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HomeMy WebLinkAbout1201_INSP_20220330NORTH CAROLINAD_E Q�� OepaMnanf of Environmental f1ua1� FACILITY COMPLIANCE INSPECTION REPORT Division of Waste Management Solid Waste Section UNIT TYPE: Lined LCID YW Transfer Compost SLAS COUNTY: BURKE MSWLF PERMIT NO.: 1201-MSWLF- Closed X HHW White Incin T&P FIRM MSWLF goods FILE TYPE: COMPLIANCE CDLF TireT&P/ Tire Industrial DEMO SDTF Collection Monofill Landfill Date of Site Inspection: 3/30/2022 Date of Last Inspection: 2/20/2018 FACILITY NAME AND ADDRESS: Burke County Municipal Solid Waste Landfill (MSWLF) Kirksey Kirksey Drive Morganton, NC 28655 GPS COORDINATES (decimal degrees): Lat.: 35.767409' Long.: - 81.663406' FACILITY CONTACT NAME. PHONE NUMBER. ADDRESS. & EMAIL: Name: Mark Delehant, General Services Director Telephone: 828-764-9062 Address: Burke General Services, P.O. Box 1486, Morganton, NC. 28680 Email address: mark.delehant@burkenc.org ADDITIONAL FACILITY CONTACT INFORMATION: Name: Sally Sandy, Morganton City Manager Name: Bryan Steen, Burke County Manager Telephone: 828-438-5230 Telephone: 828-764-9350 Email address: citymanagerkmorgantonnc.gov Email address: bryan.steenkburkenc.org PARTICIPANTS: Kris Riddle, Environmental Senior Specialist, Solid Waste Section (Section) STATUS OF PERMIT: Closed. Permit No. 12-01 closed in accordance with 15A NCAC 13B .0510 Closure Conditions, per the "Close-out of Sanitary Landfill, Permit #12-01" closure letter dated May 8, 1989. Additionally, Burke County submitted a Post - Closure Care Plan (DIN 28397) to the Section on August 16, 2017. The Section approved the Post -Closure Care Plan in a letter (DIN 28433) to the facility dated September 5, 2017. PURPOSE OF SITE VISIT: Comprehensive Facility Inspection. STATUS OF PAST NOTED VIOLATIONS: 1. 15A NCAC 13B .0503(2)(a) CORRECTIVE MEASURES ONGOING. Since the previous facility inspection, Burke County submitted a Landfill Gas (LFG) Corrective Action Plan (FID 1226714) to address LFG exceedances at the facility. Additionally, since the previous inspection, Burke County submitted to the Section documents (FID 1401386 and 1616209) regarding LFG Remediation at the facility. As discussed post -inspection with General Services Director Mr. Mark Delehant, please continue to coordinate with Section Hydrogeologist, Jaclynne Drummond, at email jaclynne.drummondkncdenr.gov, for ongoing facility LFG corrective action measures and submittals. (Note: the 15A NCAC 13B .0500 Rules were readopted effective January 1, 2021. Post -Closure Care Requirements for closed MSWLF Units exempted from other MSWLF Rules are currently in Rule 15A NCAC 13B .0510.) Page 1 of 7 FACILITY COMPLIANCE INSPECTION REPORT �DHF 4� Division of Waste Management Solid Waste Section 2. 15A NCAC 13B .0510(c) CORRECTIVE MEASURES ONGOING. Since the previous facility inspection, Burke County repaired groundwater monitoring well #MW-1 at the facility. During this inspection, it was observed that #MW-3D appeared to be damaged and should be assessed for repair or replacement as necessary (photo #1). As discussed post -inspection with General Services Director Mr. Mark Delehant, please continue to coordinate with Section Hydrogeologist, Jaclynne Drummond, at email jaclynne.drummond(a,ncdenr.gov, for ongoing monitoring well maintenance at the facility. (Note: the 15A NCAC 13B .0500 Rules were readopted effective January 1, 2021. Post -Closure Care Requirements for closed MSWLF Units exempted from other MSWLF Rules are currently in Rule 15A NCAC 13B .0510.) 1. Groundwater Monitoring Well MW-3D. Note: well casing and concrete pad appear damaged. OBSERVED VIOLATIONS: 1. 15A NCAC 13B .0510 partially states, "the owner or operator of a closed municipal solid waste landfill unit shall comply with the post -closure care requirements specified in the permit conditions, the closure plan for the site, and the closure letter or permit for closure issued by the Division to the site at the time of closure." The Close-out of Sanitary Landfill closure letter for Burke County Landfill, Permit No. 12-01, dated May 8, 1989, partially 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/or the operator." Additionally, Burke County submitted a Post -Closure Care Plan (DIN 28397) on August 16, 2017, which was approved by the Section. Section 3.3 Erosion and Sediment Control of the Post -Care Closure Plan states, "Erosion damage such as gullies that develop on the vegetative soil layer of the final cover system will be repaired when the gullies are greater than six inches deep. Eroded areas will be filled with soil capable of sustaining vegetative growth. The surface of the soil will then be reseeded, fertilized, and mulched to reestablish vegetation." During this inspection, an eroded area was observed on the northeastern corner of the larger closed landfill cell (see Map A for location). Exposed waste was observed in this area which included tires, metals, and plastics (photos #2, 3, & 4). This eroded area extended