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HomeMy WebLinkAbout2022.01.17_CCO.p.21_Chemours Para. 21 Extension RequestThe Chemours Company Fayetteville Works 22828 NC Highway 87 W Fayetteville, NC 28306 February 17, 2022 Sushma Masemore Assistant Secretary N.C. Department of Environmental Quality 1601 Mail Service Center Raleigh, NC 27699-1601 sushma.masemore@ncdenr.gov Re: Consent Order Paragraph 21 - Request for Extension of Deadline Dear Ms. Masemore, Following up on previous discussions and correspondence with DEQ, I am writing on behalf of Chemours to seek an extension of the deadline under paragraph 21 of the Consent Order entered by the Bladen County Superior Court on February 25, 2019. Paragraph 25 of the Consent Order states: “For good cause shown, Chemours may submit to DEQ one or more requests for extensions of up [to] three months each for any deadline specified in paragraphs 19- 24.” Paragraph 21 of the Consent Order requires that Chemours sample “drinking water wells for a distance of at least one-quarter (1/4) mile beyond the nearest well with test results showing a quantifiable level of any PFAS listed in Attachment C above 10 ng/L” and that “[s]uch testing shall be completed within eighteen (18) months of entry of this Order” (i.e., by August 25, 2020). On May 19, 2020, Chemours requested a deadline extension of 3 months, to November 25, 2020, and, on May 22, 2020, DEQ granted the requested extension. On October 29, 2020, Chemours requested a deadline extension of 3 months, to February 25, 2021, and, on November 23, 2020, DEQ granted the requested extension. On February 3, 2021, Chemours requested a deadline extension of 3 months, to May 25, 2021, and, on February 23, 2021, DEQ granted the requested extension. On May 17, 2021, Chemours requested a deadline extension of 3 months, to August 25, 2021, and, on May 25, 2021, DEQ granted the requested extension. On August 13, 2021, Chemours requested a deadline extension of 3 months, to November 25, 2021, and, on August 24, 2021, DEQ granted the requested extension. On November 10, 2021, Chemours requested a deadline extension of 3 months, to February 25, 2022, and, on November 23, 2021, DEQ granted the requested extension. As described in the previous request letters and discussed with DEQ, the paragraph 21 sampling program is ongoing, and we understand that extension requests will continue to be considered in 3-month intervals. Chemours continues to devote substantial resources to complete the paragraph 21 sampling program as expeditiously as practicable and continues to make significant progress. 2 As shown on the enclosed sampling program map, Chemours has sampled drinking water wells at over 8,700 residences across an area of approximately 450 square miles surrounding Fayetteville Works. Areas with potential GAC-qualifying residences have been delineated, and nearly all residences within the infill sampling area (approximately 3,000 additional residences) have been offered sampling. Based on existing data, and as shown on the enclosed map, delineation has been completed in sectors 3, 4, 5, 6, 7, 8, 9, 10, 11, 12, 13, 14, and 15. Delineation remains in progress in sectors 1, 2, and 16. For these three in-progress sectors, Chemours is continuing to collect additional data by scheduling residences located beyond the current step out area for sampling and sending additional sample offer letters to residences within one quarter mile of the last RO-qualifying residence. Chemours has been in discussions with DEQ regarding delineation, understands that DEQ is currently reviewing delineation information, and will continue to keep DEQ informed as the sampling program proceeds. For the reasons set forth above as well as in previous discussions and correspondence with DEQ, pursuant to paragraph 25 of the Consent Order, Chemours hereby requests another extension of 3 months, to May 25, 2022, for the paragraph 21 sampling program. If you have any questions or would like to discuss this matter further, please contact me at dawn.m.hughes-1@chemours.com. Sincerely, Dawn M. Hughes Plant Manager Chemours – Fayetteville Works Enclosure Sampling Program Map 3 Cc: William F. Lane, DEQ Francisco Benzoni, NC DOJ Michael Abraczinskas, DAQ Michael Scott, DWM Danny Smith, DWR David C. Shelton, Chemours John F. Savarese, WLRK Kemp Burdette, CFRW Geoff Gisler, SELC