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NC0038377_01_Mayo_CAPUpdate_FullReport_20191231_20191231
synTerra CORRECTIVE ACTION PLAN UPDATE Site Name and Location: Mayo Steam Electric Plant 10660 Boston Road Roxboro, North Carolina 27574 Groundwater Incident No.: Not Assigned NPDES Permit No.: NCO038377 NCDEQ CCR Impoundment Ranking: Low -Risk Date of Report: December 31, 2019 Permittee and Current Duke Energy Progress, LLC Property Owner: 410 South Wilmington Street Raleigh, North Carolina 27601 704-382-3853 Consultant Information: SynTerra Corporation 148 River Street Greenville, South Carolina>>�KH•,. (864) 421-9999 �� Qom•.•• Latitude and Longitude of Facility: N 36.527423 / W-78.89077� �:. rf Sfi'Of/ram • AL ..p . C1425 ]err A. lie, N L , ,•L•DC;..• Proje M A �y� I Kathy Webb, NC LG 1328 Project Director Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Note to the Reader from Duke Energy Duke Energy Progress, LLC (Duke Energy) is pleased to submit this groundwater Corrective Action Plan (CAP) for the Mayo Steam Electric Plant (Mayo) located in Person County, North Carolina. Since 2010, Duke Energy has been engaged in extensive site investigation activities to comprehensively characterize environmental conditions in soil, groundwater, surface water, and sediments associated with the presence of coal combustion residuals (CCR) in and around the Mayo coal ash basin. Activities have been performed in compliance with the North Carolina Coal Ash Management Act of 2014, as amended (CAMA), as well as the United States Environmental Protection Agency's (USEPA) CCR Rule. In 2018, the North Carolina Department of Environmental Quality (NCDEQ) ranked the ash basin at Mayo as low -risk pursuant to CAMA. Thousands of multi -media samples have been collected at Mayo yielding over 73,000 individual analyte results. All of this work has been coordinated with the NCDEQ, which has provided review, comments, and approvals of plans and reports related to these activities. This CAP provides the results of these extensive assessment activities. Significantly, groundwater quality data confirm, based on one year of quarterly monitoring results, that constituents of interest (COI) identified at Mayo do not exceed the applicable 02L Standards at or beyond the ash basin compliance boundary. Accordingly, groundwater corrective action under 15A NCAC 02L.0106 is not triggered. However, we have implemented, or will implement, source control measures at the Site, including (i) complete ash basin decanting to remove the hydraulic head, thereby mitigating the risk of potential COI migration into groundwater; (ii) complete ash basin closure; and (iii) continued operation of the dam toe -drain water collection system, as necessary and permitted, to reduce COI concentrations in surface water and in groundwater proximate to the system. Closure plans to address the ash basin source area are submitted separately. This CAP contains over 2,500 pages of technical information that we believe represents one of the most detailed and well supported corrective action plans ever submitted to the NCDEQ and forms the basis of the robust evaluation described above. Thousands of labor hours by PhD -level scientists, engineers, and geologists have been performed to obtain and evaluate the large amount of data generated at Mayo and inform this CAP. This combined effort has enabled a comprehensive understanding of site conditions and creation of a highly detailed three-dimensional groundwater flow and solute transport model used to simulate future conditions. Duke Energy believes it is also important to Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra provide a science -based perspective on these extensive studies, which include the following key findings: • The human health and ecological risk assessments performed for Mayo using USEPA guidance demonstrate that risks to potential human health and ecological receptors associated with the coal ash basin are not measurably greater than risks posed by naturally occurring background conditions. • Ash basin -related constituents have not affected, nor are they predicted to affect, off -site water supply wells. This has been confirmed by analytical results from groundwater samples and water level measurements collected from over 79 monitoring wells over 41 separate monitoring events, and performing over 213 groundwater and geochemical modeling simulations. In addition, even though no off -site wells were impacted, Duke Energy has already provided owners of surrounding properties within 0.5-mile radius of the ash compliance boundary with water filtration systems under a program approved by the NCDEQ. These alternate water supplies provide additional peace of mind for our neighbors. Duke Energy looks forward to proactively implementing this CAP. Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Executive Summary (CAP Content Section Executive Summary) ES.1 Introduction SynTerra prepared this groundwater corrective action plan (CAP) update on behalf of Duke Energy Progress, LLC (Duke Energy). The plan pertains to the Mayo Steam Electric Plant (Mayo, Plant, or Site) coal combustion residuals (CCR) surface impoundment (ash basin) in Person County, North Carolina (Figure ES-1). In accordance with North Carolina General Statutes (G.S.) Section 130A-309.211(b), amended by the 2014 North Carolina Coal Ash Management Act (CAMA), Duke Energy is required to submit a CAP for the restoration of groundwater in conformance with the requirements of North Carolina Administrative Code (NCAC), Title 15A, Subchapter 02L. 0106 (02L). Analytical data obtained over one year of quarterly monitoring indicate the Mayo ash basin is currently in compliance with 02L groundwater quality standards; therefore, groundwater corrective action under 15A NCAC 02L .0106 is not required at this time for the Mayo ash basin. This CAP Update addresses the requirements of CAMA and is prepared consistent with the CAP guidance provided by the North Carolina Department of Environmental Quality (NCDEQ) in a letter to Duke Energy, dated September 10, 2019 (Appendix A). This CAP Update evaluates groundwater associated with the Mayo ash basin. Specifically, this CAP focuses on constituent concentrations detected greater than applicable North Carolina groundwater standards [02L; Interim Maximum Allowable Concentrations (IMAC); or background threshold values, whichever is greater], and verifying decreasing groundwater concentrations during decanting and subsequent closure of the basin. In accordance with G.S. Section 130A-309.211, amended by CAMA, a CAP for Mayo was previously submitted to the NCDEQ in two parts: • Corrective Action Plan Part 1— Mayo Steam Electric Plant (SynTerra, 2015b) • Corrective Action Plan Part 2 —Mayo Steam Electric Plant (SynTerra, 2016a) This CAP Update considers data collected through June 2019. Ash basin closure is detailed in a separate document prepared by AECOM (AECOM, 2019). Closure scenarios include a closure -in -place and closure -by -excavation scenario. Page ES-1 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Closure scenarios (e.g., source control) will be effective in addressing the ash basin source area which is an important part of the overall corrective action strategy. Groundwater modeling simulations consistently indicate the different closure scenarios would have a similar effect on the concentrations of unit -specific constituents of interest (COI) in groundwater. Summary of CAP Approach This CAP Update is prepared to meet requirements under CAMA Section 309.211(b) and includes documentation that supports groundwater quality does not exceed applicable 02L groundwater quality standards at or beyond the ash basin compliance boundary. Applicable criteria in this case are defined as the 02L groundwater standard, interim maximum allowable concentration (IMAC), or background, whichever is greatest. If a constituent does not have an 02L standard or IMAC, then the background value defines the constituent criteria. Therefore, groundwater corrective action under 15A NCAC 02L.0106 is not required at this time for the Mayo ash basin. ES.2 Background Plant Operations Mayo is a coal-fired steam station owned and operated by Duke Energy that generates electrical power for thousands of customers in North Carolina. Mayo operations began in 1983 with a single coal-fired unit which remains in operation. CCR materials, composed primarily of fly ash and bottom ash, were initially deposited in the ash basin by hydraulic sluicing operations. In November 2013, Mayo converted to a dry ash system in which 90 percent of generated CCR was handled dry with final system upgrades completed in 2016. CCR generated at Mayo has been handled dry since 2016. Dry CCR was placed in the Duke Energy Roxboro Steam Electric Plant Industrial Landfill (PN 7302-INDUS) until the on -Site Industrial Landfill (Monofill; PN 7305- INDUS) began operation in November 2014. The Mayo ash basin has operated under a National Pollution Discharge Elimination System (NPDES) Permit issued by the NCDEQ Division of Water Resources (DWR) since initial Plant operations began. Pursuant to N.C. General Statute (G.S.) Section 130A-309.213(d)(1), NCDEQ has determined that the CCR surface impoundment at Mayo has met the conditions for low -risk classification as described in the above statute by establishing permanent water supplies and rectifying any dam deficiencies (Holman to Draovitch, November 13, 2018; Appendix A). Relevant closure requirements for low -risk impoundments are found in G.S. Section 130A-309.214(a)(3), which states low -risk impoundments shall be closed as soon as practicable, but no later than December 31, 2029. Page ES-2 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Source Area The Mayo ash basin is the source area evaluated in this CAP. The ash basin includes the CCR surface impoundment (ash basin), the flue gas desulfurization (FGD) forward flush pond and the FGD settling pond. The ash basin contains ash generated from the Plant's historic coal combustion. The FGD forward flush pond was originally used in the bioreactor treatment process. The bioreactor has since been decommissioned and the FGD forward flush pond is inactive. The FGD settling pond historically received the stream of FGD blowdown water as well as leachate from the monofill. The FGD ponds were constructed within the footprint of the ash basin; however, both ponds were constructed with an engineered liner system. Additional Adjacent Source Area There are no additional adjacent source areas that influence the ash basin COI plume. On April 5, 2019, NCDEQ provided correspondence that included a list of primary sources to be included for the submittal of CSAs and CAPS for each station and a schedule of submittal dates for the reports. For Mayo, the letter indicated that the CAP may include the active coal storage pile area. On October 11, 2019, Duke Energy submitted a request to the NCDEQ to assess the coal pile storage area separate from the ongoing evaluation of and preparation of this CAP Update for the ash basin. This request was based on detailed information including an initial evaluation of assessment findings to date for the coal storage pile area. The request was approved on November 13, 2019. This CAP Update does not include information pertaining to any additional source areas at Mayo. Pre -Basin Closure Activities To accommodate closure of the ash basin, decanting (removal) of free water from the basin began on June 27, 2019 as required by a Special Order by Consent (SOC) issued through North Carolina Environmental Management Commission (EMC) on August 16, 2018 (EMC SOC WQ S18-005). The SOC requires completion of decanting by December 31, 2020. Decanting of free, ponded water from the ash basin before closure is expected to reduce or eliminate seepage from constructed and/or non -constructed seeps. Decanting is considered an important component of closure because it will reduce the hydraulic head and vertical gradient near the ash basin dam, thereby reducing the constituent migration potential associated with the ash basin. Decanting is scheduled to be complete on or before December 31, 2020. As of December 1, 2019, approximately 124,200,000 gallons of water had been removed from the ash basin and the water elevation decreased by about 7 feet. Page ES-3 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Basis for CAP Development A substantial amount of data related to the ash basin and general Mayo Site has been collected to date. A summary of Mayo assessment documentation used to prepare this CAP Update is presented in Table ES-1. TABLE ES-1 SUMMARY OF MAYO ASSESSMENT DOCUMENTATION Comprehensive Site Assessment Report - Mayo Steam Electric Plant (SynTerra, 2015a) Corrective Action Plan Part 1 - Mayo Steam Electric Plant (SynTerra, 2015b). Corrective Action Plan Part 2 - Mayo Steam Electric Plant (SynTerra, 2016a). Comprehensive Site Assessment Supplement 1 - Mayo Steam Electric Plant (SynTerra, 2016b). Comprehensive Site Assessment Update - Mayo Steam Electric Plant (SynTerra, 2017b) Updated Groundwater Flow and Transport Modeling Report for Mayo Steam Electric Plant (FRx, Inc., SynTerra, and Falta Environmental, 2019). Human Health and Ecological Risk Assessment Summary Update - Mayo Steam Electric Plant (SynTerra, 2019e). Ash Basin Pumping Test Summary Report - Mayo Steam Electric Plant (SynTerra, 2019a). Surface Water Evaluation to Assess 15A NCAC 02B - Mayo Steam Electric Plant (SynTerra, 2019b). 2018 CAMA Annual Interim Monitoring Report (SynTerra, 2019c). Community Impact Analysis of Ash Basin Closure Options at the Mayo Steam Electric Plant (Exponent,2018) Mayo Plant Ash Basin Closure Options, Groundwater Modeling and Community Impact Analysis (Duke Energy/AECOM, 2018) Updated Background Threshold Values for Constituent Concentrations in Groundwater (SynTerra, 2019d) Mayo Steam Station HB 630 Provision of Permanent Water Supply Completion Documentation (Duke Energy (Draovitch) to NCDEQ (Holman), August 30, 2018. Prepared by: JAW Checked by: PWA The NCDEQ reviewed the 2017 Comprehensive Site Assessment (CSA) Update report (SynTerra, 2017b), and in a May 7, 2018, letter, stated that sufficient information was provided to allow preparation of this CAP Update (Appendix A). Page ES-4 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra The assessment work referenced in the documents listed in Table ES-1 has resulted in a very large dataset that has informed the development of this CAP Update. As of June 2019, the following data collection and analysis activities have been completed: TABLE ES-2 SUMMARY OF MAYO ASSESSMENT ACTIVITIES (THROUGH JUNE 2019) Tasks Total Total Monitoring Wells Installed (CAMA and CCR Wells around basin) 79 Groundwater Monitoring Events 41 Groundwater Samples Collected 868 Individual Analyte Results 73,505 Off -Site Water Supply Well Sampling (Total inorganic analysis) - Number of Analyses 536 Ash Pore Water - Number of Analyses (Total and dissolved) 4,149 Ash Pore Water Sampling Events 16 Surface Water Monitoring Events 22 Surface Water Sample Locations 9 Area of Wetness Sample Events 21 Ash Samples (Within ash basin analyzed for SPLP) 6 Soil Samples Collected 138 Soil Sample Locations 67 Sediment Sample Locations 15 Geotechnical Soil Sample Locations 20 Geochemical Ash, Soil, Partially Weathered Rock, Whole Rock Samples 71 Hydraulic Conductivity Tests (Slug Tests, Pumping Tests, Packer Tests, FLASH Analysis of Bedrock HPF Data) 58 Groundwater Flow & Transport Simulations 49 PHREEQC Geochemical Simulations 164 Notes: Data available to SynTerra as of June 2019 SPLP - Synthetic Precipitation Leaching Procedure FLASH - Flow -Log Analysis of Single Holes HPF - Heat Pulse Flow PHREEQC - pH Redox Equilibrium in computer code C Prepared by: JAW Checked by: PWA Page ES-5 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra A constituent management process was developed by Duke Energy at the request of NCDEQ to gain a thorough understanding of the constituent behavior and distribution in Site groundwater and to aid in identification of COIs related to the Mayo ash basin that may require corrective action. The constituent management process consists of three steps: 1. Perform a detailed review of the applicable regulatory requirements under NCAC, Title 15A, Subchapter 02L 2. Understand the potential mobility of ash basin -related constituents in groundwater based on Site hydrogeology and geochemical conditions 3. Determine constituent distribution at the Mayo ash basin under pre -decanting or predicted future conditions. This constituent management process is supported by multiple lines of evidence including empirical data collected at the Site, geochemical modeling, and groundwater flow and transport modeling. This approach has been used to understand and predict constituent behavior in the subsurface related to the ash basin or constituents that are naturally occurring. The constituent management process was utilized to identify COIs related to the Mayo ash basin that may require corrective action. Constituents that have migrated beyond the compliance boundary at concentrations greater than 02L, IMAC and background that are related to an ash basin would be subject to corrective action. Constituents that are naturally occurring at concentrations greater than the 02L standard do not require corrective action. Boron is the only constituent observed in concentrations greater than 02L, IMAC, or background with a discernable plume; therefore, is the only COI identified for the Mayo ash basin. Details on the constituent management approach are presented in Section 6.0. Groundwater Analytical data obtained over one year of quarterly monitoring indicate COI concentrations have been less than applicable 02L standards in groundwater samples collected from monitoring wells at or beyond the compliance boundary. Therefore, the ash basin is in compliance with 02L requirements and a CAP prepared under 02L is not required. However, G.S. Section 130A-309.211, amended by CAMA, requires submittal of a CAP and this document is intended to fulfill that obligation. Page ES-6 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Soil Analytical results for soil samples indicate unsaturated soil constituent concentrations in the vicinity of the ash basin are consistent with background concentrations, or are less than Preliminary Soil Remediation Goal (PSRG) Protection of Groundwater (POG) standards. Therefore, no COIs are identified and corrective action for soil is not required. Risk Assessments Human health and ecological risk assessments were prepared for the Mayo ash basin based on state and federal guidance. The human health risk assessment completed for the Mayo Site found no evidence of risks to human receptors. The ecological risk assessment found no measurable differences in modeled risks associated with surface water and sediment compared with background concentrations. Data from off -site water supply wells and Crutchfield Branch indicate no evidence of increased risk posed by groundwater migration associated with the ash basin based on evaluation of concentrations of CCR constituents in environmental media and potential receptors. The updated risk assessments for the Mayo ash basin are presented in Section 5.4 and Appendix E of this CAP Update. Risk Ranking In accordance with G.S. Section 130A-309.211(cl), Duke Energy installed 16 water filtration systems at occupied residences or businesses within a half -mile of the Mayo ash basin compliance boundary. Installation of filtration systems, along with certain improvements to the Mayo ash basin dam completed by Duke Energy, resulted in the ash basin being ranked as low risk. ES.3 CSM Overview The Conceptual Site Model (CSM) is a written and graphical representation of the hydrogeologic conditions and constituent interactions specific to the Site and is critical to understanding the subsurface conditions related to the ash basin. The updated CSM developed for Mayo included in the CAP Update is based on Environmental Cleanup Best Management Practices: Effective Use of the Project Life Cycle Conceptual Site Model (USEPA, 2011). This document describes six CSM stages for a project life cycle. The CSM is an iterative tool designed to assist in the decision -making process for characterization and remediation as the site progresses through the project life cycle and new data becomes available. The current Mayo CSM is consistent with Stage 3, "Characterization CSM Stage", consistent with the six stages of CSM development (USEPA, 2011). The findings of Stage 3, Characterization for Mayo conclude that the Mayo ash basin is in compliance Page ES-7 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra with 02L and does not require corrective action. Anticipated changes to Site conditions, such as ash basin decanting and closure, will be incorporated in the future into the CSM. Predicted and observed effects will be compared on an ongoing basis to refine the understanding of groundwater flow and constituent transport relative to potential receptors. Based on the large data set generated for Mayo, multiple lines of evidence have been evaluated to develop the CSM. The following provides an overview of the updated CSM which forms the basis of this CAP. Supporting details for the CSM are presented in Section 5.0. Key conclusions of the CSM include the following: No risks to human health related to the ash basin were identified. The ecological risk assessment conducted for the ash basin area indicates no measurable difference between evaluated risks and background concentrations. Ash basin risk assessments indicate incomplete exposure pathways and no risk to commercial/industrial worker, residences, and recreational receptors near the ash basin. The ash basin does not cause increased risks to ecological receptors. The updated risk assessment no evidence of unacceptable risks to ecological receptors (mallard duck, great blue heron, killdeer bird, muskrat, river otter, bald eagle, American robin, meadow vole, red-tailed hawk, red fox) that may access surface water and sediments associated with Crutchfield Branch. • Groundwater from the ash basin has not and does not flow towards any water supply wells based on groundwater flow patterns, the location of water supply wells in the area, and evaluation of groundwater analytical data. Groundwater data from water supply wells and 79 on -Site monitoring wells, groundwater elevation measurements from 41 monitoring events, and groundwater flow and transport modeling results all indicate that ash basin -related groundwater constituents are not affecting, and have not affected, water supply wells. The permanent water solution program implemented by Duke Energy provided owners of surrounding properties with water supply wells within a 0.5-mile radius of the ash basin compliance boundary with water filtration systems. The hydrogeologic data collected at Mayo confirms that Site -related COIs have not and are not affecting off -Site water supply users. Modeling predicts that groundwater constituents related to the ash basin will not affect off - Site water supply users. Nevertheless, Duke Energy installed 16 water filtration Page ES-8 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra systems at surrounding occupied residences in accordance with G.S. Section 130A-309.211(cl). One eligible household was non -responsive to the offer. • The hydrogeologic setting of the Mayo ash basin limits COI transport. The Site, located in the Piedmont Physiographic Province, conforms to the general hydrogeologic framework for sites in the Blue Ridge/Piedmont area, which are characterized by groundwater flow in a slope -aquifer system within a local drainage basin with a perennial stream (LeGrand, 2004). Predictive groundwater flow and transport model simulations indicate that ash basin decanting will affect the groundwater flow patterns within the basin by lowering hydraulic heads and gradients in and around the ash basin dam, which will reduce the groundwater seepage velocity and provide source reduction prior to completion of basin closure. Lower hydraulic heads and the cessation of sluicing into the ash basin combine to cause the maximum extent of the boron plume to remain within the compliance boundary for modeled closure scenarios. As of December 1, 2019, approximately 124,200,000 gallons of water had been removed from the ash basin and the water elevation decreased by about 7 feet. • The physical setting and hydraulic processes control the flow pattern within the ash basin, underlying groundwater system, and downgradient areas. The ash basin is a horizontal water flow -through system. Groundwater enters the upgradient portion of the ash basin, it is supplemented by rainfall infiltration and flows laterally through the middle of the ash basin under a low horizontal gradient, and then flows downward under the dam. This flow system results in limited downward migration of constituents into the thin, underlying saprolite upgradient from the dam. A localized effect to the overall flow -through water system occurs just south of the ponded water in the ash basin where ash was "stacked" for dewatering prior to transport for beneficial reuse. The effect of this ash "stack out" area results in a slight variation of the horizontal flow -through concept as there is slight downward vertical migration of groundwater under the area. Downward flow is limited to the surficial and transition zone as bedrock upward vertical gradients prevent downward flow below the transition zone. Near the dam, constituents in water either discharge through the constructed seeps or flow under the dam. Beyond the dam, groundwater flows upward toward the Crutchfield Branch discharge zone, limiting downward migration of constituents to the area proximate to the dam. Hydraulic and water quality data from bedrock wells installed at various depths just downgradient of the dam structure support the flow characteristics and limited constituent distribution. Page ES-9 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Horizontal distribution of constituents in groundwater proximate to the ash basin is limited. The extent of ash basin -related groundwater constituents is within the compliance boundary based on the last 4 quarters of groundwater data collected. • Vertical distribution of constituents in groundwater proximate to the ash basin is limited. Shallow bedrock boron concentrations greater than the 02L are limited to areas near the ash basin waste boundary. Boron concentrations in bedrock decrease with depth, indicating vertical migration is generally limited to shallow bedrock (top 40 feet of rock). The deep bedrock groundwater monitoring wells just outside of the waste boundary have boron concentrations less than or just above the laboratory reporting limit (50 µg/L). • Geochemical processes stabilize and limit constituent migration along the groundwater flow path. Each constituent exhibits unique geochemical behavior related to the specific constituent partition coefficient (Ka), response to changing geochemical parameters (i.e., pH and Eh), and sorption capacity of the soil and/or rock matrix. The geochemical mechanisms that stabilize (i.e., attenuate) constituents and limit migration are sorption, ion exchange, and precipitation/co- precipitation. Based on geochemical modeling: o Non -conservative, reactive constituents (e.g., arsenic) will remain in mineral phase assemblages that are stable under variable Site conditions, demonstrating sorption as an effective attenuation mechanism. o Variably reactive constituents (e.g., manganese) can exhibit mobility depending on geochemical conditions and availability of sorption sites. o Non -reactive, conservative constituents (e.g., boron) migrate in groundwater as soluble species and are not strongly attenuated by reactions with solids but are reduced in concentration with distance primarily by physical processes such as mechanical mixing (dispersion), dilution, and diffusion. Sorption of boron to clay particles might occur, especially for groundwater with slightly alkaline to alkaline pH values. Geochemical processes are a key factor in limiting downgradient constituent migration beyond the ash basin waste boundary as indicated by the absence of discernable plumes downgradient of the ash basin for non -conservative and variably reactive constituents. • Constituent concentrations in groundwater greater than 02L standards are contained within Duke Energy's property and within the compliance boundary. This finding is supported by the groundwater sampling and analysis Page ES-10 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra results collected from 79 monitoring wells over 41 monitoring events. This finding is further supported by groundwater flow and transport modeling results that predict boron will not exceed groundwater standards at or beyond the compliance boundary in the future. • Groundwater/surface water interaction has not and is not predicted to cause constituent concentrations greater than North Carolina Administrative Code, Title 15A, Subchapter 02B, Surface Water and Wetland Standards (02B). Analytical results for surface water samples collected from Crutchfield Branch indicate that this water body meets 02B standards. Further, an evaluation of future surface water quality conditions of basin -related jurisdictional streams was conducted using a surface water mixing model with closure option model simulation inputs. The evaluation found that future groundwater migration would not result in violations of 02B surface water standards. An engineered system was installed to capture flow from each ash basin toe drain and direct it to the ash basin and wastewater treatment system to reduce constituent contributions to Crutchfield Branch. Flow and transport model predictions indicate the decanting of the water in the ash basin will lower water levels in the area and reduce the volume of water towards the engineered seeps. The collection of water from engineered seeps and discharge to a permitted outfall is anticipated to remain in place until determined to no longer be necessary under the provisions of the Special Order by Consent (SOC). • Most of the constituents identified in the CSA Update occur naturally in groundwater, some at concentrations greater than the 02L standard and/or IMAC. Groundwater at Mayo naturally contains arsenic, barium, chromium, cobalt, iron, manganese, molybdenum, strontium, sulfate, total dissolved solids (TDS), and vanadium. The occurrence of inorganic constituents in groundwater of the Piedmont Physiographic Province is well documented in the literature. For example, vanadium has natural background concentrations in all flow zones at the Site greater than its IMAC value. For the Mayo CAP, vanadium is evaluated based on its Site -specific statistically derived background value and additional lines of evidence to determine if constituent concentrations represent migration from the ash basin or are naturally occurring. • The boron groundwater plume for all three flow zones is stable or decreasing. Results from the Mann -Kendall statistical trend analysis indicate that concentrations of boron are stable or decreasing. Further, flow and transport model simulations demonstrate that boron concentrations in any flow zone will not be greater than the 02L standard beyond the compliance boundary for pre - Page ES-11 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra decanting conditions or any closure scenario and demonstrates that the boron plume will contract towards the south. These CSM aspects, combined with the updated human health and ecological risk assessments, provide the basis for this CAP Update developed for the Mayo ash basin to comply with G.S. Section 130A-309.211, amended by CAMA. ES.4 Corrective Action Approach Corrective Action Objectives Migration of ash basin -sourced constituents in groundwater does not extend to or beyond the compliance boundary. Therefore, the approach planned for Mayo focuses on verifying decreasing groundwater concentrations predicted by modeling. The following objective addresses the regulatory requirements of CAMA for the Mayo CAP: • Monitor groundwater quality to verify that ash basin -sourced constituents remain below standards. Additional Measures Eliminating Risk Duke Energy owns the property downgradient from the Mayo ash basin dam to the North Carolina/Virginia state line. Ownership of the property allows Duke Energy to control activities, thereby managing risks for future property use. As a proactive corrective action measure, on August 23, 2019, Duke Energy purchased the approximately 56-acre parcel positioned on the north side of Mayo Lake Road. Duke Energy -owned property bordered the acquired parcel on the west, south, and east sides. As a result of this acquisition, the ash basin compliance boundary has been revised. The compliance boundary now extends further to the north beyond Mayo Lake Road and 500 feet from the entire waste boundary (Figure ES-1). Summary of Source Control and Corrective Measures It is critical to take into account all of the various activities Duke Energy has/will perform to improve subsurface conditions at Mayo related to the ash basin. The corrective action program incorporates source control by basin decanting and closure followed by confirmatory monitoring. Table ES-3 presents the discrete components of the planned corrective action for groundwater. Page ES-12 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra TABLE ES-3 COMPONENTS OF SOURCE CONTROL, ACTIVE REMEDIATION, AND MONITORING Remedy Component Rationale Source Control Activities Ash Basin Decanting Active source remediation by removing ponded water in the ash basin. Decanting will lower the hydraulic head within the basin and reduce hydraulic gradients near the ash basin dam, reducing groundwater seepage velocities and constituent transport potential. Decanting will return the groundwater flow system to its more natural condition. Decanting was initiated on June 27, 2019. Decanting is scheduled to be complete on or before December 31, 2020. As of December 1, 2019, approximately 124,200,000 gallons of water had been removed from the ash basin and the water elevation decreased by about 7 feet. In addition, ash basin decanting is expected to be effective in reducing or eliminating seeps identified under the Special Order by Consent. Toe Drain Collection An engineered seep collection system captures flow from the toe drains (constructed seeps) and directs flow back into the ash basin and wastewater treatment system. Ash Basin Closure Closure -in -place or by closure -by -excavation are considered source control activities. Extensive groundwater modeling indicates that either method results in similar effects with respect to future groundwater conditions. Institutional Controls and Monitoring Permanent Water Solution Groundwater data at the Site indicates that surrounding for Water Supply Well Users water supply wells are not and have not been affected by within a 0.5-mile radius of Site -related COIs. Nevertheless, installation and the Coal Ash Basin maintenance by Duke Energy of water filtration systems for Compliance Boundary and 16 occupied households has been completed and approved Associated Water Filtration by the NCDEQ to address current and future stakeholder System Maintenance concerns. Duke Energy maintains these systems on behalf of the property owners. Maintain Ownership and Duke Energy owns the land downgradient of the ash basin Institutional Controls (ICs) and controls its use. The parcel located north of the ash basin and the Mayo Plant has been purchased by Duke Energy allowing Duke Energy to control activities on the property, thereby managing risks to property users downgradient of the ash basin to the North Carolina/Virginia state line. Duke Energy ownership of property mitigates potential future risk by controlling or eliminating potential exposure pathways associated with Site -related COIs. Page ES-13 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra TABLE ES-3 COMPONENTS OF SOURCE CONTROL, ACTIVE REMEDIATION, AND MONITORING Remedy Component Rationale Confirmation Monitoring Duke Energy will monitor groundwater to confirm that Plan (CMP) concentrations at the compliance boundary remain in compliance with 02L and to compare with model -predicted changes in boron plume during and after basin closure. The CAP Update includes a comprehensive review of groundwater data collected through June 2019 and a plan to optimize the monitoring program. Within thirty (30) days of CAP approval, Duke Energy would implement the Confirmation Monitoring Plan. The CMP monitoring schedule will be consistent with the Interim Monitoring Plan (IMP) to maintain seasonal data correlation. Prepared by: JAW Checked by: PWA Monitoring Program During and Post -Source Control Basin decanting and closure processes will have a beneficial effect on the Site hydrogeology, groundwater flow direction, gradients, and velocity. As an example, the modeled net groundwater flow rate from the ash basin across the dam footprint into the downgradient area is predicted to decrease from 18 gallons per minute (gpm) under pre -decanting conditions to 7 gpm after decanting, primarily due to the reduction in the hydraulic head in the ash basin (detailed information is provided in Section 5.1.2.8). The effects of decanting and closure are being monitored by pressure transducers to record water level changes and geochemical sondes to record geochemical changes near the dam, immediately downgradient of the ash basin. Monitoring of groundwater chemistry supports continued evaluation of changing conditions due to decanting and closure activities. Flow and transport modeling results predict boron constituent concentrations will decrease over time primarily due to dilution from recharge. Geochemical model data indicate conditions, primarily pH and redox potential (Eh), will remain stable, resulting in stable reactive constituent concentrations. The predictive model results will be verified through evaluation of the confirmatory monitoring data. Contingency for Corrective Action If the confirmatory groundwater monitoring data indicates that additional groundwater corrective action is warranted, an updated CAP may be prepared to address these conditions in accordance with applicable regulations. Page ES-14 z' DUKE ENERGY PROGRESS- s41 - PROPERTY LINE �: .�d r d•' L C ? ASH BASIN COMPLIANCE BOUNDARY 60' RIGHT-OF-WAY NORTH CAROLINA-VIRGINIA STATE LINE {'--�• .'; 1 HALIFAX COUNTY (APPROXIMATE) PERSON COUNTY APPROXIMATE ASH BASIN WASTE BOUNDARY I ir• , �' 100' HWY 501 ti / / RIGHT-OF-WAY r - _ FGD r', 100' RAILROAD N, AcI SETTING \; RIGHT-OF-WAY BASIN 2 41 CCP MONOFILL Y� APPROXIMATE 1981 FGDf C&D LANDFILL PONDS �' C f AREA (CLOSED) Ifs/ / •-LINED RETENTION/'S 16BASIN AREA APPROXIMATE FUTURE ASH BASIN POWER PLANT WASTE BOUNDARY GYPSUM STORAGE. t COAL PAD AREA STORAGE 'fir i n ` �' r'i-.�..�..J L►! �.+�{ PILE �. d • AREA - ?- 'sal ss7 1 � SOURCE: ` _ • r._- - ; 2016 USGS TOPOGRAPHIC MAP, CLUSTER SPRINGS QUADRANGLE, QUAD ID: 36078E8, OBTAINED FROM THE USGS STORE AT https://store.usgs.gov/map-locator. PERSON FIGURE ES-1 DUKE COUNTY USGS LOCATION MAP ENERGY CORRECTIVE ACTION PLAN UPDATE PROGRESS WINSTON-SAL EM MAYO STEAM ELECTRIC PLANT RA`EIGH • ROXBORO, NORTH CAROLINA CHARLOTTE • DRAWN BY: A. ROBINSON DATE: /0/2019 GRAPHIC SCALE REVISED BY: A. ROBINSONBINS 12 DATE: 12/O6/2019 1,000 0 1.000 2.000 A MTA.�.�... CHECKED BY: P. WYLIE DATE: 12/06/2019 ,�r 1 � rd APPROVED BY: J. WYLIE DATE: 12/O6/2019 (IN FEET) www.synterracorp.com PROJECT MANAGER: J. WYLIE Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra TABLE OF CONTENTS SECTION PAGE EXECUTIVE SUMMARY.................................................................................................... ES-1 1.0 INTRODUCTION.........................................................................................................1-1 1.1. Background..........................................................................................................1-2 1.2 Purpose and Scope..............................................................................................1-3 1.4 List of Considerations by the Secretary for Evaluation of Corrective Action Plans......................................................................................................................1-6 1.5 Facility Description.............................................................................................1-6 1.5.1 Location and History of Land Use............................................................1-6 1.5.2 Operations and Waste Streams Coincident with the Ash Basin ........... 1-8 1.5.3 Overview of Existing Permits and Special Orders by Consent ............1-9 2.0 RESPONSE TO CSA UPDATE COMMENTS IN SUPPORT OF CAP DEVELOPMENT........................................................................................................... 2-1 2J. Facility -Specific Comprehensive Site Assessment Comment Letter from NCDEQ................................................................................................................. 2-1 2.2 Duke Energy's Response to NCDEQ CSA Comment Letter ........................2-1 3.0 OVERVIEW OF SOURCE AREAS BEING PROPOSED FOR CORRECTIVE ACTION.......................................................................................................................... 3-1 4.0 SUMMARY OF BACKGROUND DETERMINATIONS......................................4-1 4,1 Background Concentrations for Soil.................................................................4-2 4.3 Table of Background Concentrations for Surface Water ............................... 4-4 4.4 Table of Background Concentrations for Sediment ....................................... 4-5 5.0 CONCEPTUAL SITE MODEL................................................................................... 5-1 5.1 Site Geologic and Hydrogeologic Setting........................................................ 5-2 5.1.1 Site Geologic Setting....................................................................................5-2 5.1.2 Site Hydrogeologic Setting.........................................................................5-4 5.1.2.1 Groundwater Flow Direction.............................................................. 5-4 5.1.2.2 Groundwater Seepage Velocities........................................................5-7 Page i Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra TABLE OF CONTENTS (CONTINUED) 5.1.2.3 Hydraulic Gradients............................................................................. 5-9 5.1.2.4 Particle Tracking Results....................................................................5-10 5.1.2.5 Subsurface Heterogeneities............................................................... 5-11 5.1.2.6 Bedrock Matrix Diffusion and Flow.................................................5-12 5.1.2.7 Onsite and Offsite Pumping Influences...........................................5-14 5.1.2.8 Ash Basin Groundwater Balance ...................................................... 5-14 5.1.2.9 Effects of Naturally Occurring Constituents...................................5-16 5.2 Source Area Location........................................................................................5-17 5.3 Summary of Potential Receptors.....................................................................5-17 5.3.1 Public and Private Water Supply Wells ................................................. 5-17 5.3.2 Availability of Public Water Supply ....................................................... 5-18 5.3.3 Surface Water............................................................................................. 5-18 5.3.4 Future Groundwater Use Area................................................................ 5-19 5.4 Human Health and Ecological Risk Assessment Results ............................ 5-19 5.5 CSM Summary................................................................................................... 5-21 6.0 CORRECTIVE ACTION APROACH FOR MAYO ASH BASIN ........................ 6-1 6.1 Extent of Constituent Distribution.................................................................... 6-2 6.1.1 Source Material Within the Waste Boundary..........................................6-2 6.1.1.1 Description of Waste Material and History of Placement .............. 6-2 6.1.1.2 Specific Waste Characteristics of Source Material ...........................6-3 6.1.1.3 Volume and Physical Horizontal and Vertical Extent of Source Material................................................................................................... 6-4 6.1.1.4 Volume and Physical Horizontal and Vertical Extent of Anticipated Saturated Source Material.................................................................... 6-4 6.1.1.5 Saturated Ash and Groundwater....................................................... 6-5 6.1.1.6 Chemistry Within Waste Boundary ................................................... 6-7 6.1.1.7 Other Potential Source Material........................................................ 6-11 6.1.1.8 Interim Response Actions.................................................................. 6-12 Page ii Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra TABLE OF CONTENTS (CONTINUED) 6.1.2 Extent of Constituent Migration beyond the Compliance Boundary 6-14 6.1.2.1 Piper Diagrams....................................................................................6-20 6.1.3 Constituents of Interest (COIs)................................................................ 6-22 6.1.4 Horizontal and Vertical Extent of COIs................................................. 6-32 6.1.4.1 COIs in Unsaturated Soil................................................................... 6-32 6.1.4.2 Horizontal and Vertical Extent of Groundwater in Need of Restoration........................................................................................... 6-32 6.1.5 COI Distribution in Groundwater........................................................... 6-35 6.1.5.1 Conservative Constituents................................................................. 6-36 6.1.5.2 Non -Conservative Constituents....................................................... 6-38 6.1.5.3 Variably Reactive Constituents.........................................................6-38 6.2 Receptors Associated with Ash Basin............................................................ 6-39 6.2.1 Surface Waters — Downgradient within a 0.5-Mile Radius of the Waste Boundary..................................................................................................... 6-39 6.2.2 Water Supply Wells................................................................................... 6-41 6.2.2.1 Provision of Alternative Water Supply ........................................... 6-42 6.2.2.2 Findings of Drinking Water Supply Well Surveys ........................ 6-43 6.2.3 Future Groundwater Use Areas.............................................................. 6-45 6.3 Human and Ecological Risks........................................................................... 6-45 6.4 Evaluation of Remedial Alternatives.............................................................. 6-46 6.5 Proposed Remedial Alternatives Selected for the Ash Basin ...................... 6-46 6.5.1 Description of Proposed Remedial Alternative .................................... 6-46 6.5.2 Design Details of Proposed Remedial Alternative ............................... 6-46 6.5.3 Monitored Natural Attenuation Requirements .................................... 6-47 6.5.4 Requirements for 02L.0106 Rule.............................................................. 6-47 6.5.5 Sampling and Reporting........................................................................... 6-47 6.5.5.1 Confirmation Monitoring Plan ......................................................... 6-47 6.5.6 Interim Activities Prior to Implementation ........................................... 6-52 Page iii Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra TABLE OF CONTENTS (CONTINUED) 6.5.7 Contingency Plan.......................................................................................6-52 6.5.7.1 Description of Contingency Plan......................................................6-53 6.5.7.2 Decision Metrics for Implementing Contingency Plan ................. 6-53 6.6 Ash Basin Summary..........................................................................................6-54 7.0 PROFESSIONAL CERTIFICATION.........................................................................7-1 8.0 REFERENCES................................................................................................................ 