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NCG200335_COMPLETE FILE - HISTORICAL_20150213
STORMWATER DIVISION CODING SHEET NCG PERMITS PERMIT NO. Iv L& O 335 DOC TYPE HISTORICAL FILE ❑ MONITORING REPORTS DOC DATE ❑ _� o 15 0 c�? / 3 YYYYM M DD all 3 . �� fla�•s � h�l�'�Ie F>; (.��..;#� a-�i� � 115 clime +� & ntifM�f r�l+� �h�,. cm<I ,Ilt — i� c F�,w Gs u�u SeIv,.t �,/11��ilos. dS I� Gh wow iA.riSul`/li uh�,c.}J�� �na'I✓i II �rn^eS�J .�-(/�Li- !V JvJ1 ._0. G{�4I/r rsj. VL� DPI r�s Dvp tt a Prue Il p+-414( 9mPs. v<1� No CP cus (S -- �..wwy "` 5 C+ �'N,1 r,L,,,) �`Z ✓' �1 `y u&4 c1i '� )1 Y G u/ IJ u� d 11 W c� / �J S.(Y k� C �u r�l°IS``. I j `1 Nit $ I/✓'i) unv fw, r yr S ht G�G✓�: ""wI ne`l� �Y «�,�1 -Ivy �,r,s i i-ivr...l � 07 ` "" GQi'1 USN l^�`AJA %LUU u�lrn I/ ��Zc� Ul \ cis A \I c� Cam^ `` lS Cap l pv� n I i v I i ^ I Q (Ut �� lnuitr, b a to -Y'J 1ud 041^et,v"61 l J I rIj k' h M I 1 A �� Opel W(vt� pJ�' F 0_SvC dPo"�� y shy wQ ✓u S ywh �y irr aJ }rr i Y s 3 y, Cc: Bennett, Bradley Subject: FW: Raleigh Metals Recyclers Monitoring Lab Results came in yesterday from RMR. Dave From: Dan Nielsen[mailto:dnielsen(o)maaonline.com] Sent: Tuesday, July 01, 2014 3:35 PM To: Parnell, David Cc: Bennett, Bradley Subject: Raleigh Metals Recyclers David, The folks over at Raleigh Metals Recyclers forwarded me this summary of their stormwater monitoring laboratory results. I believe you requested this during our meeting on Wednesday. I assume the DMRs were sent to NCDENR via the 'normal' submittal process. If that is not the case, please let me know and I will inquire with the site manager to determine where they are. Dan ii (r loll Atlantic suU•nme a F:n.tronrtw•us sa.uw. Daniel H. Nielsen, PE, RSM, LEED-AP Vice -President, Principal Engineer MID -ATLANTIC ASSOCIATES, INC. 409 Rogers View Court I Raleigh, NC 27610 919-250-9918 1 919-250-9950 (Facsimile) 1 919-614-3988 (Mobile) www.MAAONLINE.com 120-Years of service 1993 - 2013 Confidentiality Notice: The information contained in this e-mail is intended only for the individual or entity to whom it is addressed.lts contents (including any attachments) may contain confidential and/or privileged information. If you are not an intended recipient you must not use, disclose, disseminate, copy or print its contents. If you receive this e-mail in error, please notify the sender by reply e-mail and delete and destroy the message. �� Asp NCDENR North Carolina Department of Environment and Natural Resources Pat McCrory John E. Skvarla, III Governor Secretary December 16, 2014 RALEIGH METAL RECYCLERS — NCG200335 Memo to file by Dave Parnell: Subject: On site meeting between Raleigh Metal Recyclers representatives and Raleigh Regional Office staff. Representatives present: Danny Smith - DWR RRO Supervisor Dave Parnell - DEMLR Stormwater RRO Jon Aldridge - McAdams Dan Nielson - MidAtlantic Bill Toole - Robinson Bradshaw Greg Brown - Raleigh Metal Recyclers Meeting at the Raleigh Metal Recyclers conference room at 2:OOPM - 12/16/14 The meeting was requested by RRO staff to assess the progress of the facility towards the resolution of their NOV issued by DWR. The NOV was for DWR Stream Standard Violations. In conjunction with a prior NOV issued by DEMLR Stormwater as well as, the installation of a barrier (to be approved by EPA/REC) to hold in place PCB affected soil; a timeline was submitted to DWR for implantation of those measures. Mr. Brown described some improvements that had been implemented, but no implementation of stormwater treatment units has been installed. Mr. Toole asked if the stormwater treatment units had been approved by DENR, indicating this was a reason for the delays. No comments have been issued by either DWR or DEMLR on their stormwater plan. It was suggested that a sedimentation and erosion control plan be submitted to the City of Raleigh, which would include the proposed stormwater treatment units. This action would enable the process to begin as soon as possible. Mr. Parnell suggested that Mr. Aldridge be in contact with Mike Randall, of DENR Stormwater Permitting Program, as well during this process. He could advise on the metal reduction techniques required for these units. Mr. Brown suggested that RRO staff come to the site every 30 days to observe the stabilization of areas of the site with vegetative cover. Mr. Smith suggested that Mr. Brown and his consultants provide a unified response to the delays. Mr. Brown and his consultants agreed to submit a S&E Plan to the City of Raleigh in the next two to four weeks. Division of Energy, Mineral, and Land Resources Energy Section • Geological Survey Section • Land Quality Section 1612 Mail Service Center, Raleigh, North Carolina 27699-1612.919-707-9200 / FAX: 919-715-8801 512 North Salisbury Street, Raleigh, North Carolina 27604 • Internet: http://portal.ncdenr.org/web/Ir/ An Equal Opportunity \ Affirmative Action Employer — 50% Recycled \ 10% Post Consumer Paper Bennett, Bradley From: Georgoulias, Bethany Sent: Monday, July 07, 2014 11:41 AM To: Pickle, Ken; Bennett, Bradley Cc: Ventaloro, Julie Subject: RE: Raleigh Metals Recyclers Nice summary, Ken. I don't have much to add, except that I agree with your assessment. Some of the Cd exceedances would not be an exceedance when compared to the revised benchmark (it's going up from 0.001 to 0.003 mg/I), but the trends (or lack thereof, in most cases) are what you observed. In fact, for Cd, 604 and 005 are perhaps getting worse. Has there been any up- and downstream sampling? Since we're dealing with copper, zinc, and iron, that would be especially helpful. Bethany Georgoulias, Environmental Engineer NCDENR / Division of Energy, Mineral, and Land Resources Stormwater Permitting Program 1612 Mail Service Center, Raleigh, NC 27699-1612 512 N. Salisbury Street, Raleigh, NC 27604 919 / 807-072 (phone); 919 / 807-6494 (fax) Website: http://l)ortal.ncdenr.orp/web/ir/stormwater E-mail correspondence to and from this address may he subject to the North Carolina Pubbc Records Imr and inav be disclosed to Third parties. From: Pickle, Ken Sent: Wednesday, July 02, 2014 4:37 PM To: Bennett, Bradley; Georgoulias, Bethany Cc: Ventaloro, Julie Subject: RE: Raleigh Metals Recyclers My interpretation based on a quick look: • Yes, for this too -small data set the numbers do seem to generally be dropping on outfalls 001, 002, and 006. That is, you could observe that the last two results are lower than the previous three results. However, 3 data points vs 2 data points is a pretty difficult data set to make any conclusions about, I think. I can't imagine what action we would take based on this data set: there's not enough data to support any action, imo. Outfalls 003, 004, and 005 generally do not show improvement over time. Again, similar limitations make this conclusion really just a guess. 3 data points vs 2 data points is just not enough in either case. Consider that one gross interpretation could be that we have 3, outfalls possibly better, and 3 seemingly worse or unimproved. Similar to my earlier assessment, I think 3 outfalls vs. 3 outfalls is really inconclusive as far as supporting any site -wide conclusions or action, imo. Further: • pH is not a problem • Interpretation of the iron results is hampered by not having a benchmark. But 93, 56, 53, 72, and 44 mg/L are suspicious to me. • O&G: only 3 exceedances out of 29 measurements. Focus on other parameters, expect that measures addressing those will address O&G exceedances. 0 1 suspect that the natures of the exposures are different in the different sub -drainage areas. • All the subdrainage areas have problems with metals. Note that we have reason to be somewhat receptive to arguments about copper and zinc being present in the natural soils of NC. But, when the data sets for Cd and Pb are similarly present, I think we should initially discount any consideration that the Cu and Zn contributions are presumptively natural background, and re -interpret that the presence of Cd and Pb suggest that industrial activity may be the source for all the metals, including Cu and Zn. Not a difficult interpretation at a scrap metal site, I think. • Outfalls 003 and 005 seem to have less issues with TSS and COD (only one exceedance each.) • Considering the monitoring results of the four metals with benchmarks: we have 106 exceedances out of 116 measurements since November 2013. Not encouraging. I've highlighted in yellow the benchmark exceedances in the attached spread sheet so you don't have to. Ken Ken Pickle Environmental Engineer NCDENR I DEMLR I Stormwater Permitting Program 1612 Mail Service Center, Raleigh, NC 27699-1612 512 N. Salisbury St, Raleigh, NC 27604 Phone: (919) 807-6376 Fax: (919) 807-6494 Email: ken. oickle(alncdenr.gov Website: http://i)ortal.ncdenr.org/web/Ir/stormwater ** Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties unless the content is exempt by statute or other regulations.** From: Bennett, Bradley Sent: Wednesday, July 02, 2014 10:09 AM To: Georgoulias, Bethany; Pickle, Ken Cc: Ventaloro, Julie Subject: FW: Raleigh Metals Recyclers Hey Guys, Please take a look at the sampling results from Raleigh Metals. This is the project that we are working with Danny on and that the City of Raleigh has been concerned with. Give me your thoughts on the numbers we are seeing here over the last year. They have put some measures in place and it does look like some of the numbers have dropped in the last two monitoring events. Bradley Bennett Stormwater Permitting Program Phone: (919) 807-6378 NC Division of Energy, Mineral and Land Resources Fax: (919) 807-6494 1612 Mail Service Center Email: bradlev.bennettcMcdenr.gov Raleigh, NC 27699-1612 Web: http://portal.ncdenr,org/web/Ir/stormwater Email correspondence to and from this address may be subject to public records laws From: Parnell, David Sent: Wednesday, July 02, 2014 9:36 AM To: Smith, Danny; Holley, John; Bolich, Rick I Robinson Bradshaw May 2, 2014 VIA EMAIL AND CERTIFIED MAIL Danny Smith Regional Supervisor Water Quality Operations, Raleigh Regional Office North Carolina Department of Environment and Natural Resources 1628 Mail Service Center Raleigh, NC 27699-1628 William W. Toole Charlotte Office 704.377.8373 Direc Phone 704.373.3973 Direct Fax mooleC,bh.com rbh.com Re: Notice of Violation NOV 2014-PC-0047 dated March 27, 2014 ("NOV") 2310 Gamer Road Wake County Response of Raleigh Recycling NC Scrap Metal LLC ("Raleigh Recycling") Dear Mr. Smith: This firm represents Raleigh Recycling with regard to the NOV. This letter and the attachments are timely submitted in response to the NOV that Raleigh Recycling received on April 3, 2014. As requested in the NOV, this response includes the following: (i) a comprehensive plan to stop pollutants from discharging from the site into surface waters; (ii) a plan to stabilize the site such that infiltration, erosion and pollution will be addressed to prevent ongoing transport of contaminants to surface waters of the state; and (iii) an implementation schedule. On April 23, 2014 an entity related to Raleigh Recycling obtained control over the site from the previous owner and operator, allowing Raleigh Recycling to speed the responses necessary to stop pollutants from discharging from the site. As detailed below, Raleigh Recycling proposes a comprehensive approach that will stabilize PCB and metals contaminated soils with a cover expected to be 95% impervious, treat soils with excessive metals contamination, and install two stormwater ponds designed to manage site stormwater from 14.5 acres of the site, essentially all but a minor gravel parking lot. Raleigh Recycling will then evaluate discharges from this holistic system and make additional improvements as necessary and appropriate to meet stormwater discharge requirements. Such additional measures might include some combination of direct treatment of stormwater prior to discharge from the site. 4751031A 19853.00020 Robi son Bnddme & Xirwh, PA- - Attorneys at Law ❑ 101 North Tryon Street Suite 1900 U Charlotte, NC 28246,1704.377.2536 Charlotte ! � Research Tda,49 ., Ro& HU rA Danny Smith May 2, 2014 Page 2 I. Current Efforts A. April 23, 2014 Purchase of Site Raleigh Recycling has proceeded aggressively and through a related entity bought the site so as to speed efforts to address problems it did not create. These problems are the result of historic activities dating back to the 1940's that were undertaken by previous site owners and operators, primarily Seymour Brown Investment Co., Inc., formerly named Goldsboro Iron and Metal . ("SBIC") which acquired the property in 1968. Raleigh Recycling, formerly known as GIMCO Acquisition LLC, first had dealings with the site when it purchased certain operational assets, but not the land nor responsibility to respond to historic contamination, from SBIC on August 3, 2007. Raleigh Recycling never had any control over SBIC operations and, until April 23, 2014, neither owned the site nor had the right to implement necessary cleanup to control the legacy contamination affecting stormwater discharges from the site. Nonetheless, Raleigh Recycling Scrap Metal NC LLC, an entity related to Raleigh Recycling, purchased the site on April 23, 2014 so that the measures necessary to address the historic contamination could be implemented aggressively. B. Identification of and Proposed Response to Historic Contamination 1. Comprehensive Identification of Historic Contamination Before its purchase of operational assets in 2007, Raleigh Recycling identified to SBIC site contamination that has affected stormwater discharges from the site. In August 2010 Mid - Atlantic Associates submitted to North Carolina Department of Environment and Natural Resources, Inactive Hazardous Sites Branch — REC Program, a comprehensive remedial investigation report that identified the vertical and horizontal extent of the historic contamination ("RI"). The RI may be downloaded from the Inactive Hazardous Sites Branch portal at https://edm.nc.gov/DENR-Portal/ and referencing Site ID NCD045915568. That historic soil contamination included lead, cadmium and polychlorinated biphenyls (PCBs), constituents which the Water Quality Operations of DENR identified in the stormwater discharge from outfall 4 (retaining wall outlet). The PCBs were introduced in connection with a transformer cracking operation that SBIC operated during the 1960's. Raleigh Recycling has never allowed PCBs to be transported to the site and since becoming an operator in 2007 has maintained a strict screening process to prevent PCBs from being introduced to the site. 2. Historic Contamination is Primary Source of Stormwater Exceedances PCBs do not appreciably dissolve in water. Instead, they tend to adhere to soil. This means that PCBs become mobile only to the extent the soils to which they have adhered become mobile. Similarly, the metals identified in the stormwater discharges are not particularly soluble in water. The characteristics of these constituents are such that the primary source of stormwater exceedances is likely to be contaminated site sediments that are caught up in stormwater, not 4751031v4 19853.00020 Danny Smith May 2, 2014 Page 3 stockpiled scrap. In fact, turbidity sampling conducted by Water Quality Operations staff in connection with the NOV identified high levels of sediments at outfall 4 and demonstrated that as turbidity decreased further downstream from the outfall, so did levels of metals and PCBs in the stormwater samples analyzed. 3. Proposed Response will Stabilize Site Raleigh Recycling regularly pressed SBIC to develop and implement a comprehensive response to the legacy contamination at the site. In April 2012 SBIC submitted its Revised Containment Remedy Proposal (April 3, 2012) to the Inactive Hazardous Sites Branch, and later in June 2012 SBIC submitted the Remedial Action Plan (June 21, 2012) to Region 4 of the Environmental Protection Agency. These documents describe a remedial action plan to install a cover over those areas with soils contaminated by PCBs higher than 1 ppm (approximately 9 acres of an operating yard comprised of roughly 14.5 acres). The cover would consist of geotextile fabric overlain by approximately 12 inches of recycled concrete or aggregate base course cover. Small volumes of soil with high levels of metal contamination that are not amenable to fixing (e.g., soils with concentrations of lead over 10,000 mg/kg) would be excavated and disposed off -site in a permitted landfill. Remaining site soils contaminated with metals at levels that could to leach into water would be amended with a fixing agent to prevent leaching. These metal -contaminated soils are generally located within the upper two feet of the soil and coincident with the PCB contaminated soils that would be subject to the protective barrier. The Revised Containment Remedy Proposal (April 3, 2012) may be downloaded from the Inactive Hazardous Sites Branch portal at httys://edm.ne.gov/DENR-Portal/ and referencing Site ID NCD045915568. I understand you have already received access to the Remedial Action Plan from Mid -Atlantic Associates. If not, let me know and I will make the necessary arrangements. The protective cover will stop contamination of stormwater associated with turbidity by preventing mobilization of contaminated soils into sediment. The metal excavation and fixing process will also stop those metals contaminated soils from contributing to stormwater exceedances. The cover is predicted to be 95% impervious, and as such the volume of stormwater permeating through the cover and coming into contact with site soil will be limited. C. Obtaining Required State and Federal Approvals for Response to Historic Contamination The remedial action described above has been approved in concept by both DENR's Inactive Hazardous Sites Branch and Region 4 of the Environmental Protection Agency. The required formal approval by EPA had been delayed for over 18 months, until Raleigh Recycling was able to assert control over the regulatory negotiations from which SBIC had previously excluded Raleigh Recycling. EPA has now committed to make approval issuance a priority and plans to initiate mandatory 30 day public notice on May 12. Once the EPA approval has been obtained, Raleigh Recycling -will seek the required formal DENR approvals, which also involve mandatory public notice and comment periods. 