Loading...
HomeMy WebLinkAbout8002_INSP_20190919e_��QIET FACILITY COMPLIANCE INSPECTION REPORT Division of Waste Management Solid Waste Section UNIT TYPE: Lined LCID YW Transfer Compost SLAS COUNTY: Rowan MSWLF PERMIT NO.: 8002-INDUS-1974 Closed HHW White Incin T&P FIRM MSWLF FILE TYPE: COMPLIANCE CDLF TireT&PTire --goods Industrial X DEMO SDTF Collection Monofill Landfill Date of Site Inspection: 9/19/19 FACILITY NAME AND ADDRESS: Celanese Fibers (Closed) 345 Messick Farm Road Woodleaf, NC 27054 Date of Last Inspection: 1/23/90 GPS COORDINATES: Lat.: 35.81685 Long.: 80.59520 FACILITY CONTACT NAME AND PHONE NUMBER: Name: Steve Simpson, Global Remediation Project Manager - Celanese Telephone: (704) 636-3919 Email address: Steven.simpson—contractor@celanese.com FACILITY CONTACT ADDRESS: Same as above PARTICIPANTS: Steve Simpson, Global Remediation Project Manager - Celanese Larry Brooks, Subcontractor Kim Sue, NCDEQ — Environmental Senior Specialist — Solid Waste Section Charles Gerstell, NCDEQ — Environmental Senior Specialist — Solid Waste Section STATUS OF PERMIT: Closed April 1990 PURPOSE OF SITE VISIT: Comprehensive Inspection STATUS OF PAST NOTED VIOLATIONS: None OBSERVED VIOLATIONS: 1. 15A NCAC 02C .0108(1) states: "All non -water supply wells, including temporary wells, shall be secured with a locking well cap to ensure against unauthorized access and use. " Celanese Fibers is in violation of 15A NCAC 02C .0108(1) for failure to secure ground water monitoring wells against unauthorized access and use. During the inspection, a number of wells were found to be unsecured or to have broken locks. To achieve compliance, Celanese Fibers must secure all groundwater monitoring wells with a locking cap. See table below for specific information about deficiencies. 2. 15A NCAC 02C .0108(m) states: `All non -water supply wells shall be equipped with a steel outer well casing or Page 1 of 3 FACILITY COMPLIANCE INSPECTION REPORT Division of Waste Management Solid Waste Section flush -mount covey, set in concrete, and other measures sufficient to protect the well from damage by normal site activities. " Celanese Fibers is in violation of 15A NCAC 02C .0108(m) for failure to equip all non -water supply wells with a steel outer casing set in concrete. During the inspection, monitoring well B-0IA was observed to be without a concrete pad. To achieve compliance, Celanese Fibers must equip this monitoring well with a concrete pad. See table below for specific information about deficiencies. 3. 15A NCAC 02C .0108(p) states: "Each non -water supply well shall have permanently affixed an identification plate. The identification plate shall be constructed of a durable, waterproof, rustproof metal or other material approved by the Department as equivalent and shall contain the following information: (1) well contractor name and certification number; (2) date well completed; (3) total depth of well; (4) a warning that the well is not for water supply and that the groundwater may contain hazardous materials; (5) depth(s) to the top(s) and bottom(s) of the screen(s); and (6) the well identification number or name assigned by the well owner. " Celanese Fibers is in violation of 15A NCAC 02C .0108(p) for failure to ensure that all non -water supply wells have a permanently affixed identification plate constructed of a durable, waterproof, rustproof metal or other approved material that includes all of the information required by this rule. During this inspection, a number of monitoring wells were observed to be without the required permanent metal identification plate. To achieve compliance, Celanese Fibers must affix a permanent metal identification plate, as specified in 15A NCAC 02C .0108(p), to the steel outer casing of all monitoring wells. See table below for specific information about deficiencies. SUMMARY OF OBSERVED VIOLATIONS: The following table lists all monitoring wells and any deficiencies observed during the inspection that require attention: Well Number Lock Tag Condition of Concrete Pad 23A No No Good 23B No No Good B-12 No No Remove vegetation 17-B Broken Yes Good B 17-C Yes Yes Good 22B Yes No Good 22A Yes Yes Good B 10 No No Good B-01A Yes Yes No concrete pad B-09C No Yes Good Page 2 of 3 FACILITY COMPLIANCE INSPECTION REPORT Division of Waste Management Solid Waste Section The item(s) listed above were observed by Section staff and require action on behalf of the facility in order to come into or maintain compliance with the Statutes, Rules, and/or other regulatory requirements applicable to this facility. Be advised that pursuant to N.C.G.S. 130A-22, an administrative penalty of up to $15,000 per day may be assessed for each violation of the Solid Waste Laws, Regulations, Conditions of a Permit, or Order under Article 9 of Chapter 130A of the N.C. General Statutes. Further, the facility and/or all responsible parties may also be subject to enforcement actions including penalties, injunction from operation of a solid waste management facility or a solid waste collection service and any such further relief as may be necessary to achieve compliance with the North Carolina Solid Waste Management Act and Rules. ADDITIONAL COMMENTS 1. This site is known as the Needmore Road Landfill that accepted by-products of polyester resin manufacturing from the former Hoechst Celanese plant located in Salisbury and was closed in April 1990. 