL 08/27/19 L:\Coble Sandrock\dwg\2019 RENEWAL\Operations Plan\Plot Sheets\a_COVER INDEX AND VICINITY MAP.dwg Layout=Layout1NOT F O R C O N S T R U C TI O N OP-T 570570580590600580580580570610630600610620620630640650640650660600610620630650640610620630640640630650640630620640630640650640650640640640570570610640570580630650640630640650590600FOSTER STORE ROADFOSTER STORE ROAD200' PROPERTYBUFFER (TYP.)50' STREAM BUFFERPRIVATEDWELLINGPRIVATEDWELLINGPRIVATEDWELLINGPRIVATEDWELLING PHASE 1(7.0 AC)PHASE 2B(4.76 AC)PHASE 2A(1.1 AC)WASTE LIMITS500'BUFFERFROMRESIDENCE50'STREAMBUFFER100 YEAR FLOODPLAIN LIMITSPHASE 3A(6.36 AC)PHASE 3B(5.87 AC)SCALE HOUSEABANDONEDRESIDENCE640640650640620610620640660620610 600610SURVEY WITHIN BOUNDARY DATEDMAY 22,2019. SURVEY OUTSIDEBOUNDARY DATED JANUARY 24, 2005569.37P-23P-25MW-10SMW-10DMW-8PZ-19SPZ-19DMW-4MW-2MW-7MW-5P-24MW-11MW-6FACILITY BOUNDARY(154.20 ACRES)50' STREAMBUFFER50' STREAMBUFFERTEMPORARYMETALSTORAGEAREASHINGLESTOCKPILECONCRETECRUSHERCONCRETESTOCKPILEAREATDD S S AR EA APPROXIMATE LIMITSOF CLOSURE (12.0 AC.)0(FEET)GRAPHIC SCALE600300150RevisionsNO:DATE:DESCRIPTION:1 08/27/19PERMIT RENEWAL RTCOP-01OPERATIONS PLAN:EXISTING CONDITIONSRHHKDRAWING NAME:6/3/2010 8:47:56 AM DRAWING NUMBER:DATE:ISSUED FOR:DRAWN BY:REVIEWED BY:PROJECT NUMBER:© 2019 LaBella Associates1604 Ownby LaneRichmond, VA 23220804-355-4520labellapc.comCoble's Sandrock Inc.Alamance County, North Carolina2191087.00PERMIT RENEWAL08/27/2007L:\Coble Sandrock\dwg\2019 RENEWAL\Operations Plan\Plot Sheets\OP-01 - EXISTING CONDITIONS JEI2019.dwG Layout=Layout1 NOT FOR CONSTRUCT ION 570580590610650570640570580 590 620 610 EXISTINGPHASE 2CELL BEXISTINGC&D LANDFILLEXISTINGPHASE 2CELL AACTIVEPHASE 3APROPOSEDPHASE 3B570570580590610570640570580 590 EXISTINGPHASE 2CELL BEXISTINGC&D LANDFILLEXISTINGPHASE 2CELL AACTIVEPHASE 3APROPOSEDPHASE 3BFILLING TO BE COMPLETED BY DECEMBER 31, 2019FUTURE FILLING AREADRAWING NAME:DRAWING NUMBER:DATE:ISSUED FOR:DRAWN BY:REVIEWED BY:PROJECT NUMBER:© 2019 LaBella Associateslabellapc.comRevisionsNO:DATE:DESCRIPTION:OP-02OPERATIONS PLAN:PHASING PLAN2019 THROUGH 20202191087.00PERMIT RENEWAL8/27/199731-F SOUTHERN PINE BLVD.CHARLOTTE, NC 28273PHONE: (704) 817-2037RHHKCoble's Sandrock Inc.Alamance County, North Carolina EXISTINGPHASE 2CELL BEXISTINGPHASE 2CELL AEXISTINGC&D LANDFILLACTIVEPHASE 3APROPOSEDPHASE 3BEXISTINGPHASE 2CELL BEXISTINGPHASE 2CELL AEXISTINGC&D LANDFILLACTIVEPHASE 3APROPOSEDPHASE 3BFILLING BETWEEN 2020 AND 2023FILLING BETWEEN 2023 AND 2026DRAWING NAME:DRAWING NUMBER:DATE:ISSUED FOR:DRAWN BY:REVIEWED BY:PROJECT NUMBER:© 2019 LaBella Associateslabellapc.comRevisionsNO:DATE:DESCRIPTION:OP-03OPERATIONS PLAN:PHASING PLAN2023 THROUGH 20262191087.00PERMIT RENEWAL08/27/199731-F SOUTHERN PINE BLVD.CHARLOTTE, NC 28273PHONE: (704) 817-2037RHHKCoble's Sandrock Inc.Alamance County, North Carolina Prepared For: COBLE’S SANDROCK, INC. 5833 FOSTER STORE ROAD LIBERTY, NORTH CAROLINA 27298 Submitted By: LaBella Associates 2211 West Meadowview Rd. Suite 101 Greensboro, NC 27407 336-323-0092 NC License No. C-0430 CONSTRUCTION QUALITY ASSURANCE PLAN AND SPECIFICATIONS COBLE’S SANDROCK CONSTRUCTION & DEMOLITION DEBRIS LANDFILL PERMIT NO. 01-05 august 2019 Project no. 2191087 IV-Construction Quality Assurance Plan i LaBella Associates, PC C&D LF 5-Year Permit Renewal/LOS August 2019 Coble’s Sandrock, North Carolina TABLE OF CONTENTS 1.0 INTRODUCTION ................................................................................................................................................. 1 1.1 PURPOSE ....................................................................................................................................................... 1 1.2 DEFINITIONS.................................................................................................................................................. 1 1.2.1 Quality Control ....................................................................................................................................... 1 1.2.2 Quality Assurance ................................................................................................................................. 2 1.3 PARTIES ......................................................................................................................................................... 2 1.3.1 OWNER .................................................................................................................................................. 2 1.3.2 ENGINEER ............................................................................................................................................. 2 1.3.3 CQA Consultant ..................................................................................................................................... 3 1.3.4 Soils CQA Laboratory ............................................................................................................................ 3 1.3.5 CONTRACTOR ........................................................................................................................................ 3 1.3.6 Surveyor ................................................................................................................................................. 3 1.4 COMMUNICATIONS AND MEETINGS ............................................................................................................. 4 2.0 EARTH MATERIALS ........................................................................................................................................... 4 2.1 INTRODUCTION ............................................................................................................................................. 4 2.2 SCOPE ............................................................................................................................................................ 4 2.2.1 General .................................................................................................................................................. 4 2.3 EARTH MATERIALS CQA TESTING ................................................................................................................. 5 2.3.1 General .................................................................................................................................................. 5 2.3.2 Construction Quality Evaluation Testing .............................................................................................. 5 2.3.3 Test Pad ................................................................................................................................................. 6 2.4 DOCUMENTATION/CERTIFICATION .............................................................................................................. 6 2.4.1 General .................................................................................................................................................. 6 2.4.2 Construction Monitoring ....................................................................................................................... 7 2.4.3 Certification ........................................................................................................................................... 7 3.0 GEOSYNTHETIC CLAY LINER (GCL) ................................................................................................................. 7 3.1 STORAGE .......................................................................................................................................................... 7 3.2 HANDLING & PLACEMENT ................................................................................................................................... 8 3.3 REPAIRS ........................................................................................................................................................... 8 Table 1 - Soil Testing Methods and Frequencies SPECIFICATIONS 13315 Geosynthetic Clay Liner 13400 Interface Friction and Soil Strength Testing IV - Construction Quality Assurance Plan 1 LaBella Associates, PC C&D LF 5-Year Permit Renewal/LOS August 2019 Coble’s Sandrock, North Carolina 1.0 INTRODUCTION 1.1 PURPOSE This plan addresses the construction quality assurance (CQA) procedures and requirements to be employed during construction of the project. The plan is intended to supplement, but not supersede, the Contract Drawings and Specifications; where a conflict arises, the Contract Documents or approved Contract Drawings and Specifications shall govern. All parties involved in the project should obtain a copy of this plan from the OWNER or ENGINEER. They should also obtain copies of any supplemental CQA documents prepared specifically for the project. The overall goals of the CQA program are to ensure that proper construction techniques and procedures are employed, and to verify that the materials used meet the approved Contract Specifications. Additionally, the program shall identify and define problems that may occur during construction, allowing corrective activities to be implemented in a timely manner. At the completion of the work, the program requires the certifying CQA Consultant(s) to prepare certification reports indicating that the facility has been constructed in accordance with the approved design standards and Contract Specifications. 1.2 DEFINITIONS The following definitions are applicable to this plan: 1.2.1 Quality Control Definition (ASTM D3740): - a planned system of activities, or the use of such a system, whose purpose is to provide a level of quality that meets the needs of users. The objective of quality control is to provide quality that is safe, adequate, dependable, and economical. The overall system involves integrating the quality factors of several related steps including: the proper specification of what is wanted, production to meet the full intent of the specification, inspection to determine whether the resulting material, product, service, etc… is in accordance with the Specifications, and review of usage to determine necessary revisions of Specifications. In practice, Quality Control refers to those procedures, criteria, and tests employed and paid for by the CONTRACTOR(s) to confirm that the work satisfies the CONTRACTOR’s standards, and is in compliance with the Contract Drawings and Specifications. This plan does not address Quality Control procedures, criteria, and/or tests employed by the CONTRACTOR. IV - Construction Quality Assurance Plan 2 LaBella Associates, PC C&D LF 5-Year Permit Renewal/LOS August 2019 Coble’s Sandrock, North Carolina 1.2.2 Quality Assurance Definition (ASTM D3740): - a planned system of activities whose purpose is to provide assurance that the overall quality control program is in fact being effectively implemented. The system involves a continuing evaluation of the adequacy and effectiveness of the overall quality control program with the ability to have corrective measures initiated where necessary. For a specific material, product, service, etc…, this involves verifications, audits, and the evaluation of the quality factors that affect the specification, production, inspection, and use of the product, service, system, or environment. In practice, Quality Assurance refers to those procedures, criteria, and tests required and paid for by the OWNER to confirm that the work performed by the CONTRACTOR(s) is in compliance with the approved Contract Drawings and Specifications and any additional requirements of this plan. 1.2.3 Layer A layer is defined as a compacted stratum composed of several lifts constructed without joints. 1.2.4 Lift A lift is defined as a segment of a layer composed of the maximum thickness of soil permitted to be placed / compacted at one time. 1.3 PARTIES 1.3.1 OWNER The OWNER is the owner of the solid waste permit, and bears the ultimate responsibility for the facility; the OWNER may or may not also be the Operator of the facility. The OWNER shall contract and manage the CONTRACTOR(s), and the CQA consultant(s) and laboratories. For this project, the Coble’s Sandrock, Inc. is the OWNER. 1.3.2 ENGINEER The ENGINEER is the official representative of the OWNER, and is responsible for the preparation of the Contract Drawings, Technical Specifications, and CQA Plan. The IV - Construction Quality Assurance Plan 3 LaBella Associates, PC C&D LF 5-Year Permit Renewal/LOS August 2019 Coble’s Sandrock, North Carolina ENGINEER is also responsible for the interpretation of those documents and for the resolution of technical matters that may arise during construction. For this project, the ENGINEER is Labella Associates, PC. 1.3.3 CQA Consultant The CQA Consultant is independent from the CONTRACTOR(s), Manufacturer, and Installer, that is responsible for observing, testing, and documenting activities related to the Quality Assurance of the earthwork at the site. The CQA Consultant corresponds with the ENGINEER throughout the project and shall report deviations from the Work and items of non-compliance. The CQA Consultant is also responsible for issuing a certification report, sealed by a registered Professional Engineer, licensed in the State in which the project work is conducted. 1.3.4 Soils CQA Laboratory The Soils CQA Laboratory is independent from the CONTRACTOR(s), and Supplier, responsible for performing the required laboratory testing of the project earthwork components. 1.3.5 CONTRACTOR The CONTRACTOR has the primary responsibility for ensuring that the work is performed in accordance with the Contract Drawings and Specifications developed by the ENGINEER and approved by the permitting agency. Other responsibilities include the performance of all construction activities at the site including site facilities, administration, material purchasing, procurement, supervision, Construction Quality Control, installation, and subcontracting. The CONTRACTOR is responsible for the protection of completed work until it is accepted by the OWNER. The CONTRACTOR is also responsible for informing the OWNER and CQA Consultants of the scheduling and occurrence of all construction activities. 1.3.6 Surveyor The Surveyor is responsible for establishing and maintaining lines and grades and temporary benchmarks throughout all relevant areas of the construction site. The Surveyor shall issue a complete set of Record Drawings certified by a Professional Land Surveyor, licensed in the State in which the project work is conducted. IV - Construction Quality Assurance Plan 4 LaBella Associates, PC C&D LF 5-Year Permit Renewal/LOS August 2019 Coble’s Sandrock, North Carolina 1.4 COMMUNICATIONS AND MEETINGS Frequent and open communications are a necessary and essential component of this plan in order to achieve a high degree of coordination, cooperation, and quality in the finished product, and to minimize or avoid delays. It is one goal of this plan to resolve problems at the lowest possible level of authority while maintaining thorough documentation, informing all responsible parties, and obtaining approvals as necessary or appropriate. The documentation requirements of CQA activities are addressed in various sections of this plan. A series of meetings shall be held before, during, and after construction to facilitate planning, progress reports and problem resolution. Minutes are to be kept of all meetings as directed by the ENGINEER. The meetings shall be as follows unless otherwise directed by the OWNER: • Preconstruction Meeting to be held as directed by the ENGINEER and to be attended by the OWNER or Owner’s Representative, CQA Consultant, CONTRACTOR, significant subcontractors and suppliers as designated by the ENGINEER. • Progress Meetings to be held as directed by the ENGINEER and to be attended by the OWNER or Owner’s Representative, CQA Consultant, CONTRACTOR, and representatives of parties actively involved in the construction as designated by the ENGINEER. • Post-Construction Resolution Meeting to be attended by the OWNER or Owner’s Representative, CQA Consultant, CONTRACTOR, significant subcontractors and suppliers as directed by the ENGINEER. 2.0 EARTH MATERIALS 2.1 INTRODUCTION This section of the plan describes Construction Quality Assurance (CQA) procedures for the installation of the earth material components of the project. 2.2 SCOPE 2.2.1 General The work addressed under this section shall facilitate proper construction of all earth material components of the project. All work shall be constructed to the lines, grades, and dimensions indicated on the approved Contract Drawings, in accordance with the Contract Specifications, or as required by the OWNER or OWNER’s Representative. IV - Construction Quality Assurance Plan 5 LaBella Associates, PC C&D LF 5-Year Permit Renewal/LOS August 2019 Coble’s Sandrock, North Carolina 2.3 EARTH MATERIALS CQA TESTING 2.3.1 General Assurance that construction of the earth material components of the project has been performed in accordance with the approved Contract Drawings and Specifications shall be accomplished by use of CQA testing and visual observations. CQA testing shall consist of the following: • Construction Quality Evaluation; and • Special Testing. 2.3.2 Construction Quality Evaluation Testing Construction quality evaluation shall be performed on all components of earthwork construction at the frequencies shown in Table 1. Criteria to be used for determination of acceptability of the work shall be as identified in the Contract Specifications and as detailed in this plan. Construction evaluation testing shall consist of visual observations of the work, in-place density/moisture content verification, investigations into the adequacy of layer bonding and clod destruction, elevation and thickness monitoring, and special testing. Evaluation of the construction work shall include the following: • Observations and documentation of the water content, clod size and other physical properties of the soil during processing, placement and compaction; • Observation and documentation of each compacted lift’s ability to accept and bond to subsequent lifts; • Observation and documentation of the thickness of compacted and loosely placed lifts; • Observation and documentation of the performance of the compaction and heavy hauling equipment on the construction surface (sheepsfoot penetration, pumping, cracking, etc…); and • Observation and documentation of the effectiveness of the procedures used to prevent desiccation and/or freezing of completed lifts and layers. The in-place density test methods shall cause minimal delay to the placement of subsequent lifts; therefore, the nuclear method is preferred unless construction sequencing is such that fill placement is not interrupted by drive cylinder testing. An acceptable test for soils used in structural or “controlled fill” applications (i.e. IV - Construction Quality Assurance Plan 6 LaBella Associates, PC C&D LF 5-Year Permit Renewal/LOS August 2019 Coble’s Sandrock, North Carolina embankments, berms, backfill, soil liner, subgrade, etc.) shall be defined as one, which meets or exceeds the specified minimum density within the specified moisture range. If there is any question as to the classification of the tested soil, and hence the appropriateness of a given moisture-density plot, a “one-point” Standard Proctor compaction test shall be performed for comparison with the available plots. The optimum moisture content and maximum dry density extrapolated from the one-point test result must fall on or near the plotted line of optimums for the classification of a soil to be confirmed. For controlled fill, the reference maximum dry density can be adjusted to accommodate the one-point data. Questions concerning the accuracy of any single test shall be addressed by retesting in that or another representative location. Periodic drive cylinder testing shall be performed to verify the adequacy of the nuclear gauge testing at the frequencies designated in Table 1. If a conflict exists between the drive cylinder testing and the corresponding nuclear density test results, then the drive cylinder results shall control. It is important to bond lifts together to the greatest extent possible. Bonding of lifts is enhanced by: • Ensuring that the surface of the previously compacted lift (or subgrade) is rough before placing the new lift of soil; • Adding moisture to the previously compacted lift (or subgrade); and • Using a fully penetrating footed roller. Evaluation of lift bonding in soil liner and similar applications shall be done by using test pits or auger holes to visually observe the lift interfaces. Alternatively, Shelby tubes pushed through the lift interfaces can be visually inspected for proper lift bonding. 