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HomeMy WebLinkAbout6301_MooreMSWLF_GWCA_DIN28498_20170928 September 28, 2017 Sent Via Email - cbeane@moorecountync.gov Mr. Chad Beane Moore County Solid Waste P.O. Box 1927 Carthage, North Carolina 28327 Re: Groundwater Corrective Action and Landfill Gas Corrective Action Closed and Unlined Moore County MSW Landfill Moore County Solid Waste Permit Number 6301-MSWLF-1979 DIN 28498 Dear Mr. Beane: Moore County (County) submitted a Corrective Action Evaluation Report dated May 15, 2012 (DIN 17039) to summarize the ongoing passive groundwater corrective action that has been implemented since 2006 at the closed and unlined Moore County MSW Landfill for groundwater exceedances of volatile organic compounds (VOCs). Within the 2012 Corrective Action Evaluation Report, the County proposed to continue implementing Monitored Natural Attention (MNA) for an additional five years and to implement the Contingency Plan presented within the Assessment of Corrective Measures report. The Contingency Plan specified the County would implement an active landfill gas remedy for the landfill. The Solid Waste Section (Section) approved the 2012 Corrective Action Evaluation Report on August 30, 2012 (DIN 17133). On May 16, 2013, the County submitted a document titled Contingency Plan Update and Implementation Plan - Revised (DIN 19055). Passive landfill gas vents (GV-30, GV-31, and GV-32) were installed and the document stated that if the landfill gas vents were not effective in both reducing the migration of landfill gas and the constituent concentrations in the groundwater within one year of implementation, the installed landfill gas vents would be converted to an active landfill gas system. The Section approved the Contingency Plan Update and Implementation Plan – Revised on June 5, 2013 (DIN 19096). As a follow up the County submitted a document titled Contingency Plan Update Evaluation dated March 16, 2015 (DIN 24035). The County requested that the evaluation be delayed until after the October 2015 water quality monitoring event. The Section approved the County’s request on March 24, 2015 (DIN 24038). To date, the Section has not received an updated evaluation and the County is continuing to implement passive groundwater corrective action and passive landfill gas corrective action at the closed and unlined MSW Landfill. The County (1) has not implemented an active landfill gas system as stated and approved in 2012 at the closed and unlined MSW Landfill to effectively reduce the landfill gas concentrations, and (2) has not selected a groundwater corrective action remedy that would restore groundwater quality at and beyond the MSW Landfill’s compliance boundary, would effectively reduce the overall groundwater contamination at the MSW Landfill, and would control the migration of contaminated groundwater to prevent unacceptable impacts from the MSW Landfill. The current passive groundwater selected remedy that was implemented in 2006 does not appear to be working as effectively as designed. The continued groundwater exceedances at the closed and unlined MSW Landfill are a violation of the following: 15A NCAC 02L .0103, 15A NCAC 02L .0106, 15A NCAC 02L .0107, 15A NCAC 02L .0108, 15A NCAC 02L .0202, 15A NCAC 13B .0503(2), 15A NCAC 13B .0601, NCGS 143-214.1, and the landfill’s December 20, 1996 closure letter. As noted in the September 28, 2017 letter (DIN 28497) responding to the County’s submittal of an Alternate Source Demonstration at the active and unlined C&D Landfill (Permit Number 6301-CDLF-1992), the MSW Landfill may or may not be contributing to the VOCs being detected at the active and unlined C&D Landfill. Therefore, the Section is requiring the implementation of the County’s corrective action Contingency Plan of an active landfill gas system as approved in 2012, the selection of an additional groundwater corrective action remedy, and two new groundwater corrective action contingency plans. Within 90 days of receipt of this letter, please submit a completed groundwater corrective action application selecting a remedy and two contingency plans for this landfill. The North Carolina Solid Waste .0500 Groundwater Corrective Action Application is conveniently located on the Section’s webpage at https://files.nc.gov/ncdeq/Waste%20Management/DWM/SW/Forms/NCSW_0500_GroundwaterCAApplicati on.pdf. Also, within 90 days of the approval of the selected remedy, a submittal of a Groundwater Corrective Action Plan (CAP) Addendum and an implementation schedule will be required. The Section will then review the submitted Groundwater Corrective Action Plan (CAP) Addendum and approve, or request additional information prior to its implementation. Moore County is responsible for addressing both landfill gas exceedances and groundwater exceedances. Inorganic groundwater exceedances at the MSW Landfill will still need to be addressed to ensure the protection of public health and the environment. Please plan your County’s budget accordingly to address these critical post closure care problems at the closed and unlined MSW Landfill. Failure to 1) implement an active landfill gas system, 2) submit the North Carolina Solid Waste .0500 Groundwater Corrective Action Application within 90 days of receipt of this letter, 3) submit a Groundwater Corrective Action Plan (CAP) Addendum within 90 days of approval of the new selected remedy, and 4) implement the approved Groundwater Corrective Action Plan (CAP) Addendum will result in Moore County entering 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 or concerns regarding this letter, please feel free to contact me by email at jaclynne.drummond@ncdenr.gov or by phone at 828.296.4706. Thank you for your anticipated cooperation with these matters. Sincerely, Jaclynne Drummond Compliance Hydrogeologist Solid Waste Section, Division of Waste Management NCDEQ cc sent via email: Ellen Lorscheider, Section Chief Jason Watkins, Field Operations Branch Head Ed Mussler, Permitting Branch Head Drew Hammonds, Eastern District Supervisor Amanda Freeman, Senior Environmental Specialist Elizabeth Werner, Permitting Branch Hydrogeologist Donna Wilson, Permitting Branch Engineer Ming Chao, Permitting Branch Engineer Wayne Vest, Moore County Manager Randy Gould, Moore County Public Works Director Ben Draper, Golder Associates NC, Inc. Rachel Kirkman, Golder Associates NC, Inc.