4751031v4 19853.00020 Danny Smith May 2, 2014 Page 4 Il. Two Stormwater Management Ponds The remedial action plan submitted by SBIC did not include any stormwater management ponds, though a small pond was contemplated by Raleigh Recycling in the northeast portion of the site. After receiving the results that accompanied the NOV, and in connection with obtaining control over site remedial efforts, Raleigh Recycling engaged McAdams Co. to design permanent stormwater control devices that would augment the site stabilization to be performed by the protective cover. In order to assure a comprehensive solution to controlling contaminant loading in stormwater discharges from the site, McAdams proposes the installation of two stormwater management ponds along the western boundary of the property that will control discharges from over 14.56 acres of the 18.64 acre site. A large portion of existing discharges to outfall numbers 2 and 6 will be re-routed to the stormwater ponds, and outfall 4 will be eliminated. These ponds are designed to control stormwater from a 100% impervious drainage area during 100 year storm events. The ponds will include plants required for erosion control purposes. These plants will also be selected for their propensity to assimilate metals. A detailed description of McAdams' two -pond concept to manage stormwater is attached. III. Evaluation and System Improvements as Appropriate Within 90 days after the site has been stabilized with the protective cover, the soil with excessive metals contamination fixed, and the stormwater ponds installed and functioning, Raleigh Recycling will evaluate stormwater discharges to determine what, if any, additional controls and polishing of discharges will be necessary and appropriate to avoid exceedances. These improvements could include direct treatment of stormwater discharges by installing polyacrylamide (Floc Logs® by Applied Polymer Systems) upstream of the forebay for each stormwater pond; or filtration between pond risers and pond outfalls. Until the holistic system is in place and operating, it is not possible to determine what, if any, additional measures may be necessary and effective. IV. Schedule of Specific Milestones Attached please find a schedule of specific milestones for implementing the system. This schedule has been prepared based upon the experience and expertise of McAdams and Mid - Atlantic Associates in such matters. Where possible, activities will be conducted concurrently to shorten the duration of project implementation. Raleigh Recycling has moved aggressively to seize control over the implementation of measures necessary to eliminate stormwater discharge exceedances and to stabilize the site. Since 475103Iv4 19853.00020 Danny Smith May 2, 2014 Page 5 obtaining control, there has been identifiable progress. Raleigh Recycling is committed to managing this site in a responsible manner. We look forward to your review and approval of the comprehensive, holistic approach that has been designed and submitted. Sincerely, ROBINSON BRADSHAW & HINSON, P.A. William W. Toole WWT/tbm Attachments cc: Gregory M. Brown (Raleigh Recycling NC Scrap Metal LLC) Nicolette Fulton, Esq. (City of Raleigh) Daniel H. Nielsen (Mid -Atlantic Associates) Jon Aldridge (McAdams) 4751031 v4 19853.00020 FINAL STORMWATER MANAGEMENT PLAN ®SUMMARY On March 27, 2014, a Notice of Violation (NOV) was issued by the North Carolina Division of Energy, Mineral, and Land Resources (DEMLR). The NOV stated that exceedances existed for lead, cadmium, mercury, polychlorinated biphenyls (PCBs), nickel, copper and zinc for stormwater runoff on the western portion of the Raleigh Metals Site (Outfall #4). This narrative and the attached conceptual plans provide detail for the proposed stormwater management measures that will be put in place to control sedimentary runoff and contaminants to meet applicable stormwater discharge standards. DISCUSSION OF PROPOSED MEASURES There are six existing stormwater outfalls onsite. These outfalls are shown on the attached conceptual plans. The proposed stormwater management plan includes a variety of measures including the placement of a cover over much of the site to stabilize contaminated sediment, installation of two large ponds and rerouting of storm drainage to minimize the number of outfalls present onsite. After construction of the proposed stormwater management plan, approximately 85% of the site will be directed to one of the two stormwater management facilities. Please refer to the attached conceptual plans that detail the proposed measures and drainage areas for each of the outfalls described below. A conceptual plan of the existing conditions is provided as well. COVER STABILIZING SITE A cover will be installed over approximately nine acres of the site in those areas with soils contaminated by PCBs higher than 1 ppm. Metal -contaminated soils are generally located within the upper two feet of the soil and coincident with the PCB contaminated soils that would be subject to the protective cover. The cover would consist of geotextile fabric overlain by approximately 12 inches of recycled concrete or aggregate base course cover. OUTFALL #1 The drainage area for this outfall consists primarily of the northeast parking lot. Please note that no operational procedures are performed in this area. Inlet protection is proposed at each inlet in this area. Additionally, silt fence is proposed on the north side of the parking lot (recently installed). Both measures will aid in controlling sediment laden water from flowing to downstream properties. OUTFALL #2 A large portion of the existing drainage directed to this outfall will now be directed to the North Pond at Outfall #3. There will be a small amount of area that will still sheet flow to this outfall -- However, silt fence is proposed to handle any sediment laden water. OUTFALL #3 To control contaminants at this discharge point, a stormwater management facility (North Pond) is proposed. This facility will collect approximately 5.5-acres of drainage, and as stated above, will treat the majority of the existing drainage to Outfall #2. The North Pond is designed such that it Raleigh Metal Recycling May 2, 2014 M M.CADAMS i controls and provides a 2-day drawdown of the 1" water quality storm event for the associated drainage area. The proposed facility is designed such that peak flow rates at the outfall do not exceed the pre -development condition for the 2-, 10-, and 100-year storm events. The facility includes several measures to help control sediment and contaminants. These measures include riprap berms, a skimmer attached to the outlet structure, and plantings that provide uptake of metals. A detailed cross-section of this facility is provided on the conceptual plans provided. OUTFALL #4 This outfall will be eliminated and the entirety of the existing drainage directed to this outfall will now be directed to the stormwater management facility at Outfall #5. OUTFALL #5 To control contaminants at this discharge point, a stormwater management facility (South Pond) is proposed. This facility will collect approximately 9-acres of drainage and includes portions of the existing drainage to Outfalls #2, #4, and #6. The proposed facility is designed such that peak flow rates at the outfall do not exceed the pre -development condition for the 2-, 10-, and 100-year storm events. The facility includes several measures to help control sediment and contaminants. These measures include riprap berms, a skimmer attached to the outlet structure, and plantings that provide uptake of metals. OUTFALL #6 A large portion of the existing drainage directed to this outfall will now be directed to the South Pond at Outfall #5. There will be a small amount of area that still drains to Gamer Road. Inlet protection will be used in this area. ® MAINTENANCE, MONITORING, & FURTHER CONTROL MEASURES A component in the performance of the stormwater measures provided is maintenance. It is recommended that each of the practices provided be inspected monthly or after each significant rainfall. Sediment shall be removed in each of the basins routinely and disposed of properly. Detailed operations and maintenance manuals will be provided to the owner at the time of final approval. Routine monitoring will be conducted at each outfall in connection with applicable NPDES Permit requirements. This will help in determining the effectiveness of the measures proposed. Although we feel that the stormwater management plan proposed is adequate, additional modifications may be needed to further enhance the proposed measures ability to remove contaminants. Depending upon the results of 90 day post -implementation monitoring and evaluation, additional improvements may be necessary and appropriate. These include covering all or a portion of the operating site with an impervious cover, installing polyacrylamide (Floc Logs® by Applied Polymer Systems) upstream of each of the forebays for the stormwater ponds, and installing filtration devices immediately downstream of the ponds. Raleigh Metal Recycling May 2, 2014 9 MCADAMs 2 We appreciate the opportunity to work with you on this project, and look forward to beginning work as soon as possible. Sincerely, THE JOHN R. MCADAMS COMPANY. INC. Jon Aldridge, PE SEAL Project Manager t p 33782 Water Resources and Infrastructure �, A. 1, V"AY 14 Raleigh Metal Recycling May 2, 2014 9MCADAMS . 3 00 ;--_' -_ — ---- g_-__-- ill', ' �i rp P i � �`. •O! l .: _"__\_ --__�.'-.�_ `\\ �___—_ d'i l ( III\���"`m`Cd / .-__ `�` _' .\-) •♦ 'i ��` •__-.,�-• �_'__'___'-_ _ "-_ __ 'I �1l II / i �i �d\��\ L •►-• i�\-`fit '•~"' ••�'I \`\���--`. �\_�`'``�- `�� � � �`-__ \I "J • 1 \ •., 111\1` \t. '`\„• ham;=; p -•�`: Iww I , Nil \ I`I `�I \ O'er // • *♦♦�♦1 Ii \ `` 1 I •j�•• \\___- �`-_.-Y,'///� i �•'�- � ;'I Jl fill 00 it i,jY' • I —�\ :'• 11 I�i o ................ /-F77/ LL��� €_��`_ RRO'W �,• r�+�. .� •♦M 111 'r Illl 1l ILL ', �, •E�� ° E S- g ' • Q { y 1 9,5 S RALEIGH METAL RECYCLING 57'ORMNAIER MANAGEIrtENf'PIANS um o . aAcemx uerAt aecrcunc zslo cAanea aoAx xAL81GN, NO60 CANOIJNA 27e10 MCADAMS .+�•� w•m ��....o� d �oeoemmox mwx \'N`. --- ___------ IG Icy �_ :;• , d r `�I'\ j ` �1� :�` • • `• 1 '�"' �: :\�`: �� /� 111i1� III, • . . / , i I � � -%: ppI ,' I, r '- , 1 111 II i ,I II ____�♦� Y � ' �i I A I _�` ♦x 'S 7 .'//� - --/i/ �' III II C ----F ° ! (� N i 1 d 1 y, pDE,LG� ¢ RM EIGH METAL RECYCLING 510RMWA7ER MANAGEMENT PLANS xALe 231 CARNEP ROAU R.UPICH GAR14 aecrcurvc ILH. NORTH CAROIINA em 11" MCADAM6 s.�eru m 9 OAAOPiOAND Rxcslw+corrrnol.vinr I \,- �---_ - T ` - xoxm eorro nwxvmw IOU MML RMCUNG zzlo ww+ex noLn T A ao PLAN�PROFILE IRALEIGH IAL RECYCLING STORMWAIER MANAGEbEM'PIANS a RE1G1NC Y7610 MS ms II ill RF III P1 OR 5 s 15 5 5 5 8 8 5 8 5 t t't t t t It �t It it It 14, FeFFir 7��FIAT8 7w isFp 7AA Actions to improve Storm Water Situation 4/21/14 Update Completed between 8/21/13 and 10/15/13 1. Pumped out water with residue from small storm water pond near Maintenance building, Rai 2. Made small pond larger near Maintenance Building, Rai 3. Removed dirt that had petroleum residue near Maintenance building, Rai 4. Added pipe elbow to outflow to keep residue on site in small pond near Maintenance building 5. Rebuilt water flow channel, near maintenance building, with internal dams, Rai 6. Installed barriers around channel to keep channel maintained, Rai 7. Replaced water flow pipe, from small pond in Maintenance area, to Northern property. Had been blocked, causing over land flow, Rai 8. Added significant rock over dirt to slow water and limit dirt migration to North overland, to the West of Maintenance Building, Rai 9. Cleared small pond near West of property to allow large pipe with elbow to flow when pond is high, to keep floating material on site, Rai 10. Placed booms at all outflows, including at some inflows, City, Rai 11. Began using only sealed boxes in Nonferrous area to stop residue from going in drain, Rai 12. Began policy of taking equipment out of service same day, if leaking, Rai 13. Moved steel turnings from SW corner of property to concrete pad and removed soiled dirt, Rai 14. Hired McAdams on 10/14 to advise on storm water issues 10/18/13 1. Implemented new policy of all electric motors and sealed units are stored inside (copper), Rai 2. Implemented new policy of all electric motors to be stored inside within 24 hours of being taken off incoming large equipment, Rai 3. Implemented policy of daily ensuring all copper wire removed from roadways, Rai 10/22/13 1. Fired General Manager of site that was responsible for hiring firm to power clean crane on dirt outside maintenance facility and did not see issue with building gutters allowing petroleum based material to flow out of building with rain water. Key reasons for 8/21 issue, Rai 11 /27/13 1) Hired Baker Roofing redo gutters on building to stop issue in #1 in first section, Rai 12/11/13 1) Constructed new channel, stone lined by outflow #6 to reduce sediment leaving site, Rai 2) Had conference call to review 1st draft of McAdams report 3) Contacted Applied Polymer Systems, re Floc Logs, per McAdams. Was given name of local distributor - Green Resource and then call them about purchasing Floc Logs. 12/13/13 1) Fired Ferrous yard leader that was not being as responsive as he should have been, with leaks on equipment that was causing the need for clean ups, Rai 12/19/13 1) Installed dams in Outflow #3 channel, per McAdams 2) Date approx.-hired firm to install silt fence, N and W, per McAdams. Finish date target 1/10/14 12/23/13 1) Met with Floc Company, ordered units and took water samples. Delivery said to be 1-2 weeks 2) McAdams report issued with recommendations. Implementation began earlier, based on draft of 12/11/13 12/27/13 1) Completed redo of gutters on Maintenance Building, Rai 12/30/13 1) Added Boom to outflow pipe at outflow #2, Rai 1 /4/14 1) Completed construction of 'silt' fence, along North side of property and West (were no wall), McAdam. 1/13/14 1) While all but outflow #2 Flocs were installed last week, #2 was installed, McAdam 1 /30/14 1) Began, weekly inspection of all booms and inspection after every rain, Rai CONTINUED PAGE TWO 3/12/14 1) Asked Environmental Lawyer to see if we can break out building a storm water pond West of building, from total site plan (which continues to be delayed) and implement it now (start in weeks), Ral 3/13/14 1) Started new policy of no customers "breaking down" copper items in parking lot, effects outflow #1, Ral 2) Started new policy of no open trailers stored with material in parking lot, if rain, effects outflow #1, Ral 6/15/14-approx 1) Contracted to add curb to parking lot, which will have major reduction of sediment to outflow 1 2) Found two major roof gutters need to be reworked, replaced 6/30/14 1) Installed curb in parking lot -see above L�Z Lq) -R,zv 1n9-�u7 G379 �Fw�R btJLt.hmw��IlCdr„r gov 4�d ') cv;�,/� P)Z' / 9 i9 �ve��Tnel` 5q� IMl�' L��5Cn1 � IMRR�N� 1 giti -zso- g573 70Y- Sampling. Raleigh metal will need to begin sampling stormwater discharges monthly, from July 2014 through construction efforts and then for 12 month after the completion barrier installtiona and stomwater pond installation. The following paramaters are to be sample: • On site rain gauge data (daily monitoring and recording) Total Suspended solids, Turbidity, potassium, Cadmium, Chromium, Nickel, Lead, Zinc, Vanadium, Aluminum, Silver, Beryllium, calcium, Cobalt, Molybdenum, Antimony, Tin, Thallium, Titanium, Mercury, Lithium, Magnesium, Manganese, Sodium, Arsenic, Selenium, barium, base/neutral extractable organics TPH Diesel range Polychlorinated Biphenyl • The sampling results will need to be provided to DWRs and DEMLR monthly. • Outfall sample locationsa", toJdentify locarion(s) This data will be used to demonstrate the effectiveness of the proposed remedy and ongoing operation and maintenance expectations. Stormwater Pond. • Stormwater pond design(s) —Provide engineered sealed plans to DWRs and DEMLR by Sepfember�.l;�201,4, • Provide DWRs and DEMLR stormwater monitoring plan by for the stormwater pond influent and effluent. Using the abovementioned parameters, both the influent and effluent samples will need to be collected monthly. These results are to be provide to DWR and DEMRL monthly. • Operations and Maintenance (O&M) agreement that also includes the development of a plan for removal and testing of accumulated sediments from the stormwater basin must be developed. (parameters?) • Provide a written account detailing how drainage/stormwater/ and/or accumulated groundwater behind retaining wall located adjacent to the railroad spur, will be captured or prevented from discharging. Will this water be routed to the stormwater pond? What treatment will this pond provide? Provide DWRs and DEMLR this written account by $;RNbe 1' 2014 If discharges occur after barrier placement monthly monitoring is required to continue to occur. C� k� tlls • Upon installation of the stormwater pond, Raleigh Metal will need to sample stormwater pond influent and effluent for one (1) year. This sampling must include the above mentioned parameters. Schedule (Starting July 1, 2014) • Monthly stormwater outfall monitoring beginning July 2014 —July 2016. • Construction Drawings and Railroad Permitting —complete by September 1, 2014 (60 days) • Contractor selection — complete by October 1, 2014 (90 days) • Site Demo/movement of onsite material December 1, 2014 (complete 150 days) • Barrier Placement, permanent Stormwater Basins installation April 12, 104 (270 Days) Your letter states that new stormwater retention ponds will contain plants that will be "selected for their propensity to assimilate metals". Please provide more detail about the species of plants to be used, their compatibility for use in stormwater retention ponds, and their ability to remove the specific contaminants noted in the on -site stormwater. The proposed schedule for the implementation of stormwater control measures related to the June 21, 2014 Remedial Action Plan for the PCB contaminated soil may be adequate to address the PCB contaminated soil contamination under the DWM IHSB program, but this does not relieve you of your obligations to stop stormwater contaminated by current waste handling activities on site that have resulted in the contravention of state surface water quality standards. Please provide a clear schedule with dates detailing your proposed corrective actions to mitigate the on -going surface water quality standard violations such that these violations do not continue to occur. The remedial action plan that you submitted to DENR's Inactive Hazardous Sites Branch and to the EPA does not in any way relieve you of your obligations to control pollutants that are generated and discharged by your current waste handling practices. Bennett, Bradley From: Senior, Mark [Mark.Senior@raleighnc.gov] Sent: Friday, June 13, 2014 3:33 PM To: Matthew Starr (Upper Neuse River Keeper 2013) (matthew@neuseriver.org); George Matthis (River Guardian) (george@riverguardfdn.org) Cc: Fulton, Nicolette; Holley, John; Smith, Danny; Bennett, Bradley; Randall, Mike; Aufman, Matt; Eric Green (eric.green@wakegov.com); Caulk, Kim; Parnell, David; Kenneth Rhame (EPA) (Rhame.Kenneth @epa.gov); Boyer, Kevin Subject: FW: City of Raleigh Comments on PCB Approval for Raleigh Recycling NC Scrap Metal, LLC - EPA ID NCD045915568 Attachments: ATT00002.c; ATT00004.htm Matthew/George; since you shared your comments I thought I would share ours with you as well as the State and County. Thanks, Mark Sr. From: Senior, Mark Sent: Thursday, June 12, 2014 4:12 PM To: Crosby -Vega, Terri Cc: Fulton, Nicolette; Rall, Todd; Duffy, Peter; Boyer, Kevin; Kirsch, Daniel Subject: City of Raleigh Comments on PCB Approval for Raleigh Recycling NC Scrap Metal, LLC - EPA ID NCD045915568 Ms. Crosby -Vega; Thank you for the opportunity to comment on the PCB Approval for the above referenced site. City of Raleigh staff has reviewed the Approval and would like to offer the following comments: 1. The City of Raleigh supports the PCB Approval for the installation of a barrier to prevent human exposure. Because it has been confirmed that PCB's are currently leaving the site, contaminating adjacent properties, and entering surface waters in concentrations that exceed State standards, the City would encourage EPA and the State to do whatever they can to expedite the implementation of this plan to protect the health and welfare of the citizens of Raleigh. 2. Since this is an active site with exposed soil and it will be some time before the proposed barrier is in place, we would encourage EPA and the State to require the implementation of interim measures to insure that PCB's and other contaminants remain within the site until such time as installation of the barrier is complete. 3. We would recommend that compliance with the remediation plan be incorporated as a requirement of the site's NPDES Industrial Stormwater Permit so that failure to comply with the plan would constitute a violation of the NPDES Stormwater permit. Sincerely; Mark T. Senior, PE, Acting Stormwater Manager Stormwater Division of the City of Raleigh Public Works Department June 11, 2014 Terri Crosby -Vega Environmental Engineer RCRA Division US EPA Region 4 61 Forsyth Street SW Atlanta, GA 30303 RE: PCB Approval Public Notice Raleigh Recycling NC Scrap Metal, LLC (RRNCSM) EPA ID.NCD045915568 Dear Ms. Crosby -Vega: River Guardian Foundation I am writing to respond to the notice for public comment for the above referenced location. I further request immediate approval and implementation of the remediation plan for the above referenced location. It is my understanding that the responsible party via environmental consultant has been working for at least five years on a remediation plan to remove the most contaminated soil and put a membrane and washed stone cap on the site to prevent further contamination. During this time, contaminants have been leaving the site and entering a tributary to Walnut Creek that leads to the Neuse River. The City of Raleigh became aware of this problem in January of 2014 and both their testing and testing by the North Carolina Department of Environment and Natural Resources have revealed that PCB's and other contaminants leaving the site greatly exceed state water quality standards. We are concerned, as is the City of Raleigh and neighborhood residents that nothing has been done or is being done to contain these pollutants while the remediation plan is being developed. It is unacceptable that lead, cadmium, mercury, PCBs, nickel, copper and zinc in exceedance of water quality standards have been and continue to be discharged into the Neuse River Basin and we request that immediate approval of the remedial action plan and implementation of those measures commence without further delay. We are familiar with work that has been conducted by Mid -Atlantic Associates in past cases of contamination cleanup and feel confident that the remedial action plan they have developed will be sufficient to remediate the site and prevent further discharge of contaminants into the Neuse River Basin. Protection of North Carolina's watersheds is of prime concern to the River Guardian Foundation. We look towards the State of North Carolina and your agency to take strong action when violations of PO Box 97003 Raleigh, NC 27624 (919) 602-8682 infoPriverpuardfdn.ora www.riverguardfdn.org water quality standards occur. Please act quickly to address this serious problem and help us achieve the measures necessary to protect public health and the environment. We stand ready to assist in whatever way possible to alleviate this issue as well as any others that affect our watersheds. Sincerely, George C. Matthis, Jr., President River Guardian Foundation, Inc. Cc: Mark Senior— City of Raleigh Danny Smith — NC DENR DWR RRO Charlotte Jesnick — NC DENR DWM John Holley— NC DENR DEMLR Bradley Bennett — NC DENR DEMLR Phil Orozco — NC DENR DWM June gala July 2014 June 2014 - - Su MO TV We Tfi Fr say Su Mo Tu We n Fr Be 1 2 3 d 5 6 2 1 2 3 < 5 89 1oil 12 13 16 6 ) 8 9 30 11 12 15 16 12 18 19 20 21 13 18 15 16 17 18 19 ' - 22 23 20 25 26 27 28 20 21 22 23 24 25 26 - 29 30 27 IB 29 W 31 SUMry Jury 1 ortlaY 2 M iT.,WeEneWaY 3 < END., 5 6 imurC ) ry a9yn5:Wgn xRb{h+ttire-Sele6 1DNam lllWmLOS MeeNn (SIM1 fCR( LOAJam 1 L.m 1E351rall MeenM (SMi Cunl puNn( -V wn, Toby 90bm llCOam 510rmnater Regnm MeeNM(DENYNOCE ARCXMIF 91N FIWRCONi ROOM 91](-BenleR On.ey g:3bm9Mam GO N51h 5mtt FMn 23An50]pm Meeliq WM W", Q "3L0 :.� �3Y4m 93bmON MAC CM1erk_J 10]gn 230pm DEMLR RDeau YaDn MW ToRI(901 PJAM, Mfermce Room 91)( SWUnn,Sbnm AM'IA PRNYND evm ]0,00-11.yC,AN.1y Fw¢ Meen,(I. Fbw BwrEmom/GLL IX HVMRER: 914)0)9a6) eM12?056( O M WIRan, ]:30mg(Oam bMNlBEay 16pm L:3Pom E.