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HomeMy WebLinkAbout9226_INSP_20210429NORTH CAR()LINAD_E Q�� OepaNnent W Envimnmenlel puel� FACILITY COMPLIANCE INSPECTION REPORT Division of Waste Management Solid Waste Section UNIT TYPE: Lined LCID YW Transfer Compost SLAS COUNTY: WAKE MSWLF PERMIT NO.: 9226-CDLF-2020 Closed xxW White Incin T&P X FIRM MSWLF goods 9226-M W P-2020 FILE TYPE: COMPLIANCE CDLF x TireT&P Tire Industrial DEMO SDTF Collection Monofill Landfill Date of Site Inspection: April 29, 2021 FACILITY NAME AND ADDRESS: Shotwell Landfill 4724 Smithfield Road Wendell, Wake County, North Carolina GPS COORDINATES: Lat.: 35.72417 Long.:-78.4349 FACILITY CONTACT NAME AND PHONE NUMBER: Name: Josh Daher Telephone: 919-876-8485 (o); 678-549-7874 (m) Email address: jdaher@meridianwaste.com FACILITY CONTACT ADDRESS: Same as above PARTICIPANTS: Davy Conners, NC DEQ — Solid Waste Section Josh Daher, Meridian Waste STATUS OF PERMIT: A Permit to Operate Shotwell Landfill, Phases 1, 2, 3, 4 and 5, (9226-CDLF-2020) was issued to Meridian Waste North Carolina, LLC (Owner) and Shotwell Landfill, Inc. (Operator) on June 8, 2020 and will expire on January 10, 2061. A Permit to Construct Shotwell Landfill, Phase 6, was issued to Meridian Waste North Carolina, LLC (Owner) and Shotwell Landfill, Inc. (Operator) on June 8, 2020. The initial, substantial, construction authorized by the permit to construct must commence within 18 months from the issuance date of the permit (by December 8, 2021). If substantial construction does not begin within 18 months from the issuance date of the permit, then the permit to construct shall expire. Permit Approval to Construct Shotwell C&D Material Recovery Facility (9226-MWP-2020) was issued to Meridian Waste North Carolina, LLC (Owner) and Shotwell Landfill, Inc. (Operator) on November 6, 2020. The initial, substantial, construction authorized by the Permit to Construct must commence within 18 months from the issuance date of this permit. If substantial construction does not begin within 18 months from the issuance date of this permit, then the permit to construct shall expire. PURPOSE OF SITE VISIT: Compliance inspection and follow up on complaint of exceeding tonnage limits. STATUS OF PAST NOTED VIOLATIONS: None. OBSERVED VIOLATIONS: None. Page 1 of 6 NORTH CAR()LINAD_E Q�� OepaNnent of Envieonmenbl Wel� 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 Shotwell Landfill is a construction and demolition landfill, C&DLF, located at 4724 Smithfield Road, Wendell, Wake County, North Carolina. The facility has received a permit to construct Phase 6 of the landfill, however, as of the date of this inspection, construction had not begun. The facility has also received a permit to construct a Mixed Waste Processing facility, which also had not yet begun construction. The site was inspected by Davy Conners on April 29, 2021. Josh Daher, Meridian Waste, accompanied Ms. Conners for the inspection. The following was observed: Per 15A NCAC 13B .0542 (c) (1) "A C&DLF must accept only those solid wastes it is permitted to receive." And, per the Permit to Operate, "the facility is permitted to receive the following waste types: a. "C&D solid waste" as defined in 15A NCAC 1313, .0532(8) means solid waste generated solely from the construction, remodeling, or demolition operations on pavement and buildings or structures. C&D waste does not include municipal and industrial wastes that may have been generated by the on -going operations at buildings or structures. b. "Inert debris" as defined in NCGS 130A-290 (a) (14) means solid waste that consists solely of material such as concrete, brick, concrete block, uncontaminated soil, rock, and gravel. c. "Land -clearing debris" as defined in NCGS 13OA-290 (a) (15) means solid waste that is generated solely from land -clearing activities. d. "Asphalt" in accordance with NCGS 130-294(m)." During the inspection, Mr. Daher said that the facility received and accepted several truckloads of books from canceled book fairs during the pandemic. This material does not meet the requirements list above for acceptable waste and therefore must not be accepted at this facility. 2. Per 15A NCAC 13B .0542 (f) (1), "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 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." At the time of the inspection, the working face was over a half -acre in size (Attachment 1, Figure 1). Additionally, a large area of the top of the landfill, outside the working face, had exposed waste (Figure 2). And granite, quartz, and other countertop material with sealant and/or webbing and glue was being used as road bedding for interior roadways (Figure 3). This material is not inert and is waste and therefore must be covered with 6 inches of soil. Immediately begin covering the working face of landfill as per the rule above with at least 6 inches of earthen material. And within 10 days of this report, cover all exposed waste on the top of the landfill and on interior roadways, outside of the working face, with at least 6 inches of earthen material. 