2.3.3 Test Pad A test pad shall be constructed as outlined in the project specifications to develop and demonstrate construction methods that shall be used to produce a compacted soil cap satisfying the requirements of the specifications. 2.4 DOCUMENTATION/CERTIFICATION 2.4.1 General The CQA Consultant shall document the activities associated with the construction of the earth material components of the project. Such documentation shall include, as a IV - Construction Quality Assurance Plan 7 LaBella Associates, PC C&D LF 5-Year Permit Renewal/LOS August 2019 Coble’s Sandrock, North Carolina minimum, daily reports of construction activities and a summary technical report on the construction project. Documentation and reporting shall meet all requirements of the Contract Specifications and this CQA Plan. 2.4.2 Construction Monitoring Construction of earth material components of the project shall be monitored and documented by a CQA Consultant. Soils laboratory testing shall be performed and documented by an independent testing laboratory working under the direction of the CQA Consultant. Written daily documents shall include a record of observations, test data sheets, identification of problems encountered during construction, corrective measures taken, weather conditions, and personnel and equipment on site. 2.4.3 Certification The CQA Consultant(s) shall prepare a certification report addressing each major item identified above for each phase of construction under their areas of responsibility. Certification reports required by regulatory agencies shall also be prepared and submitted as required. Certification shall include assessments of compliance with the Contract Drawings and Specifications and the results of the physical sampling and testing. At a minimum, the certification report shall include: • Copies of all CQA field reports and results of all field testing including drawings depicting the locations of construction testing when appropriate; • Results of all laboratory testing; • Photographs representative of major construction activity; and • Certification statement assessing compliance with the Contract Drawings and Specifications, sealed by a professional engineer, licensed in the State in which the project work is conducted. 3.0 GEOSYNTHETIC CLAY LINER (GCL) 3.1 Storage Geosynthetic clay liner rolls must always be stored in a location where they shall not be exposed to moisture. IV - Construction Quality Assurance Plan 8 LaBella Associates, PC C&D LF 5-Year Permit Renewal/LOS August 2019 Coble’s Sandrock, North Carolina 3.2 Handling & Placement On slopes, geosynthetic clay liners should be placed with overlap oriented parallel to the maximum slope (i.e. down the slope). Adjoining panels of geosynthetic clay liners should be overlapped a minimum of six inches (6”). Geosynthetic clay liners should never be installed in standing water or during rain. Geosynthetic clay liners should always be installed with appropriate side up. Rolls should be pulled tight to smooth out any creases or folding. Precautions should be taken to avoid damage to any underlying geosynthetic materials while placing the geosynthetic clay liners. Cover geosynthetic clay liners with geomembrane or other cover materials after placement to avoid damage from precipitation. 3.3 Repairs Repairs to cuts or tears in installed material should extend a minimum of six inches (6”) beyond the area in need of repair. Repair pieces should be held in place until cover material has been placed. IV - Construction Quality Assurance Plan 9 LaBella Associates, PC C&D LF 5-Year Permit Renewal/LOS August 2019 Coble’s Sandrock, North Carolina TABLE 1 - SOIL TESTING METHODS AND FREQUENCIES Test Method Fill Test Pad Soil Liner/Cap Pre- Construction Construction Pre- Construction Construction Construction Particle Size Analysis of Soils ASTM D422 One/Material One/Material(1) One/Material NA NA Unified Soil Classification System ASTM D2487 One/Material One/Material(1) One/Material NA NA Moisture Content of Soil Lab Method ASTM D2216 One/Material One/Material(1) One/Material NA NA Atterberg Limits ASTM D4318 One/Material One/Material(1) One/Material NA NA Specific Gravity ASTM D854 One/Material One/Material(1) One/Material NA NA Standard Proctor ASTM D698 One/Material One/Material(1) One/Material NA NA In-place Density by Sand Cone ASTM D1556 or Drive Cylinder ASTM D2937 NA 1/Acre NA 1/Lift 1/Lift/Acre In-place Density and Water Content by Nuclear Method ASTM D6398 NA 5/Acre NA 5/Lift 5/Lift/Acre Soil Moisture By Direct Heating ASTM D4959 NA 1/Acre NA 1/Lift 1/Lift/Acre Undisturbed Hydraulic Conductivity ASTM D5084 NA NA NA 1/Lift 1/Lift/Acre Laboratory Compacted Hydraulic Conductivity ASTM D5084 NA NA One/Material NA One/Material NA – Not Applicable (1) required only if material changes END OF CONSTRUCTION QUALITY ASSURANCE PLAN SPECIFICATIONS Coble Sandrock C&D Landfill 13315-1 Labella Associates, PC Technical Specification August 2019 C&D LF 5-Year Permit Renewal/LOS SECTION 13315 GEOSYNTHETIC CLAY LINER (GCL) PART 1 GENERAL 1.01 SCOPE A. This specification covers the technical requirements for the furnishing and installation of the geosynthetic clay liner described herein. All materials used shall meet the requirements of this specification, and all work shall be performed in accordance with the procedures provided herein and the contract drawings. 1.02 DEFINITIONS A. Geosynthetic Clay Liner (GCL): A manufactured hydraulic barrier consisting of clay bonded to a layer or layers of geosynthetics. The GCL may be reinforced or unreinforced as required by site conditions. Slopes steeper than 10H:1V typically require reinforced GCLs. B. Geomembrane: An essentially impermeable geosynthetic composed of one or more geosynthetic sheets. C. Geotextile: Any permeable textile used with foundation, soil, rock, earth, or any other geotechnical engineering-related material as an integral part of a human-made project, structure or system. D. Minimum Average Roll Value: The minimum average value of a particular physical property of a material, for 95 percent of all of the material in the lot. E. Overlap: Where two adjacent GCL panels contact, the distance measuring perpendicular from the overlying edge of one panel to the underlying edge of the other. 1.03 REFERENCES A. American Society for Testing and Materials (ASTM) 1. D5890-95 Standard Test Method for Swell Index of Clay Mineral Component of Geosynthetic Clay Liners 2. D5891-95 Standard Test Method for Fluid Loss of Clay Component of Geosynthetic Clay Liners 3. D5993-99 Standard Test Method for Measuring Mass Per Unit of Geosynthetic Clay Liners 4. D5084-90 (1997) Standard Test method for Measurement of Hydraulic Conductivity of Saturated Porous Materials Using a Flexible Wall Permeameter Coble Sandrock C&D Landfill 13315-2 Labella Associates, PC Technical Specification August 2019 C&D LF 5-Year Permit Renewal/LOS 1.04 SUBMITTALS A. Furnish with the bid the following information: 1. Conceptual description of the proposed plan for placement of the GCL panels over the area of installation. 2. GCL manufacturer’s MQC Plan for documenting compliance to Sections 2.1 and 2.2 of these specifications. B. Furnish at the ENGINEER’s or OWNER’s request the following information: 1. A representative sample of the GCLs. 2. A project reference list for the GCL(s) consisting of the principal details of at least 10 projects totaling at least 10 million square feet in size. C. Upon shipment, the CONTRACTOR shall furnish the GCL manufacturer’s Quality Assurance/Quality Control (QA/QC) certifications to verify that the materials supplied for the project are in accordance with the requirements of this specification. D. The installation CONTRACTOR shall observe the subgrade preparation procedures, inspect the entire subgrade and certify in writing that the subgrade on which the GCL is to be installed is acceptable before commencing GCL placement. This inspection shall be performed in the presence of the CQA Agency. The CONTRACTOR shall repair any defects noted in the subgrade prior to the installation of the GCL. 1.05 QUALIFICATIONS A. GCL Manufacturer shall have produced at least 10 million ft2 (1 million m2) of GCL, with at least 8 million square feet (800,000 m2) installed. B. The GCL Installer shall either have installed at least 1 million ft2 (100,000 m2) of GCL, or must provide to the ENGINEER satisfactory evidence, through similar experience in the installation of other types of geosynthetics, that the GCL will be installed in a competent, professional manner. 1.06 CONSTRUCTION QUALITY ASSURANCE (CQA) A. CQA shall be provided in accordance with the GCL CQA Manual provided by the ENGINEER. Coble Sandrock C&D Landfill 13315-3 Labella Associates, PC Technical Specification August 2019 C&D LF 5-Year Permit Renewal/LOS PART 2 PRODUCTS 2.01 GEOSYNTHETIC CLAY LINER A. The GCLs shall consist of a layer of natural sodium bentonite clay encapsulated between two geotextiles and shall comply with all of the criteria listed in this Section. Prior to using an alternate GCL, furnish independent test results demonstrating that the proposed alternate material meets all requirements of this specification. The CONTRACTOR also must obtain prior approval of the alternative GCL in writing by the ENGINEER. B. Used reinforced GCL (A) on 3H:1V slopes as designated by the ENGINEER. GCL (B) may be unreinforced and used on flat areas of the site not exceeding 10H:1V in steepness, or as approved by the ENGINEER. 2.02 MATERIALS A. Acceptable GCL (A) products are Bentomat DN, as manufactured by CETCO, 1350 West Shure Drive, Arlington Heights, Illinois 60004 USA (847-392-5800); Bentofix NW as manufactured by Fluid Systems, Inc., 1245 Corporate Blvd., Aurora, Illinois 60504 USA (864) 467-1495 or an ENGINEER-approved equal. B. Acceptable GCL (B) products are BentomatST, and Bentomat 200R as manufactured by CETCO, 1350 West Shure Drive, Arlington Heights, Illinois 60004 USA (847-392-5800); Bentofix NS, as manufactured by Fluid Systems, Inc., 1245 Corporate Blvd., Aurora, Illinois 60504 USA (864) 467-1495 or an ENGINEER-approved equal. C. The GCL(s) and their components shall have the properties shown in CETCO’s current Technical Data Sheets TR404bm. D. The minimum acceptable dimensions of full-size GCL panels shall be 125 feet in length and 15 feet in width. E. A 6-inch (150 mm) overlap guideline shall be imprinted on both edges of the upper geotextile component of the GCL as a means for providing quality assurance of the overlap dimension. Lines shall be printed in easily visible, permanent ink. 2.03 PRODUCT QUALITY DOCUMENTATION The GCL manufacturer shall provide the CONTRACTOR or other designated party with manufacturing QA/QC certifications for each shipment of GCL. The certifications shall be signed by a responsible party employed by the GCL manufacturer and shall include: A. Manufacturer’s certification for the bentonite clay used in GCL production demonstrating compliance with the parameters swell index, fluid loss and bentonite mass/area shown in manufacturer's current Technical Data Sheets TR404st and/or TR404dn. Coble Sandrock C&D Landfill 13315-4 Labella Associates, PC Technical Specification August 2019 C&D LF 5-Year Permit Renewal/LOS Property Test Standard Unit Value Swell index ASTM D5890 minimum m1/2g 24 Fluid loss ASTM D5891 minimum ml 18 Bentonite mass/ Area ASTM D5993 minimum lb/ft2 0.75 Hydraulic Conductivity ASTM D5887 maximum cm/s 5 x 10-9 Moisture Content ASTM D5993 maximum % 35 Peel Bond Strength ASTM D6496 minimum lbs/in 3.5 B. GCL lot and roll numbers supplied for the project (with corresponding shipping information). 2.04 LABELING A. Prior to shipment, the GCL manufacturer shall label each roll, identifying: 1. Product identification information (manufacturer’s name and address, brand name, product code). 2. Lot number and roll number. 3. Roll length, width and weight. 2.05 PACKAGING A. The GCL shall be wound around a rigid core whose diameter is sufficient to facilitate handling. The core is not necessarily intended to support the roll for lifting but should be sufficiently strong to prevent collapse during transit. B. All rolls shall be labeled and bagged in packaging that is resistant to photodegradation by ultraviolet (UV) light. 2.06 ACCESSORY BENTONITE A. The granular bentonite or bentonite sealing compound used for seaming, penetration sealing and repairs shall be made from the same natural sodium bentonite as used in the GCL and shall be as recommended by the GCL manufacturer. 2.07 ACCEPTANCE AND CONFORMANCE TESTING A. For every 100,000 square feet of GCL to be placed, the following conformance testing shall be performed in addition to supplying the manufacturers certifications Coble Sandrock C&D Landfill 13315-5 Labella Associates, PC Technical Specification August 2019 C&D LF 5-Year Permit Renewal/LOS 1. Mass per unit Area, ASTM D5993-99 2. Peel Bond Strength, ASTM D6496 B. Prior to every construction event, the following conformance testing shall be performed: 1. Internal Shear, ASTM D6243 2. Interface Friction, ASTM D6243 In addition to the requirements of Specification Section 13400, the internal/interface shear strengths testing shall be performed at a normal stress of 250 psf. The rate of shear displacement may not exceed 0.10 mm/min and the material must be hydrated under a normal load of 150 psf until equilibrium is achieved. PART 3 EXECUTION 3.01 SHIPPING AND HANDLING A. The manufacturer assumes responsibility for initial loading the GCL. Unloading, on-site handling and storage of the GCL are the responsibility of the CONTRACTOR, Installer or other designated party. B. Visually inspect each roll during unloading to identify any packaging that has been damaged. Mark rolls with damaged packaging and set aside for further inspection. Repair packaging prior to placing in storage. C. The party responsible for unloading the GCL shall contact the Manufacturer prior to shipment to ascertain the appropriateness of the proposed unloading methods and equipment. 3.02 STORAGE A. Storage of the GCL rolls shall be the responsibility of the Installer. Select a dedicated storage area at the job site that is away from high traffic areas and is level, dry and well-drained. B. Store rolls in a manner that prevents sliding or rolling from the stacks and may be accomplished by the use of chock blocks or by use of the dunnage shipped between rolls. Stack rolls at a height no higher than that at which the lifting apparatus can be safely handled (typically no higher than four). C. Cover all stored GCL materials and the accessory bentonite with a plastic sheet or tarpaulin until their installation. D. Preserve the integrity and legibility of the labels during storage. Coble Sandrock C&D Landfill 13315-6 Labella Associates, PC Technical Specification August 2019 C&D LF 5-Year Permit Renewal/LOS 3.03 EARTHWORK A. Prepare and compact any earthen surface upon which the GCL is installed shall be in accordance with the project specifications and drawings. Prepare surface to be smooth, firm, unyielding, and free of: 1. Vegetation. 2. Construction Debris. 3. Sticks. 4. Sharp rocks. 5. Void spaces. 6. Ice. 7. Abrupt elevation changes. 8. Standing water. 9. Cracks larger than one-quarter inch (6 mm) in width. 10. Any other foreign matter that could contact the GCL. B. Subgrade surfaces consisting of granular soils or gravel may not be acceptable due to their large void fraction and puncture potential. Subgrade soils shall possess a particle size distribution such that at least 80 percent of the soil is finer than a #60 sieve (0.2 mm), or as approved in writing by the ENGINEER. C. Immediately prior to GCL deployment, prepare the subgrade to fill in all voids or cracks and then smooth-roll to provide the best practicable surface for the GCL. At completion of this activity, no wheel ruts, footprints or other irregularities shall exist in the subgrade. Remove, crush, or push all protrusions extending more than one-half inch (12 mm) from the surface into the surface with a smooth-drum compactor. The rolled surface shall be free of rocks or stones in excess of 0.75 inches prior to placement of the overlying GCL. D. The GCL shall be installed on directly on intermediate cover with a minimum thickness of 12 inches. E. The project CQA inspector shall certify acceptance of the surface before GCL placement. F. It shall be the Installer’s responsibility thereafter to indicate to the ENGINEER any change in the condition of the subgrade that could cause the subgrade to be out of compliance with any of the requirements listed in this Section. G. Excavate an anchor trench for the GCL at the top of sloped areas of the job site, in accordance with the project plans and accepted panel placement plan prepared by the installation CONTRACTOR. The trench shall be excavated and approved by the CQA Inspector prior to GCL placement. No loose soil shall be allowed at the bottom of the trench and no sharp corners or protrusions shall exist anywhere within the trench. Coble Sandrock C&D Landfill 13315-7 Labella Associates, PC Technical Specification August 2019 C&D LF 5-Year Permit Renewal/LOS 3.04 GCL PLACEMENT A. Place reinforced GCL on all sloped areas in accordance with project specifications. B. Deliver GCL rolls to the working are of the site in their original packaging. Immediately prior to deployment, carefully remove the packaging without damaging the GCL. Orient the GCL (i.e., which side faces up) shall be in accordance with the ENGINEER's or Manufacturer's recommendations. Unless otherwise specified, install the GCL such that the manufacturers name printed on one side of the GCL faces up. C. Do not allow equipment which could damage the GCL to travel directly on it. If the installation equipment causes rutting of the subgrade, restore the subgrade to its originally accepted condition before placement continues. D. Minimize the extent to which the GCL is dragged across the subgrade in order to avoid damage to the bottom surface of the GCL. Use a temporary geosynthetic subgrade covering commonly known as a slip sheet or rub sheet may be used to reduce friction damage during placement. E. Place the GCL so that seams are parallel to the direction of the slope. Locate seams at least 3 feet (1 m) from the toe and crest of slopes steeper than 4H:1V. F. All GCL panels shall lie flat on the underlying surface, with no wrinkles or fold, especially at the exposed edges of the panels. Protect the edge of the GCL each day to prevent hydration, G. Deploy only as much GCL as can be covered at the end of the working day with soil, a geomembrane, or a temporary waterproof tarpaulin. Do not leave the GCL uncovered overnight. If the GCL is hydrated when no confining stress is present, it may be necessary to remove and replace the hydrated material. Consult the project ENGINEER, CQA inspector, and GCL supplier for specific guidance if premature hydration occurs. 