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HomeMy WebLinkAbout11-01 082109 AuditNCDENR 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: 08/20/09 FACILITY NAME AND ADDRESS: Buncombe County — Closed MSWLF Highway 251 Asheville, 28804 Date of Last Audit: 05/07/09 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 Andrea Keller, NCDENR Solid Waste Section Allen Gaither, NCDENR SWS Permitting Branch 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: Partial NOTICE OF VIOLATION(S): None STATUS OF PAST NOTED VIOLATIONS: Buncombe County is currently completing the conditions for compliance stated in the August 27th, 2009 Compliance Order. The following actions have been completed: the county has conducted ambient screening of the landfill perimeter, submitted a LFG monitoring plan for approval by the permitting department, and communicated their intent to recover/locate and/or replace required LFG monitoring wells in order to comply with submitted LFG monitoring plan. FACILITY COMPLIANCE AUDIT REPORT Division of Waste Management Solid Waste Section Page 2 of 2 The cited violations below will be resolved following Section approval of the LFG monitoring plan, implementation of the plan, and inspection of the facility LFG monitoring wells. Resolution Pending: 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. 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. 15A NCAC 13B .1625(a) for failing to maintain and operate the facility according to the operating plan prepared in accordance with this Rule. AREAS OF CONCERN AND COMMENTS: On site for meeting/site review regarding submittal of permit modification for Regional Emergency Training Facility. 2. It was stated that the Army Corp of Engineers reviewed the county's plans and determined that there was no issue with the preliminary construction plans. No construction will occur in the area of a spring, located near Canoe Lane and Riverside Drive intersection. 3. J. Mears pointed out edge of waste boundaries. No construction is planned over disposal cells. It was discussed that edge -of -waste boundaries on all closed cells (areas) should be marked prior to any site construction activities. 4. The top of Area C (tower region) had been seeded and showed improved vegetative cover. 5. A. Gaither stated that the county should initiate the review process by submitting a landfill gas (LFG) methane monitoring plan to himself (and Zenith Barbee, SWS permitting hyrdogeologist). 6. 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 the prior audit (05/07/09). During the permit modification for the future training center, 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. 7. While the previously cited NOVs are pending resolution at this time, the approval and implementation of an updated (to reflect the modifications due to the training center) LFG methane monitoring plan will be required. FACILITY COMPLIANCE AUDIT REPORT Division of Waste Management Solid Waste Section Page 3 of 3 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: 10/07/09 by Hand delivery Us Certified No. Mail ec: Mark Poindexter, Field Operations Branch Supervisor Deb Aja, Western District Supervisor Donald Herndon, Compliance Officer Allen Gaither, Permitting Engineer