8-1 Page iv Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra LIST OF FIGURES Executive Summary Figure ES-1 USGS Location Map 1.0 Introduction Figure 1-1 USGS Location Map Figure 1-2 Site Layout Map Figure 1-3 1951 Aerial Photograph 4.0 Summary of Background Determinations Figure 4-1 Background Sample Locations 5.0 Conceptual Site Model Figure 5-1 Conceptual Site Model Pre -Decanting Conditions Figure 5-2 LeGrand Slope Aquifer System Figure 5-3 General Profile of Ash Basin Pre -Decanting Flow Conditions in the Piedmont Figure 5-4a Water Level Map - Surficial Flow Zone - April 2019 Figure 5-4b Water Level Map - Transition Flow Zone - April 2019 Figure 5-4c Water Level Map - Bedrock Flow Zone - April 2019 Figure 5-5a Flow Velocity Vectors and Magnitudes for Pre -Decanting Conditions Figure 5-5b Flow Velocity Vectors and Magnitudes for Closure -by -Excavation Scenario Figure 5-5c Flow Velocity Vectors and Magnitudes for Closure -in -Place Scenario Figure 5-6 HB630 Provision of Permanent Water Supply Completion Map Figure 5-7 Map of Surface Waters 6.0 Corrective Action Approach for Ash Basin Figure 6-1 Fly Ash and Bottom Ash Interbedded Depiction Figure 6-2 General Cross Section A -A' - Ash Basin Figure 6-3 Saturated Ash Thickness Map — Pre -Decanting and Closure -in -Place Scenarios Figure 6-4 General Cross Section A -A' - Ash Basin - Boron Figure 6-5 Site Layout - Decanting Monitoring Network Figure 6-6 Geochemical Water Quality Plots Figure 6-7 Ash Pore Water and Groundwater Piper Diagrams Figure 6-8a Hydrographs — Within Ash Basin Page v Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra LIST OF FIGURES (CONTINUED) 6.0 Corrective Action Approach for Ash Basin (Continued) Figure 6-8b Hydrographs — Within and North of Ash Basin Figure 6-8c Hydrographs — North of Ash Basin Figure 6-9 Unsaturated Soil Sample Locations and Exceedances Figure 6-10 Seep and Surface Water Quality Piper Diagrams Figure 6-11a Map of Boron Distribution - Surficial Zone Figure 6-11b Map of Boron Distribution - Transition Zone Figure 6-11c Map of Boron Distribution - Bedrock Zone Figure 6-12 Confirmation Monitoring Plan Network Figure 6-13 Confirmation Monitoring Plan Work Flow Diagram Page vi Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra LIST OF TABLES Executive Summary Table ES-1 Summary of Mayo Assessment Documentation Table ES-2 Summary of Mayo Assessment Activities (Through June 2019) Table ES-3 Components of Source Control, Active Remediation, and Monitoring 3.0 Overview of Source Areas Proposed for Corrective Action Table 3-1 Summary of Onsite Potential Additional Source Facilities 4.0 Summary of Background Determinations Table 4-1 Background Soil Sample Summary Table 4-2 Background Values for Soil Table 4-3 Background Values for Groundwater Table 4-4 Background Dataset Ranges for Surface Water Table 4-5 Background Dataset Ranges for Sediment 5.0 Conceptual Site Model Table 5-1 April 2019 Water Level Measurements and Elevations Table 5-2 Groundwater Balances Summary Table 5-3 Surface Water Classification 6.0 Corrective Action Approach for Ash Basin Table 6-1 Boron Concentrations in Groundwater Below Source Area Table 6-2 Source Area Interim Actions Table 6-3 Soil PSRG POG Standard Equation Parameters and Values Table 6-4 Summary of Unsaturated Soil Analytical Results Table 6-5 Seep Corrective Action Strategy Table 6-6 Means of Groundwater Constituents - January 2018 to April 2019 Table 6-7 Constituent Management Matrix Table 6-8 July 2018 - July 2019 Boron Concentrations Near or Beyond Compliance Boundary - Downgradient of Ash Basin Table 6-9 Summary Trend Analysis Results for Groundwater Monitoring Wells Table 6-10 Water Supply Well Analytical Results Summary Table 6-11 Confirmation Monitoring Plan Elements Page vii Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra LIST OF APPENDICES Appendix A Regulatory Correspondence Appendix B Comprehensive Site Assessment Update Report Review Comments and Responses Appendix C Updated Comprehensive Analytical Data Tables Appendix D HB 630 Provision of Water Supply Completion Documentation Appendix E Human Health and Ecological Risk Assessment Appendix F Fractured Bedrock Evaluation Appendix G Updated Groundwater Flow and Transport Modeling Report Appendix H Geochemical Model Report COI Management Plan Approach Appendix I Surface Water Evaluation to Assess 15A NCAC 02B .0200 Compliance for Implementation of Corrective Action under 15A NCAC 02L .0106 (k) and (1) Report Surface Water Future Conditions Evaluation in Accordance with Compliance to 15A NCAC 02B .0200 Appendix J Ash Basin Groundwater Confirmation Monitoring Plan Page viii Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra LIST OF ACRONYMS µg/L micrograms per liter 02B North Carolina Administrative Code, Title 15A, Subchapter 02B, Surface Water and Wetland Standards 02L North Carolina Administrative Code, Title 15A, Subchapter 02L, Groundwater Classification and Standards AOW Area of Wetness CAMA Coal Ash Management Act of 2014 CAP Corrective Action Plan CBD Citrate-Bicarbonate-Dithionite CCR Coal Combustion Residuals Closure Plan CCR Surface Impoundment Closure Plan CMP Confirmation Monitoring Plan COI Constituent of Interest COPC Constituent of Potential Concern (risk assessment) CSA Comprehensive Site Assessment CSM Conceptual Site Model cy cubic yard Duke Energy Duke Energy Progress, LLC DWM NCDEQ Division of Waste Management DWR NCDEQ Division of Water Resources Eh Redox Potential EMC Environmental Management Commission EMP Effectiveness Monitoring Plan FGD Flue Gas Desulfurization FLASH Flow -Log Analysis of Single Holes ft/day feet per day ft/ft feet by foot ft/yr feet per year g/cm3 grams per cubic centimeter gpm gallons per minute G.S. NC General Statute HAO Hydrous Aluminum Oxide HFO Hydrous Ferric Oxide HPF Heal Pulse Flowmeter HQ Hazard Quotient Page ix Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra LIST OF ACRONYMS (CONTINUED) ICs Institutional Controls IMAC Interim Maximum Allowable Concentrations IMP Interim Monitoring Plan J-flag Laboratory estimated concentration. Ka Partition Coefficient kg/L kilograms per liter L/kg liters per kilogram LCL lower confidence limit LOAEL lowest observed adverse effects levels Mayo, Plant, or Site Mayo Steam Electric Plant mm millimeter NA Not applicable NAVD88 North American Vertical Datum of 1988 NC North Carolina NCAC North Carolina Administrative Code NCDEQ North Carolina Department of Environmental Quality ND non -detect (less than the laboratory reporting limit) ne Effective Porosity NOAEL no observed adverse effects levels NORR Notice of Regulatory Requirements NPDES National Pollution Discharge Elimination System NRTR Natural Resources Technical Report NTUs Nephelometric Turbidity Units ORP Oxidation Reduction Potential POG Protection of Groundwater PSRGs Preliminary Soil Remediation Goals RO qualified data are unusable RC Rural Conservation RL Reporting Limit s.u. Standard Units SOC Special Order by Consent SPLP Synthetic Precipitation Leaching Procedures SWS Solid Waste Section TDS Total Dissolved Solids TOC Total organic carbon Page x Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra LIST OF ACRONYMS (CONTINUED) USEPA United States Environmental Protection Agency USGS U.S. Geological Survey Page xi Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra 1.0 INTRODUCTION (CAP Content Section 1) SynTerra prepared this groundwater corrective action plan (CAP) Update on behalf of Duke Energy Progress, LLC (Duke Energy). This CAP Update pertains to the Mayo Steam Electric Plant (Mayo, Plant, or Site) coal combustion residual (CCR) surface impoundment (ash basin). Duke Energy owns and operates Mayo, located in Roxboro, Person County, North Carolina (Figure 1-1). In accordance with North Carolina General Statutes (G.S.) Section 130A-309.211 (b), amended by the 2014 North Carolina Coal Ash Management Act (CAMA), Duke Energy is required to submit a CAP for the restoration of groundwater in conformance with the requirements of 02L. Analytical data obtained over one year of quarterly monitoring indicate the Mayo ash basin is currently in compliance with 02L groundwater quality standards; therefore, groundwater corrective action under 15A NCAC 02L .0106 is not required at this time for the Mayo ash basin. This CAP Update addresses the requirements of CAMA and is prepared consistent with the CAP guidance provided by the North Carolina Department of Environmental Quality (NCDEQ) in a letter to Duke Energy, dated September 10, 2019 (Appendix A). This CAP Update evaluates groundwater associated with the Mayo ash basin. Specifically, this CAP focuses on constituent concentrations detected greater than applicable North Carolina groundwater standards [02L; Interim Maximum Allowable Concentrations (IMAC); or background threshold values, whichever is greater], at or beyond the compliance boundary. In accordance with G.S. Section 130A-309.211(b), a CAP for Mayo was previously submitted to the NCDEQ in two parts: • Corrective Action Plan Part 1 —Mayo Steam Electric Plant (SynTerra, 2015b) • Corrective Action Plan Part 2 —Mayo Steam Electric Plant (SynTerra, 2016a). This CAP Update is being submitted to NCDEQ as originally requested in a June 2, 2017, letter from NCDEQ to Duke Energy. In letters to Duke Energy dated April 5, 2019 and May 9, 2019, NCDEQ provided revised CAP deliverable schedules and requested assessment of additional potential sources of constituents to groundwater (Appendix A). Page 1-1 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra This CAP Update includes section references to the document, Corrective Action Plan Content for Duke Energy Coal Ash Facilities (provided in Appendix A), beneath report section headings and within text in brackets to facilitate the review process. The CAP content and submittal schedule are in accordance with correspondence between NCDEQ and Duke Energy, including CAP content guidance issued by NCDEQ on April 27, 2018 and adjusted on September 10, 2019 (Appendix A). In addition to the CAP Update, Duke Energy will submit a CCR Surface Impoundment Closure Plan (Closure Plan) to NCDEQ on/before December 31, 2019 under separate cover. Duke Energy will submit final closure plans consistent with the detailed requirements of G.S. Section 130A-309.214. This CAP Update has been developed to be effective with any closure scenarios determined for the Site. 1.1 Background (CAP Content Section 1.A) A substantial amount of assessment data has been collected for the Mayo ash basin to support this CAP Update. Site assessment was completed and the Comprehensive Site Assessment (CSA) Update Report (SynTerra, 2017b) was submitted in accordance with requirements in 15A NCAC 02L.0106 (g). The CSA: • Identified CCR-related constituents present in groundwater in the ash basin area at concentrations greater than applicable regulatory standards. • Found no imminent hazards to public health and safety. • Identified no receptors and no significant exposure pathways. • Sufficiently determined the horizontal and vertical extent of CSA identified constituents in soil and groundwater. • Determined the geological and hydrogeological features influencing the movement, chemical makeup, and physical characteristics of CSA identified constituents. NCDEQ provided review of the CSA Update to Duke Energy in a letter dated May 7, 2018 and stated that sufficient information was provided to warrant preparation of this CAP Update (Appendix A). This CAP Update builds on previous documents to provide a CAP for addressing the requirements of CAMA which requires restoration of groundwater in conformance with the requirements of 02L. Detailed descriptions of Site operational history, the CSM, physical setting and features, geology/hydrogeology, and findings of the CSA and other CAMA-related work are documented in this CAP Update and in the following reports: Page 1-2 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra • Comprehensive Site Assessment Report — Mayo Steam Electric Plant (SynTerra, 2015a) • Corrective Action Plan Part 1— Mayo Steam Electric Plant (SynTerra, 2015b) • Corrective Action Plan Part 2 — Mayo Steam Electric Plant (SynTerra, 2016a) • Comprehensive Site Assessment Supplement 1 — Mayo Steam Electric Plant (SynTerra, 2016b) • Comprehensive Site Assessment Update — Mayo Steam Electric Plant (SynTerra, 2017b) • Ash Basin Pumping Test Report — Mayo Steam Electric Plant (SynTerra, 2019a) • Surface Water Evaluation to Assess 15A NCAC 02B.0200 Compliance for Implementation of Corrective Action Under 15A NCAC 02L.0106 W and (l) (SynTerra, 2019b) • 2018 CAMA Annual Interim Monitoring Report — Mayo Steam Electric Plant (SynTerra, 2019c) Reports and other documents submitted to NCDEQ that pertain to the calculation and approval of background threshold values (BTVs) for Site media are presented and described in Section 4.0. 1.2 Purpose and Scope (CAP Content Section 1.B) The purpose of this Mayo CAP Update is to: • Meet the requirements for corrective action plans specified in G.S. Section 130A- 309.211 (b) prepared in accordance with NCDEQ CAP guidance • Provide supporting evidence that groundwater quality does not exceed applicable 15A NCAC 02L.0202 groundwater quality standards at or beyond the ash basin compliance boundary • Present an optimized groundwater monitoring network for the ash basin based on ash basin -related constituent mobility and distribution The scope of the CAP and this CAP Update is defined by G.S. Section 130A-309.211, amended by CAMA. The CAMA legislation required, among other items, assessment of groundwater at coal combustion residual impoundments and corrective action in conformance with the requirements of 15A NCAC 02L. These corrective actions for restoration of groundwater quality requirements were codified into G.S. Section 130A- Page 1-3 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra 309.211 which was further amended by House Bill 630 to require a provision for alternate water supply for receptors within 0.5-half mile downgradient from the established compliance boundary. Based on Site conditions and assessment results, the CAP purpose is to evaluate the need for corrective action, other than source control through closure, and present a recommended plan. Migration of ash basin -sourced constituents in groundwater does not extend past the compliance boundary of the Mayo ash basin. Therefore, the CAP Update for Mayo focuses on constituent concentrations detected greater than applicable North Carolina groundwater standards [02L; Interim Maximum Allowable Concentrations (IMAC); or background threshold values, whichever is greater], and verifying decreasing groundwater concentrations during decanting and subsequent closure of the basin. Once the CAP is approved by NCDEQ implementation is planned to begin within 30 days as required in G.S. Section 309.211 (b)(3). 1.3 Regulatory Basis for Corrective Action (CAP Content Section 1.0 The regulatory requirements for corrective action at CCR surface impoundments are found in G.S. Section 130A-309.211(b), (c), and (c1). Section (b) of G.S. 130A-309.211 requires that the CAP shall provide for groundwater restoration in conformance with the requirements of Subchapter L of Chapter 2 of Title 15A of the North Carolina Administrative Code (15A NCAC 02L). In accordance with 130A-309.211(b), the groundwater CAP shall include, at a minimum, the following (CAP Content Section 1.C.a): • A description of all exceedances of the groundwater quality standards, including any exceedances that the owner asserts are the result of natural background conditions • A description of the methods for restoring groundwater in conformance with the requirements of Subchapter L of Chapter 2 of Title 15A of the NCAC and a detailed explanation of the reasons for selecting these methods • Specific plans, including engineering details, for restoring groundwater quality • A schedule for implementation of the groundwater corrective action plan • A monitoring plan for evaluating the effectiveness of the proposed corrective action and detecting movement of any constituent plumes • Any other information related to groundwater assessment required by NCDEQ Page 1-4 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra In addition to CAMA, requirements for CAPS are also contained in 15A NCAC 02L .0106(e), (h) and (i). Section 02L .0106(e)(4) requires implementation of an approved CAP for restoration of groundwater quality at or beyond the compliance boundary in accordance with a schedule established by the Secretary. In a letter dated December 18, 2009, NCDEQ informed Duke Energy that the North Carolina Attorney General's Office clarified how corrective action requirements apply to facilities permitted prior to December 30, 1983. The Attorney General determined that facilities exceeding groundwater standards, permitted under G.S. Section 143-215.1, and permitted prior to December 30, 1983, fall under 15A NCAC 02L .0106(c). The letter then stated that this clarification gives Duke Energy the option to seek approval of a CAP that does not require remediation to groundwater standards [15A NCAC 02L .0106(k)] or may allow natural attenuation by natural processes [15A NCAC 02L .0106(1)]. Therefore, where applicable, the CAP Update presents an evaluation of the options available for corrective action under 15A NCAC 02L .0106(j), (k), and (1). • Under paragraph 0), corrective action would be implemented using remedial technology for restoration of groundwater quality to the standards (02L). • Under paragraph (k), a request for approval of a corrective action plan may be submitted without requiring groundwater remediation to the standards (02L) if the requirements in (k) are met. • Under paragraph (1), a request for approval of a corrective action plan may be submitted based on natural processes of degradation and attenuation if the requirements in (1) are met. This CAP Update has been prepared in general accordance with the NCDEQ guidance document titled Corrective Action Plan Content for Duke Energy Coal Ash Facilities which provides an outline of the technical content and format presented in the NCDEQ's letter dated September 10, 2019, provided in Appendix A (CAP Content Section 1.C.c). In addition to this groundwater CAP, the Mayo ash basin is subject to closure requirements under CAMA. Basin closure activities will provide source control within the ash basin and are considered a component of the overall corrective action for the Site. Importantly, the Mayo ash basin meets the low -risk classification criteria set forth in CAMA for CCR surface impoundments. On November 14, 2018, NCDEQ confirmed that Duke Energy had established permanent water supplies for surrounding properties by August 31, 2018, and rectified certain dam safety deficiencies, reclassifying the ash Page 1-5 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra basin from its prior draft ranking of "intermediate" to "low -risk." Under G.S. Section 130A-309.214, a low -risk CCR surface impoundment may be closed by excavation, closure -in -place, or a hybrid approach. Ash basin closure is detailed in a separate document (AECOM, 2019); therefore, this CAP Update considers multiple ash basin closure scenarios. Closure by cap -in -place or closure -by -excavation will be effective in addressing the ash basin source area which is an important part of the overall corrective action strategy. Groundwater modeling simulations indicate the different closure options have a similar effect on COI concentrations in groundwater. Comprehensive groundwater assessment activities, conducted in accordance with a Notice of Regulatory Requirements (NORR) issued to Duke Energy on August 13, 2014 by the North Carolina Department of Environment and Natural Resources (NCDENR), now NCDEQ (Appendix A), confirm groundwater quality does not exceed applicable 15A NCAC 02L .0202 groundwater quality standards at or beyond the ash basin compliance boundary; therefore, groundwater corrective action under 15A NCAC 02L .0106 is not required at this time for the Mayo ash basin. The CAP requirements noted in Section 1.C.b. are not applicable nor presented in this CAP Update (CAP Content Section 1.C.b and 1.C.c). 1.4 List of Considerations by the Secretary for Evaluation of Corrective Action Plans (CAP Content Section 1.D) This CAP Update meets the corrective action requirements under G.S. Section 130A- 309.211, amended by CAMA. Groundwater quality data confirms that constituents identified at the Mayo Site do not exceed applicable 15A NCAC 02L .0202 groundwater quality standards at or beyond the ash basin compliance boundary; therefore, groundwater corrective action under 15A NCAC 02L.0106 is not required for the Mayo ash basin at this time. 1.5 Facility Description (CAP Content Section LE) 1.5.1 Location and History of Land Use (CAP Content Section 1.E.a) Mayo is located on the northwest side of Mayo Reservoir in Roxboro, Person County, North Carolina (Figure 1-1). Mayo is a single -unit coal-fired electricity generating plant. The Mayo ash basin was completed in October 1982 and power Page 1-6 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra generation began in 1983. Mayo Reservoir was created to provide cooling water for Plant operations. The overall topography of the Site generally slopes toward the east (Mayo Reservoir) and northeast (Crutchfield Branch). The Site is roughly bisected by US Highway 501 with the majority of the Site — including the power block, the ash basin, and most of its operational features — located east of US Highway 501. The portion of the Site west of US Highway 501 contains the operational industrial landfill (Monofill; Permit #7305-INDUS) and a haul road that connects the Monofill with the operational portion of the Plant (Figure 1-2). The eastern portion of the Site, excluding Mayo Reservoir, encompasses 460 acres. Mayo Reservoir encompasses 2,880 acres with a normal water elevation of approximately 433 feet (North American Vertical Datum of 1988 [NAVD 88]). The ash basin is the dominant feature on the portion of the property east of US Highway 501. The ash basin is bounded on the west by US Highway 501 and on the east by a railroad line. Ridges east, west, and south of the ash basin act as groundwater divides that provide control of groundwater migration to within the former Crutchfield Branch stream valley. The Mayo generating station and supporting facilities lie within property owned by Duke Energy. Based on a review of available historical and aerial photography, the Site consisted of a combination of agricultural land, rural residential, and woodlands prior to the impoundment of Mayo Creek for the formation of Mayo Reservoir and development of the Plant. Figure 1-3 presents an aerial photograph from 1951 prior to development of the Plant and construction of Mayo Reservoir (CAP Content Section 1.E.a). Land use within the 0.5-mile radius of the ash basin compliance boundary generally consists of undeveloped, forested land with infrequent rural residential. The entire area encompassed by the Mayo Plant and surrounding properties is zoned by Person County as RC (Rural Conservation). Properties located within a 500-foot radius of the Mayo ash basin compliance boundary are all contained within the Site (Figure 1-2). Properties adjacent to the Site are located in Person County, North Carolina, and Halifax County, Virginia. The closest residences to the east of the Site are along the easternmost shore of Mayo Lake. Undeveloped land borders the Site to the north. Several residences are located just outside the Site boundaries to the south and northwest (in North Carolina and in Virginia). Louisiana Pacific Corporation, located south and west of the Mayo property boundary, opposite Page 1-7 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra the Plant's entrance road, is a manufacturing facility that produces oriented strand board. The facility has been in operation since 1994. 1.5.2 Operations and Waste Streams Coincident with the Ash Basin (CAP Content Section 1.E.b) Coal -Related Operations and Waste Streams Coincident with the Ash Basin Coal is a highly combustible sedimentary or metamorphic rock typically dark in coloration and present in rock strata known as coal beds or seams. Coal is predominantly comprised of carbon and other elements such as hydrogen, oxygen, nitrogen, and sulfur as well as trace metals. The composition of coal makes it useful as a fossil fuel for combustion processes. Coal results from the conversion of dead vegetative matter into peat and lignite. The exact composition of coal varies depending on the environmental and temporal factors associated with its formation. Coal has arrived at Mayo through rail transportation since Plant operations began. Coal storage has historically occurred at the Site's coal pile storage area located immediately southeast of the ash basin (CAP Content Section 5.A.b) (Figure 1-2). The approximate location of the coal pile has remained consistent throughout operation of the Plant, with minor changes to the footprint depending on the volume of coal stored on Site. The coal pile is not lined. Surface water runoff from the area was historically directed to the ash basin; however, a lined coal pile retention basin system was constructed in 2018 to capture runoff. Coal is stored in the coal pile storage area then conveyed via transfer belts to the coal handling facilities where it is pulverized before being utilized in the boilers. Coal ash and other CCRs are produced from the combustion of coal. The smaller ash particles (fly ash) are carried upward in the flue gas and are captured by an air pollution control device. The larger ash particles (bottom ash) fall to the bottom of the boiler. Approximately 70 percent to 80 percent of ash produced during coal combustion is fly ash (EPRI, 1995). Typically, 65 percent to 90 percent of fly ash has particle sizes that are less than 0.010 millimeter (mm). In general, fly ash has a grain size distribution similar to that of silt. The remaining 20 percent to 30 percent of ash produced is considered bottom ash. Bottom ash consists of angular particles with a porous surface and is normally gray to black in color. Bottom ash particle Page 1-8 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra diameters can vary from approximately 38 mm to 0.05 mm. In general, bottom ash has a grain size distribution similar to that of fine gravel to medium sand (EPRI, 1995). Non -Coal -Related Operations and Waste Streams Coincident with the Ash Basin No non -coal related operations or environmental incidents (i.e., releases that initiated notifications to NCDEQ) are known to have occurred at Mayo in the vicinity of, or coincident to, the ash basin. The power plant area is separate from the ash basin; operations and/or environmental incidents associated with that area would have no effect on ash basin groundwater. 1.5.3 Overview of Existing Permits and Special Orders by Consent (CAP Content Section 1.E.0 NPDES Permit Duke Energy is authorized to discharge wastewater from the Mayo ash basin to Mayo Reservoir (Outfall 002) in accordance with NPDES Permit NC0038377, which was renewed by NCDEQ on July 13, 2018. The facility has two permitted outfalls in the current NPDES discharge permit. The sources of wastewater for these outfalls include non -contact cooling water, ash basin discharge, sanitary waste, cleansing and polishing water, low volume wastes, and storm water from process areas. The facility operates the following outfalls (except where subsequently noted, descriptions below are excerpted directly from the NPDES permit): • Outfall 001: Cooling Tower System. Less than once per year, the cooling towers and circulating water system are drained by gravity and discharged directly to Mayo Reservoir. Outfall 002: Ash Pond Treatment System. Discharged directly to Mayo Reservoir. The ash basin receives coal pile runoff, storm water runoff, cooling tower blowdown, and various low -volume wastes. Internal Outfalls 008 and 009 are discharged into the ash basin. • Internal Outfall 008: Cooling tower blowdown is discharged directly to the ash basin. Cooling tower blowdown is indirectly discharged to Mayo Reservoir via the ash pond treatment system (Outfall 002). Page 1-9 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Internal Outfall 009: Discharge from the flue gas desulfurization (FGD) blowdown treatment system. FGD wastewater is treated via thermal evaporation. Outfall 009 is inactive. Outfall 002A: Upon completion of construction, discharge from the new lined retention basin (LRB). (The recently completed LRB received the first water from the Plant on June 7, 2019 and discharged to Outfall 002 on July 8, 2019.) The basin will receive wastes from holding cell (vacuumed sediments and solids), coal pile runoff, storm water runoff, cooling tower blowdown, and various low -volume wastes such as boiler blowdown, oily waste treatment, was from the water treatment processes including reverse -osmosis wastewater, plant area wash down water, equipment heat exchanger water, groundwater, occasional piping leakage from limestone slurry and FGD system, chemical metal cleaning waste, and treated domestic wastewater. Wastewater from this outfall discharges to Mayo Reservoir via Outfall 002. Internal Outfall 002B: Yard sump overflows (contain all wastes routed to the new retention basin). Wastewater from this outfall discharges to Mayo Reservoir via Outfall 002. • Internal Outfall 011: Domestic wastewater plant. Wastewater from this outfall discharges to Mayo Reservoir via Outfall 002. Outfalls 004, 005, 006c, 006d, and 006e: These former storm water outfalls primarily contain storm water and groundwater with some additional dust suppression irrigation and cooling tower drift. These outfalls discharge to Mayo Reservoir. (Outfalls 004 and 005 have been rerouted upstream of Outfall 002. Outfall 006c, 006d, and 006e were abandoned in early 2018 and no longer flow to Mayo Reservoir.) Mayo Plant is also authorized to discharge stormwater to Mayo Reservoir in accordance with NPDES Permit NCS000580. Special Order by Consent A Special Order by Consent (SOC) was issued to Duke Energy on August 15, 2018 (Appendix A) to address seeps from the Mayo ash basin during the separate and independent process of ash basin closure. The SOC provided definition for constructed seeps [seeps that (1) are on or within the dam structures and (2) convey wastewater via a pipe or constructed channel directly to a receiving water] or non -constructed seeps (seeps that do not meet the "constructed seep" definition). Page 1-10 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra The SOC requires Duke Energy to accelerate ash basin decanting. After completion of decanting, remaining seeps, if not dispositioned in accordance with the SOC, will be characterized. After post -decanting seep characterization, an amendment to the CAP and/or Closure Plan, may be required to address remaining seeps. The SOC terminates 180 days after decanting or 30 days after approval of the amended CAP. Basin decanting at Mayo began June 27, 2019. The SOC requires completion of decanting by December 31, 2020. Permitted Solid Waste Facilities Mayo has an industrial landfill (Monofill) permitted by the NCDEQ Division of Waste Management (DWM), Solid Waste Section (SWS) (Permit No. 7305- INDUS) The Monofill is located west of US Highway 501 within a groundwater drainage area separate from the ash basin. Mayo CCRs that are not beneficially re -used are placed in the Monofill. Air Quality/Hazardous Waste Mayo holds a Title V air quality operating permit (#03478T47) and a hazardous waste permit (NCD000830612) as a RCRA small quantity generator. Erosion and Sediment Control Permits Erosion and Sediment Control (E&SC) permits are obtained for construction - related activities where the area of disturbance is greater than one acre. Multiple E&SC permits have been obtained for various projects adjacent to the ash basin including assessment field activities and wastewater redirection to initiate ash basin closure. E&SC permits are opened and closed as related projects commence and complete. E&SC permits will continue to be obtained prior to implementation of additional construction projects, as appropriate. Page 1-11 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra 2.0 RESPONSE TO CSA UPDATE COMMENTS IN SUPPORT OF CAP DEVELOPMENT (CAP Content Section 2) 2.1 Facility -Specific Comprehensive Site Assessment Comment Letter from NCDEQ (CAP Content Section 2.A) On October 31, 2017, Duke Energy submitted a CSA Update to NCDEQ (SynTerra, 2017b). In a letter to Duke Energy dated May 7, 2018, NCDEQ stated that sufficient information had been provided in the CSA Update to allow preparation of a CAP. The letter also provided CSA-related comments and items required to be addressed prior to or as part of the CAP submittal (Appendix A). On June 7, 2018, NCDEQ Raleigh Regional Office (RRO) submitted an email with the subject: Draft comprehensive review comments for Mayo and Roxboro. The email provided an attachment with additional draft CSA Update comments (Appendix A). 2.2 Duke Energy's Response to NCDEQ CSA Comment Letter (CAP Content Section 2.B and 2.B.a) Responses to each of the NCDEQ comments within the May 7, 2018 letter and in the June 7, 2018 email attachment are summarized in Appendix B. Additional content related to NCDEQ's comments is either included within sections of this CAP Update or as standalone appendices to this document, such as the groundwater modeling reports and surface water evaluation reports. Additional content location is referenced in the response summary, as applicable. Activities that directly addressed NCDEQ comments concerning the Mayo CSA Update include: • Groundwater samples continued to be collected on a quarterly basis as part of the Mayo Interim Monitoring Plan (IMP) after CSA Update submittal. Additional sampling results augmented the groundwater quality database. Comprehensive groundwater analytical data are included in Appendix C, Table 1. • Additional soil assessment, including assessment of soil surrounding the ash basin perimeter and downslope of the ash basin, was performed. Discussion of soil assessment results are presented in Section 6.0. Page 2-1 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra • Additional assessment of Crutchfield Branch surface water and sediment downgradient of the Mayo ash basin was performed during in April/May 2018. A report summarizing the sampling, results, evaluation, and conclusions of the surface water evaluation was submitted to NCDEQ on March 21, 2019 and is included in Appendix I. • An evaluation of potential groundwater migration and associated effects on surface water under future conditions was conducted and the results of the evaluation are presented in Appendix I. • Background groundwater and soil datasets and BTVs were updated to include data through December 2018. Information about background determinations is presented in Section 4.0. Updated soil BTVs are listed on Table 4-2, and updated groundwater BTVs are listed on Table 4-3. • The Mayo flow and transport model and geochemical model were updated to incorporate additional assessment data and information. The additional data helped refine the models. The flow and transport model report is provided as Appendix G. The geochemical model report is provided as Appendix H. • The Mayo CSM was updated to improve understanding of Site conditions based upon updated Site data, assessment results, and model predictions. The updated CSM is presented in Section 5.0. Page 2-2 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra 3.0 OVERVIEW OF SOURCE AREAS BEING PROPOSED FOR CORRECTIVE ACTION (CAP Content Section 3) As previously described, the Mayo ash basin is currently in compliance with 02L groundwater quality standards; therefore, groundwater corrective action under 15A NCAC 02L .0106 is not required at this time for the Mayo ash basin. A general Site layout is presented as Figure 1-2 (CAP Content Section 3.A and 3.A.a). Sources Not Connected to the Ash Basin to be Addressed in Subsequent CSAs (CAP Content Section 3.B) Coal Pile Storage Area In a letter dated April 5, 2019 (Appendix A) (CAP Content Sections 3.B), NCDEQ stated the Mayo CAP Update may include the coal storage pile area. Based on initial evaluation of assessment findings for the coal storage pile area, Duke Energy submitted a request to the NCDEQ on October 11, 2019 to assess the area independent from the ongoing evaluation and preparation of this ash basin CAP Update. The request was approved on November 13, 2019 (Appendix A), a work plan was approved on December 10, 2019 (Appendix A), and the coal storage pile area is being evaluated independently of the ash basin with a due date for the CSA report to be mutually agreed upon by NCDEQ and Duke Energy. Gypsum Storage Pad Area In a letter dated April 5, 2019 (Appendix A) (CAP Content Sections 3.B), NCDEQ stated that a CSA for the Mayo gypsum storage pad, a potential secondary source not associated with the ash basin, is due for submittal by March 31, 2020. However, the gypsum storage pad area may be hydrologically related to the east side of the coal pile storage area, so it may be appropriate to evaluate and report findings pertaining to both units at the same time. Evaluation of the gypsum storage pad area is ongoing. Low Volume Ponds In a letter dated April 5, 2019 (Appendix A) (CAP Content Sections 3.B), NCDEQ stated that a CSA for the low volume ponds, a potential secondary source not associated with the ash basin, is due for submittal by March 31, 2020. On June 26, 2019 Duke Energy requested that NCDEQ review the request for evaluation of the NPDES-permitted lined low volume waste ponds. On July 19, 2019 NCDEQ submitted a letter to Duke Energy Page 3-1 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra (Appendix A) determining that an evaluation of the low volume ponds is not required at this time. A brief description of Mayo potential additional sources, their status of inclusion or exclusion as part of the ash basin source area, and the rationale for inclusion or exclusion is provided in Table 3-1 (CAP Content Section 3.B). Page 3-2 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra 4.0 SUMMARY OF BACKGROUND DETERMINATIONS (Cap Content Section 4) Metals and inorganic constituents, typically associated with CCR material, are naturally occurring and present at background locations not affected by Mayo ash basin operations. Additionally, CCR-related constituents are naturally occurring and present in the Piedmont physiographic province of north -central North Carolina. The metals and inorganic constituents occur in soil, groundwater, surface water, and sediment. Background analytical results are used to compare detected constituent concentration ranges from the ash basin source area relative to native conditions. The statistically derived background values for the Site are used for screening of assessment data collected in areas of potential migration of constituents from a source area. If the assessment data concentrations are less than background, it is likely migration has not occurred in the area. If the assessment data concentrations are greater than background, additional lines of evidence are used to determine whether the concentrations represent migration from a source area. Additional lines of evidence include, but may not be limited to: • Evaluation of whether the concentration is within the range of concentrations detected at the Site, or within the range for the geographic region • Evaluation of whether there is a migration mechanism such as through hydraulic mapping (across multiple flow zones), flow and transport modeling, and understanding of the CSM • Evaluation of concentration patterns (i.e., do the patterns represent a discernable plume or migration pattern?) • Consideration of natural variations in Site geology or geochemical conditions between upgradient (background locations) and downgradient area • Consideration of other constituents present at concentrations greater than background values. Mayo and eight other Duke Energy facilities (Allen Steam Station, Belews Creek Steam Station, Buck Steam Station, Cape Fear Steam Electric Plant, Cliffside Steam Station, Dan River Steam Station, Marshall Steam Station, Mayo Steam Electric Plant, and Riverbend Steam Station) are situated in the Piedmont physiographic province of north - central North Carolina. The nine Duke Energy facilities are located within a 220-mile radius from Mayo. Statistically derived background values from these facilities provide Page 4-1 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra a geographic regional background range for comparison. Generally, background values derived from the Piedmont facilities are similar, with some exceptions. As more background data become available, the background threshold values (BTVs) may be updated to continue to refine the understanding of background conditions. However, these multiple lines of evidence, and additional steps in the evaluation process, will continue to be important tools to distinguish between background conditions and areas affected by constituent migration. Background sample locations were selected to be in areas that represent native conditions not affected by the Mayo ash basin. Background locations for all media including groundwater, surface water, soil, and sediments are shown on a map presented as Figure 4-1 (CAP Content Section 4.A). Tables referenced in this section present background datasets for each media, statistically calculated BTVs for soil and groundwater, and background dataset ranges for surface water and sediment. Background soil and groundwater locations approved by NCDEQ, as well as statistically derived BTVs, are detailed in Section 4.1 and Section 4.2. BTVs were not calculated for surface water and sediment; however, background locations for surface water and sediment were approved by NCDEQ as part of the evaluation of potential groundwater migration to surface water (Appendix I) and are detailed in Section 4.3 and Section 4.4. 4.1 Background Concentrations for Soil The soil background dataset with the appropriate preliminary soil remediation goals (PSRGs) for protection of groundwater (POG) and BTVs for constituents is provided in Appendix C, Table 4 (CAP Content Section 4.B). The locations of the background soil borings are shown on Figure 4-1. The background soil dataset includes samples collected from multiple unsaturated depth intervals (Table 4-1). Samples were collected from depth intervals greater than one foot above the seasonal high water table. In a letter dated July 7, 2017 (Appendix A), NCDEQ approved locations and use of soil data for determination of BTVs. Soil BTVs related to COIs at Mayo were calculated in accordance with the Revised Statistical Methods for Developing Reference Background Concentrations for Groundwater and Soil at Coal Ash Facilities (HDR and SynTerra, 2017) and submitted to NCDEQ in an Updated Background Threshold Values for Soil Technical Memorandum, dated August 25, 2017 (Appendix A). NCDEQ DWR provided comments and partial approval of BTVs in response letters dated September 1, 2017 and May 14, 2018 and final approval May 23, 2019 (Appendix A). Page 4-2 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Soil BTVs at Mayo were updated in 2019 in accordance with the Revised Statistical Methods for Developing Reference Background Concentrations for Groundwater and Soil at Coal Ash Facilities (HDR and SynTerra, 2017). 2018 BTVs and newly calculated 2019 soil BTVs for Mayo are provided in Table 4-2 (CAP Content Section 4.B). Soil BTV ranges for Duke Energy stations located in the North Carolina Piedmont are also included in Table 4-2. The updated BTVs were calculated using data from background unsaturated soil samples collected February 2015 to July 2017, but the 2019 dataset retained extreme outlier concentrations when data validation and geochemical analysis of background groundwater concentrations indicated that those outlying concentrations did not result from sampling error or laboratory analytical error. The approach used to evaluate whether extreme outlier concentrations should be retained in background soil datasets is presented the technical memorandum prepared by Arcadis titled, "Background Threshold Value Statistical Outlier Evaluation — Allen, Belews Creek, Cliffside, Marshall, Mayo, and Roxboro Sites,". which was provided as an attachment to the Updated Background Threshold Values for Constituent Concentrations in Groundwater (SynTerra, 2019d). No additional background samples have been collected since submittal of the CSA Update (SynTerra, 2017b); therefore, the soil background dataset is current. 4.2 Background Concentrations for Groundwater The groundwater background dataset with the appropriate 02L/IMAC/BTVs is provided in Appendix C, Table 1(CAP Content Section 4.C). The 2018 and 2019 groundwater BTVs for Mayo are provided in Table 4-3 (CAP Content Section 4.0 and 5.A.a.vii). Groundwater BTV ranges for Duke Energy stations located in the North Carolina Piedmont are also included in Table 4-3. The use of updated groundwater BTVs is currently under appeal. The groundwater system at the ash basin is divided into the following three flow zones to distinguish the interconnected groundwater system: the surficial flow zone (comprised of wells completed in either saprolite or alluvial material), transition zone flow zone, and the bedrock flow zone. Mayo flow zones and background groundwater monitoring wells installed within each flow zone include: • Surficial: MW-12S (saprolite) • Transition zone: BG-02, MW-12D • Bedrock: BG-01, MW-13BR, MW-14BR, CCR-102BR-BG The locations of the background monitoring wells are shown on Figure 4-1. The occurrence of saturated surficial material is limited at Mayo, resulting in only one viable background well screened in the surficial flow zone (MW-12S). The suitability of each of Page 4-3 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra these locations for background purposes was evaluated in a SynTerra technical memorandum dated May 26, 2017 (Appendix A) (SynTerra, 2017a). Groundwater data appropriate for inclusion in the statistical analysis to determine BTVs was approved by NCDEQ in a response letter dated July 7, 2017, provided in Appendix A. Groundwater BTVs at Mayo were initially calculated and submitted to NCDEQ in an Updated Background Threshold Values for Groundwater Technical Memorandum (August 16, 2017). NCDEQ DWR provided comments and approval of BTVs in a response letter dated May 14, 2018 (Appendix A) with only four exceptions (hexavalent chromium in transition zone and bedrock; sodium in bedrock; and vanadium in bedrock). Additional detailed information concerning the four values that were not initially approved were addressed in a conference call with DWR, Duke Energy, and SynTerra on July 10, 2019 and summarized in a technical memorandum and associated statistical evaluation files provided to DWR via email on July 11, 2018 (Appendix A). Groundwater BTVs in each groundwater flow zone at Mayo were updated in 2019 with the approved inclusion of one additional background monitoring well. CCR-102BR-BG, a background well screened in the bedrock flow zone, is used to establish background groundwater concentrations for the CCR compliance program. The data from this well was deemed usable and has been included in the update of BTVs provided herein. The updated BTVs were calculated in accordance with the Revised Statistical Methods for Developing Reference Background Concentrations for Groundwater and Soil at Coal Ash Facilities (HDR and SynTerra, 2017) using data from background groundwater samples collected from 2010 to December 2018. The updated background datasets for each flow system used to statistically assess naturally occurring concentrations of inorganic constituents in groundwater are presented in the report Updated Background Threshold Values for Constituent Concentrations in Groundwater (SynTerra, 2019d) provided to NCDEQ on June 13, 2019 (Appendix A). The updated background data set for each hydrogeologic flow zone consists of an aggregate of total (non -filtered) concentration data pooled across the background monitoring wells installed within that flow layer. 4.3 Table of Background Concentrations for Surface Water The surface water background dataset with the appropriate 02B surface water criteria for constituents is provided in Appendix C, Table 2 (CAP Content Section 4.D). Comparative ranges for Mayo background surface water analytical results compared to 02B and USEPA criteria are included in Table 4-4 (CAP Content Section 4.D). Background surface water sample locations are located upstream from, or outside of, potential groundwater migration from the source area to surface water (Figure 4-1). Groundwater predictive modeling shows that surface water background sample Page 4-4 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra locations are outside of the potential for groundwater -to -surface water migration and, therefore, will not be affected by groundwater constituents. Background surface water sample locations include two locations from an unnamed stream that flows into Mayo Reservoir and two locations in unnamed tributaries to Bowe's Branch. There are no upstream (of the ash basin) locations on Crutchfield Branch to serve as a direct background comparison. Surface water sample locations are shown on Figure 4-1 and summarized below based on surface water body and spatial distribution relative to the source area. • Three locations in an unnamed stream that flows into Mayo Reservoir southeast of the Plant and the ash basin: SW-REF1, SW-REF2, and S-6 • Two locations in unnamed streams that flow into Bowe's Branch and are located west of US Highway 501: SW-BB1 and SW-BB2 Background surface water data are used for general comparative purposes. The analytical results provide a comparative range of naturally occurring constituent concentrations present at background locations. Background data sets from each location include data from five or more collected samples. Surface water samples from background locations have been collected in accordance with NCDEQ guidance as part periodic sampling events. Surface water samples have been collected contemporaneously with scheduled CAMA groundwater monitoring. Surface water samples are collected from background locations at the same time as downstream surface water samples are collected to provide additional comparative data. Background sampling included the comprehensive sampling event in April/May 2018 used to assess surface water to determine if corrective action is required under 02L .0106. 4.4 Table of Background Concentrations for Sediment The sediment background dataset is provided in Appendix C, Table 5 and sediment background dataset ranges are included in Table 4-5 (CAP Content Section 4.E). Background sediment sample locations are co -located with background surface water sample locations in the unnamed streams. Background sediment sample locations are located upstream and outside potential groundwater migration from the source area to sediment. Groundwater predictive modeling shows that sediment background sample locations remain outside future areas of groundwater migration from the ash basin. Background sediment sample locations include: • SW-REF1, SW-REF2, SW-BB1, SW-BB2, and S-6 Page 4-5 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Background sediment data are used for general comparative purposes. The analytical results provide a comparative range of naturally occurring constituent concentrations present at background locations. Background data sets include one sample collected from each location. Sediment samples were collected concurrently with a background surface water sample. Page 4-6 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra 5.0 CONCEPTUAL SITE MODEL (CAP Content Section 5) The Conceptual Site Model is a descriptive and illustrative representation of hydrogeologic conditions and constituent interactions specific to the Site. The Mayo ash basin CSM provides a current understanding of the distribution of constituents with regard to the Site -specific geological/hydrogeological and geochemical processes that control the transport and potential presence of COIs in various media. The CSM also supports evaluation of potential exposure pathways to human and ecological receptors. The CSM presented in this section is based on the United States Environmental Protection Agency (USEPA) document titled Environmental Cleanup Best Management Practices: Effective Use of the Project Life Cycle Conceptual Site Model (USEPA, 2011). That document describes six CSM stages for an environmental project life cycle. The CSM is an iterative tool to assist in the decision process for characterization and potential remediation during the life cycle of an environmental project as new data become available. The six CSM stages for an environmental project life cycle are described below: 1. Preliminary CSM Stage — Site representation based on existing data; conducted prior to systematic planning efforts. 2. Baseline CSM Stage — Site representation used to gain stakeholder consensus or disagreement, identifies data gaps and uncertainties; conducted as part of the systematic planning process. 3. Characterization CSM Stage — Continual updating of the CSM as new data or information is received during investigations; supports remedy decision making. 4. Design CSM Stage — Targeted updating of the CSM to support remedy design. 5. Remediation/Mitigation CSM Stage — Continual updating of the CSM during remedy implementation; providing the basis for demonstrating the attainment of cleanup objectives. 