HomeMy WebLinkAboutWQ0016966_Annual Report Review - NOV-2020PC0231_20200504DocuSign Envelope ID: 878449A0-06FD-49FD-9DB5-CB3104B7A5DB
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Governor
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MICHAEL S. REGAN
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Secretary
S. DANIEL SMITH
NORTH CAROLINA
Director
Environmental Quality
May 4, 2020
Mr. Kenneth W. Gamble, Town Manager
Town of Denton
P.O. Box 306
Denton, NC 27329
Subject: Notice of Violation (NOV-2020-PC-0231)
Review of the 2019 Annual Report
Town of Denton, Residuals Land Application Program
Permit No. WQ0016966
Davidson County
Dear Mr. Gamble:
Division of Water Resources (Division) staff person Patrick Mitchell has completed a review of the
2019 annual report. Review of the annual report reflects non-compliance with the subject permit.
The following violations noted during this review requires your attention and action:
1. Permit Condition II. 6. and II. 7. requires that Class B Residuals shall demonstrate
compliance with NCAC 02T .1106 Class B pathogen reduction requirements and NCAC 02T
.1107 vector attraction reduction requirements. Permit Condition IV. 8. requires that those
results shall be submitted to the Division in annual reports.
The Annual Pathogen and Vector Attraction Reduction form (PVRF) included in the 2019
annual report indicated that Alternative No. 2 (Lime Stabilization) was utilized for pathogen
reduction and that Option No. 6 (Alkaline Stabilization) was utilized for vector attraction
reduction. However, there was no data submitted in the subject annual report to demonstrate
compliance with either of these methods for any of the reported land application events that
occurred in 2019. This constitutes multiple violations of Permit No. WQ0016966. If present,
please submit the data for pathogen and vector attraction reduction for all of 2019.
2. Permit Condition II. 4. requires that only land application site fields as approved in the
Permit's Attachment B may be utilized for land application of residuals. The subject permit
also requires that residuals field loading data shall be tracked and accurately reported to
demonstrate compliance with regulatory limits established in Permit Condition II. 5. (i.e.
Cumulative Pollutant Loading Rates for regulated Metals), and Permit Condition II. 10.
(Agronomic Loading Limits for Plant Available Nitrogen).
The Annual Metals Field Loading Summary forms (MFLS) and Annual Land Application
Field Summary forms (FSF) submitted in the 2019 annual report for Land Application Site
ID's 02-04 and 02-05 all reported acreages utilized that are greater than those approved in
the Permit's Attachment B. Reporting forms indicated 16.6 acres was utilized for Site No.
01
North Carolina Department of Environmental Quality I Division of Water Resources
Winston-Salem Regional Office 1 450 West Hanes Mill Road, Suite 3001 Winston-Salem, North Carolina 27105
336.776.9800
DocuSign Envelope ID: 878449A0-06FD-49FD-9DB5-CB3104B7A5DB
02-04, and 10.6 acres was utilized for Site No. 02-05. However, Site No. 02-04 is only
approved for 11.87 acres and Site 02-05 is only approved for 8.77 acres in the Permit
Attachment B.
Utilizing more area than what is approved for these two sites in the permit constitutes
multiple violations of Permit No. WQ0016966. Inaccurately reporting field loading of Metals
and Plant Available Nitrogen by using unapproved increased acreage also constitutes
multiple violations of Permit No. WQ0016966. Please provide an explanation for why
more area was reported for land application on these sites than the area approved in
the Permit Attachment B. Please provide revised MFLS and FSF forms for these two
sites using the corrected acreage for each if those acreages reported were not correct.
In addition to the violations described above, the item of concern listed below should also be noted
from this review.
As you are aware, the subject permit was recently renewed. Permit Condition IV. 2. requires
that residuals from each source generating facility shall be analyzed to demonstrate they are
non -hazardous (TCLP analysis) at the frequency specified in Permit Attachment A. The
previous version of this permit dated March 19, 2015, specified a minimum required
frequency of once per permit cycle in Permit Attachment A for TCLP analysis of the WWTP
and the WTP.
Please be aware that the current version of your permit list a minimum required frequency of
once per year for TCLP analysis of the WWTP and the WTP. If you desire to reduce the
frequency of each residuals source facility to once per permit cycle, please submit a
request to the Division asking for reduced TCLP testing frequency.
