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HomeMy WebLinkAboutWQ0000020_Corrective Action Plan_20200306 (3)DUKE ENERGY March 6, 2020 Mr. Brett Laverty North Carolina Department of Environmental Quality Asheville Regional Office 2090 US 70 Highway Swannanoa, NC 28778 410 S. Wilmington Street Raleigh, NC 27601 Mailing Address Mail Code NC 15 Raleigh, NC 27601 919-546-7863 Subject: Response to North Carolina Department of Environmental Quality Site Assessment Review letter dated August 12, 2019 — Asheville Airport Area 1 Structural Fill Dear Mr. Laverty: Duke Energy is in receipt of the above -referenced letter from the North Carolina Department of Environmental Quality (NCDEQ), which requested that a permanent cap system be developed to "abate the infiltration of groundwater and/or precipitation into Area 1" and "to abate or control the.... seepage water." Duke Energy partnered with Geosyntec Consultants of NC, P.C. (Geosyntec) to prepare the enclosed Design Report - Permanent Cap System for Area 1 structural fill (Area 1). The proposed permanent cap system will: Abate or control seepage from Area 1 through the installation of a permanent cap system to reduce and abate infiltration from precipitation into the CCR, which will lower the interstitial water elevation over time; • Achieve long-term slop stability factors of safety equal to or above 1.5; and • Improve and actively manage stormwater runoff volume from Area 1. Upon NCDEQ concurrence with this proposed cap system, Duke Energy will work with the Greater Asheville Regional Airport Authority to obtain required access to the property and install the permanent cap system. Note that the Greater Asheville Regional Airport Authority has conveyed that they are not in agreement with the cap design through a February 24, 2020 letter to Duke Energy; that letter and Duke Energy's response are also attached. If you have any questions or need any clarification regarding the information provided, feel free to contact me at iohn.toepfer@duke-enersy.com or at 919-546-7863 at your convenience. Res ullyRPE.i' ted, J n Toepfe Lead Engineer, Duke Energy EHS CCP Waste & Groundwater Programs cc: Ms. Jessica Bednarcik —Duke Energy Mr. Michael Reisman — Greater Asheville Regional Airport Authority Mr. James McNash — Geosyntec March 6, 2020 Mr. Laverty Letter enc: Design Report Permanent Cap System, Asheville Regional Airport — Area 1 Structural Fill, Rev. 0, Geosyntec Consultants of NC, P.C., March 2020 Greater Asheville Regional Airport Authority letter, February 24, 2020 Duke Energy response to Greater Asheville Regional Airport Authority, March 5, 2020 sh 00� �)r R E G I Oeville NAL AIRPORT Take the easy way out. February 24th, 2020 Duke Energy Mr. William M. Harrison, P.E. CCP Engineering — Mgr Programmatic Engineering 400 S. Tryon Street Charlotte, NC 28202 RE: Response to Duke Energy Letter Dated February 15th, 2020 Dear Mr. Harrison: We are in receipt of your letter noted above which was in response to the Greater Asheville Regional Airport Authority's (GARAA's) comments on the most current proposed plans for Area 1. The following information and details are provided in response to your letter. It is important to reiterate that the intent of the airport in permitting CCB material to be placed in any location on the airport, including Area 1, was specifically to improve those areas in order to permit new aeronautical and non -aeronautical development. Without the creation of land for future development, there was no purpose in the airport accepting the placement of this material on its property. 2. The initial project which took place during the 2006-2009 timeframe transformed approximately 14 acres of land for development. As a result of more recent issues of course with the stability of the Area 1 slope, the NCDEQ has mandated permanent improvements to this area. 3. Duke Energy presented its preliminary plans to GARAA on November 1st, 2018, through a meeting between Duke Energy and Airport staff. At that time, the stated intent was for Duke Energy to strip a certain amount of topsoil from Area 1, install a cap liner system, and then replace the top soil. GARAA staff were generally in agreement with this plan, as it maintained the airports ability to develop this acreage in the future without significant additional site improvements, based on our understanding that the finished grade would be generally level, while accounting for proper surface runoff. 4. There was no further communication from Duke Energy on this matter until October 18th, 2019, when Duke Energy met with airport staff. No new information was provided concerning design at this meeting, but rather it was an opportunity for new personnel involved with the project for Duke Energy to meet 61 Terminal Drive, Suite 1 • Fletcher, NC 28732 • 828-684-2226 • flyavl.com Mr. William M. Harrison, P.E. February 24th, 2020 Page 2 airport staff and discuss the project in general. 5. Duke Energy transmitted proposed 90 percent complete plans to airport staff on January 19th, 2020, in preparation for a meeting on January 23rd, 2020. At this time Duke requested a short turn around time for airport review which was not feasible given airport priorities. The plans provided at this time to the airport were somewhat consistent with the preliminary plan discussed in November 2018, but this was the first that airport staff became aware of Duke Energy's alternative plan for how it intended to accommodate surface runoff. It was noted by Geonsyntec in this meeting that the proposed 90 percent plans were designed to abate and control seepage at the northern Area 1 slope. No consideration for the ability of the airport to develop the site was indicated, presented, or identified in the discussion, or in the plans. Comments with questions and concerns from the airport were transmitted to Duke Energy on February 11th, 2020. Subsequently, Duke Energy responded with its February 15th letter. 6. The response to the airport's comments on the 90 percent plans in Duke Energy's February 15th, 2020 letter somewhat minimized the airports concerns over most of the issues raised. Of significant importance however, is the design for the trapezoidal/herringbone ditches, and how that design, along with the overall surface elevations, leaves the airport with property that is incapable of being developed as planned, without significant additional site work by the airport, or a developer in the future. 