6. Post Remedy CSM Stage — The CSM at this stage is used to support reuse planning and placement of institutional controls if warranted. The current Mayo ash basin CSM is consistent with Stage 3, Characterization CSM, as indicated above. The findings of Stage 3, Characterization conclude that the Mayo ash basin is in compliance with 02L and does not require corrective action. Therefore, the CSM will not move forward in the progression of CSM development as outlined by the Page 5-1 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra USEPA (2011). A three-dimensional depiction of the CSM under conditions prior to decanting and basin closure is presented as Figure 5-1. Anticipated changes to Site conditions, such as decanting and basin closure, have been incorporated into the CSM based on groundwater modeling simulations. Predicted and observed effects will be compared on an ongoing basis to further refine the CSM. Long- term Site monitoring and periodic evaluation of Site conditions will be incorporated into the CSM to support documentation and future Site planning needs. 5.1 Site Geologic and Hydrogeologic Setting (CAP Content Section 5.A.a) 5.1.1 Site Geologic Setting (CAP Content Section 5.A.a) The groundwater system at the Mayo ash basin is divided into three hydrostratigraphic zones to distinguish the interconnected groundwater system: the surficial, transition zone, and the bedrock. The following is a summary of the natural hydrostratigraphic zone assessment observations in the ash basin vicinity: • Surficial: Surficial zone soil includes regolith (dominated by saprolite), alluvium, and fill material. The surficial zone at Mayo is relatively thin and mostly unsaturated based on field observations during drilling and well installation activities. The regolith, in -place soil that develops by weathering, consists primarily of sandy loam, with layers of loamy sand, loam, and clay. Mineralogical analyses indicate that clay minerals comprise the bulk portion of Site soils, followed by quartz, feldspars, and amphiboles in order of decreasing abundance. The regolith is dominated by saprolite, the in -situ weathering product of parent rock; therefore, for the purpose of this evaluation discussion of the surficial zone will refer to saprolite and alluvium materials. Saprolite Topographic highs tend to exhibit thinner soil-saprolite zones, while topographic lows typically contain thicker soil-saprolite zones.Saprolite thickness at the Site ranged from not present to more than 50 feet at upgradient well pair MW-12; that thickness of saprolite. However, based on field observations during drilling activities the 50 feet of saprolite at MW-12 is an exception beneath the Site. Saprolite beneath the power plant area of the Site and the northern, eastern, and western parts of the Page 5-2 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Site is almost entirely unsaturated. Saturated saprolite is encountered more frequently in the southern portion of the Site. Alluvium Alluvium found along Crutchfield Branch was about 7 feet thick and directly overlies saprolite. Alluvium and saprolite are referred to herein as one single unit due to the limited extent of alluvium, the general lack of saturated saprolite, and the interaction of groundwater with surface water. Surficial flow zone wells are typically labeled with an "S" designation. Transition zone: The transition zone consists of a relatively transmissive zone of partially weathered bedrock encountered below the saprolite flow zone. Observations of core recovered from this zone included rock fragments, unconsolidated material, and highly oxidized bedrock material. Both saturated and unsaturated conditions occur in the transition zone at Mayo. Transition zone flow zone wells are typically labeled with a "D" designation. • Bedrock zone: Bedrock is defined as sound rock, based on sample recovery and/or drilling resistance, and limited weathering. The main rock types in the immediate vicinity of the ash basin are granitic gneiss interbedded with tonalite, phyllite, and mica schist. The principal minerals are plagioclase, quartz, biotite, and muscovite (Appendix F, Attachment D). Groundwater movement in the bedrock flow zone occurs in secondary porosity represented by fractures in the bedrock. Bedrock fractures encountered tend to be small and sparse with low bulk hydraulic conductivity. The majority of water -producing fracture zones were encountered within the top 40 feet of competent rock. Mayo bedrock fracture orientation and flow profile characterization data sets supports field observations of small fracture apertures that are mildly productive (Appendix F). Based on the predominant orientations of lineaments and bedrock fractures, horizontal groundwater flow within the bedrock is expected to occur preferentially toward the general north-northeast direction, and parallel to the hydraulic gradient. (Appendix F). Bedrock flow zone wells are typically labeled with a "BR," "BRL," or "BRM" designation. Page 5-3 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra 5.1.2 Site Hydrogeologic Setting (CAP Content Section S.A.a) The groundwater system in the natural materials (surficial/transition zone/bedrock) is consistent with the regolith-fractured rock system and is characterized as an unconfined, interconnected groundwater system indicative of the Piedmont physiographic province. A conceptual model of groundwater flow in the Piedmont, which applies to the Mayo Site, was developed by LeGrand (1988), (1989) and Daniel and Dahlen (2002) (Figure 5-2). The model assumes a regolith and bedrock drainage basin with a perennial stream. The model describes conditions before ash basin construction, but general groundwater flow directions are still relevant under pre -decanting conditions. Groundwater is recharged by rainfall infiltration in the upland areas followed by discharge to a perennial stream. Flow in the regolith follows porous media behavior, while flow in bedrock occurs FIGURE 5-2 LEGRAND SLOPE AQUIFER SYSTEM in fractures. Rarely does groundwater move beneath a perennial stream to another more distant stream or across drainage divides (LeGrand, 1989). Topographic drainage divides represent natural groundwater divides within the slope -aquifer system. The areas between the topographic divides are flow compartments that are open-ended down slope. Compartmented groundwater flow, applicable to the ash basin, is described in detail in A Master Conceptual Model for Hydrogeological Site Characterization in the Piedmont and Mountain Region of North Carolina (LeGrand, 2004). 5.1.2.1 Groundwater Flow Direction (CAP Content Section 5.A.a.i) Hydraulic divides south, east, and west of the ash basin provide natural hydraulic control of ash basin constituent migration within the stream valley system, with the predominant direction of groundwater flow to the north. A groundwater divide is located west of the ash basin represented by Page 5-4 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra a topographical ridge approximated by US Highway 501. Groundwater divides are represented by topographical ridges south and east of the ash basin that run through the power plant and along the northern portion of the railroad. Groundwater on the ash basin side of each ridge flows toward the ash basin while groundwater on the opposite side of the ridge flows away from the ash basin. The ash basin was constructed within a former perennial stream valley. The ash basin's physical setting is a horizontal flow -through water system with groundwater migration into the upgradient end, flowing north through the middle regions, and migrating downward near the dam (Figure 5-3). Near the dam, vertical hydraulic gradients, imposed by hydraulic pressure of basin water, promote downward vertical gradients in the groundwater system. Beyond the dam, groundwater flows upward toward Crutchfield Branch. Generally, the physical setting of the ash basin within a former perennial stream valley limits the horizontal and vertical migration of constituents to areas near and directly downgradient of the basin's dam. The primary flow path of the groundwater remains in the basin's former stream valley system. Therefore, areas upgradient and side -gradient of the ash basin have groundwater divides that limit groundwater flow in those directions. A localized effect to the overall flow -through water system occurs just south of the ponded water in the ash basin. A review of historical aerial photographs shows that in early 2006 sluiced ash in the built-up ash "delta" area (formed from historic sluicing) had begun to be mechanically moved and stacked in the area of exposed ash south of the present-day ponded water (Google Earth Pro, 2018a). The ash was "stacked" for dewatering prior to transport for beneficial reuse. This area is commonly referred to as the ash "stack out" or "harvest" area (Figure 1-2). This activity continued until about 2009 and the area has since remained topographically higher than the surrounding ash basin. Historical photographs also indicate that the last time the entire ash basin was covered with water was prior to mid- 2006 (Google Earth Pro, 2018b). Around that time, sluicing was moved to infill the western portion of the basin. After mid-2006, the southern portion of the basin fills in and is emergent. Beginning in mid-2008, sluicing was being redirected to the northern portion of the basin (Google Earth Pro, 2018c) (Google Earth Pro, 2018d). Page 5-5 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra The effect of this ash "stack out" out area is a localized one that results in a slight variation of the horizontal flow -through concept. In this area of the ash basin, within the ash basin boundary, there is slight downward vertical migration of groundwater within the overall ash basin flow -through system. Downward flow is limited to the saprolite and transition zone as bedrock upward vertical gradients prevent downward flow below the transition zone. FIGURE 5-3 GENERAL PROFILE OF ASH BASIN PRE -DECANTING FLOW CONDITIONS IN THE PIEDMONT RUNOFF GROUNDWATER FLOW ENTERING BASIN (FORMER STREAM CHANNEL) `1• Note: Drawing is not to scale PRECIPITATION EARTHEN ASH DAM FLOW HEAD CHANGE .. .. CI nuI ICCCDn F_C ¢CNC�nII Water -level maps for each groundwater flow zone were constructed from groundwater measurements collected in April 2019 (Figure 5-4a through Figure 5-4c). April 2019 water level measurements and elevations are presented in Table 5-1. General groundwater flow directions can be inferred from the water -level contours. Groundwater flow directions developed from water -level elevations measured in the surficial, transition zone, and bedrock wells indicate groundwater flow from the ash basin is generally to the north toward the Crutchfield Branch stream valley. This flow direction is also approximately parallel with the predominant bedrock fracture strike and mapped lineaments (Appendix F). The following are conclusions pertaining to groundwater flow beneath the Site in the vicinity of the ash basin: • Horizontal groundwater flow velocities in areas with free ponded water within the ash basin are less than those seen upgradient of the ash basin and below the ash basin dam. Page 5-6 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra • Downward vertical gradients generally occur just upstream of the ash basin dam with limited exceptions in the area of exposed ash (ash "stack out" area) in the southern portion of the ash basin. • Upward vertical gradients occur beyond or downstream of the dam, which is the main groundwater discharge zone. Using empirical Site water elevation data, groundwater flow and transport modeling simulations support groundwater flow is away from water supply wells and there are no exposure pathways between the groundwater flow -through the ash basin and the pumping wells used for water supply in the vicinity of the Mayo ash basin. Domestic and public water supply wells are upgradient or outside of the groundwater flow system containing the ash basin. Domestic and public water supply wells are not affected by constituents released from the ash basin or by the different closure options according to groundwater flow and transport model simulations. 5.1.2.2 Groundwater Seepage Velocities (CAP Content Section 5.A.a.i) Groundwater seepage velocities were calculated using horizontal hydraulic gradients determined from pre -decanting water level measurements collected in April 2019 (Table 5-1). Hydraulic conductivity (K) and effective porosity (ne) values were taken from the updated flow and transport model (Appendix G). Calibrated hydraulic conductivity and porosity values for each flow zone were used to align velocity calculations with model predictions. The flow and transport model provided subdivided hydraulic conductivity zones and a calibrated hydraulic conductivity (K) for each zone and model flow layer. Simulated hydraulic conductivity values were 1.0 foot per day (ft/day) for the surficial zone, 1.0 ft/day for the transition zone, and ranged from 0.03 to 0.005 ft/day for the bedrock zone. Hydraulic conductivity values used in calculating seepage velocity were selected based on the area's location within or proximity to subdivided hydraulic conductivity zones. The flow and transport model uses an estimated effective porosity (ne) of 20 percent for the surficial zone and the transition zone and 5 percent for the bedrock zone (Appendix G). The horizontal groundwater seepage flow velocity (vs) can be estimated using a modified form of the Darcy Equation: Page 5-7 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra K dh vs ne (dl) Using the April 2019 groundwater elevation data, the calculated horizontal groundwater flow velocity in the vicinity of the ash basin was: • 0.08 ft/day (approximately 30 ft/yr) in the surficial zone • 0.03 ft/day (approximately 10 ft/yr) in the transition zone • 0.02 ft/day (approximately 9 ft/yr) in the bedrock zone Groundwater modeling predicts groundwater elevation changes associated with closure activities will change flow velocities and result in a more pronounced stream valley system within the ash basin footprint. The pre - decanting conditions map was created from comprehensive Site data incorporated into the calibrated flow and transport model. The closure condition maps were created using predicted flow fields for the closure -by - excavation and closure -in -place scenarios in the transition zone. Saturated conditions in the surficial flow zone are limited across the ash basin area and flow in bedrock is limited to small, sparse fractures. Additionally, the transition zone has the highest geometric mean hydraulic conductivity; therefore, the transition zone was selected for the velocity vector maps to represent the primary groundwater zone. • Velocity vector map for groundwater in the transition zone under pre -decanting conditions - Figure 5-5a • Velocity vector map for groundwater in the transition zone under closure -by -excavation - Figure 5-5b • Velocity vector map for groundwater in the transition zone under closure -in -place scenario - Figure 5-5c The velocity vector maps illustrate potential future changes in groundwater flow compared to pre -decanting groundwater flow throughout the ash basin area of the Site. Key conclusions from the predictive model simulation of pre -decanting and post -closure groundwater flow conditions include: • Hydraulic heads within the ash basin decline after decanting which causes hydraulic gradients to increase within the ash basin footprint, slightly decrease near the dam, but remain relatively unchanged downgradient of the ash basin dam under both closure scenarios. Page 5-8 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra • Small streams are predicted to return to the former perennial stream channels within the ash basin footprint under both closure scenarios. • Groundwater flow patterns outside of the basin remain similar to pre -decanting conditions for both closure scenarios. • North of the ash basin, velocity vectors under pre -decanting conditions indicated groundwater velocity is greatest (0.5 to 1.0 ft/day) beneath and immediately downstream of the eastern side of the ash basin dam and flows predominantly north (Figure 5-5a). • Under future conditions, the velocity vector directions within the ash basin footprint turn toward the former Crutchfield Branch stream channel; limited change from pre -decanting Site conditions is observed north of the ash basin (Figure 5-5b and Figure 5-5c). The velocity vectors illustrating the natural flow system of the historical stream valley increase from pre -decanting velocities to 0.2 -1.0 ft/day under the closure -by -excavation scenario (Figure 5-5b) and to 0.01- 0.2 ft/day under the closure -in -place scenario (Figure 5-5c). 5.1.2.3 Hydraulic Gradients (CAP Content Section 5.A.a.i) Within the ash basin waste boundary, hydraulic gradients are primarily neutral (flat or nearly flat) across large areas beneath the ash basin due to the influence of ash basin ponded water. On the downgradient side of the ash basin dam, the approximate average horizontal hydraulic gradients (measured in feet/foot) in each flow zone were: 0.01 ft/ft (surficial), 0.01 ft/ft (transition zone), and 0.07 ft/ft (bedrock) based on hydraulic gradient calculations using April 2019 (pre -decanting) groundwater elevation data. Calculated horizontal gradients are consistent with gradients calculated from previous monitoring events, including data presented in the 2018 CAMA Annual Interim Monitoring Report (SynTerra, 2019c). The calculated horizontal hydraulic gradients generally align with groundwater flow velocity magnitudes presented on velocity vector maps presented in Section 5.1.2. Vertical hydraulic gradients were calculated in clustered wells from the water level data and the midpoint elevations of the well screens. Within the ash basin, small vertical gradients between ash pore water and underlying material ranged from -0.001 ft/ft (ABMW-03/-03S) to 0.03 ft/ft (ABMW-04X/- 04D). Positive vertical gradients indicate downward flow and negative Page 5-9 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra vertical gradients indicate upward flow. In the southernmost portion of the basin, where the ash "stack out" area is located, there is a downward vertical gradient between ash pore water and the transition zone (0.03 ft/ft at ABMW-04X/-04D). This is a localized effect in this area, and downward migration is limited to the transition zone by the slightly upward vertical gradient from the bedrock to transition zone (-0.004 ft/ft at ABMW- 04D/ABMW-04BR). On the immediate upstream side of the ash basin dam, a downward vertical gradient is indicated in the surficial, transition zone, and bedrock flow zones based on the groundwater flow and transport modeling results (Appendix G). Downstream of the dam, groundwater flows upward toward the Crutchfield Branch discharge zone, limiting downward migration of constituents to the area in close proximity to the dam. Below the ash basin dam, a strong upward gradient was observed between the upper flow zones (surficial/transition zone) and bedrock exhibited by well pair CCR- 1045/BR (-0.11 ft/ft). Bedrock wells MW-104BRM and MW-104BRL were artesian under pre -decanting conditions. Artesian conditions are attributable to the wells' location near the ash basin dam and an unnamed tributary to Crutchfield Branch, a groundwater discharge zone. 5.1.2.4 Particle Tracking Results (CAP Content Section 5.A.a.ii) As discussed in the CSA Update (SynTerra, 2017b), a numerical capture zone analysis was conducted for Mayo to evaluate potential effects of upgradient water supply pumping wells. The analysis was done using MODPATH, a "particle tracking" model that interfaces with the MODFLOW flow model. MODPATH was used to trace groundwater flow lines around pumping wells to indicate where the water being pumped from the well originates. The analysis for Mayo indicates that well capture zones from wells located to the northwest and southeast of the Mayo Plant are limited to the immediate vicinity of the well head and do not extend toward the ash basin. Results indicate that none of the particle tracks originating in the ash basin moved into the well capture zones. Page 5-10 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra 5.1.2.5 Subsurface Heterogeneities (CAP Content Section S.A.a.iii) The nature of groundwater flow across the Site is based on the character and configuration of the ash basin relative to specific Site features such as man-made and natural drainage features, engineered drains, streams, and lakes; hydraulic boundary conditions; and subsurface media properties. Natural subsurface heterogeneities at the Site are represented by the three flow zones that distinguish the interconnected groundwater system: the surficial, the transition zone, and the bedrock. The occurrence of saturated surficial zone is limited in the vicinity of the ash basin at Mayo. Where saturated conditions occur, the surficial zone materials are partially saturated and the water table fluctuates within it. Water movement is generally preferential through the weathered/fractured and fractured bedrock of the transition zone where permeability and seepage velocity is enhanced. Groundwater in the vicinity of the ash basin exists under unconfined, or water table, conditions within the surficial and transition zones and in fractures of the underlying bedrock. The surficial water table and shallow bedrock water -bearing zones are interconnected. The surficial zone, where saturated thickness is sufficient, acts as a reservoir for supplying groundwater to the fractures in the bedrock in upland areas of the watershed. Based on the orientations of lineaments and open bedrock fractures near the ash basin at Mayo, horizontal groundwater flow within the bedrock should occur approximately parallel to the hydraulic gradient with preferential flow towards the north and the Crutchfield Branch stream valley (Appendix F). NORR CSA guidance requires a "site map showing location of subsurface structures (e.g., sewers, utility lines, conduits, basements, septic tanks, drain fields, etc.) within a minimum of 1,500 feet of the known extent of contamination" in order to evaluate the potential for preferential pathways. Identification of piping near and around the ash basin was conducted by Stantec in 2014 and 2015 and utilities around the Site were also included on a 2015 topographic map by WSP USA, Inc. (SynTerra, 2017b). Due to the isolation of the ash basin from the Plant area, subsurface utilities in the Plant area are not expected to be major flow pathways. The depth to groundwater below the majority of the ash basin is much greater than would be anticipated for installation of subsurface utilities; therefore, the Page 5-11 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra likelihood of underground utilities being preferential pathways, other than at the dam seepage structures, is not anticipated. 5.1.2.6 Bedrock Matrix Diffusion and Flow (CAP Content Section 5.A.a.iv) Matrix Diffusion Principles When solute plumes migrate through fractures, a solute concentration gradient occurs between the plume within the fracture versus the initially unaffected groundwater in the unfractured bedrock matrix next to the fracture. If the matrix has pore spaces connected to the fracture, a portion of the solute mass will move by molecular diffusion from the fracture into the matrix. This mass is therefore removed, at least temporarily, from the flow regime in the open fracture. This effect is known as matrix diffusion (Freeze & Cherry, 1979). When the plume concentrations later decline in the fractures (e.g., during plume attenuation and/or remediation), the concentration gradient reverses and solute mass that has diffused into the matrix begins to diffuse back out into the fractures. This effect is sometimes referred to as reverse diffusion. Matrix diffusion causes the bulk mass of the advancing solute plume in the fracture to advance slower than would occur in the absence of mass transfer into the matrix. This effect retards the advance of any solute, including relatively non -reactive solutes like boron. The magnitude of plume retardation increases with increasing plume length, because longer plumes have more contact for diffusion to transfer solute mass from the fracture to the matrix (Lipson, Kueper, & Gefell, 2005). The magnitude of plume retardation also increases with increasing matrix porosity. If the solute sorbs to solids, the retarding effect increases. Sorption of solutes that have diffused into the matrix occurs on a much larger surface area than would be the case if the solute mass remained entirely within the fracture. The combined effect of adsorption on the fracture surface and adsorption in the matrix further enhances plume retardation relative to the advance that would occur in the absence of adsorption. If sorption is reversible, when reverse diffusion occurs, the sorbed mass can desorb and transfer back into the aqueous phase and diffuse back to the fractures. Solute mass that has been converted into stable mineral species would not undergo desorption. Page 5-12 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Site -Specific Data Pertaining to Matrix Diffusion Overall, the hydraulic conductivity values and calculated fracture hydraulic apertures in the bedrock downgradient of the ash basin dam are relatively low (Appendix F). These data suggest that the bedrock is not likely to serve as a significant preferential flow zone for groundwater downgradient of the ash basin. This interpretation is supported by the limited presence and vertical extent of boron at concentrations greater than the 02L standards in bedrock groundwater, which is generally limited to approximately the top 40 feet of bedrock (Appendix F). Based on predominant orientations of lineaments identified from aerial photographs and topographic maps, and bedrock fractures measured in - situ using borehole televiewer, horizontal groundwater flow within the bedrock would be expected to occur preferentially toward the general north-northeast direction (the predominant strike direction of bedrock fractures) (Appendix F). The current groundwater flow model for the ash basin area does not include plan -view anisotropy, but the simulated flow directions in the bedrock are generally aligned with the predominant flow direction interpreted based on measured fracture orientations. Rock core samples were selected from two locations which represent the hydrogeologic conditions downgradient of the ash basin dam were analyzed for porosity, bulk density, and thin section petrography. The reported matrix porosity values ranged from 0.46 percent to 4.97 percent with an average of 2.11 percent. Bulk density ranged from 2.59 grams per cubic centimeter (g/cm3) to 2.71 g/cm3 with an average of 2.67 g/cm3 (Appendix F). Petrographic evaluation classified all samples as tonalite (igneous rocks) based on relative abundance of minerals (i.e., quartz, alkali feldspar, and plagioclase). The principal minerals are plagioclase, quartz, biotite, and muscovite (Appendix F). The plagioclase crystals present in the samples were extensively altered into sericite (a mixture of muscovite, illite, or paragonite produced by hydrothermal alteration of feldspars). The reported matrix porosity values are within the range of those reported for crystalline rocks in the literature (Freeze & Cherry, 1979). The presence of measurable matrix porosity suggests that matrix diffusion contributes to plume retardation at the Site (Lipson, Kueper, & Gefell, 2005). Additionally, the presence of sericite indicates the bedrock has some capacity to sorb boron and other elements associated with coal ash. The influences of matrix diffusion and sorption are implicitly included in the groundwater flow and Page 5-13 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra transport model as a component of the constituent partition coefficient (Ka) term used for the bedrock layers model. 5.1.2.7 Onsite and Offsite Pumping Influences (CAP Content Section S.A.a.v) There is no onsite or offsite pumping in the vicinity of the ash basin; therefore, there are no influences to groundwater flow and direction related to pumping activities. 5.1.2.8 Ash Basin Groundwater Balance (CAP Content Section5.A.a.vi) The ash basin is located within a single watershed and groundwater flow system. The flow and transport model was used to evaluate the ash basin hydraulic conditions prior to decanting, post decanting, and post -closure (both closure -in -place and closure -by -excavation). Each scenario water balance was developed using the results from flow and transport model pre -decanting and predicated future groundwater simulations. The approximate groundwater flow budget in the ash basin watershed under each simulated scenario is summarized in Table 5-2. Pre -Decanting Conditions Groundwater Balance Under pre -decanting conditions, the watershed area contributing flow toward the basin is estimated at approximately 516 acres. • Groundwater recharge from the watershed recharge area of 516 acres is estimated to be 142 gpm. This includes 129 gpm from the 367 acres outside of the ash basin and 13 gpm from the 147 acres of the ash basin. • Ponded water upstream of the ash basin dam discharges approximately 62 gpm to the ash basin flow -through system. • Water discharge from the groundwater system by streams outside the ash basin is approximately 63 gpm. • Groundwater that flows through and under the dam is estimated to be 18 gpm. Page 5-14 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Post -Decanting Groundwater Balance The flow and transport model (Appendix G) was used to evaluate the ash basin hydraulic conditions that would occur after decanting of the ash basin. A water balance was developed for the simulated groundwater system under post -decanting conditions. The extent of the ash basin watershed during decanting is expected to remain the same as under pre -decanting conditions. Under simulated post - decanting conditions, the watershed area contributing flow toward the basin is estimated at approximately 516 acres. • Groundwater recharge from the watershed recharge area of 516 acres is estimated to be 163 gpm. This includes 134 gpm from the 369 acres outside of the ash basin and 29 gpm from the 147 acres of the ash basin. • The decanting drains inside the ash basin represent the decanting system to remove ponded water in the ash basin. Water discharge by decanting drain is approximately 106 gpm. • Water discharge from the groundwater system by streams outside the ash basin is approximately 50 gpm. • Groundwater that flows through and under the dam is estimated to be 7 gpm. Decanting the ash basin has a moderate effect on flow through and under the dam to the north. The estimated flows are reduced from 18 gpm prior to decanting to 7 gpm after decanting of the ponded water in the ash basin. Post -Closure Groundwater Balances The flow and transport model was used to evaluate the ash basin hydraulic conditions that would occur after two ash basin closure options: closure -in - place and closure -by -excavation. A water balance was developed for the simulated groundwater system under post -closure conditions. The extent of the ash basin portion of the watershed under post closure conditions is expected to be larger than the post -decanting conditions. The approximate watershed area is 384 acres under closure -in -place conditions, and 394 acres under closure -by -excavation conditions. • Groundwater recharge from areas outside of the ash basin footprint is estimated to be 137 gpm for closure -in -place and 126 gpm for closure - by -excavation. Page 5-15 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra • Groundwater recharge from the area within the ash basin footprint is affected by the closure option. Closure -in -place reduces groundwater recharge from within the ash basin footprint from 29 gpm post - decanting to 0 gpm post -closure because of the impermeable final cover system. Closure -by -excavation increases groundwater recharge within the ash basin footprint from 29 gpm post -decanting to 53 gpm post -closure. • Under closure -in -place conditions, drains inside the ash basin represent the drain system under the final cover system to control the groundwater elevation. Estimated groundwater discharge to the drain system is approximately 81 gpm. • Under closure -by -excavation conditions, drains inside the ash basin represent the streams that potentially re-form within the excavated ash basin footprint after closure. Estimated groundwater discharge to the streams is approximately 131 gpm. Water discharge from the groundwater system by streams outside the ash basin is approximately 46 to 48 gpm, depending on the selected closure option. 5.1.2.9 Effects of Naturally Occurring Constituents (CAP Content Section 5.A.a.vii) Metals and inorganic constituents, typically associated with CCR material, are naturally occurring and present in the Piedmont physiographic province of north -central North Carolina. The metals and inorganic constituents occur in soil, bedrock, groundwater, surface water, and sediment. During the Mayo CSA assessment, samples of soil and rock were collected during drilling activities and analyzed for metals and inorganic constituents. Results indicate that soil and rock at Mayo contain naturally occurring constituents that are also typically related to CCR material and likely affect the chemistry of groundwater at the Site. Chromium, cobalt, iron, manganese, and vanadium were present in background soil and rock samples at concentrations greater than the PSRG POG values (Table 4-2). Beryllium, cadmium, chromium, and nickel were present in the transition zone (partially weathered rock) at background location MW-12D at concentrations greater than the Site soil BTVs (SynTerra, 2017b). Page 5-16 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra These results suggest that beryllium, cadmium, chromium, cobalt, iron, manganese, nickel, and vanadium may occur naturally in groundwater at the Site. Analytical results for groundwater at background locations indicate that iron, manganese, and vanadium are present at concentrations greater than 02L/IMAC standards (Table 4-3). Therefore, the downgradient concentrations of these constituents are compared to background values. Downgradient iron, manganese, and vanadium concentrations are within background concentration ranges. 5.2 Source Area Location (CAP Content Section 5.A.b) The ash basin is generally bounded by an earth dam to the north, US Highway 501 to the west, the plant entrance road to the south, and the railroad to the east (Figure 1-2). US Highway 501 and the railroad, generally located along topographic ridges, represent hydrogeologic divides that affect groundwater flow within an area approximately 0.5 miles northwest, west, and south of the ash basin. Topography of the ash basin area generally slopes downward toward the Crutchfield Branch stream valley system. 5.3 Summary of Potential Receptors (CAP Content Section 5.A.c) G.S. Section 130A-309.201(13), amended by CAMA, defines receptor as "any human, plant, animal, or structure which is, or has the potential to be, affected by the release or migration of contaminants. Any well constructed for the purpose of monitoring groundwater and contaminant concentrations shall not be considered a receptor." In accordance with the NORR CSA guidance, receptors cited in this section refer to public and private water supply wells and surface water features. 5.3.1 Public and Private Water Supply Wells Groundwater from beneath the ash basin has not and will not flow towards any water supply wells based on the CSM, groundwater flow patterns prior to and post ash basin closure (either scenario), the location of water supply wells in the area, and evaluation of groundwater analytical data. Assessment activities including groundwater data from water supply wells and on -Site monitoring wells, groundwater elevation measurements, and groundwater flow and transport modeling results all indicate that ash basin related constituents are not affecting, and will not affect, water supply wells. No public or private drinking water wells or wellhead protection areas were found to be located downgradient of the ash basin. A total of 22 private water supply wells were identified within the 0.5-mile radius of the ash basin Page 5-17 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra compliance boundary (Figure 5-6). Most of these water supply wells are located to the south and upgradient of the Site, centered near Mullins Lane; northwest and upgradient of the Site, on the North Carolina side (south) of the North Carolina/Virginia state line; and northwest and upgradient of the Site, on the Virginia side (north) of the state line. Discussion with supporting material and data, of alternative water supply provisions (water filtration systems) provided by Duke Energy for surrounding occupied residences and findings of the drinking water supply well survey are included in Section 6.2.2. 5.3.2 Availability of Public Water Supply A municipal water line (City of Roxboro) is present along US Highway 501 (Boston Road) toward the south of the Plant. The water line does not extend north of the intersection of Boston Road and the Plant entrance road. The line supplies potable water to the Mayo Plant. No municipal water lines serve the area north of the Site (along Mayo Lake Road). 5.3.3 Surface Water Mayo is located within the Roanoke River Basin. Surface water bodies within 0.5 mile of the ash basin, and the associated North Carolina surface water classifications, are indicated on Figure 5-7 and summarized in Table 5-3. The only surface water intake located in the vicinity of Mayo is the Duke Energy intake used to supply water from the Mayo Reservoir for Mayo Plant operations. The intake location is shown on Figure 5-7. A depiction of surface water features including wetlands, ponds, unnamed tributaries, seeps, streams, lakes, and rivers within a 0.5-mile radius of the compliance boundary of the ash basin is provided in Figure 5-7. Surface water information is provided from the Natural Resources Technical Report (NRTR) prepared by Amec Foster Wheeler (Amec Foster Wheeler, 2014). In addition, NPDES-permitted outfalls and locations covered by the SOC are shown on Figure 5-7. Non -constructed and dispositioned seep sample locations located north of the ash basin are managed by the SOC and are subject to monitoring and evaluation requirements contained in the SOC. Downgradient streams (Crutchfield Branch and its tributaries) are groundwater discharge zones. The Crutchfield Branch stream system is the only surface water feature downgradient and within 0.5-mile of the Mayo ash basin. Surface water samples were collected from locations within Crutchfield Branch where groundwater flowing from the ash basin might cause constituent concentrations Page 5-18 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra greater than 02B water quality standards. The surface water samples were collected in accordance with NCDEQ DWR Internal Technical Guidance: Evaluating Impacts to Surface Water from Discharging Groundwater Plumes - October 31, 2017. No constituent concentrations greater than 02B surface water standards were identified in Crutchfield Branch. Sample locations for the surface water evaluation are included on Figure 5-7. The full report for evaluation of Mayo groundwater discharge to surface water and the evaluation of surface waters to evaluate compliance with 15A NCAC 2B .0200 was submitted to NCDEQ on March 23, 2019. A copy of the report is provided in Appendix I. 5.3.4 Future Groundwater Use Area Duke Energy owns the property downgradient from the Mayo ash basin dam to the North CarolinaNirginia state line as shown on Figure 1-2. Ownership of the property allows Duke Energy to control activities; thereby, managing risks for future property use. No future groundwater use areas are anticipated downgradient of the basin. 5.4 Human Health and Ecological Risk Assessment Results (CAP Content Section 5.A.d) A human health and ecological risk assessment pertaining to Mayo was prepared and is included in Appendix E. The risk assessment focuses on the potential effects of CCR constituents from the Mayo ash basin on groundwater, surface water, and sediment. Groundwater flow information was used to focus the risk assessment on areas where exposure of humans and wildlife to CCR constituents could occur. Primary conclusions of the risk assessment include: 1) there is no evidence of risks to on -Site or off -Site human receptors potentially exposed to CCR constituents that may have migrated from the ash basin; and 2) there is no evidence of risks to ecological receptors potentially exposed to CCR constituents that may have migrated from the ash basin. This risk assessment uses analytical results from groundwater, surface water, and sediment samples collected March 2015 through June 2019. Mayo Reservoir is not affected by groundwater flow from the ash basin; therefore, there is no exposure of CCR constituents to humans and wildlife using Mayo Reservoir. Evaluation of risks associated with areas of wetness (AOW) locations and soil beneath the ash basin are not subject to this assessment and will be evaluated independent from the CAP. Consistent with the iterative risk assessment process and guidance, updates to the risk assessment have been made to the original 2016 risk assessment (SynTerra, 2016a) in order to incorporate new Site data and refine conceptual site models. The Page 5-19 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra original risk assessment was prepared in accordance with a work plan for risk assessment of CCR-affected media at Duke Energy sites (Haley and Aldrich, 2015). The following risk assessment reports have been prepared: 1. Baseline Human Health and Ecological Risk Assessment, Appendix F of the CAP Part 2 (SynTerra, 2016a) 2. Comprehensive Site Assessment (CSA) Update (SynTerra, 2017b) 3. Human Health and Ecological Risk Assessment Summary Update for Mayo Steam Electric Plant, Appendix B of Community Impact Analysis of Ash Basin Closure Options at the Mayo Steam Electric Plant (Exponent, 2018) To help evaluate options for groundwater corrective action, this risk assessment characterized potential effects on human health and the environment related to naturally occurring elements, associated with coal ash, present in environmental media. This risk assessment follows the methods of the 2016 risk assessment (SynTerra, 2016a) and is based on (NCDENR DWM, 2003), (NCDEQ, 2017), and USEPA risk assessment guidance (USEPA, (1989); (1991); (1998)). Human health and ecological conceptual site models were developed and further refined to guide identification of exposure pathways, exposure routes, and potential receptors for evaluation. Additional information regarding groundwater flow and the treatment of source areas other than the ash basin was incorporated into the refinement of CSMs presented in Appendix E. Environmental data evaluated in the risk assessment were compared to human health and ecological screening values. Risk assessment constituents of potential concern (COPCs) are different than COIs in that COPCs are those elements in which the maximum detected concentration exceeded human health or ecological screening values. COPCs are carried forward for further evaluation in the deterministic risk assessment. Appendix E contains the results of the screening assessment. No unacceptable risks from exposure to environmental media were identified. Results of the human health risk assessment indicate the following: • On -site groundwater poses no unacceptable risk for the construction worker under these exposure scenarios. • On -site surface water and sediment pose no unacceptable risk for the trespasser under these exposure scenarios. Page 5-20 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra • Exposure to CCR constituents by current and future commercial/industrial worker, residences and recreational receptors is incomplete. Findings of the baseline ecological risk assessment include the following: • No hazard quotients (HQ) based on no observed adverse effects levels (NOAELs) or lowest observed adverse effects levels (LOAELs) were greater than unity for the mallard duck, great blue heron, river otter, bald eagle, American robin, red-tailed hawk, and red fox exposed to surface water and sediments in the Crutchfield Branch exposure area. • Three endpoints, muskrat, meadow vole, and killdeer, had limited modeled risk results greater than unity for aluminum and total chromium. • The modeled risks are considered negligible based on natural and background conditions. The exposure models likely overstate risks to aluminum and total chromium. In summary, there is no evidence of unacceptable risks to human and ecological receptors exposed to environmental media potentially affected by CCR constituents at Mayo. 5.5 CSM Summary The Mayo CSM presented herein describes and illustrates geologic and hydrogeologic conditions and constituent interactions specific to the Mayo ash basin. The CSM presents an understanding of the distribution of constituents with regard to the Site - specific geological/hydrogeological and geochemical processes that control the transport and potential effects of constituents in various media and potential exposure pathways to human and ecological receptors. In summary, the ash basin was constructed within a former perennial stream valley in the Piedmont of North Carolina, and exhibits limited horizontal and vertical constituent migration, with the predominant area of migration occurring near and downgradient of the ash basin dam. The upward flow of water into the basin minimizes downward vertical constituent migration to groundwater immediately underlying saturated ash in the upgradient ends of the basin. A localized area of downward vertical migration occurs in the south-central portion of the ash basin under the "stack out" area. Due to the prevailing horizontal flow within the ash basin, there is limited vertical flow of ash basin pore water into the underlying groundwater, except under the ash "stack out" area. Downward vertical migration in the "stack out" area is limited to the surficial and transition zone. The elevated constituent concentrations found in groundwater near the Page 5-21 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra ash basin dam are due to the operating hydraulic head in the basin. The ponded water in the basin is the most important factor contributing to constituent migration in groundwater. Empirical Site data from over 41 monitoring events over multiple seasonal variations and groundwater flow and transport modeling simulations support groundwater flow is away from water supply wells. Additionally, there are no exposure pathways between the ash basin and the pumping wells used for water supply in the vicinity of the Mayo ash basin. Through ash basin decanting and closure, the hydraulic head and the rate of constituent migration from the ash basin to the groundwater system will be reduced based on basin hydrogeology described above. Either closure option considered by Duke Energy will significantly reduce infiltration to the remaining ash, reducing the rate of constituent migration. Based on future predicted groundwater flow patterns, under post ash basin closure conditions, and the location of water supply wells in the area, groundwater flow direction from the ash basin is expected to be further contained within the stream valley and continue flowing north of the ash basin footprint and not towards any water supply wells. Multiple lines of evidence have been used to develop the CSM based on the large data set generated for Mayo. The CSM provides the basis for this CAP Update developed for the Mayo ash basin to comply with G.S. Section 130A-309.211, amended by CAMA. Page 5-22 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra 6.0 CORRECTIVE ACTION APROACH FOR MAYO ASH BASIN (CAP Content Section 6) Groundwater contains varying concentrations of naturally occurring inorganic constituents. Constituents in groundwater with sporadic and low concentrations greater than the corresponding standard (02L/IMAC/background value, as applicable) do not necessarily demonstrate horizontal or vertical distribution of COI -affected groundwater migration from the source unit. Constituents with concentrations above corresponding standards were evaluated to determine if the level of concentration is present due to the source unit. Constituents of interest (COI) are those constituents identified from the "constituent management process' described below and are specific to individual source unit(s), not the Site. This evaluation assisted in identifying if a unit is subject to corrective action under G.S. 130A-309.211 and 15A NCAC 02L .0106. A constituent management process was developed by Duke Energy at the request and conditional acceptance of NCDEQ (NCDEQ letter dated October 24, 2019, Appendix A), to gain a thorough understanding of constituent behavior and distribution in Site groundwater and to aid in identifying unit -specific COIs. The constituent management process consists of three steps: 1. Perform a detailed review of the applicable regulatory requirements under NCAC, Title 15A, Subchapter 02L 2. Understand the potential mobility of unit -related constituents in groundwater based on Site hydrogeology and geochemical conditions 3. Determine the constituent distribution at the unit under pre -decanting and predicted future conditions. Multiple lines of evidence including empirical data collected at the Site, geochemical modeling, and groundwater flow and transport modeling support this constituent management process. The management process uses a matrix evaluation to identify those constituents that have migrated downgradient of the source unit, in the direction of groundwater flow at concentrations greater than 02L/IMAC/background value with a discernable plume. The matrix evaluation considers the following per constituent: • Regulatory criteria • Site and Piedmont background values • Maximum mean constituent concentrations • Exceedance ratios Page 6-1 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra • Number and distribution of wells at or beyond the compliance boundary with constituent concentrations greater than criterion • Constituent presence in ash pore water at concentrations greater than criterion • Constituent geochemical mobility This approach has been used to identify unit -specific COIs that have migrated from the Mayo ash basin and may require corrective action. The results of the constituent management process (described in detail in Section 6.1.3) identify one unit -specific groundwater COI for the Mayo ash basin: boron. No constituents in unsaturated soil were present in concentrations greater than the corresponding standard (PSRG POG or background value); therefore, no soil COIs were identified for the Mayo ash basin. COIs identified for the ash basin, that have migrated beyond the compliance boundary at concentrations greater than 02LAMAC/background value are subject to corrective action. Analytical data obtained over one year of quarterly monitoring indicate concentrations of boron, the Mayo ash basin COI, have been less than applicable 02L standards in groundwater samples collected from monitoring wells at or beyond the compliance boundary of the Mayo ash basin. Therefore, the ash basin is in compliance with 02L requirements and corrective action under 02L is not required. 