from the top edge of the landfill cap onto the slope below and appeared to be within the Edge -of - Waste (EOW) markers. Although the facility received a moderate amount of rainfall prior to the inspection Page 2 of 7 FACILITY COMPLIANCE INSPECTION REPORT D_E Q�� Division of Waste Management eo�1� �o� �NA o partment of EnnrpnmenW10uality Solid Waste Section there were no wet areas, seeps, or leachate outbreaks observed in this area. Per the approved Post -Closure Care Plan, the facility has not demonstrated that the closed site has met the requirements in 15A NCAC 13B .0510. To achieve compliance, Burke County must repair the eroded area observed on the northeastern corner of the larger closed landfill cell at this facility and maintain the final cover system with a vegetative cover. Map A. Aerial view of Kirksey Drive facility. Red oval displays approximate location of eroded area along northeastern edge of larger cell. (Google Earth image.) 3. Southern view of eroded area and exposed waste. Photograph taken approximately halfway up the landfill slope in this area which was within the Edge of Waste. 2. Eastern view from top edge of landfill cap. Note: exposed waste observed which included tires, metals, and plastics. 4. Closer southern view of eroded area and exposed waste observed along the northeastern edge of the larger cell. Image taken from below area as shown in Photograph #2. Page 3 of 7 DaE Q!5 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 Note: The Kirksey Drive facility, Permit #12-01, is an unlined, closed MSWLF located approximately two miles northwest of the City of Morganton, NC. The facility operated as Burke County's landfill between 1968 to 1985. The facility ceased accepting waste in 1985. Since landfill inception, waste disposal areas at the site have covered portions of two adjacent parcels (PIN 2704948358 and PIN 2714065927) both of which are owned by the City of Morganton. The City of Morganton is the property owner and Burke County is the Permit Holder and Operator for the site. 1. On -site March 30, 2022, to observe the closed MSWLF cap and slopes, site access roads, facility environmental monitoring wells, passive LFG vents, stormwater management/conveyance features, erosion control maintenance, and facility mowing maintenance efforts. Facility records were reviewed before and after conducting the inspection. 2. Post inspection, additional facility research conducted which concluded on April 27, 2022. 3. Access to the site is located off Kirksey Drive (adjacent to the Burke County Friends for Animals entrance located at 417 Kirksey Drive) and is controlled by a lockable gate. 4. Access roads appeared to be maintained at the site. Continue to maintain all access roads at the site as necessary. 5. EOW markers were maintained at the facility. As discussed, post -inspection, continue to maintain all EOW markers at the site as necessary. 6. No apparent leachate breakouts or seeps were observed during this inspection. (Note: the spring mowing event for the facility had not yet occurred at the time of this inspection.) Per Section 3.2 - Leachate Monitoring of the Post -Closure Care Plan, continue to inspect for any possible leachate outbreaks during semi-annual inspections of the facility, as well as after mowing events. Contact Section Hydrogeologist Jaclynne Drummond if any areas of concern are noted and/or observed. 7. Semi-annual groundwater and surface water monitoring reports for the facility dated February 2022 (for Fall 2021 sampling event) and August 2021 (for Spring 2021 sampling event) were available for review. Previous semi-annual monitoring reports for the facility were also available for review. As required, continue to monitor all groundwater and surface water sampling locations at the facility and submit reports to Section Hydrogeologist Jaclynne Drummond. 8. The groundwater and surface water monitoring network at the facility is comprised of groundwater monitoring wells MW-1, MW-2, MW-3S, MW-3D, MW-4, MW-5, MW-6S, and MW-6D, and surface water locations SMP-1, SMP-2, and SMP-3. Access appeared to be maintained for all groundwater and surface water monitoring locations at the site. Continue to maintain access for all water quality monitoring locations at the site. (Note: Please see Status of Past Noted Violation #2 of this inspection report for additional groundwater monitoring well information for the facility.) 9. The first quarter of 2022 and all 2021 quarterly LFG monitoring reports for the facility were available for review. Previous quarterly LFG monitoring reports for the facility were also available for review. As required, continue to monitor all LFG sampling locations quarterly and submit reports to the Section as necessary. (Note: Please see Status of Past Noted Violation #1 of this inspection report for additional LFG information for the facility.) 