—. 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Benefits of: b Dd `` Individual Permit Option - Would require changes to infrastructure Would require additional monitoring WC,*Wr w/b,t- C—e"L - 45$ 1, 0. ,mJ SW %ks)hj to iT`"� IWyr sJL- tdi� 1 '7 an ccS $ otxr cteo]*rN4 S„ 1,ru• i,,r PrNrF. +o.? lam �,1 �`�"__ is fV sly lMi aus �r }i,,•rs - rw 7���ws }u � UV 3 . Would require downstream sediment/PCB monitoring , pW� ��g�My wu1);1 �" A- Permit Conditions Violation Option 1- �os- a " NOV - CPA ��i . use l�o� � uSluvr Settlement Require Individual Permit (see requirements above) 6. Permit Conditions Violation Option Z - Notes: Rescind General Permit coverage and require facility to apply for Individual Permit Require implementation of site modifications to qualify for no exposure exclusion 14 bwpfie� s Require upstream/downstream monitoring to characterize impacts on receiving waterbodies 307(a) Clean Water Act - List of 65 Toxic Pollutants with includes Copper, Zinc, Lead, Mercury, PCBs Bethany Georgoulius of SPP states that RMR should be submitting monitoring reports to the Central Files IJc�r,� LAI CEO I LAC 0" U;)) �U r►ljkk. Qcw, W'\l Sv � -! rrspob+ ]v Ow R reli sf "i c NCGV200335 - Stormwater Permit Violations Options • Individual Permit Option - TMDL (11g) pathway (Permit Coverage) - Violation of applicable water quality standards (Part I, Section A) Requiring Individual Permit- Discharger is a significant contributor of pollutants (Part II1, Section B, 3a) Violation of the terms of the General Permit (Part III, Section B, 3c) Required at Directors Discretion (Part III), Section B 3g) • Permit Conditions Violations Option 1- (DLR/DWR Joint Approach) Through Use of Part I, Section B All Discharges in accordance with Permit Conditions Prohibits other point source discharge which causes standard violation Prohibits discharges determined to be Wastewater Through Use of Part III, Section A 2. - Duty to Comply - Must comply with all conditions of the General Permit Through Use of Part III, Section C 1. - Proper Operation and Maintenance • Permit Conditions Violations Option 2- Allowing the use of the permit for implementation of requirements of Tier Program - specifically Tier 3 Enforce downstream sediment monitoring & require measures to be installed • /////Jj '/y/ NC®ENBtb 1 North Carolina Department'of Environment and Natural Resources Division of Water Resources Water Quality Programs Pat McCrory Thomas A..Reeder John E. Skvarla, III Governor Director Secretary March 27, 2014, Certified Mail Return Receipt Requested 1012 0470 0001 3843 0822 Seymour Brown Investment Co., Inc Registered Agent: W. Harrell Everett Jr. 507B Spence Ave Goldsboro NC 27534' Certified Mail Return Receipt Requested 7012 0470 0001 3843 1034 Raleigh Recycling NC Scrap Metal LLC , 327 Hillsborough Street Raleigh NC 27603 Subject: Notice of Violation NOV-2014-PC-0047 Notice of Intent to Enforce . Notice of Injunction Relief Recommendation Stream Standard Violations i 2310 Garner Road Wake County Dear Sirs: The Division of Water Resources Raleigh Regional Office (RRO) received a complaint from the City of Raleigh detailing concerns about wnste/pollutants coursing off the subject property and entering into surface waters. In response, on January 11, 2014, Danny Smith, Autumn Romanski, and James Graham of the RRO Water Quality Operations Section conducted a site visit and collected water samples, The subject 2310 Garner Road tract is owned by Seymour Brown Investment Co., Inc. The current business operating at the site is Raleigh Recycling NC Scrap Metal LLC and is -known as Raleigh'Metal Recycling.- Prior' ' to the operations of Raleigh Metal Recycling, thet000f this site has'been industrial use'and the site is confirmed to be'confaminated with polychlorinated bipfienyls (PCBs). 11':ucl Owaliy Regional Orenduns Section 11,28 61uil Service Center; Fiultigh; North Carolina 27699-1628 Imeatino:!.SOn ll:Irrcll Dr... Raleigh, North fiarolina 27609 Phone: 919-79142110 \ PAX: 919571.4718 Internet: wAA&n rq I lit o 1n Equal llpporluna) \ Allirmi Live Action Fliplupur Raleigh Recycle -Seymour Brown Investment Co. �r;3/27/14 r' Page 3 of 4 h, haw Water samples were collected from the.following locations: 1) retaining wall outlet; 2).the�unnamcd tributary to Wildcat Branch, 3) the confluence of the unnamed tributary and Wildcat Branch, and 4) Wildcat Branch (upstream). Water discharging from the 2310 Garner Road facility'contained extremely high concentrations of lead, cadmium, mercury, polychlorinated b'iphenyls (PCBs), nickel, copper and zinc. This waste flowed into surface waters and caused stream standard violations to occur, as listed in Attachment 1. Accordingly, the sample'resuIts confirmed violations of North Carolina General Statutes and North Carolina Administrative Codes which states the following: "North Carolina General Statute 143-215.1(a) states that "no person shall do any of the following thing's or carry out any of the following activities unless that person has received a permit from the Commission and has complied with all conditions set forth in the permit: I ) Make any outlets into the waters of the State. 6) that no person shall cause or permit any waste, directly or indirectly, to be discharged.to or in any manner intermixed with the waters of the State in violation ofthe water quality standards applicable to the assigned classifications or in violation of any efflueitt standards or limitations established for any point source, unless allowed as a condition of any permit, special order or other appropriate instrument issued or entered into by the Commission. under the provisions of this Article." "15A NCAC 02B .0211 (3) k Turbidity: the turbidity in the receiving water shall not exceed 50 Nephelorrtetric Turbidity Units (NTU) in streams not designated as trout waters and 10 NTU in streams, lakes or reservoirs designated as trout waters; for lakes and reservoirs not designated as trout waters, the turbidity shall not exceed 25 N'rU." 15 A NCAC,02B (1) Toxic substance: numeric water quality standards (maximum permissible levels) for the protection of human health applicable to all fresh surface water are in Rule .0208 of this Section. Numerical water quality standards (maximum permissible levels) to protect aquatic life applicable to all fresh.surface waters: ".15 A NCAC 026 (1) (iii) Cadmium: 0.4ug/I for trout waters and 2.0 ug/I for non -trout waters; attainment of water quality standards in surface waters shall.be based on measurement of total, recoverable metals concentrations unless studies have been conducted to translate total recoverable metals to a toxic form. 15A NCAC 02B (1)(viii) lead 25uq/L I SA NCAC 02B (1)(ix) mercury 0.012 uq/L 15A NCAC 02B (1) (x) nickel 88 uq/L 15ANCAC'02B (1) (xii) polychlorinated biphenyls: (total PCB and carcinogens identified '.0.00Iug/1) ' 15A NCAC 02B (4) Action Level Substances: (a) Copper 7ug/I (dj Zinc: 50 uq/1" 6 Raleigh. Recycle -Seymour Brown Investment Co. 327/ 14 T Pagd'4 of 1* v The concentrations,of mercury, PC73s, lead, silver, aluminum, iron, chromium, barium;, copper, nickel, zinc; s, documented discharging.from this site is a significant concern. It is a concern omivolutiles o'rgntiics to riot only agaatic`life but to the public health. This office requests that both parties respond to this. Notice of Violation in Writing within30 days of receipt. Your -response should -minimally address the. following items: 1, Please explain how you plan to stop pollutants from discharging/ntoving off of your site into surface waters. 2. Please cxplaiii how you will stabilizc.the site such that infiltration, erosion, and pollution' ihat aro coincident -• to past and current land uses will be addressed to prevent ongoing and continued trnnsport of waste to surface waters of the state. 3. Provide a`clear schedule with dates detailing how this will be accomplished such that surfa violations do not continue to occur• cc water standard This office requires that the violations, as detailed above, be abated immediately and properly resolved. Enviroomental,damage and violations of -North Carolina Administrative Codes and Statutes have been documented for'the subject site' as stated, Above. Your efforts to undertake activities to bring the'subject site back into compliance is not an'admission, rather it is an action that must be taken in order to begin'to resolve ongoing environmental issues. Thank you for your attention to this matter. This office requires that the violations, as described above, be properly resolved: These violations and.anyfuture violations are suliject to a civil 'penalty assessment of up to $25,000.00 per day for each violation. The dischargeof PCBs, mercury, semi volatiies and other metals.cannot continue to occur. As requested above, this office will review your written response and remediation schedule that you provide. This office will consider your response as a part of any civil penalty assessment, as appropriate. In addition, the failure to provide a clear adequate response with clears chedule to eliminate ongoing impacts to this office will move forward an injunction relief request. This request will be forwarded to ` Attorney General's Office such that a�court ordered compliance schedule/injunctive.relief may be:secured is ordert0 abate continuing violations, worsening downstream impacts and to protect the public health. Should you have any questions regardgthe timplese ontace`sm49,19),791 4252:-. '- near ly, t any Smitional Supe visor Water Quality Operations cc:., Raleigh Regional Office: Division,of Energy Mining and Land Resources -John Holley Division of Energy Mining and Land resources— Bradley Bennett. DivisionoFWaste.Manngement- Hazardous ,Waste'Section PhilOroZc0 ti'i�rvision of Waste fvlanagcment—Chitrlottc:Jcsno& f ny hf R le tzli`;= Mark Senior. y, - Attachment 1: Jotice of Violation NOV-2014-13C-0047 meter/Water Outlet from Confluence Wildcat Branch lity Standard retaining wall Outlet to Raleigh Metals Waters [Conductivity Recycling 972 805 103.4 idity: 50 NTUs 550 170 75 Cadmium:2.0 ug/I 65 ug/L 4.3 ug/L 2.2 ug/L Lead: 25'ug/I 4300 uq/L 250 ug/L 36 ug/L -Aluminum: 100,000 ug/L 7,200 ug/L 24,000 ug/L Human Health 8000 ug/L Aquatic Life 87 ug/L Mercury 0.012 16 uq/L 0.98 Ug/L Non detected polychlorinated blphenyls: (total PCB, and 1.8 ug/L 0.58 uq/L Non detected congeners identified) (PQL 1.0 uq/L) 0.001ug/I Nickel: 88 ug/I 620 ug/L 53 ug/L 9.8 ug /L Action Level Substances: Copper: 7 ug/I 5000 ug/L 340 ug/L 150 ug/L. Zinc: 50 ug/I 15000 ug/L 1100 ug/L 280 ug/L Silver: 0.06 ug/L • 9 ug/L Non detected Non detected Permit No. NCG200000 STATE OF NORTH CAROLINA DEPARTMENT OF ENVIRONMENT AND NATURAL RESOURCES DIVISION OF WATER QUALITY GENERAL PERMIT NO. NCG200000 TO DISCHARGE STORMWATER UNDER THE NATIONAL POLLUTANT DISCHARGE ELIMINATION SYSTEM In compliance with the provision of North Carolina General Statute 143-215.1, other lawful standards and regulations promulgated and adopted by the North Carolina Environmental Management Commission and the Federal Water Pollution Control Act, as amended, this permit is hereby issued to all owners or operators, hereafter permittees, which are covered by this permit as evidenced by receipt of a Certificate of Coverage by the Environmental Management Commission to allow the discharge of stormwater to the surface waters of North Carolina or separate storm sewer systems conveying stormwater to surface waters in accordance with the terms and conditions set forth herein. Coverage under this General Permit is applicable to all owners or operators of stormwater point source discharges associated with establishments primarily engaged in assembling, breaking up, sorting, and wholesale trade of scrap metal [standard industrial classification (SIC) 50931; also covered are stormwater point source discharges from areas at scrap metal recycling facilities which are used to process other scrap materials (plastic, paper, glass, rubber and textiles) or used for vehicle maintenance activities; and like activities deemed by DWQ to be similar in the process and/or the exposure of raw materials, products, by-products, or waste materials. The following activities are specifically excluded from coverage under this General Permit: establishments primarily engaged in activities classified as Used Motor Vehicle Parts [SIC 50151, Automobile Wrecking for Scrap [a portion of SIC 5093], and Non -Metal Waste Recycling [a portion of SIC 5093]. These activities are covered under stormwater General Permits NCGI00000 and NCG 130000. The General Permit shall become effective on January 1, 2010. The General Permit shall expire at midnight on December 31, 2014. Signed this day, December 30, 2009. Original signed by Chuck Wakild__ for Coleen H. Sullins, Director Division of Water Quality By the Authority of the Environmental Management Commission Permit No. NCG200000 TABLE OF CONTENTS PART I INTRODUCTION Section A: General Permit Coverage Section B: Permitted Activities PART II MONITORING, CONTROLS, AND LIMITATIONS FOR PERMITTED DISCHARGES Section A: Stormwater Pollution Prevention Plan Section B: Analytical Monitoring Requirements Section C: . Qualitative Monitoring Requirements Section D: On -Site Vehicle Maintenance Monitoring Requirements PART III STANDARD CONDITIONS Section A: Compliance and Liability 1. Compliance Schedule 2. Duty to Comply 3. Duty to Mitigate 4. Civil and Criminal Liability 5. Oil and Hazardous Substance Liability 6, Property Rights 7. Severability 8. Duty to Provide Information 9. Penalties for Tampering 10. Penalties for Falsification of Reports Section B: General Conditions 1. General Permit Expiration 2. Transfers 3. When an Individual Permit May be Required 4. When an Individual Permit May be Requested 5. Signatory Requirements 6. General Permit Modification, Revocation and Reissuance, or Termination 7. Certificate of Coverage Actions Section C: Operation and Maintenance of Pollution Controls P 0 Permit No. NCG200000 I. Proper Operation and Maintenance 2. Need to Halt or Reduce not a Defense 3. Bypassing of Stormwater Control Facilities Section D: Monitoring and Records 1. Representative Sampling 2. Recording Results 3. Flow Measurements 4. Test Procedures 5. Representative Outfall 6. Records Retention 7. Inspection and Entry Section E: Reporting Requirements 1. Discharge Monitoring Reports 2. Submitting Reports 3. Availability of Reports 4. Non-Stormwater Discharges 5. Planned Changes 6. Anticipated Noncompliance 7. Spills 8. Bypass 9. Twenty-four Hour Reporting 10. Other Noncompliance 11. Other Information PART IV LIMITATIONS REOPENER PART V ADMINISTERING AND COMPLIANCE MONITORING FEE REQUIREMENTS PART VI DEFINITIONS M Permit No. NCG200000 PART I INTRODUCTION SECTION A: GENERAL PERMIT COVERAGE All persons desiring to be covered by this General Permit must register with the Division of Water Quality by the filing of a Notice of Intent (NOI) and applicable fees. The NOI shall be submitted and a certificate of coverage issued prior to any discharge of stormwater associated with industrial activity that has a point source discharge to the surface waters of the state. Any owner or operator not wishing to be covered or limited by this General Permit may make application for an individual NPDES permit in accordance with NPDES procedures in 15A NCAC 21-1.0100, stating the reasons supporting the request. Any application for an individual permit should be made at least 180 days prior to commencement of discharge and must be secured prior to commencement of discharge. This General Permit does not cover activities or discharges covered by an individual NPDES permit until the individual permit has expired or has been revoked. Any person conducting an activity covered by an individual permit but which could be covered by this General Permit may request that the individual permit be revoked and coverage under this General Permit be provided. If industrial materials and activities are not exposed to precipitation or runoff as described in 40 CFR § 122.26(g), the facility may qualify for a No Exposure Exclusion from NPDES stormwater discharge permit requirements. Any owner or operator wishing to obtain a No Exposure Exclusion must submit a No Exposure Certification NOI form to the Division, must receive approval by the Division, must maintain no exposure conditions unless authorized to discharge under a valid NPDES stormwater permit, and must reapply for the No Exposure Exclusion once every five (5) years. Any facility may apply for new or continued coverage under this permit until a Total Maximum Daily Load (TMDL) for pollutants for stormwater discharges is established. A TMDL sets a pollutant loading limit that affects a watershed, or portion of a watershed, draining to an impaired water. For stormwater discharges to �I watersheds affected by a TMDL, coverage under this permit may depend on the facility demonstrating it does not have reasonable potential to violate applicable water quality standards for those pollutants as a 111 result of discharges. If the Division determines that discharges have reasonable potential to cause water quality standard violations, the facility shall apply for an individual permit 180 days prior to the expiration date of this general permit, and once that permit is effective, will no longer have coverage under this general permit. (Note the facility must identify impaired waters (scheduled for TMDL development) and waters already subject to a TMDL in the Site Plan, as outlined in the Stormwater Pollution Prevention Plan (SPPP), in Part II, Section A.I During the period beginning on the effective date of the permit and lasting until expiration, the Permittee is authorized to discharge stormwater associated with industrial activity. Such discharges shall be controlled, limited, and monitored as specified in this permit. SECTION B: PERMITTED ACTIVITIES Until this permit expires or is modified or revoked, the permittee is authorized to discharge stormwater to the surface waters of North Carolina or separate storm sewer system which has been adequately treated and mnnaged in accordance with the terms and conditions of this General Permit. All discharges shall be in accordance with the conditions of this permit. Any other point source discharge to surface waters of the state is prohibited unless it is an allowable non- stormwater discharge or is covered by another permit, authorization, or approval. The stormwater discharges Part I Page l of 2 Permit No. NCG200000 allowed by this General Permit shall not cause or contribute to violations of Water Quality Standards, This General Permit does not allow discharges determined by the Division of Water Quality to be wastewaters. This permit does not relieve the permittee from responsibility for compliance with any other applicable federal, state, or local law, rule, standard, ordinance, order, judgment, or decree. Part I Page 2 of 2 Permit No. NCG200000 PART II MONITORING, CONTROLS, AND LIMITATIONS FOR PERMITTED DISCHARGES SECTION A: STORMWATER POLLUTION PREVENTION PLAN The Permittee shall develop a Stormwater Pollution Prevention Plan, herein after referred to as the Plan. This Plan shall be considered public information in accordance with Part III, Standard Conditions, Section E, Paragraph 3 of this General Permit. The Plan shall include, at a minimum, the following items: Site Plan. The site plan shall provide a description of the physical facility and the potential pollutant sources which may be expected to contribute to contamination of stormwater discharges. The site plan shall contain the following: (a) A general location map (USGS quadrangle map or appropriately drafted equivalent map), showing the facility's location in relation to transportation routes and surface waters, the name of the receiving water(s) to which the stormwater outfall(s) discharges, or if the discharge is,to a municipal separate storm sewer system, the name of the municipality and the ultimate receiving waters, and accurate latitude and longitude of the point(s) of discharge. The general location map (or alternatively the site map) shall identify whether each receiving water is impaired (on the state's 303(d) list of impaired waters) or is located in a watershed for which a TMDL has been established, and what the parameter(s) of concern are. (b) A narrative description of storage practices, loading and unloading activities, outdoor process areas, dust or particulate generating or control processes, and waste disposal practices. A narrative description of the potential pollutants which could be expected to be present in the stormwater discharge from each outfall. (c) A site map drawn at a scale sufficient to clearly depict: the site property boundary, the Stormwater discharge outfalls, all on -site and adjacent surface waters and wetlands, industrial activity areas (including storage of materials, spill kits, disposal areas, process areas, loading and unloading areas, and haul roads), site topography, all drainage features and structures, drainage areas for each outfall, direction of flow in each drainage area, industrial activities occurring in each drainage area, buildings, existing BMPs, and impervious surfaces. The site map shall include a distance legend and must indicate the percentage of each drainage area that is impervious. (d) A list of significant spills or leaks of pollutants that have occurred at the facility during the three (3) previous years and any corrective actions taken to mitigate spill impacts. (e) Certification that the Stormwater outfalls have been evaluated for the presence of non-stormwater discharges. The certification statement will be signed in accordance with the requirements found in Part III, Standard Conditions, Section B, Paragraph 5. The permittee shall re -certify annually that the Stormwater outfalls have been evaluated for the presence of non-stormwater discharges. 