3.05 ANCHORAGE A. Place the end of the GCL roll in an anchor trench at the top of the slope. Round the front edge of the trench, so as to eliminate any sharp corners. Remove loose soil from the floor of the trench. The GCL shall cover the entire trench floor but not the rear trench wall. 3.06 SEAMING A. Construct the GCL seams by overlapping their adjacent edges. Do not contaminate the overlap zone with loose soil or other debris. Supplemental bentonite is required for all GCL unless specified otherwise by the manufacturer. B. The minimum dimension of the longitudinal overlap shall be 6 inches (150 mm). End-of-roll overlapped seams shall be similarly constructed. The minimum overlap shall measure 24 inches (600 mm). Coble Sandrock C&D Landfill 13315-8 Labella Associates, PC Technical Specification August 2019 C&D LF 5-Year Permit Renewal/LOS C. Construct seams at the ends of the panels such that they are shingled in the direction of the grade to prevent the potential for runoff flow to enter the overlap zone. D. Construct bentonite-enhanced seams between the overlapping adjacent panels described above. Expose the underlying edge of the longitudinal overlap. Apply a continuous bead of granular sodium bentonite along a zone defined by the edge of the underlying panel and the 6-inch (150 mm) line. Apply a similar bead of granular sodium bentonite at the end-of-roll overlap. Apply the bentonite at a minimum application rate of one quarter pound per lineal foot (0.4 kg/m). 3.07 DETAIL WORK A. Seal the GCL around any penetrations and embedded structures in accordance with manufacturer’s recommendations. 3.08 DAMAGE REPAIR A. If the GCL is damaged (torn, punctured, perforated, etc.) during installation, it may be possible to repair it by cutting a patch to fit over the damaged area. Obtain the patch from a new GCL roll and cut to size such that a minimum overlap of 12 inches (300 mm) is achieved around all of the damaged area. Apply dry bentonite or bentonite mastic around the damaged area prior to placement of the patch. It may be desirable to use an adhesive to affix the patch in place so that it is not displaced during cover placement. 3.09 COVER PLACEMENT A. Cover soils shall be free of angular stones or other foreign matter that could damage the GCL. Cover soils should be approved the project ENGINEER with respect to particle size, uniformity and chemical compatibility. Cover soils with high concentrations of calcium (e.g., limestone, dolomite) are not acceptable. B. Place soil cover over the GCL using construction equipment that minimizes stresses on the GCL. Maintain a minimum thickness of 1-foot (300 mm) of cover between the equipment tires/tracks and the GCL at all times during the covering process. This thickness recommendation does not apply to frequently trafficked areas or roadways, for which a minimum thickness of 2 feet (600 mm) is required. C. Place soil cover in a manner that prevents the soil from entering the GCL overlap zones. Push the cover soil up slopes, not down slopes, to minimize tensile forces on the GCL. D. Although direct vehicular contact with the GCL is to be avoided, lightweight, low ground pressure vehicles (such as 4-wheel all-terrain vehicles) may be used to facilitate the installation of any geosynthetic material placed over the GCL. The GCL Supplier or CQA Engineer shall be contacted with specific recommendations on the appropriate procedures in this situation. Coble Sandrock C&D Landfill 13315-9 Labella Associates, PC Technical Specification August 2019 C&D LF 5-Year Permit Renewal/LOS END OF SECTION 13315 Coble Sandrock C&D Landfill LaBella Accosciates Technical Specification 13400-1 August 2019 Craven County, North Carolina IFAT P:\Coble's Sandrock\C&D Landfill\Permitting NC\2019 Permit Renewal\3-Facility Plan 2019\Appx 2 GCL Stability\13400 - Friction Angle Testing.docx SECTION 13400 INTERFACE FRICTION AND SOIL STRENGTH TESTING PART 1 GENERAL 1.01 REQUIREMENTS INCLUDE A. Provide personnel, equipment and materials to test materials proposed for use in constructing the facility to ensure the proposed materials are in accordance with applicable design parameters. The cost of all tests required under this Section shall be the responsibility of the CONTRACTOR. 1.02 REFERENCES A. American Society for Testing and Materials (ASTM ) 1. D5321-92 (1998) Standard Test Method for Determining the Coefficient of Soil and Geosynthetic or Geosynthetic and Geosynthetic Friction By the Direct Shear Method. 2. D3080-98 Standard Test Method Direct Shear Test of Soils Under Consolidated Drained Conditions. 1.03 TESTING LABORARTORY A. The testing laboratory shall be accredited to conduct ASTM D5321 in accordance with the Geosynthetic Accreditation Institute Laboratory Accreditation Program (GAI – LAP) at the time of testing. Verification of the accreditation shall be provided to the ENGINEER prior to testing. PART 2 PRODUCTS 2.01 TEST SAMPLES A. Soil Materials - Soils used for interface friction and/or soil strength testing shall be representative of those that will be used for construction. If a variation is anticipated in soil characteristics that cannot be appropriately modeled as a composite sample, individual samples of each specific soil material shall be obtained. Obtain a minimum of 75 lbs of each soil for each test. B. Geosynthetic Materials - Geosynthetics used for interface friction testing shall be representative of those that will be used for construction. Samples shall be Coble Sandrock C&D Landfill LaBella Accosciates Technical Specification 13400-2 August 2019 Craven County, North Carolina IFAT P:\Coble's Sandrock\C&D Landfill\Permitting NC\2019 Permit Renewal\3-Facility Plan 2019\Appx 2 GCL Stability\13400 - Friction Angle Testing.docx obtained from same manufacturer and preferably off of the same rolls anticipated for use in the construction. Obtain a minimum of four samples of each geosynthetic for each test. Take the longest dimension of the samples in the machine direction of the geosynthetic roll. PART 3 EXECUTION 3.01 SAMPLE PREPARATION A. Samples to be used for interface friction and soil strength testing shall be collected, transported, stored, and prepared in accordance with all applicable ASTM standards. B. Prior to shear testing, all soil samples shall undergo index testing in accordance with the following: TEST NAME TEST METHOD Moisture/density relationship ASTM D698 Atterberg Limits ASTM D4318 Gradation ASTM D422 and D1140 USCS Classification ASTM D2487 C. Prepare samples to appropriately model anticipated field conditions of moisture content and density at which the samples are to be tested. 3.02 LOADING A. Testing for each interface shall include a minimum of three (3) points corresponding to three (3) compressive loadings. The loadings shall be as specified for each in paragraph 3.03.A below. 3.03 REQUIRED TESTING A. The following tests are required for this project. Additional testing may be required by the ENGINEER based on material variability and unanticipated conditions. 1. FINAL COVER SYSTEM (ASTM D5321) a. 40-mil dual textured LLDPE membrane vs. Geocomposite nonwoven geotextile layer under wet conditions. Normal loads: 250 psf, 1000 psf, and 2000 psf. And a shear rate of 0.04 in/min. Coble Sandrock C&D Landfill LaBella Accosciates Technical Specification 13400-3 August 2019 Craven County, North Carolina IFAT P:\Coble's Sandrock\C&D Landfill\Permitting NC\2019 Permit Renewal\3-Facility Plan 2019\Appx 2 GCL Stability\13400 - Friction Angle Testing.docx b. 40-mil dual textured LLDPE membrane vs. Geosynthetic clay liner (GCL). Normal loads: 250 psf, 1000 psf, and 2000 psf. And a shear rate of 0.04 in/min. c. GCL vs. Geocomposite nonwoven geotextile layer under wet conditions. Normal loads: 250 psf, 1000 psf, and 2000 psf. And a shear rate of 0.04 in/min. d. Cover soil vs. Geocomposite nonwoven geotextile with high end of moisture range and proper compaction. Normal loads: 250 psf, 1000 psf, and 2000 psf. And a shear rate of 0.04 in/min. Note: Interface friction testing between soil and geocomposite will be required for each soil type used in the closure construction. 2. LINER SYSTEM (ASTM D5321) a. 60-mil dual textured HDPE membrane vs. clay liner with clay at high end of moisture range and proper compaction. Normal loads: 500 psf, 2500 psf, and 5000 psf. And a shear rate of 0.04 in/min. b. 60-mil dual textured HDPE membrane vs. Geocomposite clay liner (GCL) under wet conditions. Normal loads: 500 psf, 2500 psf, and 5000 psf. And a shear rate of 0.04 in/min. c. GCL vs. clay liner with clay at high end of moisture range and proper compaction. Normal loads: Normal loads: 500 psf, 2500 psf, and 5000 psf. And a shear rate of 0.04 in/min. 3.04 MATERIAL REQUIREMENTS A. The peak interface friction angle shall be greater than 24.5 degrees for each interface of the soils and geosynthetics for the bottom liner components and 26.4 for the cover materials to be considered as having acceptable friction characteristics unless otherwise allowed by the ENGINEER. 3.05 TEST RESULTS A. All test results shall be submitted to the ENGINEER prior to the delivery of the materials to the project. B. Test reports shall conform to all reporting requirements of ASTM D5321, including, but not limited to: data and results for peak and large-displacement friction angles, a plot of the failure envelopes showing friction angles and Coble Sandrock C&D Landfill LaBella Accosciates Technical Specification 13400-4 August 2019 Craven County, North Carolina IFAT P:\Coble's Sandrock\C&D Landfill\Permitting NC\2019 Permit Renewal\3-Facility Plan 2019\Appx 2 GCL Stability\13400 - Friction Angle Testing.docx adhesion values, and notification of any departure from the test procedures of ASTM D5321. C. The ENGINEER shall review the test data for conformance with the specifications. D. The ENGINEER will either accept the test results or require additional testing. The ENGINEER may request up to 5 points per test to define a material property. E. Acceptance by the ENGINEER shall not relieve the CONTRACTOR from the responsibility of providing material and constructing it in such a way that the required frictional characteristics are obtained. END OF SECTION 13400 Prepared For: COBLE’S SANDROCK, INC. 5833 FOSTER STORE ROAD LIBERTY, NORTH CAROLINA 27298 Submitted By: LaBella Associates 2211 West Meadowview Rd. Suite 101 Greensboro, NC 27407 336-323-0092 NC License No. C-0430 CLOSURE & POST-CLOSURE CARE PLAN COBLE’S SANDROCK CONSTRUCTION & DEMOLITION DEBRIS LANDFILL PERMIT NO. 01-05 august 2019 Project no. 2191087 V – Closure & Post-Closure Care Plan Labella Associates, PC C&D LF 5-Year Permit Renewal/LOS 1 August 2019 Coble’s Sandrock, North Carolina Contents CLOSURE & POST-CLOSURE CARE PLAN .................................................................................................................... 2 CLOSURE ....................................................................................................................................................................... 2 1. Description of Cap System: ............................................................................................................................. 2 2. Closure Area ..................................................................................................................................................... 2 3. Waste Inventory ............................................................................................................................................... 3 4. Schedule .......................................................................................................................................................... 3 5. Cost Estimate for Closure................................................................................................................................ 4 6. Closure Certification ........................................................................................................................................ 4 7. Deed Recordation ............................................................................................................................................ 4 POST CLOSURE ......................................................................................................................................................... 5 1. Contact ............................................................................................................................................................. 5 2. Security ............................................................................................................................................................ 5 3. Post-Closure Maintenance .............................................................................................................................. 5 4. Inspection Plan ................................................................................................................................................ 6 5. Post-Closure Land Use .................................................................................................................................... 7 6. Post-Closure Cost Estimate .............................................................................................................................. 7 APPENDICES APPENDIX A GROUNDWATER MONITORING WELL MAINTENANCE RECORD APPENDIX B POST-CLOSURE INSPECTION RECORD APPENDIX C METHANE MONITORNG TEST RECORD V – Closure & Post-Closure Care Plan Labella Associates, PC C&D LF 5-Year Permit Renewal/LOS 2 August 2019 Coble’s Sandrock, North Carolina CLOSURE & POST-CLOSURE CARE PLAN CLOSURE 1. Description of Cap System: The cap system to be used is designed to minimize infiltration and erosion. The cap system will consist of: • A low-permeability infiltration layer of at least 18 inches with a permeability not greater than 1.0 x 10-5 cm/sec; or geosynthetic clay liner (GCL); • An erosion layer that contains a minimum of 12 inches of earthen material that is capable of sustaining native plant growth. Approved Alternate Cover Material (ACM) mulch/soil mixture in accordance Operations Plan Section 4 Cover Materials Requirements. Construction of the cap system will conform to the plans prepared in accordance with Rule .0540 of this Section and the following requirements: (A) post-settlement surface slopes will be a minimum of five percent and a maximum of 33 percent; and (B) a gas venting or collection system will be installed below the low- permeability barrier to minimize pressures exerted on the barrier. The construction of the closure cap will be in accordance with the Volume 2 Application for Permit to Construct Phase 3 and the specifications provided in Appendix IV. The Application to Construct Phase 3 was approved by the SWS on 2/19/2009. Procedures for Cap Installation The construction of the cap will be in accordance with the specifications provided in Appendix IV. 2. Closure Area Phase 3A and east slopes of Phase 1 and 2A/B are active for landfill operations. Portions of 3A have been closed, but not been reported to the SWS and thus their status is considered not closed. Actual landfill closure applies to the Phases 1 and 2A/B piggyback and 3A areas. Phase 3B is under construction permitted for 5.8 acres and after issue of permit to operate (PTO) its area will be added to the total of closure requirement. C&D LF Closure area summary Phase Permitted Closed Open 1 6.5 4.2 2.3 2A 0.9 0.9 0 2B 4.6 3.9 0.7 3A 6.3 0 6.3 1-3A 18.3 9 9.3 V – Closure & Post-Closure Care Plan Labella Associates, PC C&D LF 5-Year Permit Renewal/LOS 3 August 2019 Coble’s Sandrock, North Carolina 3. Waste Inventory As of August 2018 annual facility reporting, the cumulative tonnage received and landfilled since the beginning of operations (1999) was 690,250 tons. At an average density of 1050 pounds/cubic yard, this equates to approximately 1,075,951 cubic yards of consumed airspace. 4. Schedule As of this permit renewal, using the historical average, the remaining capacity calculates one year of life in the permitted Phases 1-3A. For Phase 3B, the projected operating life is approximately in 7 years as noted in the Facility Plan. Thus, closure of the Phases 3A and 3B is not anticipated until 2026, assuming waste disposal in Phase 3 A & B continues at the current historic rate of annual tonnage. Prior to beginning final closure, Coble’s Sandrock must notify the Division that a Notice of Intent to close the facility has been placed in the operating record. Phases 4 through 8 approved for future development require submittals of PTC/PTO applications. The permitted C&DLF gross capacity of Phases 1-8 is 6,935,903 cy. As of August 2018 the estimated consumed air space is 1,075,951 cy. The remaining balance leaves 5,859,952 cy for waste and weekly cover and final cap. Closure activities are proposed to begin within 30 days of final receipt of waste. Construction of the closure cap is to be completed within 180 days following the initiation of closure activities. The total length of the proposed closure period is 210 days following the final receipt of waste. Proposed Closure Milestones and Schedule Milestone Proposed Schedule from the Date of Final Receipt of Waste Testing of borrow sources Within 6 months prior to closure Grading of intermediate cover Within 30 to 60 days Placement of soil cap 30 to 150 days Final inspection of cap by P.E. 150 to 180 days Construction of stormwater controls 90 to 180 days Seeding and mulching 150 to 180 days Preparation of survey plat 180 to 210 days Submittal of closure certification 180 to 210 days V – Closure & Post-Closure Care Plan Labella Associates, PC C&D LF 5-Year Permit Renewal/LOS 4 August 2019 Coble’s Sandrock, North Carolina 5. Cost Estimate for Closure Closure Cost Estimate for 9.3 Acres COMPONENT Qty UNITS UNIT COST ($) TOTAL ($) Mobilization EA $ 5,270 $ 5,270 18" Clay (10E-5 cm/sec) 22,506 CY $ 6 $ 135,036 18" Field & Lab testing AC $ 2,418 $ 22,488 12" Vegetative Soil 15,004 CY $ 4 $ 60,016 Seeding/Revegetation AC $ 1,581 $ 14,703 Gas Vent Installation 1/ac 10 EA $ 5,500 $ 55,000 E&S/Stormwater BMPs EA $ 85,000 $ 85,000 Survey EA $ 1,581 $ 14,703 Subtotal: $ 392,216 Engineering/CQA (~5%) $ 19,611 Contingency (~5%) $ 19,611 TOTAL $ 431,437 6. Closure Certification A professional engineer, registered in the State of North Carolina, will verify that the closure has been completed in accordance with the Closure Plan. The contents of the signed Certification Report will be as described below. Certification Reports: The CQA report will contain the results of all the construction quality assurance and construction quality control testing including documentation of any failed test results, descriptions of procedures used to correct the improperly installed material, and results of all retesting performed. The CQA report will contain as-built drawings noting any deviation from the approved engineering plans and will also contain a comprehensive narrative including, but not limited to, daily reports from the project engineer, a series of color photographs of major project features, and documentation of proceedings of all progress and troubleshooting meetings. The CQA report will be submitted after completion of construction of the cap system in accordance with the requirements of Rule .0543. The CQA report must bear the seal of the project engineer and a certification that construction was completed in accordance with the CQA Plan and acceptable engineering practices. 7. Deed Recordation Following closure, the owner or operator will record a notation on the deed to the landfill facility property at the local county Register of Deeds office, or some other instrument that is normally examined during title search, and notify the Division that the notation has been recorded and a copy has been placed in the operating record. The notation on the deed shall in perpetuity notify any potential purchaser of the property that the land has been used V – Closure & Post-Closure Care Plan Labella Associates, PC C&D LF 5-Year Permit Renewal/LOS 5 August 2019 Coble’s Sandrock, North Carolina as a C&D landfill unit or facility and its use is restricted under the closure plan approved by the Division. POST CLOSURE Post-closure activities must be conducted at the landfill for a period of 30 years following closure of the landfill. However, the length of the period can be increased or decreased in accordance with Division directives. 