2. There were four main disposal areas at this site, and they were referred to as Taylor's Pit (0.6 acre), the 14-Acre Site, the 16-Acre Site, and the Secondary Site (2.6 Acre). Taylor's Pit was consolidated into the main part of the landfill prior to final landfill closure. The site consists of approximately a 243-acre tract of land that is bounded by the South Yadkin River to the east. 3. The Semi -Annual groundwater monitoring reports for 2018 were reviewed. The report includes the monitoring results from the May 2018 and November 2018 sampling events. 4. Access to the facility from Needmore Road is secured with a gate and chain link fence with three strands of barbed wire at the top. 5. The landfill is maintained and mowed by Larry Brooks bi-monthly. 6. The landfill had good vegetative cover. 7. No erosion was observed on the landfill. 8. No areas of significant settling were observed. 9. No standing water or evidence of standing water was observed on the landfill. 10. No trees were observed growing on the landfill. 11. Phytoremediation system area is fenced and consists of poplar and willow trees. This area appeared to be well maintained. 12. Per the attached memorandum dated May 29, 2009 permanent edge -of -waste markers are required around the perimeter of all landfill units. Please contact me if you have any questions or concerns regarding this inspection report. De Kim Sue DN: cn=Kim Sue, —Division of Waste Management, ou=Solid Waste Section, ` ..,, X_ email=kim.sue@ncdenr.gov, c=US Date: 2019.09.2813:18:46-04'00' Kim Sue Environmental Senior Specialist Regional Representative Phone: (704) 235-2163 Sent to: Steve Simpson X Email Hand delivery US Mail Certified No. 1 1 9/28/19 Copies: Deb Aja, Western District Supervisor - Solid Waste Section Charles Gerstell, Environmental Senior Specialist — Solid Waste Section Page 3 of 3 North Carolina Department of Environment and Natural Resources Division of Waste Management Beverly Eaves Perdue Dexter R. Matthews Dee Freeman Governor Director Secretary May 29, 2009 To: Construction and Demolition Landfill Owners and Operators Industrial Solid Waste Landfill Owners and Operators Municipal Solid Waste Landfill Owners and Operators From: Solid Waste Section Subject: Permanent Edge -of -Waste Markers at Construction and Demolition Debris Landfills, Industrial Solid Waste Landfills and Municipal Solid Waste Landfills 15A North Carolina Administrative Codes (NCAC) 13B .0540(1) and (2) and 13B .1619(d)(1) require operators and owners of construction and demolition (C&D) landfills, industrial solid waste landfills (ISW) and municipal solid waste (MSW), respectively, to establish and maintain buffers. This requirement is intended to prevent accidental disposal of waste outside permitted disposal units during the active life of the facility and to be able to identify the boundaries of the disposal unit during the post -closure period. In order to comply with this requirement, effective January 1, 2010 owners and operators of all active, inactive and closed C&D landfill units, ISW landfill units and MSW landfill units shall install, and maintain permanent edge -of -waste markers for all landfill units. Markers shall be placed to clearly delineate the edge -of -waste around the perimeter of every active, inactive and closed disposal area. All markers must be maintained throughout the life of the landfill and throughout the required period of post -closure care. In addition, facility staff should be aware of and be able to show Division staff the permitted boundary of the facility. A compliance survey may be required as per NCAC 13B .0542 (m) and .1604 (b) (2) (M). If you have any questions concerning this requirement, please contact the Environmental Senior Specialist in your area. See www.wastenotnc.org/swhome/FieldOpMapC.pdf for contact information. 1646 Mail Service Center, Raleigh, North Carolina 27699-1646 Phone: 919-508-8400 \ FAX: 919-7154061 \ Internet: www,wastenotnc.org An Equal Opportunity \ Affirmative Action Employer �v�Division of Waste Management i�Solid Waste Sectiony in �� 00• 6•S FE i� a rtt