2. Stormwater Management Plan. The stormwater management plan shall contain a narrative description of the materials management practices employed which control or minimize the exposure of significant materials to stormwater, including structural and nonstructural measures. The stormwater management plan, at a minimum, shall incorporate the following: (a) Feasibility Study. A review of the technical and economic feasibility of changing the methods of operations and/or storage practices to eliminate or reduce exposure of materials and processes to Part II Page 1 of 9 Permit No. NCG200000 stormwater. Wherever practical, the permittee shall prevent exposure of all storage areas, material handling operations, and manufacturing or fueling operations. In areas where elimination of exposure is not practical, the stormwater management plan shall document the feasibility of diverting stormwater runoff away from areas of potential contamination. (b) Secondary Containment Requirements and Records. Secondary containment is required for: bulk storage of liquid materials; storage in any amount of Section 313 of Title Ill of the Superfund Amendments and Reauthorization Act (SARA) water priority chemicals; and storage in any amount of hazardous substances, in order to prevent leaks and spills from contaminating stormwater runoff. A table of summary of all such tanks and stored materials and their associated secondary containment areas shall be maintained. If the secondary containment devices are connected to stormwater conveyance systems, the connection shall be controlled by manually activated valves or other similar devices (which shall be secured closed with a locking mechanism), and any stormwater that accumulates in the containment area shall be at a minimum visually observed for color, foam, outfall staining, visible sheens and dry weather flow, prior to release of the accumulated stormwater. Accumulated stormwater shall be released if found to be uncontaminated by any material. Records documenting the individual making the observation, the description of the accumulated stormwater, and the date and time of the release shall be kept for a period of five years. (c) BMP Summary. A listing of site structural and non-structural Best Management Practices (BMP) shall be provided. The installation and implementation of BMPs shall be based on the assessment of the potential for sources to contribute significant quantities of pollutants to stormwater discharges and data collected through monitoring of stormwater discharges. The BMP Summary shall include a written record of the specific rationale for installation and implementation of the selected site BMPs. The BMP Summary shall be reviewed and updated annually. 3. Spill Prevention and Response Plan. The Spill Prevention and Response Plan (SPRP) shall incorporate an assessment of potential pollutant sources based on a materials inventory of the facility. Facility personnel (or the team) responsible for implementing the SPRP shall be identified in a written list incorporated into the SPRP and signed and dated by each individual acknowledging their responsibilities for the plan. A responsible person shall be onsite at all times during facility operations that have the potential to contaminate stormwater runoff through spills or exposure of materials associated with the facility operations. The SPRP must be site stormwater specific. Therefore, an oil Spill Prevention Control and Countermeasure plan (SPCC) may be a component of the SPRP, but may not be sufficient to completely address the stormwater aspects of the SPRP. The common elements of the SPCC with the SPRP may be incorporated by reference into the SPRP. Preventative Maintenance and Good Housekeeping Program. A preventative maintenance and good housekeeping program shall be developed. The program shall list all stormwater control systems, stormwater discharge outfalls, all on -site and adjacent surface waters and wetlands, industrial activity areas (including material storage areas, material handling areas, disposal areas, process areas, loading and unloading areas, and haul roads), all drainage features and structures, and existing structural BMPs. The program shall establish schedules of inspections, maintenance, and housekeeping activities of stormwater control systems, as well as facility equipment, facility areas, and facility systems that present a potential for stormwater exposure or stormwater pollution. Inspection of material handling areas and regular cleaning schedules of these areas shall be incorporated into the program. Timely compliance with the established schedules for inspections, maintenance, and housekeeping shall be recorded in writing and maintained in the SPPP. 5. Employee Training. Training programs shall be developed and training provided at a minimum on an annual basis for facility personnel with responsibilities for: spill response and cleanup, preventative maintenance activities, and for any of the facility's operations that have the potential to contaminate Part 11 Page 2 of 9 Permit No. NCG200000 stormwater runoff. Facility personnel (or team) responsible for implementing the training shall be identified, and their annual training shall be documented by the signature of each employee trained. 6. Responsible Party. The Stormwater Pollution Prevention Plan shall identify a specific position(s) responsible for the overall coordination, development, implementation, and revision to the Plan. Responsibilities for all components of the Plan shall be documented and position assignments provided. See signatory requirements in Part III Section B.5 of permit. Plan Amendment. The permittee shall amend the Plan whenever there is a change in design, construction, operation, or maintenance which has a significant effect on the potential for the discharge of pollutants to surface waters. All aspects of the Stormwater Pollution Prevention Plan shall be reviewed and updated on an annual basis. The annual update shall include an updated list of significant spills or leaks of pollutants for the previous three years, or the notation that no spills have occurred. The annual update shall include written re -certification that the stormwater outfalls have been evaluated for the presence of non-stormwater discharges. Each annual update shall include a documented re-evaluation of the effectiveness of the BMPs listed in the BMP Summary of the Stormwater Management Plan. The Director may notify the permittee when the Plan does not meet one or more of the minimum requirements of the permit. Within 30 days of such notice, the permittee shall submit a time schedule to the Director for modifying the Plan to meet minimum requirements. The permittee shall provide certification in writing (in accordance with Part III, Standard Conditions, Section B, Paragraph 5) to the Director that the changes have been made. Facility Inspections. Inspections of the facility and all stormwater systems shall occur as part of the Preventative Maintenance and Good Housekeeping Program at a minimum on a semi-annual schedule, once during the first half of the year (January to June), and once during the second half (July to December), with at least 60 days separating inspection dates (unless performed more frequently than semi-annually). These facility inspections are different from, and in addition to, the stormwater discharge characteristic monitoring required in Part 1I of this permit. Implementation. The permittee shall implement the Plan. Implementation of the Plan shall include documentation of all monitoring, measurements, inspections, maintenance activities, and training provided to employees, including the log of the sampling data and of actions taken to implement BMPs associated with the industrial activities, including vehicle maintenance activities. Such documentation shall be kept on -site for a period of five years and made available to the Director or the Director's authorized representative immediately upon request. Part 11 Page 3 of 9 Permit No. NCG200000 SECTION B: ANALYTICAL MONITORING REQUIREMENTS Analytical monitoring of stormwater discharges shall be performed as specified in Table 1. Table 1. Analytical Monitoring Requirements D Characteristics « „ Umts Me'aue 'Frc acne '` '" Sample 'ly eZ Sample `' Location'° H standard semi-annual Grab SDO Chemical Oxygen Demand m L semi-annual Grab SDO Total Suspended Solids m /L semi-annual Grab SDO Oil & Grease m /L semi-annual Grab SDO Cadmium, Total Recoverable m L semi-annual Grab SDO Copper, Total Recoverable m /L semi-annual Grab SDO Iron, Total Recoverable m /L semi-annual Grab SDO Lead, Total Recoverable m semi-annual Grab SDO Zinc, Total Recoverable m /L semi-annual Grab SDO Total Rainfal14 inches semi-annual Rain gauge Footnotes: I Measurement Frequency: Twice per year during a representative storm event. 2 Grab samples shall be collected within the first 30 minutes of discharge from an SDO or detention pond. 3 Sample Location: Samples shall be collected at each stormwater discharge outfall (SDO) unless representative outfall status has been granted. 4 For each sampled representative storm event the total precipitation must be recorded. An on -site rain gauge or local rain gauge reading must be recorded. All analytical monitoring shall be performed during a representative storm event at each stormwater discharge outfall (SDO). A representative storm event is a storm event that measures greater than 0.1 inches of rainfall. The time between this storm event and the previous storm event measuring greater than 0.1 inches must be at least 72 hours. A single storm event may have a period of no precipitation of up to 10 hours. For example, if it rains but stops before producing any collectable discharge, a sample may be collected if the next rain producing a discharge begins within 10 hours. The permittee shall complete the analytical samplings in accordance with the schedule specified in Table 2. A minimum of 60 days must separate each monitoring event unless monthly monitoring has been instituted under a Tier Two response. Part 11 Page 4 of 9 Permit No. NCG200000 Table 2. Monitorine Schedule =Mtinitoring:Eventt 2 St.trt ^ ; u rnd s ''� .>: . I January I, 2010 June 30, 2010 2 July I, 2010 December 31, 2010 3 January 1, 201 1 June 30, 2011 4 July 1, 2011 December 31, 2011 5 January 1, 2012 June 30, 2012 6 July I, 2012 December 31, 2012 7 January 1, 2013 June 30, 2013 8 July 1, 2013 December 31, 2013 9 January 1, 2014 June 30, 2014 10 July 1, 2014 December 31, 2014 Fgotno es: 1 Maintain semi-annual monitoring during permit renewal process. If at the expiration of the General Permit, the permittee has submitted an application for renewal of coverage before the submittal deadline, the permittee will be considered for renewed coverage. The applicant must continue semi-annual monitoring until the renewed Certificate of Coverage is issued. 2 If no discharge occurs during the sampling period, the permittee must submit a monitoring report indicating "No Flow" within 30 days of the end of the six-month sampling period. In all cases, the permittee shall report the analytical results from the first sample with valid results within the monitoring period. The permittee shall compare those results to the benchmark values in Table 3. Exceedences of benchmark values require the permittee to increase monitoring, increase management actions, increase record keeping, and/or install stormwater Best Management Practices (BMPs) in a tiered program. See below the descriptions of Tier One and Tier Two response actions. Table 3. Benchmark Values for Analvtical Monitorine Requirements Discharge Characteristics Benchmark Value H Within range 6.0 - 9.0 Chemical Oxygen Demand 120 m /L Total Suspended Solids 100 m L Oil & Grease 30 to Cadmium, Total Recoverable 0.001 m Copper, Total Recoverable 0.007 m /L Iron, Total Recoverable N/A Lead, Total Recoverable 0.03 m /L Zinc, Total Recoverable 0.067 m Part 11 Page 5 of 9 Permit No. NCG200000 Tier One If: The first valid sampling results are above a benchmark value, or outside of the benchmark range, for any Then: The permittee shall: l . Conduct a stormwater management inspection of the facility within two weeks of receiving sampling results. 2. Identify and evaluate possible causes of the benchmark value exceedence. 3. Identify potential and select the specific: source controls, operational controls, or physical improvements to reduce concentrations of the parameters of concern, or to bring concentrations within the benchmark range. 4. Implement the selected actions within two months of the inspection. 5. Record each instance of a Tier One response in the Stormwater Pollution Prevention Plan. Include the date and value of the benchmark exceedence, the inspection date, the personnel conducting the If: During the term of this permit, the first valid sampling results from two consecutive monitoring periods are above the benchmark values, or outside of the benchmark range, for any specific parameter at a specific Then: The permittee shall: 1. Repeat all the required actions outlined above in Tier One. 2. Immediately institute monthly monitoring for all parameters at every outfall where a sampling result exceeded the benchmark value for two consecutive samples. Monthly (analytical and qualitative) monitoring shall continue until three consecutive sample results are below the benchmark values or within the benchmark range. 3. If no discharge occurs during the sampling period, the permittee is required to submit a monthly monitoring report indicating "No Flow" to comply with reporting requirements. 4. Maintain a record of the Tier Two response in the Stormwater Pollution Prevention Plan. Tie r.;Three ' During the term of this permit, if the valid sampling results required for the permit monitoring periods exceed the benchmark value, or are outside the benchmark range, for any specific parameter at any specific outfall on four occasions, the permittee shall notify the DWQ Regional Office Supervisor in writing within 30 days of receipt of the fourth analytical results. DWQ may but is not limited to: • require that the permittee revise, increase, or decrease the monitoring frequency for the remainder of the permit, • rescind coverage under the General Permit, and require that the permittee apply for an individual stormwater discharge permit; • require the permittee to install structural stormwater controls; • require the permittee to implement other stormwater control measures; or • require that the permittee implement site modifications to qualify for the No Exposure Exclusion; • require the permittee to perform upstream and downstream monitoring to characterize impacts on receiving waterbodies. Part 11 Page 6 of 9 Permit No. NCG200000 SECTION C: QUALITATIVE MONITORING REQUIREMENTS Qualitative monitoring requires a visual inspection of each stormwater outfall regardless of representative outfall status and shall be performed as specified below in Table 4, during the analytical monitoring event. Qualitative monitoring is for the purpose of evaluating the effectiveness of the Stormwater Pollution Prevention Plan (SPPP) and assessing new sources of stormwater pollution. No analytical tests are required. Qualitative monitoring of stormwater outfalls must be performed during a representative storm event. Table 4. Qualitative Monitoring; Requirements Discharge Characteristics :+. F, Frequency k'%_ _ °iMl oniturinl;Z *,`Location-.;, Color Semi -Annual SDO Odor Semi -Annual SDO Clarity Semi -Annual SDO Floating Solids Semi -Annual SDO Suspended Solids Semi -Annual SDO Foam Semi -Annual SDO Oil Sheen Semi -Annual SDO Erosion or deposition at the out Semi -Annual SDO Other obvious indicators of stormwater pollution Semi -Annual SDO Footnotes: I Measurement Frequency: Twice per year during a representative storm event according to the monitoring schedule in Table 2, for each year until either another permit is issued for this facility or until this permit is revoked or rescinded. 2 Monitoring Location: Qualitative monitoring shall be performed at each stormwater discharge outfall (SDO) regardless of representative outfall status. If the permittee's qualitative monitoring indicates either that existing stormwater BMPs arc ineffective, or that significant stormwater contamination is present, the permittee shall investigate potential causes, evaluate the feasibility of corrective actions, and implement those corrective actions appropriate. A written record of the permittee's investigation, evaluation, and response actions shall be kept in the Stormwater Pollution Prevention Plan. Part II Page 7 of 9 Permit No. NCG200000 Qualitative monitoring is for the purposes of evaluating the effectiveness of the Stormwater Pollution Prevention Plan (SPPP), assessing new sources of stormwater pollution, and prompting the permittee's response actions to pollution. If the permittee repeatedly fails to respond effectively to correct problems identified by qualitative monitoring, or if the discharge causes or contributes to a water quality standard violation, DWQ may but is not limited to: • require that the permittee revise, increase, or decrease the monitoring frequency for the remainder of the permit; • rescind coverage under the General Permit, and require that the permittee apply for an individual stormwater discharge permit; • require the permittee to install structural stormwater controls; • require the permittee to implement other stormwater control measures; or • require that the permittee implement site modifications to qualify for the No Exposure Exclusion. Qualitative monitoring will be performed twice per year, in accordance with the schedule in Table 2. A minimum of 60 days must separate monitoring dates, unless monthly sampling has been instituted under a Tier Two response as part of other analytical monitoring requirements in this permit. SECTION D: ON -SITE VEHICLE MAINTENANCE MONITORING REQUIREMENTS Facilities which have any vehicle maintenance activity occurring on -site which uses more than 55 gallons of new motor oil per month when averaged over the calendar year shall perform analytical monitoring as specified in Table 5. This monitoring shall be performed at all outfalls which discharge stormwater runoff from the vehicle maintenance areas, and in accordance with the schedule presented in Table 2. All analytical monitoring shall be performed during a representative storm event. Table 5. Analytical Monitoring Requirements for On -Site Vehicle Maintenance Discharge.Chacacieristics . Units . •: . Measurement . Frequency' Sample _ TypeZ Sample. _ Location'" H standard semi-annual Grab SDO Oil and Grease m /L semi-annual Grab SDO Total Suspended Solids m /L semi-annual Grab SDO Total Rainfall4 inches semi-annual Rain gauge New Motor Oil Usagegallons/month annual Estimate Footnotes: I. Measurement Frequency: Twice per year during a representative storm event with one sample event occurring in the period January -June and one sample event occurring in the period July -December, with a minimum of 60 days between events. 2. Crab samples shall be collected within the first 30 minutes of discharge from an SDO or detention pond. 3. Sample Location: Samples shall be collected at each stormwater discharge outfall (SDO) that discharges stormwater runoff from area(s) where vehicle maintenance activities occur. - 4. For each sampled representative storm event the total precipitation must be recorded. An on -site or local rain gauge reading must be recorded. Part II Page 8 of 9 Permit No. NCG200000 In all cases, the permittee shall report the analytical results from the first sample with valid results within the monitoring period. The permittee shall compare those results to the benchmark values in Table 6. Exceedences of benchmark values require the permittee to increase monitoring, increase management actions, increase record keeping, and/or install stormwater Best Management Practices (BMPs) in a tiered program. The permittee shall comply with the required Tier One and Tier Two response actions identified above. Table 6. Benchmark Values for On -Site Vehicle Maintenance Activities Discharg e.CliScacteristics _ -`; Cut=off-Concentration ; H Within range 6.0 - 9.0 Oil and Grease 30 m /L Total Suspended Solids 100 mg/I, Part II Page 9 of 9 Permit No. NCG200000 PART III STANDARD CONDITIONS FOR NPDES STORMWATER GENERAL PERMITS SECTION A: COMPLIANCE AND LIABILITY Compliance Schedule The permittee shall comply with Limitations and Controls specified for stormwater discharges in accordance with the following schedule: Existing facilities already operating, but applying for coverage under this General Permit for the first time: The Stormwater Pollution Prevention Plan shall be developed and implemented within 12 months of the effective date of the initial Certificate of Coverage issued pursuant to this General Permit and updated thereafter on an annual basis. Secondary containment, as specified in Part II, Section A, Paragraph 2(b) of this permit, shall be accomplished within 12 months of the effective date of the initial Certificate of Coverage. New facilities applying for permit coverage for the first time and existing facilities previously permitted and applying for renewal under this General Permit: All requirements, conditions, limitations, and controls contained in this permit become effective immediately upon issuance of the Certificate of Coverage. The Stormwater Pollution Prevention Plan shall be developed and implemented prior to the beginning of discharges from the operation of the industrial activity and be updated thereafter on an annual basis. Secondary containment, as specified in Part ]I, Section A, Paragraph 2(b) of this permit shall be accomplished prior to the beginning of discharges from the operation of the industrial activity. 