6.1 Extent of Constituent Distribution This section provides an in-depth review of constituent characteristics associated with the Mayo ash basin and the mobility, distribution, and extent of constituent migration within, at, and beyond the point of compliance. 6.1.1 Source Material Within the Waste Boundary (CAP Content Section 6.A.a) An overview of the material within the ash basin is presented in the following subsections. 6.1.1.1 Description of Waste Material and History of Placement (CAP Content Section 6.A.a.i) Solids deposited in the Mayo ash basin are mostly CCR materials, composed primarily of fly ash and bottom ash. CCR was primarily conveyed to the ash basin by combining with water to produce a slurry that could be transported via piping, otherwise known as sluicing. Sluicing of CCR to the ash basin began when the Plant became operational in 1983.On May 15, 2013, the Plant converted to a dry ash handling system that only Page 6-2 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra required sluicing when there was a shutdown of the dry ash handling system (approximately 90 percent of CCR was handled dry). Dry ash handling system upgrades were complete in December 2016 which eliminated the need for periodic sluicing of CCR. No CCR has been placed in the ash basin since December 2016. 6.1.1.2 Specific Waste Characteristics of Source Material (CAP Content Section 6.A.a.ii) Source characterization was performed through the completion of borings, installation of monitoring wells, and collection and analysis of associated solid matrix and aqueous samples. Source characterization was performed to identify the physical and chemical properties of the ash in the source area. The source characterization involved determining physical properties of ash, identifying the constituents present in ash, measuring concentrations of constituents in the ash pore water, and performing laboratory analyses to estimate constituent concentrations from leaching of ash. Thirteen (13) borings (AB-1, AB-2, AB-3, AB-4, ABMW-1, ABMW-2/BR/BRL, ABMW-3/S, and ABMW-4/D/BR) were advanced within the ash basin waste boundary to obtain ash samples for chemical analyses (Figure 1-2). Ash was encountered in the borings to varying depths. Ash was not observed outside the ash basin waste boundary in any other borings completed for this assessment. The hydraulically sluiced deposits of ash consisted of interbedded fine -to coarse -grained fly ash and bottom ash material. Ash was generally described in field observations as gray to dark gray, non -plastic, loose to medium density, dry to wet, fine- to course -grained sandy silt texture. Physical properties analyses (grain size, specific gravity, and moisture content) were performed on six ash samples from the ash basin and measured using ASTM methods. Fly ash is generally characterized as a moderately dense silty fine sand or silt. Bottom ash is generally characterized as a loose, poorly graded (fine- to coarse -grained) sand (Figure 6-1). Compared with soil, ash exhibits a lower specific gravity with values reported from 2.2 (AB-2) to 2.7 (ABMW-3) (SynTerra, 2017). Moisture content of the ash samples ranges from 1.4 percent (ABMW-1) to 41.6 percent (AB-2) (SynTerra, 2017b). Page 6-3 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra FIGURE 6-1 FLY ASH AND BOTTOM ASH INTERBEDDED DEPICTION SOIL DATA SAaiLE DEP'fat O B—S AHM A 36 9 Cnry sileyR — SeL (SG-2 674) O 0 Hmng 2,._g AHMV. _3 Mu.'t2 C 0A2 O SO-62 Hm.sn 8c pfe) [v sandy Q .1Y (SG— 65.1) ReddisA brmm B-saudp SIFT (SG-3 71s) O Hnwg hnc'-1_ 5o.v-52.3i tigLt gry• n. sandy SLLY(SU-2684) V Hemg 3 43 2.5475 Cney & Mowo S sead)' SILT (5fi — 2654) 6.1.1.3 Volume and Physical Horizontal and Vertical Extent of Source Material (CAP Content Section 6.A.a.iii) Based on topographic and bathymetric surveys, the ash basin is estimated to contain approximately 5.5 million cubic yards (cy) (AECOM, 2019). Based on borings located within the ash basin, the maximum depth of CCR within the ash basin is estimated to be approximately 80 feet. Volume and physical horizontal and vertical extent of ash material within the basin as cross- section transect (A -A') along the centerline, from south to north, are presented in Figure 6-2 and Figure 6-3. Given the compact size and configuration of the Mayo ash basin, only one cross-section is sufficient to characterize hydrogeological conditions in the ash basin area of the Site. 6.1.1.4 Volume and Physical Horizontal and Vertical Extent of Anticipated Saturated Source Material (CAP Content Section 6.A.a.iv) Volume and physical horizontal and vertical extent of saturated ash material under pre -decanting conditions, within the basin in plan -view, is presented in Figure 6-3. Ash is thickest in areas that coincide with the former stream valleys in the southern portion of the basin. Thinner areas of Page 6-4 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra ash extend out to the boundaries of the basin. A lesser amount of ash is present in other areas of the basin currently covered by ponded water (Figure 6-3). Water levels of ash pore water wells indicated that ash within the basin, prior to decanting, was saturated at depths of 0 feet to 14 feet below grade surface, yielding approximately 63 feet of saturated ash in the thickest monitoring well location, in the south-central portion of the ash basin near the ash "stack out" area. The estimates use the approximated bottom of ash from the flow and transport model simulations and simulated hydraulic heads (Appendix G). Due to the presence of ponded water in the ash basin, estimates of saturated ash in the northern portion of the ash basin are likely overestimated. Ash basin decanting was initiated in June 2019. As of December 1, 2019, 124,200,000 million gallons of water has been decanted and the corresponding pond water elevation has decreased by 7.1 feet thereby reducing areas of saturated ash. Under closure -in -place conditions, the range of anticipated saturated ash thickness is between 0 feet to 62 feet with the greatest volume of saturated ash remaining in the location of the former stream flow channel (Figure 6-3). Closure -in -place simulated saturated ash thickness is based on approximated bottom of ash from the flow and transport model simulation and simulated hydraulic heads (Appendix G). Model simulations incorporated an engineered underdrain system. Under the closure -by -excavation closure option, all of the ash in the ash basin would be removed; therefore, no saturated ash would remain in the ash basin footprint. 6.1.1.5 Saturated Ash and Groundwater (CAP Content Section 6.A.a.v) Based on the trend analysis results, the thickness of saturated ash remaining in place following closure (closure -in -place only) will have limited to no adverse effect on future groundwater quality. Layered ash within the basin has resulted in relatively low vertical hydraulic conductivity, further reducing the potential for downward flow of pore water into underlying residual material. The CSM indicates that the flow -through ash basin system should result in low to non -detectable constituent concentrations in groundwater underlying saturated ash within the ash basin except under the ash "stack out" area and near the dam where downward vertical Page 6-5 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra hydraulic gradients are observed. Using boron data, the generalized CSM is consistent with Site -specific data as summarized in Table 6-1. In summary, the data from three well cluster locations within the ash basin demonstrate boron concentrations consistent with the CSM. Boron concentrations greater than the 02L standard (700 µg/L) were limited to the surficial and transition zone in the ash "stack out" area where well clusters ABMW-4D/BR/X and ABMW-3/S are located. Each bedrock well exhibits non -detectable boron concentrations, indicating downward migration under the ash "stack out" area is limited to the surficial and transition zone by a slight upward vertical gradient in the bedrock. Additionally, the data suggests there is no correlation between the thickness of saturated ash and the underlying groundwater quality (Table 6-1). A technical memorandum, titled Saturated Ash Thickness and Underlying Groundwater Boron Concentrations — Allen, Belews Creek, Cliffside, Marshall, Mayo, and Roxboro Sites (Arcadis, 2019) presented linear regression analyses to evaluate the relationships between saturated ash thickness and concentrations of boron in ash pore water and underlying groundwater. The linear regression analysis was conducted using analytical data from Piedmont ash basins, including data from Mayo. The statistical evaluation was performed using a dataset which included 89 monitoring wells completed in surficial, transition, and bedrock groundwater zones directly beneath ash basins and 54 ash pore water monitoring wells completed in saturated ash. Linear regression results indicated that 87% of the groundwater monitoring locations below saturated ash locations have less than 02L concentrations of boron in groundwater. Exceptions to this relationship occur for select groundwater wells located near ash basin dikes and dams and other areas where ash has been "stacked" — whether for "harvesting" or placement in an unlined landfill. This is due to the downward vertical hydraulic gradient in these areas, which enhances migration of constituents. Under pre -decanting conditions, the analysis demonstrates saturated ash and ash pore water are not significantly contributing constituent concentrations to underlying groundwater except in localized areas where downward vertical gradients exist. Pre -decanting conditions represent the greatest opportunity for constituent migration to occur, not because of the volume of saturated ash, but because of the existing ash basin hydraulic Page 6-6 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra head and the downward vertical hydraulic gradient near the dam. Under post -decanting conditions, the hydraulic head of the ash basin will be reduced. Therefore, the downward vertical gradient occurring near the dam will be reduced and the rate of constituent migration from the ash basin to the groundwater system will be less. Decanting the basin to reduce the vertical hydraulic gradient is the most important factor to limit further constituent migration in groundwater. 6.1.1.6 Chemistry Within Waste Boundary (CAP Content Section 6.A.a.vi) Analytical sampling results associated with material from within the ash basin waste boundary are included in the following appendix tables or appendices: • Ash solid phase: Appendix C, Table 4 (CAP Content Section 6.A.a.vi.1.1) • Ash synthetic precipitation leaching procedures (SPLP): Appendix C, Table 6 (CAP Content Section 6.A.a.vi.1.2) • Ash Leaching Environmental Assessment Framework: Appendix H, Attachment C (CAP Content Section 6.A.a.vi.1.3) • Soil: Appendix C, Table 4 (CAP Content Section 6.A.a.vi 1.4) • Ash pore water: Appendix C, Table 1(CAP Content Section 6.A.a.vi.1.6) Ash Solid Phase and Synthetic Precipitation Leaching Potential (CAP Content Section 6.A.a.vi.1.1 and 6.A.a.vi.1.2) Ash samples collected inside the ash basin waste boundary were analyzed for total extractable inorganics using EPA Methods 6010/6020. For information purposes, ash samples were compared to soil background values and PSRGs for POG. The ash analytical data do not represent soil conditions outside of or beneath the ash basin. Concentrations of arsenic, chromium, cobalt, iron, and vanadium in ash samples were greater than concentrations of the same constituents in soil background samples (Appendix C, Table 4). In addition, six ash samples collected from borings completed within the ash basin were analyzed for leachable inorganic constituents using synthetic Page 6-7 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra precipitation leaching procedures (SPLP) EPA Method 1312 (Appendix C, Table 6). The purpose of SPLP testing is to evaluate the potential for leaching of constituents that might result in concentrations greater than the 02L standards or IMACs. SPLP analytical results are compared with the 02L or IMAC comparative values to evaluate potential source contribution; the data do not represent groundwater conditions. Analyses indicated that concentrations of antimony, arsenic, chromium, iron, manganese, nitrate, thallium, and vanadium, in the SPLP laboratory setting, were greater than the 02L/IMAC comparative values. Ash Leaching Environmental Assessment Framework (CAP Content Section 6.A.a.vi.1.3) Ash samples were analyzed for extractable metals analysis, including hydrous ferric oxide (HFO)/hydrous aluminum oxide (HAO), using the Citrate-Bicarbonate-Dithionite (CBD) method. Leaching environmental assessment framework (LEAF) is a leaching evaluation framework for estimating constituent release from solid materials. Leaching studies of consolidated ash samples from the Mayo ash basin were conducted using two LEAF tests, EPA methods 1313 and 1316 (USEPA, (2012a); (2012b)). The data are presented and discussed in the Geochemical Modeling Report in Appendix H, Attachment C. Leaching test results, using USEPA LEAF method 1316, indicate that, even for conservative constituents such as boron, the leachable concentration of boron present in ash from Mayo is considerably lower than the total boron concentration (Appendix H, Attachment C). Mayo data indicate that there is a process by which the constituents might become stable within the ash and would make the constituents unavailable for leaching. The exact mechanisms of this process are unknown; however, literature suggests that incorporating constituents, such as boron, into the silicate mineral phases is a potential mechanism (Appendix H, Attachment C). The leaching behavior of several constituents as a function of pH, examined using USEPA LEAF method 1313, demonstrated that for anionic constituents, the leaching increased with increasing pH and the cationic constituents showed the opposite trend (Appendix H, Attachment C). Page 6-8 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Soil Beneath Ash (CAP Content Section 6.A.a.vi 1.4 and 6.A.a.vi 1.5) Soil was collected from borings beneath the ash basin within the waste boundary at locations AB-3, ABMW-1, ABMW-2BR, and ABMW-3S (Figure 1-2). Soil/Saprolite was not encountered at other assessment locations within the ash basin. Soil samples obtained from beneath the ash basin were saturated. Saturated soil and rock is considered a component of the groundwater flow system and can serve as a source for groundwater constituents at the Site. The potential leaching and sorption of constituents in the saturated zone is included in the flow and transport and geochemical model evaluations (Appendix G and Appendix H) by continuously tracking the constituent concentrations over time in the surficial, transition zone, and bedrock materials throughout the models. Historical transport models simulate the migration of constituents through the soil and rock from the ash basin, and these results are used as the starting concentrations for the predictive simulations. No saturated soils beneath the ash basin have been analyzed for leachable inorganics using SPLP procedures EPA Method 1312. Ash Pore Water (CAP Content Section 6.A.a.vi.1.6 and 6.A.a.vi.3) The Mayo ash basin is a NPDES-permitted wastewater treatment unit. Water within the ash basin is wastewater; therefore, isoconcentration maps were not prepared for ash pore water and comparison to 02L/IMAC/background values is not appropriate. Ash pore water samples have been analyzed in accordance with the Interim Monitoring Plan (IMP) from five monitoring wells screened in the ash pore water of the Mayo ash basin. Ash pore water sample locations are shown on Figure 1-2 and analytical results are provided in Appendix C, Table 1. Figure 6-4 represents ash pore water boron distribution in cross section (A -A') from south to north. This cross-section represents the greatest physical horizontal and vertical extent of volume of source material within the ash basin (ABMW-2/BR/BRL and ABMW-3/S). Ash pore water concentrations are provided for general purposes only and are not compared to 02L/IMAC and background reference values because it is not groundwater. Discussion of geochemical trends within the Mayo ash basin pore water is included in Appendix H, Section 2. Page 6-9 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Three groundwater monitoring wells located in areas that could be sensitive to changing Site conditions from ash basin closure activities, including decanting, were selected for monitoring geochemical parameters and water elevation. Geochemical parameters (pH, oxidation reduction potential (ORP), and specific conductivity) are monitored using multi -parameter (or geochemical) sondes. The multi -parameter sondes are equipped with pressure transducers to monitor water elevations. Locations monitored with multi -parameter sondes are depicted on Figure 6-5 and include: ABMW-3: ash pore water well located in the central portion of the ash basin footprint CCR-103D: transition zone well located downgradient of the ash basin on the northwest side of the ash basin dam CCR-105D: transition zone well located downgradient of the ash basin, west of the east toe drain of the dam. Hydrographs and geochemical water quality parameter time series plots for each location are included on Figure 6-6. Observations of water elevation and multi -parameter records from monitored locations include: The ash pore water monitoring location (ABMW-3) within the ash basin waste boundary shows a response to ash basin decanting by reduced groundwater elevation levels of approximately 2 feet (Figure 6-6). • The transition zone monitoring location at the base of the western side of the ash basin dam (CCR-103D) shows a response to ash basin decanting by reduced groundwater elevation levels of approximately 2 feet (Figure 6-6). CCR-103D is located on the far western edge of the ash basin dam. It is expected that the first responses to decanting in downgradient wells will be in the wells on the edges of the ash basin dam because of their elevation relative to the ash basin pond surface and the Crutchfield Branch stream valley. The transition zone monitoring location near the east toe drain (CCR- 105D) shows minimal reduction in groundwater elevation levels (Figure 6-6). CCR-105D is located near the east toe drain, where response to decanting is expected to be delayed given the proximity to the Crutchfield Branch stream valley. Page 6-10 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Geochemical parameters pH and ORP do not show significant shifts or variability in records since ash basin decanting commenced (Figure 6-6). This suggests geochemical conditions have remained stable under changing Site conditions at locations within the waste boundary and downgradient of the source area. Ash pore water and groundwater geochemical parameters appear stable under changing Site conditions. Ash pore water pH and ORP do not appear to be significantly affected by lowering the ash basin's water level, and therefore represent stable conditions in which an increase in constituent dissolution and mobility is unlikely to occur. Additionally, groundwater pH and ORP, monitored beneath and downgradient of the ash basin, are unaffected by reductions in water levels, indicating stable geochemical conditions in which constituent dissolution and mobility are unlikely to occur. Ash Pore Water Piper Diagrams (CAP Content Section 6.A.a.vi.2) Piper diagrams can be used to differentiate water sources in hydrogeology (Domenico & Schwartz, 1998). Piper diagrams of ash pore water monitoring data (Figure 6-7) are used to assess the relative abundance of major cations (e.g., calcium, magnesium, potassium, and sodium) and major anions (e.g., chloride, sulfate, bicarbonate, and carbonate) in water. Data used for the piper diagrams include ash pore water data collected between January 2018 and April 2019 with a charge balance between -10 and 10 percent. Ash pore water results tend to plot with higher proportions of sulfate, chloride, calcium, and magnesium, which is generally characteristic of ash pore water (EPRI, 2012). However, the ash pore water for the Mayo ash basin does not follow this generalization as the results plot in the same area on the piper diagram as Site background and side -gradient wells (Figure 6-7). 6.1.1.7 Other Potential Source Material (CAP Content Section 6.A.a.vii) Coal Storage Pile Area The Mayo coal storage pile area is identified as a potential source of constituent migration to groundwater. The coal storage pile area located south of the ash basin and west of the power plant is being evaluated Page 6-11 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra independent of the Mayo ash basin. The Assessment Report for this potential source is due to NCDEQ on a 2020 date to be determined. Gypsum Storage Pile Area The Mayo gypsum storage pile area is identified as a potential source of constituent migration to groundwater. The gypsum storage pile area, located south of the ash basin and west of the power plant, is being evaluated independent of the Mayo ash basin. The Assessment Report for this potential source is due to NCDEQ on a 2020 date to be determined. 6.1.1.8 Interim Response Actions (CAP Content Section 6.A.a.viii) Interim response actions conducted to date are summarized in Table 6-2. Ash Basin Decanting (CAP Content Section 6.A.a.viii.1) Ash basin decanting commenced on June 27, 2019, and is expected to be ongoing through most of 2020. Decanting is a form of active source remediation by removing ponded water in the ash basin, which is considered a critical component of reducing constituent migration from the ash basin. Reduction of constituent migration occurs through decanting by significantly reducing the hydraulic head within the ash basin and hydraulic gradients in and under the ash basin dam, thereby reducing the groundwater seepage velocity near the dam and further limiting constituent transport potential. Three ponded water locations within the ash basin fingers and 20 groundwater monitoring wells located within and north of the basin were selected for monitoring water elevations using pressure transducers to record changing Site conditions from ash basin decanting (Figure 6-5). Ponded water and groundwater decanting network hydrographs, using water elevations recorded between March 2019 (April 2019 for ash basin fingers only) through September 2019, are depicted on Figure 6-8a through Figure 6-8c. Observations from hydrographs include: • As of December 1, 2019, the water level in the ash basin pond decreased by 7.1 feet (Figure 6-8a). Note the water elevations displayed on the figure are not current to December 1, 2019. Page 6-12 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Ash basin finger water levels on average decreased by approximately one foot (Figure 6-8a). The minimal drawdown of water levels observed in the ash basin fingers suggests the areas are only weakly connected to the ponded water area. Groundwater monitoring locations show a response to ash basin decanting as indicated by reduced groundwater elevation levels (Figure 6-8a through Figure 6-8c). Comparison of precipitation trends observed throughout the monitoring period and decreases in groundwater elevations during decanting confirms that lowered groundwater levels are related to decanting and not to seasonal/precipitation effects. • Groundwater monitoring wells located on the far edges of the ash basin dam (CCR-103BR and CCR-108BR) show the largest response from decanting with the greatest reduction in water levels relative to wells north of the dam (Figure 6-8a through Figure 6-8c). Toe Drain Collection System (CAP Content Section 6.A.a.viii.1) Two engineered toe drains were designed and installed during ash basin dam construction which was completed in 1982. The toe drains are outlets for an engineered drain system constructed within the dam. The toe drains collection system was installed to capture flow from the base of the ash basin and route the flow back into the ash basin. The collection system includes sump boxes, pumps, level switches, piping, primary and secondary power, and system logic controls. The collection systems operated intermittently from September 2016 to August 2018. Continuous operation of the system was implemented in August 2018 when the current NPDES permit went into effect. Source Area Stabilization (CAP Content Section, 6.A.a.viii.2) The Mayo ash basin dam was not subject to NCDEQ Dam Safety Order 16- 01 (August 22, 2016) and had no deficiencies noted by NCDEQ inspection (Holman to Draovitch, November 13, 2018; Appendix A). Duke Energy voluntarily completed several repairs to the ash basin dam and ash basin piping as routine and preventative measures to mitigate potential future erosion and improve dam conditions including: • Minor erosion repair Page 6-13 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra • Remove stumps and woody vegetation • Regrade and compact to restore embankment to uniform slopes • Vegetation established to stabilize disturbed areas • Abandon existing riser pipe from basin to forebay • Construct new equalization spillway pipes leading from ash basin into forebay and construct other related improvements Project closeout summaries for this work are provided in Appendix A. 6.1.2 Extent of Constituent Migration beyond the Compliance Boundary (CAP Content Section 6.A.b) There are no constituent concentrations in soil, groundwater, or surface water associated with the Mayo ash basin greater than applicable regulatory criteria at or beyond the compliance boundary based on monitoring results from four consecutive quarterly monitoring events. The compliance boundary for groundwater quality at the ash basin is defined in accordance with Title 15A NCAC 02L .0107(a) as being established at either 500 feet from the waste boundary or at the property boundary, whichever is closer to the waste. Analytical sampling results associated with the Mayo ash basin for each media are included in the following tables and appendix tables: • Soil: Appendix C, Table 4 and Table 6-4 (CAP Content Section 6.A.b.ii.1) • Groundwater: Appendix C, Table 1 and Table 6-6 (CAP Content Section 6.A.b.ii.2) • Seeps: Appendix C, Table 3 (CAP Content Section 6.A.b.ii.3) • Surface water: Appendix C, Table 2 and Appendix K (CAP Content Section 6.A.b.ii.4) • Sediment: Appendix C, Table 5 (CAP Content Section 6.A.b.ii.5) Soil Constituent Extent (CAP Content Section 6.A.b.ii.1) Based on the following unsaturated soil evaulation, there are no ash basin - related consituent concentrations greater than the corresponding standard (PSRG POG or background value); therefore, there are no constituents in soil that require corrective action at Mayo. Unsaturated soil at or beyond the waste Page 6-14 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra boundary is considered a potential seconday source to groundwater. Constituents present in unsaturated soil or paritally saturated soil (vadose zone) have the potential to leach into the groundwater system if exposed to favorable geochemical conditions for chemical dissolution. Possible effects from the ash basin to soils would be a result of ash pore water interaction with underlying soils within the basin and groundwater migration beyond the basin. Therefore, constituents considered for soil evaluation were limited to the constituents identified as groundwater COIs in the CSA Update (SynTerra, 2017b) for Mayo ash basin (arsenic, barium, boron, chromium, chromium (VI), cobalt, iron, manganese, molybdenum, strontium, sulfate, TDS, and vanadium). For constituents lacking an established target concentration for soil remediation (e.g., sulfate), the following equation was used in general accordance with the reference in 15A NCAC 02L .0202 to calculate a POG value using Site -specific data. Csoii = Cg. Ikd + (6w + 0,,H')IPb]df Of the consituents evaluated, sulfate was the only constituent that required the calculation of a Site -specific PSRG POG value. The PSRG POG value was calculated using laboratory testing and physical soil data for effective porosity (0.3) and dry bulk density (1.6 kilograms per liter [kg/L]) prepared in part for flow and transport modeling for the Site. Soil water partition coefficients (Kd) were obtained from the Groundwater Quality Signatures for Assessing Potential Impacts from Coal Combustion Product Leachate (EPRI, 2012). The resulting PSRG POG calculated value for sulfate was 1,438 mg/kg (Table 4-2). A summary of the parameters and values used to calculated the PSRG POG for sulfate is provided in Table 6-3. The range of constituent concentrations in unsaturated soils, along with a comparison with soil background values and North Carolina PSRG POG standards (NCDEQ February 2018), whichever is greater, is provided in Table 6-4. Unsaturated soil samples at or beyond the waste boundary were collected from soil borings and during well installation activities. Soil samples were collected from locations up-, side-, and downgradient of the ash basin (Figure 6-9). In response to the CSA Update (SynTerra, 2017b), NCDEQ requested additional evaluation of shallow soil surrounding, especially downgradient to, the ash basin to determine the degree of possible effects from historical CCR management at Mayo. Unsaturated soil samples surrounding the ash basin waste boundary and Page 6-15 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra north of the ash basin dam were collected in April 2019. An evaluation of the potential nature and extent of constituents in unsaturated soil beyond the waste boundary was conducted by comparing unsaturated soil concentrations with background values or PSRG POG standards, whichever is greater (Table 6-4). Constituents detected at concentrations greater than either the background value or the PSRG POG in unsaturated soil samples (depth in feet) near or beyond the waste boundary include (Table 6-4): • Chromium: BGSB-8 (8-9) • Manganese: BGSB-9 (14-15) Although greater than the background values and PSRG POG, chromium and manganese detections are at background locations (Figure 6-9). Data indicate unsaturated soil constituent concentrations at or beyond the compliance boundary are consistent with background concentrations or are less than regulatory screening values (Table 6-4). Therefore, there are no constituents in soil related to the Mayo ash basin. Groundwater Constituent Extent (CAP Content Section 6.A.b.ii.2) The ash basin compliance boundary extends 500 feet beyond the ash basin waste boundary, or to the property boundary, whichever is closer. Groundwater concentrations associated with the Mayo ash basin greater than 02L/IMAC/applicable background concentration values occur north of the ash basin dam and are contained within the compliance boundary. The maximum extent of ash basin -affected groundwater migration for all flow zones is represented by boron concentrations greater than the 02L standard. The boron plume is contained to the area immediately downgradient of the ash basin dam and within the compliance boundary. Section 6.1.3 includes a detailed matrix evaluation and rationale of groundwater constituents requiring corrective action, and Section 6.1.4 provides isoconcentration maps and cross sections depicting groundwater flow and constituent distribution in groundwater at or beyond the compliance boundary (CAP Content Section 6.A.b.i). Page 6-16 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Seep Constituent Extent (CAP Content Section 6.A.b.ii.3) Seeps at Mayo are subject to the monitoring and evaluation requirements contained in the SOC. The SOC states that the effects from non -constructed seeps should be monitored. Attachment A to the SOC identifies the following seeps: • Non -constructed seeps to be monitored — S-1A, S-2A, S-2B, S-8, and 5-10 • Non -constructed seeps dispositioned — S-3, S-4, S-5, S-6, S-7, and S-9 • Constructed seeps - S-1, S-2 The SOC defines dispositioned as: 1. The seep is dry for at least three consecutive quarters; 2. The seep does not flow to waters of the State; 3. The coal ash basin no longer affects the seep for all COIs over four consecutive sampling events; 4. An engineering solution has eliminated the seep. Non-dispositioned seeps, where monitoring has indicated the presence of CCR affects, are located within the compliance boundary and include: S-1, S-2, S-2B, S- 8, and 5-10 (Figure 5-7). Table 6-5 provides a summary of seep general location and approximate flow rate. Seeps at Mayo are contained within well-defined channels. Therefore, potential constituent migration related to seep flow is constrained in localized areas along the channel. Similar to groundwater, the extent of seeps affected by ash basin -related constituents is indicated by boron concentrations observed in seeps downgradient of the ash basin. However, boron does not have an established 02B standard; therefore, boron data is used for informational purposes only to identify the extent of ash basin -related constituents in downgradient seeps. The most recent valid boron data collected from seeps between January 2018 and June 2019 are included on Figure 5-7. Surface water sampling conducted downstream of seep channels, at the point of the channels' confluence with surface water receptors (i.e., Crutchfield Branch), demonstrated that flow from seeps has not caused constituent concentrations greater than 02B standards. Analytical results for seeps are included in Appendix C, Tables 2 and 3. Page 6-17 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Surface Water Constituent Extent (CAP Content Section 6.A.b.ii.4) Surface water samples have been collected from Crutchfield Branch to confirm groundwater downgradient of the ash basin has not resulted in surface water concentrations greater than 02B water quality standards; therefore, there are no surface water constituents related to the Mayo ash basin that require corrective action. Surface water samples were collected to evaluate acute and chronic water quality values. Surface water samples were also collected at background locations (upgradient of the source area) upstream of the Plant and the ash basin. Analytical results were evaluated with respect to 02B water quality standards and background data. Surface water conditions are further discussed in Section 6.2.1 and the full report for Mayo surface water current conditions can be found in Appendix I. As discussed above, the extent of surface water affected by ash basin -related constituents is indicated by boron concentrations observed in surface water receptors downgradient of the ash basin. However, boron does not have an established 02B standard; therefore, boron data is used for informational purposes only to identify the extent of ash basin -related constituents in downgradient surface water receptors. Surface water boron concentrations are included on Figure 5-7. Sediment Constituent Extent (CAP Content Section 6.A.b.ii.5) All sediment sample locations are co -located with surface water or tributary stream seep sample locations (Figure 1-2). Similar to saturated soils and groundwater, sediment is considered a component of the surface water system, and the potential leaching and sorption of constituents in the saturated zone is related to water quality. Because no regulatory standards are established for sediment inorganic constituents, both background sediment constituent concentration ranges and co -located surface water sample results are considered in this sediment evaluation. Table 4-5 presents constituent ranges of background sediment datasets per water body. Analytical results for all sediment samples are provided in Appendix C, Table 5. Assessment of constituents in sediment from surface waters, including Crutchfield Branch, unnamed tributaries to Bowe's Branch, unnamed feeder stream to Mayo Reservoir, and seeps, was conducted through a comparison evaluation between sediment sample constituent analytical results, from one - Page 6-18 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra time grab samples, and constituent concentration ranges from background sediment datasets. Samples collected from Crutchfield Branch were compared with background dataset ranges from upgradient surface water bodies. Sediments Collected from Crutchfield Branch Eleven sediment samples were collected from locations downgradient of the ash basin dam within the Crutchfield Branch stream system. Sediment sample locations are co -located with surface water sample locations (Figure 5-7). No sediment sample from locations at or beyond the compliance boundary (SW- CB1, SW-CB2, SW-CB3, and SW-CB4) had constituent concentrations greater than the range of background values. Based on the sediment evaluation, there are no constituents in sediment that require corrective action. Sediment analytical results (Appendix C, Table 5) are compared to results from six background locations upgradient of the ash basin and PSRG POG standards. Sediments Collected from Seeps Sediment samples from seep locations immediately downgradient of the ash basin dam and within the compliance boundary were analyzed and compared to results from surface water sediment background locations upgradient of the ash basin. There are no seep sediment background locations as there no identified or non-dispositioned seeps upgradient of the ash basin. S-1: Arsenic and iron sediment concentrations are greater than background concentrations (Table 4-5 and Appendix C, Table 5). The S-1 sediment sample was collected from the bottom of the concrete structure for the engineered west toe drain and is located within the waste boundary. Therefore, no corrective action is required. • S-2: Constituent concentrations are consistent with sediment background ranges (Table 4-5 and Appendix C, Table 5). Additionally, the S-2 sediment sample was collected from the bottom of the concrete structure for the engineered east toe drain and is located within the waste boundary. Therefore, no corrective action is required. • S-2B: Constituent concentrations are consistent with sediment background ranges (Table 4-5 and Appendix C, Table 5). • S-3: Chromium concentration is greater than background values (Table 4- 5 and Appendix C, Table 5). Chromium is not present in ash pore water at concentrations greater than regulatory standards. Chromium in sediment at the S-3 location is not associated with the Mayo ash basin. Page 6-19 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Additionally, S-3 is located immediately downstream from the engineered east toe drain and is well within the compliance boundary. Therefore, no corrective action is required. • S-4: The arsenic and chromium concentrations are greater than background values (Table 4-5 and Appendix C, Table 5). S-4 is located immediately downstream from the engineered west toe drain and is well within the compliance boundary. Therefore, no corrective action is required. • S-8: Cobalt and manganese concentrations were greater than sediment background concentrations (Table 4-5 and Appendix C, Table 5). The cobalt concentration observed at S-8 is less than the Mayo soil background value (Table 4-2 and Appendix C, Table 4). S-8 is located on a topographic high on the eastern edge of the ash basin dam. The material located at S-8 is representative of soil rather than sediment and, therefore, comparison to soil background values is appropriate. Manganese concentrations are greater than PSRG POG, sediment background, and soil background values. S-8 is located just beyond the waste boundary, well within the compliance boundary. Additionally, the seep at S-8 is expected to cease flowing in response to ash basin decanting. Therefore, no corrective action is required. 6.1.2.1 Piper Diagrams (CAP Content Section 6.A.b.iii) Piper diagrams can be used to differentiate water sources in hydrogeology by assessing the relative abundance of major cations (i.e., calcium, magnesium, potassium, and sodium) and major anions (i.e., chloride, sulfate, bicarbonate, and carbonate) in water. Groundwater Piper Diagrams Piper diagrams of groundwater monitoring data from surficial zone, transition zone, and bedrock zone background locations and downgradient of the ash basin (Figure 6-7) are used to assess the relative abundance of major cations (e.g., calcium, magnesium, potassium, and sodium) and major anions (e.g., chloride, sulfate, bicarbonate, and carbonate) in groundwater. Data used for the piper diagrams include groundwater data results from sampling between January 2018 and April 2019 with a charge balance between -10 and 10 percent. Page 6-20 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra • Majority of the groundwater wells in the surficial zone, transition zone, and shallow bedrock flow zone located immediately downgradient of the ash basin dam (CCR-103S/D/BR, CCR-104S/BR, CCR-105S/D/BR, CCR-106BR, CCR-107BR, CCR-108BR, CCR-109BR, and CW-2) plot with higher proportions of chloride and sulfate, which is consistent with the literature for groundwater affected by ash pore water (EPRI, 2012) (Figure 6-7). However, boron concentrations in seven of those 13 wells are less than the 02L standard with three wells showing non -detectable boron concentrations (CCR-104BR, CCR-108BR, and CCR-109BR), indicating little to no influence from ash pore water (Appendix C, Table 1). The distribution of results on the piper diagrams in Figure 6-7 indicate no conclusion can be made regarding effects on groundwater from the ash basin based on relative abundance of major cations and anions. Seep and Surface Water Piper Diagrams Piper diagrams of seep and surface water monitoring data are included on Figure 6-10. Data used for the piper diagrams include most recent available seep and surface water data (Appendix C, Table 2) with a charge balance between -10 and 10 percent. As discussed in Section 6.1.1, ash pore water from the Mayo ash basin does not plot on piper diagrams in an area that is distinguishable from background groundwater. Therefore, the data shown on Figure 6-10 cannot be used to make inferences regarding potential effects to surface water from the ash basin at Mayo. General observations from the seep and surface water piper diagrams include: • Surface water samples from background or reference locations (S-6, SW- REF1, SW-REF2, SW-BB2, and S-9) plot together in a cluster that is distinguishable from the downgradient surface water from Crutchfield Branch (S-3, SW-CB1, SW-CB2, SW-CB3, SW-CB4) (Figure 6-10). Surface water sample, SW-CBT1, which was collected from a tributary to Crutchfield Branch north of the ash basin, plots with the background locations (Figure 6-10). • Seeps S-1, S-2, S-2B, and S-8 are all located immediately downgradient of the ash basin dam. The seeps plot on the piper in the area that is typical for CCR leachate "affected" water (Figure 6-10); however, the ash pore Page 6-21 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra water in the Mayo ash basin does not plot in this area (Figure 6-7). Additionally, each of these seeps is covered by the SOC. 6.1.3 Constituents of Interest (COIs) (CAP Content Section 6.A.0 This CAP Update evaluates the extent of COIs associated with the Mayo ash basin detected at concentrations greater than applicable regulatory criteria. Mayo ash basin -related constituents were developed by evaluating groundwater sampling results with respect to the presence of concentrations greater than regulatory criteria or background values, whichever is greater and additional regulatory input/requirements. The distribution of constituents in relation to the ash management areas, co -occurrence of CCR indicator constituents such as boron, and migration direction based on groundwater flow direction are considered in determination of Mayo ash basin -related constituents. The following list of ash basin -related constituents has been developed for Mayo (SynTerra, 2017b) and serve as the foundation of the constituent management process used to identify COIs associated with the Mayo ash basin: • Arsenic • Barium • Boron • Chromium (Total) • Chromium (Hexavalent) • Cobalt • Iron Soil (CAP Content Section 6.A.c.i.1) • Manganese • Molybdenum • pH • Strontium • Sulfate • Total Dissolved Solids (TDS) • Vanadium No constituents were detected greater than PSRG POG or background values at sample locations downgradient of the ash basin. Therefore, there are no COIs for soil related to the Mayo ash basin. Groundwater (CAP Content Section 6.A.c.i.2) A measures of central tendency analysis of the groundwater constituent data (January 2018 to April 2019) was conducted and means were calculated to Page 6-22 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra support the analysis of groundwater conditions to provide a basis for defining the extent of the constituent migration at or beyond the compliance boundary. A measure of central tendency analysis captures the appropriate measure of central tendency (arithmetic mean, geometric mean, or median) for each dataset of constituent concentrations. Constituent concentrations in a single well may vary over orders of magnitude; therefore, a single sample result might not be an accurate representation of the concentrations observed over several months to years of groundwater monitoring. Evaluating constituent plume geometries with central tendency data minimizes the potential for incorporating occasions where constituents are reported at concentrations outside of the typical concentration range, and potentially greater, or substantially less, than enforceable groundwater standards. Previous Site assessment mapping based on single constituent concentrations for each well might have overrepresented or underrepresented areas affected by the ash basin by posting a single data set on maps and cross -sections that might have included isolated data anomalies. The mean of up to six quarters of valid data was calculated for each identified constituent to analyze groundwater conditions and define the extent of constituent migration at or beyond the compliance boundary. At a minimum, four quarters of valid data were used for calculating means; however, if fewer than four quarters of valid data were available, the most recent valid sample result was reported. Less than four quarters of valid data were not available either because the well was recently installed or sample results from one or more quarters were excluded. For use in calculating means, non -detect (ND) values were assigned the laboratory reporting limit (RL) and estimated (J-flag) values were treated as the reported value. Procedures for excluding data from calculating means are based on USEPA's National Functional Guidelines (USEPA, (2017a); (2017b)), published research about leaching of elements from coal combustion fly ash (Izquierdo & Querol, 2012), and professional judgement. The following steps outline the approach followed in calculating central tendency values for constituent concentrations in groundwater: 1. If the maximum analytical value divided by the minimum value for each constituent was greater than or equal to 10 (i.e., the data set ranges over an order of magnitude), the geometric mean of the analytical values was used. Page 6-23 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra 2. If the maximum analytical value divided by the minimum value for each constituent was less than 10 (i.e., the data set range is within an order of magnitude), the arithmetic mean was used. 3. The median of the data was used for records that contain zeros. 