1. Contact Coble’s Sandrock, Inc. will handle questions and/or problems, which might occur during the post-closure care period. CONTACT PERSON: Mr. Kent Coble OWNER: Mr. Kent Coble ADDRESS: 5833 Foster Store Road Liberty, North Carolina 27298 PHONE NUMBER: (336) 565-4750 FAX: (336) 565-4752 2. Security Control access to the site by the use of barriers and gates at roadway entrances. Maintain these control devices throughout the post-closure care period, and inspected as part of the monthly inspection program. Mark all barriers and gates clearly with signs stating the name and nature of the facility and the person to contact in case of emergency or breach of security. 3. Post-Closure Maintenance Post-closure maintenance and monitoring will be conducted at the landfill for a period of 30 years after final closure. The Division may decrease the length of the post-closure period if the owner or operator demonstrates that the reduced period is sufficient to protect human health and the environment, and the Division approves this demonstration. The period might be increased by the Division if the Division determines that the lengthened period is necessary to protect human health and the environment. Monitoring will include semi-annual sampling of groundwater and surface water, quarterly gas monitoring, and quarterly inspection of the final cover and monitoring and control systems. Maintenance needs identified through the monitoring program must be initiated no later than 60 days after the discovery, and within 24 hours if a danger or eminent threat to human health or the environment is indicated. Minor cap maintenance may be deferred until there is a sufficient amount of work to justify the mobilization of equipment and personnel. V – Closure & Post-Closure Care Plan Labella Associates, PC C&D LF 5-Year Permit Renewal/LOS 6 August 2019 Coble’s Sandrock, North Carolina Add soil to the cap as necessary to correct the effects of settlement and subsidence of the landfill and to prevent run-on and run-off from eroding the final cap. Protect and maintain stormwater control devices, surveyed benchmarks, groundwater monitoring wells, surface water monitoring/sampling gauges and LFG wells. If seeps are discovered, an investigation of why there is a seep and if the cap integrity has been compromised shall be performed. If the clay cap has released leachate the cap will be repaired and recompacted to closure CQA required levels and the vegetative layer will be reestablished. Mow vegetation twice per year. Cost for routine maintenance assumes 10% of the cap area will require reseeding and fertilizing each year. Maintain and repair security fencing, gates, and access roads as necessary. 4. Inspection Plan Routine inspections will be conducted throughout the post-closure care period. These inspections will be carried out quarterly unless problems are detected that indicate that more frequent visits are warranted. Potential impacts to the public and environment will be considered in determining the inspection frequency. Items to be included in the monthly inspection will be as follows: • Access and security control, • Stormwater management, • Erosion and sediment control, • Edge markers of the landfill waste footprint/disposal boundary, • Gas management, • Groundwater and landfill gas monitoring systems, and • Vector control. The quarterly inspections will be carried out by someone properly trained and knowledgeable about landfills, such as the landfill owner, operator or engineering consultant. The results of the inspections will be documented in Post Closure Inspection Form. If inspections indicate that repairs are necessary, repairs will be initiated as soon as practicable. If a leachate seep or outbreak is observed in the routine inspection tasks as noted in Appendix B, a verbal notice to the SWS within 24 hours and within 15 days a written notification with the assessment sampling plan must be submitted to the SWS. The leachate releases assessment/sampling guidance that can be found in the following web link should be appended to the plan: https://edocs.deq.nc/gov/WasteManagement/0/edoc/1319075/MSW%20Leachate_Relea ses_Sampling_Guide.pdf?searchid=22b91c58-be48-4f48-97ecae3766e88565 V – Closure & Post-Closure Care Plan Labella Associates, PC C&D LF 5-Year Permit Renewal/LOS 7 August 2019 Coble’s Sandrock, North Carolina In addition to the routine quarterly inspections, special inspections will be performed and documented after events which may likely cause damage to the integrity of the landfill cover, such as heavy rainfall events. Inspection may also be necessary following written or verbal complaints, vandalism or fires. Following special inspections, any necessary repairs will be initiated as soon as practicable. Maintain records of all inspections in the operating record. 5. Post-Closure Land Use The primary land use for the site after closure of the landfill will be open dormant green space. No raising of animals shall be allowed after final closure per Rule 15A NCAC 13B .0543(f)(3) without written approval of DEQ. 6. Post-Closure Cost Estimate ITEM UNIT QUANTITY UNIT COST ANNUAL COST INSPECTIONS/ RECORD KEEPING per trip 4 500.00$ 2,000.00$ MONITORING Explosive gases (quarterly)per trip 4 400.00$ 1,600.00$ Groundwater/Surfacewater (semi-annually) Sampling per trip 2 3,000.00$ 6,000.00$ Analysis per trip 2 3,000.00$ 6,000.00$ Reporting per trip 2 2,700.00$ 5,400.00$ Subtotal 19,000.00$ ROUTINE MAINTENANCE (third party) Mowing ($35/acre) 2 times a year acre 36.6 1,281.00$ 46,884.60$ Reseeding & Fertilize(5)acre 1.8 1,500.00$ 2,700.00$ Vector and Rodent Control acre 18.3 25.00$ 457.50$ Subtotal 50,042.10$ WELL MAINTENANCE Groundwater Wells lump sum 1 500.00$ 500.00$ Gas Detection Probes lump sum 1 250.00$ 250.00$ Subtotal 750.00$ CAP REPAIR lump sum 1 5,000.00$ 5,000.00$ TOTAL OF ABOVE ITEMS 76,792.10$ ENGINEERING --3%2,303.76$ CONTINGENCY --5%3,839.61$ TOTAL ANNUAL POST-CLOSURE COST (IN 2019 DOLLARS)82,935.47$ TOTAL 30 YEAR POST-CLOSURE COST (IN 2019 DOLLARS)2,488,064.04$ V – Closure & Post-Closure Care Plan Labella Associates, PC C&D LF 5-Year Permit Renewal/LOS 8 August 2019 Coble’s Sandrock, North Carolina Notes: 1. All costs include labor by third party. 2. Water quality monitoring costs are estimated from 2019 budgets. 3. Cost for groundwater wells assumes maintenance of each well every other year. 4. Cost for the gas probes assumes maintenance of each probe every other year. 5. Cost for routine maintenance assumes 1/10 of the cap area will require reseeding and fertilizing each year. 6. Post Closure Care includes all permitted Phases 1, 2, 3A. 7. Future Phases issued PTO will be added to the closure & Post Closure Care Plans. END V – Closure & Post-Closure Care Plan Labella Associates, PC C&D LF 5-Year Permit Renewal/LOS 9 August 2019 Coble’s Sandrock, North Carolina APPENDIX A GROUNDWATER MONITORING WELL MAINTENANCE RECORD FACILITY: WELL #: LOCATION: DATE: INSPECTOR: COMPANY: 1. Is surface water diverted away from the wellhead? 2. Is the concrete pad still intact and free of cracks? 3. Has surface water runoff undercut the concrete pad? 4. Is the outer casing still secure and locked? 5. Is the well identification tag present and is it legible? a. Does the well identification tag provide the following information:  The well identification number?  Drilling contractor name and registration number?  Total depth of well?  Depth to screen?  A warning that the well is not for water supply and that the ground water may contain hazardous materials. 6. Is the grout between the inner and outer well casings all the way to the ground surface? 7. Is the inner casing firmly grouted in place? 8. Are the inner and outer casings upright and unobstructed? 9. Is water collecting in the outer casing? Does a weep hole need to be bored in the outer casing to provide drainage? 10. Is the monitoring well accessible by a four-wheel drive vehicle? 11. Have brush and weeds been trimmed so that the well is easy to locate and access? 12. Does the inner well casing have a vented cap? 13. Is the monitoring well visible and adequately protected from moving equipment? V – Closure & Post-Closure Care Plan Labella Associates, PC C&D LF 5-Year Permit Renewal/LOS 10 August 2019 Coble’s Sandrock, North Carolina APPENDIX B POST-CLOSURE INSPECTION RECORD FACILITY: WELL #: LOCATION: DATE: INSPECTOR: COMPANY: 1. Access and Security Control o Is a notice prohibiting the further disposal of waste materials clearly visible at the entrance to the facility? o Is the site adequately secured by means of gates, chains, berms, fences or other security measures to prevent unauthorized entry? o Are the access roads to and within the site maintained to provide access to the closed disposal area and to all monitoring points? 2. Erosion and Sediment Control o Is the vegetation adequate to stabilize the site and prevent erosion? o Are the erosion control measures adequate to prevent silt from leaving the site and to prevent excessive on-site erosion? o Do the sediment basins require cleaning out, as indicted by the level of sediment buildup? 3. Drainage Control Requirements o Are all areas adequately sloped to promote surface water runoff in a controlled manner? o Are there areas of observed settlement, subsidence, and/or displacement of the closure cap? o Are all drainage channels free of accumulated sediment? 4. Uncontrolled Escape of Leachate or Landfill Gas o Are there any leachate seeps observed? o Are there any signs of uncontrolled releases of landfill gas? 5. Environmental Monitoring Systems o Are all monitoring wells (gas and groundwater) properly maintained? (Note: Complete the Groundwater Monitoring Well Maintenance Record during semiannual sampling events.) 6. Miscellaneous o Are all site benchmarks marked and evident? o Do vector control measures appear adequate? V – Closure & Post-Closure Care Plan Labella Associates, PC C&D LF 5-Year Permit Renewal/LOS 11 August 2019 Coble’s Sandrock, North Carolina APPENDIX C METHANE MONITORING TEST REPORT Facility: Location: Date of Test: Weather Condition: Temperature: Barometric Pressure: Sampling Personnel: Monitoring Point Description/Location Time Methane Concentration (% of LEL) Prepared For: COBLE’S SANDROCK, INC. 5833 FOSTER STORE ROAD LIBERTY, NORTH CAROLINA 27298 Submitted By: LaBella Associates 2211 West Meadowview Rd. Suite 101 Greensboro, NC 27407 336-323-0092 NC License No. C-0430 WATER QUALITY MONITORING PLAN COBLE’S SANDROCK CONSTRUCTION & DEMOLITION DEBRIS LANDFILL PERMIT NO. 01-05 august 2019 Project no. 2191087 VI - Water Quality Monitoring Plan LaBella Associates C&D LF 5-Year Permit Renewal/LOS August 2019 Coble’s Sandrock, North Carolina i TABLE OF CONTENTS 1.0 INTRODUCTION ..................................................................................................................... 1 1.1 Local and Regional Hydrogeology................................................................................................... 1 1.1.1 Site Groundwater Flow Regime ................................................................................... 1 1.1.2 Horizontal Gradient and Velocity Calculations ........................................................... 1 2.0 GROUNDWATER MONITORING PLAN .................................................................................... 2 2.1 Introduction and Purpose ................................................................................................................ 2 2.2 Groundwater Monitoring Network ................................................................................................... 3 2.2.1 Background and Compliance Monitoring Wells .......................................................... 3 2.2.2 Installation and Maintenance of Groundwater Monitoring Network .......................... 3 2.3 Groundwater Monitoring .................................................................................................................. 4 2.3.1 Establishment of Baseline Data .................................................................................. 4 2.3.2 Groundwater Sampling Methodology .......................................................................... 4 2.3.3 Sample Analysis Requirements .................................................................................... 8 3.0 COMPARISONS TO THE NC 2L AND GWPS ............................................................................ 9 4.0 STATISTICAL ANALYSES ........................................................................................................ 10 4.1 Treatment of Censored Data ...................................................................................................... 10 4.2 Assumption of Normality ............................................................................................................ 10 4.3 Parametric Upper Tolerance Limit ............................................................................................. 10 4.4 Aitchison’s Adjusted Parametric Upper Prediction Limit ................................................................ 10 4.5 Non-parametric Upper Tolerance Limit ..................................................................................... 11 4.6 Poisson Upper Prediction Limit .................................................................................................. 11 5.0 Surface Water Monitoring ...................................................................................................... 11 6.0 Ability to Effectively Monitor Releases from Proposed C&D Areas ....................................... 11 6.1 Point of Compliance 12 7.0 REFERENCES 12 VI - Water Quality Monitoring Plan LaBella Associates C&D LF 5-Year Permit Renewal/LOS August 2019 Coble’s Sandrock, North Carolina ii TABLES Table 1 October 2018 Estimated Hydraulic Gradients Table 2 Summary of Well Construction FIGURE Figure 1 Site Location Map DRAWINGS Drawing 1 October 2018 Groundwater Contour Map Drawing 2 Coble's Sandrock Site Layout Map APPENDICES Appendix 1 Boring Log and Well Construction Diagram Appendix 2 Forms Appendix 3 NCSWR Appendix I and II List of Constituents VI - Water Quality Monitoring Plan LaBella Associates C&D LF 5-Year Permit Renewal/LOS August 2019 Coble’s Sandrock Landfill, Permit 01-05 1 1.0 INTRODUCTION In accordance with the NC Solid Waste Management Rules (NCSWMR) § .0538, Coble’s Sandrock is submitting this Water Quality Monitoring Plan (WQMP) as part of our five year permit renewal for the Coble’s Sandrock Construction and Demolition Debris (C&D) Landfill in Alamance County, North Carolina (Permit # 01-05) (the Site). The purpose of this WQMP is to serve as a guidance document for collecting and analyzing groundwater and surface water samples The facility consists of approximately 154 acres in Alamance County, one half mile east of Kimesville, North Carolina and approximately eight miles south of Burlington, North Carolina. The 154 acres includes the currently permitted 39.6 acres plus an adjacent expansion area of 114.4 acres. The existing C&D facility has been in operation since 1998. The site location is shown on Figure 1. Also included on Figure 1 are property boundaries, surrounding topography, and locations of the existing Phases. 1.1 Local and Regional Hydrogeology The Site is located within the Carolina Slate Belt in the central Piedmont physiographic and geological province. Geologic unit designations and descriptions used in this report are defined in The Central Piedmont (Butler and Secor, 1991). The Carolina Slate Belt is made up of metamorphosed sediments, volcanics, and intrusive igneous rocks. The Site is underlain by a felsic intrusive complex. The map legend describes the complex as white to gray, fine- to coarse-grained, massive to foliated, metamorphosed bodies of assemblages of intimately associated felsic intrusive rock types. The rock types vary from granite, granodiorite, quartz diorite, to quartz monzonite. Narrow mafic dikes are common within the felsic intrusive units. This region is also characterized by regional- and small-scale Mesozoic diabase dikes. Most of the dikes are near-vertical in dip and trend north-south to northwest- southeast and are characterized by plagioclase, augite and olivine (Ragland, 1991). 1.1.1 Site Groundwater Flow Regime The surficial aquifer beneath the site occurs within saprolite, partially weathered rock (PWR), and bedrock. Generally, the saprolite and PWR units are relatively thin (5 to 40 feet thick). The saprolite and PWR are expected to behave as a relatively isotropic, porous medium, whereas groundwater flow in the bedrock is primarily through fractures; however, the bedrock is highly fractured and well connected to the overlying units so, taken together, they are expected to behave as a single aquifer. The groundwater potentiometric surface, based on water level readings taken on October 9, 2018, is shown on Drawing 1. Groundwater flow directions conform to the potentiometric surface, with flow perpendicular to the contours. 1.1.2 Horizontal Gradient and Velocity Calculations Horizontal hydraulic gradients for the proposed C&D disposal areas were calculated using two groundwater flow line segments indicated on the groundwater surface contour map (Drawing 1). Average linear groundwater flow velocities were calculated using the following modified Darcy equation: VI - Water Quality Monitoring Plan LaBella Associates C&D LF 5-Year Permit Renewal/LOS August 2019 Coble’s Sandrock Landfill, Permit 01-05 2 V = Ki/n where: V = average linear velocity (feet per day), K = hydraulic conductivity (ft/day), i = horizontal hydraulic gradient, and n = effective porosity. An effective porosity of n = 0.21 (21%) was assumed based on average effective porosities for saprolite and PWR determined by laboratory analysis of soil samples. The average gradients (i) were determined for each flow path shown on Drawing 1. The geometric mean of the hydraulic conductivities of all slug test conducted on the Site (K = 1.97 x 10-1 ft/day) was used for groundwater flow calculations for the site. The above equation makes the simplifying assumptions of a homogeneous, isotropic aquifer in a porous medium. Groundwater flow velocities were calculated using saprolite and PWR data because the site’s uppermost aquifer is primarily in those hydrogeologic units. An average linear groundwater flow velocity was calculated across areas where bedrock is the surficial aquifer because rock cores have shown that bedrock is highly fractured to the point that groundwater flow is expected to behave relatively similar to the unconsolidated hydrogeologic units. Also, aquifer tests conducted on bedrock wells and piezometers showed similar range of values for hydraulic conductivity. Groundwater flow velocities within the fractured bedrock aquifer are likely to be variable. Data and calculations for the horizontal gradients are presented in Table 1. The calculated horizontal gradients from two flow line segments across the site range from 0.027 to 0.055. Calculated linear groundwater velocities ranged from approximately 135 to 276.36 feet/year. 2.0 GROUNDWATER MONITORING PLAN 2.1 Introduction and Purpose This WQMP shall replace any previous groundwater monitoring plans that may have been submitted for Coble’s Sandrock C&D Landfill. This WQMP will serve as a guidance document for collecting and analyzing groundwater and surface water samples, managing the associated analytical results, and monitoring for potential releases to the uppermost aquifer from the Coble’s Sandrock C&D Landfill. The plan complies with NCSWMR § .0540, which specifies the requirements for groundwater and surface water monitoring at C&D landfills. The plan also addresses the specific issues addressed in the Solid Waste Section’s January 1995 policy memorandum (Re: Sampling and Analysis Requirements, Construction and Demolition Landfills and Closed Sanitary Landfills) and the May 29, 2018 policy memorandum (1,4-Dioxane Analysis, Solid Waste Section Limits, and Laboratory Analytical Methods). VI - Water Quality Monitoring Plan LaBella Associates C&D LF 5-Year Permit Renewal/LOS August 2019 Coble’s Sandrock Landfill, Permit 01-05 3 2.2 Groundwater Monitoring Network The groundwater monitoring network is designed to monitor for potential releases to the uppermost aquifer at the Site. A summary of well construction specifications, well status, and the role of each well in the proposed monitoring plan is provided in Table 2. 