7. Duke Energy's February 151h letter identifies that only 2 feet of soil cap would be provided at the centerline of the herringbone ditches, increasing to six feet at the high points. However, six feet of equal cover would be required over the entire site for future development to occur. It further seems to indicate that at the time such modifications take place, such changes would need to be designed by a registered engineer with knowledge of geomembrane liner requirements. This statement is interpreted to indicate that Duke Energy would not participate in the cost of this design modification or the site improvements needed, but that it would be the responsibility of the airport and/or the developer. 8. Duke Energy's February 15th, 2020 letter also responded to the airports query about addressing the removal of existing water trapped above the bottom liner. The response to this query was inadequate, as it only commented on the reduction of future infiltration but did not address the existing situation which would still be present. Mr. William M. Harrison, P.E. February 24t", 2020 Page 3 It is understood that Duke Energy is required to submit its final design to NCDEQ no later than March 2nd, 2020. While it took Duke Energy approximately 14 months to submit plans for review to the airport, it was not reasonable to expect the extremely short turn around requested, with so little time left before the submittal deadline. The current submittal would leave the airport with the requirement to make significant investment on its own to be able to accommodate any future development, which is unacceptable and inconsistent with Duke Energy's contractual obligations. The GARAA therefore objects to the design submitted by Duke Energy and requests a re -design of the corrections needed to the site that satisfactorily meet the needs and requirements of all agencies involved. Sincerely, Michael A. Reisman, A.A.E. Deputy Executive Director Cc: Jessica Bednarcik Grady Shields Landon Davidson If' DUKE 14"ENERGY, Mr. Lew S. Bleiweis Executive Director Asheville Regional Airport 61 Terminal Drive, Suite 1 Fletcher, NC 28732 Dear Mr. Bleiweis: Jessica L. Bednarcik, Vice President 400 south Tryon street, S►06K Chadotte, NC 28202 7041382.8768 March 5, 2020 We have received Mr. Reisman's letter dated February 24, 2020, stating the Greater Asheville Regional Airport Authority (GARAA) objects to the 90% proposed design for capping the Area 1 structural fill. This plan was submitted to meet the requirement for a remedial strategy that abates the infiltration of stormwater and/or precipitation into the Area 1 CCP fill as required by NCDEQ DWR in its letter dated August 12, 2019 (Corrective Action #1). We acknowledge the GARAA's concerns regarding possible impacts of the design's method for handling stormwater and final grading on potential future development of the area, but Duke Energy simply cannot develop a design that anticipates an unknown future state. Should GARAA decide to develop the area, some degree of stormwater planning and final grading design revisions will be required by any engineering firm GARAA would choose, but with no immediate plan for site development, we believe further review and modification would jeopardize the commitment Duke Energy made to provide this strategy to DWR in March 2020. To be clear, although Duke Energy has taken all reasonable steps to accommodate GARAA as a courtesy, Duke Energy's primary consideration is to address the issues DWR raised in NOV-2018-DV-0101—a notice of violation on which GARAA is also named — and subsequent correspondence. Additionally, GARAA is concerned that these plans as currently proposed could require additional investment by GARAA to accommodate future development, implying that Duke Energy in some way is contractually obligated for all or some of these costs, specifically future design and permitting. The only agreement between Duke Energy and GARAA is the Access Agreement, under which Duke Energy's limited obligations, except for those related to certain groundwater -related functions, cease with expiration of the structural permit on August 31, 2020. As Duke Energy has previously explained, Duke Energy (1) does not own the property on which GARAA's structural fill is located; (ii) does not own the coal combustion products used to construct the fill (ownership of Page 2of2 March 2, 2020 the coal combustion products transferred to Charah at such time they were loaded by Charah or its contractor onto its trucks); (iii) did not design or build the fill; and (iv) does not operate the fill. In light of the foregoing, with the exception of the limited offer in the following paragraph, Duke Energy will not play any part in the planning, design, or implementation of projects concerning future development of GARAA's structural fill, including Area 1—functions that are purely within the purview of GARAA, the sole sponsor, owner, and independent governing body of the Asheville Regional Airport. To meet the commitments made to DWR for the remedial strategy, Duke Energy will be submitting the plans for Area 1 to DWR, noting GARAA's objection as proposed. Duke Energy believes this is the most prudent course of action to timely satisfy DWR's concerns over fill stability and impacts to surface waters. The 90% design plans reviewed with GARAA on January 23, 2020 were not available earlier due to requests for additional information from DWR that were communicated to Duke Energy and GARAA in DWR's letter to Duke Energy and GARAA dated August 12, 2019. These additional requests required further evaluation by Duke Energy's engineering contractor to satisfy additional DWR concerns identified and incorporated into the design as needed. These considerations were discussed with GARAA during a meeting with GARAA on October 18, 2019. Other than the conceptual diagram for potential expansion of Area 1, including the extension of Wright Brothers Way, Duke Energy did not receive any specific design information from GARAA regarding how the impact of future development needs could be incorporated. Should DWR require revisions to the plan, Duke Energy will make reasonable efforts to consider GARAA's reasonable future development needs, provided GARAA makes those needs known to Duke Energy in a timely fashion. It is our hope to come to an acceptable design with DWR, and obtain GARAA's concurrence to implement prior to the Area 1 permit expiring in August. In closing, we call your attention to the Access Agreement's Right of Access provision, which commits GARAA to provide Duke Energy "with timely access to those areas within the airport necessary for ... [Duke Energy] to fulfill