4. If the dataset mode (most common) is equal to the RL, and the mean value is less than or equal to the dataset's mode, the value was reported as "<RL" (e.g., the reporting limit for boron is 50 µg/L; for wells with mean analysis concentrations less than 50 µg/L, the mean analysis result would be shown as "<50"). Sample results were excluded from calculations for the following conditions: • Duplicate sampling events for a given location and date. The parent (CAMA) sample was retained. • Turbidity was greater than 10 Nephelometric Turbidity Units (NTUs) • pH was greater than 10 standard units (s.u.) Data with pH greater than 10 s.u. might suggest well grout impacts. • Data flagged as unusable (RO qualified) • Data reported as non -detect with a RL greater than the normal laboratory RL For each constituent at Mayo, the arithmetic mean was determined to be the most appropriate measure of central tendency. Table 6-6 presents the calculated means of the constituent data using groundwater monitoring sampling results from January 2018 to April 2019. Where means could not be calculated, the most recent valid sample was evaluated to determine whether the sample result is an appropriate representation of the historical dataset. Data from Table 6-6 are used in evaluating constituent plume geometry near the ash basin. Constituent Management Approach A COI Management Plan was developed at the request of NCDEQ to evaluate and summarize constituent concentrations in groundwater at the Site. Results of this COI Management Plan are used to identify areas that may require corrective action and to determine appropriate Site -specific mapping of constituent concentrations on figures based on the actual distribution of each constituent in Site groundwater. Page 6-24 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra • Groundwater COIs to be addressed with corrective action are those which exhibit concentrations in groundwater at or beyond the compliance boundary greater than the 02L standard, IMAC, or BTV, whichever is highest. Table 6-7 presents the constituent management matrix for determining COIs subject to corrective action at Mayo. The COI Management Plan is also used to discern constituents at naturally occurring concentrations greater than 02L that would not be subject to corrective action. Examples include naturally occurring constituents that do not exhibit a discernable plume or constituents that have no correlation with other soluble constituents associated with coal ash or another primary source (e.g., boron). A three -step process was utilized in the COI Management Plan approach: 1. An evaluation of the applicable regulatory context 2. An evaluation of the mobility of target constituents I A determination of the distribution of constituents within Site groundwater The primary goal of the COI Management Plan is to utilize science -based evidence to determine the realistic distribution and behavior of coal ash -related constituents in groundwater. The COI Management Plan presents multiple lines of evidence used to understand the actual constituent presence in the subsurface at the Site, uses results from the COI Management Plan approach to identify Site - specific COIs for inclusion for corrective action planning, and presents the COI mapping approach for the CAP. The COI Management Plan approach is described in detail in Appendix H and summarized below. Numerous Site -assessment activities have been completed to date and support the CSM, described in Section 5.0 as shown in Table ES-2. Data generated from these Site assessment activities have been considered within the COI Management Plan approach. Components of the Site assessment activities and data evaluations utilized within the COI Management Plan include the hydrogeologic setting, groundwater hydraulics, constituent concentrations, groundwater flow and transport modeling results, geochemical modeling results, and groundwater geochemical conditions. Page 6-25 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Step 1: Regulatory Review Step 1 of the COI Management Plan process considers the relevant regulatory references listed in Appendix H. The regulatory analysis starts with the current constituent list identified in the CSA Update (SynTerra, 2017b) and 2019 IMP submitted by Duke Energy, March 20, 2019, and approved by NCDEQ April 20, 2019. Constituent concentrations were screened against their respective constituent criterion defined as the maximum of the 02L groundwater quality standard, IMAC, and background. COI concentrations were screened against their respective constituent criterion for groundwater monitoring locations at or beyond the compliance boundary. Groundwater constituent concentrations used in the screening are based on a calculated central tendency value (mean) including data from 2018 through the second quarter of 2019. NCDEQ (NCDEQ, 2019) recommended use of a lower confidence limit (LCL95) concentration rather than the central tendency value. LCL95 concentrations were calculated for each constituent and the LCL95 concentration for the sample with the highest COI LCL95 concentration is provided in Table 1 of the COI Management Plan (Appendix H) for comparison to the maximum constituent mean concentration. Table 2 of the COI Management Plan (Appendix H) provides a comparison of the maximum constituent central tendency concentrations compared with the maximum constituent LCL95 concentrations for wells located at or beyond the compliance boundary for the Allen Steam Station, Belews Creek Stream Station, Cliffside Steam Station, Marshall Steam Station, Mayo Steam Electric Plant, and Roxboro Steam Electric Plant sites. The constituent LCL95 concentrations were typically lower than the constituent central tendency value with very few exceptions. The number of wells exceeding constituent criteria using the constituent LCL95 concentration was typically equal to or less than the number of wells exceeding constituent criteria using the constituent central tendency concentration. There were no increases in the number of wells exceeding constituent criteria for the Site when comparing the LCL95 to the constituent criterion and the number of exceedances was typically less for LCL95. Use of the constituent central tendency concentrations in the COI Management Plan process provides a conservative estimate of the extent of constituents in Site groundwater. Page 6-26 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Step 2: COI Mobility Step 2 of the COI Management Plan process evaluates the constituent mobility to identify hydrogeologic and geochemical conditions and relative constituent mobility based on: • Review of regulatory agency and peer -reviewed literature to identify general geochemical characteristics of constituents • Analysis of empirical data and results from geochemical and flow and transport modeling conducted for the Site • Identification of constituent -specific mobility as conservative (non - reactive), non -conservative (reactive), or variably reactive based on results from geochemical modeling (Appendix H) Site -specific groundwater geochemical conditions that may affect constituent transport and distribution are described in Table 1 of the COI Management Plan (Appendix H). Step 3: COI Distribution Step 3 of the COI Management Plan process evaluates the relative presence of constituents in Site groundwater. Descriptions of the horizontal and vertical distribution of constituents with mean concentrations above their respective COI criterion at and beyond the compliance boundary are summarized in Table 1 of the COI Management Plan (Appendix H) and provided in more detail in Table 6-7 (CAP Content Section 6.A.c.i.2). The COI Management Plan approach considers the distribution of constituents on a Site -wide basis. These distributions are used for planning appropriate corrective action, if necessary, as well as determining which constituents to map on figures. Primary descriptions of constituent distributions include plume -like distributions for relatively mobile constituents such as boron and isolated location(s) for constituents that do not exhibit plume -like distributions. Boron is the constituent with the most plume -like distribution. Some constituents with isolated exceedances of constituent criteria are not associated with the boron plume and these exceedances are described in more detail in Table 6-7 to place these exceedances within the context of the Site CSM. Page 6-27 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Rationale for inclusion or exclusion of constituents from mapping on figures in the 2019 CAP Update is based on the horizontal and vertical distribution of constituents with concentrations greater than their respective constituent criterion. All wells that have constituent mean concentration(s) greater than the constituent criterion are listed in Table 6-7. Outcome of COI Management Plan Process Constituents with concentrations greater than the constituent criterion beyond the compliance boundary were grouped by geochemical behavior and mobility. A comprehensive evaluation (i.e., means and groupings) of available data was used to demonstrate constituent distribution and correlation with other soluble constituents associated with coal ash, and to evaluate the spatial occurrence with a discernable constituent plume in the direction of groundwater flow downgradient of the source area. This evaluation emphasizes the depiction of those constituents that have migrated downgradient of the source area, in the direction of groundwater flow at concentrations greater than the constituent criterion with a discernable plume that correlates with other soluble constituents. Constituents were assigned to mobility categories based on geochemical modeling results and information derived from peer -reviewed literature. Constituent mobility categories are based on the concept of conservative versus non -conservative constituents introduced by NCDEQ in the January 23, 2019 CAP content guidance document. The use of three mobility categories for constituents was first introduced during in -person COI Management meetings held with NCDEQ in September 2019 for the Allen, Marshall, Mayo, and Roxboro sites. Based on geochemical modeling results, constituent mobility categories were expanded from conservative versus non -conservative to include the following: • Conservative, Non -Reactive constituents: [boron and TDS] Geochemical model simulations support that these constituents would transport conservatively (Ka values <1 liter per kilogram [L/kg]) as soluble species under most conditions, and that the mobility of these constituents will not change significantly due to current geochemical conditions or potential geochemical changes related to remedial actions. Page 6-28 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra • Non -Conservative, Reactive constituents: [arsenic and chromium] Geochemical model simulations support that these constituents are subject to significant attenuation in most cases and have high Kd values indicating the mobility of these constituents is unlikely to be geochemically affected by current geochemical conditions or potential geochemical changes related to remedial actions. • Variably Reactive constituents: [barium, hexavalent chromium, cobalt, iron, manganese, molybdenum, strontium, sulfate, and vanadium] Geochemical model simulations, and resulting Kd values, support these constituents may be non -reactive or reactive in relation to geochemical changes and are dependent on the pH and Eh of the system. The sensitivity of these constituents to the groundwater pH and Eh indicates that these constituents could respond to natural changes, such as water level fluctuations imposed by seasonality, or to decanting and source control activities that have the potential to change the groundwater pH or Eh. As discussed in the CSA Update (SynTerra, 2017b) and the 2018 CAMA Annual Interim Monitoring Report (SynTerra, 2019c), not all constituents with results greater than background values can be attributed to the ash basin or another source area. Naturally occurring groundwater contains varying concentrations of inorganic constituents. Sporadic and low - concentration occurrences of these constituents in the groundwater data do not necessarily demonstrate horizontal and vertical distribution of COI -affected groundwater migration from the ash basin. Summary A three -step process was utilized for the COI Management Plan approach considering the regulatory context, the mobility of constituents, and the distribution of constituents within Site groundwater. A comprehensive, multiple lines of evidence approach was followed utilizing extensive Site data. The COI Management Plan approach incorporated numerous components of the Site CSM in a holistic manner. Clear rationale was provided for every step of the COI Management process. For the regulatory review portion of the COI Management Plan, mean constituent concentrations were compared with constituent criteria to Page 6-29 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra identify constituents that exceeded their respective constituent criterion. Use of the constituent central tendency concentrations in the COI Management Plan process was shown to provide a conservative estimate of the extent of constituents in Site groundwater. Exceedance ratio values indicate constituent concentrations that exceed constituent criteria are typically within one order of magnitude (exceedance ratio <10) above the constituent criterion. Of 13 inorganic groundwater constituents (not including pH) identified in the CSA (SynTerra, 2017b), eight constituents (arsenic, barium, chromium, chromium (VI), cobalt, iron, sulfate, and vanadium) exhibit mean concentrations that are currently less than the 02L standard, IMAC, or background value near or beyond the compliance boundary, with no discernable plume characteristics (Table 6-7). These constituents are not expected to migrate beyond the compliance boundary and are predicted, based on geochemical modeling, to remain at concentrations less than the 02L standard, IMAC, or background values. Therefore, arsenic, barium, chromium, chromium (VI), cobalt, iron, sulfate, and vanadium are not retained as COIs for this CAP Update. Of the remaining five constituents, four (manganese, molybdenum, strontium, and TDS) exhibit mean concentrations greater than the 02L, IMAC, or background values at isolated wells downgradient of the ash basin near or beyond the compliance boundary. However, as clearly indicated in Table 6-6 and described below, detected concentrations are isolated and sporadic occurrences that do not represent a discernable plume and are not associated with groundwater migration from the ash basin. • The manganese mean concentration exceeds the background values at one well near or beyond the compliance boundary (MW-3BR); however, the mean is within the Site and regional background ranges (Table 6-6 and Table 6-7). No wells beyond the compliance boundary downgradient of the ash basin have manganese mean concentrations greater than the background values. Additionally, the distribution of manganese mean concentrations does not exhibit a discernable plume and some of the highest concentrations on Site are side -gradient to the ash basin (Table 6-7). Therefore, manganese is not retained as a COI for this CAP Update. Page 6-30 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra • Molybdenum mean concentrations that are greater than Site background values near or beyond the compliance boundary are observed only in wells MW-16D and MW-16BR (Table 6-6). Molybdenum is not observed in concentrations above background immediately downgradient of the ash basin and its distribution does not exhibit a discernable plume (Table 6-7). Therefore, the mean concentrations of molybdenum observed in MW-16D and MW-16BR are not attributed to groundwater migration from the ash basin. Molybdenum is not retained as a COI for this CAP Update. • Strontium mean concentrations greater than background values are observed in one well (MW-16S) near or beyond the compliance boundary (Table 6-6). The strontium mean concentration in MW- 16S is within Site and regional background ranges (Table 6-7). Furthermore, the distribution of strontium does not exhibit a discernable plume. Therefore, the strontium observed in MW-16S is not attributed to groundwater migration from the ash basin. Strontium is not retained as a COI for this CAP Update. • TDS is present at concentrations greater than the 02L standard at two wells downgradient of the ash basin near or beyond the compliance boundary (MW-3BR and CCR-109BR) (Table 6-6). TDS is not present in ash pore water in concentrations above the 02L standard and the TDS distribution downgradient of the ash basin does not exhibit a discernable plume (Table 6-7). TDS concentrations observed near and on the compliance boundary in MW-3BR and CCR-109BR are not attributed to groundwater migration from the ash basin. Therefore, TDS is not retained as a COI for this CAP Update. Boron is the only CSA identified COI retained for evaluation in this CAP Update as it is a key indicator of constituent migration (i.e., groundwater affected by the ash basin pore water) and exhibits a discernable plume associated with the ash basin. Page 6-31 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra 6.1.4 Horizontal and Vertical Extent of COIs (CAP Content Section 6.A.d) The maximum extent of affected groundwater migration from the ash basin is north of the ash basin along the Crutchfield Branch stream valley based on sampling and analysis data from 79 monitoring wells present at the Site. The plume geometry is largely shaped by Site hydraulic conditions associated with the basin, basin dam, free water within the basin, and the Crutchfield Branch system north of the basin as detailed in Section 5.0. Boron, a conservative (non -reactive) constituent, continues to be a key indicator of ash basin -affected groundwater migration and plume characteristics associated with the ash basin. Boron typically has greater concentrations in CCR than in native soil and is relatively soluble and mobile in groundwater (Chu, Panzion, & Bradley, 2017). The maximum extent of the 02L boron plume (700 µg/L) represents the maximum extent of ash basin -affected groundwater migration. 6.1.4.1 COIs in Unsaturated Soil (CAP Content Section 6.A.d.i) There are no ash basin -related soil COIs identified for Mayo; therefore, this section is not applicable. 6.1.4.2 Horizontal and Vertical Extent of Groundwater in Need of Restoration (CAP Content Section 6.A.d.ii) Based on groundwater sampling data from the four recent consecutive quarters, there are no COI concentrations greater than 02L standards associated with constituent migration from the ash basin at or beyond the compliance boundary; therefore, groundwater corrective action associated with the ash basin is not required. The most recent boron concentration and the historical maximum boron concentration for wells near and beyond the compliance are presented in Table 6-8. This section will focus on the horizontal and vertical extent of boron, the only ash basin -associated COI, north and downgradient of the ash basin dam. The horizontal extent of affected groundwater migration in each flow layer is depicted on the boron plume maps (Figure 6-11a through Figure 6-11c). The 02L boron plume and background boron plume represent a maximum extent of ash basin -affected groundwater migration in each flow layer. The 02L boron plume and background boron plume depicted on Figure 6-11a Page 6-32 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra through Figure 6-11c were generated from the flow and transport model and informed by boron mean concentration data. The model predictions are conservative and may over -predict the extent of boron distribution in groundwater. The vertical extent of the boron -affected groundwater migration is shown on generalized cross-section A -A' (Figure 6-4). As indicated on Figure 6-4 and Figure 6-11a through Figure 6-11c, the maximum extent of ash basin -affected groundwater occurs north of the ash basin but does not extend beyond the compliance boundary. Boron plume maps and cross-section support the following observations regarding the extent of affected groundwater: Mean concentrations of boron from ash pore water monitoring wells (ABMW-01, ABMW-02, ABMW-03, and ABMW-04) are greater than 02L standards (Table 6-6). Mean concentrations of boron from saprolite (ABMW-03S) and transition zone (ABMW-04D) groundwater monitoring wells in the southern portion of the ash basin are greater than 02L standards (Table 6-6). Mean concentrations of boron in bedrock groundwater monitoring wells (ABMW-02BR and ABMW-02BRL) in the southern portion of the ash basin are less than background (non -detect), supporting the flow -through with limited downward migration CSM discussed in Section 5.0 (Table 6-6). Maximum boron concentrations in groundwater within the ash basin waste boundary are 1,320 µg/L in the saprolite (ABMW-03S) and 3,242 µg/L in the transition zone (ABMW-04D) (Table 6-6). Boron is below the reporting limit (50 µg/L) in bedrock within the ash basin waste boundary. Concentrations of boron from groundwater surficial, transition zone, and shallow bedrock monitoring wells immediately north (downgradient) of the ash basin dam are greater than 02L standards (Table 6-6). Groundwater monitoring wells CCR-103S/D/BR, CCR104S/BR, CCR-105S/D/BR, and CCR107BR are located at or near the ash basin waste boundary. The CCR-103S/D/BR, CCR-104S/BR, and CCR-105S/D/BR clusters each show increasing concentrations of boron with depth. The wells are located in areas of upward Page 6-33 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra (negative) vertical gradients due to the effect of the ash basin ponded water upgradient of the dam as discussed in the CSM. However, the vertical extent of boron downgradient of the ash dam is limited to the shallow bedrock. • Boron concentrations in bedrock at or near the ash basin waste boundary are limited to the top 40 feet of rock (less than 75 feet below ground surface). The deep bedrock groundwater monitoring wells MW-103BRM/BRL, MW-104BRM/BRL, and MW-105BRM/BRL have boron concentrations less than the laboratory reporting limit (50 µg/L). Wells MW-107BRM/BRL have boron concentrations slightly greater than the laboratory reporting limit: 83 µg/L at MW-107BRM and 68 µg/L at MW-107BR (Appendix F). Boron concentrations in bedrock decrease with depth indicating vertical migration is generally limited to shallow bedrock (top 40 feet of rock). Bedrock boron concentrations that are greater than the 02L standard are limited to those located at or near the ash basin waste boundary. Groundwater monitoring well CW-2D, a shallow bedrock well located on the compliance boundary, has a mean concentration of boron less than the 02L standard but greater than Site background (273 µg/L) (Table 6-6). Bedrock monitoring wells at or beyond the compliance boundary (CW-4, MW-3BR, and MW-16BR) all have mean concentrations of boron less than laboratory reporting limit (non -detect) (Table 6-6). The surficial and transition zone flow zone boron plumes are within the compliance boundary and have relatively similar geometries (Figure 6-11a and Figure 6-11b). This supports the interpretation that these two zones are hydraulically connected. Differences between the groundwater boron plumes are related to hydraulic conditions; the saprolite has limited saturated thickness across the Site. The mean concentration of boron at the compliance boundary (CW-2) is slightly greater than the 02L standard (720 µg/L) (Table 6-6). Further downgradient at MW-16D, the mean concentration of boron is less than the laboratory reporting limit (non -detect). The mean concentration of boron at monitoring well CW-3 is non -detect. CW-3 is on the compliance boundary, north of the ash basin, and outside of the Crutchfield Branch stream valley. Page 6-34 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra • Mean concentration of boron from MW-16S, a groundwater monitoring well screened in the surficial flow zone beyond the compliance boundary, is less than the 02L standard (167 µg/L) (Table 6-6). The boron mean concentration inside the compliance boundary at MW-3 is greater than the 02L standard (1049 µg/L) (Table 6-6). Saturated saprolite north of the ash basin is limited to the Crutchfield Branch stream valley; therefore, the boron plume in the surficial flow zone is also limited to the area near Crutchfield Branch. • Flow and transport modeling has demonstrated that when Crutchfield Branch is not free flowing and is impounded due to the presence of beaver dams, locally losing stream conditions occur. When these conditions occur, surface water recharges the shallow alluvium in which MW-16S is screened. Under these conditions, detected groundwater concentrations of boron in MW-16S reflect surface water concentrations of boron. • The maximum mean boron concentration beyond the compliance boundary in the surficial groundwater is 167 µg/L (MW-16S) (Table 6-6). Boron concentrations in the transition zone and bedrock zones beyond the compliance boundary are below the laboratory reporting limit. 6.1.5 COI Distribution in Groundwater (CAP Content Section 6.A.e) As step two of the constituent management process and the geochemical modeling evaluation (Appendix H), constituents identified in the CSA Update (SynTerra, 2017b) as related to the ash basin were grouped by geochemical behavior and mobility. An evaluation (i.e., mean analysis and mobility groupings) of available data was used to demonstrate constituent distribution in groundwater to evaluate the spatial occurrence with a discernable plume in the direction of groundwater flow direction downgradient of the ash basin. The evaluation grouped constituents into three mobility groups: conservative (non - reactive), non -conservative (reactive), and variably reactive. As discussed in Section 6.1.3, boron is the only constituent retained as a COI; therefore, discussion of non -conservative and variably reactive constituents is not applicable for Mayo. Page 6-35 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra 6.1.5.1 Conservative Constituents (CAP Content Section 6.A.e.i) Boron plume maps and cross -sections support the following observations regarding the extent of COI -affected groundwater represented by conservative constituents: • Surficial, transition zone, and bedrock flow zone groundwater boron plumes are within the compliance boundary. • The Surficial, transition zone, and bedrock flow zone groundwater boron plumes have relative similar plume geometries (Figure 6-11a through Figure 6-11c). This supports a connected, unconfined flow system between the surficial, transition zone, and bedrock flow zones. Empirical data from the Site indicates boron concentrations greater than 02L standards are limited to the top 40 feet of bedrock (Figure 6-4). Boron distribution in groundwater has been horizontally delineated downgradient of the ash basin. Boron delineation is demonstrated by detected constituent concentrations that are less than regulatory standard or are not detected from groundwater monitoring wells CCR-104BR, CCR-109BR, CW-3, CW-4, MW-2, and MW-16S/D/BR (Figure 6-11a through Figure 6-11c). Boron distribution in groundwater has been vertically delineated downgradient of the ash basin. Boron delineation is demonstrated by field screening and laboratory analytical results of the deep bedrock evaluation that indicate boron concentrations are less than regulatory standard or are not detected in groundwater monitoring wells MW- 103BRL/BRM, MW-104BRL/BRM, MW-105BRL/BRM, and MW- 107BRL/BRM (Appendix F). • In general, conservative constituents like boron are expected to migrate in groundwater as soluble species and are not strongly attenuated by reactions with solids but are reduced in concentration with distance by physical processes such as mechanical mixing (dispersion), dilution, and diffusion into less permeable zones. However, the presence of sericite as a weathering product in the bedrock indicates that the bedrock has some capacity to sorb boron (Appendix F). Page 6-36 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Plume Behavior and Stability (CAP Content Section 6.A.e.i.1) The boron plume is stable or decreasing in the surficial, transition zone, and bedrock flow zones. Mann -Kendall trend analysis was performed on a select set of wells within the waste boundary, between the waste boundary and compliance boundary, and near or beyond the compliance boundary. Mayo recently began continual operation of two seep collection systems, decanting of the ash basin, and cessation of all wastewater flows to the ash basin. Recent monitoring well analytical results, which are representative of pre - decanting conditions, were utilized for this trend analysis. The analysis was performed using analytical results for boron from samples collected from January 2018 through June 2019 (Table 6-9). Trend analysis results are presented where at least four samples were available and frequency of detection was greater than 50 percent. Statistically significant trends are reported at the 95 percent confidence level. The analysis of constituent concentrations through time produced six possible results: 1. Statically significant, decreasing concentration trend 2. Statically significant, increasing concentration trend 3. Greater than 50 percent of concentrations were non -detect 4. No significant trend, and variability is high 5. Stable. No significant trend, and variability is low Ash pore water and groundwater wells within the waste boundary with detectable boron have stable or no boron concentration trends, suggesting limited changing conditions (Table 6-9). Groundwater monitoring wells north of the ash basin, between the waste boundary and compliance boundary include CCR-103S/D/BR, CCR- 104S/BR, CCR-105S/D/BR, CCR-106BR, CCR-107BR, CCR-108BR, MW-2, and MW-3. Groundwater monitoring wells north of the ash basin and near or beyond the compliance boundary include CCR-109BR, CW-2/D, CW-3, CW-4, MW-3BR, MW-16S/D/BR. Mann -Kendall results for groundwater wells north of the ash basin include: Page 6-37 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra • Trend analysis results for groundwater monitoring wells in the surficial flow zone indicate that all but one well (MW-3) exhibit a stable trend in boron concentrations (Table 6-9). Boron concentrations in MW-3 do not exhibit a statistically significant trend. Therefore, the overall boron plume within the surficial flow zone is characterized as "stable." Trend analysis results for groundwater monitoring wells in the transition zone flow zone within the compliance boundary exhibit stable boron concentration trends (Table 6-9). However, the transition zone monitoring wells near or beyond the compliance boundary exhibit a decreasing trend in boron concentration (CW-2) or do not have detectable boron concentrations (CW-3 and MW-16D). Therefore, the overall boron plume within the transition zone flow zone is characterized as "decreasing." Only 4 of the 15 bedrock wells used in the trend analysis have boron concentrations greater than the reporting limit (50 µg/L) (Table 6-9). Three of the bedrock monitoring wells are located immediately downgradient of the ash basin dam (CCR-103BR, CCR-105BR, and CCR-107BR). CCR-103BR exhibits an increasing trend in boron concentrations. CCR-105BR exhibits a stable trend in boron concentrations. CCR-107BR exhibits a decreasing trend in boron concentrations. Boron concentration trends in bedrock near the compliance boundary (CW-2D) are stable. Therefore, the overall boron plume within the bedrock flow zone is characterized as "stable." 6.1.5.2 Non -Conservative Constituents (CAP Content Section 6.A.e.i) There are no non -conservative COIs associated with the ash basin at Mayo; therefore, this section is not applicable. 6.1.5.3 Variably Reactive Constituents (CAP Content Section 6.A.e.i) There are no variably reactive COIs associated with the ash basin at Mayo; therefore, this section is not applicable. Page 6-38 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra 6.2 Receptors Associated with Ash Basin (CAP Content Section 6.B) CSA and ongoing monitoring data confirm that affected groundwater is limited to Duke Energy property. Ash basin -affected groundwater does not reach any water supply wells and modeling indicates this will remain the case in the future. Therefore, potential receptors are limited to the Crutchfield Branch stream system. 6.2.1 Surface Waters - Downgradient within a 0.5-Mile Radius of the Waste Boundary (CAP Content Section 6.B.a) A depiction of surface water features - including wetlands, ponds, unnamed tributaries, seeps, streams, lakes, and rivers - within a 0.5-mile radius of the ash basin compliance boundary, along with permitted outfalls under the NPDES and the SOC locations are shown on Figure 5-7 (CAP Content Section 6.B.a.i and 6.B.a.ii). The 0.5-mile radius from the ash basin compliance boundary, for which data is evaluated and depicted on figures, is greater than the required 0.5-mile radius from the waste boundary and is consistent with the drinking water well and receptor surveys. Associated North Carolina surface water classifications for Crutchfield Branch, two unnamed tributaries to Bowed Branch, and an unnamed feeder stream to Mayo Reservoir are summarized in Section 5.3.1 and depicted on Figure 5-7 (CAP Content Section 6.B.a.iii). For groundwater corrective action to be implemented under Subchapter .02L .0106(k), groundwater discharge to surface water cannot result in exceedances of standards for surface waters contained in 15A NCAC 02B .0200 (02B). Surface water constituents with 02B standards include: arsenic, barium, beryllium, cadmium, chloride, chromium (hexavalent and trivalent), copper, fluoride, lead, mercury, nickel, nitrate and nitrite, selenium, silver, sulfate, TDS, thallium, total hardness, and zinc. Surface water samples were collected from locations within Crutchfield Branch to confirm groundwater downgradient of the ash basin has not resulted in surface water concentrations greater than 02B water quality standards. Surface water locations sampled for groundwater discharge to surface water evaluation are shown on Figure 5-7 (CAP Content Section 6.B.a.iv). Surface water samples were collected, using DWR-approved protocols, to evaluate acute and chronic water quality values. Surface water samples were also collected at background locations (upgradient of the source area) upstream of the Plant and the ash basin. Page 6-39 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Analytical results were evaluated with respect to 02B water quality standards and background data. Comparisons of surface water data with the applicable USEPA National Recommended Water Quality Criteria for Protection of Aquatic Life, Human Health, and/or Water Supply (USEPA, (2017a); (2017b)) were conducted on surface water samples from Crutchfield Branch. As stated by the USEPA, these criteria are not a regulation, nor do they impose a legally -binding requirement. Therefore, comparisons with these criteria are only for situational context. The constituents that have corresponding USEPA criteria but do not have 02B criteria are alkalinity, aluminum, antimony, iron, and manganese. All concentrations of alkalinity, aluminum, antimony, and iron were either non -detect (i.e., antimony) or concentrations were comparable to background concentrations. Analytical results for manganese the two downstream Crutchfield Branch sample locations are greater than the USEPA values and background concentrations. However, the concentrations of manganese observed in Crutchfield Branch are greater than the groundwater monitoring wells in the area downgradient of the ash basin; therefore, the surface water concentrations of manganese are not attributable to groundwater to surface water interaction. The surface water samples were collected in accordance with NCDEQ DWR Internal Technical Guidance: Evaluating Impacts to Surface Water from Discharging Groundwater Plumes - October 31, 2017. The full report for Mayo groundwater discharge to surface water and the evaluation of surface waters to evaluate compliance with 15A NCAC 2B .0200 was submitted to NCDEQ on March 23, 2019. Surface water data has been reevaluated as a result of surface water quality standards updated by NCDEQ on June 6, 2019. The revised report is provided in Appendix I. General findings of the evaluation of surface water quality conditions at Mayo include: • Groundwater migration from the ash basin source area has not resulted in violations of the 02B surface water quality standards in Crutchfield Branch. • An engineered seep collection system captures flow from the toe drains and directs flow back into the ash basin and wastewater treatment system. Page 6-40 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Surface Water — Future Conditions Evaluation An evaluation of potential future groundwater migration to surface water was conducted to identify areas where further evaluation might be warranted. For areas of potential future groundwater migration to surface water, a mixing model approach was used for the evaluation of future surface water quality conditions. Flow and transport modeling results were used to determine where groundwater migration from the ash basin might intersect surface water in the future. Predictive groundwater modeling, using boron as a proxy for plume migration, identified the area to the northeast of the ash basin (specifically Crutchfield Branch) could potentially be influenced by future groundwater migration. A groundwater to surface water mixing model approach was used to determine the future potential surface water quality in Crutchfield Branch. Constituents assessed in the predictive model include those that were identified as constituents related to the ash basin in the 2017 CSA Update (SynTerra, 2017b). The full report for Mayo groundwater discharge to surface water under future conditions can be found in Appendix I. General findings of the evaluation of future effects on surface water from groundwater discharge at Mayo include: The surface water mixing model evaluation confirms that predicted future resultant constituent concentrations in applicable surface waters are less than 02B surface water standards. Therefore, the criterion for compliance with 02B is met. Seeps currently governed by the SOC that remain and are not dispositioned 90 days after completion of decanting would be characterized for determination of corrective action applicability. Where applicable, and accounting for seep jurisdictional status, corrective action planning would occur at that time. 6.2.2 Water Supply Wells (CAP Content Section 6.B.b) A total of 22 private water supply wells were identified within the 0.5-mile radius of the ash basin compliance boundary (Figure 5-6). Most of these wells are associated with residences located to the south and upgradient of the Site, centered near Mullins Lane; residences located northwest and upgradient of the Site, on the south/North Carolina side of the North CarolinaNirginia state line; and residences located northwest and upgradient of the Site, on the northNirginia side of the state line. Page 6-41 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra No public or private drinking water wells or wellhead protection areas were identified downgradient of the ash basin. No public supply wells were identified within a 0.5-mile radius of the ash basin compliance boundary as discussed in Section 5.4. This finding has been supported by field observations, a review of public records, an evaluation of historical groundwater flow direction data, and results of groundwater flow and transport modeling (Appendix G). The location and information pertaining to water supply wells located upgradient or side - gradient of the facility, within 0.5 miles of the ash basin compliance boundary, were included in drinking water supply well survey reports. 6.2.2.1 Provision of Alternative Water Supply (CAP Content Section 6.B.b.i) Although results from local water supply testing do not indicate effects from the ash basin, water supply well owners identified within the 0.5-mile radius from the ash basin compliance boundary were offered alternate water supply in accordance with General Statute 130A-309.211(cl). Of the 17 eligible connections, one did not respond to the offer. Duke Energy installed 16 water filtration systems at surrounding occupied residences, including one business. Duke Energy is providing ongoing maintenance for these systems. On August 30, 2018, Duke Energy provided completion documentation to NCDEQ to fulfill the requirements of House Bill 630. NCDEQ provided correspondence, dated October 12, 2018, to confirm that Duke Energy satisfactorily completed the alternate water provisions under G.S. Section 130A-309.211(cl) at Mayo. Both documents are provided in Appendix D. The private and public water supply well locations with reference to water treatments systems installed, vacant parcels, and residential properties that opted not to respond to the offer are indicated on Figure 5-6 (CAP Content Section 6.B.b.i). As discussed in Section 5.0, all of the private water supply wells are located either upgradient or side -gradient of the ash basin (in separate drainage systems). Page 6-42 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra 6.2.2.2 Findings of Drinking Water Supply Well Surveys (CAP Content Section 6.B.b.ii) The location and information pertaining to water supply wells located upgradient or side -gradient of the facility, within 0.5 miles of the ash basin compliance boundary, were included in drinking water supply well survey reports. Results from surveys conducted to identify potential receptors for groundwater, including public and private water supply wells and surface water features within a 0.5-mile radius of the Mayo ash basin compliance boundary, have been reported to NCDEQ: Drinking Water Well and Receptor Survey — Mayo Steam Electric Plant (SynTerra, 2014a) Supplement to Drinking Water Well and Receptor Survey —Mayo Steam Electric Plant (SynTerra, 2014b) • Update to Drinking Water Welland Receptor Survey —Mayo Steam Electric Plant (SynTerra, 2016c) A total of 22 private water supply wells within the 0.5-mile radius of the ash basin compliance boundary were identified as part of the required well survey. Most of these water supply wells are located to the south and upgradient of the Site, centered near Mullins Lane; northwest and upgradient of the Site, on the North Carolina side (south) of the North Carolina/Virginia state line; and northwest and upgradient of the Site, on the Virginia side (north) of the state line. Unoccupied rural properties are located north of the Site and downgradient of the ash basin (Figure 5-6) An Environmental Data Resources, Inc. (EDR, 2015) report for the nearby Louisiana Pacific Corporation site west of US Highway 501 indicated that Bethel Hill Baptist Church, located approximately 0.5 miles south and upgradient of the Site at 201 Old US Hwy 501 (Roxboro, North Carolina), maintains a public water supply provided by a groundwater well. Table 6-10 (CAP Content 6.B.b.ii) provides tabulated results for the NCDENR and Duke Energy sampling results as well as identified groundwater constituent concentrations greater than 02L standards, IMACs, and bedrock background values. A well -by -well summary and evaluation of groundwater analytical data is presented in Table 6-10. The evaluation compares bedrock background values as it is assumed area Page 6-43 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra water supply wells are installed within the bedrock, which is typical for water supply wells in the Piedmont. The major findings from the water supply well evaluation include: • All water supply wells are outside the boron plume as defined on the boron plume maps for all flow zones (Figure 6-11a through Figure 6-11c). • All water supply wells to the south are upgradient of the ash basin (Figure 5-4c). • All water supply wells to the northwest are upgradient of the ash basin (Figure 5-4c). • Boron, the only COI exhibiting a discernable plume related to the ash basin, was not detected above the laboratory reporting limit in any of the water supply wells sampled (Table 6-10). • Strontium was detected in three of the wells at concentrations greater than background values. Each of these wells are located northwest of the ash basin, upgradient of the ash basin and separated from the ash basin by a hydraulic divide (Figure 5-5a). Additionally, no discernable strontium plume associated with the ash basin was identified. Therefore, the strontium in these wells is not attributed to the Mayo ash basin. Manganese was detected in one well at concentrations greater than background values but is located south and upgradient of the ash basin (Figure 5-4c). Additionally, no discernable manganese plume associated with the ash basin was identified. Therefore, manganese in this well is not attributed to the Mayo ash basin. • Vanadium was detected in one well at a concentration greater than background values but is located north of the ash basin and separated by a natural hydraulic divide (Figure 5-5a). Additionally, no discernable vanadium plume associated with the ash basin was identified. Vanadium in this well is not attributed to the Mayo ash basin. A numerical capture zone analysis for the Mayo Site was conducted to evaluate potential effects of upgradient water supply pumping wells. The analysis for Mayo indicated that well capture zones from Page 6-44 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra wells located to the northwest and southeast of Mayo are limited to the immediate vicinity of the well head and do not extend toward the ash basin. None of the particle tracks originating in the ash basin moved into the well capture zones (SynTerra, 2017b). This evaluation and the detailed evaluation results presented in the CSA Update (SynTerra, 2017b) indicate no effect on water supply wells from the Mayo ash basin. Furthermore, based on flow and transport modeling, no future effects to water supply wells are predicted. 6.2.3 Future Groundwater Use Areas (CAP Content Section 6.B.c) Duke Energy owns the land and controls the use of groundwater on the land downgradient of the ash basin within and beyond the predicted area of potential groundwater influence from the ash basin. Therefore, no future groundwater use areas are anticipated downgradient of the basin. It is anticipated that private and public properties within a 0.5-mile radius of the ash basin compliance boundary will continue to rely on groundwater resources for water supply for the foreseeable future; therefore, Duke Energy will provide periodic maintenance of the provided water treatment systems for each property that accepted the alternative water supply [(Figure 5-6) (CAP Content Section 6.B.c.i)]. Based on future predicted groundwater flow patterns, under post ash basin closure conditions, and the location of water supply wells in the area, groundwater flow direction from the ash basin is expected to be further contained within the Crutchfield Branch stream valley and therefore will not flow towards any water supply wells [(Appendix G) (CAP Content Section 6.B.c.ii)]. 6.3 Human and Ecological Risks (CAP Content Section 6.0 Updated human health and ecological risk assessments were prepared for Mayo consistent with the CAP content guidance. The Human Health and Ecological Risk Assessments conducted for the Mayo ash basin concluded: 1. there is no evidence of risks to on -Site or off -Site human receptors potentially exposed to CCR constituents that may have migrated from the ash basin; and Page 6-45 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra 2. there is no evidence of risks to ecological receptors potentially exposed to CCR constituents that may have migrated from the ash basin. A more detailed discussion regarding human health and ecological risk associated with the ash basin can be found in Section 5.4. An update to the Mayo human health and ecological risk assessment is included in Appendix E. 6.4 Evaluation of Remedial Alternatives (CAP Content Section 6.D) This section is not applicable for the Mayo ash basin. Analytical data obtained over one year of quarterly monitoring indicate the Mayo ash basin is currently in compliance with 02L groundwater quality standards; therefore, groundwater corrective action under 15A NCAC 02L .0106 is not required at this time for the Mayo ash basin. 6.5 Proposed Remedial Alternatives Selected for the Ash Basin (CAP Content Section 6.E) This section is not applicable for the Mayo ash basin. Analytical data obtained over one year of quarterly monitoring indicate the Mayo ash basin is currently in compliance with 02L groundwater quality standards; therefore, groundwater corrective action under 15A NCAC 02L .0106 is not required at this time for the Mayo ash basin. Adaptive site management allows iterative review of site information and data to determine whether changing site conditions warrant adjustments to site management and monitoring approaches. Adaptive site management approaches may be adjusted over the site's life cycle as new information and technologies become available. This approach is particularly useful at complex sites where changes in site conditions may require an extended period of time or where NCDEQ approves alternate groundwater standards for COIs, such as 4,000 µg/l for boron, pursuant to its authority under G.S. Section 15A NCAC 02L .0106(k). Although groundwater concentrations do not exceed the 02L standard of 700 µg/1 for boron at or beyond the ash basin compliance boundary, Mayo could be approved for alternate standards given the lack of human health and ecological risks at the Site. 6.5.1 Description of Proposed Remedial Alternative (CAP Content Section 6.E.a) This section is not applicable for the Mayo ash basin. 6.5.2 Design Details of Proposed Remedial Alternative (CAP Content Section 6.E.b) This section is not applicable for the Mayo ash basin. Page 6-46 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra 6.5.3 Monitored Natural Attenuation Requirements (CAP Content Section 6.E.0 This section is not applicable for the Mayo ash basin. 6.5.4 Requirements for O2L.O1O6 Rule (CAP Content Section 6.E.d) This section is not applicable for the Mayo ash basin. 6.5.5 Sampling and Reporting (CAP Content Section 6.E.e) Sampling and analysis of groundwater and surface water associated with the Mayo ash basin is conducted in accordance with an Interim Monitoring Plan (IMP). As defined in NCDEQ correspondence, Facility Interim Monitoring Plans Networks and Sampling Requirements (December 21, 2016; Appendix A), the IMP was implemented to facilitate completion of the CSA and CAP for Mayo. Implementation of the IMP commenced in the second quarter of 2017. Additional modifications to the plan were approved by NCDEQ on April 4, 2019 (Appendix A). Analytical results from IMP sampling are submitted to NCDEQ quarterly. 6.5.5.1 Confirmation Monitoring Plan (CAP Content Section 6.E.e) Sampling and analysis of groundwater and surface water associated with the Mayo ash basin is conducted in accordance with an IMP. As defined in NCDEQ correspondence, Facility Interim Monitoring Plans Networks and Sampling Requirements (December 21, 2016), the IMP was implemented to facilitate completion of the CSA and CAP for Mayo. Implementation of the IMP commenced in the second quarter of 2017. Additional modifications to the plan were approved by NCDEQ on April 4, 2019. Analytical results from IMP sampling are submitted to NCDEQ quarterly. An Effectiveness Monitoring Plan (EMP) is required by G.S. Section 130A- 309.211 (b)(1)(e) for evaluating the effectiveness of proposed corrective action. Analytical data obtained over one year of quarterly monitoring indicate the Mayo ash basin is currently in compliance with 02L groundwater quality standards; therefore, groundwater corrective action under 15A NCAC 02L .0106 is not required at this time for the Mayo ash basin. Because corrective action is not required, an EMP is not required. Page 6-47 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra The Mayo ash basin is in compliance with 02L at this time; therefore, Duke Energy requests that the IMP be replaced by a Confirmation Monitoring Plan (CMP). The CMP, presented in Appendix J, is designed to be adaptable and target key areas where changes to groundwater conditions are most likely to occur throughout the ash basin closure process. CMP key areas for monitoring are based on the following considerations: • Include background locations • Include designated flow paths • Within areas of observed or anticipated changing Site conditions, and/or have increasing constituent concentration trends • Monitor constituent plume stability and verify model simulation CMP elements including well systems, locations, frequency, parameters, schedule, and reporting are summarized below and outlined on Table 6-11. Confirmation monitoring well locations are illustrated on Figure 6-12. The CMP will be implemented within 30 days of CAP approval and will continue until there is a total of three years of data confirming that COIs are below applicable standards at or beyond the compliance boundary, at which time a request for termination of CMP sampling will be filed with NCDEQ. If applicable standards are not met, the CMP will continue and transition to post -closure monitoring, if necessary. After ash basin closure and following ash basin closure certification, a Post - Closure Groundwater Monitoring Plan (PCMP) will be developed and implemented for a minimum of 30 years in accordance with G.S. Section 130A-309.214(a)(4)k.2. If groundwater monitoring results are below applicable standards for three consecutive years, Duke Energy may request termination of the PCMP in accordance with G.S. Section 130A- 309.214(a)(3)b. A conceptual flow diagram for CMP and PCMP elements is depicted on Figure 6-13. Reporting and Schedule (CAP Content Section 6.E.e.i) Groundwater corrective action is not required for the Mayo ash basin; therefore, "effectiveness" progress reports and schedule and a sampling and analysis plan during remediation are not applicable. Page 6-48 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra During basin closure, evaluation of Site conditions and constituent plume stability would be based on quantitative rationale using statistical, mathematical, modeling, or empirical evidence. Existing data from historical monitoring would be used to provide baseline information. Schedule and reporting of confirmation monitoring data, including plan review and optimization, while the CMP is active, would include: Annual Reporting Evaluation: The data collected as part of the CMP will be evaluated annually. The evaluation will include a summary of annual groundwater monitoring results, evaluation of statistical concentration trends, comparison of observed concentrations to model predictions, evaluation of 02L compliance, and recommendation for plan adjustments, if applicable. Results of the evaluation would be reported in annual monitoring reports submitted to NCDEQ. The reports will include: • Laboratory reports on electronic media, • Tables summarizing the past year's monitoring events, • Historical data tables, • Figures showing sample locations, • Figures showing the historical data versus time for the designated monitoring locations and parameters with emphasis on those constituents identified as part of the constituent management process (Section 6.1.3), • Statistical analysis (Mann -Kendall test) of data to determine if trends are present, • Identification of exceedances of comparative values, • Groundwater elevation contour maps in plan view and isoconcentration contour maps in plan view for one or more of the prior year's sampling events (as mutually agreed upon by Duke Energy and NCDEQ), • Any notable observations related to water level fluctuations or constituent concentration trends attributable to changing Site conditions, and • Recommendations regarding adjustments to the CMP, if needed. Page 6-49 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Sampling and Evaluation (CAP Content Section 6.E.e.ii) The CMP is a comprehensive monitoring plan that integrates multiple monitoring systems designed for key areas of the Site with unique characteristics or monitoring requirements. Groundwater Monitoring Systems The Mayo CMP monitoring system will (1) monitor Site conditions, (2) provide adequate areal (horizontal) and vertical coverage to monitor plume status with regard to potential receptors, and (3) confirm flow and transport and geochemical model predictions. Groundwater Monitoring Flow Paths - Trend Analysis The CMP will provide adequate horizontal and vertical coverage to monitor: Changes in groundwater quality as Site conditions change (e.g., ash basin closure commences and groundwater flow and transport conditions respond) • Transport rates • Constituent plume stability The monitoring network includes wells along primary groundwater flow paths. Groundwater monitoring wells are located as indicated in Figure 6-12 and described below: 1. Background locations 2. 