2. Duty to Comply The permittee must comply with all conditions of this General Permit. Any permit noncompliance constitutes a violation of the Clean Water Act and is grounds for enforcement action; for certificate of coverage termination, revocation and reissuance, or modification; or denial of a certificate of coverage upon renewal application. a. The permittee shall comply with standards or prohibitions established under section 307(a) of the Clean Water Act for toxic pollutants within the time provided in the regulations that establish these standards or prohibitions, even if the permit has not yet been modified to incorporate the requirement. b. The Clean Water Act provides that any person who violates a permit condition is subject to a civil penalty not to exceed $25,000 per day for each violation. Any person who negligently violates any permit condition is subject to criminal penalties of $2,500 to $25,000 per day of violation, or imprisonment for not more than I year, or both. Any person who knowingly violates permit conditions is subject to criminal penalties of $5,000 to $50,000 per day of violation, or imprisonment for not more than 3 years, or both. Also, any person who violates a permit condition may be assessed an administrative penalty not to exceed $10,000 per violation with the maximum amount not to exceed $125,000. [Ref: Section 309 of the Federal Act 33 USC 1319 and 40 CPR 122.41(a).] c. Under state law, a daily civil penalty of not more than ten thousand dollars ($10,000) per violation may be assessed against any person who violates or fails to act in accordance with the terms, conditions, or requirements of a permit. [Ref: North Carolina General Statutes 143-215.6A] Part III -VI Page 1 of 13 Permit No. NCG200000 d. Any person may be assessed an administrative penalty by the Director for violating section 301, 302, 306, 307, 308, 318, or 405 of the Act, or any permit condition or limitation implementing any of such sections in a permit issued under section 402 of the Act. Administrative penalties for Class I violations are not to exceed $10,000 per violation, with the maximum amount of any Class I penalty assessed not to exceed $25,000. Penalties for Class fI violations are not to exceed $10,000 per day for each day during which the violation continues, with the maximum amount of any Class II penalty not to exceed $125,000. 3. Duty to Mitigate The permittee shall take all reasonable steps to minimize or prevent any discharge in violation of this General Permit which has a reasonable likelihood of adversely affecting human health or the environment. 4. Civil and Criminal Liability Except as provided in Section D of this permit regarding bypassing of stormwater control facilities, nothing in this General Permit shall be construed to relieve the permittee from any responsibilities, liabilities, or penalties for noncompliance pursuant to NCGS 143-215.3, 143-215.6A, 143-215.613, 143- 215.6C or Section 309 of the Federal Act; 33 USC 1319. Furthermore, the permittee is responsible for consequential damages, such as fish kills; even though the responsibility for effective compliance may be temporarily suspended. Oil and Hazardous Substance Liability Nothing in this General Permit shall be construed to preclude the institution of any legal action or relieve the permittee from any responsibilities, liabilities, or penalties to which the permittee is or may be subject to under NCGS 143-215.75 et seq. or Section 311 of the Federal Act, 33 USC 1321. 6. Property Rights The issuance of this General Permit does not convey any property rights in either real or personal property, or any exclusive privileges, nor does it authorize any injury to private property or any invasion of personal rights, nor any infringement of federal, state or local laws or regulations. Severability The provisions of this General Permit are severable, and if any provision of this General Permit, or the application of any provision of this General Permit to any circumstances, is held invalid, the application of such provision to other circumstances, and the remainder of this General Permit, shall not be affected thereby. 8. 1 1Duty to Provide Information The permittee shall furnish to the Director, within a reasonable time, any information which the Director may request to determine whether cause exists for modifying, revoking and reissuing, or terminating the certificate of coverage issued pursuant to this General Permit or to determine compliance with this General Permit. The permittee shall also furnish to the Director upon request, copies of records required to be kept by this General Permit. Part III -VI Page 2 of 13 Permit No. NCG200000 Penalties for Tampering The Clean Water Act provides that any person who falsifies, tampers with, or knowingly renders inaccurate, any monitoring device or method required to be maintained under this General Permit shall, upon conviction, be punished by a fine of not more than $10,000 per violation, or by imprisonment for not more than two years per violation, or by both. If a conviction of a person is for a violation committed after a first conviction of such person under this paragraph, punishment is a fine of not more than $20,000 per day of violation, or by imprisonment of not more than 4 years, or both. 10. Penalties for Falsification of Reports The Clean Water Act provides that any person who knowingly makes any false statement, representation, or certification in any record or other document submitted or required to be maintained under this General Permit, including monitoring reports or reports of compliance or noncompliance shall, upon conviction, be punished by a fine of not more than $10,000 per violation, or by imprisonment for not more than two years per violation, or by both. SECTION B: GENERAL CONDITIONS General Permit Expiration The permittee is not authorized to discharge after the expiration date. In order to discharge beyond the expiration date, the permittee shall submit forms and fees as are required by the agency authorized to issue permits no later than 180 days prior to the expiration date. Any permittee that has not requested renewal at least 180 days prior to expiration, or any permittee that does not have a permit after the expiration and has not requested renewal at least 180 days prior to expiration, will be subjected to enforcement procedures as provided in NCGS § 143-2153.6 and 33 USC 1251 et. seq. 2. Transfers The certificate of coverage issued pursuant to this General Permit is not transferable to any person except after notice to and approval by the Director. The Director may require modification or revocation and reissuance of the certificate of coverage to change the name and incorporate such other requirements as may be necessary under the Clean Water Act. Permittee is required to notify the Division within 60 days in the event the permitted facility is sold or closed. 3. When an Individual Permit May be Required The Director may require any owner/operator authorized to discharge under a certificate of coverage issued pursuant to this General Permit to apply for and obtain an individual permit or an alternative General Permit. Any interested person may petition the Director to take action under this paragraph. Cases where an individual permit may be required include, but are not limited to, the following: a. The discharger is a significant contributor of pollutants; b. Conditions at the permitted site change, altering the constituents and/or characteristics of the discharge such that the discharge no longer qualifies for a General Permit; The discharge violates the terns or conditions of this General Permit; Part III -VI Page 3 of 13 Permit No. NCG200000 d. A change has occurred in the availability of demonstrated technology or practices for the control or abatement of pollutants applicable to the point source; C. Effluent limitations are promulgated for the point sources covered by this General Permit; f. A water quality management plan containing requirements applicable to such point sources is approved after the issuance of this General Permit; g. The Director determines at his or her own discretion that an individual permit is required. 4. When an Individual Permit May be Requested Any permittee operating under this General Permit may request to be excluded from the coverage of this General Permit by applying for an individual permit. When an individual permit is issued to an owner/operator the applicability of this General Permit is automatically terminated on the effective date of the individual permit. r 5. Signatory Requirements All applications, reports, or information submitted to the Director shall be signed and certified. a. All notices of intent to be covered under this General Permit shall be signed as follows: (1) For a corporation: by a responsible corporate officer. For the purpose of this Section, a responsible corporate officer means: (a) a president, secretary, treasurer or vice president of the corporation in charge of a principal business function, or any other person who performs similar policy or decision making functions for the corporation, or (b) the manager of one or more manufacturing production or operating facilities employing more than 250 persons or having gross annual sales or expenditures exceeding 25 million (in second quarter 1980 dollars), if authority to sign documents has been assigned or delegated to the manager in accordance with corporate procedures. (2) For a partnership or sole proprietorship: by a general partner or the proprietor, respectively; or (3) For a municipality, state, federal, or other public agency: by either a principal executive officer or ranking elected official. b. All reports required by the General Permit and other information requested by the Director shall be signed by a person described above or by a duly authorized representative of that person. A person is a duly authorized representative only if: (1) The authorization is made in writing by a person described above; (2) The authorization specified either an individual or a position having responsibility for the overall operation of the regulated facility or activity, such as the position of plant manager, operator of a well or well field, superintendent, a position of equivalent responsibility, or an individual or position having overall responsibility for environmental matters for the company. (A duly authorized representative may thus be either a named individual or any individual occupying a named position.); and (3) The written authorization is submitted to the Director. Part III -VI Page 4 of I Permit No. NCG200000 C. Any person signing a document under paragraphs a. or b. of this section shall make the following certification which shall not be modified in any way: "I certify, under penalty of law, that this document and all attachments were prepared under my direction or supervision in accordance with a system designed to assure that qualified personnel properly gather and evaluate the information submitted. Based on my inquiry of the person or persons who manage the system, or those persons directly responsible for gathering the information, the information submitted is, to the best of my knowledge and belief, true, accurate, and complete. I am aware that there are significant penalties for submitting false information, including the possibility of fines and imprisonment for knowing violations." 6. General Permit Modification, Revocation and Reissuance, or Termination The issuance of this General Permit does not prohibit the Director from reopening and modifying the General Permit, revoking and reissuing the General Permit, or terminating the General Permit as allowed by the laws, rules, and regulations contained in Title 40, Code of Federal Regulations, Parts 122 and 123; Title 15A of the North Carolina Administrative Code, Subchapter 2H .0100; and North Carolina General Statute 143-215.1 et. at. After public notice and opportunity for a hearing, the General Permit may be terminated for cause. The filing of a request for a General Permit modification, revocation and reissuance, or termination does not stay any General Permit condition. The certificate of coverage shall expire when the General Permit is terminated. Certificate of Coverage Actions The certificate of coverage issued in accordance with this General Permit may be modified, revoked and reissued, or terminated for cause. The notification of planned changes or anticipated noncompliance does not stay any General Permit condition. SECTION C: OPERATION AND MAINTENANCE OF POLLUTION CONTROLS Proper Operation and Maintenance The permittee shall at all times properly operate and maintain all facilities and systems of treatment and control (and related appurtenances) which are installed or used by the permittee to achieve compliance with this General Permit. Proper operation and maintenance also includes adequate laboratory controls and appropriate quality assurance procedures. This provision requires the operation of back-up or auxiliary facilities or similar systems which are installed by a permittee only when the operation is necessary to achieve compliance with the General Permit. 2. Need to Halt or Reduce not a Defense It shall not be a defense for a permittee in an enforcement action that it would have been necessary to halt or reduce the permitted activity in order to maintain compliance with the condition of this General Permit. 3. Bypassing of Stormwater Control Facilities Bypass is prohibited and the Director may take enforcement action against a permittee. for bypass unless: a. Bypass was unavoidable to prevent loss of life, personal injury or severe property damage; and Part III -VI Page 5 of 13 Permit No. NCG200000 b. There were no feasible alternatives to the bypass, such as the use of auxiliary control facilities, retention of stormwater or maintenance during normal periods of equipment downtime or dry weather. This condition is not satisfied if adequate backup controls should have been installed in the exercise of reasonable engineering judgment to prevent a bypass which occurred during normal periods of equipment downtime or preventive maintenance; and C. The permittee submitted notices as required under Section E of this Part. If the Director determines that it will meet the three conditions listed above, the Director may approve an anticipated bypass after considering its adverse effects. SECTION D: MONITORING AND RECORDS I. Representative Sampling Samples collected and measurements taken, as required herein, shall be characteristic of the volume and nature of the permitted discharge. Analytical sampling shall be performed during a representative storm event. Samples shall be taken on a day and time that is characteristic of the discharge. All samples shall be taken before the discharge joins or is diluted by any other waste stream, body of water, or substance. Monitoring points as specified in this permit shall not be changed without notification to and approval of the Director. 2. Recording Results For each measurement, sample, inspection or maintenance activity performed or collected pursuant to the requirements of this General Permit, the permittee shall record the following information: a. The date, exact place, and time of sampling, measurements, inspection or maintenance activity; b. The individual(s) who performed the sampling, measurements, inspection or maintenance activity; C. The datc(s) analyses were performed; d. The individual(s) who performed the analyses; e. The analytical techniques or methods used; and f. The results of such analyses. 3. Flow Measurements Where required, appropriate flow, measurement devices and methods consistent with accepted scientific practices shall be selected and used to ensure the accuracy and reliability of measurements of the volume of monitored discharges. 4. Test Procedures Test procedures for the analysis of pollutants shall conform to the EMC regulations published pursuant to NCGS 143-215.63 et. seq, the Water and Air Quality Reporting Acts, and to regulations published Part III -VI Page 6 of 13 Permit No. NCG200000 pursuant to Section 304(g), 33 USC 1314, of the Federal Water Pollution Control Act, as Amended, and Regulation 40 CFR 136. To meet the intent of the monitoring required by this General Permit, all test procedures must produce minimum detection and reporting levels and all data generated must be reported down to the minimum detection or lower reporting level of the procedure. 5. Representative Outfall If a facility has multiple discharge locations with substantially identical stormwater discharges that are required to be sampled, the permittee may petition the Director for representative outfall status. If it is established that the stormwater discharges are substantially identical and the permittee is granted representative outfall status, then sampling requirements may be performed at a reduced number of outfalls. 6. Records Retention Visual monitoring shall be documented and records maintained at the facility along with the Stormwater Pollution Prevention Plan. Copies of analytical monitoring results shall also be maintained on -site. The permittee shall retain records of all monitoring information, including all calibration and maintenance records and all original strip chart recordings for continuous monitoring instrumentation, and copies of all reports required by this General Permit for a period of at least 5 years from the date of the sample, measurement, report or application. This period may be extended by request of the Director at any time. Inspection and Entry The permittee shall allow the Director, or an authorized representative (including an authorized contractor acting as a representative of the Director), or in the case of a facility which discharges through a municipal separate storm sewer system, an authorized representative of a municipal operator or the separate storm sewer system receiving the discharge, upon the presentation of credentials and other documents as may be required by law, to; a. Enter upon the permittee's premises where a regulated facility or activity is located or conducted, or where records must be kept under the conditions of this General Permit; b. Have access to and copy, at reasonable times, any records that must be kept under the conditions of this General Permit; C. Inspect at reasonable times any facilities, equipment (including monitoring and control equipment), practices, or operations regulated or required under this General Permit; and d. Sample or monitor at reasonable times, for the purposes of assuring General Permit compliance or as otherwise authorized by the Clean Water Act, any substances or parameters at any location. SECTION E: REPORTING REQUIREMENTS I. Discharge Monitoring Reports Samples analyzed in accordance with the terms of this permit shall be submitted to the Division on Discharge Monitoring Report forms provided by the Director. Submittals shall be delivered to the Division no later than 30 days from the date the facility receives the sampling results from the laboratory. Part 111-VI Page 7 of 13 Permit No. NCG200000 The permittee shall submit an Annual Summary Discharge Monitoring Report to the appropriate DWQ Regional Office not later than March 1 of each year. The submittal shall be on forms supplied by the Division. When no discharge has occurred from the facility during the report period, the permittee is required to submit a discharge monitoring report, within 30 days of the end of the six-month sampling period, giving all required information and indicating "NO FLOW" as per NCAC T15A 02B .0506. The permittee shall record the required qualitative monitoring observations on the SDO Qualitative Monitoring Report form provided by the Division, and shall retain the completed forms on site. Visual monitoring results should not be submitted to the Division, except upon DWQ's specific requirement to do so. 2. Submitting Reports Two signed copies of the Discharge Monitoring Reports (DMRs) shall be submitted to: Central Files Division of Water Quality 1617 Mail Service Center Raleigh, North Carolina 27699-1617 In addition, a separate signed Annual Summary DMR shall be submitted to the local DWQ Regional Office (RO) by March 1 of each year. Addresses for each RO and the counties covered by each RO can be found here: htto://www.enr.state.nc.us/litml/reeionaloftices.html. The permittee shall retain the completed originals on site. Visual monitoring results should not be submitted to the Regional Offices or Central Files unless specifically requested by DWQ. Availability of Reports Except for data determined to be confidential under NCGS 143-215.3(a)(2) or Section 308 of the Federal Act, 33 USC 1318, all reports prepared in accordance with the terms shall be available for public inspection at the offices of the Division of Water Quality. As required by the Act, analytical data shall not be considered confidential. Knowingly making any false statement on any such report may result in the imposition of criminal penalties as provided for in NCGS 143-215.6B or in Section 309 of the Federal Act. 4. Non-Stormwater Discharges If the storm event monitored in accordance with this General Permit coincides with a non-stormwater discharge, the permittee shall separately monitor all parameters as required under the non-stormwater discharge permit and provide this information with the stormwater discharge monitoring report. Planned Changes The permittee shall give notice to the Director as soon as possible of any planned changes at the permitted facility which could significantly alter the nature or quantity of pollutants discharged. This notification requirement includes pollutants which are not specifically listed in the General Permit or subject to notification requirements under 40 CFR Part 122.42 (a). Part III -VI Page 8 of 13 Permit No. NCG200000 6. Anticipated Noncompliance The permittee shall give notice to the Director as soon as possible of any planned changes at the permitted facility which may result in noncompliance with the General Permit requirements. Spins The permittee shall report to the local DWQ Regional Office, within 24 hours, all significant spills as defined in Part VI of this permit. Additionally, the permittee shall report spills including: any oil spill of 25 gallons or more, any spill regardless of amount that causes a sheen on surface waters, any oil spill regardless of amount occurring within 100 feet of surface waters, and any oil spill less than 25 gallons that cannot be cleaned up within 24 hours. 