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HomeMy WebLinkAboutNCG210444_Inspection Report with Letter_20091008Charlotte -Mecklenburg STORM 2145 Suttle Avenue WATER Charlotte, NC 28208-5237 Services October 8, 2019 Novem Industries, Inc. Attn: Mr. Brad Bennett, President 3901 North Graham Street Charlotte, NC 28206 Subject: Industrial Facility Inspection Novem Industries Dear Mr. Bennett On September 24, 2019, Matt Santiago and Ron Eubanks of Charlotte -Mecklenburg Storm Water Services (CMSWS) conducted an inspection of the above referenced facility as a requirement of the City of Charlotte's NPDES Permit, NCS000240, Part II, Section H. Inspection authority is granted by Charlotte City Code Chapter 18, Article III, Section 18-82. At the time of inspection, the facility was observed to be in compliance with the City of Charlotte Storm Water Pollution Control Ordinance; however, the following observations were made: 1) Charlotte Storm Water Pollution Control Ordinance Review • Aboveground Storage Tanks ASTs) — The facility operates a 500-gallon diesel AST for onsite vehicle and equipment fueling. CMSWS recommends storing the AST within secondary containment to prevent potential storm water pollution. • Outdoor Material Storage Area — Several used batteries were observed on open ground in the central area of the facility. CMSWS recommends storing the used batteries in a manner that eliminates stormwater contact. • Waste Storage — The facility utilizes multiple waste roll -away bins without covers to store nails and metals that have been separated from the pallets during the mulching process. CMSWS recommends utilizing either a roll tarp or a cover for the waste containers to prevent potential storm water pollution. The inspection was also conducted as part of a cooperative working agreement between Mecklenburg County and the North Carolina Department of Environmental Quality (NCDEQ) — Division of Energy, Mineral and Land Resources (DEMLR). NCDEQ — DEMLR has been copied on this report and made aware of the following observations regarding the facility's NPDES stormwater permit: 1) Stormwater Pollution Prevention Plan (SPPP) A Stormwater Pollution Prevention Plan (SPPP) has not been developed, recorded, and implemented. The facility should develop and implement a SPPP as per the facility's NCG210000 permit. • To report pollution or drainage problems, call: 311 http://stormwater.charmeck.org c11ARLOTrr. 0. Novem Industries Attn: Brad Bennett, President Page 2 October 8, 2019 2) Qualitative Monitoring Qualitative monitoring has not been conducted and recorded. The facility should conduct qualitative monitoring semi-annually. 3) Analytical Monitoring Analytical monitoring has not been conducted and recorded. The facility should conduct analytical monitoring semi-annually. Thank you for the assistance and cooperation with the site inspection. The attached report provides details about inspection observations and should be self-explanatory. Please contact me at (980) 240-3337 if you have any questions or need additional information. For questions specifically regarding your State -issued NPDES Stormwater Certificate of Coverage NCG210443, please contact James Moore with NCDEQ — DEMLR at (704) 663-1699. Sincerely, Matt Santiago Environmental Specialist Charlotte -Mecklenburg Storm Water Services cc: Kristen O'Reilly, Charlotte Storm Water Services James Moore, NCDEQ — DEMLR Zahid Khan, NCDEQ — DEMLR Lily Kay, NCDEQ — DEMLR Attachment WCharlotte-Mecklenbwrg 2 1 4 5 S u t t 1 e Avenue STORMCharlotte, NC 28208 --'-�-'--�'.WATERFacifity Inspection Services Facility Name: Novem Industries Inspection # : 46506 Contact: Brad Bennett, President Permit #: NCG210443 Inspector: Matthew Santiago Receiving Stream: Irwin Inspection Date: 09/24/2019 Entry Time: 9:30 am Exit Time: 11:00 am SIC #: Facility Description: Novem Industries is located at 3901 North Graham Street on 4.8 acres. The facility receives pallets and other lumber waste to be grinded into mulch for resale. File Review/History: Charlotte Mecklenburg Storm Water Services (CMSWS) previously inspected Novem Industries on 12/13/2017. The facility was observed to be in compliance with the City of Charlotte Storm Water Pollution Control Ordinance. The facility obtained NCG21000 permit on April 29, 2016. Inspection Summary: At the time of inspection, no deficiencies were noted, only recommendations in accordance to the City of Charlotte Stormwater Pollution Control Ordinance. However, violations were observed in regard to the National Pollutant Discharge Elimination System (NPDES) permit. INSPECTIONDETAILS Site Inspection Deficiency Comments Stormwater system (catch basins, No Stormwater flows throught the site via sheet flow and inlets, outfalls, etc.) discharges at the rear of the property onto an adjacent empty lot and through the entrance of the facility on Starita Road. Erosion issues No Structural stormwater BMPs No No structural stormwater BMPS were observed during the inspection. Illicit discharges/connections No No illicit connections were observed during the inspection. Above ground storage tank(s), and Recommendation The facility utilizes one 4,000-gallon Aboveground Storage any associated venting — list size and Tank (AST) containing water for dust suppression and one contents 500-gallon AST containing diesel for fueling of vehicles/equipment. CMSWS recommended storing the diesel AST in secondary containment Underground storage tank(s) - fill port N/A area; list tank sizes & contents Outdoor material