2.2.1 Background and Compliance Monitoring Wells The table below lists the monitoring wells associated with the Site monitoring program and their classification within the Groundwater Monitoring Network. At the present there are 11 groundwater monitoring wells associated with the Site monitoring program. Monitoring well MW-6 is used as an upgradient/background well. Monitoring wells MW-2, MW-4, MW-7, MW-8, MW-10, MW-11R and P-19S are monitored as compliance wells. Monitoring wells MW-5, MW-10D and P-19D are used to obtain groundwater levels. Monitoring well MW-11R is a replacement well for monitoring well MW-11, which was installed northwest of the Phase 3B disposal area but had been reported dry since its installation. The MW-11R boring log and well construction diagram is included as Appendix 1. Monitoring well MW-11R became part of the monitoring program as a compliance well. The approximate locations of the monitoring wells are presented in Drawing 2. All wells are sampled semiannually. Monitoring Well Date Installed Classification Monitoring Program Total Depths from TOC (feet) Lithology of Screened Interval MW-2 03/28/97 Compliance Well Detection 22.0 Saprolite/PWR MW-4 04/01/97 Compliance Well Detection 21.3 Saprolite/PWR MW-5 01/18/02 Observation Water Level Only 15.0 Saprolite/PWR MW-6 (P-3) 08/05/97 Background Well Detection 41.0 Bedrock MW-7 12/19/02 Compliance Well Detection 13.5 Saprolite/PWR MW-8 03/21/05 Compliance Well Detection 20.0 Saprolite/PWR MW-10S 03/22/05 Compliance Well Detection 21.5 Bedrock MW-10D 03/25/05 Observation Water Level Only 64.0 Bedrock MW-11 12/22/17 Compliance Well Detection 24.0 Abandoned/ Decomision MW-11R .06/17/19 Compliance Well Detection 34.0 Bedrock P-19S 01/31/02 Compliance Well Detection 10.0 Saprolite P-19D 01/31/02 Observation Water Level Only 60.0 Bedrock Note: TOC = Top of Casing 2.2.2 Installation and Maintenance of Groundwater Monitoring Network The existing monitoring wells will be used and maintained in accordance with design specifications throughout the life of the monitoring program. The specifications are outlined VI - Water Quality Monitoring Plan LaBella Associates C&D LF 5-Year Permit Renewal/LOS August 2019 Coble’s Sandrock Landfill, Permit 01-05 4 in 15A NCAC Subchapter 2C, Section .0100. Routine well maintenance will include inspection and correction/repair of, as necessary, identification labels, concrete apron condition, locking caps and locks, and access to the wells. Coble Sandrock will re-evaluate the monitoring network, and provide recommendations to the Division of Waste Management (DWM) for modifying, rehabilitating, abandoning, or installing replacement or additional monitoring wells, as appropriate. 2.3 Groundwater Monitoring Groundwater samples from the facility will be collected and analyzed for the constituents listed in Appendix I of 40 CFR Part 258, plus 1.4-Dioxine, mercury, chloride, manganese, sulfate, iron, alkalinity, Tetrahydrofuran (THF), and total dissolved solids. In addition, field analyses for pH, temperature, dissolved oxygen (DO), Oxidation-Reduction Potential (ORP), and specific conductance will be performed for each sample. The laboratory analytical results and field parameters will be submitted to the Solid Waste Section at least semiannually. Any exceedances of the 15A NCAC 2L (NC 2L) groundwater standards will be identified in the semiannual submittals. 2.3.1 Establishment of Baseline Data A minimum of one groundwater sample will be collected from any new compliance wells prior to the start of disposal operations in their respective areas at the Coble Sandrock’s C&D landfill facility. These data will be evaluated statistically to determine baseline concentrations for each well. 2.3.2 Groundwater Sampling Methodology Groundwater samples will be collected in accordance with Solid Waste Management Rules 15A NCAC 13B .1632 and the Solid Waste Section: Guidelines for Groundwater, Soil, and Surface Water Sampling (NCDEQ SWSL, 2008, 2) and are incorporated by reference. Details of well purging, sample withdrawal, and decontamination methods, as well as chain- of-custody procedures are outlined below. 2.3.2.1 Static Water Levels The distance from the top of the well casing to the water surface and to the bottom of the well will be measured using an electronic water level meter. Static water elevations and the total well depth will be measured to the nearest 0.01 of a foot in each well prior to the sampling of each well. Other measuring methods could be used only if depth to water could be measured to the nearest 0.01 of a foot (e.g. wetted-tape method). Reference elevations of the proposed wells have been obtained from a North Carolina registered land surveyor. 2.3.2.2 Purging and Sampling Methodology- Low-Yield Well A low-yield well (one that is incapable of yielding three well volumes within a reasonable time) will be purged so that water is removed from the bottom of the screened interval. Low- yield wells will be evacuated to dryness once. Minimum Purge Sampling could also be used as an alternate sampling method. The minimum purge approach requires the removal of the smallest possible purge volume prior to sampling, generally limited to three volumes of the sampling system. As soon as the well recharges or within 24 hours, the first sample will be field tested for pH, temperature, dissolved oxygen (DO), Oxidation-Reduction Potential (ORP), and specific conductance. Samples will then be collected and containerized in the VI - Water Quality Monitoring Plan LaBella Associates C&D LF 5-Year Permit Renewal/LOS August 2019 Coble’s Sandrock Landfill, Permit 01-05 5 following order unless field conditions justify other sampling regimens (NCDEQ SWSL, 2008). 1. Volatile Organics and Volatile Inorganics 2. Extractable Organics, Petroleum Hydrocarbons, Aggregate Organics and Oil and Grease 3. Total Metals 4. Inorganic Nonmetallics, Physical and Aggregate Properties, and Biologicals 5. Microbiological (i.e., total organic then total metals). 2.3.2.3 Purging and Sampling Methodology- High-Yield Well A high-yield well (one that is capable of yielding more than three well volumes during continuous purging) will be purged so that water is drawn down from the uppermost part of the water column to ensure that fresh water from the formation will move upward in the screen. At no time will a well be evacuated to dryness if the recharge rate causes the formation water to vigorously cascade down the sides of the screen, which could cause an accelerated loss of volatiles. A minimum of three well volumes will be evacuated from high-yield wells prior to sampling. A well volume is defined as the water contained within the well casing and pore spaces of the surrounding filter pack. The well volume will be calculated using the following formulas: Vc = (dc2/4) x3.14 x hw x 7.48 gallons/cubic foot Vc (gallons) = 0.163 x hw where: Vc = volume in the well casing dc = casing diameter in feet (dc = 0.167 for a 2-inch well) hw = height of the water column (i.e., well depth minus depth to water) Each well will be purged and sampled with a disposable bailer. The bailer will be lowered gently into the well to minimize the possibility of causing degassing of the water. If sampled with a pump, flow rates will be regulated to minimize turbidity and degassing of the water or if suitable, Low-Stress (Low-Flow) methodology may be used (USEPA, 2017). All equipment used for sampling will be handled in such a manner to ensure that the equipment remains decontaminated prior to use. In between wells and following completion of the field sampling, the electronic depth meter will be decontaminated following the manufacturer recommended procedure. Clean disposable gloves will be worn by sampling personnel. To reduce the potential of cross-contamination, the upgradient/background well will be sampled first, followed by the downgradient wells. The order of sampling of the downgradient wells will be evaluated each sampling event to provide a sequence going from less contaminated to more contaminated based on the previous sampling event, if applicable. VI - Water Quality Monitoring Plan LaBella Associates C&D LF 5-Year Permit Renewal/LOS August 2019 Coble’s Sandrock Landfill, Permit 01-05 6 During well purging and before sampling, monitor indicator field parameters (turbidity, temperature, specific conductance, pH, ORP, DO) readings will be collected. Field parameters will be collected after each well volume or at the recommended interval as described in the Low-Stress (Low-Flow) methodology. The direct reading equipment used at each well will be calibrated according to the manufacturer's specifications prior to each sampling event. Calibration records shall be completed after each calibration. Groundwater samples will be collected and containerized in the order of the volatilization sensitivity (i.e., volatile organic compounds {VOCs} first, followed by the metals). 2.3.2.3 Sample Collection, Bottling, and Transportation Pre-preserved sample containers will be supplied by the laboratory. The VOC vials will be filled in such a manner that no headspace remains after filling. Immediately upon collection, all samples will be placed in coolers on ice where they will be stored prior to/and during transit to the laboratory. In between wells and following completion of the field sampling, the electronic depth meter will be decontaminated using the following procedure. 1) Phosphate-free soap and distilled water wash; 2) Distilled water rinse; 3) Air dry. Pre-preserved sample containers are properly prepared by the analytical laboratory scheduled to perform the analysis. No cleaning or preparation of sampling bottles by field personnel should be performed. The VOC vials will be filled in such a manner that no headspace remains after filling. Immediately upon collection, all samples will be placed in coolers on ice where they will be stored prior to and during transit to the laboratory. Samples collected will be properly containerized, packed into pre-cooled coolers, and either hand-delivered or shipped via overnight courier to the laboratory for analysis. The chain-of custody program will allow for tracing of possession and handling of samples from the time of field collection through laboratory analysis. The chain-of-custody program will include sample labels and seals, field logs, chain-of-custody records, commercial carrier’s package bill, and laboratory logs. Labels sufficiently durable to remain legible when wet will contain the following information: • Job and sample identification number; • Monitoring well number or other location; • Date and time of collection; • Name of collector; • Parameter to be analyzed; and • Preservative, if applicable. The shipping container will be sealed to ensure that the samples have not been disturbed during transport to the laboratory. The tape is labeled with instructions to notify the shipper if the seal is broken prior to receipt at the laboratory. If the sample cannot be analyzed VI - Water Quality Monitoring Plan LaBella Associates C&D LF 5-Year Permit Renewal/LOS August 2019 Coble’s Sandrock Landfill, Permit 01-05 7 because of damage or disturbance, whenever possible, the damaged sample will be replaced during the same compliance period. The field log will contain sheets documenting the following information: • Identification of the well; • Well depth; • Static water level depth; • Presence of immiscible layers, odors or other indications of potential contamination; • Well yield-high or low; • Purge volume (given in gallons or number of bailers); • Time well was purged; • Date and time of collection; • Well sampling sequence; • Types of sampling containers used and sample identification numbers; • Preservative used; • Field analysis data and methods; • Field observations on sampling event; • Name of collector(s); • Internal temperature of shipping container at the time of sample placement; and • Climatic conditions including air temperatures. A sample field log sheet for groundwater is provided in Appendix 2. The chain-of-custody record is required to establish the documentation necessary to trace sample possession from time of collection to time of receipt at destination. A chain-of- custody record will accompany each individual shipment. The record will contain the following information: • Sample destination and transporter; • Sample identification numbers; • Signature of collector; • Date and time of collection; • Sample type; • Identification of well; • Number of sample containers in shipping container; VI - Water Quality Monitoring Plan LaBella Associates C&D LF 5-Year Permit Renewal/LOS August 2019 Coble’s Sandrock Landfill, Permit 01-05 8 • Parameters requested for analysis; • Signature of person(s) involved in the chain of possession; • Inclusive dates of possession; and • Internal temperature of shipping container upon opening in laboratory (noted by the laboratory). A copy of the completed chain-of-custody sheet will accompany the shipment and will be returned to the shipper with the analytical results. The chain of custody record will also be used as the analysis request sheet. A sample of a completed chain-of-custody form is included in Appendix 2. 2.3.2.4 Field and Trip Blanks A field/equipment blank will be collected and analyzed during each sampling event to verify that the sample collection and handling processes have not affected the integrity of the field samples. The field/equipment blank will be prepared in the field from lab pure water (Type II reagent grade water) supplied by the laboratory. One field/equipment blank will be prepared for each sampling event. The field/equipment blank will be generated by exposing the lab pure water to the sampling environment and sampling equipment/media in the same manner as actual field samples being collected. The lab will provide appropriate sample containers for generation of the field/equipment blank(s). The field/equipment blank will be subjected to the same analysis(es) as the groundwater samples. As with all other samples, the time(s) of the field/equipment blank collection will be recorded so that the sampling sequence is documented. The field/equipment blank monitors for contamination from the sampling equipment/media, or from cross-contamination that might occur between samples and sample containers as they are opened and exposed to the sampling environment. Whenever groundwater samples are being collected for volatiles analysis, a trip blank will be generated by the laboratory prior to shipment of sampling containers and coolers to the field. The same lab pure water as above shall be used. The trip blank shall be transported with the empty sampling containers to the field, but will not be opened at any time prior to analysis at the laboratory. The trip blank will accompany the groundwater samples in the cooler(s) back to the laboratory and will be analyzed by the same volatile methods as the associated field samples. The trip blank monitors for potential cross-contamination that might occur between samples or that may be a result of the shipping environment. Detectable levels of contaminants found in the field/equipment blanks or trip blanks will not be used to correct the groundwater data, but will be noted accordingly. Contaminants present in trip blanks or field/equipment blanks at concentrations within an order of magnitude of those observed in the corresponding groundwater samples may be cause for resampling. 2.3.3 Sample Analysis Requirements 2.3.3.1 Analytical Requirements Analysis of groundwater and surface water samples from the facility will be conducted by a laboratory certified by the NCDEQ. Analyses will be performed in accordance with U.S. EPA VI - Water Quality Monitoring Plan LaBella Associates C&D LF 5-Year Permit Renewal/LOS August 2019 Coble’s Sandrock Landfill, Permit 01-05 9 SW 846 methods. Both groundwater and surface water samples will be analyzed for the constituents listed in Appendix I of 40 CFR Part 258, plus 1.4-Dioxine, mercury, chloride, manganese, sulfate, iron, alkalinity, THF, and total dissolved solids. Appendix 3 includes a table of all NCSWMR Appendix I and Appendix II constituents of the Title 40 of the Code of Federal Regulations (CFR) Part 258 (40 CFR 258, Appendix II), which was incorporated by reference (15A NCAC 13B .0830) to the NCSWMR (NCSWMR Appendix II) constituents with their respective analytical methods, CAS numbers, 15A NCAC 2L (NC 2L) groundwater standards, and groundwater protection standards (GWPS). All limits and standards are current as of the submittal date of the WQMP. 2.3.3.2 Reporting and Record Keeping The laboratory analytical results will be submitted to the Solid Waste Section at least semiannually. The following measurements, analytical data, calculations, and other relevant groundwater monitoring records will be kept throughout the active life of the facility and the post-closure care period: • Records of all groundwater quality data; • Associated sample collection field logs and measurements, such as static water level measured in compliance wells at the time of sample collection; and • Notices and reports of NC 2L exceedances, reporting or data error, missing data, etc. 2.3.4 Well Abandonment An activities monitoring well within the monitoring network will be properly abandoned following the procedures for permanent abandonment described in 15A NCAC 2C Rule .0113(d). Prior to abandonment, approval must be received from the NCDEQ SWS and will also be certified by a licensed geologist. 3.0 COMPARISONS TO THE NC 2L AND GWPS Groundwater analytical results will be compared to the NC 2L Standards established by 15A NCAC 2L.0202. For constituents without NC 2L Standards, the groundwater samples shall be compared to the GWPS established by the SWS. Unless otherwise established by NCDEQ, the standards for all constituents shall be equal to their respective NC 2L or GWPS (see Appendix 3), unless the NC 2L or GWPS is below the method detection limit, in which case the standard shall be equal to the method detection limit. If a statistically-determined background concentration for a constituent is greater than the applicable NC 2L or GWPS, the background may be considered the standard for comparison with NCDEQ approval. The initial comparison will be performed using a value-to-value procedure. If an analyte is detected above the NC 2L or GWPS in a given sampling event, confidence limits may be calculated based on the most recent four sampling events, and if the lower confidence limit is not above the NC 2L or GWPS, the detection shall not be considered a statistically significant level compared to the NC 2L or GWPS. If an analyte is detected below the NC 2L or GWPS, even if it is a quantifiable concentration, compliance action will not be required. If a suspect NC 2L or GWPS exceedance is noted during the value-to-value VI - Water Quality Monitoring Plan LaBella Associates C&D LF 5-Year Permit Renewal/LOS August 2019 Coble’s Sandrock Landfill, Permit 01-05 10 comparison, a confirmation sample may be collected. The results from a confirmation sample will be compared to the NC 2L or GWPS in a value-to-value comparison, or the value may be statistically compared to background. 