500 feet downgradient of waste boundary (compliance boundary) 3. No less than one year travel time upgradient of receptor or potential receptor and no greater than the distance groundwater is expected to travel in five years Multi -parameters sondes will be installed in 10 wells along the primary groundwater flow paths (Figure 6-12). Monitoring of changes in groundwater quality on a real-time basis using multi -parameter sondes and telemetry technology will allow continuous monitoring and evaluation of geochemical conditions. Geochemical conditions, monitored using pH and Eh, will be compared, as needed, to geochemical modeling results to evaluate changes that could potentially affect the mobility (Ka) of reactive Page 6-50 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra and variably -reactive COIs. The multi -parameter sondes also monitor water levels which will be used to verify simulated changes to groundwater flow. Groundwater quality and water level data will increase the response time to implement contingencies if field parameters significantly deviate from predicted responses. A contingency plan is included in Section 6.5.7 of this CAP Update. Plume stability evaluation will be based primarily on results of trend analyses. Trend analyses will be conducted using Mann -Kendall trend test. The Mann -Kendall trend test is a non -parametric test that calculates trends based on ranked data and has the flexibility to accommodate any data distribution and is insensitive to outliers and non -detects. The test is best used when large variations in the magnitude of concentrations may be present and could otherwise influence a time -series trend analysis. Mann -Kendall trend tests will be conducted using data from CMP (geochemically nonreactive, conservative constituents). For Mayo, boron best depicts the areal extent of the plume and plume stability and physical attenuation as described in the constituent management approach (Section 6.1.3). The test would be performed in accordance with Statistical Analysis of Groundwater Monitoring Data at RCRA Facilities — Unified Guidance (USEPA, 2009). Sampling Frequency Sampling for the CMP will be semi-annually. Multiple years of quarterly and semi-annual monitoring data are available for use in trend analysis and to establish a baseline to evaluate corrective action performance. Therefore, semi-annual sampling at locations defined in the CMP will provide adequate analytical data to monitor plume stability. Quantitative evaluations will determine if additional data is necessary (i.e., increased sampling frequency) for refining statistical and empirical model development. Additional monitoring described in the contingency plan will be implemented if significant geochemical condition changes are identified that could result in mobilization of reactive or variably -reactive COIs. Sampling and Analysis Protocols (CAP Content Section 6.E.e.ii) CMP sampling and analysis protocol will be similar to the existing IMP and could be adjusted in the future based on further analysis. Detailed protocols are presented in the CMP document (Appendix J). Samples will be Page 6-51 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra analyzed by a North Carolina -certified laboratory for the parameters listed in Table 6-11 as summarized below. Laboratory detection limits for each constituent are targeted to be at or less than applicable regulatory values (i.e., 02L, IMAC, background). Groundwater quality confirmation monitoring parameters: Conservative constituent analyses of boron will be conducted to monitor groundwater conditions using designated wells along the groundwater flow paths. Boron was selected because it is non - reactive to changing geochemical conditions and encompasses the areal extent of the plume. Physical attenuation mechanisms of dilution and dispersion will be evaluated by comparing monitoring results with flow and transport model simulations. Changing geochemical conditions that could cause sorption or precipitation/co- precipitation mechanisms would be evaluated using multi -parameter sondes. • Groundwater field parameters: Six field parameters will be monitored to confirm that monitoring well conditions have stabilized prior to sample collection and to evaluate data quality: water level, pH, specific conductance, temperature, dissolved oxygen, and ORP • Additional geochemical parameters: Cations and anions will be analyzed to evaluate monitoring data quality (electrochemical charge balance). These include alkalinity, bicarbonate alkalinity, aluminum, calcium, iron, magnesium, manganese, nitrate + nitrite, potassium and sodium. Total organic carbon (TOC), ferrous iron, and sulfate analyses are also proposed as monitoring parameters. TOC is recommended to help determine if an organic compound is contributing to TDS, and ferrous iron and sulfate to monitor potential dissolution of iron oxides and sulfide precipitates as an indicator of changing conditions. 6.5.6 Interim Activities Prior to Implementation (CAP Content Section 6.E.f) This section is not applicable for the Mayo ash basin. 6.5.7 Contingency Plan (CAP Content Section 6.E.g) This section is not applicable for the Mayo ash basin. Because no remediation system will be installed, there is no remediation system that could have Page 6-52 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra insufficient performance. However, Duke Energy has developed the contingency plan described below that identifies conditions that trigger further evaluation. 6.5.7.1 Description of Contingency Plan (CAP Content Section 6.E.g.i) If evaluation of analytical data obtained and evaluated in accordance with the CMP identify that a more active approach to groundwater corrective action is potentially warranted, an evaluation will be conducted to determine if additional data is needed to validate conditions (e.g., more frequent sampling, additional parameters, additional monitoring location(s), etc.) and determine if the Mayo ash basin CAP should be updated to evaluate corrective action approaches and technologies. 6.5.7.2 Decision Metrics for Implementing Contingency Plan (CAP Content Section 6.E.g.ii) Potential corrective approach evaluation is warranted if: Changing groundwater quality conditions downgradient of the ash basin represented by an increase of a COI concentration over four consecutive monitoring events. • Changing surface water quality conditions downgradient of the ash basin represented by an increase of a COI concentration over four consecutive monitoring events. • Site conditions measurably different than predictive model simulations, including geochemical condition changes which could result in mobilization of reactive and variably -reactive COIs. Potential remedial alternatives considered would be screened against the following criteria outlined in 15A NCAC 02L .0106(i): • Protection of human health and the environment • Compliance with applicable federal, state, and local regulations • Long-term effectiveness and permanence • Reduction of toxicity, mobility, and volume • Short-term effectiveness at minimizing effects on the environment and local community Page 6-53 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra • Technical and logistical feasibility • Time required to initiate • Predicted time required to meet remediation goals • Cost • Sustainability • Community acceptance 6.6 Ash Basin Summary Groundwater corrective action is not required by 02L for the Mayo ash basin because there are no exceedances of ash basin -derived constituents in groundwater beyond the compliance boundary. Multiple lines of evidence provided in this CAP Update indicate that the groundwater plume originating from the ash basin, represented by boron, does not currently, nor is it predicted to, extend beyond the compliance boundary. Although active groundwater corrective action is not required, a CMP is proposed. The CMP is designed to provide systematic evaluation of groundwater conditions at and beyond the compliance boundary and to identify changing conditions that may warrant attention. The CMP will begin within 30 days of CAP Update approval. Duke Energy's preferred groundwater remediation approach assumes source control through either basin closure -in -place or closure -by -excavation. Source control measures are separate from the CAP Update and do not affect the preferred groundwater remediation approach. Page 6-54 Correction Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra 7.0 PROFESSIONAL CERTIFICATION (CAP Content Section 7) Certification for the Submittal of a Corrective Action Plan Responsible Party and/or Permittee: Qij-ke-EneMy Progress. LLC Contact Person: Paul Draovitch Address: 526 South Church Street City: Charlotte State: NC Zip Code: 28202 Site Name: Mayo Steam E12ctric Plant Address: 10660 Boston Road City: Roxboro State: NC Zip Code: 27574 Groundwater Incident Number (if applicable): NA/Coal Ash Management Act CAP I, Jerry A. Wylie, a Professional Geologist for SynTerra Corporation do hereby certify that the information indicated below is enclosed as part of the required Corrective Action Plan (CAP) and that to the best of my knowledge the data, assessments, conclusions, recommendations and other associated materials are correct, complete and accurate. Swom to and wbKftW before me this 1 �+ofb.c DARNELL B. DELLINGER my Canrlli�� &#m 1TJam (Affix Seal and Signature) ,,�%►1111r11,,EN ,. ,\\A..CAyO f r SEAT` 1426 00zfle ,�Ci l l' \"'�' . 41� Proj Manager Page 7-1 Correction Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra 8.0 REFERENCES (CAP Content Section 8) AECOM. (2019). Ash Basin Closure Plan Report, Mayo Steam Electric Plant, December 31, 2019. Amec Foster Wheeler. (2014). Natural Resources Technical Report. Arcadis. (2019). Saturated Ash Thickness and Underlying Groundwater Boron Concentrations - Allen, Belews Creek, Cliffside, Marshall, Mayo, and Roxboro Sites, March 20, 2019. Chu, J., Panzion, P., & Bradley, L. J. (2017). An Approach to Using Geochemical Analysis to Evaluate the Potential Presence of Cal Ash Constituents in Drinking Water. 2017 World of Coal Ash (WOCA). Lexington, KY. Daniel, C. C., & Dahlen, P. R. (2002). Preliminary hydrogeologic assessment and study plan for a regional ground -water resource investigation of the Blue Ridge and Piedmont provinces of North Carolina. Raleigh, North Carolina: U.S. GEOLOGICAL SURVEY Water -Resources Investigations Report 02-4105. Domenico, P. A., & Schwartz, F. W. (1998). Physical and chemical hydrogeology (Vol. 44). New York: Wylie. Duke Energy/AECOM. (2018). Mayo Steam Electric Plant Ash Basin Closure Options, Groundwater Modeling and Community Impact Analysis. EDR. (2015, August 5). EDR Radius Map, Report with GeoCheck. Inquiry Number: 4375544.2s. (L. P. Corporation, Ed.) Envirommnental Data Resources, Inc. EPRI. (1995). Coal ash disposal manual: Third edition. Palo Alto, CA: Electric Power Research Institute, TR-104137. EPRI. (2012). Groundwater Quality Signatures for Assessing Potential Impacts from Coal Combustion Product Leachate. Palo Alto, CA: EPRI. Exponent. (2018). Community Impact Analysis of Ash Basin Closure Options at the Mayo Steam Electric Plant. Freeze, R. A., & Cherry, J. A. (1979). Groundwater. Englewood Cliffs, NJ: Prentice -Hall. Page 8-1 Correction Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra FRx, Inc., SynTerra, and Falta Environmental. (2019, December). Updated Groundwater Flow and Transport Modeling Report for Mayo Steam Electric Plant, December 31, 2019. Google Earth Pro. (2018a). Mayo Steam Electric Plant, February 25, 2006. Google Earth Pro. (2018b). Mayo Steam Electric Plant, June 30, 2006. Google Earth Pro. (2018c). Mayo Steam Electric Plant, June 17, 2008. Google Earth Pro. (2018d). Mayo Steam Electric Plant, May 30, 2009. Haley and Aldrich. (2015). Report on Risk Assessment Work Plan for CAMA Sites, Duke Energy - November 2015. HDR and SynTerra. (2017). Statistical Methods for Developing Reference Background Concentrations for Groundwater and Soil at Coal Ash Facilities. HDR Engineering, Inc. and SynTerra Corporation. Izquierdo, M., & Querol, X. (2012). Leaching behaviour of elements from coal combustion fly ash: An overview. International Journal of Coal Geology, 94. 54-56. doi:10.1016/j . coal.2011.10.006 LeGrand, H. (1988). Region 21, Piedmont and Blue Ridge. In: J. Black, J. Rosenshein, P. Seaber, ed. Geological Society of America, 0-2, (pp. 201-207). LeGrand, H. (1989). A conceptual model of ground water settings in the Piedmont region, in groundwater in the Piedmont. In: Daniel C., White, R., Stone, P., ed. Ground Water in the Piedmont of the Eastern United States (pp. 317-327). Clemson, SC: Clemson University. LeGrand, H. (2004). A master conceptual model for hydrogeological site characterization in the Piedmont and Mountain Region of North Carolina: A guidance manual. North Carolina Department of Environment and Natural Resources, Division of Water Quality, Groundwater Section, Raleigh, NC, 55. Lipson, D., Kueper, B., & Gefell, M. (2005). Matrix diffusion -derived plume attenuation in fractured bedrock. Groundwater, 43(pp. 30-39), No. 1. NCDENR DWM. (2003). Guidelines for Performing Screening Level Ecological Risk Assessments Within the North Carolina Division of Waste Management. Page 8-2 Correction Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra NCDEQ. (2017). Technical Guidance for Risk -Based Environmental Remediation of Sites. NCDEQ. (2019). October 24, 2019 letter from Mr. J. Gregson, NCDEQ to Mr. P. Draovitch, Duke Energy, titled, Approach to Managing Constituents of Interests for Purposes of Corrective Action Plans. SynTerra. (2014a). Drinking Water Well and Receptor Survey - Mayo Steam Electric Plant - September 2014. Roxboro, NC. SynTerra. (2014b). Supplement to Drinking Water Well and Receptor Survey - Mayo Steam Electric Plant - November 2014. Roxboro, NC. SynTerra. (2015a). Comprehensive site assessment report - Mayo Steam Electric Plant - September 2, 2015. Roxboro, NC. SynTerra. (2015a). Comprehensive Site Assessment Report - Mayo Steam Electric Plant - September 2, 2015. Roxboro, NC. SynTerra. (2015b). Corrective Action Plan - Part 1: Mayo Steam Electric Plant - December 1, 2015. Roxboro, NC. SynTerra. (2015b). Corrective Action Plan Part 1 - Mayo Steam Electric Plant. September 2015. SynTerra. (2016a). Corrective Action Plan Part 2 - Mayo Steam Electric Plant - February 29, 2016. SynTerra. (2016b). Comprehensive Site Assessment Supplement 1 - Mayo Steam Electric Plant. SynTerra. (2016c). Update to drinking water well and receptor survey - Mayo Steam Electric Plant - September 2016. Roxboro, NC. SynTerra. (2017a). Up -to -Date Background Groundwater Data Technical Memorandum, May 26, 2017. SynTerra. (2017b). 2017 Comprehensive Site Assessment Update - October 31, 2017. SynTerra. (2019a). Ash Basin Pumping Test Summary Report, January 28, 2019. Page 8-3 Correction Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra SynTerra. (2019b). Surface Water Evaluation to Assess 15A NCAC 02B - Mayo Steam Electric Plant, March 21, 2019. SynTerra. (2019c). 2018 CAMA Annual Interim Monitoring Report - Mayo Steam Electric Plant, April 30, 2019. SynTerra. (2019d). Updated Background Threshold Values for Constituent Concentrations in Soil and Groundwater, June 2019. SynTerra. (2019e). Human Health and Ecological Risk Assessment Summary Update - Mayo Steam Electric Plant, December 2019. USEPA. (1989). Risk assessment guidance for superfund, volume 1: Human health evaluation manual, part A. Washington, D.C.: Office of Emergency and Remedial Response, U.S. Environmental Protection Agency. EPA/540/1-89/002. USEPA. (1991). Risk Assessment Guidance for Superfun: Volume 1 - Human Health Evaluation Manual (Part B, Development of Risk -based Preliminary Remediation Goals). Office of Emergency and Remedial Response, EPA/540IR-92/003. USEPA. (1998). Guidelines for ecological risk assessment. In Risk Assessment Forum. Washington, DC: Office of Research and Development, Federal Register 63(93):26846-26924. USEPA. (2009). Statistical Analysis of Groundwater Monitoring Data at RCRA Facilities - Unified Guidance. EPA 530-R-09-007. USEPA. (2011). Environmental Cleanup Best Management Practices: Effective Use of the Project Life Cycle Conceptual Site Model. Washington. doi:12 pp, 2 MB, 2011, 542-17- 11-011 USEPA. (2012a). Method 1313 - Liquid -Solid partitioning as a function of extract pH using parallel batch extraction procedure. Test methods for evaluating solid waste: Physical/Chemical methods. SW0846, 3rd. USEPA. (2012b). Method 1316 - Liquid -Solid Partitioning as a Function of Liquid -to - Solid Ratio in Solid Materials Using a Parallel Batch Procedure. Test methods of Evaluating Solid Waste: Physical/Chemical Methods. SW-846, 3rd. Page 8-4 Correction Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra USEPA. (2017a). National recommended water quality criteria for aquatic life. Retrieved October 20, 2017, from EPA: https://www.epa.gov/wgc/national-recommended- water-quality-criteria-aquatic-life-criteria-table#altable USEPA. (2017b). Secondary Drinking Water Regulations: Guidance for Nuisance Chemicals. Retrieved October 2017, from EPA: https://www.epa.gov/dwstandardsregulations/secondary-drinking-water- standards-guidance-nuisance-chemicals Page 8-5 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant TABLES (CAP Content Section 9) SynTerra Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Table ES-1 Summary of Mayo Assessment Documentation Included in Executive Summary Text Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Table ES-2 Summary of Mayo Assessment Activities (Through June 2019) Included in Executive Summary Text Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Table ES-3 Components of Source Control, Active Remediation, and Monitoring Included in Executive Summary Text TABLE 3-1 SUMMARY OF ONSITE POTENTIAL ADDITIONAL SOURCE FACILITIES CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT DUKE ENERGY PROGRESS, LLC, ROXBORO NC Evaluated Facility as Source CSA Operational Source Area Rationale Name Area n Schedule Status Material or Capacity for Evaluation CAP Update Coal Ash/NPDES- 140 acres/ Ash Basin Yes NA Inactive permitted waste 6,600,000 tons CAMA unit streams CCR FGD Forward FGD wastewater/ Lined units; constructed Flush No NA Inactive Landfill leachate/ 16.9 acre-feet = within footprint of ash Pond/FGD NPDES permitted 5,506,881 gallons Settling Pond waste streams basin Adjacent to and Coal Storage No To be Operational Coal —30 acres upgradient of ash basin. Pile Area determined To be evaluated separate from CAP Update Gypsum To be Lined unit; currently Storage Pad No determined Operational Synthetic gypsum 1 acre unknown if hydrologically Area connected to ash basin Lined units; not hydrologically connected Low Volume NPDES permitted to ash basin; no record of Ponds No NA NA waste streams 1 acre CCR waste handling; evaluation not required per NCDEQ (Risgaard, July 19, 2019; Appendix A) Prepared by: JAW cneCke(I by: PWA Notes: CSA Schedule - applicable only for units identified in the letter "Final Comprehensive Site Assessment and Corrective Action Plans Approvals for Duke Energy Coal Ash Facilities" (April 5, 2019). CSA Schedule updated by NCDEO (November 13, 2019; Appendix A). CAMA - North Carolina Coal Ash Management Act of 2014 CAP - Corrective Action Plan CCR - Coal Combustion Residuals CSA - Comprehensive Site Assessment FGD - Flue Gas Desulfurization NA - Not applicable NA - not applicable NCDEQ - North Carolina Department of Environmental Quality NPDES - National Pollutant Discharge Elimination System Page 1 of 1 TABLE 4-1 BACKGROUND SOIL SAMPLE SUMMARY CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT DUKE ENERGY PROGRESS, LLC, ROXBORO, NC Soil Boring Depth Range (ft bgs) Number of Sampled Intervals SB-01 (1-14.5) 2 BGSB-02 (4-15) 3 BGSB-03 (4-9) 2 BGSB-04 (4-15) 3 BGSB-05 (4-15) 3 BGSB-08 (4-9) 2 BGSB-09 (4-15) 3 M W-08BR (0.75-26) 2 MW-10BR (0.75-1) 1 MW-12D (1-26) 2 Note: ft bgs - feet below ground surface Prepared by: JAW Checked by: PWA Page 1ofI TABLE 4-2 BACKGROUND VALUES FOR SOIL CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT DUKE ENERGY PROGRESS, LLC, ROXBORO, NC Constituent Reporting Unit PSRG Protection of Groundwater 2018 Background Threshold Values" 2019 Up Updated Background Z Threshold Values Piedmont Background Threshold Value Range pH* S.U. NE 5.2-7.6 4.7-8.3 2.3-9.8 Aluminum mg/kg 110,000 46,946 50,978 25,978 - 81,619 Antimony mg/kg 0.9 0.7 0.6 0.2 - 0.9 Arsenic mg/kg 5.8 4.5 3.9 1.2 - 43.1 Barium mg/kg 580 616 598 122 - 1,063 Beryllium mg/kg 63 1 2 1 -5 Boron mg/kg 45 13 16 14 - 56 Cadmium mg/kg 3.0 0.03 0.6 0.03 - 1.0 Calcium mg/kg NE 4,830 8,769 282 - 8,769 Chloride mg/kg NE 42 312 12 - 423 Chromium mg/kg 3.8 77.4 440.0 20.0 - 440.0 Cobalt mg/kg 0.9 44.2 81.7 27.0 - 81.7 Copper mg/kg 700 124 216 17 - 216 Iron mg/kg 150 82,634 85,345 24,500 - 85,345 Lead mg/kg 270 16 16 34912.0 Magnesium mg/kg NE 47,958 51,829 760 - 51,829 Manganese mg/kg 65 1,894 2,985 370 - 3,388 Mercury mg/kg 1.0 0.1 0.1 0.04 - 0.1 Molybdenum mg/kg 7.1 4.5 12.0 1.8 - 12.0 Nickel mg/kg 130 71 193 9- 237 Nitrate (as N) mg/kg NE 0.33 31.20 0.25 - 31.20 Potassium mg/kg NE 21,421 20,393 427 - 35,600 Selenium mg/kg 1 2.1 2.9 2.9 1.6 - 6.9 Sodium mg/kg NE 833 1,496 338 - 1,500 Strontium mg/kg 1,500 69 95 7 - 200 Sulfate mg/kg 1,438^ 14 362 12 - 437 Thallium mg/kg 0.28 0.41 0.85 0.17 - 2.13 Vanadium mg/kg 350 188 207 42 - 231 Zinc mg/kg 1,200 340 326 61 - 326 Prepared by: JHG Checked by: SRW/PWA Notes: 2018 background threshold values approved by North Carolina Department of Environmental Quality (NCDEQ) on May 23, 2019. ^ - PSRG Protection of Groundwater value was calculated using the equation shown in Section 6 * - Upper and lower threshold values calculated for parameter Background threshold values were calculated using data from background unsaturated soil samples collected February 2015 to July 2017. 2 - Background threshold values were calculated using data from background unsaturated soil samples collected February 2015 to July 2017. s - Piedmont background threshold value ranges include the Duke Energy calculated 20174 and 2019s background threshold values from 10 Duke Energy facilities located in the Piedmont physiographic region (Allen Steam Stations, Belews Creek Steam Stations, Buck Steam Station4, Cape Fear Steam Electric Plant°, Cliffside Steam Stations, Dan River Steam Station4, Marshall Steam Stations, Mayo Steam Electric Plants, Riverbend Steam Station 4, and Roxboro Steam Electric Plants). mg/kg - milligrams per kilogram NE - not established S.U. - standard unit PSRG - preliminary soil remediation goals Page 1 of 1 TABLE 4-3 BACKGROUND VALUES FOR GROUNDWATER CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT DUKE ENERGY PROGRESS, LLC, ROXBORO, NC Constituent Reporting Unit 15A NCAC 02L Standard 2017 Background Threshold Values' 2019 Updated Background Threshold Values Piedmont Background Threshold Value Range3 Surficial Zone Transition Zone Bedrock Zone Surficial Zone Transition Zone Bedrock Zone pH S.U. 6.5 - 8.5 4.9 - 6.5 5.7 - 6.5 5.0 - 7.3 4.9 - 6.9 5.6 - 6.6 5.1 - 7.2 3.6 - 9.0 Alkalinity mg-CaCO3/1- NE 13 302 223 42 302 240 19- 379 Aluminum pg/L NE 566 490 494 566 692 574 100 - 1,238 Antimony pg/L 1* 1 1 1 1 1 1 0.5- 3 Arsenic pg/L 10 1 1 1 2 1 1 0.2-6 Barium pg/L 700 19 78 97 22 68 97 11- 840 Beryllium pg/L 4* 1 1 1 1 1 1 0.06 - 1 Bicarbonate mg-CaCO3/1- NE 13 302 223 23 302 221 19- 388 Boron pg/L 700 50 50 50 50 50 50 50- 177 Cadmium pg/L 2 1 1 1 1 1 1 0.08 - 1 Calcium mg/L NE 3 59 73 13 59 73 4 - 111 Carbonate mg-CaCO3/1- NE 5 5 5 10 10 10 5- 10 Chloride mg/L 250 3 33 43 5 39 41 3 -250 Chromium pg/L 10 3 6 7 8 6 7 1- 26 Chromium (VI) pg/L NE 0.09 1.26 0.40 4.40 1.28 0.36 0.03 - 12.00 Cobalt pg/L 1* 1 1 1 2 1 5 0.09 - 89 Copper pg/L 1,000 2 5 5 4 5 5 0.5 - 17 Fluoride mg/L 2 --- --- --- 0.1 0.3 0.4 0.1- 1.8 Iron pg/L 300 385 1,319 2,550 6,820 1,356 3,771 56 - 37,500 Lead pg/L 15 1 1 1 2 1 1 0- 2 Lithium pg/L NE --- --- --- 5 6 48 Feb-95 Magnesium mg/L NE 1 14 13 1 14 15 1 - 45 Manganese pg/L 50 253 298 519 395 448 548 7- 9,170 Mercury pg/L 1 0.2 0.2 0.05 0.05 0.2 0.2 0.05 - 0.5 Methane pg/L NE 12 2,256 10 273 2,505 42 1- 2,505 Molybdenum pg/L NE 3 1 11 10 1 17 0.5 - 26 Nickel pg/L 100 3 5 5 5 5 6 0.9 - 48 Nitrate + Nitrite mg-N/L NE 1 0.3 1 1 1 1 0.02 -6 Potassium mg/L NE 4 4 7 5 4 11 2- 19 Selenium pg/L 20 1 1 1 1 1 2 0.5- 2 Sodium mg/L NE 5 53 73 8 53 117 6 - 190 Strontium pg/L NE 25 391 418 27 390 418 27 - 2,120 Sulfate mg/L 250 2 8 18 3 8 130 1- 510 Sulfide mg/L NE 0.1 0.1 0.1 0.1 0.1 0.2 0.1- 2.0 TDS mg/L S00 85 430 340 130 430 470 50- 1,200 Thallium pg/L 0.2* 0.2 0.2 0.2 0.2 0.2 0.2 0.1 -0.2 TOC mg/L NE 2 2 1 8 2 1 1- 12 Total Radium pCi/L 5^ 4 9 8 2 35 5 0.5- 35 Total Uranium pg/mL 0.03^ 0.0004 0.0010 0.0020 0.0002 0.0010 0.0026 0.0002 - 0.8640 Vanadium pg/L 0.3* 1.0 5.9 5.7 2.8 5.8 4.4 0.3 - 25.8 Zinc pg/L 1,000 227 12 37 140 15 35 5 - 140 Prepared by: JHG Checked by: SRW/PWA Notes: 2017 background threshold values (BTVs) approved by North Carolina Department of Environmental Quality (NCDEQ) on May 14, 2018. Background threshold values have been rounded to similar levels of precision as 15A North Carolina Administrative Code (NCAC) 02L Standard or Interim Maximum Allowable Concentration (IMAC). ' - BNs were calculated using data from background groundwater samples collected July 2011 to March 2017. 2 - Updated BNs were calculated using data from background groundwater samples collected April 2010 to December 2018. 3 - Piedmont background threshold value ranges include the Duke Energy calculated 2017' and 2019' background threshold values from 10 Duke Energy facilities located in the Piedmont physiographic region (Allen Steam Stations, Belews Creek Steam Stations, Buck Steam Station , Cape Fear Steam Electric Plant, Cliffside Steam Stations, Dan River Steam Station', Marshall Steam Stations, Mayo Steam Electric Plants, Riverbend Steam Station , and Roxboro Steam Electric Plants). --- - BTV was not calculated for constituent. * - Interim Maximum Allowable Concentration (IMAC) of the 15A NCAC 02L Standard, Appendix 1, April 1, 2013. ^ - Federal Maximum Contaminant Level (MCL) pg/L - micrograms per liter pg/mL - micrograms per milliliter mg/L - milligrams per liter mg-CaCOs/L - milligrams calcium carbonate per liter mg-N/L - milligrams nitrogen per liter NE - not established pCi/L - picocuries per liter S.U. - standard units TDS - total dissolved solids TOC - total organic carbon Page 1 of 1 TABLE 4-4 BACKGROUND DATASET RANGES FOR SURFACE WATER CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT DUKE ENERGY PROGRESS, LLC, ROXBORO, NC Constituent Reporting Unit Comparison Criteria Background Range Constituents with iSA NCAC 02B (Class B, C, Water Supply: WS-V)1 Standards pH S.U. 6.0-9.0 6.4 - 7.8 Dissolved Oxygen mg/L >_ 4 1.6 - 10.5 Temperature deg C <_ 32 6.4 - 25.3 Turbidity (Streams) NTU <_ 50 2.9 - 45.2 Arsenic pg/L 10 0.336 j - <1 Arsenic (Dissolved) pg/L acute: 340, chronic: 150 0.526 j - <1 Barium pg/L 1000 22 - 73 Beryllium (Dissolved) pg/L acute: 65, chronic: 6.5 <1 Cadmium (Dissolved )2 pg/L acute: 0.82, chronic: 0.15 <0.1 - <1 Chloride mg/L 230 4.2 - 27 Chromium (III) (Dissolved)z,3 Ng/L acute: 183, chronic: 24 0.900 - <0.975 Chromium (VI) (Dissolved) pg/L acute: 16, chronic: 11 <0.025 - 0.9 Copper (Dissolved )2 pg/L acute: 3.6, chronic: 2.7 0.587 j - 3.8 Fluoride mg/L 1.8 0.0757 j - 0.2 Lead (Dissolved )2 pg/L acute: 14, chronic: 0.54 <1 Mercury pg/L chronic: 0.012 0.0008 - 0.019 j Nickel pg/L 25 0.34 j - 1.2 Nickel (Dissolved )2 pg/L acute:140, chronic: 16 0.342 j - <1 Nitrate + Nitrite mg-N/L 10 0.0035 j - 1.1 Selenium pg/L chronic: 5 <1 Silver (Dissolved )2 pg/L acute: 0.3, chronic: 0.06 <0.3 Sulfate mg/L 250 1.2 - 14 Thallium pg/L 2 0.082 j - <0.2 Total Dissolved Solids mg/L 500 55 - 180 Total Hardness mg/L 100 22.4 - 123 Zinc (Dissolved )2 ug/L acute: 36, chronic: 36 2.178 j - 27 Constituents with USEPA National Recommended Water Quality Criteria Alkalinity mg/L chronic: 20 13.5 - 115 Aluminum pg/L acute: 620, chronic: 300 32 - 3,050 Antimony pg/L 5.6 <1 Iron pg/L 1000 165 B1 - 4,600 Manganese pg/L 100 10 - 1,180 Constituents without 02B or USEPA Criteria Bicarbonate mg-CaCO3/L NE 13.5 - 115 Boron pg/L NE 21.042 j - <50 Cadmium pg/L NE 0.056 j - <1 Calcium mg/L NE 4.34 - 25.2 Carbonate Alkalinity mg-CaCO3/L NE <5 - <20 Chromium pg/L NE 0.422 j - 1.87 Chromium (VI) pg/L NE <0.025 - 0.94 Cobalt pg/L NE 0.383 j - 4.72 Copper pg/L NE 0.731 j - 3.3 Lead pg/L NE <0.2 - <1 Lithium pg/L NE <5 Magnesium mg/L NE 2.26 - 14.6 Methane pg/L NE <10 - 140 Molybdenum pg/L NE 0.092 j - 2.1 Page 1 of 2 TABLE 4-4 BACKGROUND DATASET RANGES FOR SURFACE WATER CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT DUKE ENERGY PROGRESS, LLC, ROXBORO, NC Constituent Reporting Unit Comparison Criteria Background Range Potassium mg/L NE 1.17 - 8.06 Sodium mg/L NE 5.48 - 18.1 Strontium pg/L NE 36 - 205 Sulfide mg/L NE <0.1 - <0.5 Total Organic Carbon mg/L NE 2.4 - 7.6 Total Radium pCi/L NE <1 Total Uranium pg/mL NE <0.00005 Vanadium pg/L NE 0.649 - 5.71 Zinc pg/L NE 2.149 j, B1 - 25 Prepared by: PWA Checked by: ENK Notes: Background ranges represent data collected from August 2014 to May 2018 Background locations, which were part of the evaluation of potential groundwater to surface water impacts, were approved by North Carolina Department of Environmental Quality (NCDEQ). ' 15A NCAC 02B .0101 Class B (Recreation)- Freshwaters protected for primary recreation which includes swimming on a frequent or organized basis and all Class C uses. ' 15A NCAC 02B .0101 Class C (Aquatic Life) = Freshwaters protected for secondary recreation, fishing, aquatic life including propagation and survival and wildlife. All samples collected from Bowes Branch (SW-BB1 and SW-BB2) are subject to Class C water quality standards. ' 15A NCAC 02B .0101 WS-V (Water Supply) = Waters protected as water supplies which are generally upstream of and draining to Class WS-IV waters. Suitable for all Class C uses. Based on sample location, samples SW-REF1 and SW-REF2 are subject to WS-V water quality standards. z Standard value dependent on hardness. Calculated hardness dependent metal standards represent most conservative value. Standards are calculated using 25 mg/L hardness, regardless if actual instream hardness values are greater than 25 mg/L. 3 Chromium speciation is not performed for trivalent chromium (Cr(III)). Trivalent values are derived by subtracting hexavalent chromium values from dissolved chromium values. Where a dissolved chromium value is less than the detection limit ("<"), it is considered a whole number for purposes of deriving a trivalent chromium value. Acute - "Compliance with acute instream metals standards shall only be evaluated using an average of two or more samples collected with one hour." Reference 15A NCAC 02B .0211 Chronic - "Compliance with chronic instream metals standards shall only be evaluated using averages of a minimum of four samples taken on consecutive days, or as a 96-hor average." Reference 15A NCAC 02B .0211 < - concentration not detected at or above the adjusted detection limit. B1 - Target analyte detected in method blank at or above the reporting limit. Target analyte concentration in sample was greater than 1OX the concentration in the method blank. Analyte concentration in sample is not affected by blank contamination. deg C - degrees Celsius j - Estimated concentration above the adjusted method detection limit and below the adjusted reporting limit. Ng/L - micrograms per liter Ng/mL - micrograms per milliliter mg/L - milligrams per liter mg-CaCO3/L - milligrams calcium carbonate per liter mg-N/L - milligram nitrogen per liter NE - not established NTU- Nephelometric Turbidity Unit pCi/L - picocuries per liter S.U. - standard unit Page 2 of 2 TABLE 4-5 BACKGROUND DATASET RANGES FOR SEDIMENT CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT DUKE ENERGY PROGRESS, LLC, ROXBORO, NC Constituent Reporting Unit Background Range pH S.U. 6.4 - 6.8 Aluminum mg/kg 2,610 - 13,000 Antimony mg/kg <0.54 - <9.9 Arsenic mg/kg 0.85 j - <9.9 Barium mg/kg 23.7 - 140 Beryllium mg/kg 0.18 j - 0.76 Boron mg/kg <2.9 - <24.7 Cadmium mg/kg 0.044 j - <1.2 Calcium mg/kg 335 - 2,100 Chloride mg/kg <13 - <517 Chromium mg/kg 13 B -100 B Chromium (III) mg/kg NA Cobalt mg/kg 3.9 - 24 Copper mg/kg 1.9 - 44 Iron mg/kg 7,100 - 55,000 Lead mg/kg 3.7 j - 11 Magnesium mg/kg 410 - 3,500 Manganese mg/kg 122 - 2,600 Mercury mg/kg 0.0096 j - <0.16 Molybdenum mg/kg 0.75 j - <4.9 Nickel mg/kg 2.4 - 9 Nitrate (as N) mg/kg <0.26 - <51.7 Nitrate mg/kg <0.26 - <51.7 Potassium mg/kg 340 - 2,500 Selenium mg/kg 0.65 j - <9.9 Silver mg/kg 0.31 j - <1.3 Sodium mg/kg <280 - <495 Strontium mg/kg 3.2 j - 22 Sulfate mg/kg <13 - <333 Sulfide mg/kg <18.7 j - 47.8 Thallium mg/kg 0.035 j - <9.9 Total Organic Carbon mg/kg 3,100 - 57,200 Vanadium mg/kg 15.1 - 150 Zinc mg/kg 14 - 174 Prepared by: TAH Checked by: ENK Notes• Background ranges represent data collected from May 2015 to May 2018 Background locations, which were part of the evaluation of potential groundwater to surface water impacts, were approved by North Carolina Department of Environmental Quality (NCDEQ). < - concentration not detected at or above the adjusted reporting limit. B - Target analyte detected in method blank at or above the reporting limit. Target analyte concentration in sample is less than 1OX the concentration in the method blank. Analyte concentration in sample could be due to blank contamination. j - Estimated concentration above the adjusted method detection limit and below the adjusted reporting limit. mg/kg - milligrams per kilogram NA - not available S.U. - standard unit Page 1 of 1 TABLE 5-1 APRIL 2019 WATER LEVEL MEASUREMENTS AND ELEVATIONS CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT DUKE ENERGY PROGRESS, LLC, ROXBORO NC Well ID Top of Casing (ft NAVD 88) Top of Screen Elevation (ft NAVD 88) Bottom of Screen Elevation (ft NAVD 88) April 2019 Measured Water Level (ft BTOC) 1 April evy Water Elevation (ft NAVD 88) Monitoring Flow Zone ABMW-01 483.81 478.7 468.2 2.50 481.31 Ash ABMW-02 493.90 456.6 451.4 10.51 483.39 Ash ABMW-02BR 493.85 396.2 386.2 10.83 483.02 Bedrock ABMW-02BRL 493.97 335.4 325.4 11.37 482.60 Bedrock ABMW-03 500.17 461.9 456.7 16.84 483.33 Ash ABMW-03S 500.30 447.1 437.1 16.95 483.35 Saprolite ABMW-04X 492.37 441.2 436.2 6.63 485.74 Ash ABMW-04BR 491.61 389.6 380.1 5.96 485.65 Bedrock ABMW-04D 491.50 430.9 425.7 6.02 485.48 Transition Zone AP-06` 488.76 411.4 421.4 6.42 482.34 Ash AP-06-LI52 489.18 415.7 420.7 6.97 482.21 Ash AP-06-1-302 489.18 415.6 420.6 7.03 482.15 Ash AP-06-M152 489.51 440.8 445.8 7.23 482.28 Ash AP-06-M302 489.04 439.5 444.5 6.99 482.05 Ash AP-06-U152 489.52 463.1 468.1 7.30 482.22 Ash AP-06-U302 489.46 463.1 468.1 7.37 482.09 Ash BG-01 540.11 494.9 484.9 23.99 516.12 Bedrock BG-02 542.66 513.8 494.3 30.09 512.57 Transition Zone CCR-101D-BG 521.90 510.7 505.7 10.11 511.79 Transition Zone CCR-101S-BG 519.91 490.8 485.8 20.16 499.75 Surficial (Saprolite) CCR-102BR-BG 531.03 467.9 457.9 21.34 509.69 Bedrock CCR-103BR 489.36 421.9 411.9 13.78 475.58 Bedrock CCR-103D 488.91 442.4 432.4 14.45 474.46 Transition Zone CCR-103S 489.05 465.9 455.9 14.50 474.55 Surficial (Saprolite) CCR-104BR 409.00 368.8 358.8 0.00 409.00 Bedrock CCR-1045 408.85 402.1 397.1 3.90 404.95 Surficial (Saprolite/ Alluvium) CCR-105BR 391.46 354.1 344.1 10.44 381.02 Bedrock CCR-105D 391.18 369.3 364.3 8.95 382.23 Transition Zone CCR-105S 391.07 380.0 375.0 9.77 381.30 Surficial (Saprolite) CCR-106BR 383.13 349.0 339.0 6.90 376.23 Bedrock CCR-107BR 441.22 416.0 406.0 3.85 437.37 Bedrock CCR-108BR 487.41 438.9 428.9 11.06 476.35 Bedrock CCR-109BR 406.41 352.8 337.8 7.91 398.50 Bedrock CPA-113R 518.75 450.7 440.7 23.40 495.35 Bedrock CPA-11) 518.15 485.9 475.9 24.60 493.55 Transition Zone CPA-2BR 524.00 471.2 461.2 24.15 499.85 Bedrock CPA-21) 524.04 497.4 487.4 23.76 500.28 Transition Zone CPA-3BR 520.74 442.7 432.7 7.91 512.83 Bedrock CPA-31) 520.80 502.9 492.9 6.97 513.83 Transition Zone CPA-4BR 540.68 OH OH 118.80 421.88 Bedrock CPA-41) 540.48 511.5 501.5 19.34 521.14 Transition Zone CPA-5BR 535.16 446.5 431.5 12.53 522.63 Bedrock CPA-51) 534.83 481.4 471.4 11.49 523.34 Transition Zone CPA-5S 534.67 511.8 496.8 10.70 523.97 Surficial (Saprolite) CPA-6BR 521.19 OH OH 33.74 487.45 Bedrock CPA-7BR 519.20 OH OH 51.11 468.09 Bedrock CPA-71) 519.12 495.6 485.6 13.84 505.28 Transition Zone CW-01 489.88 470.6 461.1 15.91 473.97 Transition Zone CW-01D 490.96 457.1 447.3 17.36 473.60 Bedrock CW-02 389.00 378.3 368.5 12.38 376.62 Transition Zone CW-02D 389.53 340.8 331.0 15.80 373.73 Bedrock CW-03 437.68 417.7 402.9 14.23 423.45 Transition Zone CW-04 451.31 413.3 408.5 19.80 431.51 Bedrock CW-05 509.60 470.4 465.6 3.67 505.93 Bedrock CW-06 462.83 387.1 382.3 9.51 453.32 Bedrock DEP-1 517.91 OH OH 9.59 508.32 Bedrock DEP-2 562.01 OH OH 12.64 549.37 Bedrock DEP-3 539.29 OH OH 2O.53 518.76 Bedrock FGD-0113R 484.69 346.5 326.5 21.23 463.46 Bedrock Page 1 of 3 TABLE 5-1 APRIL 2019 WATER LEVEL MEASUREMENTS AND ELEVATIONS CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT DUKE ENERGY PROGRESS, LLC, ROXBORO NC Well ID Top of Casing (ft NAVD 88) Top of Screen Elevation (ft NAVD 88) Bottom of Screen Elevation (ft NAVD 88) April 2019 Measured Water Level (ft BTOC) 1 April 2019 Water Elevation (ft NAVD 88) Monitoring Flow Zone FGD-01D 484.48 451.0 441.0 22.33 462.15 Transition Zone FGD-02BR 487.33 298.2 288.2 38.96 448.37 Bedrock FGD-02D 486.97 448.4 438.4 24.17 462.80 Transition Zone FGD-03BR 485.93 346.0 326.0 23.41 462.52 Bedrock FGD-03D 486.29 442.8 432.8 22.37 463.92 Transition Zone FGD-04BR 487.66 309.1 299.1 25.36 462.30 Bedrock FGD-05BR 475.79 384.3 369.3 33.13 442.66 Bedrock FGD-05D 475.91 419.4 404.4 33.42 442.49 Transition Zone FGD-06BR 479.02 385.9 375.9 33.21 445.81 Bedrock FGD-06D 479.07 447.7 437.7 30.73 448.34 Transition Zone FGD-07BR 483.19 388.8 373.8 27.52 455.67 Bedrock FGD-07D 483.25 424.4 414.4 26.93 456.32 Transition Zone FGD-07S 483.23 444.6 434.6 27.84 455.39 Surficial (Saprolite) FGD-08BR 510.22 271.6 256.6 49.42 460.80 Bedrock FGD-09BR 509.62 358.3 343.3 48.49 461.13 Bedrock FGD-10BR 510.02 400.7 385.7 45.48 464.54 Bedrock FGD-11BR 470.55 324.5 309.5 28.54 442.01 Bedrock FGD-11D 470.42 411.2 396.2 29.91 440.51 Transition Zone FGD-12BR 463.08 351.6 336.6 25.93 437.15 Bedrock FGD-12D 461.85 401.8 386.8 26.16 435.69 Transition Zone FGD-13BR 450.62 308.1 293.1 13.68 436.94 Bedrock FGD-13D 450.03 385.3 370.3 14.49 435.54 Transition Zone FGD-14BR 455.44 271.0 256.0 0.00 455.44 Bedrock LRB-01 503.16 471.8 461.8 1.26 501.90 Bedrock LRB-02 496.38 444.8 434.8 14.00 482.38 Bedrock LRB-03 553.36 501.3 491.3 37.44 515.92 Transition Zone MW-02 461.23 421.1 411.1 24.95 436.28 Bedrock MW-03 384.30 374.1 364.1 6.33 377.97 Alluvium M W-03BR 438.24 367.1 361.9 14.16 424.08 Bedrock M W-04 522.77 483.7 463.7 26.66 496.11 Bedrock M W-05BR 511.40 450.7 445.7 4.76 506.64 Bedrock M W-06BR 463.99 373.7 363.7 10.60 453.39 Bedrock MW-08BR 466.99 405.1 399.9 33.10 433.89 Bedrock MW-08D 466.89 433.8 428.6 33.08 433.81 Transition Zone MW-08S 466.87 441.7 436.7 29.84 437.03 Saprolite M W-09BR 495.39 444.8 434.8 20.87 474.52 Bedrock MW-09BRL 498.56 435.0 425.1 23.11 475.45 Bedrock M W-10BR 513.39 465.8 455.8 11.58 501.81 Bedrock M W-11BR 527.36 438.7 428.6 34.39 492.97 Bedrock MW-12D 588.02 501.5 491.5 27.91 560.11 Transition Zone MW-12S 587.38 547.0 537.0 28.08 559.30 Saprolite M W-13BR 528.83 438.0 428.1 27.10 501.73 Bedrock M W-14BR 520.75 488.9 483.9 16.03 504.72 Bedrock M W-15BR 460.92 408.3 398.3 57.58 403.34 Bedrock M W-16BR 371.30 319.3 309.0 4.72 366.58 Bedrock MW-16D 371.21 340.0 329.8 4.40 366.81 Transition Zone MW-16S 371.11 363.2 360.5 4.96 366.15 Alluvium M W-17BR 490.55 377.1 367.1 29.20 461.35 Bedrock M W-18BR 516.78 418.1 403.1 11.47 505.31 Bedrock MW-18D 516.71 475.1 464.8 11.92 504.79 Transition Zone M W-19BR 495.94 408.8 398.8 6.73 489.21 Bedrock MW-19D 495.81 449.4 438.8 4.12 491.69 Transition Zone M W-103BRL 491.88 152.5 137.5 15.12 476.76 Bedrock MW-103BRM 490.46 262.6 247.6 25.25 465.21 Bedrock MW-104BRL3 410.08 172.0 157.0 NM NM Bedrock MW-104BRM3 410.23 242.0 227.0 NM NM Bedrock M W-105BRL 391.35 153.1 138.1 40.80 350.55 Bedrock MW-105BRM 1 391.14 1 282.4 1 267.4 1 0.05 1 391.09 1 Bedrock M W-107BRL 1 443.32 1 152.5 1 137.5 1 18.90 1 424.42 1 Bedrock Page 2 of 3 TABLE 5-1 APRIL 2019 WATER LEVEL MEASUREMENTS AND ELEVATIONS CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT DUKE ENERGY PROGRESS, LLC, ROXBORO NC Well ID Top of Casing (ft NAVD 88) Top of Screen Elevation (ft NAVD 88) Bottom of Screen Elevation (ft NAVD 88) April 2019 Measured Water Level (ft BTOC) 1 April 2019 Water Elevation (ft NAVD 88) Monitoring Flow Zone MW-107BRM 441.55 260.7 245.7 39.97 401.58 Bedrock P-01 475.86 UNK UNK 32.75 443.11 Earthen Dam P-01A 475.00 UNK UNK 36.04 438.96 Earthen Dam P-02 458.65 UNK UNK 43.92 414.73 Earthen Dam P-02A 458.62 UNK UNK 17.25 441.37 Earthen Dam P-03 446.99 UNK UNK 51.15 395.84 Earthen Dam P-03A 445.69 UNK UNK 46.07 399.62 Earthen Dam P-04 454.57 UNK UNK 39.79 414.78 Earthen Dam P-04A 454.99 UNK UNK 36.88 418.11 Earthen Dam Notes: * - Abandoned sampling location ' - Manual water levels collected on April 1-2, 2019 1 - Installed in 2018, not sampled 3 - Artesian conditions present BTOC - below top of casing ft - feet NAVD 88 - North American Vertical Datum of 1988 NM - Not Measured OH - Open hole bedrock (no screen) UNK - Unknown See Figures 5-4a through 5-4c for graphical representation of data. Prepared by: PWA Checked by: GRK Page 3 of 3 TABLE 5-2 GROUNDWATER BALANCES SUMMARY CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT DUKE ENERGY CAROLINAS, LLC, ROXBORO, NC Pre- Post- Closure- Modeling Scenario Closure -by -Excavation Decanting Decanting in -Place c .. .. c .. .. c .. .. c .. .. Water Balance -E o� -E of -E of -E of Components 3 Q o o, 3 a o m 3 Q o o, 3 a o m 3 0- o o, 3 a o m 3 0- o o, 3 CL o m LL - � �- � LL - Direct recharge to the 13 29 53 ash basin Direct recharge to the watershed outside of 129 134 137 126 the ash basin Ash basin pond 62 Drainage inside the 4 106 81 131 ash basin' Drainage outside of the 63 50 48 46 ash basin Flow through and under 18 7 8 1 the dam Prepared by: PWA Checked by: RY Notes: ' Drainage includes streams, seeps, ditch, channel, canal, etc. Drainage streams included are depending on the scenario, for example, the pre -decanting scenario includes streams present prior to closure and closure -by excavation includes streams that potentially re-form within the excavated ash basin footprint after closure -by -excavation. Flow in refers to recharge to the groundwater system Flow out refers to discharge from the groundwater system gpm - gallons per minute Page 1 of 1 TABLE 5-3 SURFACE WATER CLASSIFICATION CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT DUKE ENERGY PROGRESS, LLC, ROXBORO, NC Adjacent Surface Water Body Surface Water Classification (15A NCAC 02B .0300) Mayo Reservoir WS-V Crutchfield Branch B Bowes Branch C Prepared by: JAW Checked by: PWA Notes: 1. Class B waters are protected for primary recreation, which includes swimming on a frequent or organized basis and all Class C uses. 2. Class C waters are protected for secondary recreation, fishing, wildlife, fish consumption, aquatic life, agriculture, and other uses suitable for Class C. 3. Class WS-V waters are generally upstream of Class WS-IV waters or waters currently or formerly used by industry for water supply. These waters are also protected for Class C uses. NCAC - North Carolina Administrative Code WS - Water Supply Page 1 of 1 TABLE 6-1 BORON CONCENTRATIONS IN GROUNDWATER BELOW SOURCE AREA CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT DUKE ENERGY PROGRESS, LLC, ROXBORO, NC Boron Boron Number Concentration Concentration Well Beneath Ash of Sample Time Period Range in Range in (Flow Zone) Events of Record Groundwater Overlying Pore (pg/L) Water (pg/L) ABMW-2BR (bedrock) 14 06/2015 - 04/2019 < 50 1 7,980 - 9,200 (� 40' saturated ABMW-2BRL 14 02/2016 - < 501 ash) (bedrock) 04/2019 1,740 - 2,010 ABMW-3S (surficial) 14 04/2014/2019 0 - 1,100 - 1,340 40' saturated ash) ABMW-4D (transition zone) 14 06/2015 - 04/2019 3,040 - 5,090 4,930 - 6,520 (� 60' saturated ABMW-4BR 14 06/2015 - < 501 ash) (bedrock) 04/2019 Prepared by: PWA Checked by: JAW Notes: < — Concentration not detected at or above the adjusted reporting limit. 1 — Concentrations have not been detected at or above the adjusted reporting limit across all sampling events pg/L — micrograms per liter Page 1 of 1 TABLE 6-2 SOURCE AREA INTERIM ACTIONS CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT DUKE ENERGY PROGRESS, LLC, ROXBORO, NC Groundwater and Surface Water Rationale Remedy Component Decanting will lower the hydraulic head within the ash basin, reduce hydraulic gradients and groundwater seepage velocities in and under the Ash Basin ash basin dam, and further limit constituent transport potential. Decanting Decanting will return the groundwater flow system to its approximate condition, prior to construction of the ash basin, with the re- establishment of groundwater flowing toward the historic stream valley and then north. Toe Drain A collection system to capture flow from the ash basin dam engineered Collection System toe drains and route flow back to the ash was installed and is in operation. Source Area Modifications including vegetation removal and regrading/compaction Stabilization and ash basin forebay equalization pipe improvements were completed to mitigate potential future erosion and improve dam site conditions. Prepared by: PWA Checked by: JAW Page 1 of 1 TABLE 6-3 SOIL PSRG POG STANDARD EQUATION PARAMETERS AND VALUES CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT DUKE ENERGY PROGRESS, LLC, ROXBORO, NC Csoil = Cgw [Kd + (Ow + eaH�)/Pb]df Inorganic Parameter Definition Default Values Units Parameters CSo;i Calculated source concentrations for soil NA mg/kg C9"' Applicable groundwater target 15A NCAC 02L mg/L concentration: 15A NCAC 02L Standard Standard df Dilution factor 201 unitless Kd Soil -water partition coefficient for Constituent Specific4 L/kg inorganics (range) Ow Water -filled soil porosity - vadose soils 0.32 Lwater/Lsoi, Oa Air filled soil porosity - vadose soils 0.133 Lair/LSoii Pb dry bulk density 1.62 kg/L Henry's law constant -dimensionless H' where: H' = Henry's law constant (atm - Constituent Specific3,5 unitless m3/mole) x conversion factor of 41 Prepared by: PWA Checked by: LWD Notes: 1 - Default value from Soil Screening Guidance: Technical Background Document (USEPA, 1996) z - Site specific value (Murdoch et al., 2019). Effective porosity represents unconsolidated material. 