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HomeMy WebLinkAbout9701-20141216INSP FACILITY COMPLIANCE INSPECTION REPORT Division of Waste Management Solid Waste Section UNIT TYPE: Lined MSWLF LCID YW Transfer Compost SLAS COUNTY: Wilkes Closed MSWLF X HHW White goods Incin T&P FIRM PERMIT NO.: 97-01 CDLF Tire T&P / Collection Tire Monofill Industrial Landfill DEMO SDTF FILE TYPE: COMPLIANCE Date of Site Inspection: December 16, 2014 Date of Last Inspection: April 9, 2010 FACILITY NAME AND ADDRESS: Wilkes County Landfill – Germantown Site 580 Poplar Grove Road Wilkesboro, North Carolina 28697 GPS COORDINATES: N: 36.1162 W: 81.1985 FACILITY CONTACT NAME AND PHONE NUMBER: Name: Kent Brandon, Solid Waste Director Telephone: (336) 696-5806 (o) or (336) 927-3339 Email address: kbrandon@wilkescounty.net FACILITY CONTACT ADDRESS: Post Office Box 389 Roaring River, North Carolina 28669 PARTICIPANTS: Kent Brandon, Solid Waste Director David Dillard, Landfill Supervisor Charles Gerstell, NCDENR – Solid Waste Section STATUS OF PERMIT: A Closure Letter for the Wilkes County Landfill – Germantown Site was issued to Wilkes County on December 29, 1995. PURPOSE OF SITE VISIT: Comprehensive Inspection STATUS OF PAST NOTED VIOLATIONS: N/A OBSERVED VIOLATIONS 15A North Carolina Administrative Code 13B .0510(c) states: “When a solid waste disposal site has been closed in accordance with the requirements of the Division, future necessary maintenance and water quality monitoring shall be the responsibility of the owner and the operator and shall be specified in the closure letter.” x Post Closure Condition #1 of the Closure Letter dated December 29, 1995 states: “The owner shall take the measures necessary to ensure that the closed site shall continue to meet the design standards for landfill gas found in Rule .0503(2)(a). x 15A North Carolina Administrative Code 13B .0503 (2)(a) states: “A site shall meet the following design requirements:” FACILITY COMPLIANCE INSPECTION REPORT Division of Waste Management Solid Waste Section Page 2 of 3 a. The concentration of explosive gases generated by the site shall not exceed: i. Twenty-five percent of the limit for the gases in site structures (excluding gas controller recover system components); and ii. the lower explosive limit for the gases at the property boundary; Review of methane monitoring records verified that methane gas was recorded above the lower explosive limit for methane at GP-1, also referred to as BP-1 during the following monitoring events: 4th Quarter 2012 (15.2% Volume), 1st Quarter 2013 (5.4% Volume), 2nd Quarter 2013 (38.0% Volume), 3rd Quarter 2013 (41.0% Volume), 1st Quarter 2014 (42.7% Volume), 3rd Quarter 2014 (31.6% Volume), and 4th Quarter 2014 (56.3% Volume). BP-1 is located adjacent to the property boundary on the north side of the site. Section 5.0 of the approved Landfill Gas Monitoring Plan for the facility requires that within 60-days of detection of methane levels exceeding the LEL, 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. No landfill gas remediation plan has been submitted to the Division of Waste Management. By exceeding the lower explosive limit for methane at the property boundary and failing to submit a landfill gas remediation plan to the Division of Waste Management, Wilkes County is in violation of 15A NCAC 13B .0510(c) and 15A NCAC 13B .0503(2)(a)(ii). To achieve compliance, a landfill gas remediation plan must be submitted to the Division Waste Management, Solid Waste Section within 30-days of receipt of this report and accompanying the Notice of Violation describing the nature and extent of the methane gas releases and a proposed remedy. The plan must be implemented within 60-days of receipt of this report and accompanying Notice of Violation. The Division of Waste Management, Solid Waste Section, must be notified immediately afterward, in writing, that the plan has been implemented. Additional measures may be required by the Division. The landfill gas remediation plan must be submitted to: Ervin Lane, Hydrogeologist Division of Waste Management – Solid Waste Section 1646 Mail Service Center Raleigh, North Carolina 27699 ADDITIONAL COMMENTS 1. The facility ceased operations on October 7, 1993. 2. A gate was located at the entrance to the site to prevent unauthorized access. 