its monitoring, inspection and any other obligations under the Structural Fill Permit..." Cc: Michael Reisman, Greater Asheville Regional Airport Authority Michael Kafka, Duke Energy Landon Davidson, NCDEQ Prepared for ('DUKE ENERGY PROGRESS Duke Energy Progress, LLC 400 South Tryon Street Charlotte, North Carolina 28202 DESIGN REPORT PERMANENT CAP SYSTEM Revision 0 Asheville Regional Airport — Area 1 Structural Fill Fletcher, North Carolina Prepared by Geosynte& consultants Geosyntec Consultants of NC, Y.C. Geosyntec Consultants of NC, PC 1300 South Mint Street, Suite 300 Charlotte, North Carolina 28203 License No. C-3500 N Cq///'i/ Project No. GC6463 yO�oF E s s/o 2 % March 2020 a SEAL — 044112 — 'GMEE- James D. McNash, P.E. S�D M� Car na Registration No. 044112 Date: 6 March 2020 ARA – Area 1 Structural Fill Design Report – Permanent Cap System, Rev. 0 GC6463/ARA_Permanent_Cap_Design_Report i March 2020 LIST OF ACRONYMS AND ABBREVIATIONS Acronym/Abbreviation Definition ARA Asheville Regional Airport Area 1 Area 1 Structural Fill CCP Coal Combustion Products Charah Charah, Inc. Duke Energy Duke Energy Progress, LLC. DWR Division of Water Resources FAA Federal Aviation Administration FS Factor of Safety ft Foot/Feet fps feet per second GCL Geosynthetic Clay Liner Geosyntec Geosyntec Consultants of North Carolina, PC gpd Gallons per day H:V horizontal to vertical HELP Hydrologic Evaluation of Landfill Performance hr Hour in. Inches LLDPE linear-low density polyethylene MDC Minimum Design Criteria ARA – Area 1 Structural Fill Design Report – Permanent Cap System, Rev. 0 GC6463/ARA_Permanent_Cap_Design_Report ii March 2020 Acronym/Abbreviation Definition NC North Carolina NCAC North Carolina Administrative Code NCDEQ North Carolina Department of Environmental Quality NOV Notice of Violation RCP Reinforced Concrete Pipe Report Design Report – Permanent Cap System SCM Stormwater Control Measures SHWT Seasonal High Water Table SCS Soil Conservation Service USACE United States Army Corps of Engineers yr Year ARA – Area 1 Structural Fill Design Report – Permanent Cap System, Rev. 0 GC6463/ARA_Permanent_Cap_Design_Report i March 2020 TABLE OF CONTENTS 1. Introduction ..........................................................................................................................1  1.1 Site Background ..........................................................................................................1  1.2 Project Background.....................................................................................................2  1.3 Report Purpose and Organization ...............................................................................3  2. Permanent Cap System ........................................................................................................4  2.1 Overview .....................................................................................................................4  2.1.1 Permanent Cap System Layers ......................................................................4  2.1.2 Internal Drainage ...........................................................................................5  2.1.3 Surface Water Management System Design .................................................6  3. Auxiliary Civil Design Features ..........................................................................................7  3.1 Erosion and Sediment Control ....................................................................................7  3.2 Surface Water Ponds ...................................................................................................7  3.3 Wildlife Barrier Fence ................................................................................................7  4. Design Criteria And Assumptions .......................................................................................9  4.1 Permanent Cap Design Infiltration .............................................................................9  4.2 Permanent Cap System Internal Drainage Layer ........................................................9  4.3 Slope Stability .............................................................................................................9  4.4 Settlement .................................................................................................................10  4.5 Stormwater Management Design and Surface Water Ponds ....................................10  4.5.1 Open Channel Conveyances ........................................................................10  4.5.2 Channel Lining Material ..............................................................................11  4.5.3 Outlet Protection ..........................................................................................11  4.5.4 Dry Ponds and Sediment Basins ..................................................................11  4.6 General Design Assumptions....................................................................................13  5. Design Calculations ...........................................................................................................15  5.1 Infiltration Analysis ..................................................................................................15  5.2 Slope Stability Analysis ............................................................................................15  5.3 Stormwater Design Calculations ..............................................................................16  ARA – Area 1 Structural Fill Design Report – Permanent Cap System, Rev. 0 GC6463/ARA_Permanent_Cap_Design_Report ii March 2020 6. Design Documents .............................................................................................................17  6.1 Design Drawings.......................................................................................................17  6.2 Technical Specifications ...........................................................................................17  6.3 Construction Quality Assurance Plan .......................................................................17  7. Conclusions and Limitations..............................................................................................18  7.1 Conclusions ...............................................................................................................18  7.2 Limitations ................................................................................................................18  8. References ..........................................................................................................................19  LIST OF FIGURES Figure 1. Site Location Map Figure 2. Surface Water Sampling Locations LIST OF APPENDICES Appendix A Permanent Cap System Infiltration Analysis Appendix B Permanent Cap System Slope Stability Analysis Appendix C Surface Water Management System Calculation Package Appendix D Design Drawings Appendix E Technical Specifications Appendix F Construction Quality Assurance Plan ARA – Area 1 Structural Fill Design Report – Permanent Cap System, Rev. 0 GC6463/ARA_Permanent_Cap_Design_Report 1 March 2020 1. INTRODUCTION 1.1 Site Background The Area 1 Structural Fill (Area 1) is situated near the northeastern Asheville Regional Airport (ARA) property boundary (Figure 1) and was constructed pursuant to a contract between Charah, Inc. (Charah) and the property owner, ARA Authority, to expand airport operations. Area 1 is owned, operated, and maintained by the ARA Authority. The Area 1 footprint formerly consisted of a topographic valley prior to construction and contained a historical stream channel that flowed northward from the property. The historical stream channel traverses a residential area situated on the northern property boundary adjacent to Area 1 before discharge into the French Broad River. Area 1 was constructed by filling the topographic valley with compacted coal combustion products (CCP) purchased from Duke Energy Progress’s (Duke Energy) Asheville Steam Electric Plant by Charah. The historical stream channel was re-routed upgradient of Area 1 within a 54-inch (in.) diameter reinforced concrete pipe (RCP) and a concrete junction box was installed to transition from the 54-in. to a 60-in. diameter RCP bedded with drainage aggregate beneath the Area 1 footprint. The historical stream channel branch west of the 60-in. diameter RCP was also filled with drainage aggregate and covered. The 60-in. diameter RCP flows into a concrete junction box with a 15-in. diameter RCP with headwall which discharges a base flow to the northwest and a 60- in. diameter RCP with headwall that discharges to the north. Construction photographs indicate that the 15-in. diameter RCP outlet pipe was installed with a lower invert elevation than the 60-in. diameter RCP. Soil backfill was placed from the RCP spring line to 2 feet (ft) above the top of pipe. As-built drawings prepared by Vaughan Engineering [2010] on behalf of Charah indicate that Area 1 was constructed with a geosynthetic clay liner (GCL) base liner and a soil cap system. Soil backfill was compacted on the GCL above and within 50 ft of the 60-in. diameter RCP. The 60- in. diameter RCP divides Area 1 into western and eastern components (termed “west cell” and “east cell” herein); thus, the Area 1 north slope is divided into east and west cells as bisected by the approximately 100-ft wide compacted soil corridor (referred to herein as the “RCP Soil Corridor”). CCP were beneficially used as structural fill within the remainder of Area 1. The soil cap system was constructed with approximately 6-ft and 2-ft thick soil layers on the top deck and side slopes, respectively. Access to the base of the structural fill slope is achieved via a gravel access road situated outside a security fence maintained by the ARA Authority. Duke Energy provides routine inspections and water quality monitoring as required by the North Carolina Department of Environmental Quality (NCDEQ) Division of Water Resources (DWR) Permit No. (WQ0000020) (Permit).The ARA Authority provides routine maintenance for the Area 1 soil cap. Surface water quality monitoring occurs at surface water monitoring locations SW2- A1, SW3-A1, SW4B-A1, SW6-A1, and SW8-A1 quarterly. Surface water sampling locations ARA – Area 1 Structural Fill Design Report – Permanent Cap System, Rev. 0 GC6463/ARA_Permanent_Cap_Design_Report 2 March 2020 SW2-A1 and SW4B-A1 are located within the junction box upgradient of the 60-in. diameter RCP and downstream of the 15-in. diameter RCP; while, SW9-A1 is located at the end of the 15-in. diameter RCP headwall. Surface water sampling location SW3-A1 is located at the concrete headwall immediately before the existing stream channel exists the ARA property boundary. Meanwhile, surface water sampling locations SW6-A1 and SW8-A1 are located downstream of the former sediment basin northeast of the east cell and at a seep located at the northwest corner of the east fill respectively. Current and historical surface water sampling locations are shown on Figure 2. Duke Energy installed two temporary stormwater diversion channels with down drains to re-direct surface water runoff away from the northern slope of the Area 1 east cell in response to NCDEQ- mandated corrective action measures in 2018. The ARA Authority acknowledged responsibility for the corrective actions measures associated with the 60-in. diameter RCP and developed a repair plan for the RCP after a third party evaluation of the RCP’s structural condition. Sealing of the cracks observed within the RCP was completed by the ARA Authority in December 2019. In addition, the ARA Authority excavated sediment and vegetation from the former sediment pond northwest of Area 1, created a series of riprap lined diversion channels, and the west cell slope toe was subsequently surfaced with riprap. As-built surveys and documents were not available at the time of this Report. 1.2 Project Background Duke Energy identified wet areas and a small slough1 in the soil cap with an isolated seep that contained negligible amounts of CCP at the base of the east cell of the Area 1 north slope during inspection activities at ARA on 7 September 2017. Duke Energy promptly notified Mr. Brett Laverty, P.G. with the NCDEQ DWR) on 7 September 2017, as required by the Permit. Regulatory inspections of the Area 1 north slope were conducted on 7 and 15 September 2017. NCDEQ subsequently issued short-term requirements with submittals at 7-day, 30-day, and 90- day intervals to Duke Energy via email correspondence on 15 September 2017. The short-term requirements were formalized within a Notice of Violation (NOV), NOV-2017-PC-0616, dated 17 November 2017. Subsequently, Duke Energy submitted the Engineering Analysis Report [Geosyntec, 2017] to respond to the short-term requirements, which included available slope monitoring data, construction history, interstitial water levels, and slope stability analysis results. NCDEQ DWR provided a response to the Engineering Analysis Report on 30 April 2018, which required