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HomeMy WebLinkAbout11-01 050709 NOVAG;j NCDENR NORTH CAROLINA DEPARTMENT OF ENVIRONMENT AND NATURAL RESOURCES FACILITY COMPLIANCE AUDIT REPORT Division of Waste Management Solid Waste Section UNIT TYPE: Lined LCID YW Transfer Compost sLAS COUNTY: BUNCOMBE MSWLF PERMIT NO.: 11-01 Closed X EIFIW white Incin T&P FIRM MSWLF goods FILE TYPE: COMPLIANCE CDLF TireT&P/ Tire Industrial DEMO SDTF Collection Monofill Landfill Date of Audit: 05/07/09 FACILITY NAME AND ADDRESS: Buncombe County — Closed MSWLF Highway 251 Asheville, 28804 Date of Last Audit: 05/27/06 GPS COORDINATES: N: 35.659706 E:-82.600287 FACILITY CONTACT NAME AND PHONE NUMBER: Jerry Mears (828) 250-5467 FACILITY CONTACT ADDRESS: Buncombe County Solid Waste Management Facility 85 Panther Branch Road, Alexander, NC 28701 AUDIT PARTICIPANTS: Jerry Mears, Buncombe County Kristy Smith, Buncombe County Andrea Keller, NCDENR — Solid Waste Section Darlene Kucken, NCDENR — Land Quality Section STATUS OF PERMIT: Closed (Area A, B, and C)/ Transition Plan - 1994 Closed (Area D) — 1998 Modification to the Permit for Closure — 2/20/07 PURPOSE OF AUDIT: COMPREHENSIVE NOTICE OF VIOLATION(S): 15A NCAC 13B .1627(d) states that: Post -closure criteria includes; (D) maintaining and operating the gas monitoring system in accordance with the requirements of Rule .1626 of this Section. 15A NCAC 13B .1626(4) Explosive gasses control; (a) Owners or operators of all MSWLF units must ensure that: (i) The concentration of methane gas generated by the facility does not exceed 25 percent of the lower explosive limit for methane in facility structures (excluding gas control or recovery system components); and (ii) The concentration of methane gas does not exceed the lower explosive limit for methane at the facility property boundary. FACILITY COMPLIANCE AUDIT REPORT Division of Waste Management Solid Waste Section Page 2 of 2 15A NCAC 13B .1626(4)(b) states: Owners or operators of all MSWLF units must implement a routine methane monitoring program to ensure that the standards of (4)(a) are met. A permanent monitoring system shall be constructed on or before October 9, 1994. A temporary monitoring system shall be used prior to the construction of a permanent system. 15A NCAC 13B .1625(a) states: The operator of a MSWLF unit shall maintain and operate the facility according to the operating plan prepared in accordance with this Rule. During the comprehensive inspection (and the ensuing document search) it was determined that during the time period in which the landfill gas collection system was installed at the facility (1997-1998), the landfill gas monitoring system consisting of ten methane monitoring probes (GP-1 through GP-10) were converted and/or "capped" without Section approval. Following this conversion, no further methane monitoring was performed at the facility. (See detailed discussion below in comment #8). Buncombe County is in violation of 15A NCAC 13B .1627(d)(D) for failure to maintain and operate the gas monitoring system in accordance with the requirements of Rule .1626 of this Section. Buncombe County is in violation of 15A NCAC 13B .1626(4)(b) for failing to implement their routine methane monitoring program to ensure that the standards of 15A NCAC 13B .1627(4)(a) are met. Buncombe County is in violation of 15A NCAC 13B .1625(a) for failing to maintain and operate the facility according to the operating plan prepared in accordance with this Rule. In order to achieve compliance, Buncombe County must submit a new permanent methane monitoring plan to the Section for approval. This methane monitoring plan should satisfy all conditions of Rule 15A NCAC 13B .1626(4) as exampled by the previously approved Explosive Gas Control Plan (Section 7.9 of the approved Transition Plan dated April 1994) which discussed the monitoring probe placement (Sheet 7 of 9), monitoring probe construction (Sheet 9 of 9), and all recordkeeping and monitoring requirements. Note that the previously approved Explosive Gas Control Plan indicated a network of methane gas monitoring wells such that the final network bordered all waste areas (A, B, C, and D). The deadline for submittal of the methane monitoring plan is June 29, 2009. Following approval of the methane gas monitoring plan, a Modification to the Permit for Closure will be required to fully bring the facility into compliance along with any further requirements deemed necessary by the Section. You are hereby 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 Statute or Regulations. For the violation(s) noted here, you may 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. STATUS OF PAST NOTED VIOLATIONS: None AREAS OF CONCERN AND COMMENTS: 1. On site for Comprehensive audit of closed MSWLF (Areas A, B, and C closed under the .0500 Rules, Area D closed under the .1600 Rules). 