3. The landfill was stabilized with native vegetation which was well maintained. Mr. Brandon confirmed that the landfill is mowed twice per year. 4. Edge of waste markers consisting of white, PVC poles were in place at the time of inspection. The location of the edge of waste marker located on the far north side of the site did not appear to be consistent with the approximate limits of waste shown on the site map included with the document entitled Wilkes County Germantown Landfill LFG Beneficial Use Project issued by Joyce Engineering on December 16, 2011. Please ensure that all edge of waste markers accurately delineate the edge of waste for the facility. 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. FACILITY COMPLIANCE INSPECTION REPORT Division of Waste Management Solid Waste Section Page 3 of 3 5. Semi-annual groundwater monitoring was being performed. Records for 1st and 2nd semi-annual sampling events for 2012 and 2013 along with the 1st semi-annual sampling event for 2014 were verified. 6. A Landfill Gas Monitoring Plan was submitted to the Solid Waste Section and approved on July 18, 2012. This plan proposed the installation of four (4) landfill gas monitoring wells (GW-1, GW-2, GW-3 and GW-4). A document entitled Installation of Landfill Gas Monitoring Probes was submitted to the Solid Waste Section by Joyce Engineering on November 8, 2012. This document verified the installation of methane monitoring probes GP-1, GP-2, and GP-4. GP-3 was not installed as proposed. However, methane monitoring records do not accurately reflect the proper designation for all methane probes detailed in the aforementioned document. x Records from 2013 referenced exceedences at GP-1 while the summary chart referenced BP-1, BP-2, and BP-4. x Monitoring records for 2014 referenced exceedences at BP-1 and the summary chart referenced BP-1, BP-2, and BP-4. However, a site map included with the monitoring results designated the monitoring probes as GW-1, GW-2, and GW-4. Also, GW-1 is shown as a “Proposed Landfill Gas Monitoring Well”. The map also shows GW-3 which was not installed in 2012 as originally proposed. x All future methane monitoring reports must provide the proper designation and label for all methane probes monitored during each event. Labels must be consistent with the descriptions detailed in the document entitled Installation of Landfill Gas Monitoring Probes submitted by Joyce Engineering and dated November 8, 2012. 7. An area of slight erosion was observed at the northeast corner of the landfill near the edge of waste marker. This erosion should be repaired and stabilized with a groundcover sufficient to restrain erosion. 8. It appeared that water had been ponding in the past on the southeast portion of the landfill as evidenced by dark soils and vegetation. It is recommended that this area be evaluated to ensure positive drainage is maintained to the rip rap channel located at the southwest corner of the landfill. 9. No areas of significant settling were observed. 10. A document entitled Wilkes County Germantown Landfill LFG Beneficial Use Project was approved by the Solid Waste Section on December 16, 2011. This project proposed connecting the LFG collection piping to a vacuum blower that would actively extract the gas from the existing wells and piping, and deliver the gas to one of two combustion devices – a utility flare or an engine generator. A greenhouse was to be installed adjacent to the combustion equipment. The proposed greenhouse would utilize heat recovered from the engine-generator. x Inspection of the facility on December 16, 2014 found that the LFG Beneficial Use Project had been completed and was operational. Please contact me if you have any questions or concerns regarding this inspection report. ____________________________ Phone: (704) 235-2144 Charles T. Gerstell Environmental Senior Specialist Regional Representative Sent on: 1/20/15 Email Hand delivery US Mail X Certified No. [7011 3500 0000 4267 1535] Kent Brandon Copies: Jason Watkins, Field Operations Branch Head Deb Aja, Western District Supervisor Sarah M. Rice, Compliance Officer John Yates, County Manager Certified Number: 7011 3500 0000 4267 1528 110 North Street Wilkesboro, North Carolina 28697 Digitally signed by Charles Gerstell DN: cn=Charles Gerstell, o=DENR, ou=Solid Waste Section, email=charles.gerstell@ncdenr.go v, c=US Date: 2015.01.20 10:19:49 -05'00'