3 - DEQ default value appropriate for North Carolina 4 - Constituent Specific- Soil water partition coefficients (Kd) were obtained from the Groundwater Quality Signatures for Assessing Potential Impacts from Coal Combustion Product Leachate (EPRI, 2012). Sulfate Kd ranges from 0.1 to 2.1, based on sands/sediments and a pH range of 4.6 to 7.2 5 - a value of 0 is used for sulfate NA - Not applicable NCAC - North Carolina Administrative Code mg/kg - milligrams per kilogram mg/L - milligrams per liter L/kg - liters per kilogram Lwater/Lsoii - volume of water filled spaces per volume of soil Lair/Lsoi, - volume of air filled spaces per volume of soil kg/ - kilogram per liter Page 1 of 1 TABLE 6-4 SUMMARY OF UNSATURATED SOIL ANALYTICAL RESULTS CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT DUKE ENERGY PROGRESS, LLC, ROXBORO, NC Analytical Parameter pH Arsenic Barium Boron Chromium* Cobalt Iron Manganese Molybdenum Strontium Sulfate Vanadium Reporting Units S.U. mg/kg mg/kg mg/kg mg/kg mg/kg mg/kg mg/kg mg/kg mg/kg mg/kg mg/kg PSRG Protection of Groundwater NE 5.8 580 45 3.8 0.9 150 65 7.1 1500 1438^ 350 2018 Background Threshold Values' 5.2-7.6 4.5 616 13 77 44.2 82,634 1,894 4.5 69 14 188 2019 Background Threshold Valuesz 4.7-8.3 3.9 598 16 440 82.0 85,345 2,985 12.0 95 362 207 Sample ID Sample Collection Date Analytical Results BGSB-02 (4-5) 07/18/2017 6.1 0.49 j,B 55 M <2.5 M 3.3 M 6.1 16,000 M 190 <2 M 4.8 <12 36 BGSB-02 (9-10) 07/18/2017 6.3 0.53 B 80 <2.7 34 8.8 15,000 210 lj 10 <11 42 BGSB-02 (14-15) 07/18/2017 6.2 0.55 B 34 <2.8 1.4 3.5 7,900 120 <2.2 10 <11 15 BGSB-03 (4-5) 07/18/2017 6.2 0.58 B 140 <13 36 21 43,000 570 <10 30 <11 100 BGSB-03 (8-9) 07/18/2017 7.0 0.34 j,13 150 <12 1.3 j 16 25,000 770 <9.8 28 <11 13 BGSB-04 (4-5) 07/18/2017 6.8 1.6 B 69 <3.2 12 17 27,000 120 0.81j 8.9 <13 94 BGSB-04 (9-10) 07/18/2017 6.6 0.6 B 210 <3.1 3.4 24 22,000 310 <4.9 17 <13 69 BGSB-04 (14-15) 07/18/2017 6.7 0.58 j,6 270 <3.2 10 24 42,000 130 <2.6 49 <14 160 BGSB-05 (4-5) 07/18/2017 6.2 2.6 B 41 <2.9 40 17 27,000 240 1 j 9.8 <12 130 BGSB-05(9-10) 07/18/2017 5.8 2 B 53 <5.3 20 12 36,000 280 1.2j 10 <12 120 BGSB-05 (14-15) 07/18/2017 7.7 0.34 j,13 250 <5.7 6.1 38 31,000 1,200 <4.5 54 <13 110 BGSB-08 (4-5) 07/18/2017 7.7 0.34 j,13 120 <2.6 4.6 4.7 11,000 200 0.6 j 46 <11 30 BGSB-08 (8-9) 07/18/2017 7.1 0.33 j,13 83 <4.2 630 24 25,000 410 0.53 j 19 <11 45 BGSB-09 (4-5) 07/18/2017 6.8 3.5 B 350 <5.8 61 81 46,000 450 <12 60 <12 140 BGSB-09 (9-10) 07/18/2017 6.7 1.8 B 520 <13 440 37 69,000 2,900 <10 69 <12 110 BGSB-09 (14-15) 07/18/2017 6.8 1.6 B 490 <13 70 34 69,000 3,100 1.9 j 38 <11 170 MW-03BR (0.8-1.2) 02/05/2015 5.0 <3 57.6 <3 11.3 5.4 8,480 327 <6 5.4 <299 16 MW-03BR (14.75-15) 02/05/2015 8.4 <2.5 74.4 <25.4 1.5 j 4.3 7,750 468 <5.1 9.6 <255 7.6 MW-07BR (1-2) 04/23/2015 5.6 <5.1 21.5 <12.8 4.1 <5.1 7,320 28 <2.6 2 j <257 12.8 MW-08BR (0.75-1.25) 02/11/2015 6.0 <3.2 147 <63.4 62.2 21.3 24,700 1,230 <12.7 13.2 <309 50.6 MW-08BR(25.5-26) 02/11/2015 7.4 <2.7 193 31j 419 32.9 31,300 933 <10.9 33.6 <272 75.8 MW-10BR (0.75-1.0) 02/23/2015 6.3 1.4 81.8 13.6 j 41.9 12.4 18,600 527 < 0.57 9.4 NA 35.1 MW-11BR (0-2) 04/14/2015 5.2 <7.5 43.1 <18.8 22.6 6.4 j 52,900 53 <3.8 18.6 <354 208 MW-11BR (30-32) 04/15/2015 7.4 <5.3 179 <13.1 2.3 40.9 44,000 212 <2.6 23.7 <257 191 MW-12D (1-2) 04/26/2015 4.9 3.6j 19.6 27.4 43.6 <6 31,200 22 <3 <3 <302 61 MW-12D (25-26) 04/27/2015 5.9 <6 67.4 9.8j 3.2 6 11,900 395 <3 <3 <301 8.2 MW-13BR (0-2) 04/12/2015 4.9 <6.5 72.9 <16.3 6.1 <6.5 19,600 83 0.42 j 1.8 <334 32.4 MW-15BR (0.5-1) 05/09/2015 5.2 <6.2 64.6 <15.5 10.4 3.9 j 15,600 108 <3.1 11.2 <305 27.1 PSB-01 04/08/2019 4.7 3.9 110 <3.4 29 9.6 19,000 150 3.5 15 330 57 PSB-02 04/08/2019 4.9 0.71 j 110 <3.7 9.8 7.9 19,000 320 <2.9 21 63 36 PSB-03 04/08/2019 6.3 0.38j 120 <3 35 11 22,000 490 <2.4 35 15 40 PSB-04 04/08/2019 5.5 0.87 72 <3 8.8 4.7 24,000 320 <2.4 18 15 38 PSB-05 04/09/2019 5.0 0.91 200 <6 65 17 37,000 350 <2.4 40 69 81 PSB-06 04/09/2019 4.7 0.74 34 <3 11 1.7 20,000 56 <2.4 8.1 100 28 PSB-07 04/09/2019 5.5 1.1 72 <2.7 6.4 6.8 22,000 260 <2.2 31 63 34 PSB-08 04/09/2019 5.3 1.3 73 <3 12 5 20,000 300 <2.4 9.7 6.7j 40 PSB-09 04/09/2019 7.3 0.49j 50 <2.9 3.6 1.6 13,000 84 <2.4 16 <12 18 PSB-10 04/09/2019 4.9 3.5 88 <3.1 14 3.9 30,000 160 1.9j 12 90 52 PSB-11 04/09/2019 5.4 1.3 64 <2.6 13 10 13,000 710 <2.1 7.6 <12 22 PSB-12 04/09/2019 4.8 1 84 <3 6.2 8.4 15,000 210 <2.4 12 14 15 PSB-13 04/09/2019 4.9 1.5 120 <2.8 8.3 5 21,000 200 <2.3 15 62 31 PSB-14 04/09/2019 5.6 <0.58 48 <2.9 1.6 3 15,000 250 <2.3 9.4 16 22 PSB-15 04/09/2019 5.3 0.48j 49 <2.6 7.5 4.4 7,100 130 <2.1 12 15 16 PSB-16 04/09/2019 5.8 0.8 75 <2.8 6.3 5.8 20,000 480 <2.3 38 130 29 PSB-17 04/09/2019 5.3 1 120 <2.9 6.8 7.3 18,000 280 <2.3 24 52 23 PSB-18 04/09/2019 6.4 0.26j 110 <2.6 66 9.5 18,000 600 <2.1 18 <12 41 PSB-19 04/09/2019 5.1 1.7 84 <3.1 60 7.7 30,000 190 <2.5 14 8.9j 59 PSB-20 04/09/2019 6.2 0.58 j 380 <3 57 22 27,000 2,100 <2.4 28 56 59 Page 1 of 2 TABLE 6-4 SUMMARY OF UNSATURATED SOIL ANALYTICAL RESULTS CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT DUKE ENERGY PROGRESS, LLC, ROXBORO, NC Analytical Parameter pH Arsenic Barium Boron Chromium* Cobalt Iron Manganese Molybdenum Strontium Sulfate Vanadium Reporting Units S.U. mg/kg mg/kg mg/kg mg/kg mg/kg mg/kg mg/kg mg/kg mg/kg mg/kg mg/kg PSRG Protection of Groundwater NE 5.8 580 45 3.8 0.9 150 65 7.1 1500 1438^ 350 2018 Background Threshold Values' 5.2-7.6 4.5 616 13 77 44.2 82,634 1,894 4.5 69 14 188 2019 Background Threshold Values2 4.7-8.3 3.9 598 16 440 82.0 85,345 2,985 12.0 95 362 207 Sample ID Sample Collection Date Analytical Results PSB-21 04/09/2019 5.7 0.37j 26 <2.6 20 2.7 9,400 34 <2.1 4.5 68 14 PSB-22 04/09/2019 5.0 0.94 56 <2.7 50 5.6 18,000 150 <2.1 8.6 33 32 PSB-23 04/09/2019 5.1 1.7 91 <2.6 33 7.8 14,000 150 <2.1 8.6 62 35 PSB-24 04/08/2019 5.3 0.58 61 < 2.3 7.8 1.8 5,000 24 < 1.9 2.7 < 11 6.8 PSB-25 04/08/2019 5.4 0.25j 66 <2.6 10 6.7 12,000 370 <2.1 12 <12 22 PSB-26 04/08/2019 5.1 1 69 <2.9 19 6.3 17,000 370 <2.3 15 19 35 PSB-27 04/08/2019 4.9 1.3 78 <2.7 9.4 12 12,000 590 <2.2 11 14 22 PSB-28 04/08/2019 5.4 0.4j 44 <3.4 8.6 9.2 5800 M 110 M <2.7 10 M 210 18 PSB-29 04/08/2019 5.4 0.61 50 <3.1 16 4.6 8,200 210 <2.5 10 <14 17 PSB-30 04/08/2019 4.9 1.4 75 <2.9 14 3 13,000 120 <2.3 14 25 31 SB-01 (1-2) 03/04/2015 6.3 1.2j 50 9.6 15.7 3.7 12,400 104 <0.7 6 <362 28.3 SB-01 (13.5-14.5) 03/04/2015 5.5 1.2 j 62 <15.9 <1.6 8.9 8,490 678 <3.2 8.3 <312 17.8 SB-02 (0.5-2) 03/03/2015 5.3 1.9 66 16.3 j 12.9 6.4 18,300 365 < 0.8 4.3 < 392 44.8 SB-02 (11.0-12.5) 03/03/2015 6.0 1.5 31 7.8 10.8 1.6 10,300 69 0.89 1.1 <309 23.8 SB-03 (5-6) 03/04/2015 8.6 0.64j 55 5.7 20.7 4.9 8,070 348 1.1 11 <272 15 SB-03 (17-18.5) 03/04/2015 4.9 1.6 51 12.9 35.6 5.2 18,100 120 <0.75 4.4 <360 38.4 SB-05 (1-2) 03/04/2015 6.0 1.8 47 <17 <1.7 2.8 8,280 406 <3.4 4.2 <346 6.8 SB-05 (2.3-3.3) 03/04/2015 5.9 1.1 41 < 13.5 < 1.4 1.7 6,670 393 < 2.7 5.2 < 271 5.9 SB-05 (8-9) 03/04/2015 6.5 1 j 22 <13.7 <1.4 2.2 5,790 195 0.36 j 3.1 <272 4.8 SB-06 (1-2) 03/04/2015 5.9 1.2j 55 2.9j 0.74 2.5 3,920 192 <0.64 4.1 <309 2.7 SB-07 (1-2) 05/07/2015 5.1 < 5.8 69 <14.5 11.4 5.9 9,460 693 <2.9 5.7 <286 17.6 SB-07 (4.5-7.5) 05/07/2015 6.4 <6 16 <15 8.2 <6 6,040 226 <3 2.9 j <300 8.2 Notes: ' - Background threshold values were calculated using data from background groundwater samples collected February 2015 to July 2017. 2 - Background threshold values were calculated using data from background groundwater samples collected February 2015 to July 2017. 0 - Bold highlighted concentration indicates value is greater than applicable regulatory standard (PSRG POG). 0 - Bold highlighted concentration indicates value is greater than both background threshold value where there is no regulatory standard, or background threshold values are greater than regulatory standard. 0 - Highlighted concentration indicates value within range of background threshold values for constituents where there is no regulatory standard, or background threshold values are greater than regulatory standard. * - NC PSRG for POG is for hexavalent chromium, soil analytical is for total chromium. ^- Calculated PSRG for POG; Using NCDEQ IHSB Preliminary Soil Remediation Goals companion notes (February 2018). < - Concentration not detected at or above the adjusted reporting limit. B - Target analyte detected in method blank at or above the reporting limit. Target analyte concentration in sample is less than 1OX the concentration in the method blank. Analyte concentration in sample could be due to blank contamination. j - Estimated concentration above the adjusted method detection limit and below the adjusted reporting limit. M - Matrix spike / matrix spike dup failure. mg/kg - milligrams per kilograms NE - Not Established PSRG POG - Preliminary Soil Remediation Goals for the Protection of Groundwater (POG); NCDEQ Inactive Hazardous Sites Branch (IHSB) Preliminary Soil Remediation Goals table (February 2018) S.U. - Standard Unit Prepared by: PWA Checked by: GRK Page 2 of 2 TABLE 6-5 SEEP CORRECTIVE ACTION STRATEGY CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT DUKE ENERGY PROGRESS LLC, ROXBORO, NC Regulatory Approximate Average Seep ID Program General Location Present Flow Seep Corrective Action Strategy (cfs) Seep collection system in place and continuously operational. Flow collected and routed to NPDES Constructed toe drain (west toe drain) permitted wastewater treatment system. Basin source control measures (e.g., decanting, S-01 SOC to Crutchfield Branch 0.01 dewatering, basin closure) my cause changes in seep flow. No additional corrective action for this location is anticipated. Seep collection system in place and continuously operational. Flow collected and routed to NPDES S-02 SOC Constructed toe drain (east toe drain) 0.005 permitted wastewater treatment system. Basin source control measures (e.g., decanting, to Crutchfield Branch dewatering, basin closure) my cause changes in seep flow. No additional corrective action for this location is anticipated. Adjacent to east toe drain in rip rap S-02B SOC at toe of east side groin of ash basin NM Basin decanting as part of basin closure predicted to eliminate seep. dam Ridge east of east toe drain, flowing S-08 SOC northwest in small channel to NM Basin decanting as part of basin closure predicted to eliminate seep. Crutchfield Branch At bottom of hillside; seep to small S-10 SOC channel, flowing northwest into NM Basin decanting as part of basin closure predicted to eliminate seep. Crutchfield Branch Notes: cfs - cubic feet per second SOC - Special Order by Consent NM - Not measured. Flow is diffuse along the ground surface or within areas of rip rap and accurate flow measurements are not able to be collected. Prepared by: JAW Checked by: PWA Page 1 of 1 TABLE 6-6 MEANS OF GROUNDWATER CONSTITUENTS - JANUARY 2018 TO APRIL 2019 CORRECTIVE ACTIVE PLAN UPDATE MAYO STEAM ELECTRIC PLANT DUKE ENERGY PROGRESS, LLC, ROXBORO, NC Analytical Parameters pH Arsenic Barium Boron Chromium (VI) Chromium Cobalt Iron Manganese Molybdenum Strontium Sulfate Total Dissolved Solids Vanadium Reporting Units S.U. pg/L pg/L lag/L pg/L pg/L pg/L pg/L pg/L lag/L pg/L mg/L mg/L pg/L 15A NCAC 02L Standard 6.5-8.5 30 700 700 NE 30 1* 300 50 NE NE 250 500 0.3* 2017 Background Threshold Values (Surficial Flow Zone)' 4.9-6.5 1 19 50 0.09 3 1 385 253 3 25 2 85 1.0 2019 Background Threshold Values (Surficial Flow Zone)z 4.9-6.9 2 22 50 4.40 8 2 6,820 395 10 27 3 130 2.8 Background Data Set Range (Surficial Flow Zone)3 5.2-6.4 <1 - 1.5 8 - 19 <50 0.04 - 4.40 <1 - 7 <1 - 2 108 - 6820 11 - 395 <1 - 10 12 - 27 0.87 -2 26 - 110 <0.3 - 2.8 2017 Background Threshold Values (Transition Zone)' 5.7-6.5 1 78 50 1.26 6 1 1,319 298 1 391 8 430 5.9 2019 Background Threshold Values (Transition Zone )2 5.6-6.6 1 68 50 1.28 6 1 1,356 448 1 390 8 430 5.8 Background Data Set Range (Transition Zone)3 5.6-6.6 <1 13 - 71 <50 <0.025 - 0.96 <1 - 10 <1 48 - 1130 18- 248 <1 - 2 83 - 391 0.96 -8 81 - 450 <0.3 - 5.9 2017 Background Threshold Values (Bedrock Flow Zone)' 5.0-7.3 1 97 50 0.40 7 1 2,550 519 11 418 18 340 5.7 2019 Background Threshold Values (Bedrock Flow Zone)z 5.1-7.2 1 97 50 0.36 7 5 3,771 548 17 418 130 470 4.4 Background Data Set Range (Bedrock Flow Zone)3 5.1-7.2 <1 - 1.8 14 - 101 <50 <0.025 - 0.47 <1 - 20 <1 - 7 11 - 3,260 5 - 648 <1 - 27 131 - 430 0.21 - 140 66 - 510 <0.3 - 4.6 Sample ID Flow Zone Means Results Background Locations BG-01 Bedrock 5.4 <1 85 <50 0.39 <1 <1 94 9 <1 173 0.3 112 4.1 BG-02 Transition Zone 6.4 <1 42 <50 <0.025 2 <1 164 104 <1 296 5 304 4.4 CCR-102BR-BG Bedrock 6.2 <1 22 <50 0.25 2 <1 26 218 6 227 93 420 0.8 MW-12D Transition Zone 6.0 <1 16 <50 0.78 1 <1 105 23 <1 92 1 93 0.7 MW-12S Shallow 5.7 <1 14 <50 0.06 1 <1 499 90 0.4 17 1.7 49 1.2 MW-13BR Bedrock 6.9 <1 19 <50 0.03 3 5 1,167 296 2 324 16 288 0.3 MW-14BR Bedrock 6.6 <1 18 <50 0.03 <1 1 89 86 5 176 9 193 2.5 At or Within the Waste Boundary Locations ABMW-01 Ash Pore Water 7.8 292 552 5,300 0.03 <1 3 2,310 794 259 2,044 28 340 29.1 ABMW-02 Ash Pore Water 9.0 947 66 8,532 0.03 <1 <1 39 65 1408 938 36 388 0.7 ABMW-02BR Bedrock 7.4 3 110 <50 <0.025 <1 <1 1,221 226 18 1,132 12 334 <0.3 ABMW-02BRL Bedrock 7.5 3 74 <50 <0.025 <1 <1 1,806 345 3 2,226 0.2 292 <0.3 ABMW-03 Ash Pore Water 6.7 172 223 1,954 0.025 <1 <1 7,564 644 32 1,484 35 322 0.4 ABMW-03S Shallow 5.1 0.9 28 1,320 <0.025 1 2 1,037 287 <1 77 0.4 98 0.5 ABMW-04X Ash Pore Water 7.0 111 454 5,470 <0.025 0.6 0.5 5,820 1,443 226 2,437 75 453 2.0 ABMW-04D Transition Zone 6.3 22 894 3,242 <0.025 0.9 6 53,940 6,452 12 1,682 1 524 9.0 ABMW-04BR Bedrock 7.6 2 114 <50 <0.025 <1 <1 812 469 10 1,998 45 318 <0.3 CCR-103S Shallow 5.4 <1 115 613 NM <1 <1 NM NM 1 NM 63 218 NM CCR-103D Transition Zone 5.5 <1 104 1,573 NM <1 <1 NM NM <1 NM 113 305 NM CCR-103BR Bedrock 5.4 <1 114 2,603 NM 1 <1 NM NM <1 NM 185 413 NM CCR-104S Shallow 6.0 <1 35 267 NM 1 2 NM NM 0.8 NM 27 183 NM CCR-104BR Bedrock 7.0 <1 26 <50 NM <1 <1 NM NM 4 NM 135 543 NM CCR-105S Shallow 5.8 <1 51 510 NM <1 2 NM NM <1 NM 20 198 NM CCR-105D Transition Zone 6.2 <1 30 810 NM <1 1 NM NM 3 NM 17 230 NM CCR-105BR Bedrock 6.5 <1 5 894 NM <1 <1 NM NM 2 NM 15 318 NM CCR-108BR Bedrock 6.4 <1 23 <50 NM <1 <1 NM NM 5 NM 20 275 NM MW-104BRL Bedrock 7.2 <1 29 <50 0.03 <1 <1 287 86 2 967 55 417 <0.3 Page 1 of 3 TABLE 6-6 MEANS OF GROUNDWATER CONSTITUENTS - JANUARY 2018 TO APRIL 2019 CORRECTIVE ACTIVE PLAN UPDATE MAYO STEAM ELECTRIC PLANT DUKE ENERGY PROGRESS, LLC, ROXBORO, NC Analytical Parameters pH Arsenic Barium Boron Chromium (VI) Chromium Cobalt Iron Manganese Molybdenum Strontium Sulfate Total Dissolved Solids Vanadium Reporting Units S.U. pg/L pg/L lag/L pg/L pg/L pg/L pg/L pg/L lag/L pg/L mg/L mg/L pg/L 15A NCAC 02L Standard 6.5-8.5 10 700 700 NE 10 1* 300 50 NE NE 250 500 0.3* 2017 Background Threshold Values (Surficial Flow Zone)' 4.9-6.5 1 19 50 0.09 3 1 385 253 3 25 2 85 1.0 2019 Background Threshold Values (Surficial Flow Zone)z 4.9-6.9 2 22 50 4.40 8 2 6,820 395 10 27 3 130 2.8 Background Data Set Range (Surficial Flow Zone)3 5.2-6.4 <1 - 1.5 8 - 19 <50 0.04 - 4.40 <1- 7 <1- 2 108 - 6820 11 - 395 <1 - 10 12 - 27 0.87 -2 26 - 110 <0.3 - 2.8 2017 Background Threshold Values (Transition Zone)' 5.7-6.5 1 78 50 1.26 6 1 1,319 298 1 391 8 430 5.9 2019 Background Threshold Values (Transition Zone )2 5.6-6.6 1 68 50 1.28 6 1 1,356 448 1 390 8 430 5.8 Background Data Set Range (Transition Zone)3 5.6-6.6 <1 13 - 71 <50 <0.025 - 0.96 <1 - 10 <1 48 - 1130 18- 248 <1- 2 83 - 391 0.96 -8 81 - 450 <0.3 - 5.9 2017 Background Threshold Values (Bedrock Flow Zone)' 5.0-7.3 1 97 50 0.40 7 1 2,550 519 11 418 18 340 5.7 2019 Background Threshold Values (Bedrock Flow Zone)z 5.1-7.2 1 97 50 0.36 7 5 3,771 548 17 418 130 470 4.4 Background Data Set Range (Bedrock Flow Zone)3 5.1-7.2 <1 - 1.8 14 - 101 <50 <0.025 - 0.47 <1 - 20 <1 - 7 11 - 3,260 5 - 648 <1 - 27 131 - 430 0.21 - 140 66 - 510 <0.3 - 4.6 Sample ID Flow Zone Means Results At or Within the Waste Boundary Locations (Continued) MW-104BRM Bedrock 7.8 0.9 19 <50 0.15 2 <1 34 28 6 694 38 307 2.2 MW-105BRM Bedrock 7.3 2 30 <50 0.03 <1 <1 969 421 3 458 30 365 0.2 Between Waste Boundary and Compliance Boundary CCR-106BR Bedrock 7.3 <1 25 61 NM 2 <1 NM NM 4 NM 225 500 NM CCR-107BR Bedrock 6.4 <1 53 1,143 NM <1 <1 NM NM 3 NM 52 250 NM MW-02 Bedrock 5.9 <1 60 <50 <0.025 <1 3 823 923 1 197 18 203 1.0 MW-03 Shallow 5.9 <1 54 1,049 0.18 <1 <1 17 1,224 <1 314 23 195 <0.3 MW-04 Bedrock 6.4 <1 8 <50 0.07 1 <1 46 175 3 124 38 210 0.9 Near or Beyond the Compliance Boundary Upgradient or Sidegradient to the Ash Basin CW-01D Bedrock 6.9 <1 <5 <50 0.06 <1 <1 27 13 22 183 3 204 1.2 CW-05 Bedrock 6.7 <1 54 <50 <0.025 <1 <1 517 696 <1 169 7 278 <0.3 CW-06 Bedrock 6.6 <1 42 <50 <0.025 <1 <1 1,574 1,360 3 325 37 496 <0.3 MW-05BR Bedrock 7.0 <1 35 <50 <0.025 1 <1 6,758 1,800 1 225 2 402 <0.3 MW-08BR Shallow 6.3 <1 18 <50 0.03 1 <1 174 233 3 360 39 440 1.1 MW-09BRL Bedrock 7.1 <1 29 <50 0.04 <1 <1 211 491 5 203 12 300 1.9 MW-10BR Bedrock 6.2 <1 <5 <50 0.11 <1 <1 14 44 <1 203 87 298 2.0 MW-18D Transition Zone 6.2 <1 <5 <50 0.03 <1 <1 49 7 <1 160 37 264 1.5 MW-18BR Bedrock 7.1 2 92 <50 <0.025 <1 <1 572 1,363 14 451 19 409 <0.3 MW-19D Transition Zone 6.7 <1 59 <50 <0.025 <1 <1 1,794 1,010 <1 358 61 510 <0.3 MW-19BR Bedrock 6.8 <1 58 <50 <0.025 <1 <1 1,342 1,356 <1 437 58 596 <0.3 Page 2 of 3 TABLE 6-6 MEANS OF GROUNDWATER CONSTITUENTS - JANUARY 2018 TO APRIL 2019 CORRECTIVE ACTIVE PLAN UPDATE MAYO STEAM ELECTRIC PLANT DUKE ENERGY PROGRESS, LLC, ROXBORO, NC Analytical Parameters pH Arsenic Barium Boron Chromium (VI) Chromium Cobalt Iron Manganese Molybdenum Strontium Sulfate Total Dissolved Solids Vanadium Reporting Units S.U. pg/L pg/L lag/L pg/L pg/L pg/L pg/L pg/L lag/L pg/L mg/L mg/L pg/L 15A NCAC 02L Standard 6.5-8.5 10 700 700 NE 10 1* 300 50 NE NE 250 500 0.3* 2017 Background Threshold Values (Surficial Flow Zone)' 4.9-6.5 1 19 50 0.09 3 1 385 253 3 25 2 85 1.0 2019 Background Threshold Values (Surficial Flow Zone)z 4.9-6.9 2 22 50 4.40 8 2 6,820 395 10 27 3 130 2.8 Background Data Set Range (Surficial Flow Zone)3 5.2-6.4 <1 - 1.5 8 - 19 <50 0.04 - 4.40 <1- 7 <1- 2 108 - 6820 11 - 395 <1 - 10 12 - 27 0.87 -2 26 - 110 <0.3 - 2.8 2017 Background Threshold Values (Transition Zone)' 5.7-6.5 1 78 50 1.26 6 1 1,319 298 1 391 8 430 5.9 2019 Background Threshold Values (Transition Zone )2 5.6-6.6 1 68 50 1.28 6 1 1,356 448 1 390 8 430 5.8 Background Data Set Range (Transition Zone)3 5.6-6.6 <1 13 - 71 <50 <0.025 - 0.96 <1 - 10 <1 48 - 1130 18 - 248 <1- 2 83 - 391 0.96 -8 81 - 450 <0.3 - 5.9 2017 Background Threshold Values (Bedrock Flow Zone)' 5.0-7.3 1 97 50 0.40 7 1 2,550 519 11 418 18 340 5.7 2019 Background Threshold Values (Bedrock Flow Zone)z 5.1-7.2 1 97 50 0.36 7 5 3,771 548 17 418 130 470 4.4 Background Data Set Range (Bedrock Flow Zone)3 5.1-7.2 <1 - 1.8 14 - 101 <50 <0.025 - 0.47 <1 - 20 <1 - 7 11 - 3,260 5 - 648 <1 - 27 131 - 430 0.21 - 140 66 - 510 <0.3 - 4.6 Sample ID Flow Zone Means Results Downgradient of the Ash Basin - Wells Used in COI Management Matrix CCR-109BR Bedrock 7.2 1.0 43 <50 NM <1 <1 NM NM 3 NM 290 650 NM CW-02 Transition Zone 5.2 <1 93 720 0.08 <1 <1 15 109 <1 192 37 132 <0.3 CW-02D Bedrock 7.0 <1 25 273 0.31 2 <1 67 59 2 370 72 322 1.1 CW-03 Transition Zone 6.5 <1 16 <50 0.06 <1 <1 101 12 <1 305 17 356 1.8 CW-04 Bedrock 5.9 <1 29 1 <50 0.20 <1 <1 53 <5 <1 144 26 158 1.1 MW-03BR Bedrock 6.9 <1 43 <50 <0.025 <1 <1 396 596 1 398 11 622 0.3 MW-16BR Bedrock 7.6 <1 14 <50 <0.025 <1 <1 1,497 337 21 138 1 177 <0.3 MW-16D Transition Zone 7.0 <1 <5 <50 0.13 <1 <1 73 49 5 170 7 143 0.7 MW-16S Shallow 5.9 <1 75 167 0.03 <1 <1 97 14 <1 141 11 73 <0.3 Notes• ' - Background threshold values were calculated using data from background groundwater samples collected July 2011 to March 2017. Z - Background threshold values were calculated using data from background groundwater samples collected April 2010 to December 2018. 3 - Background data set range from background groundwater samples collected June 2015 to December 2018. Background threshold values have been rounded to similar levels of precision as 15A North Carolina Administrative Code (NCAC) 02L Standard or Interim Maximum Allowable Concentration (IMAC). Bold text - comparison criteria used for each constituent 0 - Bold highlighted concentration indicates exceedance of the 15A NCAC 02L .0202 Standard or the IMAC. (Effective date for 15A NCAC 02L .0202 Standard and IMAC is April 1, 2013). 0 - Bold highlighted concentration indicates exceedance of both BTV values. 0 - Highlighted concentration indicates value within range of background threshold values for constituents where there is no regulatory standard, or background threshold values are greater than regulatory standard. For wells with datasets containing fewer than four valid results, the most recent valid sample data was used. Means were calculated for wells with four or more valid sample results. Sample results were excluded from calculations: a) if turbidity >10 NTU (for constituents other than boron) b) for unusable data (RO qualified) c) if a result was non -detect at a reporting limit (RL) greater than the normal laboratory RL * - Interim Maximum Allowable Concentrations (IMACs) of the 15A NCAC 02L Standard, Appendix 1, April 1, 2013. < - Concentration not detected at or above the adjusted reporting limit. pg/L - micrograms per liter mg/L - milligrams per liter NE - not established NM - not measured S.U. - Standard unit Prepared by: PWA Checked by: GRK Page 3 of 3 .1 ... — .C1 .M—..iit.li.9 ■ 4 Flow L. N—b—f-11,G-1. ith t—t ,be, p —R.U.—I. f COI. for Corrective Action Evalua tion Pietlmon[ Maximum Mean wells porting 03L or IMAC lane Statistically yMIYO Steam Elril Plant Concentration No, Groundwater Than Criterion N . . . . dd f— if g,..t:, th..comparative -it.- in all c—tit...t. f Dd Bg-d Value �kg—�d —kg.— V.— C--=iGreater m.d/li... id.ufthM the the ..u,u,it Criterion Background Range Byo,d Compliance E.—d.— R.U.0 Beyond Compliance . O.,— Range Range Boundary Boundary TComparative c Flow Zone 2017 ' 201g TABLE 6-8 JULY 2018 - JULY 2019 BORON CONCENTRATIONS NEAR OR BEYOND COMPLIANCE BOUNDARY - DOWNGRADIENT OF ASH BASIN CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT DUKE ENERGY PROGRESS, LLC, ROXBORO, NC Q3-2018 Q4-2018 Q1-2019 Q2-2019 Q3-20193 Boron Boron Boron Boron Boron Well ID Location Relevant to Compliance Boundary Sample Date Concentration Sample Date Concentration Sample Date Concentration Sample Date Concentration Sample Date Concentration (µg/L) (µg/L) (µg/L) (µg/L) (µg/L) CCR-109BR1 ^210-ftinside CB - - 10/2/2018 < 50 1/9/2019 <50 - - 7/9/2019 <50 CW-02 —122-ftinside CB 7/16/2018 952 11/7/2018 661 1/8/2019 407 4/2/2019 421 7/2/2019 1642 CW-02D2 —123-ft inside CB 7/17/2018 263 11/7/2018 211 - - 4/2/2019 244 - - CW-032 at CB 7/17/2018 <50 11/8/2018 <50 4/10/2019 <50 CW-042 at CB 7/17/2018 <50 11/8/2018 <50 4/10/2019 <50 MW-03BR2 at CB 7/17/2018 1 <50 11/8/2018 1 <50 - 4/10/2019 <50 MW-16BR —642-ftbeyond CB 7/18/2018 <50 11/6/2018 <50 1/8/2019 <50 4/2/2019 <50 7/2/219 <50 MW-16D —643-ft beyond CB 7/18/2018 <50 11/6/2018 <50 1/8/2019 <50 4/2/2019 <50 7/2/2019 <50 MW-16S —644-ft beyond CB 7/18/2018 164 11/6/2018 98 1/8/2019 50 4/2/2019 100 7/2/2019 117 Prepared by: PWA Checked by: JAW Notes: 1 Well is part of the Federal Coal Combustion Residual (CCR) Monitoring program. z Well sampled semi-annually in 2019 per approved Interim Monitoring Plan. 3 Appendix C provides data through June 2019 (2Q2019). Data for July 2019 is provided on this table for comparison purposes. `- approximately <- concentration not detected at or above the reporting limit µg/L - micrograms per liter CB - Compliance Boundary TABLE 6-9 SUMMARY TREND ANALYSIS RESULTS FOR GROUNDWATER MONITORING WELLS CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT DUKE ENERGY PROGRESS, LLC, ROXBORO, NC Within the Waste Boundary Between the Waste Boundary and Compliance Boundary Near or Beyond the Compliance Boundary Overall Flow Zone Plume Trend Well ID Boron Concentration Trend in Well Well ID Boron Concentration Trend in Well Well ID Boron Concentration Trend in Well Surficial Zone ABMW-03S Stable CCR-103S Stable MW-16S Stable Stable CCR-104S Stable CCR-105S Stable MW-03 No Trend Transition Zone ABMW-04D Stable Stable CW-02 Decreasing Decreasing LCCR-103D CR-105D Stable CW-03 Non -Detect MW-16D Non -Detect Bedrock Zone ABMW-02BR Non -Detect CCR-103BR Increasing CCR-109BR Non -Detect CCR-104BR Non -Detect ABMW-02BRL Non -Detect CCR-105BR Stable CW-02D Stable Stable CCR-106BR Non -Detect CW-04 Non -Detect ABMW-04BR Non -Detect CCR-107BR Decreasing MW-03BR Non -Detect CCR-108BR Non -Detect MW-16BR Non -Detect MW-02 Non -Detect Increasing Distance from Source 311 Prepared by: PWA Checked by: JAW Notes: 1. Ash pore water wells ABMW-1 and ABMW-3 exibit a stable boron concentration trend. Ash pore water well ABMW-2 shows no statistically significant trend. 2. Summary of results and trends are presented for samples collected from January 2018 - July 2019. 3. Trend results are presented when at least four samples were available and frequency of detection as greater than 50%. Statistically significant trends are reported at the 90% confidence level. 4. Variability Index (VI) is calculated as: the (maximum - minimum) / median concentration and is calculated using detected concentrations only. Values less than 1 indicate low variability in the dataset. Page 1 of 1 TABLE 6-10 WATER SUPPLY WELL ANALYTICAL RESULTS SUMMARY CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT DUKE ENERGY PROGRESS, LLC, ROXBORO, NC ium Chrom) Total Analytical Parameter pH Arsenic Barium Boron (VI Chromium Cobalt Iron Manganese Molybdenum Strontium Sulfate Dissolved Vanadium Solids Reporting Units S.U. pg/L pg/L pg/L pg/L pg/L pg/L pg/L pg/L pg/L pg/L mg/L mg/L pg/L 15A NCAC 02L Standard 6.5-8.5 10 700 700 NE 10 1* 300 50 NE NE 250 500 0.3* Impacted/ Unimpacted Comments Background Threshold Values (Bedrock Unit)' 5.0-7.3 1 97 50 0.40 1 2,550 519 11 418 18 340 5.7 Background Threshold Values (Bedrock Unit)z 5.1-7.2 1 97 50 0.36 7 5 3,771 548 17 418 130 470 4.4 Background Data Set Range (Bedrock Unit)' 5.1-7.2 <1 - 1.8 14 - 101 <50 <0.025 - 0.47 <1 - 20 <1 -7 11 - 3,260 5 - 648 <1 - 27 131 - 430 0.2 - 140 66 - 510 <0.3 - 4.6 SynTerra Sample ID Sample Analytical Results Map ID MY-03 (Duke) 03/10/2015 NM <1 74 <50 NA <5 <1 1,680 23 <1 469 65 260 2.4 Unimpacted MY-2000 MY-03 (Vendor) 03/10/2015 5.7 <10 70 <100 <20 <10 <5 1,750 21 <10 436 60 293 3.0 Unimpacted Northwest and sidegradient of the ash basin. Low exceedance value for strontium. Strontium exceedances possible from natural source. MY-03 (Vendor) 08/19/2015 5.6 <0.5 60 <5 0.13 0.6 <0.5 <50 8 <0.5 391 56 226 <1 Unimpacted MY-05 (Duke) 05/04/2015 NM <1 61 <50 NA 5 <1 1,300 508 3.4 673 5 340 3.2 Unimpacted MY-5 Northwest and sidegradient of the ash basin. Low exceedance value for strontium. Strontium exceedances possible from natural source. MY -OS (Vendor) 05/04/2015 7.1 <5 55 <50 <0.03 <5 <5 953 517 <5 621 6 349 <10 Unimpacted MY-07(Duke) 09/01/2015 NM <1 32 <50 NA <5 <1 <10 <5 3.6 113 1 110 2.4 Unimpacted MY-2014 All COIs are below comparative criteria. MY-07 (Vendor) 09/01/2015 6.1 <0.5 30 <5 0.63 0.9 <0.5 <50 0.8 3.8 106 3 88 2.5 Unimpacted Northwest and sidegradient of the ash basin. Low exceedance value for MY-2015 MY-1000 01/18/2017 7.0 0.2 44 <25 0.05 <0.5 <0.1 83.1 68 14.8 474 12 152 <0.3 Unimpacted strontium. Strontium exceedances possible from natural source. Molybdenum within range of background values for the area. MY-2012 MY-1001 01/17/2017 6.3 <0.1 9 <25 1.2 2 <0.1 163 5 <0.5 92 <2 93 2.2 Unimpacted All COIs are below comparative criteria. MY-2011 MY-1002 01/17/2017 6.0 <0.1 <0.3 <25 2 2 <0.1 81 <0.5 <0.5 <0.5 2 47 <0.3 Unimpacted All COIs are below comparative criteria. MY-2008 MY-1003 04/12/2017 6.4 0.2 20 <25 <0.025 <0.5 0.2 504 586 <0.5 107 16 237 0.4 Unimpacted South and upgradient of the ash basin. Low exceedance value for manganese and within range of background values for the area. North of the ash basin. Hydraulically disconnected from ash basin by MY-1000 MY-1004 01/18/2017 7.6 0.1 <0.3 <25 0.14 <0.5 <0.1 <50 <0.5 1.1 1 48 485 Unimpacted natural groundwater divides. Low exceedance value for vanadium. Vanadium exceedance possible from natural source. MY-2003-RA MY-2003-RAW 07/10/2017 6.3 <0.1 150 <25 0.09 <0.5 <0.1 51 6 1 262 2 121 0.5 Unimpacted All COIs are below comparative criteria. MY-2013-RA MY-2013-RAW 07/10/2017 6.0 <0.1 16 <25 0.28 <0.5 <0.1 1,830 7 <0.5 109 2 107 1.5 Unimpacted All COIs are below comparative criteria. MY-2016-RA MY-2016-RAW 07/10/2017 6.2 <0.1 122 <25 0.69 1 <0.1 <50 11 <0.5 336 2 231 0.9 Unimpacted All COIs are below comparative criteria. Notes: Background threshold values (BTVs) have been rounded to similar levels of precision as SSA North Carolina Administrative Code (NCAC) 02L Standard or Interim Maximum Allowable Concentration (IMAC). 0 - Bold highlighted concentration indicates exceedance BTV from April 2017 or December 2018, whichever is greater. 0 - Bold highlighted concentration indicates exceedance in between 2017 and 2019 background values when both background values are greater than 02L Standard. Reference Figure 5-7 for water supply well locations Bold text - Constituent concentration exceeds applicable comparison criteria. ' - Background threshold values were calculated using data from background groundwater samples collected July 2011 to March 2017 z - Background threshold values were calculated using data from background groundwater samples collected April 2010 to December 2018 3 - Background data set range from backgound groundwater samples collected June 2015 to December 2018. * - Interim Maximum Allowable Concentrations (IMACs) of the SSA NCAC 02L Standard, Appendix 1, April 1, 2013 < - Concentration not detected at or above the adjusted reporting limit. pg/L - Micrograms Per Liter mg/L - Milligrams Per Liter NA - Not analyzed NM - Not measured S.U. - standard units Prepared by: PWA Checked by: JHC Page 1 of 1 M c m N d u E A d L � to c a d m U. C, E in a L 7 G E a 0 0 ILL m c 0 r 0 E TABLE 6-11 CONFIRMATION MONITORING PLAN ELEMENTS CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT DUKE ENERGY PROGRESS, LLC, ROXBORO, NC Confirmation Monitoring Plan (CMP) Post -Closure Monitoring Plan (PCMP) Implemented 30 days after CAP Approval Implemented after completion of ash basin closure activities CMP Groundwater Well Monitoring Network (background, downgradient of ash basin) IN BG-1' CCR-105D MW-3 BG-2' CCR-105S MW-3BR CCR-101D-BG' CCR-106BR MW-12D' CCR-IO1S-BG' CCR-107BR MW-12S' CCR-102-BR-BG' CCR-108BR MW-13BR' CCR-103BR CCR-109BR MW-16BR CCR-103D CW-2 MW-16D CCR-103S CW-2D MW-16S CCR-104BR CW-3 MW-104BRL CCR-104S CW-4 MW-104BRM CCR-105BR MW-2 MW-105BRM PCMP Groundwater Well Monitoring Network (background, downgradient of ash basin) A PCMP will be implemented at the Site in accordance with G.S. 130A-309.214(a)(4)k.2 after completion of ash basin closure activities. CMP Groundwater Quality3 PCMP Groundwater Quality (Semi -Annual Sampling Frequency) (Sampling frequency to be determined) Boron Calcium Nitrate + Nitrite Alkalinity Chloride Potassium Parameters and sampling frequency to be included in the PCMP in Aluminum Ferrous Iron Sodium accordance with G.S. 130A-309.214(a)(4)k.2 when submitted. Bicarbonate Alkalinity Magnesium Total Organic Carbon CMP and PCMP Groundwater Field Parameters Water Level Specific Conductivity Temperature PH Oxidation Reduction Potential Dissolved Oxygen CMP Review (Annual Reporting) 1) Summary of annual groundwater monitoring results 2) Evaluation of statistical concentration trends 2) Comparison of observed concentrations to model predictions 3) Evaluation of 02L compliance 4) Recommend plan adjustments, if applicable CMP Duration 30 days after CAP approval, the CMP will be implemented at the Site and will continue until there is a total of three years of data confirming COIs are below applicable Standards at or beyond the compliance boundary, at which time a request for termination of CMP sampling will be filed with NCDEQ. If applicable standards are not met, the CMP will continue and transition to post -closure monitoring if necessary. PCMP Review (Annual Reporting) 1) Summary of annual groundwater monitoring results 2) Evaluation of statistical concentration trends 2) Comparison of observed concentrations to model predictions 3) Evaluation of 02L compliance 4) Recommend plan adjustments, if applicable At a frequency no greater than 5 years: 1) Update background analysis 2) Confirm Risk Assessment assumptions remain valid 3) Verify model results, update if needed PCMP Duration After ash basin closure and following ash basin closure certification, a PCMP will be implemented at the Site for a minimum of 30 years in accordance with G.S. 130A-309.214(a)(4)k.2. Early termination: If groundwater monitoring results are below applicable standards for three years, Duke Energy to request termination of corrective action in accordance with G.S. 130A-309.214(a)(3)b. If groundwater monitoring results are above applicable standards, continue groundwater monitoring and evaluate annually thereafter. ' Approved background groundwater monitoring location 2 Geochemically non -reactive constituent (i.e., conservative corrective action COI) that best depicts the areal extent of the plume; monitors plume stability and physical attenuation 3 Parameters are subject to change based on additional data and investigation Italicized parameters - parameters for general water quality to evaluate monitoring data quality Wells indicated in red will have geochemical sondes placed to monitor changing geochemical conditions Page 1 of 1 Corrective Action Plan Update December 2019 Mayo Steam Electric Plant FIGURES (CAP Content Section 10) SynTerra �- - - <- DUKE ENERGY PROGRESS S� PROPERTY LINE ^ iF ASH BASIN COMPLIANCE 4 ~ BOUNDARY 60' RIGHT-OF-WAY {'--�• .'; HALIFAX COUNTY v C , .ram j- NORTH CAROLINA-VIRGINIA STATE LINE (APPROXIMATE) `, • PER SONCOUNTY ♦ ����axw APPROXIMATE ASH BASIN WASTE BOUNDARY I ir• , �' 100' HWY 501 RIGHT-OF-WAY FGD SETTING 100' RAILROAD c I� '` RIGHT-OF-WAY 17 BASIN t� .. - 2 CCP MONOFILL Y� APPROXIMATE 1981 FGDf C&D LANDFILL PONDS l' C ' f . AREA (CLOSED) LINED RETENTION BASIN AREA APPROXIMATE FUTURE ASH BASIN POWER PLANT WASTE BOUNDARY GYPSUM STORAGE. t COAL PAD AREA • � n ♦ ` .......J L►! %.4 PILE AREA - a �.. r .' ti •� . AZF Ire rP-=.tea Mont SOURCE: 2016 USGS TOPOGRAPHIC MAP, CLUSTER SPRINGS QUADRANGLE, QUAD ID: 36078E8, OBTAINED FROM THE USGS STORE AT https://store.usgs.gov/map-locator. �,�a _ _ DUKE PERSON COUNTY FIGURE ES-1 USGS LOCATION MAP ENERGY CORRECT IVEACTION PLAN UPDATE PROGRESS WINSTON-SALEM RA`EIGH • CHARLOTTE • MAYO STEAM ELECTRIC PLANT ROXBORO, NORTH CAROLINA A MTA.�.�... DRAWN BY: A. ROBINSON DATE: 05/02/2019 REVISED BY: A. ROBINSON DATE: 12,06/2019 CHECKED BY: P. DATE: 12/06/2019 GRAPHIC SCALE 1,000 0 1.000 2.000 (IN FEET) ,�r 1 � rd WYLIE APPROVED BY: J. WYLIE DATE: 12/O6/2019 PROJECT MANAGER:J.WYLIE www.synterracorp.com O�W ASH BASIN COMPLIANCE _..� t o y DUKE ENERGY PROGRESS BOUNDARY �_• i� 4l ,� PROPERTY LINE r • s\ =�1 rl��l 60' RIGHT-OF-WAY NORTH CAROLINA-VIRGINIA STATE LINE HALIFAX COUNTY � st (APPROXIMATE) PERSON • PERSON COUNTY APPROXIMATE ASH BASIN e �. = WASTE BOUNDARY (100'HWY501 RIGHT-OF-WAY\ siFGD - �� \�.• •_'r�r�%� Z II ]► / py - I��SETTTING 100' RAILROAD "P �� BASIN 1 RIGHT -OF CCP MONOFILL APPROXIMATE 1981 FGD C&D LANDFILL I r jj PONDS - AREA (CLOSED) 7. LINED RETENTION/ t�,Yq/ r :'•� �I r V 1��-} ff � / BASIN AREA APPROXIMATE FUTURE ASH BASIN - _ POWER PLANT (� WASTE BOUNDARY / 'GYPSUM STORAGE- f�!� I COAL PAD AREA: n� STORAGE *� .' �i.�..�. li►! �.+.j PILE Ne., d y AREA - Mon1a u4_ 1 � - " Y - SOURCE: 2016 USGS TOPOGRAPHIC MAP, CLUSTER SPRINGS QUADRANGLE, QUAD ID: 36078E8, OBTAINED FROM THE USGS STORE AT hftps://store.usgs.gov/map-locator. DUKE PERSON COUNTY ENERGY PROGRESS WN,STO,-SAiEM _ AZ _17 ■- _ .-jar FIGURE 1-1 USGS LOCATION MAP CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT ROXBORO, NORTH CAROLINA DRAWN BY: A. ROBINSON DATE: 05/02/2019 GRAPHIC SCALE REVISED BY: A. ROBINSON CHECKED BY: P. ALTMAN DATE: 12/06/2019 DATE: 12/06/2019 1,000 0 1,000 2,000 APPROVED BY: J. WYLIE PROJECT MANAGER: J. WYLIE DATE: 12/06/2019 (IN FEET) I- L��# o • • • # MW-14BR .0/ Q cW-5 r, r, A: SCALE 1" = 2000ft / �i, wpR '� �F -•y CCR-104S y� MW-156R MY-3 CCR-103S CW-4 CCR-104BR 7 + y CW-3 MW-16S • �►/ MAY9IAK CCR-103D MW-1046RL MW-16D 11 CCR-103BR MW-104BRM MW-3BR MW-103BRL' _ CCR- 009BR MW-16BR ~' MW-2 CCR-106BR PSB-2f + + ' • MW-103BRM PS ,r CW75 S-1 M% i MW-5BR ® PSB-1 S 1A S-4 C HAUFAxcouNry Y ! / PSB-2 CCR-105S r + PERsoN couNry / SB-1 CCR-105D �� +CCR-102BR- CCRCCR-ip3S / CCR-1056R MW-105BRL S-2B MW-105BRM PSB-25 R PSB-26 r rr PSB-27 - MW-13BR F + + AP-6 LOST IN SETTLING EVENT PSB-9—'"WAOSEPTEMBER 2019 , PSB-10 r I ABMW-2 AB-2 AB-1 ABMW-3 ABMW-3S ABMW-2BR AB-3 PSB-11 LRB-2 PSB-14 PSB-16 ® • uvv ~ MW-6B S-2 I TREAM CCR-107BR FGD-2BR TCHFIELD _ IVjW-7D ANCHI MW-107BRMWCBI MW-7BR FGD-1D1D Q MW-107BRL FGD j CCR-108BR � - 3B-24 MW-4 SB-5 FGD-10BR a FGD-9BR LANDFILLAREA IFGD-8BR ® (CLOSED) • MW-9BR PSB-23 SB-6 MW-9BRL w + + ABMW-2BRL PSB-21 ABMW-4 -• • • PSB-12 ABMW-4X PSB-22 BGBG_1 BGSB-3 LRB-1 PSB-15 ABMW-4D w �` + + ABMW-4BR I 1 1 f • SB 2 ® PSB-17 AB-4 .... r + � `�' � BGSB • _ __ + r rSB-5 APPROXIMATEFUTURE SB-18 PASH BASIN WASTE BOUNDARY (SEE NOTE 2) - ,1 SW-BB1 + LRB-3 ®BGSB-2 CPA-SB-6 NOTES: 1. THE WATERS OF THE U.S. DELINEATION HAS NOT BEEN APPROVED BY THE U.S. ARMY CORPS OF ENGINEERS AT THE TIME OF THE MAP CREATION. THIS MAP IS A PRELIMINARY JURISDICTIONAL DETERMINATION ONLY. THE PRELIMINARY WETLANDS AND STREAMS BOUNDARIES WERE OBTAINED FROM AMEC FOSTER WHEELER ENVIRONMENTAL & INFRASTRUCTURE, INC. NATURAL RESOURCES TECHNICAL REPORT (NRTR) FOR MAYO STEAM ELECTRIC PLANT DATED JANUARY 2014 AND UPDATED ON JULY 11, 2018 TO REMOVE ONE PREVIOUSLY MISIDENTIFIED WETLAND NEAR THE ASH BASIN DISCHARGE CHANNEL. 2. AREA OF INVESTIGATION THAT DETERMINED SETTLED CCR MATERIAL IS NOT PRESENT IN THISAREAOF THE ASH BASIN. A FUTURE REPRESENTATIVE ASH BASIN WASTE AND COMPLIANCE BOUNDARY IS INCLUDED IN THE MAYO NPDES PERMIT NCO038377 PART I, 5.A.(18.) ATTACHMENT B FIGURE 1.1 DATED JULY 13, 2018. 3. SAMPLE LOCATIONS WERE DERIVED FROM VARIOUS SOURCES AND ARE A MIX OF SURVEYED AND APPROXIMATE LOCATIONS. THEREFORE, SAMPLE LOCATIONS ARE APPROXIMATE. 4. ALL BOUNDARIES ARE APPROXIMATE. 5. MAYO PLANT PROPERTY BOUNDARY PROVIDED BY DUKE ENERGY PROGRESS. 6. AERIAL PHOTOGRAPHY OBTAINED FROM ESRI ONLINE ON JUNE 10, 2019. AERIAL WAS COLLECTED ON FEBRUARY 6, 2017. 7. DRAWING HAS BEEN SET WITH PROJECTION OF NORTH CAROLINA STATE PLANE COORDINATE SYSTEM FIPS 3200 (NAD83). BGSB-1 BG-2PSB-19 FsB-3 CCR-101S-BG R-101 D-BGrCICPA-2B CPA-3D CPA-3BR BGSB-9 BGSB-8 CPA-4D CPA-4BR MW-12S I�..MY-1001 z� + MY-1002 MY-1003 _ *MULLINS LN• N o � O ■ CW-1 D P MW-18BR MW-19D Outfall 002 MW-19BR MW-106R SB-4 r � a V Wift, S-9 SW-REF2 S-6 0, REF1 - DKE ENERGY PROGRESS NORTH CAROLINA-VIRGINIA STATE LINE HALIFAX COUNTY - (APPROXIMATE) - - - _ - -- PERSON COUNTY 44 RI A 3BR t 3D ` 3R 2BR , GRAPHIC SCALE 490 0 490 980 (IN FEET) DRAWN BY: A. ROBINSON DATE: 06/06/201; REVISED BY: A. ROBINSON DATE: 12/08/2019 CHECKED BY: P. ALTMAN DATE: 12/08/2019 APPROVED BY: J. WYLIE DATE: 12/08/2019 PROJECT MANAGER: J. WYLIE I FrFnln e WELL IN ALLUVIUM OR WELL IN TRANSITION ZONE WELL IN BEDROCK WELL IN ASH PORE MONITORING WELL (ABANDONED) + SOIL SAMPLE LOCATION IN -STREAM SURFACE WATER LOCATION PER SOC/SEDIMENT SAMPLE LOCATION SURFACE WATER SAMPLE LOCATION SURFACE WATER/SEDIMENT SAMPLE LOCATION CONSTRUCTED SEEP (APPROXIMATE) NON -CONSTRUCTED SEEP (APPROXIMATE) ♦ NPDES OUTFALL LOCATION WATER SUPPY WELL ASH BASIN WASTE BOUNDARY • ASH BASIN COMPLIANCE BOUNDARY — - — - RIGHT-OF-WAY (DUKE ENERGY PROPERTY) DUKE ENERGY PROGRESS PROPERTY LINE 310 STREAM (AMEC NRTR) ® WETLAND (AMEC NRTR) FIGURE 1-2 SITE LAYOUT MAP CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT ROXBORO, NORTH CAROLINA _ _ _ PROGRESS A FUTURE 60' MAYO LAKE MPROPERTY LINE RORIGHT-OF-WAY zz )U N DARY -OF-WAY �W" I I FUTURE DUKE /ENERGY PROGRESS PROPERTY LINE i SOURCE: MARCH 22, 1951 AERIAL PHOTOGRAPH OBTAINED FROM THE USGS EARTH EXPLORER WEB SITE AT http://earthexplorer.usgs.gov/ GRAPHIC SCALE E pf D N ERGY 500 0 IN FEET 500 1000 DRAWN BY: J. CHASTAIN DATE: 5/03/2019 REVISED BY: C. NEWELL DATE: 10/2/2019 CHECKED BY: P. ALTMAN DATE: 10/2/2019 PROGRESS APPROVED BY: J. WYLIE DATE: 10/2/2019 141P PROJECT MANAGER: J. WYLIE WnTem www.synterracorp.com FUTURE POWER PLANT FIGURE 1-3 1951 AERIAL PHOTOGRAPH CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT ROXBORO, NORTH CAROLINA I HALIFAX COUNTY r _ PERSON COUNTY ,l • ♦ T -MAY AK • ._, . ♦ I / ®� — _ O L_ E R°ADS - � - .' .. • � _ — - �Z MW-14BR ♦ - _��---- HFSTFRRO l l ■ a ` `` ` _ - �_ l � CCR-1028R-BG / �, �. / 1 �o.�a/e.■ LANDFILL 6 " • ' ♦ MW-13BR • �__ U ♦ I I NORTH CAROLINA-VIRGINIA STATE LINE (APPROXIMATE) ► ► ,�°P LEGEND \�; \ • ♦ 41:, J GROUNDWATER BACKGROUND SAMPLE LOCATION SOILAND GROUNDWATER SAMPLING LOCATION BG-1 • SOIL SAMPLE LOCATION I ► ' • . r, . _ ■ SURFACE WATER SAMPLE LOCATION ► I • APPROXIMATEFUTURE E ASH BASIN WASTE BOUNDARY ASH BASIN WASTE BOUNDARY ` 'd : _ . _ . / / ► ► (SEENOTE2) - ASH BASIN COMPLIANCE BOUNDARY ' ' ✓ — - — - - RIGHT-OF-WAY (DUKE ENERGY PROPERTY) DUKE ENERGY PROGRESS PROPERTY LINE I 1STORA_ \>, /, /• �o� BG 2 - iPOWE 0 STREAM (AMEC NRTR) I IZ, rAREA ® WETLAND (AMEC NRTR) / c \ ? i ' ,.7 NOTES: • . STORAGE + `� 1. THE WATERS OF THE U.S. DELINEATION HAS NOT BEEN APPROVED BY THE US /PILE ARMY CORPS OF ENGINEERS AT THE TIME OF THE MAP CREATION. THIS MAP IS A I/ 1' PRELIMINARY JURISDICTIONAL DETERMINATION ONLY. THE PRELIMINARY AREA / / I `n, WETLANDS AND STREAMS BOUNDARIES WERE OBTAINED FROM AMEC FOSTER 1 ' E WHEELER ENVIRONMENTAL & INFRASTRUCTURE, INC. NATURAL RESOURCE I 1 RIGHT -OF -WAR`' t -,� } TECHNICAL REPORT (NRTR) FOR MAYO STEAM ELECTRIC PLANT DATED JANUARY I , 2014 AND UPDATED ON JULY 11, 2018 TO REMOVE ONE PREVIOUSLY I I MISIDENTIFIED WETLAND NEAR THE ASH BASIN DISCHARGE CHANNEL. /� `♦ .p 2. AREA OF INVESTIGATION THAT DETERMINED SETTLED CCR MATERIAL IS NOT = = ' PRESENT IN THIS AREA OF THE ASH BASIN. A FUTURE REPRESENTATIVE ASH a♦ ` I I •' BASIN WASTE AND COMPLIANCE BOUNDARY IS INCLUDED IN THE MAYO NPDES La a I - PERMIT NCO038377 PART I, 5.A.(18.) ATTACHMENT B FIGURE 1.1 DATED JULY 13, r a, ■ • • ' 2018. `\, I 3. ALL BOUNDARIES ARE APPROXIMATE. i Ail ■ n 4. PROPERTY BOUNDARY PROVIDED BY DUKE ENERGY PROGRESS. Fir-i'll-fra• " • " • 0 MW-12S ...� 5. AERIAL PHOTOGRAPHY OBTAINED FROM ESRI ONLINE ON JUNE 10, 2019. REFI AERIAL WAS COLLECTED ON FEBRUARY 6, 2017. 9� "'" ♦ ■ 6. DRAWING HAS BEEN SET WITH A PROJECTION OF NORTH CAROLINA STATE PLANE COORDINATE SYSTEM FIPS 3200 (NAD83). ■ GRAPHIC SCALE ,ate'♦� DUKE 500 0 500 1,000 FIGURE 4-1 = MULLINSLN `* ENERGY (IN FEET) BACKGROUND SAMPLE LOCATIONS I PROGRESS CORRECTIVE ACTION PLAN UPDATE y o DRAWN BY: A. ROBINSON DATE: 06/05/2019 REVISED BY: A. ROBINSON DATE:12/03/2019 MAYO STEAM ELECTRIC PLANT CHECKED BY: P. ALTMAN DATE: 12/03/2019 ROXBORO NORTH CAROLINA .tWOOL APPROVED BY: J. WYLIE DATE: 12/03/2019 .- •-��- :.2 - �a+'�-�•-�+• _ _ T ._._ PROJECT MANAGER: J. WYLIE NORTH TRARR CONCEPTUAL CROSS-SECTION OF PRE -DECANTING CONDITIONS (NOT TO SCALE) ASH BASIN DAM (FILL) MAYO LAKE RD. Awl �' DUKE ENERGY PROGRESS 161P synTerra / GENERAL NOTES SITE FEATURES KEY O RIDGES EAST, WEST, AND SOUTH OF THE ASH BASIN COINCIDE WITH GROUNDWATER DIVIDES WHICH PROVIDE HYDRAULIC CONTROL KEEPING CONSTITUENT MIGRATION WITHIN THE FORMER CRUTCHFIELD BRANCH STREAM VALLEY AND AWAY FROM POTENTIAL RECEPTORS AND WATER SUPPLY WELLS ©LIMITED VERTICAL COI MIGRATION THROUGH TRANSITION ZONE AND INTERCONNECTED BEDROCK FRACTURES © FORMER STREAM CHANNEL IN ASH BASIN O PONDED WATER IN THE ASH BASIN CAUSES LIMITED AREA OF DOWNWARD VERTICAL MIGRATION OF CONSTITUENTS NEAR THE DAM DUE TO ELEVATED HYDRAULIC HEAD © UPWARD VERTICAL GRADIENTS IN GROUNDWATER IMMEDIATELY DOWNGRADIENT OF THE ASH BASIN DAM LIMIT VERTICAL MIGRATION OF CONSTITUENTS CURRENT AREA OF BORON CONCENTRATION IN GROUNDWATER GREATER THAN CRITERIA (SEE GENERAL NOTE 1) FREE PONDED WATER GENERALIZED GROUNDWATER FLOW DIRECTION 11110-► GENERALIZED ASH PORE WATER FLOW DIRECTION STREAM - - - INTERMITTENT STREAM GENERALIZED BEDROCK FRACTURE -- APPROXIMATE FORMER STREAM WITH FLOW DIRECTION ASH BASIN WASTE BOUNDARY ASH BASIN COMPLIANCE BOUNDARY ®GENERAL AREA OF WATER SUPPLY WELL USERS (SEE GENERAL NOTE 2) WATER LEVEL 1) GENERALIZED AREAL EXTENT OF BORON MIGRATION REPRESENTED BY NCAC 02L EXCEEDANCE IN MULTIPLE FLOW ZONES BASED ON FLOW AND TRANSPORT (APPENDIX G). 2) PERMANENT WATER SUPPLY HAS BEEN IMPLEMENTED PROVIDING 16 SURROUNDING WELL USERS WITH WATER TREATMENT SYSTEMS. THIS WORK WAS COMPLETED IN ACCORDANCE WITH HB630 AND SUBSEQUENTLY APPROVED BY NCDEQ ON OCTOBER 12, 2018. 3) THE WATERS OF THE US DELINEATION HAS NOT BEEN APPROVED BY THE US ARMY CORPS OF ENGINEERS AT THE TIME OF THE MAP CREATION. THIS MAP IS A PRELIMINARY JURISDICTIONAL DETERMINATION ONLY. THE PRELIMINARY WETLANDS AND STREAMS BOUNDARIES WERE OBTAINED FROM AMEC FOSTER WHEELER ENVIRONMENTAL & INFRASTRUCTURE, INC. NATURAL RESOURCE TECHNICAL REPORT (NRTR) FOR MAYO STEAM ELECTRIC PLANT DATED JANUARY 2014 AND UPDATED ON JULY 11,2018 TO REMOVE ONE PREVIOUSLY MISIDENTIFIED WETLAND NEAR THE ASH BASIN DISCHARGE CHANNEL. 4) ALL BOUNDARIES ARE APPROXIMATE. VISUAL AID ONLY - DEPICTION NOT TO SCALE DRAWN BY: A. FEIGL DATE: 6/2/2019 REVISED BY: C. NEWELL DATE: 12/8/2019 CHECKED BY: P. ALTMAN DATE: 12/8/2019 APPROVED BY: J. WYLIE DATE: 12/8/2019 PROJECT MANAGER: J. WYLIE www.synterracorp.com FIGURE 5-1 CONCEPTUAL SITE MODEL PRE -DECANTING CONDITIONS CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT ROXBORO, NORTH CAROLINA Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Figure 5-2 Legrand Slope Aquifer System Included in Section 5 Text Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Figure 5-3 General Profile of Ash Basin Pre - Decanting Flow Conditions in the Piedmont Included in Section 5 Text Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Figure 5-4a Water Level Map — Surficial Flow Zone — April 2019 Provided in separate electronic figure file as a large sheet size Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Figure 5-4b Water Level Map — Transition Flow Zone — April 2019 Provided in separate electronic figure file as a large sheet size Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Figure 5-4c Water Level Map — Bedrock Flow Zone — April 2019 Provided in separate electronic figure file as a large sheet size 47 NORTH CAROLINA-VIRGINIA STATE LINE HALIFAX COUNTY -- / (APPROXIMATE) -��.- ' f y-_� _ •-_ l �+ y PERSON COUNTY ell ov elk "'M R ; i � ��� F �+•� y. �' r 4�r ` � � � _ � � rr r ,r, r i % _, 7~ w ! I i rrlr} t t �_FGD SETTLING �• f \ ` , If eo 0-1 k. /*� f } � LEGEND � � � I � ti \ ail. �► Nk WIL Pv NOTES: `!+ �♦ 1. VELOCITY MAGNITUDES IN FEET PER DAY (FT/DAY). 2. VELOCITY VECTORS ARE IN THREE DIMENSIONS. I i1 a �t _ — Y�► ! `! = , f - r 3. VELOCITY VECTOR DIRECTIONS SHOWN AS BLACK ARROWS. 4. UPDATED GROUNDWATER FLOW AND TRANSPORT MODELING REPORT FOR h ` ` l ~ r ASH BASIN WASTE BOUNDARY MAYO STEAM ELECTRIC PLANT, ROXBORO, NORTH CAROLINA, 2019 (MURDOCH APPROXIMATE FUTURE ET AL, 2019). _ ._ . ASHBAS(SEENOTE6)IN WASTE BOUNDARY f f ■ ■ 1 ASH BASIN COMPLIANCE BOUNDARY y _ (SEE NOTE 6) 5. THE WATERS OF THE U.S. DELINEATION HAS NOT BEEN APPROVED BY THE - — - RIGHT-OF-WAY (DUKE ENERGY PROPERTY) U.S. ARMY CORPS OF ENGINEERS ATTHE TIME OF THE MAP CREATION. THIS e + 1, . , y _ r ti DUKE ENERGY PROGRESS PROPERTY LINE MAP IS A PRELIMINARY JURISDICTIONAL DETERMINATION ONLY. THE ; • V �, �, ` i 1 1 PRELIMINARY WETLANDS AND STREAMS BOUNDARIES WERE OBTAINED FROM `♦ AMEC FOSTER WHEELER ENVIRONMENTAL & INFRASTRUCTURE, INC. NATURALS . y , r 1 STREAM (AMEC NRTR) RESOURCES TECHNICAL REPORT (NRTR) FOR MAYO STEAM ELECTRIC PLANT ' _ \ • DATED JANUARY 2014 AND UPDATED ON JULY 11, 2018 TO REMOVE ONE 1 r \ \ + f PREVIOUSLY MISIDENTIFIED WETLAND NEAR THE ASH BASIN DISCHARGE CHANNEL.► GRAPHIC SCALE FIGURE 5-5a �` y ti DUKE 380 0 380 760 �+ +� 6. AREA OF INVESTIGATION THAT DETERMINED SETTLED CCR MATERIAL IS NOT r � � r F "-+ ` " FLOW VELOCITY VECTORS AND MAGNITUDES FOR � ENERGY PRESENT IN THIS AREA OF THE ASH BASIN. A FUTURE REPRESENTATIVE ASH �, r� ' �` (IN FEET) PRE -DECANTING CONDITIONS BASIN WASTE AND COMPLIANCE BOUNDARY IS INCLUDED IN THE MAYO NPDES PROGRESS \ DRAWNBY: A.ROBINSON DATE:06/06/2019 TRANSITION ZONE (MODEL LAYER 13) 20E$MITNC0038377PARTI,5.A.(18.)ATTACHMENTBFIGURE1.1DATEDJULYI3, f . L REV ISEDBY: A.ROBINSON DATE:12/06/2019 CORRECTIVE ACTION PLAN UPDATE I �' CHECKED BY: P. ALTMAN DATE: 12/06/2019 7. DRAWING HAS BEEN SET WITH A PROJECTION OF NORTH CAROLINA STATE APPROVED BY:J. WYLIE DATE:12/06/2019 MAYO STEAM ELECTRIC PLANT / PROJECT MANAGER: ROXBORO NORTH CAROLINA PLANE COORDINATE SYSTEM FIPS 3200 (NAD83). � 'IN �. � - � �/�'�Terra , —� " ' www.synterracorp.com { ! f f f f f I . !l "ice f `! !! 1� 11 \ t ■ ti� �: ` �, NORTH CAROLINA-VIRGINIA STATE LINE f HALIFAX COUNTY J / l (APPROXIMATE) �l-� - .Ff A -_—� f 1 ,F ��i—^"-l� f / ! �ti -__ PERSON COUNTY r lb41 LAW Imp y + + ■ +.�.� �' LEGEND 40 ; ■ - `, "�1 �`�', it �� '� •rr ; `*,`'�1w- NOTES: +l '1 1 ' / ` Z �� ` 1 ~ 0 1 1. VELOCITY MAGNITUDES IN FEET PER DAY (FT/DAY). `�► r� ' f r ` �_ - r 2. VELOCITY VECTORS ARE IN THREE DIMENSIONS. I ` �-. ` �. 1 ►'. •1. �` 3. VELOCITY VECTOR DIRECTIONS SHOWN AS BLACK ARROWS. LINEDON `-' : i : 1 A` j �+ t 4. UPDATED GROUNDWATER FLOW AND TRANSPORT MODELING REPORT FOR ■ t . FUTUASH BASIN WASTE BOUNDARY MAYO STEAM ELECTRIC PLANT, ROXBORO, NORTH CAROLINA, 2019 (MURDOCH APPROXIMATE RE ` ti AREA ASHBASINWASTE BOUNDARY ET AL, 2019. 1 Y _ (SEE NOTE 6) .� l 1� { J SEEN ASH BASIN COMPLIANCE BOUNDARY �. � ► � " 5 5. THE WATERS OF THE U.S. DELINEATION HAS NOT BEEN APPROVED BY THE La RIGHT-OF-WAY (DUKE ENERGY PROPERTY) U.S. ARMY CORPS OF ENGINEERS AT THE TIME OF THE MAP CREATION. THIS �.� _ f►' - = L { �. �' `. 1,� r DUKE ENERGY PROGRESS PROPERTY LINE MAP IS A PRELIMINARY JURISDICTIONAL DETERMINATION ONLY. THE ► 1 I - ,...1► ti _ ` t ••' ' ► , r PRELIMINARY WETLANDS AND STREAMS BOUNDARIES WERE OBTAINED FROM , �' ti 1 ` • • . �' AMEC FOSTER WHEELER ENVIRONMENTAL & INFRASTRUCTURE, INC. NATURAL �r 1 �' �_ ti t • t ` 1 STREAM (AMEC NRTR) RESOURCES TECHNICAL REPORT (NRTR) FOR MAYO STEAM ELECTRIC PLANT �, DATED JANUARY 2014 AND UPDATED ON JULY 11, 2018 TO REMOVE ONE + f PREVIOUSLY MISIDENTIFIED WETLAND NEAR THE ASH BASIN DISCHARGE ` ` ■ ' CHANNEL. 1 I ■ ~ ` e GRAPHIC SCALE FIGURE 5-5b DUKE 380 0 380 760 6. AREA OF INVESTIGATION THAT DETERMINED SETTLED CCR MATERIAL IS NOT FLOW VELOCITY VECTORS AND MAGNITUDES FOR PRESENT IN THIS AREA OF THE ASH BASIN. A FUTURE REPRESENTATIVE ASH �� �.�ENERGY (IN FEET) CLOSURE -BY -EXCAVATION SCENARIO BASIN WASTE AND COMPLIANCE BOUNDARY IS INCLUDED IN THE MAYO NPDES I \ - ' y --,. PROGRESS PERMIT NCO038377PART I,5.A.(18.)ATTACHMENT BFIGURE 1.1 DATED JULY13, a - 1 DRAWN BY: A. ROBINSON DATE:06/06/2019 TRANSITION ZONE (MODEL LAYER 13) REVISED BY: A. ROBINSON DATE: 12/06/2019 2018. \ :` ti CHECKED BY.'P.ALTMAN DATE:12/06/2019 CORRECTIVE ACTION PLAN UPDATE 7. DRAWING HAS BEEN SET WITH A PROJECTION OF NORTH CAROLINA STATE f APPROVED BY:J. WYLIE DATE:12/06/2019 MAYO STEAM ELECTRIC PLANT PLANE COORDINATE SYSTEM FIPS 3200 (NAD83). `.. f synTerrd PROJECT MANAGER:J. WYLIE ROXBORO, NORTH CAROLINA ' 1 www.synterracorp.com r — 1 \ _ ■ j Af t \ L NORTH CAROLINA-VIRGINIA STATE LINE 1 ` • .� r� HALIFAX COUNTY op � l � } � � _ t (APPROXIMATE) +'� -.ram,.-�•�.- ,.�.•' .-.•�� �. ,.-�� F� —.�--- — _ -7 T� �^ } -�-- - r PERSON COUNTY -- �' r r • YAYO LAKE •..�� I 7 f �" f r, f' eo tw A. 10 �• ti _ \ 1 1 ! .• A LEGEND sk Ad T ti NOTES:- 1. VELOCITY MAGNITUDES IN FEET PER DAY (FT/DAY).` a `� •� Imo' �4 ` �� 40 2. VELOCITY VECTORS ARE IN THREE DIMENSIONS. lk 3. VELOCITY VECTOR DIRECTIONS SHOWN AS BLACK ARROWS. ■ r • _ \ ` t /� 1 4. UPDATED GROUNDWATER FLOW AND TRANSPORT MODELING REPORT FOR I �' Isr • Y \ ` `4 1 ~ { '1 \ ASH BASIN WASTE BOUNDARY MAYO STEAM ELECTRIC PLANT, ROXBORO, NORTH CAROLINA, 2019 (MURDOCH ; APPROXIMATEFUTURE = �'J a ASH BASIN WASTEBOUNDARY ET AL, 2019). (SEE NOTE 6) ■ ■ ASH BASIN COMPLIANCE BOUNDARY 1 5. THE WATERS OF THE U.S. DELINEATION HAS NOT BEEN APPROVED BY THE r �I +�-• r ~ ti '\ / ti ~ .� — - — - RIGHT-OF-WAY (DUKE ENERGY PROPERTY) U.S. ARMY CORPS OF ENGINEERS AT THE TIME OF THE MAP CREATION. THIS f - ` R MAP IS A PRELIMINARY JURISDICTIONAL DETERMINATION ONLY. THE J �' ` ` N • ' ' �. `' ti ` ' ' DUKE ENERGY PROGRESS PROPERTY LINE PRELIMINARY WETLANDS AND STREAMS BOUNDARIES WERE OBTAINED FROM ' I �� AMEC FOSTER WHEELER ENVIRONMENTAL & INFRASTRUCTURE, INC. NATURAL r r r 1 ~ 1 , STREAM (AMEC NRTR) RESOURCES TECHNICAL REPORT (NRTR) FOR MAYO STEAM ELECTRIC PLANT ■ _ , DATED JANUARY 2014 AND UPDATED ON JULY 11, 2018 TO REMOVE ONE I y� f • PREVIOUSLY MISIDENTIFIED WETLAND NEAR THE ASH BASIN DISCHARGE r CHANNEL. _ _ ` t' 'r 380 GORAPHICSC380 76o FIGURE 5-5c 6. AREA OFINVESTIGATION THAT DETERMINED SETTLED CCRMATERIALISNOT f 1 `� �� DUKE FLOW VELOCITY VECTORS AND MAGNITUDES FOR PRESENT IN THIS AREA OF THE ASH BASIN. AFUTURE REPRESENTATIVEASH r1 r =ti • �. ENERGY (IN FEET) BASIN WASTE AND COMPLIANCE BOUNDARY IS INCLUDED IN THE MAYO NPDCLOSURE-IN-PLACE SCENARIO P�20GRE55 ES f ?� 1 ti • y PERMITNC0038377PART1,5.A.