2. Land Quality Section (D. Kucken) audited site per LQ permit #2006-005 and #2002-013. 3. Sedimentation controls/ponds were intact. Adequate ground cover was in place on closed fill areas. Ground cover needs to be maintained on all of the previously disturbed areas to include the MSWLF slopes, the slopes and haul roads, and all other areas that are bare or eroding. Note: the ground cover in the high point region on Area D (surrounding the tower) appeared to be thinning, pay close attention to this region during future site maintenance. FACILITY COMPLIANCE AUDIT REPORT Division of Waste Management Solid Waste Section Page 3 of 3 Additionally, the areas where the GDS containers were being stored (particularly on the access road which turns right upon entering the property) were exhibiting ruts/erosion. If these storage locations cover must be established. 4. According to the February 20, 2007 Modification to the Permit for Closure, Post -Closure Uses (7): The owner/operator shall submit a description of the planned uses of the property during the post - closure period. Post -closure uses approved by the Division, are described in the List of Approved Documents, Attachment 1, Part B, Documents 1, 2, and 3. Several site activities not captured in the above -referenced documents were noted during this audit (prior audits did reference these activities). During the next permit modification, all on site activities not currently captured in the permit must be added to the permit application. This includes the storage of GDS containers at the facility, the operation of the model airplane field on Area B/C, and all other site activities not currently noted in the approved documents and/or the most recent permit modification. 5. Groundwater monitoring records were reviewed. The most recent groundwater sampling event occurred in April, 2009. 6. Approximately one third of the groundwater monit ring wells were inspected: MW - A OK MW-2 POUR PAD MW-7 WEED EAT MW- 8 OK MW - 23 (SHALLOW) NEEDS NEW NUMBERS MW - 23 (DEEP) CLEAN UP TRASH MW - 14 OK MW - 4-A DIG OUT AROUND/POUR PAD MW - 12 (SHALLOW) NEEDS NEW NUMBERS MW - 12 (INTERMEDIATE) NEEDS NEW NUMBERS MW - 13 (SHALLOW) NEEDS PAD FACILITY COMPLIANCE AUDIT REPORT Division of Waste Management Solid Waste Section Page 4 of 4 MW - 13 (INTERMEDIATE) OK MW - 13 (DEEP) NEEDS PAD 7. According to 15A NCAC 13B .1627 Closure and Post -Closure requirements for MSWLF Facilities: (c) Closure Criteria (C) Minimize erosion of the cap system and protect the low -permeability barrier from root penetration by use of an erosion layer that contains a minimum of six inches of earthen material that is capable of sustaining native plant growth. While Area D was closed under the .1600 Rules and Areas A, B, and C were closed under the .0500 Rules, all Areas must meet the Post -Closure General Condition stated in the permit such that the owner or operator shall maintain the integrity and effectiveness of any camp system. In general, the facility has maintained the cap system well, has established vegetative growth, and has maintained erosion controls. However, along several of the Area boundaries (waste boundaries) woody/tree growth is beginning to encroach upon the cap system. As these types of root systems will most likely extend beyond the erosion layer into the impermeable layer of the cap (thus destroying the integrity of the cap system and creating a path for water into the landfill), and as trees both inhibit the proper mowing and necessary maintenance of the cap while impeding on the ability to visually inspect the cap integrity, this woody shrub/tree growth must be eliminated. Any stumps and root systems of larger trees must be removed and the cap system repaired. Additionally, it is suggested that the facility mark the edge -of -waste boundaries on all closed cells (areas) in order to clearly delineate the regions requiring the above -referenced maintenance and controls. 