8. Bypass a. Anticipated bypass. If the permittee knows in advance of the need for a bypass, it shall submit prior notice, if possible at least ten days before the date of the bypass; including an evaluation of the anticipated quality and affect of the bypass. b. Unanticipated bypass. The permittee shall submit notice within 24 hours of becoming aware of an unanticipated bypass. Twenty-four Hour Renortin The permittee shall report to the central office or the appropriate regional office any noncompliance which may endanger health or the environment. Any information shall be provided orally within 24 hours from the time the permittee became aware of the circumstances. A written submission shall also be provided within 5 days of the time the permittee becomes aware of the circumstances. The written submission shall contain a description of the noncompliance, and its causes; the period of noncompliance, including exact dates and times, and if the noncompliance has not been corrected, the anticipated time compliance is expected to continue; and steps taken or planned to reduce, eliminate, and prevent reoccurrence of the noncompliance. The Director may waive the written report on a case -by -case basis if the oral report has been received within 24 hours. 10. Other Noncompliance The permittee shall report all instances of noncompliance not reported under 24 hour reporting at the time monitoring reports are submitted. 11. Other Information Where the permittee becomes aware that it failed to submit any relevant facts in a Notice of Intent to be covered under this General Permit or in any report to the Director, it shall promptly submit such facts or information. Part III -VI Page 9 of 13 Permit No. NCG200000 PART IV LIMITATIONS REOPENER This General Permit shall be modified or alternatively, revoked and reissued, to comply with any applicable effluent guideline or water quality standard issued or approved under Sections 302(b) (2) (c), and (d), 304(b) (2) and 307(a) of the Clean Water Act, if the effluent guideline or water quality standard so issued or approved: a. Contains different conditions or is otherwise more stringent than any effluent limitation in the General Permit; or b. Controls any pollutant not limited in the General Permit. The General Permit as modified or reissued under this paragraph shall also contain any other requirements in the Act then applicable. PART V ADMINISTERING AND COMPLIANCE MONITORING FEE REQUIREMENTS The permittee must pay the administering and compliance monitoring fee within 30 (thirty) days after being billed by the Division. Failure to pay the fee in timely manner in accordance with 15A NCAC 2H .0105(b)(4) may cause this Division to initiate action to revoke the Certificate of Coverage. PART VI DEFINITIONS 691 See Clean Water Act. 2. �llowa t] N n-Stormwntcr Dischargec This permit regulates stormwater discharges. Non-stormwater discharges which shall be allowed in the stormwater conveyance system are: (a) All other discharges that are authorized by a non-stormwater NPDES permit. (b) Uncontaminated groundwater, foundation drains, air -conditioner condensate without added chemicals, springs, discharges of uncontaminated potable water, waterline and fire hydrant flushings, water from footing drains, flows from riparian habitats and wetlands. (c) Discharges resulting from fire -fighting or fire -fighting training. 3. Best Management Practices (BMPs) Measures or practices used to reduce the amount of pollution entering surface waters. BMPs may take the form of a process, activity, or physical structure. More information on BMPs can be found at: http://cfpiib.cpa.gov/npdes/stormwater/nienuofbmps/in(lex.cfm. 4. Bypass, A bypass is the known diversion of stormwater from any portion of a stormwater control facility including the collection system, which is not a designed or established operating mode for the facility. Part III -VI Page 10 of 13 Permit No. NCG200000 5. Bulk Storage of Liquid Products Liquid raw materials, manufactured products, waste materials or by-products with a single above ground storage container having a capacity of greater than 660 gallons or with multiple above ground storage containers located in close proximity to each other having a total combined storage capacity of greater than 1,320 gallons. 6. Certificate of Coverage The Certificate of Coverage (COC) is the cover sheet which accompanies the General Permit upon issuance and lists the facility name, location, receiving stream, river basin, effective date of coverage under the permit and is signed by the Director. 7. Clean Water Act The Federal Water Pollution Control Act, also known as the Clean Water Act (CWA), as amended, 33 USC 1251, et. seq. 8. Division or DWO The Division of Water Quality, Department of Environment and Natural Resources. 9. Director The Director of the Division of Water Quality, the permit issuing authority. 10. EMC The North Carolina Environmental Management Commission. I I. Grab Sample An individual sample collected instantaneously. Grab samples that will be analyzed (quantitatively or qualitatively) must be taken within the first 30 minutes of discharge. 12. Hazardous Substance Any substance designated under 40 CFR Part 116 pursuant to Section 311 of the Clean Water Act. 13. Landfill A disposal facility or part of a disposal facility where waste is placed in or on land and which is not a land treatment facility, a surface impoundment, an injection well, a hazardous waste long-term storage facility or a surface storage facility. 14. Municipal Separate Storm Sewer System A stormwater collection system within an incorporated area of local self-government such as it city or town. 15. No Exposure A condition of no exposure means that all industrial materials and activities are protected by a storm resistant shelter or acceptable storage containers to prevent exposure to rain, snow, snowmelt, or runoff. Industrial materials or activities include, but are not limited to, material handling equipment or activities, industrial machinery, raw materials, intermediate products, by-products, final products, or waste products. DWQ may grant a No Exposure Exclusion from NPDES Stormwater Permitting requirements only if a facility complies with the terms and conditions described in 40 CFR § 122.26(g) 16. Notice of Intent The state application form which, when submitted to the Division, officially indicates the facility's notice of intent to seek coverage under a General Permit. Part Ill -VI Page 11 of 13 Permit No. NCG200000 17, Permittec The owner or operator issued a certificate of coverage pursuant to this General Permit. 18. Point Source Discharge of Stormwater Any discernible, confined and discrete conveyance including, but not specifically limited to, any pipe, ditch, channel, tunnel, conduit, well, or discrete fissure from which Stormwater is or may he discharged to waters of the state. 19. Representative, Storm Event A storm event that measures greater than 0.1 inches of rainfall. The time between this storm event and the previous storm event measuring greater than 0.1 inches must be at least 72 hours. A single storm event may have a period of no precipitation of up to 10 hours. For example, if if rains but stops before producing any collectable discharge, a sample may be collected if the next rain producing a discharge begins within 10 hours. 20, Representative Outfall Status When it is established that the discharge of stormwater runoff from a single outfall isrepresentative of the discharges at multiple outfalls, the DWQ may grant representative outfall status. Representative outfall status allows the permittee to perform analytical monitoring at a reduced number of outfalls. 21. Secondary Containment Spill containment for the contents of the single largest tank within the containment structure plus sufficient freeboard to allow for the 25-year, 24-hour storm event. 22. Section 313 Water Priority Chemical A chemical or chemical category which: a. Is listed in 40 CFR 372.65 pursuant to Section 313 of Title III of the Superfund Amendments and Reauthorization Act (SARA) of 1986, also titled the Emergency Planning and Community Right - to -Know Act of 1986; b. is present at or above threshold levels at a facility subject to SARA title Iii, Section 313 reporting requirements; and C. Meets at least one of the following criteria: (1) Is listed in appendix D of 40 CFR part 122 on Table Ii (organic priority pollutants), Tablc III (certain metals, cyanides, and phenols) or Table IV (certain toxic pollutants and hazardous substances); (2) Is listed as a hazardous substance pursuant to section 311(b)(2)(A) of the CWA at 40 CFR 11644; or (3) Is a pollutant for which EPA has published acute or chronic water quality criteria. 23. Severe Property Damage Means substantial physical damage to property, damage to the control facilities which causes them to become inoperable, or substantial and permanent loss of natural resources which can reasonably be expected to occur in the absence of a bypass. Severe property damage does not mean economic loss caused by delays in production. 24. Significant LUterials Includes, but is not limited to: raw materials; fuels; materials such as solvents, detergents, and plastic pellets; finished materials such as metallic products; raw materials used in food processing or production; hazardous substances designated under section 101(14) of CERCLA; any chemical the facility is required to report pursuant to section 313 of Title IN of SARA; fertilizers; pesticides; and waste products such as ashes, slag and sludge that have the potential to be released with stormwater discharges. Part III -VI Page 12 of 13 Permit No. NCG200000 25. Significant Spills Includes, but is not limited to: releases of oil or hazardous substances in excess of reportable quantities under section 311 of the Clean Water Act (Ref: 40 CFR l 10.10 and CFR 117.21) or section 102 of CERCLA (Ref: 40 CFR 302.4). 26. Stormwater Discharge Outfall (SDO) The point of departure of Stormwater from a discernible, confined, or discrete conveyance, including but not limited to, storm sewer pipes, drainage ditches, channels, spillways, or channelized collection areas, from which stormwater flows directly or indirectly into waters of the State of North Carolina. 27. Stormwater Runoff The flow of water which results from precipitation and which occurs immediately following rainfall or as a result of snowmelt. 28, Stormwater Associated with Industrial Activity The discharge from any point source which is used for collecting and conveying stormwater and which is directly related to manufacturing, processing or raw material storage areas at an industrial site. Facilities considered to be engaged in "industrial activities" include those activities defined in 40 CFR 122.26(b)(14). The term does not include discharges from facilities or activities excluded from the NPDES program. 29. Stormwater Pollution Prevention Plan A comprehensive site -specific plan which details measures and practices to reduce stormwater pollution and is based on an evaluation of the pollution potential of the site. 30. Total Maximum Daily Load (TMDL) TMDLs are written plans for attaining and maintaining water quality standards, in all seasons, for a specific water body and pollutant. (A list of approved TMDLs for the state of North Carolina can be found at http://h2o.enr.slate.nc.us/tmdl/) 31. Toxic Pollutant Any pollutant listed as toxic under Section 307(a)(1) of the Clean Water Act. 32. Vehicle Maintenance Activity Vehicle rehabilitation, mechanical repairs, painting, fueling, lubrication, vehicle cleaning operations, or airport deicing operations. 33. Visible Sedimentation Solid particulate matter, both mineral and organic, that has been or is being transported by water, air, gravity, or ice from its site of origin which can be seen with the unaided eye. 34. 25-year, 24 hour storm event The maximum 24-hour precipitation event expected to be equaled or exceeded, on the average, once in 25 years. Part IiI-VI Page 13 of 13 w / / / r , 1 1 � I I I I I r I I I 1 I I I b w 1 — MID -ATLANTIC ASSOCIATES, IFC. Enginemng @ Emim=mml Solwiom a SEYMODR BROWNINVFSTMEM COMPANY. INC RAMGH, NORTH CAROLINA REMEDIAL INVESTIGATION RAWGH METAL$ PROCESSORS RAIEIGH, NORTH CARGIINA SOIL EXCAVATION, BARRIER PUEM CEM AND TREATMENT AREAS — — m��•��gr�ms——�,—o•�.—.m vo—.......-es�®� �- z' Attachmentrl ;' Notice of Violation NOV-2014 PC-0047 a "i y ty rn �' _� Parameter/Water �Outlet,from: nr Cdnfluence+•", Wildcat Branch e Quality.5tandarde 'F n ndm y1�tU' ietalning walla'{Outlet Chas sa rr'. ,*, z r I ;Raleigh,Mefals 'M :Waters Conductivity , r 972', BOS y 103 4� Turbidity.*,'k50 NTW ; e550 * i.iri F„t,. b. 'Y nS it, �i2 I Cadmium 2 0 ug/I" + °65 ug/L' ,r;'� ..i Lead 25 ug/It 4300 uq/L' 250 ug/L ', 36 ug/L ` F^`* < , �a °max Alumirium Tfi 1400 000 ug/L 7 200 ug/L r 24'0001ug/L'-7 � `t, 6man Health 8000,ug/L �: s ;, Aquatic`lffA +." fix " STug/L ?`fJ < Mercury" 0 012 �x 3&uq/L 0 98ru-ig 'j '?' detected,':a�,•: s � �,`+•':„ . a, Ndn polychlorinated biphenyls (total PCB ands 18 ug/L 0 SS,uq/L Non detected congeners identified) (PQL 1`0 uq/L) t. 4;�, ,' „` r. 0 OOlug/I r �r Kt g+�+ n :ls' ;� � } c • fut r t w � >, -. v „ w.+rl!:fwfr ��i�.y a�:•. tr�'�b �.�` Tk�„A!.'.u:+ .. .ta5"d h. ^•.�✓. �.. J.d�t i Cy?..}�Yk Nickel ;t88tug/I 620 ug/L 53 6eV AcuomLevelSubstances regpper 7 5000 ug/C 340 Lnc 50 ug/I,s r . }� "•,. tt �15000 ug/L� ,1100 ug/L ,-' Silver 0 06 ug/L , ', i w iz .'y." ti>n. ' :'' '� I� ' r a •,< =,: a +9'ug/L detected'Nori on detected 1 y y. y? a ✓"._ i r f Fa r: , a �,N Till � . •,J! lY ±knu f�yK, ''7 r •{tY r' �' a yaat. dL .i� . Y t ¢, c q .-0 + tl k � LDf � • a Jn RALEIGH METALS RECYCLING RALEIGH, NORTH CAROLINA STORMWATER MANAGEMENT PLAN PROJECT NUMBER: SPEC-13290 DESIGNED BY: JON ALDRIDGE, PE DATE: DECEMBER 2013 %,'tt.uu14#r##�� N CARP FI /p<� ti I SEAL 9r i I MCADAMS 2905 MERIDIAN PARKWAY DURHAM, NORTH CAROLINA 27713 NC L►C. # C-0293 STORMWATER MANAGEMENT PLAN BACKGROUND INFORMATION The Raleigh Metals Recycling site is located along Garner Road, approximately 0.70 miles north of the intersection with Rush Street and Garner Road in Raleigh, North Carolina. The facility provides services that include the collection, sorting, and exchange of scrap metal. As such, the facility is covered by General Permit Number NCG200000. As a condition of this permit, a Stormwater Pollution Prevention Plan (SWPPP) was developed by Golder Associates dated April 2013. In summary, this plan provides a description of processes onsite and discusses implementation of measures to be taken to minimize contaminants in runoff from the site. One component of the SWPPP is a Stormwater Management Plan that addresses practices to be taken onsite to minimize exposure of contaminated materials with stormwater runoff. These practices include storage procedures and good housekeeping policies. On September 12, 2013, a Notice of Deficiency (NOD) was issued by the North Carolina Division of Environmental and Natural Resources (DENR). Upon review of further testing results, it was noted that additional exceedances of several other benchmarks existed for Cadmium, Chemical Oxygen Demand (COD), Copper, -Iron. Lead, Oil and Grease, Total Suspended Solids (TSS), and Zinc. Noted in the NOD was that secondary containment and general housekeeping appeared adequate. The exceedances are most likely. a: result of uncontrolled sedimentation from the site. This report discusses measures taken since the NOD was issued and further details stormwater measures that should be put into place to help control sedimentary runoff. The drainage patterns onsite as identified in the SWPPP, include six stormwater outfalls. These outfalls are referenced throughout this report and are the same as those identified in the. SWPPR Also provided is a brief explanation of the contributing drainage area to each of these outfalls. Please reference the included maps that indicate each of these outfalls. For each outfall, the nine parameters mentioned above were tested, each with a benchmark value that they are required to meet. The facility currently does not exceed any pH or Oil and Grease benchmarks. However, many of the other parameters are exceeded at each outfall. Both COD and TSS can be treated by incorporating practices that allow for controlling sedimentation through the use of barriers, mats, settling, and dispersion. Similar methods can be used to remove heavy metals and PCBs from thc,ruhoff since most of these contaminants attach themselves to particles and are transported by the particles in suspension. Thus, the most appropriate BMPs to control pollutants onsite will be those that minimize release of contaminant laden sediment. - It should be noted that at this time a Remedial Action Plan (RAP) has been submitted to -the Environmental Protection Agency for review. This RAP will provide measures that limit exposure of surface runoff with the contaminated soils. These measures include amending the top layers of the soil and installation of a protective barrier covering roughly half of the 17-acre site consisting of geotextile fabric overlain by recycled concrete processed to resemble aggregate stone. The RAP also calls for construction of a stormwater detention pond on the north side of the property. This plan dated June 21, 2012 was prepared by Mid -Atlantic Associates, Inc. Implementation of these measures is awaiting federal approval of this plan. Raleigh iNletal Recycling December 23, 2013 11111111ej WADAMS Ul © EXISTING CONDITIONS At the time of our site visit on October 18, 2013, several measures had already been taken by the tenant to control contaminated sediment/oil from leaving the site. These measures included the expansion of a small basin on the north side of the property, the construction of a small basin on the west side of the site, and placement of booms. Additional handling and processing policies have been put into place to avoid spills and contamination of the ground surface. Below is a brief synopsis of the measures currently installed for each outfall along with testing data. Please reference the attached map (EC- I). Testing data for each outfall is provided below. This information is from testing by both Environmental Conservation Laboratories, Inc. (ENCO) and Highlands Environmental Solutions, Inc. (HES). The benchmark values shown below are from the SWPP and the North Carolina General NPDES Permit # NCG 200000. Otrrr,�t.t, #I The area draining to this outfall appears to be minimized to the parking lot at the northeast corner of the property and some roof drainage. Booms have been added to the outflow. v o E _ 0 \ \ O�, v E E O E v M O F4 m U U O IE ENCO 6/7/2013 7.5 130 490 8.1 3.03 269 147 948 ENCO 11/1/2013 7.0 300 480 8.76 3.59 443 325 1250 Benchmark 6.0-9.0 120 100 30 1 7 30 67 Ou'rr,%l,l. #2 The drainage to this point is comprised of areas draining to the North Basin and some bypass along the most northern portion of the site. It is estimated that about a third of the site drains to the North Basin. The North Basin drainage includes runoff from the Fueling Area, Vehicle Processing Area, Bailer, Non -Ferrous Area, and portions of the Ferrous Yard. This drainage is collected in a piped system that discharges to a channel and ultimately enters the North Basin. Check dams have been placed in the channel to help minimize sediment entering the basin. A turn -down elbow has been recently installed on the upstream side of the outfall to minimize the amount of oil or floating debris from being conveyed offsite. At the time of our inspection, it was noted that this basin had been expanded and cleaned out. Several housekeeping improvements relating to storage and containment of materials were made upstream that should help in minimizing pollutants coming into contact with stormwater runoff. One such improvement was a relocation of storage from outside to inside for electric motors and sealed units. Improvements to the bypass areas discharging to Outfall 42 were made as well. These include the addition;of gravel in high traffic areas to minimize the amount of sediment runoff, removal of petroleum laden sediment, placement of booms upstream and downstream of the outflow, and modifications to the gutter system of the maintenance building to Raleigh Metal Recycling December 23, 2013 '=21 WADAMS 2 y avoid water flowing into and out of the building during storm events, adding to pollutant loads in runoff. J J N OU E F- E a, E LI OO E M a M U U Sample ID ENCO 6/7/2013 7.7 52 53 4.09 0.693 66.8 76.5 293:: HES_ 16/10/2013 7.7 156 323 503 340 :°:1100.:_ ENCO 11/1/2013 8.1 270 850 10.1 8.62 994 785 17 2040 HES 11/27/2013 6.0 174 170 3.25 326 215 _:.868, 1: I Benchmark 6.0-9.0 120 100 30 1 7 30 - --.:.67 OU1TAr.L#3 .. The area draining to this outfall consists of primarily brush and grasses away from areas•cohtaining: metals. It is unclear as to the extents ofthis drainage area, as the site subsurfacedrainage system is undefined at this point. It may include a portion of the Ferrous Yard. A small channel discharges water to the adjacent railroad at the northwest corner of the site. Small booms were added to the outflows in this area. w o E Omen a.