Our office appreciates your prompt attention and action to the above listed violations and item of
concern. Please provide the information requested above in items #1 and #2 to me within 60 days
following receipt of this letter. If you wish to present additional information related to those items,
or if you believe there are other factors which should be considered, please include such information
in writing within sixty (60) days following receipt of this letter. Please be advised that enforcement
actions may be taken should these violations persist.
If you have any questions regarding this Notice, please contact Patrick Mitchell or me at the
letterhead address or phone number, or by email at patrick.mitchellkncdenr.gov or
Ion. snidergncdenr. gov.
Sincerely,
Docu&gned by
tP 9 Mjtjd t, Assistant Regional Supervisor
Water Quality Regional Operations Section
Division of Water Resources, NCDEQ — WSRO
cc: Mr. Troy Branch, ORC — Town of Denton (Electronic copy: tbranch(c-triad.rr.com)
Mr. Zach Key, ORC — Southern Soil Builders (Electronic copy: zkey(a-southernsoilbuilders.com)
Davidson County Environmental Health (Electronic copy)
Laserfiche File WQ0016966, WSRO Electronic Files
Page 2 of 2
Compliance Inspection Report
Permit: WQ0016966 Effective: 04/14/20 Expiration: 09/30/26 Owner : Town of Denton
SOC: Effective: Expiration: Facility: Town of Denton RLAP
County: Davidson 300 Council Access Rd
Region: Winston-Salem
Denton NC 27239
Contact Person: Zach D Key Title: Phone: 336-957-7871
Directions to Facility:
System Classifications: LA,
Primary ORC: Troy B Branch
Secondary ORC(s):
On -Site Representative(s):
Related Permits:
NC0026689 Town of Denton - Denton WWTP
NC0082949 Town of Denton - Denton WTP
Inspection Date: 05/01/2020 Entry Time 08:OOAM
Primary Inspector: Patrick Mitchell
Secondary Inspector(s):
Certification: 22733 Phone: 336-859-4460
Exit Time: 10:30AM
Phone: 336-776-9698
Caitlin Caudle
Reason for Inspection: Routine Inspection Type: Annual Report Review
Permit Inspection Type: Land Application of Residual Solids (503)
Facility Status: ❑ Compliant Not Compliant
Question Areas:
Miscellaneous Questions Record Keeping Treatment
Land Application Site Pathogen and Vector Attraction
(See attachment summary)
Page 1 of 5
Permit: WQ0016966 Owner - Facility: Town of Denton
Inspection Date: 05/01/2020 Inspection Type: Annual Report Review Reason for Visit: Routine
Inspection Summary:
On May 1, 2020, WSRO staff conducted a review of the 2019 annual report. No site visit was made during this review. The
subject annual report was found to be non -compliant with Permit No. WQ0016966. The violations listed below were noted
during this review.
1. There were no pathogen or vector attraction reduction records provided in the 2019 annual report. The annual pathogen &
vector certification form included in the subject report indicated that lime stabilization was used for all land application events
in 2019. However, no pH, time, and temperature logs were provided for these events to demonstrate compliance. Requested
that these missing records be submitted if present.
2. Incorrect acreages, greater than those permitted, were reported on the MFLS and FSF forms submitted in the 2019
annual report. The forms indicated that 02-04 utilized 16.6 acres and 002-05 utilized 10.6 acres. However, 02-04 and 02-05
are only permitted for 11.87 acres and 8.77 acres, respectively. Requested an explanation for why these increased acreages
were reported for land application and that revised forms be submitted if applicable.
In addition to the two violations listed above, the following concern was provided:
• The permit was recently renewed in April 2020. The new frequency for TCLP is once per year. Previously the frequency
was once per permit cycle. Reminded Permittee of the new frequency and informed them that if they want this to return to
once per permit cycle to please submit a written request for this reduction.
Page 2 of 5
Permit: WQ0016966 Owner - Facility: Town of Denton
Inspection Date: 05/01/2020 Inspection Type: Annual Report Review
Reason for Visit: Routine
Type
Yes No NA NE
Distribution and Marketing
❑
Land Application
Record Keeping
Yes No NA NE
Is GW monitoring being conducted, if required?
❑
0 ❑ ❑
Are GW samples from all MWs sampled for all required parameters?
❑
❑ 0 ❑
Are there any GW quality violations?
❑
❑ 0 ❑
Is GW-59A certification form completed for facility?