(18.)ATTACHMENTBFIGUREI.1 DATEDJULYI3, I 1 DRAWN BY: A. ROBINSON DATE:06/06/2019 TRANSITION ZONE (MODEL LAYER 13) IS BY: A. ROBINSON DATE: 12/06/2019 2018. r T.., CHECKED BY: P.ALTMAN DATE:12/06/2019 CORRECTIVE ACTION PLAN UPDATE 7. DRAWING HAS BEEN SET WITH A PROJECTION OF NORTH CAROLINA STATE ` f = APPROVED BY:J. WYLIE DATE:12/06/2019 MAYO STEAM ELECTRIC PLANT PLANE COORDINATE SYSTEM FIPS 3200 (NAD83). f` ` synTerra PROJECT MANAGER:J. WYLIE ROXBORO NORTH CAROLINA —� 4 , www.synterracorp.com NORTH CAROLINA-VIRGINIA STATE LINE HALIFAX COUNTY (APPROXIMATE) I I ' 1 I ♦ I♦ 0♦ J# f PERSON COUNTY ,♦ I♦ RT NEST R P Ro I 1 1 CCP MONOFILL 1 0 MY-L000 MY2018-C _ ♦ r ♦ t ' I ♦ AYO LAKE ROAO ♦ r •1 ` I � a 1 1 r I r `■ R ( • jAREA i ! • • 1 � 1 I • 1 ► v 0P° i APPROXIMATE FUTURE + ASH BASIN WASTE BOUNDARY 1 (SEE NOTE 2) 1 100' HWY 501 W,dRIGHT-OF-WAYM ♦ MY-L - ♦ ! MY-2011 MY-2008 N M -2005 ., �^ MY2007 MULLINS LN MY2009 I I♦ I ♦I ♦I I I I I I I♦ 1 1 1 ■ 1 1 DUKE �� ENERGY 650 GRAPHIC SCALE 0 (IN FEET) 650 1,300 PROGRESS DRAWN BY: A. ROBINSON REVISED BY: A. ROBINSON DATE: 06/05/2019 DATE: 12/12/2019 CHECKED BY: P. ALTMAN DATE: 12/12/2019 APPROVED BY: J. WYLIE DATE: 12/12/2019 PROJECT MANAGER: J. WYLIE LEGEND WATER TREATMENT SYSTEM 0 OPT OUT OR NON -RESPONSIVE OF WATER TREATMENT SYSTEM LOCATION DEEMED NOT ELIGIBLE PER HOUSE BILL 630 (BUSINESS/CHURCH/SCHOOL) BUT VOLUNTARILY SUPPLIED PERMANENT WATER SOLUTION VACANT PARCELS PARTIALLY OR ENTIRELY WITHIN HALF -MILE RADIUS NOT OWNED BY DUKE ENERGY CITY OF ROXBORO WATER LINE HALF MILE RADIUS FROM ASH BASIN COMPLIANCE BOUNDARY ASH BASIN WASTE BOUNDARY ASH BASIN COMPLIANCE BOUNDARY — - — - - RIGHT-OF-WAY (DUKE ENERGY PROPERTY) DUKE ENERGY PROGRESS PROPERTY LINE STREAM (AMEC NRTR) T� WETLAND (AMEC NRTR) 10 GENERALIZED GROUNDWATER FLOW DIRECTION NOTES: 1. THE WATERS OF THE U.S. DELINEATION HAS NOT BEEN APPROVED BY THE U.S. ARMY CORPS OF ENGINEERS AT THE TIME OF THE MAP CREATION. THIS MAP IS A PRELIMINARY JURISDICTIONAL DETERMINATION ONLY. THE PRELIMINARY WETLANDS AND STREAMS BOUNDARIES WERE OBTAINED FROM AMEC FOSTER WHEELER ENVIRONMENTAL & INFRASTRUCTURE, INC. NATURAL RESOURCES TECHNICAL REPORT (NRTR) FOR MAYO STEAM ELECTRIC PLANT DATED JANUARY 2014 AND UPDATED ON JULY 11, 2018 TO REMOVE ONE PREVIOUSLY MISIDENTIFIED WETLAND NEAR THE ASH BASIN DISCHARGE CHANNEL. 2. AREA OF INVESTIGATION THAT DETERMINED SETTLED CCR MATERIAL IS NOT PRESENT IN THIS AREA OF THE ASH BASIN. A FUTURE REPRESENTATIVE ASH BASIN WASTE AND COMPLIANCE BOUNDARY IS INCLUDED IN THE MAYO NPDES PERMIT NCO038377 PART I, 5.A.(18.) ATTACHMENT B FIGURE 1.1 DATED JULY 13, 2018. 3. THE TOPOGRAPHY IS SHOWN FOR REFERENCE PURPOSES ONLY AND SHOULD NOT BE USED FOR DESIGN OR ENGINEERING PURPOSES. TOPOGRAPHY IS BASED ON LIDAR BARE EARTH DATA OBTAINED FROM THE NORTH CAROLINA SPATIAL DATA SITE AT https://sdd.nc.gov/sdd/DataDownload.aspx. 4. ALL BOUNDARIES ARE APPROXIMATE 0w2i]»:71va ii11LIBill :Ya,:1iP/b]A.1:17.111 /:1411ml:ZH'd,:1i1c]:1*R 6. AERIAL PHOTOGRAPHY OBTAINED FROM ESRI ONLINE ON JUNE 10, 2019. AERIAL WAS COLLECTED ON FEBRUARY 6, 2017. 7. DRAWING HAS BEEN SET WITH A PROJECTION OF NORTH CAROLINA STATE PLANE COORDINATE SYSTEM FIPS 3200 (NAD83). FIGURE 5-6 HB630 PROVISION OF PERMANENT WATER SUPPLY COMPLETION MAP CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT ROXBORO, NORTH CAROLINA HALIFAX COUNTY PERSON COUNTY r --- i ♦4* �• — I I �♦ `. NORTOCAROLINA-VIRGINIA STATE LINE ♦ , Iown*-ifto (APPROXIMATE) 40 • • ♦ S=MAYOLq `•� INSTREA • • I LAKE RO_gp_ , CRUTCHFI 1 • _ _ __� ; ♦I �� / /i , _.� ; :Z I BRA NCWSW-CBI I • �•♦ I S-lA S-4 r� r ♦ RT NFSTe • g_1 S-2 5-10 �' Ro • . • a i 1 1990 1430 0 774 ' — - - - • ` 7 / ♦ S-2B 1 . \ \ / � I / �• 1830 � � � • sLANDFILL 1 • 1 1 II �1 G I � ' 1 • 11 1 1 • �00 1' 11 � i r♦ • 9 ♦I 1 At _ APPROXIMATE FUTURE 1 1 BASIN= A)NTE BOUNDARY r 1 (SEE NOTE ^y I 0 0 •♦ �� •00 ♦� oo MULLINS LN o ♦ I ♦ h ♦ I ♦ A 1.0 I ♦ Outfall 001 I - ♦ I I 0 S6 It ENERGY PROGRESS 1 1 ♦ I I I LEGEND ■ 02L -02B SURFACE WATER SAMPLE LOCATION BORON CONCENTRATION SURFACE WATER IMIIIIIIII CONSTRUCTED SEEP MONITORED UNDER THE SOC (APPROXIMATE) 5430 BORON CONCENTRATION CONSTRUCTED SEEP NON -CONSTRUCTED SEEP MONITORED UNDER THE SOC (APPROXIMATE) 774 BORON CONCENTRATION NON -CONSTRUCTED SEEP DISPOSITIONED SEEP (APPROXIMATE) IN -STREAM SURFACE WATER LOCATION PER SOC (APPROXIMATE) NPDES OUTFALL LOCATION GRAPHIC SCALE 580 0 580 1,160 (IN FEET) DRAWN BY: A. ROBINSON DATE: 06/05/2019 REVISED BY: A. ROBINSON DATE: 12/16/2019 CHECKED BY: P. ALTMAN DATE: 12/16/2019 APPROVED BY: J. WYLIE DATE: 12/16/2019 PROJECT MANAGER: J. WYLIE �:69 :1:1_F911 \�P/_F91 � :i•11J I L7_1:>! 1 — • — - - ASH BASIN COMPLIANCE BOUNDARY — - — - - RIGHT-OF-WAY (DUKE ENERGY PROPERTY) - - DUKE ENERGY PROGRESS PROPERTY LINE STREAM (AMEC NRTR) ® WETLAND (AMEC NRTR) ® ASH BASIN FREE PONDED WATER OTHER NPDES REGULATED WATER FEATURE :[•ii4.3 1. GROUNDWATER TO SURFACE WATER (02L-02B) SAMPLES WERE COLLECTED TO ASSESS WHETHER GROUNDWATER MIGRATION IS CAUSING CONSTITUENT CONCENTRATIONS IN CRUTC HFIELD BRANCH TO BE GREATER THAN THE APPLICABLE 02B STANDARDS. 02L-02B SAMPLING WAS CONDUCTED FROM APRIL 30 - MAY 3, 2018 FOLLOWING DIVISION APPROVED PROTOCOLS. IN THE FIVE DAYS PRIOR TO SAMPLING, A TOTAL OF 0.60 INCHES OF RAINFALL WAS OBSERVED AT MAYO STEAM ELECTRIC PLANT. DURING THE FOUR -DAY SAMPLING EVENT, NO RAINFALL WAS OBSERVED AT MAYO STEAM ELECTRIC PLANT. RESULTS FROM 02L-02B SAMPLING INDICATE THERE ARE NO CONSTITUENT CONCENTRATIONS GREATER THAN THE APPLICABLE 02B STANDARDS IN CRUTCHFIELD BRANCH. 2. AREA OF INVESTIGATION THAT DETERMINED SETTLED CCR MATERIAL IS NOT PRESENT IN THIS AREA OF THE ASH BASIN. A FUTURE REPRESENTATIVE ASH BASIN WASTE AND COMPLIANCE BOUNDARY IS INCLUDED IN THE MAYO NPDES PERMIT NCO038377 PART I, 5.A.(18.) ATTACHMENT B FIGURE 1.1 DATED JULY 13, 2018. 3. CONSTRUCTED AND NON -CONSTRUCTED SEEPS ARE COVERED UNDER THE SPECIAL ORDER BY CONSENT (SOC) EMC SOC WOS18-005. 4. THE WATERS OF THE U.S. DELINEATION HAS NOT BEEN APPROVED BY THE U.S. ARMY CORPS OF ENGINEERS AT THE TIME OF THE MAP CREATION. THIS MAP IS A PRELIMINARY JURISDICTIONAL DETERMINATION ONLY. THE PRELIMINARY WETLANDS AND STREAMS BOUNDARIES WERE OBTAINED FROM AMEC FOSTER WHEELER ENVIRONMENTAL 8 INFRASTRUCTURE, INC. NATURAL RESOURCES TECHNICAL REPORT (NRTR) FOR MAYO STEAM ELECTRIC PLANT DATED JANUARY 2014 AND UPDATED ON JULY 11, 2018 TO REMOVE ONE PREVIOUSLY MISIDENTIFIED WETLAND NEAR THE ASH BASIN DISCHARGE CHANNEL. 5. THE TOPOGRAPHY IS SHOWN FOR REFERENCE PURPOSES ONLYAND SHOULD NOT BE USED FOR DESIGN OR ENGINEERING PURPOSES. TOPOGRAPHY IS BASED ON LIDAR BARE EARTH DATA OBTAINED FROM THE NORTH CAROLINA SPATIAL DATA SITE AT HTTPS:IISDD.NC.GO VISDDIDATADO W NLOAD.ASPX. 6. ALL BOUNDARIES ARE APPROXIMATE 7. PROPERTY BOUNDARY PROVIDED BY DUKE ENERGY PROGRESS 8. AERIAL PHOTOGRAPHY OBTAINED FROM ESRI ONLINE ON JUNE 10, 2019. AERIAL WAS COLLECTED ON FEBRUARY 6, 2017. 9. DRAWING HAS BEEN SET WITH A PROJECTION OF NORTH CAROLINA STATE PLANE COORDINATE SYSTEM PIPS 3200 (NAD83). FIGURE 5-7 MAP OF SURFACE WATERS CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT ROXBORO, NORTH CAROLINA Corrective Action Plan Update December 2019 Mayo Steam Electric Plant SynTerra Figure 6-1 Fly Ash and Bottom Ash Interbedded Depiction Included in Section 6 text A--ow- (SOUTHWEST) A' (NORTHEAST) /ice j _ 1 i \ ♦ /\/\I/1 �/�/\I/1� / \/\I/1 �/�/\I/1� /\/\I/1 �/�/\I/1� / \/\I/1 �/ �/\I/1� /\/\I/1 �/ �/\I/1� / \/\I/1 �/ �/\I/1� /\/\I/1 �/ �/\I/1� / \/\I/1 �/�/\I/1� /\/\I/1 �/�/\I/1� / \/\I/1 �/�/\I/1� /\. LEGEND MW 12S WELL IN ALLUVIUM OR SAPROLITE MW 16D WELL IN TRANSITION ZONE MW 16BR WELL IN BEDROCK ABMW 2 WELL IN ASH PORE WATER GENERALIZED WATER TABLE GENERALIZED GROUNDWATER FLOW DIRECTION GENERALIZED SUBSURFACE ASH PORE WATER FLOW DIRECTION GENERALIZED VERTICAL HYDRAULIC GRADENT - - - GENERALIZED FRACTURE ORIENTATIONS 0 ASH Q ASH PORE WATER / WASTEWATER 0 SAPROLITE ® TRANSITION ZONE BEDROCK NOTES ASH PORE WATER FLOW LAYER 1. WATER ELEVATIONS REPRESENT THE APRIL 2019 GAUGING EVENT FOR EACH WELL. NOTE ELEVATIONS WITHIN EACH CLUSTER ARE MEASURED IN THE SAME DAY. REFERENCED TO NORTH WATER LEVEL ELEVATION AMERICAN VERTICAL DATUM 1988. 7 ALLUVIUM OR SAPROLITE FLOW LAYER 2. WATER LEVEL IN MW-105BRL IS NOT PROVIDED BECAUSE THE WATER LEVEL HAD NOT REACHED GROUNDWATER LEVEL ELEVATION STATIC CONDITIONS. 3. FRACTURES DEPICTED ON THIS CROSS SECTION REPRESENT THE GENERALIZED TRANSITION ZONE FLOW LAYER GROUNDWATER ORIENTATIONS OF THE PREVALENT FRACTURE SETS OBSERVED AT THE SITE BASED ON TELEVIEWER LEVEL ELEVATION LOGGING AT SITE -SPECIFIC BOREHOLES. THEY ARE SHOWN WITH APPROPRIATE APPARENT DIP, WITH VERTICAL EXAGGERATION. THIS CROSS SECTION IS APPROXIMATELY PARALLEL TO THE PREDOMINANT FRACTURE STRIKE DIRECTION. THE ACTUAL NUMBER OF FRACTURES IS FAR TOO BEDROCK FLOW LAYER GROUNDWATER NUMEROUS TO ILLUSTRATE AT THIS SCALE. IN ADDITION, THE DEPTHS AND LENGTHS OF FRACTURES LEVEL ELEVATION VERSUS DEPTH ARE CONCEPTUAL ONLY. 4. ALL BOUNDARIES ARE APPROXIMATE. WELL SCREEN 5. CROSS SECTION REPRESENTATIVE OF PRE -DECANTING CONDITIONS. 381.02 WATER LEVEL ELEVATION (NAVD 88) (LABEL COLORING BY FLOW ZONE) DUKE ENERGY PROGRESS GRAPHIC SCALE PROPERTY LINE 0 135 270 540 - - - ASH BASIN COMPLIANCE BOUNDARY 'DUKE FIGURE 6-2 HORIZONTAL SCALE: 1°=540• A ENERGY VERTICAL 1"= GENERAL CROSS-SECTION A ASH BASIN WASTE BOUNDARY TI -A' 5X VERTICAL EXAGGERATION EXAGGERATION PROGRESS DRAWN BY: J. CHASTAIN DATE:08/02/2019 ASH BASIN REVISED DATE:12/2/2019 CORRECTIVE ACTION PLAN UPDATE CHECKED BY: P. ALTMAN DATE: 12/2/2019 116rip APPROVED BY: P.ALTMAN DATE:12/2/2019 MAYO STEAM ELECTRIC PLANT PROJECT MANAGER: J. WYLIE LAYOUT: FIG 6-2 (ASH BASIN-WQ ROXBORO, NORTH CAROLINA synTel'1'd www.synterracorp.com 1501 1001 11 1 =�- MAYO / - L EKE ROAD-= - - _ �.- .-.. I — _ �- / / ® Mqy—LAKE ROAD_ / r 4. ♦� 4♦. POST CLOSURE PRE -DECANTING . / / CONDITIONS ° �� ° '°•♦ �: , CONDITIONS FOR CLOSURE ♦. °�♦ rl `\� `` ���� -IN -PLACE i ; � \ ���/�, �� �,� ` .�': ,AREA LANDFILL Oe%` , r , 4D AREI , I � � lEY-�\ � � 1�� ` �///-�.%/J �`�! J � �� _ i � ; %lil, ��� �� 1 �/ � �� ✓jJ// � %//l�I� (CLOSED) - 0.0 o%�J//� l/// %� ill` ��` i" \� ^ _.I�,// /1{I iIm "1 p-� 1 1// ° {I 00 ,� �� Ao / w I 1 11 1 / /L 11 .1 1+ � APPROXIMATEFUTURE 0 ' ` / V ASH BASIN WASTE BOUNDARY/ ♦ y '- �. I fff'/// _ , • l (SEE NOTE 2) 1 1 1 I {�y�{ W . , 1/ 6 1 I /• ( I r � APPROXIMATE FUTURE , /// ` 77�SS" ASH BASIN WASTE BOUNDARY t4 ^ (SEE NOTE 2) 1 1 _ 1 I 'i'�a►. 80 FEET 1 1 1 - 80 FEET dim. W_ ' • - . 0 FEET i 0 FEET 1 1 1 - 1 1 *0 Oft LEGEND NOTES 1. ASH THICKNESS ISOPACH SURFACES FROM FLOW AND TRANSPORT MODELS (MURDOCH et al., 2019). -—SATURATEDASHTHICKNESSISOPACH(FT) 2. AREA OFINVESTIGATION THAT DETERMINED SETTLED CCRMATERIAL ISNOT PRESENT INTHIS AREA OFTHE ASH BASIN. A ASH BASIN WASTE BOUNDARY FUTURE REPRESENTATIVE ASH BASIN WASTE AND COMPLIANCE BOUNDARY IS INCLUDED IN THE MAYO NPDES PERMIT NCO038377 PART 1,5.A.(18.) ATTACHMENT B FIGURE 1.1 DATED JULY 13,2018. DUKE ENERGY GRAPHIC SCALE 330 0 330 660 (IN FEET) FIGURE 6-3 SATURATED ASH THICKNESS PRE -DECANTING AND CLOSURE -IN -PLACE SCENARIOS SCENARIOS DRAWN BY: A. ROBINSON REVISEDBY: C.DAVIS CHECKED BY: P.ALTMAN DATE: 06/07/2019 DATE:12/15/2019 DATE:12/15/2019 _ - _ ASH BASIN COMPLIANCE BOUNDARY 3. SATURATED ASH THICKNESS BASED ON CLOSURE MODEL RESULTS WITH UNDERDRAINS. ---RIGHT-OF-WAY (DUKE ENERGY PROPERTY) 4. ALL BOUNDARIES ARE APPROXIMATE. • DUKE ENERGY PROGRESS PROPERTY LINE PROGRESS J CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT 5. PROPERTY BOUNDARY PROVIDED BY DUKE ENERGY PROGRESS. 6. AERIAL PHOTOGRAPHY OBTAINED FROM ESRI ONLINE ON JUNE 10, 2019AERIAL WAS COLLECTED ON FEBRUARY 6, 2017. APPROVED BY: J. WYLIE PROJECT MANAGER: J. WYLIE DATE: 12/15/2019 ROXBORO, NORTH CAROLINA 7. DRAWING HAS BEEN SET WITH A PROJECTION OF NORTH CAROLINA STATE PLANE COORDINATE SYSTEM PIPS 3200 synTerra www.s nterraco77m A---w-- (SOUTHWEST) now A' ASH BASIN COMPLIANCE BOUNDARY (NORTHEAST) 0 a 0 0-1 ASH BASIN WASTE BOUNDARY U) ABMW-4 WELL CLUSTER LOCATED IN THE a ORIGINAL CHANNEL OF CRUTCHFIELD BRANCH BASED ON HISTORIC USGS TOPO z v+li+\� tir AND AERIAL PHOTOGRAPHS N 03 N in N Y' m m m 2 2 2 0? m U o m m m SAPROLITE 0 00 0 ¢¢¢ mmm �� a ooLOLOLO L o 0 0 0 ¢¢¢ TOP OF ASH o -1 o 0 IW-12S 3 <50 COAL PILE AREA J J J J 00 ¢¢ °� BASIN DAM= 488 z in U U U ` m m ¢ EARTHEN DAM o 0 1W-12D TRANSITION — SAPROLITE (FILL) a d d 3 <5 ZONE _ GENERALIZED GROUND TER FLOW DIRECTION _ - =--_ TRANSITION ----- - - - - - - - -------- ----- ABMW-3 -ASH====--_ WATER ELEVATION=480 �� ��� Q < - - -_ - - - - - - - -_--- --_-_ -- -ASH---- -- 195 4 N w -4AMWa 3:BM B 5,470 B8532 AMW1,320 g L\1� U \- / \ , ABM Q B 3, - TRANSITION ZONE / / I I.�.r \I1L /-i\I./`/_ /\ -i\I/1 /-i I./ -i\I/1 /-i\'`- ABMW-2BR -i\I/1 /-i I\/\ -/\I/\ /\ TRA MW-16S \/\ /1, BEDROCK.\ \ 1, \/\ /1, \ /1, \/\ /1, \ /1,�\ /\, \ �\ /1, \ ,�\ _,�\ /1,�� _ /�\ / ,�_ TIO R-1055 ABMW-4BR B <5 \�/\ / _ \ / /. / _ \ . / _ E N 11 510 B <50 i,\/\/1/\i/�/1�`�/\'I/\i/\\/I�\`�/`'I/\ CW-2 CCR-105D .ALLUVIUM- \/\I/1�/ /\I ♦/ /\I 1`/ /\I ♦/ /\I/1\/ /\I ♦/ I ♦/- _ _ /\/1 /\I ♦/ /\I/1`/-/ I ♦/_ /\I/1 /�'�T_ �I/1�/\/\I/1�/\/ B 810 B 720 SAPROLITE 7-- �1 /\-_\ 1�/�-\�\'/�-\-1�/�-\�1'/� _\-1//` -\�,�, 1//. -\�\ /�-\-\//`-\�\'/\--\-\//`-\�\�/\--\ \/'' CCR-1056R / TRANSIT'oN ZONE MW-16D _�\I./``_\�I•/\�-i\I /`�-`'./- -�� /\/-\ /- -��-/BEDROCK'I\i-i\I /`/_\•I./`/ i\I�\B < ��Ice\\.li; _ _i�./`�_\•I./ _i�./`BEDROCK 894 B 273 \ / \ / 1 \ / 1 , \ / \ / 1 \ / 1 . \ / 1 / \ ` / \ \ I / 1 , \ / \ / 1 \ \ I / 1 CRUTCHFIELD Mw-166R - 1'/ - \ \'/ - \ - \'/ BRANCH \ B <50 /.--\1'/�\-1�/`=��/r/t/�4'/\-/\_1�/� BEDROCK B 50 \/\I/ 1� �\/\I/ 1` �\/\I/ 1� �\/\I/ 1` �\/\I/1� �\/\I/ 1` �\/\I/ 1� ��-\fj 1>✓`t'��\fly /i-LL/1` �\/\I/1� �\/\I/1` �\/\I/ 1� �\/\'/ 1 � �\/\I/1� �\/\I/1` �\/\I/ 1� �\/\I/ 1` �\/\I/ 1� ��i\I/ 1` �\/\I/1 � ��i\I/ 1` �\/\I/ 1� ��i\I/ 1` �\i\I/1� ��i\I/1` �\. \/\I/ 1; ��%\I/ 1` `\%\I/ 1; ��%\I/ 1` `\%\I/1; ��%\I/ 1` `\%\I/ 1; ��%\I/ 1` `\%\I/1; ��%\I/1` `\%\I/1; ��%\I/1` `\%\I/ 1; ��%\I/ 1` `\%\I/1; ��%\—I/1�` `\%\I/ 1; ��%\I/ 1` `\%\I/ 1; ��%\I/ 1�!r\.J��-.i+� �[i�*/ j � �\r\I/ 1; ��i\I/ 1` �\i\I/1; ��i\I/1` �\• /. � / I� \/./\ / li \/. � / I� \/./\ / li \/. � / I� \/./\ / li \/. � / I� \/./\ / I.yL. � / li \lil\ / 1, \l• � / 1' \/ ;�\ //I, \/• � / I' \/ \�\ //I, \/ �� //1' \/ ;�\ //1, \/ �� /,I' \/ \�\ //I, \/ �� /,I' \/ \�\ //I, \/ ;� //I' \/ ;�\ //I \/ ;� /,I' \/ \�\ //I, \/ ;� //1' \/ ;�\ //1, \/� - I � ♦ /- I ` ♦ / - I � ♦ /- I ` ♦ / - I � ♦ /- I ` \ / - I � ♦ /- I ` ♦ / - I � ♦ /- I ` \ / - I � ♦ /- I ` \ / - I � ♦ /- I ` ♦ / - I � ♦ /- I ` ♦ / - I � ♦ /- I ` ♦ / - I � ♦ /- I ` ♦ / - I � ♦ /- I ` , - I � ♦ /- I ` ♦ / - I � ♦ /- ` I . / \ � _ ♦ / � / \ I / 1 � � \ / \ I / 1 � � \ / \ I / 1 � � \ / \ I / 1 � � \ / \ I / 1 � � \ / \ I / 1 � � \ / \ I / 1 � � \ / \ I / 1 � � \ / \ I / 1 � � \ / \ I / 1 � � \ / \ I / 1 � � \ / \ I / 1 � � \ / \ I / 1 � � \ / \ I / 1 � � \ / \ I / 1 � � \ / \ I / 1 � � \ / \ I / 1 � � \ / \ I / 1 � � \ / \ I / 1 � � \ / \ I / 1 � � \ . LEGEND MW 12S V ASH PORE WATER FLOW LAYER WELL IN ALLUVIUM OR SAPROLITE WATER LEVEL ELEVATION MW 16D WELL IN TRANSITION ZONE V ALLUVIUM OR SAPROLITE FLOW LAYER MW 16BR WELL IN BEDROCK GROUNDWATER LEVEL ELEVATION ABMW 2 WELL IN ASH PORE WATER TRANSITION ZONE FLOW LAYER GROUNDWATER _ L GENERALIZED WATER TABLE LEVEL ELEVATION BEDROCK FLOW LAYER GROUNDWATER GENERALIZED GROUNDWATER LEVEL ELEVATION FLOW DIRECTION �► GENERALIZED SUBSURFACE ASH WELL SCREEN PORE WATER FLOW DIRECTION — — — GENERALIZED FRACTURE ORIENTATIONS 0 ASH — ASH PORE WATER / WASTEWATER 0 SAPROLITE ® TRANSITION ZONE BEDROCK MW-105BRM BORON CONCENTRATION (Ng/L) B 1 <50 (LABEL COLORING BY FLOW ZONE) DUKE ENERGY PROGRESS PROPERTY LINE — — — ASH BASIN COMPLIANCE BOUNDARY ASH BASIN WASTE BOUNDARY Reporting Units Ng/L 15A NCAC 021-Standard 700 Background Threshold Values (Surficial Flow Zone)' 50 Background Threshold Values (Transition Zone)' 50 Background Threshold Values (Bedrock Flow Zone)' S0 NOTES 1. BACKGROUND THRESHOLD VALUES WERE CALCULATED USING DATA FROM BACKGROUND GROUNDWATER SAMPLES COLLECTED APRIL, 2010 TO DECEMBER 2018 AS SUBMITTED IN JUNE, 2019. 2. ALL CONCENTRATIONS SHOWN ARE STATISTICAL MEANS CALCULATED USING DATA RANGING FROM JANUARY 2018 TO APRIL 2019. 3. ALL CONCENTRATIONS ARE IN MICROGRAMS PER LITER ug/L. 4. FRACTURES DEPICTED ON THIS CROSS SECTION REPRESENT THE GENERALIZED ORIENTATIONS OF THE PREVALENT FRACTURE SETS OBSERVED AT THE SITE BASED ON TELEVIEWER LOGGING AT SITE -SPECIFIC BOREHOLES. THEY ARE SHOWN WITH APPROPRIATE APPARENT DIP, WITH VERTICAL EXAGGERATION. THIS CROSS SECTION IS APPROXIMATELY PARALLEL TO THE PREDOMINANT FRACTURE STRIKE DIRECTION. THE ACTUAL NUMBER OF FRACTURES IS FAR TOO NUMEROUS TO ILLUSTRATE AT THIS SCALE. IN ADDITION, THE DEPTHS AND LENGTHS OF FRACTURES VERSUS DEPTH ARE CONCEPTUAL ONLY. 5. ALL BOUNDARIES ARE APPROXIMATE. 6. CROSS SECTION REPRESENTATIVE OF PRE -DECANTING CONDITIONS. 4 DUKE ENERGY PROGRESS 116rip synTena GRAPHIC SCALE 0 135 270 540 HORIZONTAL SCALE: 1" = 540' FIGURE 6-4 VERTICAL ICALEX GGERA EXAGGERATION GENERAL CROSS-SECTION A -A' 5X VERTICAL EXAGGERATION DRAWN BY: J. CHASTAIN DATE:08/02/2019 ASH BASIN -BORON REVISED DATE:12/2/2019 CORRECTIVE ACTION PLAN UPDATE CHECKED BY: P. ALTMAN DATE: 12/2/2019 APPROVED BY: P.ALTMAN DATE:12/2/2019 MAYO STEAM ELECTRIC PLANT PROJECT MANAGER: J. WYLIE LAYOUT: FIG 6-4(ASH BASIN -BORON) ROXBORO, NORTH CAROLINA www.synterracorp.com - ' NORTH CAROLINA-VIRGINIA STATE LINE HALIFAX COUNTY (APPROXIMATE) . 1 ri■�r-r �■r.�r�rrrr��-.���::■� Ir-�tr __--;� �•3dii�Y,. ;--ry �Fr�r�i � __-__ PERSON COUNTY WAYO LAKE rl ► r I CCR-103D � � • 1 s a _ 4_L+�r� r r • ' � • Ir r k �ii�idlii�i � _ _ � r r l l' RAILROAD- rr , - d r r e r • � I i jk RT HFSTFHaD t ABMW-3 r I>I r r . I r ■ I■ I d r rPAD , ■ �r rAREA ■ ■ I I 1FAL ■ ' rRAGE I dt a , 1 r I r • I r APPROXIMATE FUTURE ASH BASIN WASTE BOUNDARY (SEE NOTE 42�� r � ' r '• 1 r • 3 = MULLINS LN o ENERGY GRAPHIC SCALE 500 0 500 1,000 (IN FEET) DRAWN BY: A. ROBINSON DATE: 05/03/2019 REVISED BY: A. ROBINSON DATE: 12/04/2019 CHECKED BY: P. ALTMAN DATE: 12/04/2019 APPROVED BY: J.WYLIE DATE: 12/04/2019 PROJECT MANAGER: J. WYLIE LEGEND � TRANSDUCER LOCATION GEOCHEM ICAL SONDE LOCATION ASH BASIN WASTE BOUNDARY — - — - ASH BASIN COMPLIANCE BOUNDARY — - — - RIGHT-OF-WAY (DUKE ENERGY PROPERTY) - DUKE ENERGY PROGRESS PROPERTY LINE � STREAM (AMEC NRTR) 0 WETLAND (AMEC NRTR) NOTES: 1. GROUNDWATER MONITORING WELL TRANSDUCERS AND SONDES INSTALLED MARCH 19, 2019. ASH BASIN PONDED WATER TRANSDUCERS INSTALLED APRIL 24, 2019. 2. AREA OF INVESTIGATION THAT DETERMINED SETTLED CCR MATERIAL IS NOT PRESENT IN THIS AREA OF THE ASH BASIN. A FUTURE REPRESENTATIVE ASH BASIN WASTE AND COMPLIANCE BOUNDARY IS INCLUDED IN THE MAYO NPDES PERMIT NC0038377 PART I, 5.A.(18.) ATTACHMENT B FIGURE 1.1 DATED JULY 13, 2018. 3. THE WATERS OF THE U.S. DELINEATION HAS NOT BEEN APPROVED BY THE U.S. ARMY CORPS OF ENGINEERS AT THE TIME OF THE MAP CREATION. THIS MAP IS A PRELIMINARY JURISDICTIONAL DETERMINATION ONLY. THE PRELIMINARY WETLANDS AND STREAMS BOUNDARIES WERE OBTAINED FROM AMEC FOSTER WHEELER ENVIRONMENTAL &INFRASTRUCTURE, INC. NATURAL RESOURCES TECHNICAL REPORT (NRTR) FOR MAYO STEAM ELECTRIC PLANT DATED JANUARY 2014 AND UPDATED ON JULY 11, 2018 TO REMOVE ONE PREVIOUSLY MISIDENTIFIED WETLAND NEAR THE ASH BASIN DISCHARGE CHANNEL. 4. ALL BOUNDARIES ARE APPROXIMATE 5. PROPERTY BOUNDARY PROVIDED BY DUKE ENERGY PROGRESS. 6. AERIAL PHOTOGRAPHY OBTAINED FROM ESRI ONLINE ON JUNE 10, 2019. AERIAL WAS COLLECTED ON FEBRUARY 6, 2017. 7. DRAWING HAS BEEN SET WITH A PROJECTION OF NORTH CAROLINA STATE PLANE COORDINATE SYSTEM FIPS 3200 (NAD83). FIGURE 6-5 SITE LAYOUT DECANTING MONITORING NETWORK CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT ROXBORO, NORTH CAROLINA m ABMW-3 CCR-103D CCR-105D 2/1/19 3/1/19 4/1/19 5/1/19 6/1/19 7/1/19 8/1/19 9/1/19 2/1/19 7.0 3/1/19 4/1/19 5/1/19 6/1/19 7/1/19 8/1/19 9/1/19 2/1/19 3/1/19 4/1/19 5/1/19 6/1/19 7/1/19 8/1/19 9/1/19 8.0 6.5 7.5 6.5 6.4 Stable trend observed > 7.0 / / 6.0 6.3 _6.2 e. CL a 6.5 5.5 6.1 Stable trend observed 6.0 6-0 5.0 / Increasing trend observed i/ 600 prior to decanting 0 commencement 600 500 600 -100 > > 400 - 400 E 200 (7 300 `-' 300 a a O 300 C 200 O Decreasing tren 200 observed prior to decanting commencement 100 -400 100 0 500 0 Total change in water level from Total change in water level from 5 c 476 decanting is approximately -2.3 5 c Sample event c decanting is approximately -1.9 O feet between decanting start date O 384 5 �0—, feet between decanting start date Z and September 12, 2019 +' > 484 and September 12, 2019 4 .. > .� 4 .-. > .-. 382 4 C ^ u100 V W pip 474 T" ' ' Sample event C Go W 00 3 _ 0 3 _ 0 Total change in water level from 380 3 Sample event M > Q decanting is approximately -0.8 Q ,M > Q W c W c 0 feet between decanting start date c Z 482 2 to Z 2 10 Z g78 and September 12, 2019 2 M i Y 472 � 41 M 1 3 1 3 376 1 470 ALI 0 11 480 0 374ILL 0 2/1/19 3/1/19 4/1/19 5/1/19 6/1/19 7/1/19 8/1/19 9/1/19 2/1/19 3/1/19 4/1/19 5/1/19 6/1/19 7/1/19 8/1/19 9/1/19 2/1/19 3/1/19 4/1/19 5/1/19 6/1/19 7/1/19 8/1/19 9/1/19 Date Date Date Notes: LEGEND DUKE DRAWN BY: G. KHANG DATE: 10/02/2019 — NAVD 88 - North American Vertical Datum pH (S.U.) in - inches ENERGY REVISED BY: P. ALTMAN FIGURE 6-6 — Oxidation Reduction Potential (ORP) (mv) pS/cm - micro Siemens per centimeter PROGRESS GEOCHEMICAL WATER QUALITY PLOTS — Water Level Elevation (NAVD 88) CHECKED BY: P. ALTMAN — Cease Flows into Ash Basin (06/13/2019) my - millivolts CORRECTIVE ACTION PLAN UPDATE — Decanting Start (06/27/2019) S.U. - standard unit APPROVED BY: J. WYLIE MAYO STEAM ELECTRIC PLANT � Daily Total Rainfall (inches) �� See Figure 6-5 for monitoring locations. ROXBORO NC WnTerra PROJECT MANAGER: ]. WYLIE � www.synterracorp.com Note: All sampling events occur between 1/16/2018 and 4/23/2019 Ash Pore Water Legend ABMW-01 ABMW-02 ABMW-03 ABMW-04X Surficial Groundwater Bedrock Groundwater Legend A ABMW-02BR ❑ CCR-109BR z MW-09BRL ABMW-02BRL CW-01D * * ABMW-04BR CW-02D MW-104BRL ❑ MW 104BRM ■ BG-01 CW-04 O MW-105BRM ■ CCR-102BR-BG CW-05 • CCR-103BR CW-06 a MW-10BR 7 MW-13BR CCR-104BR ■ MW-02 0 MW-14BR 7 CCR-105BR • MW 036R g MW-1 ♦ CCR-106BR MW-04 � 8BR MW-1BR Z CCR-107BR MW-056R * CCR- 108BR ♦ MW-08BR ■ MW 19BR Bedrock k Groundwater Transition Zone — c' Groundwater Transition Zone \ ao Groundwater Legend 80% 80% ■ ABMW-04D CW-03 1P ■ BG-02 ■ MW-12D g� 60% °� a ��0 60io so ■ CCR-103D • MW-16D /40% CCR-105D MW-18D 40%\ CW-02 V MW-19D 20°r° �-� i r ■ 20% .� ■ . � z i— Ca — Surficial Groundwater — CI DUKE DRAWN BY: R.BADUM Legend t� ENERGY REVISED BY: R.BADUM X ABMW-03S ■ MW-03 PROGRESS CHECKED BY ■ CCR-1035 • MW-12S APPROVED BY: PROJECT MANAGER: J. WYLIE • CCR-1045 MW-165 1P ■ CCR-105S 'k--Ca— DATE: 9/3/2019 DATE: 12/2/2019 DATE: "'y' W= 10 www.synterracorp.com — Cl ---w FIGURE 6-7 ASH PORE WATER AND GROUNDWATER PIPER DIAGRAMS CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT ROXBORO, NORTH CAROLINA 484 Ash Basin Pond 5 West Ash Basin Finger Monitoring Southwest Ash Basin Finger Monitoring 5 5 Total change in water level from decanting is 488 — 488 00 00 482 approximately -6.9 feet between decanting start date and September 19, 2019 4 00 00 Total change in water level from decanting is g g 00 00 Total change in water level from decanting is Q Q approximately -0.5 feet between decanting 4 Q approximately -0.5 feet between decanting 4 > > start date and September 12, 2019 > start date and September 12, 2019 V 480 V 486 .Z 486 c 3 c c c c c y 3 r 3 y 478 - 484 c >>i 484 c a>i W W W -y 2 a y > 476 > 482 2 > � 482 2 L 0 L 3- W R 3 1 R 3 O 3 474 480 1 480 1 71 II .�� 1 I 11 1 �J . 1 ._ 1 I�L�1 ■ I I 472 0 1/1/19 2/1/19 3/1/19 4/1/19 5/1/19 6/1/19 7/1/19 8/1/19 9/1/19 478 0 478 0 Date 1/1/19 2/1/19 3/1/19 4/1/19 5/1/19 6/1/19 7/1/19 8/1/19 9/1/19 1/1/19 2/1/19 3/1/19 4/1/19 5/1/19 6/1/19 7/1/19 8/1/19 9/1/19 Ash Basin Pond Level Elevation (NAVD 88) Date Date Note: Data with +/- 5 feet change in water elevation is not included and no West Ash Basin Water Elevation (NAVD 88) Southwest Ash Basin Water Elevation (NAVD 88) data between 8/31/2019 and 9/19/2019 Is available due to faulty sensors. Transducer elevation: 474.940 feet Transducer elevation: 475.822 feet South Ash Basin Finger Monitoring ABMW-1 ABMW-2B1R 5 484 5 484 5 0000 00 488 Total in level from decanting is 0000 00 Total change in water level from decanting is approximately-2.4feet between decanting date September 12, 2019 0000 00 482 _ l Q change water -2.0 feet between decanting 4 Q 482 start and 4 Q 4 > Q approximately start date and September 12, 2019 > a > a Total change in water level from decanting is ~� Z 486 Z Z approximately -1.8 feet between decanting 480 start date and September 12, 2019 O O O m 3- 0 480 3— W 3 > Sample event M > 478 Sample event M y lu 484 ,M 'M {IJ •� liJ M z Ix > > 476 a>i 2 0) 478 2 J 2 L 482 L L mj 474 3 3 3 480 1 476 1 1 JJ 'I 472 'I 478 J r I�ill 470 0 0 474 0 1/1/19 2/1/19 3/1/19 4/1/19 5/1/19 6/1/19 7/1/19 8/1/19 9/1/19 1/1/19 2/1/19 3/1/19 4/1/19 5/1/19 6/1/19 7/1/19 8/1/19 9/1/19 1/1/19 2/1/19 3/1/19 4/1/19 5/1/19 6/1/19 7/1/19 8/1/19 9/1/19 Date Date Date South Ash Basin Water Elevation (NAVD 88) ABMW-1 Water Elevation (NAVD 88) ABMW-2BR Water Elevation (NAVD 88) Transducer elevation: 465.729 feet Transducer elevation: 470.614 feet Transducer elevation: 395.838 feet LEGEND Notes: DUKE DRAWN BY: G. KHANG DATE: 10/04/2019 FIGURE 6-8a NAVD 88 - North American Vertical Datum 1988 > ENERGY REVISED BY:G.KHANG DATE:12/02/2019 HYDROGRAPHS - WITHIN THE ASH BASIN Cease Flows into Ash Basin (6/13/2019) in - inches Decanting Start (6/27/2019) See Figure 6-5 for monitoring locations. PROGRESS CHECKED BY: P.ALTMAN DATE:12/07/2019 CORRECTIVE ACTION PLAN UPDATE Daily Total Rainfall (inches) Transducer elevations are approximate. APPROVED BY: J. WYLIE DATE: 12/08/2019 MAYO STEAM ELECTRIC PLANT ,0 PROJECT MANAGER: J. WYLIE ROXBORO, NC synTerra www.synterracorp.com ABMW-3 I AP-6 I CCR-103 Cluster 484 W 482 3 480 Total change in water level from decanting is approximately -1.9 feet between decanting start date and September 12, 2019 Sample event IM 5 1 484 00 00 4 > Q Z 5 c 482 3- a M > M W oC y 2 v J v 480 m 3 1 0 I 478 1/1/19 2/1/19 3/1/19 4/1/19 5/1/19 6/1/19 7/1/19 8/1/19 9/1/19 Date ABMW-3 Water Elevation (NAVD 88) Transducer elevation: 458.535 feet CCR-104 Cluster 410 00 00 > 408 Q Z c O M 406 N W GJ J 404 a� M 3 402 M1 Total change in water level from decanting is approximately -1.9 feet between decanting start date and September 12, 2019 11 �l 5 1 477 00 00 4 Q 475 Z C = :. O 3M M W 473 tY a� 2 y J a� 3 471 1 0 1/1/19 2/1/19 3/1/19 4/1/19 5/1/19 6/1/19 7/1/19 8/1/19 9/1/19 Date AP-6 Water Elevation (NAVD 88) Transducer elevation: 426.279 feet 5 1 384 00 00 4 > 382 Q Z c = 0 3 380 4-- _4) M W tY Gl 2 J 378 O m 3 1 376 0 1/1/19 2/1/19 3/1/19 4/1/19 5/1/19 6/1/19 7/1/19 8/1/19 9/1/19 Date CCR-104BR Water Elevation (NAVD 88) Transducer elevation: 369.500 feet CCR-104S Water Elevation (NAVD 88) Transducer elevation: 400.954 feet r%jWV Average total change in water level from decanting is approximately -0.8 feet between decanting start date and September 12, 2019 Sample events II _A ki, LEGEND Notes: NAVD 88 - North American Vertical Cease Flows into Ash Basin (6/13/2019) in - inches Decanting Start 6/27/2019 See Figure 6-5 for monitoring loca 9 ( ) Transducer elevations are approxim Daily Total Rainfall (inches) 374 CCR-105 Cluster Average total change in water level from decanting is approximately -0.9 feet between decanting start date and September 12, 2019 Sample event 469 Average total change in water level from decanting is approximately -2.1 feet between decanting start date and September 12, 2019 •.T t+- -. Water level has decreased below transducer elevation. Sample events f)TI 5 4 3 M c M IM 2 1 0 1/1/19 2/1/19 3/1/19 4/1/19 5/1/19 6/1/19 7/1/19 8/1/19 9/1/19 Date CCR-103BR Water Elevation (NAVD 88) Transducer elevation: 420.176 feet CCR-103D Water Elevation (NAVD 88) Transducer elevation: 461.924 feet CCR-103S Water Elevation (NAVD 88) Transducer elevation: 470.008 feet 5 1 378 00 00 4 Q Z c c 376 o 3 — +' f0 > w > C 2 m W 2 > O J 374 �a 1 3 0 372 1/1/19 2/1/19 3/1/19 4/1/19 5/1/19 6/1/19 tions. 7/1/19 8/1/19 9/1/19 Date CCR-105BR Water Elevation (NAVD 88) Transducer elevation: 357.507 feet CCR-105D Water Elevation (NAVD 88) Transducer elevation: 365.442 feet CCR-105S Water Elevation (NAVD 88) Transducer elevation: 376.211 feet DUKE DRAWN BY: G. KHANG Datum 1988 401) ENERGY REVISED BY: G. KHANG PROGRESS CHECKED BY: P. ALTMAN ate. APPROVED BY: J. WYLIE PROJECT MANAGER: J. WYLIE synTerra www.synterracorp.com CeleffiilZ 5 4 c 3 4- 2 1 0 1/1/19 2/1/19 3/1/19 4/1/19 5/1/19 6/1/19 7/1/19 8/1/19 9/1/19 Date CCR-106BR Water Elevation (NAVD 88) Transducer elevation: 347.734 feet DATE:10/04/2019 FIGURE 6-8b DATE:12/02/2019 HYDROGRAPHS - WITHIN AND NORTH OF THE DATE:12/07/2019 ASH BASIN DATE:12/08/2019 CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT ROXBORO, NC Sample event Total change in water level from decanting is approximately -0.1 feet between decanting start date and September 12, 2019 I CCR-107BR CCR-108BR CW-2 5 5 5 476 _- 00 Total change in water level from decanting is approximately -1.5 feet between decanting 000 377 00 Q 438 start date and September 12, 2019 4 474 C Q 472 4 0000 C Q 4 Z ^ Z ..� 470 Total change in water level from decanting is approximately -5.1 feet between decanting ^ Z A ^ C C C start date and September 12, 2019 C C C Sample event 3 — a 468 3 _ M 376 Total change in water level from decanting is 3 — M > M C > 466 Sample event C > approximately -1.2 feet between decanting start date and September 12, 2019 C LU 436 W —a— > > 464 > 2 � 2 375 2 y 462 ?� ?� 460 ?� 434 1 458 1 1 374 I 456 l I I 454 , ) 0 0 0 1/1/19 2/1/19 3/1/19 4/1/19 5/1/19 6/1/19 7/1/19 8/1/19 9/1/19 1/1/19 2/1/19 3/1/19 4/1/19 5/1/19 6/1/19 7/1/19 8/1/19 9/1/19 1/1/19 2/1/19 3/1/19 4/1/19 5/1/19 6/1/19 7/1/19 8/1/19 9/1/19 Date Date Date CCR-107BR Water Elevation (NAVD 88) CCR-108BR Water Elevation (NAVD 88) CW-2 Water Elevation (NAVD 88) Transducer elevation: 413.479 feet Transducer elevation: 437.009 feet Transducer elevation: 369.238 feet MW-3 379 5 Total change in water level from decanting is approximately -0.2 feet between decanting 00 start date and September 12, 2019 4 C Q z 378 CSample event 3 ... 4-1 W Sample event = IntentionallyLeft Blank Intentionally Left Blank 2W W 377 L Y 3 � 1 376 0 1/1/19 2/1/19 3/1/19 4/1/19 5/1/19 6/1/19 7/1/19 8/1/19 9/1/19 Date MW-3 Water Elevation (NAVD 88) Transducer elevation: 371.412 feet LEGEND Notes: % DUKE DRAWN BY: G.KHANG DATE:10/04/2019 NAVD 88 - North American Vertical Datum 1988 ' � ENERGY REVISED BY: G. KHANG DATE: 12/02/2019 FIGURE 6-8c Cease Flows into Ash Basin (6/13/2019) in -inches PROGRESS HYDROGRAPHS —NORTH OF THE ASH BASIN Decanting Start (6/27/2019) See Figure 6-5 for monitoring locations. Transducer elevations are approximate. CHECKED BY:P.ALTMAN DATE:12/07/2019 CORRECTIVE ACTION PLAN UPDATE Daily Total Rainfall (inches) 0 APPROVED BY: J. WYLIE DATE: 12/OS/2019 MAYO STEAM ELECTRIC PLANT synTerra PROJECT MANAGER:J.WYLIE ROXBORO, NC www.synterracorp.com J Sample ID (Depth) f MW-3BR (0.8-1.2) MW-3BR (14.75-15) r Sample ID (Depth) r TA TMA PSB-1 (1-2) ESample ID (Depth) • PSB-2 (1-2) RDA -_ : ■ . SamplelD(Depth) • - `� Sample ID PSB-30 (1-2) Sample ID (Depth) MW-15BR (0.5-1) •' ' Sample ID (Depth) SB-7 (1-2) Sample ID (Depth) SB-7 (4.5-7.5) PSB-27 (1-2) fl Sample ID (Depth) - RTRF SB 1 (1 2) SB-1 (13.5-14.5) Sample ID (Depth) Sample ID (Depth) PSB-3 (1-2) it.PSB-7 (1-2) ' Sample ID (Depth) Sample ID (Depth) PS13-26 (1-2) w • t PSB-8 (1-2) Sample ID (Depth) Sample ID (Depth) y + �ti PSB-9 (1-2) PSB-5 (1-2) Sample ID (Depth) + + MW-13BR (0-2) ' Sample ID (Depth) Sample ID +�, r r �, • , • i 1 - PSB-6 (1-2) TPB13 (1-2) •✓ t I Sample ID (Depth) Sample ID (Depth) J ( ) PSB-14 (1-2) SampleID(Depth) �Rqr=Ro Sample ID (Depth) PSB-13 (1-2) Sample ID (Depth) _qD PSB-11 (1-2) PSB-16 (1-2) 11 Sample ID (Depth) , BGSB-5 (4-5) Sample ID (Depth) - BGSB-5 (9-10) PSB-12 (1-2) Sample ID (Depth) BGSB-5 (14-15) , I PSB-15 (1-2) Sample ID (Depth) I + I ' Sample ID (Depth) PSB-29 (1-2) ample ID (Depth) L Sample ID (Depth) - MW-8BR (0.75-1.25) PSB-28 (1-2) • MW-8BR (25.5-26) Sample ID (Depth) PSB-25 (1-2) + t. Sample ID (Depth) Sample ID !� MW-7BR (1-2) mple ID (Depth) -2) Sample7(Dept%h)PSB-21 (1-2) o • Sample ID (Depth) BGSB-3 (4-5) I I + (Depth) PSB-22 (1-2) Sample ID (Depth) BGSB-3 (8-9) r ) r .r PSB-17 (1-2) BGSB-4 (4-5) I � v � _ I I • Sample ID (Depth) • Sample ID De BGSB-4 (9-10) Sample ID (Depth) p ( p ) BGSB4 (14-15) SB-2 (0.5-2) - • PSB-20 (1-2) PSB-18 (1-2) Sample ID (Depth) SB-2 (11.0-12.5) v. 11111wL BGSB-2 (4-5) f+ f 1 I 7 BGSB-2 (9-10) � ,tjai ► BGSB-2 (14-15) I Sample ID (Depth) � Sa f S13-3 (5-6) - PSB-19 SB-3 (17-18.5) r � , ■ f r r I t r Sample ID (Depth) t l I I 1 MW-11BR (0-2) r I • MW-11BR(30-32) 1 r Sample ID (Depth) + r BGSB-8 (4-5) r '• ' � , BGSB-8 (8-9) _ ■ . � . ■ � . ■ � . 1 r CHROMIUM 7- 1 • LVVIWAIVA I"AGIrIG f- + e ID (Depth) • 1 Sample ID BGSB-9 (4-5) BGSB-9 (9-10) BGSB-9 (14-15) 1• •.- i •• yr AREA APPROXIMATE FUTURE ASH BASIN WASTE BOUNDARY • ' (SEE NOTE 2) 1RAGE N r MANGANESE a r Sample ID (Depth) -- - MW-12D (1-2) _ MW-12D (25-26) s_rl r • y 1 ftsli`x MULLINS LN i Sample ID (De MW-10BR (0.75-1.0) 4DUKE n ENERGY 161 synTerra NORTH CAROLINA-VIRGINIA STATE LINE HALIFAX COUNTY ._ (APPROXIMATE) PERSON COUNTY a 9w EN" AL 7 I aI GRAPHIC SCALE 500 0 500 1,000 (IN FEET) DRAWN BY: A. ROBINSON DATE: 06/05/2019 REVISED BY: A. ROBINSON DATE: 12/06/2019 CHECKED BY: P. ALTMAN DATE: 12/06/2019 APPROVED BY: J. WYLIE DATE: 12/06/2019 PROJECT MANAGER: J. WYLIE LEGEND 0 BACKGROUND LOCATION WITH NO EXCEEDANCES • LOCATION WITH NO EXCEEDANCES BACKGROUND LOCATION WITH ONE EXCEEDANCE OF REGULATORY CRITERIA O LOCATION WITH ONE OR MORE EXCEEDANCES OF REGULATORY CRITERIA - ■ _ ■ ■ ASH BASIN WASTE BOUNDARY ASH BASIN COMPLIANCE BOUNDARY — - — - - RIGHT-OF-WAY (DUKE ENERGY PROPERTY) DUKE ENERGY PROGRESS PROPERTY LINE 1 STREAM (AMEC NRTR) ® WETLAND (AMEC NRTR) NOTES: 1. DISCRETE SOIL SAMPLES EXCEED COMPARATIVE CRITERIA FOR CONSTITUENTS LISTED UNDER THE SAMPLE ID. REFER TO TABLE 6-4 FOR A SUMMARY OF UNSATURATED SOILANALYTICAL RESULTS 2. AREA OF INVESTIGATION THAT DETERMINED SETTLED CCR MATERIAL IS NOT PRESENT IN THIS AREA OF THE ASH BASIN. A FUTURE REPRESENTATIVE ASH BASIN WASTE AND COMPLIANCE BOUNDARY IS INCLUDED IN THE MAYO NPDES PERMIT NCO038377 PART I, 5.A.(18.) ATTACHMENT B FIGURE 1.1 DATED JULY 13, 2018. 3. SAMPLE DEPTH IS FEET BELOW GROUND SURFACE. 4. PROPERTY BOUNDARY PROVIDED BY DUKE ENERGY PROGRESS. 5. THE WATERS OF THE U.S. DELINEATION HAS NOT BEEN APPROVED BY THE U.S. ARMY CORPS OF ENGINEERS AT THE TIME OF THE MAP CREATION. THIS MAP IS A PRELIMINARY JURISDICTIONAL DETERMINATION ONLY. THE PRELIMINARY WETLANDS AND STREAMS BOUNDARIES WERE OBTAINED FROM AMEC FOSTER WHEELER ENVIRONMENTAL AND INFRASTRUCTURE, INC. NATURAL RESOURCES TECHNICAL REPORT (NRTR) FOR MAYO STEAM ELECTRIC PLANT DATED JANUARY 2014 AND UPDATED ON JULY 11, 2018 TO REMOVE ONE PREVIOUSLY MISIDENTIFIED WETLAND NEAR THE ASH BASIN DISCHARGE CHANNEL. 6. ALL BOUNDARIES ARE APPROXIMATE 7. AERIAL PHOTOGRAPHY OBTAINED FROM ESRI ONLINE ON JUNE 10, 2019. AERIAL WAS COLLECTED ON FEBRUARY 6, 2017. 8. DRAWING HAS BEEN SET WITH A PROJECTION OF NORTH CAROLINA STATE PLANE COORDINATE SYSTEM FIPS 3200 (NAD83). FIGURE 6-9 UNSATURATED SOIL SAMPLE LOCATIONS AND EXCEEDANCES CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT ROXBORO, NORTH CAROLINA Note: *- Indicates sampling events prior to 1/1/2018 All other sampling events occur C4 4/20/2018 - 7/2/2019 goo 80% r 60% /40% V* to O°. % 10o Surface `— Ca — Water o 1 1 -Cl b Upgradient Downgradient S-6 ■ S-3 �I SW-REF1 A SW-C81 ■ SW-REF2 7 SW-C82 ■ SW-13132 SW-C83 Z SW-C84 * SW-CBT1 DUKE ENERGY 41P synTerra *— Ca — DRAWN BY: R. Badum REVISED BY: R. Badum CHECKED BY: APPROVED BY: PROJECT MANAGER: Seeps ■ S-1* S-2 ■ S-2B ■ S-8* DATE: 10/4/2019 www.synterracorp.com 60% U'p Q 40%\ 20% — Cl ---* FIGURE 6-10 SEEP AND SURFACE WATER QUALITY PIPER DIAGRAMS CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT ROXBORO, NORTH CAROLINA - yy • �• r — - _ • ♦ MW-16S o- _ _ • 167 �o ' ' • ♦ i� CCR-104S >ryo �� ' n o 'S ,se • . �/ i 267 R T 3 1049 Alb - RD� .P HEST • CCR-105$Qw388 FRgO 510 (d• -,� 0.^e ,�e°i J 3-2`237 Imo( :�'a. s• �. 7$. o 35p ' �' e ` . .'— �. 92 37a_ r ' �386-3390-384 / 1 ♦ 1 \ \ N \ y \ ♦ U �� I ♦�� ABMW-113S • ♦ 0 4°6 ` o : 1320 �• 49a LEGEND ' x 1 MONITORING WELL - GREATER THAN 15A NCAC 2L .0202 I i ♦ 4 STANDARD (700 Ng/L) OR THE IMAC (EFFECTIVE DATE FOR 15A NCAC 02L .0202 STANDARD AND IMAC IS APRIL 1, 2013) 1 'I f� x �♦� (� g I� Q' " " " • • " • • • • CAMA MONITORING WELL - GREATER THAN CONSTITUENT oI/ ♦ v � r • I + BACKGROUND THRESHOLD VALUE (50 Ng/L) y 1 / ♦ �♦ MONITORING WELL- LESS THAN BACKGROUND THRESHOLD 1 m° ' • gj� ' VALUE I APPROXIMATE FUTURE • o' v BACKGROUND MONITORING WELL ASH BASIN WASTE BOUNDARY, s6^43s ll / (SEE NOTE4) 0 o BORON PLUME GREATER THAN THE USEPA DRINKING WATER NOTES: / / Spa 1 EQUIVALENT LEVEL (4000Ng/L) FROM FLOW AND TRANSPORT ,r ti MODEL PREDICTED PLUME. 1. DATA INCLUDED IN THIS FIGURE ARE THE ARITHIMETIC MEAN BASED ON - I ••. , �� a`' VALID GROUNDWATER SAMPLE DATA COLLECTED FROM JANUARY 2018 ♦ 1 ) , , • app BORON PLUME GREATER THAN NC 02L STANDARD (700 Ng/L) THROUGH APRIL 2019. / • FROM MEAN ANALYSIS. FLOW AND TRANSPORT MODEL 2. THE 02L FOR BORON IS 700 pg/L. 522 ♦ • PREDICTED PLUME IS USED WHERE EMPIRICAL DATA IS NOT 3. THE BACKGROUND VALUE FOR BORON IS 50 pg/L (AS SUBMITTED JUNE ♦ AVAILABLE. 2019). I ♦� sa° BORON PLUME GREATER THAN BTV (50 Ng/L) FROM MEAN 4. AREA OF INVESTIGATION THAT DETERMINED SETTLED CCR MATERIAL IS CCR-101S-BG ANALYSIS. FLOW AND TRANSPORT PREDICTED PLUME IS USED NOT PRESENT IN THIS AREA OF THE ASH BASIN. A FUTURE REPRESENTATIVE <50 ! •• ', �e e G/ WHERE EMPIRICAL DATA IS NOT AVAILABLE. ASH BASIN WASTE AND COMPLIANCE BOUNDARY IS INCLUDED IN THE MAYO 1 1 • 1 NPDES PERMIT NCO038377 PART I, 5.A.(18.) ATTACHMENT B FIGURE 1.1 DATED v • • JULY 13, 2018. I i 540 • ♦ ASH BASIN WASTE BOUNDARY 5. GROUNDWATER FLOW AND TRANSPORT BORON PLUME IS MODIFIED FROM ' ASH BASIN COMPLIANCE BOUNDARY MODEL LAYER 10 (MURDOCH ET AL, 2019). .° RIGHT-OF-WAY (DUKE ENERGY PROPERTY) 6. HYDROLOGIC DIVIDE INDENTIFIED IN CSAUPDATE (SYNTERRA, 2017)AND UPDATED GROUNDWATER FLOW AND TRANSPORT MODELING REPORT DUKE ENERGY PROGRESS PROPERTY LINE (MURDOCH ET AL, 2019). 7. THE WATERS OF THE U.S. DELINEATION HAS NOT BEEN APPROVED BY THE ' ' 1` y B TOPOGRAPHIC CONTOUR (10' INTERVAL) U.S. ARMY CORPS OF ENGINEERS AT THE TIME OF THE MAP CREATION. THIS 536 ------ b- GROUNDWATER FLOW DIRECTION MAP IS A PRELIMINARY JURISDICTIONAL DETERMINATION ONLY. THE 1 5pq _558� PRELIMINARY WETLANDS AND STREAMS BOUNDARIES WERE OBTAINED FROM AMEC FOSTER WHEELER ENVIRONMENTAL & INFRASTRUCTURE, INC. I �¢sz _ STREAM (AMEC NRTR) NATURAL RESOURCES TECHNICAL REPORT (NRTR) FOR MAYO STEAM ss ELECTRIC PLANT DATED JANUARY 2014 AND UPDATED ON JULY 11, 2018 TO WETLAND (AMEC NRTR) REMOVE ONE PREVIOUSLY MISIDENTIFIED WETLAND NEAR THE ASH BASIN DISCHARGE CHANNEL. ) APPROXIMATE HYDROLOGIC DIVIDE 8. THE TOPOGRAPHY IS SHOWN FOR REFERENCE PURPOSES ONLY AND rm SHOULD NOT BE USED FOR DESIGN OR ENGINEERING PURPOSES. 570 j a —a. TOPOGRAPHY IS BASED ON LIDAR BARE EARTH DATA OBTAINED FROM THE y^`D 5g2`,.586 NORTH CAROLINA SPATIAL DATA SITE AT GRAPHIC SCALE https://sdd.nc.gov/sdd/DataDownload.aspx. 578 DUKE 390 0 390 780 FIGURE 6-11a 580 �� s° 546 MAP OF BORON DISTRIBUTION 9. ALL BOUNDARIES ARE APPROXIMATE. N f" 0�� ENERGY ° (IN FEET) 10. PROPERTY BOUNDARY PROVIDED BY DUKE ENERGY PROGRESS. yoo MW-12S SZa PROGRESS SURFICIAL ZONE 57a 598 <50 DRAWN BY: A. ROBINSON DATE:05/09/2019 CORRECTIVE ACTION PLAN UPDATE 11. AERIAL PHOTOGRAPHY OBTAINED FROM ESRI ONLINE ON JUNE 10, 2019. REVISED BY: A. ROBINSON DATE: 12/13/2019 AERIAL WAS COLLECTED ON FEBRUARY 6,2017. h 594 - y�'� s'9 CHECKED BY: P.ALTMAN DATE:12/13/2019 MAYO STEAM ELECTRIC PLANT 12. DRAWING HAS BEEN SET WITH PROJECTION OF NORTH CAROLINA "y •� ' APPROVED BY: J. WYLIE DATE:12/13/2019 ROXBORO, NORTH CAROLINA STATE PLANE COORDINATE SYSTEM FIPS 3200 (NAD83). ,�Crl� PROJECT MANAGER: J. WYLIE 606 ,02 584 www.synterracorp.com la NOTES: 1. DATA INCLUDED IN THIS FIGURE ARE THE ARITHIMETIC MEAN BASED ON VALID GROUNDWATER SAMPLE DATA COLLECTED FROM JANUARY 2018 THROUGH APRIL 2019. 2. THE 02L FOR BORON IS 700 pg/L. 3. THE BACKGROUND VALUE FOR BORON IS 50 pg/L (AS SUBMITTED JUNE 2019). 4. AREA OF INVESTIGATION THAT DETERMINED SETTLED CCR MATERIAL IS NOT PRESENT IN THIS AREA OF THE ASH BASIN. A FUTURE REPRESENTATIVE ASH BASIN WASTE AND COMPLIANCE BOUNDARY IS INCLUDED IN THE MAYO NPDES PERMIT NCO038377 PART I, 5.A.(18.) ATTACHMENT B FIGURE 1.1 DATED JULY 13, 2018. 5. GROUNDWATER FLOW AND TRANSPORT BORON PLUME IS MODIFIED FROM MODEL LAYER 10 (MURDOCH ET AL, 2019). 6. HYDROLOGIC DIVIDE INDENTIFIED IN CSA UPDATE (SYNTERRA, 2017)AND UPDATED GROUNDWATER FLOW AND TRANSPORT MODELING REPORT (MURDOCH ET AL, 2019). 7. THE WATERS OF THE U.S. DELINEATION HAS NOT BEEN APPROVED BY THE U.S. ARMY CORPS OF ENGINEERS AT THE TIME OF THE MAP CREATION. THIS MAP IS A PRELIMINARY JURISDICTIONAL DETERMINATION ONLY. THE PRELIMINARY WETLANDS AND STREAMS BOUNDARIES WERE OBTAINED FROM AMEC FOSTER WHEELER ENVIRONMENTAL & INFRASTRUCTURE, INC. NATURAL RESOURCES TECHNICAL REPORT (NRTR) FOR MAYO STEAM ELECTRIC PLANT DATED JANUARY 2014 AND UPDATED ON JULY 11, 2018 TO REMOVE ONE PREVIOUSLY MISIDENTIFIED WETLAND NEAR THE ASH BASIN DISCHARGE CHANNEL. 8. THE TOPOGRAPHY IS SHOWN FOR REFERENCE PURPOSES ONLY AND SHOULD NOT BE USED FOR DESIGN OR ENGINEERING PURPOSES. TOPOGRAPHY IS BASED ON LIDAR BARE EARTH DATA OBTAINED FROM THE NORTH CAROLINA SPATIAL DATA SITE AT hftps:flsdd.nc.gov/sdd/DataDownload.aspx. 9. ALL BOUNDARIES ARE APPROXIMATE. 10. PROPERTY BOUNDARY PROVIDED BY DUKE ENERGY PROGRESS. 11. AERIAL PHOTOGRAPHY OBTAINED FROM ESRI ONLINE ON JUNE 10, 2019. AERIAL WAS COLLECTED ON FEBRUARY 6, 2017. 12. DRAWING HAS BEEN SET WITHA PROJECTION OF NORTH CAROLINA STATE PLANE COORDINATE SYSTEM FIPS 3200 (NAD83). 1 / I I I I I � � o i • OEM h � it ■ n ABMW-4D (mac' 3242 ♦♦ 000 APPROXIMATE FUTURE o• ASH BASIN WASTE BOUNDARY, (SEE NOTE 4) /7 �522 ♦ � s� 0 O v 1 ®--558 552 556 r0ll� 590 0 �j MW-16D <50 FA"4% It ENERGY PROGRESS O ol GRAPHIC SCALE 390 0 390 780 (IN FEET) DRAWN BY: A. ROBINSON DATE: 05/09/2019 REVISED BY: A. ROBINSON DATE: 12/12/2019 CHECKED BY: E. KINSEY DATE: 12/12/2019 APPROVED BY: J. WYLIE DATE: 12/12/2019 PROJECT MANAGER: J. WYLIE www.synterracorp.com 11 LEGEND MONITORING WELL - GREATER THAN 15A NCAC 2L .0202 ie STANDARD (700 pg/L) OR THE IMAC (EFFECTIVE DATE FOR 15A NCAC 02L .0202 STANDARD AND IMAC IS APRIL 1, 2013) MONITORING WELL - LESS THAN BACKGROUND THRESHOLD VALUE BACKGROUND MONITORING WELL BORON PLUME GREATER THAN THE USEPA DRINKING WATER EQUIVALENT LEVEL (4000Ng/L) FROM FLOW AND TRANSPORT MODEL PREDICTED PLUME. BORON PLUME GREATER THAN INC 02L STANDARD (700 Ng/L) FROM MEAN ANALYSIS. FLOW AND TRANSPORT MODEL PREDICTED PLUME IS USED WHERE EMPIRICAL DATA IS NOT AVAILABLE. BORON PLUME GREATER THAN BTV (50 pg/L) FROM MEAN ANALYSIS. FLOW AND TRANSPORT PREDICTED PLUME IS USED WHERE EMPIRICAL DATA IS NOTAVAILABLE. ASH BASIN WASTE BOUNDARY ASH BASIN COMPLIANCE BOUNDARY - - - - - RIGHT-OF-WAY (DUKE ENERGY PROPERTY) 0 • DUKE ENERGY PROGRESS PROPERTY LINE TOPOGRAPHIC CONTOUR (10' INTERVAL) GROUNDWATER FLOW DIRECTION 310 STREAM (AMEC NRTR) ® WETLAND (AMEC NRTR) APPROXIMATE HYDROLOGIC DIVIDE FIGURE 6-11b MAP OF BORON DISTRIBUTION TRANSITION ZONE CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT ROXBORO, NORTH CAROLINA 60' RIGHT-OF-WAYSIT �---- I - plerK // w, APPROXIMATE HYDROL . ®i \ ® APPROXIMATE 1981 I LANDFILL AREA 100'RAILROAD� • i (CLOSED) �RI_GH/T-OF-WAY <50 474 � LEGEND ' 1�11• ABMW-46R \ • • 0 MONITORING WELL- GREATER THAN 15A NCAC 2L.0202 ` o� <50 a MW-196R lie STANDARD (700 Ng/L) OR THE IMAC (EFFECTIVE DATE FOR r BG-1 <50 15A NCAC 02L .0202 STANDARD AND IMAC IS APRIL 1, 2013) ImI <50 `� �t CAMA MONITORING WELL -GREATER THAN CONSTITUENT � � � �h I {"�-�g !d % Q � ' " " " • • " • • • • BACKGROUND THRESHOLD VALUE (50 Ng/L) 3 ♦ ♦ �• ` MONITORING WELL -LESS THAN BACKGROUND THRESHOLD ' _� • '000VALUE NOTES: / / ''a•I 1. DATA INCLUDED IN THIS FIGURE ARE THE ARITHIMETIC MEAN BASED ON VALID GROUNDWATER SAMPLE DATA COLLECTED FROM JANUARY 2018 THROUGH APRIL 2019. 2. THE 02L FOR BORON IS 700 pg/L. 3. THE BACKGROUND VALUE FOR BORON IS 50 pg/L (AS SUBMITTED JUNE 2019). 4. AREA OF INVESTIGATION THAT DETERMINED SETTLED CCR MATERIAL IS NOT PRESENT IN THIS AREA OF THE ASH BASIN. A FUTURE REPRESENTATIVE ASH BASIN WASTE AND COMPLIANCE BOUNDARY IS INCLUDED IN THE MAYO NPDES PERMIT NCO038377 PART I, 5.A.(18.) ATTACHMENT B FIGURE 1.1 DATED v JULY 13, 2018. I I 5. GROUNDWATER FLOW AND TRANSPORT BORON PLUME IS MODIFIED FROM MODEL LAYER 10 (MURDOCH ET AL, 2019). 6. HYDROLOGIC DIVIDE INDENTIFIED IN CSA UPDATE (SYNTERRA, 2017)AND UPDATED GROUNDWATER FLOW AND TRANSPORT MODELING REPORT (MURDOCH ET AL, 2019) 7. THE WATERS OF THE U.S. DELINEATION HAS NOT BEEN APPROVED BY THE U.S. ARMY CORPS OF ENGINEERS AT THE TIME OF THE MAP CREATION. THIS 5 MAP IS A PRELIMINARY JURISDICTIONAL DETERMINATION ONLY. THE PRELIMINARY WETLANDS AND STREAMS BOUNDARIES WERE OBTAINED FROM AMEC FOSTER WHEELER ENVIRONMENTAL & INFRASTRUCTURE, INC. NATURAL RESOURCES TECHNICAL REPORT (NRTR) FOR MAYO STEAM ELECTRIC PLANT DATED JANUARY 2014 AND UPDATED ON JULY 11, 2018 TO REMOVE ONE PREVIOUSLY MISIDENTIFIED WETLAND NEAR THE ASH BASIN DISCHARGE CHANNEL. I 8. THE TOPOGRAPHY IS SHOWN FOR REFERENCE PURPOSES ONLY AND SHOULD NOT BE USED FOR DESIGN OR ENGINEERING PURPOSES. TOPOGRAPHY IS BASED ON LIDAR BARE EARTH DATA OBTAINED FROM THE NORTH CAROLINA SPATIAL DATA SITE AT hftps:flsdd.nc.gov/sdd/DataDownload.aspx. 9. ALL BOUNDARIES ARE APPROXIMATE. 10. PROPERTY BOUNDARY PROVIDED BY DUKE ENERGY PROGRESS. 11. AERIAL PHOTOGRAPHY OBTAINED FROM ESRI ONLINE ON JUNE 10, 2019. AERIAL WAS COLLECTED ON FEBRUARY 6, 2017. 12. DRAWING HAS BEEN SET WITHA PROJECTION OF NORTH CAROLINA STATE PLANE COORDINATE SYSTEM FIPS 3200 (NAD83). 606 • `� soa BACKGROUND MONITORING WELL APPROXIMATE FUTURE v sus ASH BASIN WASTE BOUNDARY, MW-106R es 4ae BORON PLUME GREATER THAN THE USEPA DRINKING sa (SEE NOTE4) 0 0 <56 WATER EQUIVALENT LEVEL (4000Ng/L) FROM FLOW AND �a aao TRANSPORT MODEL PREDICTED PLUME. • "' �' �a °yam BORON PLUME GREATER THAN NC 02L STANDARD (700 Ng/L) • q9• FROM MEAN ANALYSIS. FLOW AND TRANSPORT MODEL ���✓✓✓ • 522 PREDICTED PLUME IS USED WHERE EMPIRICAL DATA IS NOT • AVAILABLE. ♦� s�o O o BORON PLUME GREATER THAN BTV (50 Ng/L) FROM MEAN O ANALYSIS. FLOW AND TRANSPORT PREDICTED PLUME IS ♦ j • ' USED WHERE EMPIRICAL DATA IS NOT AVAILABLE. ♦� • i • . ASH BASIN WASTE BOUNDARY I ASH BASIN COMPLIANCE BOUNDARY — - — - - RIGHT-OF-WAY (DUKE ENERGY PROPERTY) a DUKE ENERGY PROGRESS PROPERTY LINE �° a• "� TOPOGRAPHIC CONTOUR (10' INTERVAL) --556=146 GROUNDWATER FLOW DIRECTION Ssa 0 STREAM (AMEC NRTR) 556 ® WETLAND (AMEC NRTR) APPROXIMATE HYDROLOGIC DIVIDE 570 yb S a ...6 $a''�`� GRAPHIC SCALE %� DUKE 390 0 390 780 FIGURE 6-11c ENERGY (IN MAP OF BORON DISTRIBUTION PROGRESS DRAWN BY: A. ROBINSON DATE: 05/09/2019 BEDROCK ZONE REVISED BY: A. ROBINSON DATE: 12/17/2019 CORRECTIVE ACTION PLAN UPDATE CHECKED BY: E.KINSEY DATE:12/17/2019 MAYO STEAM ELECTRIC PLANT • APPROVED BY: J.WYLIE DATE:12/17/2019 ROXBORO NORTH CAROLINA s)mTerra PROJECT MANAGER: A. ALBERT www.synterracorp.com .�.,.-.�.���r��-.-����.��-.--.-�tt— % ,, • «-�tt - y CCR-104S •/ C W-4 CCR-103S _ CCR-104BR CW-3 r • ��MA.��IAKE CCR-103D MW-1046RL •/ —CCR-103BR MW-104BRM -1 • •� � _ _ _ _ cc R-109B —MW-2 CCR L •� �� � ♦ MW-. r Herr , CCR-105S r CCR-105D 7 CCR-102BR-BG ��♦ CCR-105BR MW-105BRM � � - „ - - • • MW-136R ' � Rq)`RO,q `� 1 • r06BR � _ a CCR-107BR X CCR-108BR PPROXIMAT C&D LANDFILL AREA o (CLOSED) 'RE ON BASIN APPROXIMATE FUTURE y ='AREA ASH BASIN WASTE BOUNDARY / / ji , •j (SEE NOTE 2) Q CCR-101 S-BG � �� • ' ^ '� � �- � CCR-101D-BG • I I I - i , NOTES: 1. THE WATERS OF THE U.S. DELINEATION HAS NOT BEEN APPROVED BY THE U.S. ARMY CORPS OF ENGINEERS AT THE TIME OF THE MAP CREATION. THIS MAP IS A PRELIMINARY JURISDICTIONAL DETERMINATION ONLY. THE PRELIMINARY WETLANDS AND STREAMS BOUNDARIES WERE OBTAINED FROM AMEC FOSTER WHEELER ENVIRONMENTAL & INFRASTRUCTURE, INC. NATURAL RESOURCES TECHNICAL REPORT (NRTR) FOR MAYO STEAM ELECTRIC PLANT DATED JANUARY 2014 AND UPDATED ON JULY 11, 2018 TO REMOVE ONE PREVIOUSLY MISIDENTIFIED WETLAND NEAR THE ASH BASIN DISCHARGE CHANNEL. 2. AREA OF INVESTIGATION THAT DETERMINED SETTLED CCR MATERIAL IS NOT PRESENT IN THISAREAOF THE ASH BASIN. A FUTURE REPRESENTATIVE ASH BASIN WASTE AND COMPLIANCE BOUNDARY IS INCLUDED IN THE MAYO NPDES PERMIT N00038377 PART I, 5.A.(18.) ATTACHMENT B FIGURE 1.1 DATED JULY 13, 2018. 3. SAMPLE LOCATIONS WERE DERIVED FROM VARIOUS SOURCES AND ARE A MIX OF SURVEYED AND APPROXIMATE LOCATIONS. THEREFORE, SAMPLE LOCATIONS ARE APPROXIMATE. 4. ALL BOUNDARIES ARE APPROXIMATE. 5. MAYO PLANT PROPERTY BOUNDARY PROVIDED BY DUKE ENERGY PROGRESS 6. AERIAL PHOTOGRAPHY OBTAINED FROM ESRI ONLINE ON JUNE 10, 2019. AERIAL WAS COLLECTED ON FEBRUARY 6, 2017. 7. DRAWING HAS BEEN SET WITH PROJECTION OF NORTH CAROLINA STATE PLANE COORDINATE SYSTEM FIPS 3200 (NAD83). MW-12D �' I I 3 = MULLINS LN h o � O Outfall 002 V, 4 It ENERGY PROGRESS Outfall 001 NORTH CAROLINA-VIRGINIA STATE LINE IF HALIFAX COUNTY . (APPROXIMATE) PERSON COUNTY I .I l GRAPHIC SCALE 500 0 500 1,000 (IN FEET) DRAWN BY: A. ROBINSON DATE: 06/06/201; REVISED BY: A. ROBINSON DATE: 12/10/2019 CHECKED BY: P. ALTMAN DATE: 12/10/2019 APPROVED BY: J. WYLIE DATE: 12/10/2019 PROJECT MANAGER: J. WYLIE i LEGEND WELL IN ALLUVIUM OR SAPROLITE WELL IN TRANSITION ZONE WELL IN BEDROCK ccR-loss WELLS INDICATED WITH RED FONT WILL HAVE GEOCHEMICAL SONDES NPDES OUTFALL LOCATION ASH BASIN WASTE BOUNDARY • ASH BASIN COMPLIANCE BOUNDARY — - — - RIGHT-OF-WAY (DUKE ENERGY PROPERTY) DUKE ENERGY PROGRESS PROPERTY LINE 310 STREAM (AMEC NRTR) WETLAND (AMEC NRTR) FIGURE 6-12 CONFIRMATION MONITORING PLAN NETWORK CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT ROXBORO, NORTH CAROLINA Interim Monitoring Plan Corrective Action (IMP) sampling H Plan Approval Confirmation Monitoring Plan (CMP) monitor downgradient and background groundwater in accordance with G.S. 130A- 309.214(a)(4)k for compliance with NCAC 02L .0202 Groundwater Quality applicable Standards Based on annual evaluation, is the boron plume stable at the compliance boundary?/ 1►[7 Evaluate contingency to determine if additional data needed to validate conditions and/or to update CAP; continue with CMP Notes: 1 - For well locations to be monitored see Figure 6-12 and Table 6-11 2 - For parameters to be monitored and frequency see Table 6-11 NCAC - North Carolina Administrative Code 02L - NCAC Title 15A, Subchapter 02L. Groundwater Classification and Standards Yes Continue CMP sampling Continue PCMP sampling and Annual Review and and Annual Review and Reporting I I Reporting ""I\ Is the ash basin certified closed? No Are the groundwater monitoring results below applicable standards at the compliance boundary for three years? Post -Closure Monitoring Plan (PCMP) Post -closure monitoring to begin Yes following closure certification. Monitoring parameters and locations to be determined at that time and in accordance with G.S. 130A- 309.214(a)(4)k.2. Yes Based on \ annual evaluation, is the plume stable at the compliance boundary? No Yes Request completion of CMP corrective action plan monitoring or Request completion of PCMP post -closure monitoring in accordance with G.S. 130A-309.214(a)(3)b (' DUKE ENERGY DRAWN BY: T. PLATING REVISED SHECK BY: J. WYLIE & K DATE: 10/112019 DATE: 12/16/2019 PROGRESS CHECKED BY: P. ALTMAN DATE: 12116/2019 APPROVED BY: J. WYLIE DATE: 12/16/2019 PROJECT MANAGER: J. WYLIE s)"Terra www.synterracorp.com FIGURE 6-13 CONFIRMATION MONITORING PLAN WORK FLOW DIAGRAM CORRECTIVE ACTION PLAN UPDATE MAYO STEAM ELECTRIC PLANT ROXBORO, NORTH CAROLINA