3. Per 15A NCAC 13B .0542 (g) (3), "Appropriate methods such as fencing and diking must be provided within the area to confine solid waste which is subject to be blown by the wind. At the conclusion of each operating day, all windblown material resulting from the operation must be collected and disposed of by the owner and operator." There was a significant amount of windblown waste at the facility and no methods of confining the windblown waste were being used (Figure 4). Immediately begin picking up and disposing of all windblown waste at the end of each operating day. Within 30 days of this report, implement methods such as fencing to confine windblown waste. Page 2 of 6 FACILITY COMPLIANCE INSPECTION REPORT Division of Waste Management NORTH CAROLINA Solid Waste Section 4. Per 15A NCAC 13B .0542 (k) (2), "Adequate sediment control measures consisting of vegetative cover, materials, structures or devices must be utilized to prevent excessive on -site erosion of the C&DLF facility or unit." During the inspection, areas of erosion rills on some side slopes were observed, including some areas where the erosions cut through the cover to expose waste (Figure 4). Within 30 days of this report, reestablish 6 inches of earthen cover on areas impacted by erosion and implement measures such as those listed above to prevent erosion. Per 15A NCAC 13B .0542 0) (2), "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." Currently, Shotwell Landfill has only one trained landfill operator, Nellie Basnett, NC SWANA Certification Number LF-2006100, expiration February 28, 2024. Should Ms. Basnett be absent or leave work during operations, the facility must not operate without an individual trained in landfill operations. Mr. Daher and Ms. Conners discussed getting additional trained operators and Mr. Daher said he just lost two operators and is trying to hire their replacements. 6. Per the permit, "This facility is permitted to receive solid waste generated within Wake and Johnston counties as described in the franchise application approved by Wake County on September 5, 2006. The facility is approved to accept 91,250 tons per year or approximately 250 tons per day, based on 365 operating days per year, in accordance with the approved franchise granted by Wake County. Maximum variance shall be in accordance with NCGS 130A-294(bl) (1)." The Section received a complaint that the landfill was accepting more waste than the franchise agreement and permit allowed. During the inspection, Ms. Conners asked for the tonnage records, which were not available onsite, but Mr. Daher emailed them to Ms. Conners the following day (Attachment 2). Mr. Daher clarified the terms used in that spreadsheet as: "aggregate is concrete, broken asphalt, rock/gravel, and dirt. Inert is wood and other land clearing debris." 7. Per the permit, "The edge of the waste footprint for all disposal units must be identified with permanent physical markers." During the inspection, no edge -of -waste markers were observed. Within 30 days of this report, install markers clearly identifying the edge of waste at the facility. 8. Per the permit, "Processed mulch may only be used onsite for erosion control, to be applied in layers no more than 6 inches in thickness. Any other use of mulch onsite must be approved by the Section." Mulched leaves used on some areas of the side slopes were thicker than 6 inches. Make sure when applying mulch, it is no thicker than 6 inches. 9. During the inspection, trees were growing on the inactive portion of the C&DLF (Figure 5). The roots of trees can create leachate problems, and therefore any woody vegetation should be cut down and removed from the landfill. 10. The following records were reviewed during or via email after the inspection: • Landfill operator training certifications listed above. Random waste screening inspections from December 11, 2020 through February 19, 2021. Landfill monitoring check sheets through April 2021. Weekly cover logs from January 7, 2021 through May 3, 2021. 11. Per § 130A-309.05. (c) (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." Page 3 of 6 FACILITY COMPLIANCE INSPECTION REPORT D_E Q�� Division of Waste Management NORTH CAROLINA o"-t0E'"�m"""°"""' Solid Waste Section During the inspection, a large amount of land clearing waste was observed being stored at the facility. Mr. Daher said they had not ground land clearing waste since taking ownership of the property and the waste has been accumulating since June 2020. Make sure you are grinding and using the land clearing waste stored onsite, to be accordance with the above reference General Statute. Ms. Conners will conduct an inspection in approximately 30 days' time to follow up on compliance issues noted above. The solid waste rules referenced above can be found here. Please contact me if you have any questions or concerns regarding this inspection report. Davy Conners Digitally signed by Davy Conners Date: 2021.05.11 11:00:27-04'00' Phone: (919) 707-8290 (o); (919) 621-3685 (c) Davy Conners Environmental Senior Specialist Regional Representative Sent on: May 11, 2021 x Email Hand delivery US Mail Certified No. L _] Copies: Andrew Hammonds, Eastern District Supervisor - Solid Waste Section Page 4 of 6 FACILITY COMPLIANCE INSPECTION REPORT D_E Q�� Division of Waste Management NORTH CAROLINA o"-t0E'"�m"""°"""' Solid Waste Section Attachment 1: Inspection Photos Taken by Davy Conners on April 29, 2021 Figure 1: Working face larger than half an acre. Figure 3: Countertop waste exposed along interior 5: Trees growing on ton of the landfill. Figure 2: Large amounts of exposed waste outside of working face. Figure 4: Windblown waste and erosion rills causing exposed waste. Page 5 of 6 FACILITY COMPLIANCE INSPECTION REPORT �INAI� Division of Waste Management Solid Waste Section Attachment 2: Tonnage Log Emailed to Davy Conners from Josh Daher on April 30, 2021 SHOTWELL LANDFILL TONNAGE DATA: JAN-MAR 2021 WASTE IN DATE 1/1/2021 1/31/2021 DATE 2/1/2021 2/28/2021 Row Labels Sum of TONS Row Labels Sum of TONS C&D 12021 C&D 10992 Grand Total 12021 Grand Total 10992 WASTE OUT DATE 1/1/2021 1/31/2021 DATE 2/1/2021 2/28/2021 Row Labels Sum of TONS Row Labels Sum of TONS METAL OUT * METAL OUT AGGREGATE OUT 1793 AGGREGATE OUT 1356 COVER 334 COVER 818 Inert OUT 3201 Inert OUT 3594 Grand Total 5328 Grand Total 5768 *Metal report from Wise Recycling has not been received DATE 3/1/2021 3/31/2021 Row Labels Sum of TONS C&D 13635 Grand Total 13635 DATE 3/1/2021 3/31/2021 Row Labels Sum of TONS METAL OUT AGGREGATE OUT 1819 COVER 717 Inert OUT 4025 Grand Total 6561 Page 6 of 6