❑
❑ 0 ❑
Is a copy of current permit on -site?
❑
❑ 0 ❑
Are current metals and nutrient analysis available?
0
❑ ❑ ❑
Are nutrient and metal loading calculating most limiting parameters?
❑
0 ❑ ❑
a. TCLP analysis?
❑
0 ❑ ❑
b. SSFA (Standard Soil Fertility Analysis)?
0
❑ ❑ ❑
Are PAN balances being maintained?
0
❑ ❑ ❑
Are PAN balances within permit limits?
0
❑ ❑ ❑
Has land application equipment been calibrated?
❑
❑ ❑
Are there pH records for alkaline stabilization?
❑
0 ❑ ❑
Are there pH records for the land application site?
0
❑ ❑ ❑
Are nutrient/crop removal practices in place?
0
❑ ❑ ❑
Do lab sheets support data reported on Residual Analysis Summary?
0
❑ ❑ ❑
Are hauling records available?
0
❑ ❑ ❑
Are hauling records maintained and up-to-date?
0
❑ ❑ ❑
# Has permittee been free of public complaints in last 12 months?
0
❑ ❑ ❑
Has application occurred during Seasonal Restriction window?
❑
❑ 0 ❑
Comment: See summa
Pathogen and Vector Attraction
Yes No NA NE
a. Fecal coliform SM 9221 E (Class A or B)
❑
❑ 0 ❑
Class A, all test must be <1000 MPN/dry gram
❑
Geometric mean of 7 samples per monitoring period for class B<2.0*10E6 CFU/dry gram
❑
Fecal coliform SM 9222 D (Class B only)
❑
❑ ❑
Geometric mean of 7 samples per monitoring period for class B<2.0*10E6 CFU/dry gram
❑
b. pH records for alkaline stabilization (Class A)
❑
❑ ❑
c. pH records for alkaline stabilization (Class B)
❑
0 ❑ ❑
Temperature corrected
❑
d. Salmonella (Class A, all test must be < 3MPN/4 gram day)
❑
❑ ❑
Page 3 of 5
Permit: WQ0016966 Owner - Facility: Town of Denton
Inspection Date: 05/01/2020 Inspection Type: Annual Report Review Reason for Visit: Routine
e. Time/Temp on: ❑ ❑ 0 ❑
Digester (MCRT) ❑
Compost ❑
Class A lime stabilization ❑
f. Volatile Solids Calculations ❑ ❑ 0 ❑
g. Bench -top Aerobic/Anaerobic digestion results ❑ ❑ 0 ❑
Comment: See summary.
Treatment
Yes No NA NE
Check all that apply
Aerobic Digestion
Anaerobic Digestion
❑
Alkaline Pasteurization (Class A)
❑
Alkaline Stabilization (Class B)
❑
Compost
❑
Drying Beds
❑
Other
❑
Comment:
Land Application Site
Yes No NA NE
Is a copy of the permit on -site during application events?
❑
❑ ❑
Is the application site in overall good condition?
❑
❑ ❑
Is the site free of runoff/ponding?
❑
❑ ❑
If present, is the application equipment in good operating condition?
❑
❑ ❑
Are buffers being maintained?
❑
❑ ❑
Are limiting slopes buffered?
10% for surface application
❑
❑ ❑
18% for subsurface application
❑
❑ ❑
Are there access restrictions and/or signs?
❑
❑ ❑
Is the application site free of odors or vectors?
❑
❑ ❑
Have performance requirements for application method been met?
For injection?
❑
❑ ❑
For incorporation?
❑
❑ 0 ❑
Does permit require monitoring wells?
❑
❑ ❑
Have required MWs been installed?
❑
❑ ❑
Are MWs properly located w/ respect to RB and CB?
❑
❑ ❑
Are MWs properly constructed (including screened interval)?
❑
❑ ❑
Is the surrounding area served by public water?
❑
❑ ❑
Page 4 of 5
Permit: WQ0016966 Owner - Facility: Town of Denton
Inspection Date: 05/01/2020 Inspection Type: Annual Report Review
If Annual Report indicates overapplication of PAN, are wells nearby that may be impacted?
Are soil types consistent w/ Soil Scientist report/evaluation?
Is the water table greater than 173' bls.
Is application occurring at the time of the inspection?
Comment: See summary.
Reason for Visit: Routine
Page 5 of 5