several corrective actions that included: a soil cap permeability evaluation, GCL performance assessment, and additional interstitial water elevation measurements. Duke Energy submitted these assessments as attachments to the Conceptual Hydrogeologic Model Report 1 Referred to as a breach by NCDEQ in a 15 September 2017 email to Duke Energy. ARA – Area 1 Structural Fill Design Report – Permanent Cap System, Rev. 0 GC6463/ARA_Permanent_Cap_Design_Report 3 March 2020 [Geosyntec, 2019] that describes the interstitial and groundwater conditions based on available information. Subsequently, NCDEQ responded with Site Assessment Review letter [NCDEQ, 2019], dated 12 August 2019 to Duke Energy. NCDEQ indicated in the Site Assessment Review letter that permanent cap system development shall be designed to “abate the infiltration of groundwater and/or precipitation into Area 1” and “to abate or control the . . . seepage water”. Duke Energy indicated that a permanent cap design for Area 1 would be submitted to NCDEQ for review and comment by March 2020. Geosyntec Consultants of North Carolina, PC (Geosyntec) was retained by Duke Energy to prepare a permanent cap system design for Area 1. As such, this Design Report (Report) provides the design criteria and assumptions, methodology, and engineering calculations that support the Area 1 permanent cap design. 1.3 Report Purpose and Organization This Report was prepared under the responsible charge of Mr. James D. McNash, P.E.(NC) and reviewed by Dr. Victor M. Damasceno, Ph.D., P.E.(NC), both with Geosyntec. Professional engineer certification of this Report is provided on the cover sheet. This Report is organized as follows:  Section 2 – Permanent Cap System describes the general configuration and features of the proposed permanent cap system.  Section 3 – Auxiliary Civil Design Features describes the civil design features that support the construction and performance objectives of the permanent cap system design.  Section 4 – Design Criteria and Assumptions identifies the design criteria, constraints, and assumptions to develop the permanent cap system design.  Section 5 – Design Calculations describes the design calculations to demonstrate that the permanent cap system design will achieve project objectives.  Section 6 – Design Documents introduces the design documents that support material procurement, installation, and certification of the permanent cap system.  Section 7 – Conclusions and Limitations presents the conclusions and limitations of this Report.  Section 8 – References cites the reports, guidance, and other documents referenced within this Report. ARA – Area 1 Structural Fill Design Report – Permanent Cap System, Rev. 0 GC6463/ARA_Permanent_Cap_Design_Report 4 March 2020 2. PERMANENT CAP SYSTEM 2.1 Overview The proposed permanent cap system consists of a composite soil-geomembrane liner system designed to prevent and to minimize surface water infiltration into Area 1, manage surface water, and to limit hydraulic head upon the geomembrane liner. The following subsections describe each design component of the proposed permanent cap system. 2.1.1 Permanent Cap System Layers The permanent cap system layer design was developed separately for the top deck and side slope conditions, respectively. As such, the permanent cap system top deck design consists of the following layers (from top to bottom):  0.5-ft thick vegetative soil layer;  1.5-ft to 5.5-ft thick protective soil layer;  a drainage geocomposite layer (in drainage corridors);  40-mil thick linear-low density polyethylene (LLDPE) geomembrane; and  2-ft thick prepared subgrade layer. Since the existing Area 1 top deck soil cap contains approximately 6-ft of lower permeability soil [Vaughan Engineering, 2010], Geosyntec assumed that 3 to 4 ft of existing soil would be stripped, segregated, and stockpiled for use in the vegetative soil and protective soil layers. Additional soil to achieve the 6-ft thicknesses in areas above the geomembrane liner component would be sourced from offsite. The protective soil layer thickness varies as the top deck grading strategy (Section 2.1.3) limits the protective soil thickness at the top deck perimeter to achieve minimum desired slopes. Geosyntec developed the top deck grading plan under the assumption that future development of Area 1 would require the drainage herringbone areas to be filled to provide a more level surface for pavements and foundations, and a minimum of 6 ft to 7 ft of separation between the ground surface and the geomembrane liner component would be maintained. The minimum separation for future development should be established based on actual development requirements. The permanent cap system on the side slopes was designed with the following layers:  0.5-ft thick vegetative soil layer; ARA – Area 1 Structural Fill Design Report – Permanent Cap System, Rev. 0 GC6463/ARA_Permanent_Cap_Design_Report 5 March 2020  1.5-ft thick protective soil layer;  a drainage geocomposite layer;  40-mil thick LLDPE geomembrane; and  a compacted subgrade that consists of CCP or existing soil cap material. As-built drawings indicate that the soil cap side slopes contain approximately 2-ft of soil cover over CCP. For the proposed permanent cap system, the existing soil cap material will be stripped and stockpiled for use in the vegetative soil and protective soil layers and the geomembrane will be placed in contact with remaining soil or CCP. The proposed drainage geocomposite consists of a drainage geonet with a non-woven geotextile separator heat bonded to each side and was selected to allow infiltrated water to rapidly drain from the side slope geomembrane. The non- woven geotextile provides separation from fine grained materials and additional cushioning between soil layers and the geomembrane. The vegetative soil and protective soil layer thicknesses for each configuration were selected based on their design purpose. The 2-ft thick layer above the geomembrane on the side slopes was selected to protect the geomembrane liner and maintain a minimum level of veneer stability. The permanent cap top deck slopes are relatively shallow; therefore, veneer stability is not considered a likely failure mechanism in that area. The 6-ft thick combined vegetative soil and protective soil layers were selected to provide a minimum separation between the future development activities generally proposed by the ARA Authority. However, the required separation should be established at the time of future development. 