�ao n U E ~ E o7i E V O O O m to J? N O U 0 Sample ID ENCO 6/7/2013 7.6 130 13 3.95 1.99 62.7 16.1 681 Benchmark 6.0-9.0 120 100 30 1 7 30 . 67 Otrtl AI,I, #4 The drainage area to this point is comprised of areas draining to the West Basin and some bypass to the adjacent railroad. It is unclear as to the limits of the drainage area going to the West Basin, but it is believed to mostly consist of the Shearing Unit, Metal Torching Area, and the Ferrous Yard. This basin is lined with stone and discharges to the adjacent railroad. It also includes a turn -down elbow to minimize the oil or debris from being*conveyed offsite. It appeared that this basin discharged to the adjacent railroad in the direction of Outfall 95. It is unclear as to the extent of this drainage area (due to the same undefined drainage system), but as shown on the attached aerial map, there is a limited amount of Wake County GIS information available for this outfall. The pipe exiting the property discharges stormwater runoff to the adjacent railroad along the western portion of the site. Booms have been installed on the pipe coming from the yard into the basin and on the pipe exiting the property. Raleigh Metal Recycling December 23, 2013 ' MCADAMS 3 Q J OE Sample ID v o E E J N J J v J E 0 u 0 U O ENCO 6/7/2013 7.8 100 2.8 3.28 2.32 32.9 6.3 843 HES 11/27/2013 5.5 1,77 13 3.33 66 38 1240 Benchmark 6.0-9.0 120 100 30 1 7 30 67 OUPFALL 45 The area draining to this outfall mostly consists of the Metal Torching Area and Ferrous Yard. At the time of initial testing, turnings soaked with petroleum were stored in.the southwest corner of the site. These have since been removed. Booms have been installed in the outflow. v �.^ E — u _ 0 Sample ID ENCO 6/7/2013 8 43 3.2 2.05 65.1 7.1 189 Benchmark 6.0-9.0 120 100 30 1 7 30 67 OUt'FALL #6 It is unclear as to the extents of this drainage area. It is believed to include a portion of the Ferrous Yard,:Scales, and parking area at the southeast corner of the site: This outfall is also identified on the Wake County GIS information provided on the aerial map. The pipe exiting the property discharges stormwater runoff into the existing storm drainage system in Garner Road. A channel lined with stone has been constructed to minimize sediment transport. Additionally, small booms have been placed around the inlet draining into this system. w I O m E Leo moo v m a o� v� n� ~E l7 nu E a to u E o2S E 0 0 Jv F4 _ — u 0 Sample ID ENCO 6/7/2013 8.2 200 680 8.74 5.96 932 571 1740 ENCO 11/1/2013 8.6 350 1400 3.67 0.36 1730 1230 3650 Benchmark 6.0-9.0 120 100 30 1 7 30 67 Raleigh Metal Recycling TMCADAMS December 23, 2013 4 © STORMWATER MANAGEMENT PLAN — PHASE I This initial phase of stormwater management onsite is intended to expand upon measures already taken to improve sediment capture onsite. These measures are intended to be implemented quickly and are also considered temporary until the final stormwater management plan for the site is approved and/or developed. Once these measures are in place, additional testing will be completed to monitor how the Phase I practices are working. At that time review of the testing data may show that additional measures are necessary (i.e. Phase 11). Please reference the included Phase I map (SW-1) for additional information. One of the main goals of Phase I is to determine conclusively the drainage areas to each of the ontfalls, and locating all subsurface drainage and inlets. Once the drainage boundaries are known conclusively to each outfall, it will be possible to tailor the stormwater management to the drainage area of the outfall. , OUTFAIA.#1 The extents of this drainage area as shown on the attached map are believed to be fairly accurate. Where possible, inlet protection should be placed around each inlet in accordance with the North Carolina Erosion and Sedimentation Control Manual. This will help to minimize the COD and TSS loading to the benchmark values. To address the heavy metal pollutants, the placement of a polyacrylamide (Floc Logs® by' Applied Polymer Systems or an approved equivalent) is recommended at each inlet. A data sheet for the Floc Log product is provided at the end of this report. It is also recommended that silt fence be installed on the north side of the parking lot to minimize any sediment laden water from flowing to downstream properties. OUI'FALL #2 As part of Phase 1. it is recommended that further exploration into the exact drainage area for this outfall be provided. Based on the testing results it appears that the North Basin is providing adequate COD and TSS removal. To address the heavy metal pollutants, the placement of a couple Floc Logs® is recommended in each of the ditches draining to the basin. It is also recommended that silt fence be installed on the north side of the site to minimize any sediment laden water from flowing to downstream properties. OUTFALL 0 As part of Phase 1, it is recommended that further exploration into the exact drainage area for this outfall be provided. To aide in the removal of COD and TSS, check dams or waddles are recommended in the existing ditch. To address the heavy metal pollutants, the placement of a couple Floc Logs© is recommended in the ditch draining to the outfall. It is also recommended that silt fence be installed on the west side of the site to minimize any sediment laden water from flowing to downstream properties. OUTFALL #4 As part of Phase I, it is recommended that further exploration into the exact drainage area for this outfall be provided. Where possible, inlet protection should be placed around each inlet draining to this outfall. This will help to minimize the COD and TSS loading to the benchmark values. To address the heavy metal pollutants, the placement of a Floc Log© is recommended at each inlet. It is Raleigh Metal Recycling December 23, 2013 �=J McADAMS 5 ,I t also recommended that silt fence be installed on the west side of the site to minimize any sediment ! laden water from flowing to downstream properties. OUTFALL #5 As part of Phase 1, it is recommended that further exploration into the exact drainage area for this outfall be provided. Based on the testing results it appears that the West Basin is providing adequate COD and TSS removal. To address the heavy metal pollutants, the placement of a Floc Log© is recommended at each inlet contributing to the drainage to the basin. It is also recommended that silt fence.be installed on the west side of the site to minimize any sediment laden wa_ter.from flowing to I downstream properties. OUTFALI.#6 - -" As -part of Phase,], it is recommended that further exploration into the exact drainage area for this 66ffall"be.provided. Where possible, inlet protection should be placed around each inlet draining.to this outfall. This will help to minimize the COD and TSS loading to the benchmark values. To address the heavy metal pollutants, the placement of Floc Log© is recommended at each inlet. For OutfalF96. we suggest that this phase of the study determine whether or not to redirect discharge to a different location, one that is better suited for installation of BMP. - In addition to the data sheet for the Floc Logs©, details for the silt fence, inlet protection, and check dams are provided. A key component in the functionality of all of the stormwater measures mentioned above is maintenance. It is recommended that each of the practices provided be inspected monthly or after each significant rainfall. Sediment shall be removed in each of the basins routinely and disposed of properly. The facility shall continue monitoring at each outfall as outlined in the NPDL'S General Permit Number NCG200000. This additional testing shall be provided to the civil engineer to determine how the data is trending and will be helpful in determining what BMPs and measures taken onsite are working to control the contaminated runoff. Raleigh Metal Recycling December 23, 2013 TIMCA DA MS 6 pSTORMWATERMANAGEMENTPLAN- PHASEII This phase of stormwater management is intended to serve as an ultimate/final remediation plan. Once additional drainage area and testing data are received as part of the Phase I plan and approval of the RAP is received, modification or additions to the stormwater management plan will be evaluated. We anticipate this might include expansion/addition oh larger traditional stormwater facilities (i.e. dry detention basins or wet ponds). The extent of Phase II cannot be clearly defined until the drainage boundaries to each of the outfalls are determined and installation of measures proposed in the RAI' are complete, since the stormwater treatment facilities will be designed specifically for each drainage area. Raleigh Metal Recycling 'J MCA' DAMS I December 23, 2013 F © SPORMWATER MANAGEMENT PLAN SCHEDULE The suggested plan of action by the client is as follows: • Installation of perimeter silt fence, check dams, inlet protection, and Floc Logs as detailed on the provided Phase I plan. Upon receipt of the draft of this document on December 10, 2013, the client began installation of several of these measures. Estimated completion — 21112014 • Determination of onsite drainage systems/boundaries by survey, smoke testing, video camera, or other means. Estimated completion — 21112014 • Continued monitoring at each outfall to determine whether further modifications to the proposed stormwater management plan is required. If the site is not reaching compliance as required in the NPDES General'Permit, additional measures may need to be taken. Estimated completion— Ongoing • Installation of protective barrier and stormwater management pond as outlined in the RAP; Estimated conil)letion - 12 months c fter f nal approvals bt, U.SEPA and NCDENR • Evaluation of effectiveness of protective barrier and stormwater management pond. Estimated completion — 6 months after completion of installation Raleigh Metal Recycling MMCADAMS December 23, 2013 8 r� ;. c k n '�CCCB � [P v r13C,'' RALEIGH METAL RECYCLING SORWAER MANAGEMEN pyapK NORIlICA ILIEMINTeL xxNXCxCeYCv (910) M-e.ze WN4 ICU. NC,27e1e MC.ADAM'rmvII o�®•"'m"°" "u •�°, •"." � I € ! RAI,EIGH METAL RECYCLING m '.TORMWA7ER MANAGEMENT RALEILN RET.:L RECI'CLINL 2310 LARVER ROAD 1 L [ y S M GK NOrtIH GLR011Nn HALE CH. NC 2)010 N e p r (B I9) 829-5420 MCADAMS �8 EaN3Lw0 CONxmoxs-�EmN. l ---- `.; _ - -------- _•`� •\ \ \`� `i`� -5 -- - -- -- — :` - a .�•` L S.. ® i to° E 'r 5 E E e y9` £ RALEIGH METAL RECYCLING STORM'NA'[ER MANAGEMENT Huncx. Noma �Anvnva RPL-10 CARN RF.f ID ING Eau canNC 7010 RALRICN. Nc vela (919)02B-5a2B MCADAMS ��+•-a�� �9�r _ 8 WNCEPNAL310WdWA'IER 61/rN.OE6VNl RAN-RVSEI -I�•,.I II . � • �Ll, II ` 17 III ________________ r_ At __._ J I -- - - - - - - - - - - - - - - - - - - 1II�ATL�t11\TII. SEYmIOUR OROWNINVESimENi COMPANY, INC. �`..., REMEDIAL INVESTIGATION .0 5 S O C 1 A'f E S, ISC. RAIEIGH, NORTH CAROI11 A W RALEIGH METALS PROCESSORS E.ngineenng S E.nvironmental Solutions my SOIL EXCAVATION, BARRIER PLACEMENT A RAIEIGH, NORTH CAROIINA AND TREATMENT AREAS COUNT oxnt cnxo�w EFFECTIVE: 01/3 _TOP ELEVATION OF STORMWATER y5 WASHED EXISTING SLOPE EXISTING SLOPES I _ KEYED RIP RAP 0'5'-1 JX§ 22 tn #1 SIDE VIEW CONSTRUCTION NOTES: HEIGHT & WIDTH DETERMINED BY EXISTING TOPOGRAPHY AND SEDIMENT STORAGE REQUIRED. HEY RIP RAP INTO THE DAM FOR STABILIZATION. p5 WASHED STONE .. .. .. .... .. ...... ..... ._ EXIS NTI FRONT VIEW c cRouND STEP SEQUENCE NOTE: REMOVE SEDIMENT ACCUMULATION FROM BEHIND CHECK DAMS TO PREVENT DAMAGE TO CHANNEL VEGETATION. FLOW SHOULD BE MAINTAINED THROUGH THE DAM. -- STANDARD CHECK DAM STANDARD METAL POSTS 7-0' IN GROUND GALVANIZED HARDWARE WIRE EXTENDS TO TOP OF BOX OQoOo 0 9 ow • O O Qeaoo. O COO. o NOTE: 1. INSPECT INLET PROTECTION AND REMOVE SEDIMENT AFTER EACH RAIN EVENT. GRAVEL SHOULD BE REPLACED # 57 WASHED STONE PLACED TO A HEIGHT OF 12'-18' MINIMUM ABOVE TOP OF BOX AND REPAIRS MADE AS NEEDED. COUN STANDARD GRAVEL YARD INLET PROTECTION EFFECTIVE: 01/31 /08 8'-0" MAXIMUM MINIMUM 10 GAUGE LINE WIRES MINIMUM 12-1/2 GAUGE INTERMEDIATE WIRES GRADE FRONT VIEW NOTE _ STEEL POST WOVEN WIRE FABRIC 1. USE SILT FENCE ONLY WHEN DRAINAGE AREA SILT FENCE FABRIC DOES NOT EXCEED 1/4 ACRE AND NEVER IN AREAS OF CONCENTRATED FLOW. o 2. REMOVE SEDIMENT DEPOSITED AS NEEDED TO M FILL SLOPE PROVIDE STORAGE VOLUME FOR THE NEXT RAIN c� AND TO REMOVE PRESSURE ON THE SILT - FENCE. .' a ` GRAD ..... - 6" MINIMUM COVER oY.ANCHOR OVER SKIRTi SKIRT AS DIRECTED . ENGINEER + SIDE . VIEW..:: A COUNT °R`N°LN STANDARD TEMPORARY SILT FENCE EFFECTIVE: 01 /31 /08 {' MIN. SILT FENCE TOP OF SILT FENCE MUST BE AT LEAST 1' ABOVE THE OF THE WASHED STONE FRONT VIEW II BURY WORE FENCE II lER 'FABRIC. D AND. HAROIYARE CIDTN tW TRENCH SET FENCE POST .. .. . STEEL FENCE POST SET MAX APART 1'� . .. IN INTO SOU WIRE FENCE G HAR'uWARE CLOTH FILTER OF /57 - WASHED STONE 3FILTER FABRIC ' ON GROUND 8 NOTES: 1. REMOVE SEDIMENT WHEN HALF OF STONE OUTLET IS COVERED. c o 0 I 2. REPLACE STONE AS NEEDED TO ENSURE DEWATERING. BURY WIRE FENCE AND HARDWARE CLOTH II\BUR. O' OF UPPER EDGE OF - II FILTER FABRIC IN TRENCH II U SECTION VIEW A COUNr OATH CAROI.IN STANDARD SILT FENCE OUTLET EFFECTIVE: O1/ H/08 Applied Polymer Systems 519 Industrial Drive, Woodstock, GA 30189 wwwsiltstop.com Phone: 678-494-5998 Toll -free: 866-200-9868 Fax:678-494-5298 APS 700 Series :Floc Lope Polyacrylamide Sediment and Turbidity Control Applicator Logs APS 700 Series Floc Logs are a group of soil -specific tailored log -blocks that contain blends of water treatment components and polyacrylamide co -polymer for water clarification. They reduce and prevent fine particles and colloidal clays from suspension in stormwater. There are several types of Floc Logs designed to treat most water and soil types. Contact Applied Polymer Systems, Inc.. - or your local —distributor for free testing and site -specific application information. _ .. . Primary Applications Mine tailings and waste pile ditches • Stormwater drainage from construction and building sites • Road and highway construction runoff ditches • Ditch and treatment system placement for all forms of highly turbid waters (less than 4% solids). -.- -- • Dredging operations as a flocculent Features and Benefits • Removes solubilized soils and clay from water • Prevents colloidal solutions in water within ditch systems • Binds cationic metals within water, reducing solubilization • Binds pesticides and fertilizers within runoff water Reduces operational and cleanup costs • Reduces environmental risks and helps meet compliance Specifications / Compliances •. ANSUNSF Standard 60 Drinking water treatment chemical additives • 48h or 96h Acute Toxicity Tests (D. magna or O. mykiss) • 7 Day Chronic Toxicity Tests (P. promealas or C. dubia Packaging APS 700 Series Floc Logs are packaged in boxes of four (4) Technical Information Appearance - semi -solid block Biodegradable internal coconut skeleton Percent Moisture - 40% maximum pH 0.5% Solution - 6-8 Shelf Life — up to 5 years when stored out of UV rays Placement Applied Polymer Systems 519 Industrial Drive, Woodstock, GA 30189 w\vwsiltstop.com Phone:678-494-5998 Toll -free: 866-200-9868 Fax:678-494-5298 Floc Logs are designed for placement within ditches averaging three feet wide by two feet deep. Floc log placement is based on gallon per minute flow rates. Note: actual GPM or dosage will vary based on site criteria and soil/water testing. Directions for Use (Water and Floc Log Mixing is Very Important!) APS BOO Series=Floc Logs should be placed within the upper quarter to half of a stabilizedditch system or as close as possible.to active earth moving activities. Floc Logs have built in ropes witfi attachment loops - which can be.looped over stakes to ensure they remain where placed. Mixing is key l If the flow rate is too slow,'adding sand bags, cinder blocks, etc., can create the turbulence, required for -proper mixing. Floc_ Logs:.arg designed to treat dirty water, not liquid mud, when the water contains heavy, solids (exceeding 4% ). it will be necessary to create a'sediment or grit pit to let thelieavy'solids settle before treating the water. FlocLogs must_not. be placed in areas where heavy erosion woul&result in the Floc Logs.:becoming-: buried. Where there is heavy sedimentation, maintenance will be required. APS 700 Series Floc Logs can easily be moved to different locations as site conditions change. Water quality will be.improved with the addition of a dispersion field or soft armor -covered ditch checks below the Floc Log(s) to collect flocculated particulate. Construction of mixing weirs may be required in areas where short ditch lines, . swelling clays, heavy particle concentrations, or- steep slopes may be encountered. Cleanup:.: Latex or rubber gloves are recommended for handling during usage. Use soap and water to wash hands after handling.',...; Precautions./ Limitations • APS 700 Series.Floc Logs `are extremely slippery when wet. • Clean up spills quickly: -Doi--not use water unless necessary as extremely slippery conditions will result and if water is necessary, use pressure washer. • APS Floc Log will remain viable for up to 5 years when stored out of UV rays. • APS 700 Series Floc Logs have been specifically tailored to specific water and soil types and samples must be tested. Testing is necessary and is free. • For product information, treatment system design assistance, or performance issues, contact Applied Polymer Systems. Mid -Atlantic Associates�P%� Field Notes Job Name: Date: Job Number: Technician: Task Number: Weather: Location: Arrival: Departure: / 141,_ Q i,,&!, aevz&� I/9- sal ? �jcl C Equipment / Expendables Used: Page of r, rf_ f)CMenr.say 1/7Jir Signature I9 7a74y3.56 6399 /- Q Lf14) �fp-qm 7c,Y/ 377- F;,?3 maatieldnofes. xl :.i NC®ENR. North Carolina Department of Environment and Natural Resources Division of Energy, Mineral and Land Resources Land Quality Section Pat McCrory, Governor Tracy E. Davis, PE, CPM John E. Skvarla, III, Secretary Director September 12, 2013 CERTIFIED MAIL #7012 1.640 0001 9605 7874 RETURN RECEIPT REQUESTED Mr. Paul Perrotti Raleigh Metal Recycling 2310 Garner Road Raleigh, NC 27610 Subject. Notice of Deficiency NOD-2013-PC-0361 Raleigh Metal Recycling NPDES Stormwater Permit NCG200335 Wake County Dear Mr Perrotti: On August 27, 2013, Dave Parnell and Chris Pullinger, from the Raleigh Regional Office of the North Carolina Division of Energy, Mineral and Land Resources (DEMLR) conducted a compliance evaluation inspection (CEI) at your facility, located at 2310 Garner Road in Raleigh, North Carolina. The facility lies in the watershed of an unnamed tributary (UT) to Walnut Creek, Class C NSW waters, in the Neuse River Basin. The following observations were noted during the DEMLR inspection andfile review. This facility is a scrap metal processing company, which has on -site tanks utilized for used oil and petroleum derived from junked vehicles. Andy Sanderson and you were on site during the inspection and provided valuable assistance to DEMLR staff. 