4.0 STATISTICAL ANALYSES If statistical analysis is performed to stablish background values for any constituents, the background data are to be evaluated through the use of Parametric Prediction Limits, Parametric Tolerance Intervals, Non-Parametric Prediction Limits, or Poisson Prediction Limits as appropriate. Tests for normality, outliers, Aitchison’s adjustment, tolerance intervals, or prediction limits are to be included as appropriate based on the background data. This is done in accordance with the procedure summarized in the USEPA Unified Guidance document (USEPA, 2009). The statistical test by which downgradient data are compared to facility background data is based upon the nature of the data and the number of data values that are less than the laboratory limit of detection. All statistical tests are evaluated at the 0.05 level of significance, 95% confidence level, and are conducted as one-tailed tests. These methods and the criteria for their use are discussed below. 4.1 Treatment of Censored Data Generally, background data are censored as follows. When less than or equal to 15% of the background data values are less than the applicable reporting limit (NCDEQ SWSL), any data reported less than the NCDEQ SWSL will be treated as one-half the NCDEQ SWSL or the Reporting Limit as appropriate. 4.2 Assumption of Normality Prior to conducting statistical tests that are based on the assumption of normally distributed data, normality of the background data is evaluated using the Shapiro-Wilk statistic (W). Normality is assessed at the 95% confidence level. In the event that the raw data fail to follow a normal distribution, the data are transformed using a base-10 logarithm. The transformed data are then tested for normality using the Shapiro-Wilk statistic. In the event that the log-transformed data also fail to follow a normal distribution, a non-parametric approach is applied. 4.3 Parametric Upper Tolerance Limit In some cases the background data consist of a minimum of eight independent data values and less than or equal to 15% of the background data values are less than the RL for a given analyte. The downgradient values are then compared to the parametric upper tolerance limit in accordance with the procedure summarized in the USEPA guidance documents, Statistical Analysis of Groundwater Monitoring Data at RCRA Facilities – Unified Guidance (EPA, 2009). 4.4 Aitchison’s Adjusted Parametric Upper Prediction Limit In those cases where the background data consist of a minimum of eight independent data values and more than 15%, but less than or equal to 50%, of the background data values are less than the RL for a given analyte, the mean and standard deviation are adjusted. This VI - Water Quality Monitoring Plan LaBella Associates C&D LF 5-Year Permit Renewal/LOS August 2019 Coble’s Sandrock Landfill, Permit 01-05 11 is done in accordance with the procedure summarized in the USEPA Unified Guidance document (USEPA, 2009). After the adjustments are made, the downgradient values are compared to the Aitchison’s adjusted parametric upper prediction limit in accordance with the procedures summarized in the USEPA Unified Guidance document (USEPA, 2009). 4.5 Non-parametric Upper Tolerance Limit In those cases where more than 50%, but less than or equal to 90%, of the background data values are less than the RL for a given analyte or the background data fail to follow a normal or log-normal distribution, downgradient values are compared to the non-parametric upper tolerance limit. This procedure is done in accordance with the procedures summarized in the USEPA Unified Guidance documents (USEPA, 2009). 4.6 Poisson Upper Prediction Limit In those cases where more than 90% of the background data values are less than the RL for a given analyte, the downgradient values are compared to the Poisson upper prediction limit. These comparisons are made in accordance with the procedure summarized in the USEPA guidance document (USEPA, 1992). 5.0 SURFACE WATER MONITORING Two surface water monitoring points are proposed for the facility, as shown on Drawing 2. Surface water point SW-1 is located to monitor water quality in Poppaw Creek, shortly after it enters the site. The sample location is at the property line near the northwest edge of the site. Surface water monitoring point SW-2 will serve as a downstream monitoring point. Samples from this point will be collected at a location approximately 350 feet northeast of the Phase 3 disposal area near the northeastern corner of the site and where a small tributary that flows adjacent to the eastern property boundary discharges into Poppaw Creek. Samples will only be taken from flowing water and not stagnant pools. The results will be compared to the 15A NCAC 2B (NC 2B) Surface Water Standards in a value-to-value comparison. Appendix 3 includes NC 2B Surface Water Standards for NC Appendix I and II constituents. The surface water will be sampled for the constituents, as outlined above, that are required for C&D landfills and the locations will be monitored at least semiannually during the life of the facility. The results of the analysis of the surface water data will be submitted to the Solid Waste Section semiannually with the groundwater data. 6.0 ABILITY TO EFFECTIVELY MONITOR RELEASES FROM PROPOSED C&D AREAS No known or potential sources of significant contamination have been identified within 2000 feet of the property boundary. There are no known conditions, physical or hydrogeologic, which will interfere with the effective monitoring of the proposed C&D cells. The proposed WQMP, when implemented, will be effective in providing early detection of any release of hazardous constituents to the uppermost aquifer, so as to be protective of public health and the environment. VI - Water Quality Monitoring Plan LaBella Associates C&D LF 5-Year Permit Renewal/LOS August 2019 Coble’s Sandrock Landfill, Permit 01-05 12 6.1 Point of Compliance The relevant point of compliance is defined in accordance with NCSWMR § .0544.b.1.B as a point no more than 250 feet from the edge of waste and no less than 50 feet within the facility boundary, whichever is closer to the waste. Along most of the western edge of the proposed and existing waste cells, and along a small area on the northern side of the cells, the relevant point of compliance is defined by the points 50 feet from the facility boundary. For the rest of the area around the proposed and existing waste cells, the relevant point of compliance is defined by the points 250 feet from the edge of waste. Therefore, the proposed groundwater monitoring network, which is designed to detect a release of solid waste constituents to the uppermost aquifer at the facility, meets the monitoring requirements specified under Rules .1630 through .1637 of the North Carolina Solid Waste Management Rules, Title 15A, Subchapter 13B. All proposed and existing monitoring wells are located within the relevant points of compliance. 7.0 REFERENCES Bouwer, H. and Rice, R.C., June 1976, A slug test for determining hydraulic conductivity of unconfined aquifers with completely or partially penetrating wells; Water Resources Research, American Geophysical Union, pp. 423-428. Bouwer, H., 1989, The Bouwer and Rice slug test-an update; Ground Water, vol. 27, No. 3, May-June, pp. 304 - 309. Brown, Philip M., Chief Geologist, 1985, Geologic Map of North Carolina, The North Carolina Geologic Survey, scale 1:500,000. Butler, J. Robert, and Secor, Jr., Donald T., 1991, The Central Piedmont, in Horton, J. W., Jr., and Zullo, V. A., eds., The Geology of the Carolinas: The University of Tennessee Press, p. 59- 78. Carpenter III, P. Albert, Geologic Map of Region G, North Carolina: A Guide for NC Mineral Resource Development and Land Use Planning: NC Mineral Resources Sec., Regional Geology Series 2, 76 p. Halford, Keith J., and Kuniansky, Eve L., 1998. Bower and Rice Slug Test Analysis, in: Documentation of Spreadsheets for the Analysis of Aquifer Test Data: USGS OFR 02-197. Harned, D.A., and Daniel, Charles C., III, 1989, The Transition Zone Between Bedrock and Saprolite: Conduit For Contamination?, in Ground Water in the Piedmont; Edited by Daniel, C., White, R., and Stone, P., Proceedings published by Clemson University, pp. 336-348. Heath, R.C., 1989, The Piedmont Ground-Water System, in Ground Water in the Piedmont; Edited by Daniel, C.,White, R., and Stone, P., Proceedings published by Clemson University, pp. 1-13. JEI, June 2, 2001. Request for Modification to Construction and Demolition Debris Landfill Permit No. 01-05. JEI, June 18, 2002. Construction Plan Application – Coble’s Sandrock C&D Landfill, Permit No. 01-05. VI - Water Quality Monitoring Plan LaBella Associates C&D LF 5-Year Permit Renewal/LOS August 2019 Coble’s Sandrock Landfill, Permit 01-05 13 North Carolina Dept. Environment, Health, and Natural Resources (NCDEHNR), 1995a, Sampling and Analysis Requirements, Construction and Demolition Landfills and Closed Sanitary Landfills, N.C. Solid Waste Section. NCDEHNR, 1995b, Draft N.C. Water Quality Monitoring Guidance Document for Solid Waste Facilities. Parker, B.L. et al. May 1994. 1) A conceptual understanding of contaminant migration in fractured media, 2) Calculations and real data: fractured media. In: Dissolved Organic Contaminants in Groundwater Short Course [unpublished short course notes and published references contained therein]. Waterloo Centre for Groundwater Research, Univ. Of Waterloo, Ontario. RCRA Ground Water Monitoring Technical Enforcement Guidance Document (TEGD), 1986. Ragland, Paul C., 1991, Mesozoic Igneous Rocks, in Horton, J. W., Jr., and Zullo, V. A., eds., The Geology of the Carolinas: The University of Tennessee Press, p. 171-190. Trigon Engineering Consultants, Inc., 1997, Construction and Demolition Landfill Permit Application Siting Requirements Prepared for Coble’s Sandrock, Inc. Trigon Engineering Consultants, Inc., 1998, Construction and Demolition Landfill Permit Application and Construction Plan Application Prepared for Coble’s Sandrock, Inc. TABLES TABLE 1: October 2018 Estimated Hydraulic Gradients Average Linear Velocities Coble’s Sandrock C and D Debris Landfill Permit No. 01-05 LaBella Associate PC HORIZONTAL HYDRAULIC EFFECTIVE LINEAR GRADIENT CONDUCTIVITY POROSITY VELOCITY i K n V (ft/ft)(ft/day)(ft/yr) 620 570 600 570 Average:0.041 Average:14.04 HORIZONTAL HYDRAULIC EFFECTIVE LINEAR GRADIENT CONDUCTIVITY POROSITY VELOCITY i K n V (ft/ft)(ft/day)(ft/yr) 620 570 600 570 Average:0.041 Average:206.04 HORIZONTAL HYDRAULIC EFFECTIVE LINEAR GRADIENT CONDUCTIVITY POROSITY VELOCITY i K n V (ft/ft)(ft/day)(ft/yr) 620 570 600 570 Average:0.041 Average:1.59 NOTES: 1. The hydraulic conductivity (K) is taken from the geometric mean of K estimated from slug tests performed during hydrogeologic investigations. 2. The effective porosity (n) is taken from the average n determined by laboratory analysis of soil samples. 3. The horizontal hydraulic gradient (i) is the change in groundwater elevation divided by the segment length. 4. The groundwater flow velocity (V) is calculated based on the modified Darcy equation: V=Ki/n. GROUNDWATER ELEVATION (feet) 1.97E-01 1.97E-01 0.21 18.83 0.21 9.25 GRADIENT CALCULATION SEGMENT i 1 FLOW DIRECTION FLOW LINE LENGTH (feet) i 2 i 1 1853 NE 1853 0.027NE NE 0.055546 GRADIENT CALCULATION SEGMENT FLOW LINE LENGTH (feet) FLOW DIRECTION GROUNDWATER ELEVATION (feet) i 2 546 NE 0.055 6.89E-01 0.027 0.027 6.89E-01 0.05 135.72 0.05 FLOW DIRECTION GROUNDWATER ELEVATION (feet) i 1 1853 NE AVERAGE PWR/SAPROLITE MAXIMUM BEDROCK 2.14 MINIMUM BEDROCK 5.33E-03 0.05 1.05 i 2 546 NE 0.055 5.33E-03 276.36 0.05 GRADIENT CALCULATION SEGMENT FLOW LINE LENGTH (feet) TABLE 2: Well Construction Details Coble’s Sandrock C and D Debris Landfill Permit No. 01-05 LaBella Associates July 2019 CASING GROUND DIAM.SURFACE DEPTH ELEV.DEPTH ELEV. inches BGS MSL BGS MSL from to from to MW-2 03/28/97 2 580.31 582.31 22.00 558.31 >22.0 <558.31 5.00 20.00 575.31 560.31 Saprolite/PWR Compliance Well MW-4 04/01/97 2 580.64 582.64 21.30 559.34 >21.3 <559.34 6.30 21.30 574.34 559.34 Saprolite/PWR Compliance Well MW-5 01/18/02 2 575.21 577.41 15.00 560.21 15.00 560.21 5.00 15.00 570.21 560.21 Saprolite/PWR Water Level Only MW-6 (P-3)08/05/97 2 652.76 652.56 41.00 611.76 16.00 636.76 21.00 41.00 631.76 611.76 Bedrock Background Well MW-7 12/19/02 2 581.08 583.33 13.50 567.58 13.50 567.58 3.50 13.50 577.58 567.58 Saprolite/PWR Compliance Well MW-8 03/21/05 2 571.50 574.26 20.00 551.50 >20.0 <551.50 5.00 20.00 566.50 551.50 Saprolite/PWR Compliance Well MW-10S 03/22/05 2 589.62 592.46 21.50 568.12 5.00 584.62 6.50 21.50 583.12 568.12 Bedrock Compliance Well MW-10D 03/25/05 2 589.90 592.76 64.00 525.90 5.00 584.90 54.00 64.00 535.90 525.90 Bedrock Water Level Only MW-11R 03/25/19 2 TBD TBD 40.00 TBD 18.00 TBD 14.00 34.00 TBD TBD Bedrock Compliance Well P-19S 01/31/02 2 569.18 572.18 10.00 559.18 >10.0 <559.18 4.00 10.00 565.18 559.18 Saprolite Compliance Well P-19D 01/31/02 2 569.65 571.85 60.00 509.65 10.00 559.65 45.00 60.00 524.65 509.65 Bedrock Water Level Only NOTES: All elevations are referenced to mean sea level (MSL.); depths are referenced to below ground surface (BGS) or top of casing (TOC). TOC = Top of Casing BGS = Below Ground Surface PWR = Partialy Weathered Bedrock TBD = To be determined COMMENTS LITHOLOGY OF SCREENED INTERVALELEV. MSL TOP OF BEDROCK DEPTH BGS TOTAL DEPTH DRILLED SCREENED INTERVAL WELL ID DATE INSTALLED TOC WELL ELEVATIONS feet above MSL Figure DRAWINGS 570 5 7 0 580 590 600580580 580 570 630 620 610630620600610620620630640650640 6 5 0 6 6 0 600 610 6206306 5 0 64 0 610 620 630640640 630 650 640 630620640 6306 4 0 6 5 0 6 4 0 650640 64 0 64 0 5 7 0 5705 8 059 0600610620630640650590600610620630640 610640570 570 580 63 0 650 6406 3 0 6406 5 0 610590 600 6 2 0 610600 590 580 5 7 0 570 580 5 9 0 6 0 0 6 2 0610620610 6506 4 0 6306206106306 1 0 FOSTER STORE ROAD FOSTER STORE R O A D PRIVATE DWELLING LEGEND FACILITY BOUNDARY/ PROPERTY LINE EXISTING 2' CONTOURS EXISTING 10' CONTOURS GROUNDWATER CONTOURS PERMITTED WASTE LIMITS STREAM PIEZOMETER LOCATION GROUNDWATER MONITORING WELL LOCATION AND IDENTIFICATION P-32 iSEGMENT USED FOR GRADIENT CALCULATIONS GROUNDWATER FLOW DIRECTION WITH GRADIENT CALCULATION SEGMENT i 61 0 P-34 PHASE 1A PHASE 2A 569.37 FACILITY BOUNDARY (154.20 ACRES) P-23 P-25 568.29 SW-1 PHASE 2B MW-10S MW-10D MW-8 PRIVATE DWELLING PZ-19S PZ-19D 584.68 MW-4 MW-2 MW-7 MW-5 P-24 568.43 574.28 SW-2 PHASE 3B 568.07 MW-6 623.91 EXISTING LCID DISPOSAL AREA i 567.88 NM 584.18 EXISTING LCID DISPOSAL AREA PERMITTED WASTE LIMITS NOTES 1.TOPOGRAPHIC CONTOUR INTERVAL = 2 FEET. 2.GROUNDWATER SURFACE CONTOUR INTERVAL = 10 FEET. 3.STATIC WATER LEVELS MEASURED ON 10/9/18. 4.GROUNDWATER CONTOURS BASED ON LINEAR INTERPOLATION BETWEEN AND EXTRAPOLATION FROM KNOWN DATA, TOPOGRAPHIC CONTOURS, AND KNOWN FIELD CONDITIONS. THEREFORE, GROUNDWATER CONTOURS MAY NOT REFLECT ACTUAL GROUNDWATER CONDITIONS. 5.DIGITAL MAPPING OBTAINED FROM CLIENT. 6.GROUNDWATER CONTOUR LINES SHOW THE WATER TABLE SHAPE AND ELEVATION. THESE CONTOURS ARE INFERRED LINES FOLLOWING THE GROUNDWATER SURFACE AT A CONSTANT ELEVATION ABOVE SEA LEVEL. THE GROUNDWATER FLOW DIRECTION IS GENERALLY PERPENDICULAR TO THE GROUNDWATER SURFACE CONTOURS, SIMILAR TO THE RELATIONSHIP BETWEEN SURFACE WATER FLOW AND TOPOGRAPHIC CONTOURS. FLOW PATH LENGTH i i = 1,853 LF = 546 LF PHASE 3A PROJECT NO.APPROVEDCHECKEDDRAWNDESIGNEDDATEDATEREVISIONS AND RECORD OF ISSUEBYNO APPCK SCALE All rights reserved.Ó Joyce Engineering, Inc.DRAWING NO.L:\Coble Sandrock\dwg\GW Event Maps\Coble's Sandrock GW Map OCTOBER 2018.dwg Layout=Layout12211 W. MEADOWVIEW ROADGREENSBORO, NC 27407PHONE: (336) 323-0092NC CORP LIC: C-07822180191COBLE'S SANDROCK, INC.KIMESVILLE, NORTH CAROLINA20181 AS NOTEDGROUNDWATER SURFACE CONTOUR MAPOCTOBER 9, 2018SSRWHMVMV12/13/180 (FEET) GRAPHIC SCALE 400200100 MW-11R 570 5 7 0 580 590 600580580 580 570 630 620 610630620600610620620630640650640 6 5 0 6 6 0 600 610 6206306 5 0 64 0 610 620 630640640 630 650 640 630620640 6306 4 0 6 5 0 6 4 0 650640 64 0 64 0 5 7 0 5705 8 059 0600610620630640650590600610620630640 610640570 570 580 63 0 650 6406 3 0 6406 5 0 610590 600 6 2 0 610600 590 580 5 7 0 570 580 5 9 0 6 0 0 6 2 0610620610 6506 4 0 6306206106306 1 0 FOSTER STORE ROAD FOSTER STORE R O A D PRIVATE DWELLING LEGEND FACILITY BOUNDARY/ PROPERTY LINE EXISTING 2' CONTOURS EXISTING 10' CONTOURS GROUNDWATER CONTOURS PERMITTED WASTE LIMITS STREAM PIEZOMETER LOCATION GROUNDWATER MONITORING WELL LOCATION AND IDENTIFICATION P-32 iSEGMENT USED FOR GRADIENT CALCULATIONS GROUNDWATER FLOW DIRECTION WITH GRADIENT CALCULATION SEGMENT i 61 0 P-34 PHASE 1A PHASE 2A 569.37 FACILITY BOUNDARY (154.20 ACRES) P-23 P-25 568.29 SW-1 PHASE 2B MW-10S MW-10D MW-8 PRIVATE DWELLING PZ-19S PZ-19D 584.68 MW-4 MW-2 MW-7 MW-5 P-24 568.43 574.28 SW-2 PHASE 3B 568.07 MW-6 623.91 EXISTING LCID DISPOSAL AREA i 567.88 NM 584.18 EXISTING LCID DISPOSAL AREA PERMITTED WASTE LIMITS NOTES 1.TOPOGRAPHIC CONTOUR INTERVAL = 2 FEET. 2.GROUNDWATER SURFACE CONTOUR INTERVAL = 10 FEET. 3.STATIC WATER LEVELS MEASURED ON 10/9/18. 4.GROUNDWATER CONTOURS BASED ON LINEAR INTERPOLATION BETWEEN AND EXTRAPOLATION FROM KNOWN DATA, TOPOGRAPHIC CONTOURS, AND KNOWN FIELD CONDITIONS. THEREFORE, GROUNDWATER CONTOURS MAY NOT REFLECT ACTUAL GROUNDWATER CONDITIONS. 5.DIGITAL MAPPING OBTAINED FROM CLIENT. 6.GROUNDWATER CONTOUR LINES SHOW THE WATER TABLE SHAPE AND ELEVATION. THESE CONTOURS ARE INFERRED LINES FOLLOWING THE GROUNDWATER SURFACE AT A CONSTANT ELEVATION ABOVE SEA LEVEL. THE GROUNDWATER FLOW DIRECTION IS GENERALLY PERPENDICULAR TO THE GROUNDWATER SURFACE CONTOURS, SIMILAR TO THE RELATIONSHIP BETWEEN SURFACE WATER FLOW AND TOPOGRAPHIC CONTOURS. FLOW PATH LENGTH i i = 1,853 LF = 546 LF PHASE 3A PROJECT NO.APPROVEDCHECKEDDRAWNDESIGNEDDATEDATEREVISIONS AND RECORD OF ISSUEBYNO APPCK SCALE All rights reserved.Ó Joyce Engineering, Inc.DRAWING NO.L:\Coble Sandrock\dwg\GW Event Maps\Coble's Sandrock GW Map OCTOBER 2018.dwg Layout=Layout12211 W. MEADOWVIEW ROADGREENSBORO, NC 27407PHONE: (336) 323-0092NC CORP LIC: C-07822180191COBLE'S SANDROCK, INC.KIMESVILLE, NORTH CAROLINA20182 AS NOTEDSITE LAYOUT MAPSSRWHMVMV12/13/180 (FEET) GRAPHIC SCALE 400200100 MW-11RProposed Monitoring Well MW-11R Appendices Appendix 1 Boring Log and Well Construction Diagram 12-28-2017 \\JEI-GSO-FS1\Projects\Coble's Sandrock\C&D Landfill\Groundwater\Boring logs\Coble's MW-11 .borCoble's Sandrock C&D Landfill Project No. 218192, Phase 02 LOG OF BORING MW-11 (Page 1 of 1)Depth in Feet 0 5 10 15 20 25 30 Surf. Elev. 614 614 609 604 599 594 589 Blow Count% Rec.USCSDESCRIPTION Well ConstructionInformation Date Started : 12/21/17 Date Completed : 12/22/17 Hole Diameter : 6.5-inch Drilling Method : Sonic Drilling Sampling Method : Drilling Company : SADEACCO Northing Coord. : Easting Coord. : Survey By : Logged By : G.V. Burbach SC SAP PWR RK Tan SANDY CLAY, no structure, some orgianic material. Saprolite (based on drillilng resistance). No material recovered. Partialy weathered rock (based on drilling resistance). No material recovered. Competent rock. 4 ft of core recovered. 20.0-22.7' = dk. green-gray gneiss, med.-fine grained, near horizondal foliation.20.7-24.0' = white granite, med. grained. Boring terminated at 24' TOC Elev.: Well: MW-11 Grout(0'-10') Bentonite Seal(10'-12') Sand Pack(12'-24') Riser Pipe(-3'-14') Screen(14'-24') WELL CONSTRUCTION Date Compl. : 12/22/2017Hole Diameter(s) : 6.5-inchDrilling Method(s) : SonicCompany Rep. : Drilling Method(s) : Company Rep. : Will Keyes, Cert. # 4220-A WELL CASING Material : PVCDiameter : 2-inchJoints : Threaded, flush-coupledApprox. Csg. Stickup : 3-feet WELL SCREEN Material : Slotted PVCDiameter : 2-inchJoints : Thredded, flush-coupledOpening : 0.01 inch GRAVEL PACK Type : #2 Sand WELL SCREEN SEAL Type : Bentonite ANNULUS SEAL Type : Cement/Grout PROTECTIVE CSG. Type : 4"x4" steel, aboveground WELL PAD Type : 3'x3'x6" concrete 1. Drilling performed with a track-mounted Geoprobe 8140LS Sonic Rig with a 6.5-inch bit. 2. Rig's head overheating @ 24' due to very hard rock - could not drill deeper. 