2.1.2 Internal Drainage The permanent cap system was designed to shed surface water and to drain water infiltrated within the cap to minimize potential ponding atop the geomembrane liner, which in turn will minimize migration of water into Area 1. As such, the subgrade on which the geomembrane is placed was designed to follow existing grades and promoting northward drainage at one to three percent slopes. However, a geocomposite drainage layer will be placed above the geomembrane liner at the bottom of each herringbone to drain infiltrated water along the herringbone pattern center line to provide a shorter drainage path to the side slopes. The proposed side slopes comprise a drainage geocomposite layer to promote water removal from the geomembrane and limit moisture accumulation within the permanent cap soil layers. The drainage geocomposite layer will daylight into an aggregate toe drain wrapped in geotextile, which is anticipated to permit free drainage from the geocomposite. ARA – Area 1 Structural Fill Design Report – Permanent Cap System, Rev. 0 GC6463/ARA_Permanent_Cap_Design_Report 6 March 2020 2.1.3 Surface Water Management System Design The existing soil cap system is graded such that approximately 66 percent of the area drains towards the north slope at an average slope of two percent; while, approximately 34 percent of the area drains southward towards Wright Brothers Way. Visual observations indicate shallow undulations within the existing topography and the existing wildlife fence mow strip impede runoff and promote infiltration due to the shallow top deck slopes and long maximum drainage paths (~800 ft). The proposed surface water management system design was developed to limit drainage lengths within the permanent cap system footprint and provide steeper drainage slopes compared to existing conditions. As such, the northern portion of the permanent cap system was designed with a ridge and valley (or a herringbone) configuration that limits the drainage lengths along the herringbone centerline to 100-ft where the surface flow is anticipated to transition from sheet flow to channelized flow. When stormwater is routed eastward from Area 1, the stormwater is conveyed down the side slopes and through a perimeter drainage channel into a stormwater pond located immediately northeast of Area 1. When stormwater is routed westward, the stormwater is channelized within a shallow trapezoidal shaped channel designed to convey stormwater while allowing maintenance activities by the ARA Authority. The shallow channel routes stormwater into a stormwater pond located at the northwest corner of the structural fill. Stormwater south of the top deck high point is routed into an existing stormwater channel towards Wright Brothers Way. ARA – Area 1 Structural Fill Design Report – Permanent Cap System, Rev. 0 GC6463/ARA_Permanent_Cap_Design_Report 7 March 2020 3. AUXILIARY CIVIL DESIGN FEATURES 3.1 Erosion and Sediment Control During Area 1 construction, three sediment control basins were formed and utilized to manage sediment during Area 1 construction. One sediment basin is located at each of the north toe of the west fill and the northwest and northeast corners of the east fill. These sediment features are roughly intact and are proposed to be redeveloped, designed, and graded to manage the stormwater runoff and sediment from the proposed permanent cap system. Erosion and sediment control design and feature design will be provided under separate cover. 3.2 Surface Water Ponds The permanent cap system was designed to route stormwater runoff from the northern portion of the west fill through a stormwater basin at the northwest corner of Area 1. An underground stream daylights at the northwest toe of Area 1 and this flow and stormwater eroded the existing perimeter pond dike structure. As such, a rock drain is proposed to convey the base stream flow beneath the pond; while an outlet control structure and perimeter berm is prosed to retain the stormwater runoff prior to release into the existing stream. Modifications to the former sediment basin located at the northwest corner of the east fill are not proposed; however, stormwater from the east fill will be routed into the former sediment basin located at the northeast corner. The basin will be regraded and structure installed to slowly release runoff through a proposed channel towards the northwest pond and out to the existing unnamed tributary. Each pond was designed to be a dry pond and to release stormwater within 48 hours pursuant to Federal Aviation Administration (FAA) regulations as not to attract nuisance wildlife. 3.3 Wildlife Barrier Fence The existing wildlife barrier fence that separates non-aeronautical areas from aeronautical areas at the ARA will be removed and replaced once final grades are established. The purpose of the relocation is to:  construct a near-watertight seal around each fence post;  limit damage to any installed geomembrane during development of the Area 1 by the ARA Authority; and  locate the bottom of the fence posts above the proposed geomembrane liner, whenever possible. ARA – Area 1 Structural Fill Design Report – Permanent Cap System, Rev. 0 GC6463/ARA_Permanent_Cap_Design_Report 8 March 2020 The proposed wildlife barrier fence will be consistent with the existing fence and contain 8-in. diameter wooden posts, approximately 10-ft above grade, and a concrete mow strip. Each fence post will be installed in accordance with the specifications identified by ARA Authority utilized elsewhere at the Site and terminate approximately 36-in. below ground surface. In permanent cap system areas where fence posts extend below the geomembrane liner, a pipe boot will be installed around each fence post footer, welded to the geomembrane liner, and clamped with a neoprene seal to the fence post above ground surface. The concrete mow strip will subsequently be installed in accordance with the drawings and around each pipe boot or post. ARA – Area 1 Structural Fill Design Report – Permanent Cap System, Rev. 0 GC6463/ARA_Permanent_Cap_Design_Report 9 March 2020 4. DESIGN CRITERIA AND ASSUMPTIONS The purpose of this section is to describe the design criteria and assumptions for which the permanent cap system was designed. For instance, applicable design criteria include but are not limited to: (i) reduction of infiltration into the Area 1 structural fill; (ii) global and veneer slope stability; and (iii) minimization of water pressure or head accumulation within the geocomposite drainage layers. 