8. Methane Monitoring Timeline: a. Transition Plan (4/7/94): Includes the Explosive Gas Control Plan (EGCP), monitoring probe placement (10 probes), probe/well construction specs, location of wells, and monitoring logs. b. Full approval of the Transition Plan (9/21/95). c. Modification to Permit (10/3/96): Includes the entirety of the original EGCP with inserts to address the monitoring of the planned Landfill Gas (LFG) collection system. No mention of conversion of monitoring wells noted in this plan. d. Area D Closure Application (8/l/98): • Section 8.1 (Closure Plan) LFG management system states that the as -built info replaces the details of Sheet 9 of the Transition Plan figure (well diagrams). • The Post -Closure Plan in Appendix D, Section 9.3, states that monitoring activities will include groundwater and surface water monitoring as well as landfill gas migration monitoring throughout the 30-year post -closure period. This will provide early detection of any potentially harmful elements to the public or the environment. Section 9.4, Maintenance Activities, states: Buncombe County is committed to maintain this facility to the highest standards. A variety of maintenance and repair activities will be conducted at the closed landfill on a regular basis. Including: repair/replace damaged monitor wells. Furthermore, Buncombe County will perform regular inspections of the closed landfill facility during the long term care period. Including: Landfill gas migration control and monitoring and FACILITY COMPLIANCE AUDIT REPORT Division of Waste Management Solid Waste Section Page 5 of 5 groundwater monitoring systems will be inspected and maintained to ensure that they operate property. e. LFG Collection System, Engineering Report (12/7/98): Ten shallow monitoring probes were placed around the perimeter of the old disposal area during the initial phase of the LFG monitoring program... Three of the passive vents (P-4, P-5, and P-9) located in the trench along the roadway have been converted to extraction wellheads and connected to the active LFG system, as shown on the Record Drawings presented in Appendix A. The remaining vents [seven] were capped. This work was most likely conducted in the 1996-1998 timeframe. However, no records were found to indicate that the conversion/capping of the gas probe monitoring wells had been approved by the Section. Additionally, the language changes from calling the wells gas monitoring probes (GP) to passive vents (P) and then states that the converted wells (P-4, 5, and 9) were located along the trench line (and roadway) whereas GP-9 was located significantly southwest of the trench along the French Broad River. It appears as though GP- 4, 5, and 6 were the gas probe monitoring wells located in the trench area. f. Modification to Permit for Closure (2/20/07): States that the approved documents are the Transition Plan (4/94), Closure Plan for MSWLF Area D (8/98), documents on groundwater monitoring well changes 1/16/07, 1/22/07, and the Progress Energy Turbine Generation Plant proposal. Additionally, the permit states, under Methane Gas Remediation Conditions, the .1627 Rules regarding methane monitoring at facility structures and property boundaries and that if methane gas levels exceeding these limits are detected, the facility must implement Condition 8 (Transition Plan). This indicates that the Section was unaware of the modifications to the LFG monitoring wells and that the only approved gas monitoring plan was the Transition Plan EGCP (including the permit modifications of 10/3/96) g. Methane Monitoring, Buncombe County: In immediate response to the preliminary audit findings (no methane monitoring records available), Buncombe County conducted ambient methane monitoring at the property boundary (see attached document) on May 12, 2009. No methane was detected at the twelve perimeter locations. During the inspection, it was stated that Buncombe County was operating under the assumption that the LFG collection system, along with the landfill gas collection system monitoring conducted by Enerdyne, was the approved methane monitoring program. Enerdyne (Steve Allen) confirmed that they were not conducting methane monitoring outside of the operational monitoring required for the LFG collection system. From this timeline (including secondary documents and submittal/approval letters) it appears as though at some point between the permit modification of (October, 1996) and the engineering report discussing the as -built of the LFG collection system (December, 1998), the ten EGCP wells (GP-1 through GP-10) were altered/abandoned and the EGCP plan was not able to be implemented. Thus, the required methane monitoring did not occur for a period of approximately 11-12 years. FACILITY COMPLIANCE AUDIT REPORT Division of Waste Management Solid Waste Section Page 6 of 6 Please contact me if you have any questions or concerns regarding this audit report. Phone: 828-296-4700 Andrea Keller Environmental Senior Specialist Regional Representative Mailed on: 5/28/09 by Hand delivery US Certified No. [7006 2150 0005 2458 9150 1 Mail cc: Mark Poindexter, Field Operations Branch Supervisor Deb Aja, Western District Supervisor Donald Herndon, Compliance Officer Wanda Greene, Buncombe County Manager