1628 Mail Service Center, Raleigh, North Carolina 27699-1628 Location, 3800 Barrett Drive, Raleigh, North Carolina 27609 One Phone: 919-791A200 \ FAX: 919-571-4718 NorthCarolina Internet. httpiportal.nodenr.orghNeb/Irl _ An Equal Opportunity\ Alfumalive Action Employer i/V 'J��` L! �F�/Ha/l/y Stormwater run-off generated at such facilities is regulated by general NPDES stormwater permit NCG200000. The DEMLR Stormwater Program has issued certificate of coverage (COC) NCG200335. The permit was on site and current. The Stormwater Pollution Prevention Plan (SPPP) was reviewed by DEMLR staff. The SPPP was developed during the first half of 2013 and satisfied most of the requirements of the permit. The plan lacked the following: documented employee training records and a list of significant spills - for the last three years. The monitoring reports were reviewed during the inspection. Prior to the last sampling period, only three of the six Stormwater Discharge Outfalls (SDO) noted in the SPPP were being monitored. During the last monitoring period, six SDO were monitored, qualitatively and analytically. Results from the last analytical monitoring indicated exceedences of benchmarks at one or more of the SOO, which were for Cadmium, COD, Copper, Iron, Lead, Oil and Grease, TSS and Zinc. The stormwater collection system location and the drainage area flowing to each SDO were reviewed during the inspection. Unfortunately, we were not able to determine the originating location of the stormwater, as it flowed to each SDO and then offsite. This will make the reduction of benchmark exceedences difficult to address, as you advance through the Tier system of your permit. Containment and storage of oils, fuels and other liquids were adequate, with respect to secondary containment. General housekeeping, within the shop, appeared to be adequate, as well. DEMLR Staff and Raleigh Metal Recycling staff discussed the cause and effect of an illicit discharge that was reported to DEMLR staff on August 23, 2013. The facility reports that measures have been taken to assure that no further spill such as the one noted, will reoccur. Requested response: You are directed to respond to this letter in writing to DEMLR at the address provided below within 30 days of receipt. Please address the following items noted in bold: Please fully develop the Stormwater Pollution Prevention Plan by placing a list of significant spills during the last three years, as well as documenting employee training annually. • The latest analytical monitoring indicated benchmark exceedences. Please adhere to the requirements of the NPDES permit with respect to the Tier program. • Please provide a final account of the illicit discharge which was reported to DENR on August 23, 2013. (It may be helpful if your consultant provides the report on your behalf). 1628 Mail Service Center, Raleigh, North Carolina 27699-1628 Location: 3800 Barrett Drive, Raleigh, North Carolina 27609 One Phone: 919-79142001 FAX 919-571-4718 North Carolina Internet: http:pnity\AcdencorAction rl ;Vat' "ally An Equal Opportunity 1 Affumative Action Employer iZ L Please respond to: Dave Parnell NCDENR/DEMLR Raleigh Regional Office 1628 Mail Service Center Raleigh, NC 27699-162 Should you have questions regarding these matters, please contact Dave Parnell at (919) 791-4200. Sincerely, John L. Holley, Jr., PE, CPESC Regional Engineer Raleigh Regional Office cc: Stormwater Permitting Program Files - with attachment DEMLR Raleigh Regional Office Files - with attachment DWR Raleigh Regional Office Files -with attachment City of Raleigh Stormwater Utility Division- with attachment 1628 Mail service Center, Raleigh, North Carolina 27699-1628 Location: 3800 Barrett Drive, Raleigh, North Carolina 27609 One Phone: 919-791-42001 FAX: 919-571-4718 North Carolina Internal: http:ponal.ncdenr.olgAvebllrl raln��Hn//� An Equal Opportunity l Affirmative Action Employer N6i �WAtEq August 31, 2007 Mr. Gregory W. Brown GIMCO Acquisition, LLC 801 N.John Street Goldsboro, NC 27533 Dear Mr. Brown: Michael F. Easley, Governor William G. Ross Jr., Secretary North Carolina Department of Environment and Natural Resources Coleen 11. Sullins, Director Division of Water Quality Subject: NPDES General Permit NCG200000 Certificate of Coverage NCG200335 GIMCO Acquisition, LLC Formerly Raleigh Metal Processors Wake County Division personnel have reviewed and approved your request to transfer coverage under the General Permit, received on August 9, 2007. Please find enclosed the revised Certificate of Coverage. The terms and conditions contained in the General Permit remain unchanged and in full effect. This revised Certificate of Coverage is issued under the requirements of North Carolina General Statutes 143-215.1 and the Memorandum of Agreement between North Carolina and the U.S. Environmental Protection Agency. If you have any questions, please contact the Stormwater Permitting Unit at (919) 733=5083, extension 502. Sincerely, ORIGINAL SIGNED BY KEN PICKLE Coleen H. Sullins cc: DWQ Central Files Raleigh Regional Office, Water Quality Section Stormwater Permitting Unit North Carolina Division of Water Quality 1617 Mail Service Center Raleigh, NC 27699-1617 Phone (919) 733-7015 Customer Service Internet: h2o.em.state.nc.us 512 N. Salisbury St, Raleigh, NC 27604 FAX (919) 733-2496 . 1-877-623-6748 An Equal Opportunity/Affirmative Action Employer— 50% Recycled/10% Post Consumer Paper STATE OF NORTH CAROLINA DEPARTMENT OF ENVIRONMENT AND NATURAL RESOURCES DIVISION OF WATER QUALITY GENERAL PERMIT NO. NCG200000 CERTIFICATE OF COVERAGE No. NCG200335 STORMWATER DISCHARGES NATIONAL POLLUTANT DISCHARGE ELIMINATION SYSTEM In compliance with the provision of North Carolina General Statute 143-215.1, other lawful standards and regulations promulgated and adopted by the North Carolina Environmental Management Commission, and the Federal Water Pollution Control Act, as amended, GIMCO ACQUISITION, LLC is hereby authorized to discharge stormwater from a facility located at GIMCO ACQUISITION 2310 GARNER ROAD RALEIGH WAKECOUNTY to receiving waters designated as Walnut Creek, a class C stream, in the River Basin in accordance with the effluent limitations, monitoring requirements, and other conditions set forth in Parts 1, 11, 111, IV, V, and VI of General Permit No. NCG200000 as attached. This certificate of coverage shall become effective August 31, 2007. This Certificate of Coverage shall remain in effect for the duration of the General Permit. Signed this day August 31, 2007. ORIGINAL SIGNED BY KEN PICKLE Coleen H. Sullins, Director Division of Water Quality By Authority of the Environmental Management Commission - IL a 40' HW/4 CAR];---R 15 QUADRANGLE 712 4 7 0 ( 2 110000 FEET 78'3''30" UFarklwa 0 - -, , 3 5 '4 5' -E - �51 p *d'�-;. i 4UH Carolina F .1ch �tie NORZ Aw *:MwWLakS . .... Z ti 7 V// 0 arm �7 n IN eh 1.11 �ay /I 2530 To I Palk V� 1, Course, IOU 359 X a r- CHOOL.MR- .81 A. V. v LIND AN I . 1. 1 3957 �Wt' m 339 w .1 BM 352 -S ew2ge -441 tspdsal,cQ?- -X 10 720000 64 FEET J " 3 956, 33 tit 2539 Water Tank dreenDne . . ..... 2955 C) Es z 50) JL > a zz Green re 7i7 42'30" F'J 72 I% 2 a colomad T97p 3953 RID 'Heigh of 4'. 4\,-3 ,- xf/, 6a�w A rF� 1 November 20, 2006 Reginald B Griffin, Jr, Owner Raleigh Metals Processors PO Box 25037 Raleigh NC, 27611 Michael F. Easley, Governor William G, Ross Jr., Secretary North Carolina Department of Environment and Natural Resources Alan W. Klimek, P.E. Director Division of Water Quality Subject: NPDES Stormwater Permit Coverage Renewal Raleigh Metals Processors COC # NCG200335 Wake County Dear Permittee: In response to your renewal application for continued coverage under general permit NCG200000 the Division of Water Quality (DWQ) is forwarding herewith the reissued stormwater general permit. Due to resource constraints, the Division has been unable to adequately consider appropriate modifications to the permit. Therefore, the permit has been reissued without changes from the previous permit, so all conditions remain the same. The permit term for the reissued permit is two years, expiring on September 30, 2008. The general permit may be modified and reissued prior to its expiration. i he permit is reissued pursuant to the requirements of North Carolina General Statute 143- 215.1 and the Memorandum of Agreement between the state of North Carolina and the U.S. Environmental Protection Agency, dated December 6, 1983. The following information is included with your permit package: A new Certificate of Coverage A copy of General Stormwater Permit NCG200000 Your coverage under this general permit is not transferable except after notice to DWO. The Division may require modification or revocation and reissuance of the Certificate of Coverage. This permit does not affect the legal requirements to obtain other permits which may be required by DENR or relieve the permittee from responsibility for compliance with any other applicable federal, state, or local law, rule, standard, ordinance, order, judgment, or decree. If you have any questions regarding this permit package please contact Neuse of the Central Office Stormwater Permitting Unit at (919) 733-5083, ext. Aisha Lau. Sincerely, Bradley Bennett, Supervisor Stormwater and General Permits Unit cc: Central Files Stormwater & General Permits Unit Files Raleigh Regional Office on� NoSlhCarolina �l aturally Wetlands and Stormwater Branch 1617 Mail Service Center Raleigh, NC 27699-1617 Phone (919) 733-5083 Internet: h2o.encstate.ncus 512 N. Salisbury St. Raleigh, NC 27604 FAX (919) 733-9612 An Equal OpportunitylAmrmalive Action Employer— 50%Recycled110%Post Consumer Paper STATE OF NORTH CAROLINA DEPARTMENT OF ENVIRONMENT AND NATURAL RESOURCES DIVISION OF WATER QUALITY GENERAL PERMIT NO. NCG200000 CERTIFICATE OF COVERAGE No. NCG200335 STORMWATER DISCHARGES NATIONAL POLLUTANT DISCHARGE ELIMINATION SYSTEM In compliance with the provision of North Carolina General Statute 143-215.1, other lawful standards and regulations promulgated and adopted by the North Carolina Environmental Management Commission, and the Federal Water Pollution Control Act, as amended, RALEIGH METALS PROCESSORS is hereby authorized to discharge stormwater from a facility located at Raleigh Metals Processors 2310 Garner Rd Raleigh Wake County to receiving waters designated as , a class Walnut Creek stream, in the C River Basin in accordance with the effluent limitations, monitoring requirements, and other conditions set forth in Parts I, II, III, IV, V. and VI of General Permit No. NCG200000 as attached. This certificate of coverage shall become effective November 20, 2006. This Certificate of Coverage shall remain in effect for the duration of the General Permit. Signed this day November 20, 2006 for Alan W. Klimek, P.E., Director Division of Water Quality By Authority of the Environmental Management Commission Michael F. Fasley, Govemor i � William G. Ross Jr_ Secretary North Carolina Department of Environment and Natural Resources � Alan W. Klimek, P.E. Director July 25, 2005 Anthony Ervin Raleigh Metals Processors PO Box 25037 Raleigh, NC, 27611 Subject: NPDES Stormwater Permit Coverage Renewal Raleigh Metals Processors CDC Number NCG200335 Wake County Dear Permittee: Division or Water Quality Your facility is currently covered for stormwater discharge under General Permit NCG200000. This permit expires on October 31, 2005. The Division staff is currently in the process of renewing this permit. When a draft version is available for notice and public comment, it will be posted on our website at http://h2o.enr.state.nc.us/su/. Once the permit is reissued, your facility would be eligible for continued coverage under the reissued permit. In order to assure your continued coverage under the general permit, you must apply to the Division of Water Quality (DWQ) for renewal of your permit coverage. To make this renewal process easier, enclosed you will find a Permit Coverage Renewal Application Form. The application must be completed and returned by August 19, 2005 in order to assure continued coverage under the general permit. Letters confirming our receipt of the completed application will not be sent. Failure to request renewal within the time period specified may result in a civil assessment of at least $250.00. Larger penalties may be assessed depending on the delinquency of the request. Discharge of stormwater from your facility without coverage under a valid stormwater NPDES permit would constitute a violation of NCGS 143-215.1 and could result in assessments of civil penalties of up to $10,000 per day. Please note that "no exposure exclusion" is now available to all operators of industrial facilities in any of the categories of "storm water discharges associated with industrial activity," (except construction activities). If you feel your facility can certify a condition of "no exposure", i.e. the facility industrial materials and operations are not exposed to stormwater, you can apply for the no exposure exclusion. For additional information contact the Central Office Stormwater Staff member listed below or check the Stormwater Permitting Unit Web Site at http://h2o.enr.state.nc.us/su/. If the subject stormwater discharge to waters of the state has been terminated, please complete the enclosed Rescission Request Form. Mailing instructions can be found on the bottom of the form. You will be notified when the rescission process has been completed. If you have any questions regarding the permit renewal procedures please contact Aisha Lau of the Central Office Stormwater Permitting Unit at (919) 733-5083, ext. 578. Sincerely, Bradley Bennett Supervisor, Stormwater & General Permit Unit Cc: Central Files Raleigh Regional Office SWPU Files Wetlands and Sumtowater Branch 1617 Mail Service Center Raleigh, NC 27699-1617 Phone (919) 733-5093 internal: h2o.encstate.naus 512 N. Salisbury St. Raleigh, NC 27604 FAX (919) 733-9612 An Equal Opportunity/Affirmative Action Employer— 50% Recycled/10% Post Consumer Paper NoViCarolina Jlnturn!!� - ' State of North Carolina Department of Environment and Natural Resources Division of Water Quality Michael F. Easley, Governor Sherri Evans -Stanton, Acting Secretary Kerr T. Stevens, Director ANTHONY ERVIN RALEIGH METALS PROCESSORS PO BOX 25037 RALEIGH, NC 27611-5037 Dear Permittea January 19, 2001 1! NCDENR NORTH CAROLINA DEPARTMENT OF ENVIRONMENT AND NATURAL RESOURCES Subject: Reissue - NPDES Stormwater Permit RALEIGH METALS PROCESSORS COC Number NCG200335 Wake County In accordance with your application for a discharge permit received on July 11, 1995 we are forwarding herewith the subject certificate of coverage to discharge under the subject state - NPDES general permit. This permit is issued pursuant to the requirements of North Carolina General Statute 143-215 .I and the Memorandum of Agreement between North Carolina and the US Environmental Protection agency dated December 6, 1983. If any parts, measurement frequencies or sampling requirements contained in this permit are unacceptable to you, you have the right to request an individual permit by submitting an individual permit application. Unless such demand is made, this certificate of: coverage shall be final and binding. Please take notice that this certificate of coverage is not transferable except after notice to the Division of Water Quality. The Division of Water Quality may require modification or revocation and reissuance of the certificate of coverage. This permit does not affect the legal requirements to obtain other permits which may be required by the Division of Water Quality or permits required by the Division of Land Resources, Coastal Area Management Act or any other Federal or Local governmental permit that may be required. Enclosed is a permit package which contains the following information: * A Stormwater pollution prevention plan (SPPP) implementation certification form * A copy of general Stormwater permit NCG200000 * Five copies of the Analytical Monitoring form and five copies of the Qualitative Monitoring form * A copy of a Technical Bulletin for the general permit which outlines key requirements and addresses frequently asked questions * A Certificate of Coverage If you have any questions concerning this permit, please contact Bill Mills at telephone number (919) 733-5083 cxt. 548. Sine 6'R, �,RA SICNED-Y jilt KerrTI��LLii99- -- C. mill 15 eve cc: Central Files Stormwater and General permits Unit Files Raleigh Regional Office 1617 Mail Service Center, Raleigh, North Carolina 27699-1617 Telephone 919-733-5083 Fax 919-733-9919 An Equal Opportunity Affirmative Action Employer 50% recycled/ 10% post -consumer paper STATE OF NORTH CAROLINA DEPARTMENT OF ENVIRONMENT AND NATURAL RESOURCES DIVISION OF WATER QUALITY GENERAL PERMIT NO. NCG200000 CERTIFICATE OF COVERAGE No. NCG200335 61116 NTHM. III=bZI.Y4P'.Gj3"1 NATIONAL POLLUTANT DISCHARGE ELIMINATION SYSTEM In compliance with the provision of North Carolina General Statute 143-215. I, other lawful standards and regulations promulgated and adopted by the North Carolina Environmental Management Commission, and the Federal Water Pollution Control Act, as amended, RALEIGH METALS PROCESSORS is hereby authorized to discharge stormwater from a facility located at RALEIGH METALS PROCESSORS W A KE CO UNTY to receiving waters designated as CITY OF RALEIGH STORM SEWER SYSTEM & WALNUT CREEK, a class C stream, in the River Basin in accordance with the effluent limitations, monitoring requirements, and other conditions set forth in Parts I, 11, III, IV, V, and VI of General Permit No. NCG200000 as attached. This certificate of coverage shall become effective January 19, 2001. This Certificate of Coverage shall remain in effect for the duration of the General Permit. Signed this day January 19, 2001. 0`,232i ft� jk- EVES f `.� WNW C. MUS for Kerr T. Stevens, Director Division of Water Quality By Authority of the Environmental Management Commission 7 E 1;W/4 GARII__R, 15 QUADRA14CLE 1 701 1 110 000 FEET, 78*37 30" 40' 112 401) 35'45' !... jPar . .... ..... Carolina ........ P" 7 .Rhanikatte A -wLakes1i j I v AInn , J Q :9 RkEEIGH E"t 3158 e i \A, 1Z. I 3 "JIM111 b , A , crcls� 2530 111 0- 2% r-R�di% 7 Ncs To"e bm!mQ,!al,Park —Golf - Course, —,]u SM LOR OR.,OFM LIND AND 4) F o 339 13957 W"r :N f l BrA 352 I- I \"NID 7, L j I cA 1( e . IT 720000 FEET i373 j 14?' 3q 56 x \253 Water Tank V, J. 3955 o 'GreenDTler\* EstAees - 263 70 Cbm e', zz 11p 471, lam J I a LP C -reS Z, 42'30" VMigem 7 A* 1. S� _,T,au11-5RR \V. 2C110,1H ights 7 'I. L ."afner n '� 3953 `7i XBM' r /.-31 9) a'I Colontal 00 10 J, _j 8_Prmgs C, FACILITY. .,5ev� SefJrcer lnc. COUNTY NPOES DSN FLOW I S"LIC PA, -:)IN 03-0�-off ° JJ '1 '',, • O � r ,� 15"IM sn/ll LATTM!DE 3s 4 � oo ✓ � r k �g 31r 58 P.t 11.1,G17 DE "I8 3 '7 2 . _ G STfdEAitfl Sl�rw Se�ef s�s�Ch s v LASS Iv�31�aS State of North Carolina Department of Environment and Natural Resources Division of Water Quality _ James B. Hunt, Jr., Governor Wayne McDevitt, Secretary A. Preston Howard, Jr., P.E., Director November 9, 2000 ANTHONY ERVIN K & L SCRAP SERVICE INC 2310 GARNER RD RALEIGH, NC 27610 ATiZA NCDENR NORTH CAROLINA DEPARTMENT OF ENVIRONMENT AND NATURAL RESOURCES Subject: NPDES Stormwater Permit Renewal K & L Scrap Service Inc COC Number NCG030335 Wake County Dear Permittee: The general stormwater permit for scrap metal recycling industries, NCG200000, was issued on November 1, 2000. Since there has been a considerable time lag since your permit application was received on July 11, 1995 this letter is being sent to ensure that the contact information that we have is correct. Enclosed with this letter you should find a contact information update form with the information that the Division has on your facility. Please check to see whether or not this information is correct. If any of the information has changed from what our records show, please make the appropriate corrections in the empty blanks to the right of the information and mail the corrected form to us by December 8, 2000. Sign and mail the information form regardless of whether or not any changes need to be made. Upon receipt of your information form you will be mailed a Certificate of Coverage with a new number of the format NCG200***. If you were one of the few facilities that received coverage under the NCG030000 general permit prior to the issuance of this permit your existing NCG030000 permit coverage will be rescinded concurrent with the issuance of your new Certificate of Coverage. Thank you for your continued cooperation in complying with the Federal NPDES stormwater permitting program. If you have any questions regarding this request please contact Ms. Valery Stephens at (919) 733-5083, ext. 520. Sincerely, /J2cLl�/..Ct/ -E'�l�v�+L'� Bradley Bennett, Supervisor Stormwater and General Permits Unit cc: Stormwater.and.GeneralPermits Uni( 1617 Mail Service Center, Raleigh, North Carolina 27699-1617 Telephone 919-733-5083 FAX 919-733-9919 An Equal Opportunity Affirmative Action Employer 50% recycled/ 10% post -consumer paper v�k�. INFORMATION UPDATE FORM • U National Pollutant Discharge Elimination System Stormwater General Permit NCG200000 K & L Scrap Service Inc COC Number NCG200335 NCDENR Wake County NORTH CAROLINA DEPARTMENT OF ENVIRONMENT AND NATURAL RESOURCES PLEASE COMPLETE AND MAIL THIS FORM BACK TO THE DIVISION BYPECEMBER 1, 2000, REGARDLESS OF WHETHER OR NOT ANY`CHANGES NEED TOIBE MADE. PERMIT CONTACT INFORMATION I I �, • -, �� The following is the information currently in our databaselfor your facility. Please review this information carefully and make all corrections as necessary in the space provided to the right of the current information. Facility Name: K&LScrap'Servicelne Owner Name: K & L Scrap Service Inc Kr�1 �Q,c�'� ✓%1C.I,a 15 / Q R6fE'ib/25 Mailing Address*: 2310 GARNER RD RALEIGH, NC 27610 Location Address: P.O. BOX 2067 �, ��_�✓�� 3 % RALEIGH, NC 27610 I H ,e , A)e— 5?7611-703 Jam) Facility Contact: ANTHONY ERVIN Phone Number: (919) 828-5426 Fax Number: No number on file E-mail address: No address on file )QRl_Y17�7/iL�o.� /�i�//SDu*%l , AJtf Is this facility located in the 100 year flood plain? yes_ no * This is the address to which all permit correspondence will be mailed CERTIFICATION I certify that I am familiar with the information contained in the application and that to the best of my knowledge and belief such information is tffi ,'complete and accurate. - Signature _14- Date q 1 1. Print or type name of person signing above Title Please return this completed renewal form to: Ms. Valery Stephens Division of Water Quality/ WQ Section Stormwater and General Permits Unit 1617 Mail Service Center Raleigh, North Carolina 27699-1617