4.1 Permanent Cap Design Infiltration The permanent cap system was designed with a 40-mil LLDPE geomembrane liner, vegetative soil and protective soil layers, and vegetation to minimize infiltration into to the Area 1 structural fill. Thus, the permanent cap system design criterion is to effectively “abate” the infiltration from precipitation into Area 1 CCP. 4.2 Permanent Cap System Internal Drainage Layer The geocomposite drainage layer on the perimeter side slopes and other select locations provides the permanent cap system’s internal drainage layer to convey infiltrated water that is not removed from surface water runoff or evapotranspiration. The geocomposite drainage layer limits the hydraulic head accumulation above the geomembrane liner and provides several benefits:  reduced infiltration through liner defects;  reduced surface maintenance as water pressure is released within protective cover soils that results in less moisture accumulation along the side slope toes and less sloughing; and  addition cushioning between the geomembrane and surficial soils. The geocomposite drainage layer was designed to convey infiltrated water above the geomembrane liner to stormwater features and was positioned at side slopes and within surface water drainage corridors. The geocomposite drainage layer was sized to convey the water infiltrated along the side slopes within the geocomposite material thickness. 4.3 Slope Stability The permanent cap system side slopes were designed to achieve a minimum target factor of safety (FS) equal to 1.5 or greater, which was selected pursuant to the North Carolina Administrative Code (NCAC) – Title 15A Subchapter 2K – Dam Safety rules for slopes under normal, long-term loading conditions. The Title 15A Subchapter 2K criteria are consistent with the recommendations set forth by the United States Army Corps of Engineers (USACE) [2003], which are considered the standard of practice. ARA – Area 1 Structural Fill Design Report – Permanent Cap System, Rev. 0 GC6463/ARA_Permanent_Cap_Design_Report 10 March 2020 4.4 Settlement To construct the proposed permanent cap system, 2 feet (side slopes) to 4 feet (top deck) of the existing soil cap will be removed to place the geomembrane liner. Afterwards, 2 feet (side slopes) to 7 feet (top deck) of combined vegetative and protective cover soils will be installed over the geomembrane which will result in a net increase of up to 3 feet of soil cover over the in-place CCP in select areas. Compacted CCP is relatively incompressible, has been in-place since 2010, and is not expected to settle since minimal, additional soil will be added to Area 1. As such, Geosyntec did not evaluate the settlement of top deck features. 4.5 Stormwater Management Design and Surface Water Ponds The permanent cap system stormwater management design is prepared based on the criteria identified from the following technical documents as well as best engineering practices from industry technical literature:  Buncombe County, NC Code of Ordinances, Division 3 – Stormwater Plan Submittal [Buncombe County, 2019]  Buncombe County, NC. Stormwater Management Plan Review Checklist [Buncombe County, 2013]  Buncombe County, NC. Checklist and Guidelines for the Preparation of Erosion and Sedimentation Control Plans [Buncombe County, 2006]  Federal Aviation Administration (FAA) Airport Drainage Design Advisory Circular [FAA, 2013]  North Carolina Department of Environmental Quality (NCDEQ) Erosion and Sediment Control Planning and Design Manual (Erosion and Sediment Control Manual) [NCDEQ, 2013]  NCDEQ Stormwater Design Manual (NCDEQ Manual) [NCDEQ, 2017] Specific design criteria for each component of the stormwater management system are described below. 4.5.1 Open Channel Conveyances Open channel conveyances shall be designed based on criteria from Section 6.21 (Permanent Diversions) from NCDEQ [2013], which selects channel design criteria based on the area required to be protected. For “major structures, homes, main school buildings, and high capacity roads” which require a high level of protection, permanent diversions shall be designed to convey the 100-year (yr), 24-hour (hr) storm event. Buncombe County design criteria state that calculations for open channel conveyances be presented for the 25-yr storm event, at a minimum [Buncombe County, 2006]. As such, open channels were designed and analyzed for the 100-yr, 24-hr storm ARA – Area 1 Structural Fill Design Report – Permanent Cap System, Rev. 0 GC6463/ARA_Permanent_Cap_Design_Report 11 March 2020 event without overtopping and for the 25-yr, 24-hr storm event with a minimum of 0.5-ft of freeboard. 4.5.2 Channel Lining Material Channels with computed flow velocities less than five feet per second (fps) will be grass-lined and have 3 horizontal to 1 vertical (3H:1V) side-slopes or flatter to aid in the establishment and maintenance of vegetation in accordance with Section 6.30 from NCDEQ [2013]. Channels where computed flow velocities that exceed five fps during the 100-yr, 24-hr storm event, will be lined with an appropriate lining material to resist erosive forces and will be constructed in accordance with best practices and manufacturer recommendations. The appropriate lining material shall be selected based on permissible (or applied) shear stress methodology, where the critical shear stress is to be greater than the permissible shear stress for the 100-yr, 24-hr storm event. 4.5.3 Outlet Protection Outlet protection shall be designed in accordance with criteria from the NCDEQ [2013] and Buncombe County [2006]. NCDEQ requires outlet protection to be designed for the greater of the 10-year storm event or design discharge of the water conveyance structure. Buncombe County requires the design for the 25-year storm event; however, conveyance features were designed to convey the 100-yr, 24-hr storm event; therefore, outlet protection shall be designed for the same rainfall event. 4.5.4 Dry Ponds and Sediment Basins The stormwater ponds located north of the Area 1 permanent cap system will be designed as dry ponds and outfitted as sedimentation basins during construction. NCDEQ [2017] requires stormwater control measures (SCMs) for high density projects “to be designed, constructed, and maintained so that the project achieves either ‘runoff treatment’ or ‘runoff volume match’. Two sediment basins that will be converted into dry ponds (West and East Pond) were selected as the to achieve runoff treatment and meet the design requirements set forth in Stormwater Manual and Erosion Control Manual. The criteria for the design of a dry pond from NCDEQ [2017] are as follows:  Separation from the Seasonal High-Water Table (SHWT) (MDC 1) – “The lowest point of the dry pond shall be a minimum of six (6) inches above the SHWT.”  