storage area(s) Recommendation The facility stores wooden pallets in a central pile and plastic pallets along the north fence. Used batteries were observed near the fueling equipment. CMSWS recommends storing used batteries in a manner that eliminates stormwater contact. Outdoor processing area(s) No Pallets and other wooden debris is loaded into a grinder which discharges the mulched wood into a pile while separating out nails and other metallic debris in to a dumpster for recycling. Loading/unloading area(s) No Vehicle/equipment area(s) - fueling, No Vehicles and equipment is fueled onsite. Vehicles and washing, storage, etc. equipment are taken to Blue Beacon for washing and maintenance. Oil/water separator and/or N/A Pretreatment • �� To report pollution or drainage problems call: 311 CILUUATTE. http://stormwater.charmeek.org 10/8/2019 3:11:14PM cc, Page 1 of 3 r'IDA L14T I Site Inspection Deficiency Comments Waste storage/disposal area - Recommendation The facility utilizes multiple dumpsters used to store dumpsters, scrap metal bins, etc. cardboard, scrap wood and recovered metal and nails. CMSWS recommends keeping a cover on the dumpsters to prevent potential pollution from runoff. Food service area(s) N/A Indoor material storage area(s) N/A Indoor processing area(s) N/A Floor drains N/A Spill response equipment No The facility maintains oil -dry spill kits near the area where hazardous materials are stored. Stormwater Pollution Plan Observed Comments Does the facility have a stormwater No At the time of inspection, the facility did not have a working pollution prevention plan? Stormwater Pollution Prevention Plan (SPPP) in place. However, CMSWS has been working with Jorge Rojas (operations manager) to develop and implement the required SPPP. General location (USGS) map No The facility should create a general location (USGS) map as per Part II, Section A, #1(a) of the NCG210000 permit. Narrative description of practices No The facility should create a narrative description of practices as per Part II, Section A, #1(b) of the NCG210000 permit. Detailed site map No List of significant spills (past 3 years) No The facility should create a document to report any significant spills (or a "notation of no spills") for the past three years as per Part II, Section A, #1(d) of the NCG210000 permit. Non-stormwater discharge evaluation No The facility should conduct and document an annual of outfall(s) non-stormwater discharge evaluation of the outfall as per Part II, Section A, #1(e) of the NCG210000 permit. Feasibility study No The facility should conduct a feasibility study of the facility's operations and storage practices to eliminate or reduce exposure of materials and processess to rainfall and run-on flows as per Part II, Section A, #2(a) of the NCG210000 permit. All necessary secondary No containment provided Collected water evaluated and No documented prior to release BMP Summary No The facility should create a document listing structural and non-structural Best Management Practices (BMPs) as per Part Il, Section A, #1(c) of the NCG210000 permit. Spill prevention and response plan No The facility should create a document including an assessment of potential pollutant sources and a list of facility personnel responsible for implementing the Spill Prevention and Response Procedures (SPRP) as per Part II, Section A, #3 of the NCG210000 permit. Preventative maintenance and good No The facility should develop and implement a preventative housekeeping plan maintenance and good housekeeping plan as per Part II, Section A, #4 of the NCG210000 permit. Facility provides and documents No The facility should provide and document employee training employee training as per Part II, Section A, #6 of the NCG210000 permit. C& To report pollution or drainage problems call: 311 CHARLOYFE_ http://storniwater.charmeck.org 10/8/2019 3:11:14PM Page 2 of 3 11:9§ - T€IC-- Stormwater Pollution Plan Observed Comments List of responsible parties No The facility should develop a document that identified a specific position or positions responsible for the overall coordination, development, implementation and revisions of the SPPP as per Part Il, Section A, #7 of the NCG210000 permit. Reviewed and updated annually No The facility should conduct and document annual reviews and updates to the SPPP as per Part II, Section A, #8 of the NCG210000 permit. Stormwater facility inspection No The facility should conduct and document semi-annual facility program conducted semi-annually inspections as per Part II, Section A, #8(b) of the NCG210000 permit. Qualitative/Analytical Monitoring Observed Comments Qualitative monitoring conducted No Conduct and document semi-annual qualitative monitoring as semi-annually required as per Part II, Section C of the NCG210000 permit. Analytical monitoring conducted No Conduct and document semi-annual analytical monitoring as semi-annually required as per Part II, Section B of the NCG21000 permit. Analytical monitoring from vehicle N/A maintenance Permit and Outfalls Observed Comments Copy of permit and certificate of Yes COG #NCG210443 dated August 1, 2018 and permit fee paid coverage onsite April 2018. All outfalls observed Yes No stormwater issues were observed. Number of Outfalls Observed 2 How many outfalls observed? Representative outfall status No documented by NCDWQ Annual no -exposure self No re -certification documented o•4 /% To report pollution or drainage problems call: 311 CIiARLOTTE. bttp://stormwater.charmeck.org 10/8/2019 3:11:14PM Page 3 of 3