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HomeMy WebLinkAbout7304_UpperPiedmontMSWLF_ASDMetalsResp_DIN28427_20170911 September 11, 2017 Sent Via Email - MEinsmann@republicservices.com Mr. Matt Einsmann Republic Services of North Carolina, LLC 9650 Oxford Road Rougemount, NC 27572 Re: Alternate Source Demonstration Upper Piedmont Regional Landfill Solid Waste Permit Number 7304 DIN 28427 Dear Mr. Einsmann: The Solid Waste Section (Section) has completed a review of the Alternate Source Demonstration report (DIN 27402) submitted on behalf of Republic Services, LLC (Republic) by Joyce Engineering (Joyce) for the Upper Piedmont Subtitle D MSW Lined Landfill, Solid Waste Permit Number 7304. The Alternate Source Demonstration was submitted to address detections of cobalt at concentrations above the Interim Maximum Allowable Concentration (IMAC) in addition to iron and manganese concentrations exceeding the standards established in 15A NCAC 02L .0202 (2L Standards). The Alternate Source Demonstration submittal included a statistical evaluation of background concentrations, comparison to landfill leachate analytical results, and a presentation of data from the Geological Atlas of North Carolina related to the natural occurrence of cobalt, iron, and manganese in stream sediment. Joyce concluded the concentrations of cobalt, iron, and manganese reported in groundwater samples are derived from the natural occurrence of those constituents in bedrock, soil, and/or sediment. Joyce proposed to establish a background value of 31.5 g/l for cobalt in contrast to the current IMAC of 1 g/l. Joyce also requested to cease monitoring for iron and manganese since those parameters are not included in the Appendix I or II constituent list. Republic agreed to analyze groundwater samples for iron and manganese in 2007 after receiving a joint request from the Section and the Division of Water Quality (now Division of Water Resources) – Surface Water Protection Section (DWQ-SWP). Elevated iron and manganese concentrations were reported in surface water samples collected from Cub Creek by DWQ-SWP staff. Iron and manganese analytical results from groundwater samples were intended to help the DWQ-SWP determine the cause of elevated surface water sample concentrations. The DWQ-SWP was not able to establish a link between the iron and manganese concentrations in Cub Creek and in groundwater at the facility, therefore, the Section will not require continued iron and manganese analysis. Based upon the information provided within Republic’s Alternate Source Demonstration, the Section is requiring additional information to be submitted in a phased approach within an Alternate Source Demonstration Addendum. Within 120 days of receipt of this letter, please submit an Alternate Source Demonstration Addendum that meets the criteria described in the NC Solid Waste Section guidance document titled NC Solid Waste Section Guidance for Alternative Source Demonstration Submittals for Solid Waste Management Facilities - 2017. Republic is required to address the following in the Alternate Source Demonstration Addendum: • Review previous turbidity values for groundwater monitoring results used to calculate the statistical background value for cobalt. Analytical data from turbid samples should not be used to calculate background levels, since statistical background levels derived from turbid samples may not accurately reflect background conditions. Statistical background levels should be calculated using monitoring data from a minimum of ten groundwater samples where the turbidity values are less than 10 Nephelometric Turbidity Units (NTUs). If there is an insufficient number of previous background samples with turbidity values less than 10 NTUs or no field notes to verify the turbidity values, Republic should establish a temporary groundwater monitoring schedule to collect the required number of non-turbid samples from the background well within a two-year period. Turbidity values should be recorded and submitted to the Section during the temporary monitoring period. The temporary groundwater monitoring schedule should be included in the ASD addendum. • If analytical data appears to be influenced by turbidity, determine if intrawell analysis can sufficiently account for geologic variation or if an additional background well is needed. • If the statistical background value is re-calculated and outliers are detected, the values should be reviewed to determine if they should be removed from the data set or are representative of background and should be retained for statistical analysis. Technical reasons should be provided explaining why a statistical outlier should be included or excluded from the groundwater background data sets. • If Republic chooses to utilize the Upper Tolerance Limits to establish new background levels for cobalt, calculations should follow the distribution hierarchy preference. Lastly, if Republic does not submit an Alternate Source Demonstration Addendum, the facility will be required to initiate Assessment Monitoring in accordance with 15A NCAC 13B .1634. If you have any questions or concerns regarding this letter, please feel free to contact me by email at ervin.lane@ncdenr.gov or by phone at 919.707.8288. Thank you for your continued cooperation with this matter. Sincerely, Ervin Lane Compliance Hydrogeologist Solid Waste Section, Division of Waste Management NCDEQ cc sent via email: Ellen Lorscheider, Solid Waste Section Chief Jason Watkins, Field Operations Branch Head Ed Mussler, Permitting Branch Head Drew Hammonds, Eastern District Supervisor Mary Whaley, Environmental Senior Specialist Shannon Aufman, Permitting Engineer Christine Ritter, Permitting Hydrogeologist Van Burbach, Joyce Engineering