3. Installed screen, riser, & sandpack 12/21/17 and let it sit overnight to see how much water there was. 4. Water Level 8:00 am 12/22/17 = 17.80 ' BGS. 5. Completed well on 12/22/17. Appendix 2 Forms DATE: GROUND WATER SAMPLING LOG Project Name: Project No. /Task No.: Well ID: Sampler(s): Well Location: Well Diameter: inches Initial Depth to Water (DTW): feet Depth to Bottom (DTB): feet Water Column Thickness (WCT): feet [DTB-DTW] Calculation for One Well Volume (WV): For 2” Well: WCT X 0.163 = gallons For 4” Well: WCT X 0.653 = gallons For THREE Well Volumes: WV X 3 = gallons Actual Amount Purged/Bailed: gallons Purged with: Sampled with: Depth to Water before Sampling: feet Gallons Time Temp(°C) pH Cond. (µS/cm) Turb.(ntu) Initials Before Sampling Comments (weather conditions, odor, color, silt, etc.): Signature: ________________________________ Date: ________________________ QA/QC Sign Off: __________________________ Date: ________________________ Page 68 of 68 Appendix 3 NCSWR Appendix I and II List of Constituents Prepared For: COBLE’S SANDROCK, INC. 5833 FOSTER STORE ROAD LIBERTY, NORTH CAROLINA 27298 Submitted By: LaBella Associates 2211 West Meadowview Rd. Suite 101 Greensboro, NC 27407 336-323-0092 NC License No. C-0430 LANDFILL GAS MONITORING PLAN COBLE’S SANDROCK CONSTRUCTION & DEMOLITION DEBRIS LANDFILL PERMIT NO. 01-05 August 2019 Project no. 2191087 VII – Landfill Gas Monitoring Plan LaBella Associates, PC C&D LF 5-Year Permit Renewal/LOS May 2019 Coble’s Sandrock, North Carolina 1 Table of Contents 1.0 INTRODUCTION ................................................................................................................................. 2 1.1 Regulatory Limits ......................................................................................................................... 2 1.2 Gas Control Plan and Landfill Gas Monitoring Network ............................................................ 2 1.3 Structure and Ambient Sampling ................................................................................................ 3 2.0 Landfill Gas Sampling Procedures .................................................................................................. 4 2.1 Gas Detection Probes .................................................................................................................. 4 2.2 Detection Equipment ................................................................................................................... 4 2.3 Response to Detected Combustible Gases ................................................................................ 4 2.4 Landfill Gas Sampling Protocol ................................................................................................... 5 2.5 Sampling and Analysis Procedure ............................................................................................... 6 2.6 LFG Monitoring Frequency .......................................................................................................... 7 2.7 Safety Precautions ....................................................................................................................... 7 3.0 Record Keeping and Reporting ....................................................................................................... 8 3.1 Landfill Gas Monitoring Data Form ............................................................................................. 8 3.2 Sampling Reports ......................................................................................................................... 8 3.3 Permanent Record Keeping ........................................................................................................ 8 4.0 CONTINGENCY PLAN ........................................................................................................................ 8 5.0 Certification of North Carolina Professional Geologist or Engineer ........................................... 10 6.0 CERTIFICATION OF REGISTERED LAND SURVEYOR .................................................................... 10 7.0 REFERENCES ................................................................................................................................. 10 Drawing Drawing 1 - Landfill Gas Monitoring Plan Appendices Appendix A - Solid Waste Section – Landfill Gas Monitoring Guidance Appendix B - Landfill Gas Monitoring Data Form Appendix C - SWS November 2014 Memo on Document Submittal Appendix D - Certification of Professional Geologist or Engineer VII – Landfill Gas Monitoring Plan LaBella Associates, PC C&D LF 5-Year Permit Renewal/LOS May 2019 Coble’s Sandrock, North Carolina 2 1.0 INTRODUCTION The North Carolina Department of Environment Quality will be referenced as NCDEQ in this document, including references to its actions or documents predating the change. The NCDEQ Division of Waste Management (DWM) and Solid Waste Section (SWS) retain the same designations. This Landfill Gas Monitoring Plan (LGMP) will serve as a guidance document for collecting and monitoring of landfill gas at Coble’s Sandrock Construction and Demolition Landfill (C&DLF). Landfill gas will be monitored quarterly to ensure that methane and hydrogen sulfide concentrations do not exceed the regulatory limit at the facility boundary or in facility structures. The LGMP was prepared in accordance with the NCDEQ-DWM-SWS Gas Monitoring Guidance document, including updated monitoring requirements for C&D landfills, to assure performance standards are met and to protect public health and the environment. 1.1 Regulatory Limits The unlined C&D landfill at the Coble’s Sandrock is governed by the North Carolina Solid Waste Management Regulations (NCSWMR) 15A NCAC 13B.0500 rules. Current regulations and requirements for C&D landfills state that concentration of methane gas, as well as hydrogen sulfide (H2S), generated by the facility should not exceed 25% of the lower explosive limit (LEL) in facility structures or that the concentrations of gasses do not exceed the LEL at the facility property boundary. The LEL for methane equals 5% by volume at standard temperature and pressure. The LEL for hydrogen sulfide equals 4% by volume at standard temperature and pressure. This LGMP prescribes a routine monitoring program to ensure standards are met and the actions to be taken if methane or hydrogen sulfide concentrations exceed specified limits. 1.2 Gas Control Plan and Landfill Gas Monitoring Network To protect public health and safety in the vicinity of the landfill, gas produced by the decomposition of refuse will be controlled and monitored during the operational, closure, and post- closure periods. The gas monitoring program will be implemented for the purpose of maintaining the concentration of methane gas below the regulatory levels. The landfill gas monitoring plan is currently proposed to include monitoring, and passive gas venting in the landfill. Other remedial measures will be implemented as needed to mitigate a potential gas migration problem. Gas monitoring at the Coble’s Sandrock C&D Landfill will be performed during the active life of the landfill and throughout the post-closure care period. Quarterly monitoring will be conducted at all subsurface gas detection probes. The approximate location of the landfill gas probes are shown in Drawing 1. A typical probe construction detail is presented on page 13 in Section 5 of Appendix A. VII – Landfill Gas Monitoring Plan LaBella Associates, PC C&D LF 5-Year Permit Renewal/LOS May 2019 Coble’s Sandrock, North Carolina 3 The landfill gas monitoring network consist of four gas probe named GP-01 through GP-04. The probe locations were chosen to adequately surround areas where waste will be in place and where potential receptors are nearby. GP-01 monitors potential gas migration from Phase 3B, or to the structure on the property adjacent and to the west of Phase 3B. GP-02 monitors gas potential migration off the landfill property to the west of Phase 2B, GP-03 monitors potential gas migration off the landfill property to the northeast of Phase 3A, and GP-04 monitors potential gas migration off the landfill property to the southeast of Phase 3A. Monitoring probes are not proposed directly to the north of the landfill since the property line in this direction is a perennial stream, Poppaw Creek, which will serve as a barrier for subsurface methane migration. Additional gas detection probes will be installed on the site as additional phases are permitted for operation. Proposed probe locations will be field engineered after the site is graded so that optimum locations can be selected. Sufficient numbers of gas probes will be installed to adequately monitor each phase. Construction records for the gas probes will be submitted to the Division upon completion. Gas probes will be constructed of nominal 2-inch PVC riser and screen. The screened interval shall begin at the 5 feet below ground surface and extend to the total depth of the boring. The probes will be completed with concrete well pads and lockable protective covers. If auger refusal is encountered at less than 10 feet below ground surface, the drilling rig will be offset approximately 10 to 30 feet to make another attempt. If after 3 attempts, no boring has exceeded 10 feet, but at least one exceeded 5 feet in depth, the probe will be installed in the deepest boring, with construction adjusted for the shallow depth. If none of the 3 attempts exceed 5 feet in depth, no probe will be installed at that location. Within thirty (30) days of completion of any landfill monitoring gas wells, a well construction record and/or boring log for each well, including but not limited to total depth, screened interval and distance above the seasonal water table, will be submitted to the SWS. The submittal will also include a scaled topographic map showing the location and identification of new, existing and abandoned landfill gas monitoring wells. Upon final closure, passive landfill gas vents will be installed along with the final cover system to allow release of gas to the atmosphere. These vents will be installed at a frequency of approximately one per acre of cap surface area. 1.3 Structure and Ambient Sampling In accordance with Solid Waste Section’s (SWS) Landfill Gas Monitoring Guidance document and Rules 15A NCAC 13B.0600, the active facility structures within 1000 feet of waste will be monitored for methane. All accessible areas of the interiors, especially areas such as plumbing that could be entry points for gas, will be monitored. VII – Landfill Gas Monitoring Plan LaBella Associates, PC C&D LF 5-Year Permit Renewal/LOS May 2019 Coble’s Sandrock, North Carolina 4 2.0 LANDFILL GAS SAMPLING PROCEDURES Landfill gas samples will be collected in accordance with Solid Waste Section’s Landfill Gas Monitoring Guidance document included as Appendix A. Details of detection equipment and sampling procedures are outlined below. 2.1 Gas Detection Probes Gas monitoring in detection probes will consist of attaching the monitoring device to each tubing within the probes, and recording both the initial concentration and steady state concentration of combustible gases. SWANA guidelines for purging wells and other monitoring procedures shall be followed. 2.2 Detection Equipment A portable combustible gas monitor, measuring the concentration of combustible gases in units of percent of LEL and/or % by volume shall be used to conduct gas monitoring. The LEL is the lowest percent by volume of a mixture of combustible gas in air that will propagate a flame at 25 degrees Celsius and atmospheric pressure. The preferred equipment will be a portable gas monitor that can reliably measure methane and hydrogen sulfide in both Percent Volume and Percent LEL, such as the Landtec/QED Gas Analyzer and Gas Extraction Monitor (GA/GEM) series of instruments. The gas monitoring instrument shall be calibrated to methane according to the manufacturer's calibration procedure before the monitoring activities begin. The calibration gas to be used depends on the expected levels of methane in landfill gas monitoring wells. The appropriate manufacturer’s specified calibration gas concentration shall be used based on the appropriate monitoring range expected, or beginning with the lower methane concentration range. Verification that the equipment was calibrated in accordance with the manufacture’s specifications is required. Calibration information must be recorded on the Landfill Gas Monitoring Data Form. The H2S monitor or pod shall be calibrated to H2S using the manufacturer's calibration kit and procedure before the monitoring activities begin. Most instruments monitor for, and are calibrated in, the 0-500 ppm range for H2S for purposes of human health and safety. This range is more protective than the explosive limit monitoring requirement, and should provide warning of H2S migration long before exceedance of the LEL. 2.3 Response to Detected Combustible Gases The regulatory action levels for combustible gas monitoring in gas detection probes are 100% LEL at the facility boundary and 25% LEL in on-site structures. Following a non- compliant reading, Coble’s Sandrock, Inc. will notify the North Carolina Department of VII – Landfill Gas Monitoring Plan LaBella Associates, PC C&D LF 5-Year Permit Renewal/LOS May 2019 Coble’s Sandrock, North Carolina 5 Environmental Quality, Solid Waste Section in writing and will take immediate steps to ensure safety and protection of human health. At a minimum, the following actions will be taken if the methane concentration exceeds 25% of the LEL in any structure: • Put out all smoking materials and turn off all ignition sources; • Evacuate all personnel; • Vent the structure; • Do not allow personnel to reenter the building, except to perform gas monitoring, until the results of additional monitoring indicate that methane concentrations are sustained or stabilized below 25% LEL; • Begin continuous monitoring within the structure; and • Undertake an assessment to determine the origin and pathways of the gas migration. Within seven days of detection, the monitoring results, actions taken and actions proposed to resolve the problem will be placed in the Operating Record. Within 60 days of detection, Coble’s Sandrock, Inc. will develop and implement a landfill gas remediation plan for the combustible gas releases and notify the Division that the plan has been implemented. The plan will describe the nature and extent of the problem and the proposed remedy. 2.4 Landfill Gas Sampling Protocol The portable combustible gas monitor will be turned on and allowed to warm up prior to gas sampling. The static pressure should show a reading of zero before taking the initial sample. The sample tube shall be purged for at least one minute prior to connecting the sample tube to the detection well, and then the initial concentration will be recorded. Gas monitoring will continue until the readings have stabilized. A stable reading is considered to be +/- 0.5% by volume on the instrument’s scale. Once the reading has stabilized for 5 seconds, the reading will be recorded and the tubing will be disconnected from the valve. These steps will be repeated for each landfill gas monitoring well. While sampling, results for methane should be determined in Percentage of the LEL as well as Percent Volume. Some instruments such as the Landtec GEM series track both measurements, if the instrument does not, both the LEL and Percent Volume of each monitored point need to be calculated for proper reporting. 100 percent of the LEL for methane is equivalent to 5 Percent Volume in air; therefore; Percent Volume can be converted into percent of the LEL by multiplying by a factor of 20: Methane in % Volume X 20 = % LEL, and VII – Landfill Gas Monitoring Plan LaBella Associates, PC C&D LF 5-Year Permit Renewal/LOS May 2019 Coble’s Sandrock, North Carolina 6 Percent LEL can be converted to Percent Volume with: %LEL/20 = % Volume Methane The results should be recorded for proper reporting as described in the following sections. Gas monitoring in on-site structures will attempt to identify the "worst case" concentrations. The monitoring locations will be in corners along floors and ceilings, at cracks in the floor, and at other areas likely to accumulate gas. Gas monitoring will also be conducted in any confined space requiring the entry of personnel for maintenance or inspection. The monitoring will take place prior to entry by personnel in accordance with OSHA regulations. 2.5 Sampling and Analysis Procedure The required monitoring will be completed by a properly trained professional. The portable equipment to be used will be designed for the detection of combustible gases or vapors. The standard operating procedure for this type of monitoring is as follows: • Calibrate the monitoring equipment in accordance with the manufacturer’s instructions. • Measure and record the undisturbed probe pressure/vacuum. This requires connecting the pressure gauge to a device such as quick connect, or a valve, and then opening the valve to measure the pressure. • Leak check the entire sample train by sealing the end of the monitoring hose and verifying that air does not leak into the sample train either through stoppage of the pump or maintaining a complete seal. • Purge the probe casing (piping). Based on probe casing volume and sample pump flow rate, determine the purge time to pump over two volumes from the casing using the sample pump. The objective is to monitor soil gas from void spaces surrounding the probe screened interval. • Read and record the stabilized concentration of methane. • If the methane reading continually increases as the probe is pumped, the initial concentration after purging is recorded because the objective is to record the conditions of the gas around the probe rather than gases that can be pulled to the probe via the pumping process. • Keep monitoring results in the landfill operating record. The personnel performing the LFG potential migration monitoring and data evaluation will be knowledgeable of the factors that may influence migration. This will ensure that the monitoring effort will be thorough and that potential problems can quickly be identified and VII – Landfill Gas Monitoring Plan LaBella Associates, PC C&D LF 5-Year Permit Renewal/LOS May 2019 Coble’s Sandrock, North Carolina 7 corrected. The following are several factors that monitoring personnel will remain aware of and/or make visual observations of: • Distressed vegetation, signs of stunted growth, wilting, color changes, death during the growing season, and bare spots; • Increased “rotten egg” odors around the landfill, indicating the presence of hydrogen sulfide, a common trace constituent found in landfill gas; and • Air bubbles permeating through standing water outside the limits of waste that may be from gas laterally migrating and finding its way to the surface. • Development of surrounding areas, such as placing impermeable ground covers (i.e., paved parking areas, building slabs), can force landfill gas to remain underground and promote lateral migration. Additionally, off-site structures and utilities can provide enclosed areas in which landfill gas may collect and pose a safety hazard; • Heavy irrigation or rainfall that saturates the soil may provide an impermeable barrier to landfill gas causing lateral migration; • Excavation activities such as utility trenches may cause landfill gas to escape through the soils and into the excavation. The landfill gas may accumulate to explosive levels or displace oxygen within the excavation. Both possibilities compromise safety; • Surface cracks or settlement can cause uncontrolled venting of landfill gas or air intrusion into the landfill that could reduce landfill gas quality (decrease methane concentration) or increase the potential for a landfill fire; • Barometric pressure, wind, and temperature can affect the net pressure of landfill gas present. At a lower barometric pressure, more landfill gas tends to escape through the cover or the surrounding surface; and • Snow or frozen ground cover, as with saturated soil, can reduce surface permeability and increase lateral migration of landfill gas. 2.6 LFG Monitoring Frequency The landfill gas wells and on-site structures included in this LGMP will be monitored at least quarterly in accordance with current regulations. The gas wells will be monitored for the second and fourth quarterly events in conjunction with the semiannual groundwater monitoring events which usually occur in April-June and October-December. 