Loading...
HomeMy WebLinkAbout9809-CDLF_AssmtMonWrkplnAppr_DIN27368_20170209 February 9, 2017 Sent Via Email - adavis@wilson-co.com Andy Davis Wilson County Solid Waste Services Director P.O. Box 1728 Wilson, NC 27894 Re: Assessment Monitoring Workplan Approval Westside C&D Facility, Permit #98-09 DIN 27368 Dear Mr. Davis, The Solid Waste Section (Section) has completed a review of the Assessment Monitoring Workplan (DIN 27367) submitted on behalf of Wilson County by Babb and Associates, P.A.(Babb). An assessment workplan was required per an October 14, 2016 correspondence from the Section due to monitoring well GMW-3 groundwater samples exceeding the standards established in 15A NCAC 02L .0202 (2L Standards). 1,2-dichloropropane is the constituent of concern that was reported at concentrations above the 2L Standard during the October 2015 and April 2016 groundwater monitoring events. Appendix II monitoring was initiated during the November 2016 groundwater monitoring event and 1,2-dichloropropane concentrations exceeded the 2L Standards for the third consecutive event. Babb has proposed to conduct the assessment in two possible phases. The first proposed phase involves collecting soil in the vicinity of GMW-3 and soil from the Tucker Farm. Three soil samples are proposed to be collected near GMW-3 at depths ranging from 12”-18” below ground surface. Two samples will be collected from Tucker Farm at similar depths. According to Babb, 1,2-dichloropropane is a potential soil fumigant constituent used for nematode control in farming operations. Soil from Tucker Farm was used as borrow material during the Westide CDLF’s construction, so the results from those soil samples could indicate if the Tucker Farm soils are a potential contaminant source. If 1,2-dichloropropane is detected in the soil samples, Babb proposes to submit an alternate source demonstration to address the 2L Standard exceedance. If 1,2-dichloropropane is not reported in the soil samples, Babb proposes to construct a groundwater monitoring well downgradient of GMW-3 to define the lateral extent of groundwater contamination. The Section approves of the phased approach presented by Babb and the facility may proceed with the assessment in accordance with the proposed schedule. Please contact me at (919) 707-8288 or by e-mail at ervin.lane@ncdenr.gov if you have any questions or concerns regarding this letter. Thank you in advance for your anticipated cooperation with this matter. Sincerely, Ervin Lane Compliance Hydrogeologist Solid Waste Section cc sent via email: Gary D. Babb, P.G., Babb & Associates, P.A. Jason Watkins, Field Operations Branch Head Ed Mussler, P.E., Permitting Branch Head Ming Chao, P.E., Permitting Engineer Christine Ritter, Permitting Hydrogeologist Drew Hammonds, Eastern District Supervisor John College, Environmental Senior Specialist