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HomeMy WebLinkAbout7407_CandDLandfillInc_20170316_GWLFGResponsePhase_DIN27526 March 16, 2017 Sent Via Email - judson@ejerecycle.com Mr. Judson Whitehurst President EJE Recycling & Disposal, Inc. 802 Recycling Lane Greenville, NC 27834 Sent Via Email - wayne@ejerecycle.com Mr. Wayne Bell Landfill General Manager EJE Recycling & Disposal, Inc. 802 Recycling Lane Greenville, NC 27834 Re: Groundwater Exceedances and Landfill Gas Monitoring C&D Landfill, Inc. Pitt County Solid Waste Permit Number 74-07 DIN 27526 Dear Mr. Whitehurst and Mr. Bell: EJE Recycling & Disposal, Inc. must take all necessary steps to ensure the protection of public health and the environment. Based upon the historical and current groundwater exceedances and the lack of permanent landfill gas monitoring wells to accurately measure landfill gas at Phase 1 and Phase 2 (the November 2014 Landfill Gas Monitoring Plan is no longer valid), the Solid Waste Section sent a letter dated January 30, 2017 and required EJE Recycling & Disposal, Inc. to conduct additional activities at the C&D Landfill, Inc., Solid Waste Permit Number 7407. The following has occurred since the January 30, 2017 letter was sent:  Per your environmental consultant’s request, on February 2, 2017, a conference call was conducted with Solid Waste Section representatives (Jason Watkins, Elizabeth Werner, and Jaclynne Drummond) to discuss the January 30, 2017 letter;  On March 2, 2017, your environmental consultant provided an email to a Solid Waste Section representative (Jaclynne Drummond) stating that a response to the letter will be provided within the 30-day time frame (March 3, 2017);  On March 7, 2017, a Solid Waste Section representative (Jaclynne Drummond) sent an email to your environmental consultant and copied a EJE Recycling & Disposal, Inc. representative (Wayne Bell) requesting the status of the submittal of the Assessment Monitoring Plan and the Landfill Gas Monitoring Plan since they have not been received;  On March 7, 2017, a Solid Waste Section representative (Jaclynne Drummond) received an email response from your environmental consultant stating that it will be completed that day (March 7, 2017);  On March 9, 2017, your environmental consultant provided a proposed one-page sampling list with a site figure (not a monitoring plan) in an email to a Solid Waste Section representative (Jaclynne Drummond) and requested a response to the sampling list. In addition, within that same email, your environmental consultant proposed to install permanent soil vapor sampling probes in lieu of permanent landfill gas monitoring wells;  On March 9, 2017, a Solid Waste Section representative (Jaclynne Drummond) responded to the email and copied a EJE Recycling & Disposal, Inc. representative (Wayne Bell) stating the following: the proposed sampling list will not be approved; since site conditions have changed, the October 4, 2012 letter where monitoring frequencies were approved is no longer valid; and permanent landfill gas monitoring wells with stopcock valves can be installed in certain locations at the landfill based upon the groundwater elevations so the Solid Waste Section would be amenable to a combination of the installation of landfill gas monitoring wells and soil vapor sampling probes using the proper monitoring equipment to obtain accurate methane gas and hydrogen sulfide results; and  On March 10, 2017, a Solid Waste Section representative (Jaclynne Drummond) had a phone conversation with your environmental consultant regarding additional questions about the March 9, 2017 emails and the January 30, 2017 letter. An Assessment Monitoring Plan and a Landfill Gas Monitoring Plan were to be submitted to the Solid Waste Section within 30 days of January 30, 2017 for Solid Waste Section review. To date, the Solid Waste Section has not received the plans. If the plans are not submitted, C&D Landfill, Inc. may be entered into Tiered Enforcement to achieve compliance with penalties up to $15,000 per day 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 and may also be subject to other enforcement actions including injunction from operation and any such further relief. If you have any questions, please contact me by email at jaclynne.drummond@ncdenr.gov or by phone at 828.296.4706. Sincerely, Jaclynne Drummond Compliance Hydrogeologist Solid Waste Section, Division of Waste Management NCDEQ cc sent via email: Jason Watkins, Field Operations Branch Head Ed Mussler, Permitting Branch Head Drew Hammonds, Eastern District Supervisor Ray Williams, Environmental Senior Specialist Elizabeth Werner, Permitting Hydrogeologist Pat Backus, Permitting Engineer Sarah Rice, Compliance Officer