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HomeMy WebLinkAboutNC0004774_Application_20191217DUKE �. ENERGY August 15, 2019 North Carolina Division of Water Resources NPDES Complex Permit Branch Attn: Julie Grzyb 1617 Mail Service Center Raleigh, NC 27699-1617 Subject: Duke Energy Carolinas, LLC Buck Combined Cycle Permit Modification Request NC0004774 Rowan County Dear Ms. Grzyb. Duke Energy Buck Combined Cycle 1385 Dukeville Road Salisbury, NC 28146 Duke Energy respectfully requests a permit modification to the Buck Combined Cycle Wastewater permit NC0004774, Part I., Section A.(3.) Outfall 001 A - CTCC Operations, specifically, the temperature parameter referencing Footnote 3. A check in the amount of $1,080 is included for the fee associated with this request. Footnote 3 and the associated temperature parameter are remnants from the coal-fired steam station, now demolished. We request that the terms found in footnote 3 for outfall(s) 001A and 006 be removed from the permit as they are not applicable to the operation of the combined cycle unit. Basis of request Footnote 3 originates from an EPA nomograph from 1976 as the basis for the restrictions to protect aquatic life from cold shock due to the thermal load from the retired Buck Fossil Steam Station. This was first approved by North Carolina DENR in 1993. Additional delta T thermal limits, as noted in Footnote 3, are based on the EPA nomograph (USEPA 1976) and intended to protect warm water fish from cold shock in the event of a winter season plant shut -down event. Historically, fossil steam stations could operate units separately, thus varying discharge flow and heat load to the receiving stream. If all units functioned either on one control unit or as autonomous units, this configuration could have impacts on the receiving stream if all units were shutdown at once versus scaled over time. Basically, if all steam units were online, withdrawing water, heating it, and then discharging the heated effluent, losing all units at once would cause a shock to the receiving stream and the aquatic life surrounding the discharge point. The thermal rise calculation paired with the control unit designation seeks to regulate the potential thermal shock of losing one or multiple operating units. Combined cycle plants discharge significantly less heated effluent, i.e. approximately 0.6 MGD compared to 170+ MGD, than the demolished steam station, and have cooling towers that help regulate the effluent discharge temperature. Buck Combined Cycle NC0004774 Page 2 Additionally, the permit Fact Sheet makes note of the insignificance of this parameter with respect to the CTCC versus the demolished steam station: (excerpt from p.22 of NPDES Fact Sheet) Temperature. This condition includes the same 35°C effluent limit and temperature rise limits as before and, in paragraphs below the limits table, other provisions of the thermal variance. With retirement of the BSS coal-fired units, heated discharges are less than I% of past flows and thermal loads. It is not clear that a variance or mixing zone is needed any longer. Duke Energy has requested continuation of its 316(a) temperature variance for this permit cycle so that it can evaluate the need. A special condition in Section C of the permit provides that, if Duke Energy plans to request continuation of the variance in the next cycle, it must perform a thermal mixing study to justify the variance and determine the extent of the thermal mixing zone. A thermal mixing study is scheduled for 2019. Due to higher than average flows in the Yadkin River, the study is delayed until flows resemble 7Q10 conditions. If you have any questions, please contact Elizabeth Glenn at (980) 373-0530. 1 certify, under penalty of law, that this document and all attachments were prepared under my direction or supervision in accordance with a system designed to assure that qualified personnel properly gather and evaluate the information submitted. Based on my inquiry of the person or persons who manage the system, or those persons directly responsible for gathering the information, the information submitted is, to the best of my knowledge and belief, trite, accurate, and complete. 1 am aware that there are significant penalties for submitting false information, including the possibility of fines and imprisonment for knowing violations. Yours truly, Kristopher C. Eisenrieth, General Manager II Buck Combined Cycle NC DEQ Raleigh — 7018 0680 00018853 7495 / 9590 9402 3915 8060 3625 28 NC DEQ Mooresville — 7018 0680 00018853 7488 / 9590 9402 3857 80601485 01 Cc: Roberto Scheller NCDEQ DWR - 610 E. Center Ave. Suite 301 Mooresville, NC 28115 0 C- O O -i 00 ti;o M m m ITIZ X IIi -~iv~iam :^ zo � c z <_ Cl) mz m m m �D ~ H 0 H z 7 _ (D ^ m z 3n S o n N Z O ccn � D H �z a n m _ �o n �o HD to a 'm 3 Q D m p c �cn O O !G) m T !c C/) D (flaws D rnp z m ZcO c n m V' a 1 ..T 00 0 y� r• N v , D * � 2 m 00 o 3 mo o O < c V N 00cn m C ti l0 0) kD �8) S c my D-I m EL w