10. The LFG monitoring network at the facility is comprised of LFG wells GP-1 through GP-6. Indoor sampling locations for LFG are in the adjacent County Humane Society and Friends for Animals buildings situated along the Page 4 of 7 FACILITY COMPLIANCE INSPECTION REPORT D_E Q�� Division of Waste Management eo�1� �o� �NA o partment of EnnrpnmenW10uality Solid Waste Section southwestern side of the facility. Four passive gas vents are also located at the closed MSWLF facility. Access appeared to be maintained for all LFG monitoring locations at the site. Continue to maintain access for all LFG monitoring locations at the facility. 11. Regarding Observed Violation 1, please ensure that exposed and accessible tires, metals, and plastics are removed and properly disposed when repairing erosion damage and maintaining the landfill cap and slope in this area. 12. As observed on -site and as discussed with Mr. Delehant post -inspection, some stormwater inlets at the facility need to be maintained on both closed cells at the MSWLF (photos #5 & #6). Additionally, surface runoff should be managed and maintained at the facility, so the conveyance systems promote positive sheet flow to inlets and to other erosion control measures at the site (photo #7). Continue to maintain other erosion control measures at the facility as necessary including rip -rap channels, sediment detention basins, permanent diversions, and outlet stabilization structures. 5. Southern view of damaged surface runoff/stormwater inlet on smaller closed MSWLF cell at the facility. Maintain this inlet as necessary to ensure positive drainage in this area. 6. Southern view of surface runoff/stormwater conveyance to damaged inlet on eastern edge of larger landfill cell. (Inlet appeared to convey runoff as observed from this CMP outlet.) Ensure the inlet is maintained in this area so runoff does not erode and potentially undermine the conveyance system in this area. Page 5 of 7 NOR;T �-�INA' Department p/ Envirpnmantal Qp;l FACILITY COMPLIANCE INSPECTION REPORT Division of Waste Management Solid Waste Section 7. Northern view of runoff/stormwater conveyance area on eastern edge of larger landfill cell. Note: woody debris and leaves potentially impeding the flow of runoff to site conveyance features. Maintain the conveyance system(s) as necessary at the facility to ensure positive flow from the site. 13. The vegetated (grassed) landfill cap above the eroded area on the northeastern corner of the larger landfill cell appeared to be damp and displayed potential areas of subsidence (photo #8). Continue to monitor this location and maintain any possible areas of subsidence as necessary. (Note: although the facility did receive moderate rainfall prior to this inspection, this area did not appear to be associated with the eroded cap and slope area.) 8. Southwestern view of damp, vegetated area on northeastern cap of larger landfill cell which displayed areas of potential subsidence. Continue to monitor this area and maintain as necessary. Page 6 of 7 FACILITY COMPLIANCE INSPECTION REPORT Division of Waste Management NORTH CAROLINA Solid Waste Section 14. After mowing events occur at the facility, continue to ensure the landfill cap is inspected for impounded water, subsidence/differential settling, cracking, signs of erosion or damage, and that any necessary repairs are made in a timely manner. 15. Semi-annual Post Closure Inspection Reports were available for review. Per the approved Post -Closure Care Plan and as discussed post -inspection, continue to conduct semi-annual landfill inspections and maintain any areas of concern as necessary. Of note, and as partially stated in Section 3.4 Vegetative Cover of the approved Post -Closure Care Plan, "Dead trees and shrubs, fallen branches, and excessive undergrowth shall be removed." During this inspection, dead trees, fallen branches, and areas of undergrowth were observed on both closed landfill cells at the facility and should be removed per the Post -Closure Care Plan (photos #9 & #10). 9. Northwestern view of slope along eastern edge of smaller landfill cell. Note: EOW marker in foreground and fallen branches and undergrowth on slope. Example of some areas at the facility in need of vegetative cover maintenance. 16. All photographs taken by Kris Riddle on March 30, 2022. 10. Western view of slope along eastern edge of larger landfill cell within EOW. Note: dead trees on slope. Example of some areas at the facility in need of vegetative cover maintenance, per the approved Post -Closure Care Plan. Please contact me if you have any questions or concerns regarding this inspection report. Ina D Digitally signed by Kris Riddle I� Date: 2022.04.28 13:58:52 -04'00' Phone:828-296-4705 Kris Riddle, Environmental Senior Specialist Division of Waste Management, NC DEQ Regional Representative Sent to Mark Delehant, on X Email Hand delivery US Mail Certified No. f� April 28, 2022, via: E-Copies: Deb Aja, Western District Supervisor — Solid Waste Section Jaclynne Drummond, Hydrogeologist — Solid Waste Section Sally Sandy, City Manager — Morganton Bryan Steen, County Manager — Burke Page 7 of 7