2.7 Safety Precautions During landfill gas monitoring events, special attention will be placed on areas and probes with methane concentrations approaching or exceeding the regulatory limits. Excessive concentrations of combustible gases in structures (i.e., 25% LEL or greater) shall be cause VII – Landfill Gas Monitoring Plan LaBella Associates, PC C&D LF 5-Year Permit Renewal/LOS May 2019 Coble’s Sandrock, North Carolina 8 for immediate evacuation of any structure that is staffed. Entry into the building should be prohibited until the concentrations are maintained at satisfactory levels. The source of the gas, or gas migration pathway, shall be investigated to determine appropriate courses of action to prevent the reoccurrence of the event. As a general rule, maintaining a good air flow in the space and good ventilation will help prevent potential gas build-up situations. In addition, methane concentrations in areas that are usually closed off, such as closets and equipment service areas, can be managed with a louvered door and through-the-wall vents. 3.0 RECORD KEEPING AND REPORTING The landfill gas data will be recorded in accordance to the SWS’s Landfill Gas Monitoring Guidance document included as Appendix A . The records will be maintained in the landfill operating record. If there are exceedances of regulatory limits, the NCDEQ will be notified within seven calendar days of the detection. 3.1 Landfill Gas Monitoring Data Form An example landfill gas monitoring form is included as Appendix B. 3.2 Sampling Reports The landfill gas monitoring reports will be prepared in accordance with the NCDEQ-DWM- SWS Gas Monitoring Guidance (Appendix A), and current requirements for C&D landfills. Electronic submittals of reports, when required, will be in accordance with the SWS Memo, dated November 4, 2014, included as Appendix C. The reports will describe the method of sampling, the date, time, location, sampling personnel, atmospheric temperature, reported barometric pressure, equipment calibration information, exceptions noted during sampling, and general weather conditions at the time of sampling, in addition to the concentration of combustible gases in percent volume and percent of the LEL. 3.3 Permanent Record Keeping A copy of the landfill gas monitoring results and any remediation plans will be maintained in the landfill operating record. The reports will be maintained at the facility or an alternative location near the facility approved by the Division. 4.0 CONTINGENCY PLAN If methane gas or hydrogen sulfide gas levels that exceed the regulatory limits are detected, the results shall be reported to Burke County immediately. The County will notify the NCDEQ, SWS in writing and will take immediate steps to ensure safety and protection of human health. VII – Landfill Gas Monitoring Plan LaBella Associates, PC C&D LF 5-Year Permit Renewal/LOS May 2019 Coble’s Sandrock, North Carolina 9 If methane or hydrogen sulfide levels exceed the LEL in existing gas probes, the need for additional gas probes will be evaluated, as well as the need for additional monitoring within any nearby structures in the direction of the gas migration. If the exceedance is in a gas well not located at or near a property boundary, additional investigation including use of bar-hole probes or temporary gas wells may be implemented to determine whether or not the exceedance extends to the property boundary. If necessary, additional permanent gas wells may be installed between the exceeding well(s) and the property boundary to demonstrate that the site is in compliance. If a compliance level is exceeded in an on-site structure, options will be evaluated to reduce the current methane or hydrogen sulfide levels and to prevent further migration of gasses into the structure. At a minimum, the following actions will be taken if the methane or hydrogen sulfide concentrations exceed 25% of the LEL in any structure: • Put out all smoking materials and turn off all ignition sources; • Evacuate all personnel; • Vent the structure; • Do not allow personnel to reenter the building except to perform gas monitoring until the results of additional monitoring indicate that gas concentrations are sustained or stabilized below 25% of the LEL; • Begin continuous monitoring within the structure; and • Undertake an assessment to determine the origin and pathways of the gas migration. Within seven days of detection above the regulatory limits, the monitoring results will be placed in the Operating Record and the County will indicate actions taken and actions proposed to resolve the problem. Within 60 days of detection, the County will develop and implement a landfill gas remediation plan for the combustible gas releases and notify the Division that the plan has been implemented. The plan will describe the nature and extent of the problem and the proposed remedy. Hydrogen sulfide becomes dangerous to human health at concentrations well below the Lower Explosive Limit. The OSHA Personal Exposure Limit (PEL) for H2S is 10 ppm for 8- hours or 50 ppm peak exposure, and the NIOSH Immediately Dangerous to Life and Human Health (IDLH) limit for H2S is 100 ppm. North Carolina Solid Waste Management Regulations only require monitoring for explosive gas levels, not hazardous levels; however, we recommend voluntary monitoring for H2S in the potentially hazardous range. If H2S is detected at concentrations above 10 ppm in any gas probe or outdoor ambient air monitoring point, or above 2.5 ppm inside any structure, we recommend that the County be notified immediately and appropriate action will be taken to protect human health, similar to the actions described above. VII – Landfill Gas Monitoring Plan LaBella Associates, PC C&D LF 5-Year Permit Renewal/LOS May 2019 Coble’s Sandrock, North Carolina 10 5.0 CERTIFICATION OF NORTH CAROLINA PROFESSIONAL GEOLOGIST OR ENGINEER The landfill gas monitoring plan for this facility has been prepared by a qualified geologist or engineer who is licensed to practice in the State of North Carolina. The Certification of Professional Geologist or Engineer form is included as Appendix D. 6.0 CERTIFICATION OF REGISTERED LAND SURVEYOR All future landfill gas monitoring wells will be surveyed for location and elevation by a North Carolina Registered Land Surveyor. 7.0 REFERENCES Brown, Philip M., Chief Geologist, 1985, Geologic Map of North Carolina, The North Carolina Geologic Survey, scale 1:500,000. Fetter, C.W., 2001, Applied Hydrogeology, Fourth Edition: Prentice-Hall, Inc. Johnson, A.I., 1967, Specific Yield - Compilation of Specific Yields for Various Materials: U.S. Geological Survey Water Supply Paper 1662-D. North Carolina Department of Environment and Natural Resources, 1990-2011, Solid Waste Management Regulations. United States Department of Labor, Occupational Health and Safety Commission, Standards 29 CFR Part 1926, 1970, Occupational Health and Environmental Controls, 29 CFR 1926.55 Appendix A - 1970 American Conference of Governmental Industrial Hygienists' Threshold Limit Values of Airborne Contaminants, Threshold Limit Values of Airborne Contaminants for Construction, Hydrogen Sulfide. DRAWINGS 57057 0 580 590 60 0 5 8 0 580 5805706306206106306206006106206206306406506406 5 0 6 6 0 60061062063065 0 6 4 0610620630 640640630650640630620640630640 650640 650640640 640 5705705 8 0 5 9 0 600610620630640650590600610620630640610640570570 580630 6506406306406 5 0 610590600802326.19 1842194.44 567.53CBL-1 801804.71 1844578.84 644.64 CBL-2 799921.70 1842927.64 647.78CBL-3 799303.411844867.07 643.82 CBL-4 800512.15 1843829.01 664.59 CBL-5 799258.31 1842351.29 623.10 CSR23 798539.441844950.35 651.21 CSR24 803810.51 1841879.30 648.34 GPS-1 GP-1 GP-2 GP-3 GP-4 PHASE 1APHASE 2B PHASE 2A PRIVATE DWELLING PRIVATE DWELLING PROPERTY LINE WASTE LIMITS PERMITTED FACILITY BOUNDARY LEGEND EXISTING 2 FOOT CONTOURS EXISTING 10 FOOT CONTOURS PROPERTY LINE FACILITY LINE CELL LIMITS STREAM ROAD GAS PROBE GP- 1PROPOSED PHASE 3A PROPOSED PHASE 3B PROJECT NO.APPROVEDCHECKEDDRAWNDESIGNEDDATEDATEREVISIONS AND RECORD OF ISSUEBYNOAPPCKSCALE All rights reserved.Ó Joyce Engineering, Inc.DRAWING NO.L:\Coble Sandrock\2019 LFG PLAN.dwg Layout=Layout10 (FEET) GRAPHIC SCALE 400200100 2180191COBLES SANDROCK INC.KIMESVILLE, NORTH CAROLINA20191 AS NOTEDLANDFILL GAS PLANHKRWHHKHK03/01/19NC CORP LIC: C-07829731-F SOUTHERN PINE BLVDCHARLOTTE, NC 28273PHONE: (704) 817-2037 APPENDICES APPENDIX A Solid Waste Section – Landfill Gas Monitoring Guidance                                                           APPENDIX B Landfill Gas Monitoring Data Form NC Division of Waste Management - Solid Waste Section Landfill Gas Monitoring Data Form Notice: Facility Name: ________________________________________________________ Permit Number: _______________________________________ Sampling Date: _____________________________________________ NC Landfill Rule (.0500 or .1600): _________________________________ Sample Collector Name & Position: _________________________________________________________________________ Gas Meter Type & Serial Number: _____________________________ Gas Meter Calibration Date: Field Calibration Date & Time: ___________________________________________________________________________ Field Calibration Gas Type (15/15 or 35/50): _________________ Field Calibration Gas Canister Expiration Date: Gas Meter Pump Rate: _____________________________________ Ambient Air Temperature: __________ Barometric Pressure (in. or mm Hg): Weather Conditions: Instructions: Location or LFG Well ID Sample Tube Purge Time of Day Time Pumped (sec) Initial % LEL Stabilized % LEL % CH4 (volume) % O2 (volume) % CO2 (volume) % H2S* (volume) NOTE: If needed, attach additional data forms to include additional LFG monitoring data locations for the facility. ACTION LEVELS: Methane: >1.25% by volume (inside structures) AND >5% by volume (at facility boundary) Hydrogen Sulfide: >1% by volume (inside structures) AND >4% by volume (at facility boundary) Certification SIGNATURE TITLE Revised – March 6, 2017 To the best of my knowledge, the information reported and statements made on this data submittal and attachments are true and correct. I am aware that there are significant penalties for making any false statement, representation, or certification including the possibility of a fine and imprisonment. NOTES Under “Location or LFG Well”, list monitoring well # or describe monitoring location (e.g., inside field office).Attach a test location map or drawing. Report methane readings as both % LEL and % CH4 by volume. Convert % CH4 (by volume) to % LEL as follows: % methane (by volume)/20 = % LEL. *Hydrogen Sulfide (H2S) gas monitoring may be required for Construction & Demolition Landfills (CDLFs). See individual permit conditions and/or Facility LFG monitoring plan. This form and any information attached to it are "Public Records" as defined in NC General Statute 132-1. As such, these documents are available for inspection and examination by any person upon request (NC General Statute 132-6). Landfill Gas Monitoring Data Form Facility Name: ____________________ Permit Number: ___________________ Date of Sampling: ____________________ Personnel: ___________________ Gas Monitor Type & Serial No: ____________________ Calibration Date: ___________________ Field Calibration Date & Time: ____________________ Calibration Gas Type: ___________________ General Weather Conditions: ____________________ Barometer : ___________________ Location or LFG GW ID Instr. purged Time Well Pressure (InWg) Time Pumped (sec.) CH4 (%LEL) CH4 (%Vol) H2S (ppm) Notes Abbreviations: GW = Gas Well LEL = Lower Explosive LimitLimits: CH4 LEL = 5% Volume H2S LEL =4% Vol H2S IDLH = 100 ppm APPENDIX C SWS November 2014 Memo on Document Submittal North Carolina Department of Environment and Natural Resources Division of Waste Management Pat McCrory John E. Skvarla, III Governor Secretary 1646 Mail Service Center, Raleigh, North Carolina 27699-1646 2090 US Highway 70, Swannanoa, North Carolina 28778-82111 Phone: 919-707-8200 Phone: 828-296-4500 http://portal.ncdenr.org/web/wm/ An Equal Opportunity / Affirmative Action Employer 1 November 5, 2014 MEMORANDUM To: Solid Waste Directors, Public Works Directors, Landfill Operators, and Landfill Owners From: Solid Waste Section Re: Groundwater, Surface Water, Soil, Sediment, and Landfill Gas Electronic Document Submittal The Solid Waste Section is continuing its efforts to improve efficiencies in document management. All groundwater, surface water, soil, sediment, and landfill gas documents submitted to the Solid Waste Section are stored electronically and are made readily available for the public to view on our webpage. Please remember that hard copies/paper copies are not required, and should not be submitted. The submittal of these electronic documents following a consistent electronic document protocol will also assist us in our review. Please follow these procedures when submitting all groundwater, surface water, soil, sediment, and landfill gas documents to the Solid Waste Section. Submittal Method and Formatting x All files must be in portable document format (pdf) except for Electronic Data Deliverables (EDDs) unless otherwise specified by the Solid Waste Section. All pdf files should meet these requirements: o Optical Characteristic Recognition (OCR) applied; o Minimum of 300 dpi; o Free of password protections and/or encryptions (applies to EDDs as well); o Optimized to reduce file size; and o Please begin using the following naming convention when submitting all electronic files: Permit Number (00-00)_Date of Document (YYYYMMDD). For example: 00-00_20140101. x Please submit all files via email or by file transfer protocol (FTP) via email to the appropriate Hydrogeologist unless otherwise specified by the Solid Waste Section. If the electronic file is greater than 20 MB, please submit the file via FTP or on a CD. If submitting a CD, please mail the CD to the appropriate Hydrogeologist. The CD should be labeled with the facility name, permit number, county, name of document, date of monitoring event (if applicable), and the date of document. x Please be sure a signed Environmental Monitoring Data Form is submitted as part of the electronic file for all water quality and landfill gas documents (monitoring, alternate source demonstration, assessment, investigation, corrective action). This completed form should be the first page of the document before the cover/title page and should not be submitted as an individual file. Blank forms can be downloaded at http://www.wastenotnc.org/swhome/EnvMonitoring/NCEnvMonRptForm.pdf Monitoring Data Monitoring data documents may include any or all of the following: 1) groundwater and surface water monitoring; 2) soil and sediment, and 3) landfill gas monitoring. In addition to the above procedures, at a minimum, please include the following: Groundwater and Surface Water Monitoring x A copy of the laboratory report(s). x A copy of the sampling log(s). x A separate table of detections and exceedances for each monitoring location. 1646 Mail Service Center, Raleigh, North Carolina 27699-1646 2090 US Highway 70, Swannanoa, North Carolina 28778-82111 Phone: 919-707-8200 Phone: 828-296-4500 http://portal.ncdenr.org/web/wm/ An Equal Opportunity / Affirmative Action Employer 2 o All analytical results should be reported in micrograms per liter (ug/L) except for field parameters and specific Monitored Natural Attenuation (MNA) parameters. o Please also include the laboratory’s method detection limit (MDL) in ug/L, the Solid Waste Section Limit (SWSL) in ug/L, the appropriate NC regulatory standard in ug/L (2L, 2B, GWPS, IMAC), and the Federal Maximum Contaminant Level (MCL) in ug/L. o Please BOLD each exceedance result. x A separate table of field parameters for each monitoring location. x An Electronic Data Deliverable (EDD) spreadsheet for each monitoring event submitted in the correct format. All analytical results should be reported in micrograms per liter (ug/L) except for field parameters and specific Monitored Natural Attenuation (MNA) parameters. The blank EDD template can be downloaded at http://www.wastenotnc.org/swhome/enviro_monitoring.asp. Please pay attention to the formats within the spreadsheet. Any EDD received that is not formatted correctly will be emailed back to be resubmitted via email within five (5) days. x A separate groundwater monitoring well construction table. o Please also include the date the well was drilled, well diameter, total well depth, depth to top of screened interval (in feet), screened interval (in feet), geology of screened interval, TOC elevation, ground elevation, groundwater elevation, GPS coordinates (latitude and longitude), and depth to water (in feet). x A separate groundwater table with groundwater flow rate(s). x A recent facility figure that includes labeled groundwater and surface water monitoring locations. x A groundwater flow map with an arrow(s) indicating flow direction(s), including date the measurements were taken. Soil and Sediment Sampling x A copy of the laboratory report(s). x A copy of the sampling log(s). x A separate table of detections and exceedances for each sampling location. o Please also include the results in micrograms per liter (ug/L), the laboratory’s method detection limit (MDL) in ug/L, and the appropriate NC regulatory standard (PSRG) in ug/L. o Please BOLD each exceedance result. x A separate table of soil and/or sediment characteristics. x A recent facility figure that includes labeled sampling locations. Landfill Gas Monitoring x A blank Landfill Gas Monitoring Data Form can be found within the Landfill Gas Monitoring Guidance document and can be downloaded at http://portal.ncdenr.org/c/document_library/get_file?uuid=da699f7e-8c13-4249-9012-16af8aefdc7b&groupId=38361. x A separate table of landfill gas detections and exceedances for each monitoring location. Please BOLD each exceedance result. x A recent facility figure that includes labeled landfill gas monitoring locations (both permanent and temporary). If you have any questions or concerns regarding electronic submittals, please feel free to contact the Hydrogeologist overseeing your facility. The Solid Waste Section greatly appreciates your assistance on this matter. Working together, we can continue to provide excellent customer service to you and to the public. x Jackie Drummond, Asheville Regional Office, 828-296-4706, jaclynne.drummond@ncdenr.gov x Ervin Lane, Raleigh Central Office, 919-707-8288, ervin.lane@ncdenr.gov x Elizabeth Werner, Raleigh Central Office, 919-707-8253, elizabeth.werner@ncdenr.gov x Christine Ritter, Raleigh Central Office, 919-707-8254, christine.ritter@ncdenr.gov x Perry Sugg, Raleigh Central Office, 919-707-8258, perry.sugg@ncdenr.gov APPENDIX D Certification of Professional Geologist or Engineer