Temporary Pool Depth (MDC 2) - “The maximum depth of the temporary pool shall be 10 feet.”  Uniform Grading and Positive Drainage (MDC 3) – “The bottom of the dry pond shall be graded uniformly to flow toward the outlet structure without low or high spots other than an optional low flow channel.” ARA – Area 1 Structural Fill Design Report – Permanent Cap System, Rev. 0 GC6463/ARA_Permanent_Cap_Design_Report 12 March 2020  Location of Inlet(s) and Outlet (MDC 4) – “The inlet(s) and outlet shall be located in a manner that avoids short circuiting.” In the event that site conditions prohibit a long, narrow pond, baffles may be used to length the stormwater flow path. The baffles should extend to at least the temporary pool elevation.  Pretreatment (MDC 5) – “Pretreatment devices shall be provided to settle sediment and prevent erosion. Pretreatment devices may include measures such as gravel verges, filter strips, grassed swales, and forebays.”  Drawdown Time (MDC 6) – “The design volume shall draw down between two and five days.”  Protection of the Receiving Stream (MDC 7) – “The dry pond shall discharge the runoff from the one-year, 24-hour storm in a manner that minimizes hydrologic impacts to the receiving channel.”  Outlet (MDC 8) – “The dry pond shall include a small permanent pool near the outlet orifice to reduce clogging and keep floating debris away from the orifice. A screen or other device shall be provided to prevent large debris from entering the outlet system.”  Vegetation (MDC 9) – “The dam structure, including the front and back embankment slopes shall be planted with non-clumping turf grass, and trees and woody shrubs shall not be allowed.” The criteria for the design of a sediment basin from NCDEQ [2013] are as follows:  Primary Spillway – Shall be a Riser or Barrel Pipe.  Maximum Drainage Area – Shall be no more than 100 acres.  Minimum Sediment Storage Volume – Shall be 1,800 cubic feet per acre of disturbed area.  Minimum Surface Area – Shall be 435 square feet per cubic foot per second of the 10-year storm design inflow.  Length to Width Ratio – The length to width ratio shall be no less than 2:1 and no greater than 6:1.  Minimum Depth – The minimum depth shall be no less than 2 feet.  Dewatering Mechanism – A skimmer shall be attached at the bottom of the riser or a flashboard shall be used.  Dewatering Time – The minimum dewatering time shall be no less than 48 hours. The FAA requires that all water retention structures (i.e., ponds) be designed to discharge water generated from storm events within 48 hours [FAA, 2013]. As such, the FAA requirement was selected in lieu of NCDEQ MDC 6, as the dry ponds are to be designed as not to attract nuisance animals. ARA – Area 1 Structural Fill Design Report – Permanent Cap System, Rev. 0 GC6463/ARA_Permanent_Cap_Design_Report 13 March 2020 NCDEQ [2017] also provides additional recommendations such as the use of an emergency spillway to reduce the potential for embankment failure during large storm events. Emergency spillways for the East and West Ponds were designed based on similar criteria for Sediment Basins, for when each pond would function as a temporary sedimentation basin during construction activities. From the NCDEQ [2013], emergency spillways shall be constructed in undisturbed soil (not fill) and contain a trapezoidal cross-section with 3H:1V side slopes or flatter. The control section of the spillway shall be straight and at least 20 ft long; convey the 10-yr, 24-hr storm event (less any reduction due to flow in the principal spillway) and contain at least one foot of freeboard above the design flow depth. Buncombe County [2006] requires conveyance structures to convey the 25-yr, 24-hr storm event. However, the emergency spillway systems were conservatively designed to convey flows for the 100-yr, 24-hr storm event (consistent with other stormwater features) without consideration of the principal spillway and to provide a minimum 0.5 ft of freeboard. 4.6 General Design Assumptions The permanent cap design was prepared based on assumptions developed from available as-built drawings, interstitial and groundwater level measurements, and supplementary data and considerations from NCDEQ and ARA Authority. These criteria and assumptions include:  As-built drawings [Vaughan Engineering, 2010] depict the approximate configuration the existing GCL that underlies the CCP within Area 1. The as-built drawings depict that the GCL is situated beneath the starter dike structures and at perimeter elevations depicted within the drawings.  Available interstitial, groundwater, and GCL as-built elevation information indicates that the GCL separates interstitial water within Area 1 from underlying groundwater [Geosyntec, 2019; Vaughan Engineering, 2010]. As such, the permanent cap system was designed to abate infiltration from precipitation only. The permanent cap system design was prepared assuming the GCL was installed under industry standards and with a construction quality assurance program.  The existing security fence will be removed and replaced during permanent cap system construction. The grades around the replaced fence will be maintained such that runoff is facilitated and impounded water is not retained on the permanent cap system.  The ARA Authority or its contractor will provide additional structural fill to raise areas of the permanent cap system to grades established during future development activities. Stormwater features were not designed to accommodate future development (i.e., pavements and grading) as development plans were not available at the time of this Report. Moreover, the purpose for designing and installing the permanent cap system is to address the issues identified in the NOV discussed in Section 1.2 and to meet the objectives listed ARA – Area 1 Structural Fill Design Report – Permanent Cap System, Rev. 0 GC6463/ARA_Permanent_Cap_Design_Report 14 March 2020 in Section 7.1 of this Report. Any future development activities contemplated by owner and operator of Area 1 must be designed and sealed by a North Carolina-licensed professional engineer.  The existing groundwater upwelling or seep, surface water sampling location SW10-A1, at the northwest corner of Area 1 may be derived from former historical stream channel, and was rerouted beneath the stormwater pond within a rock drain. ARA – Area 1 Structural Fill Design Report – Permanent Cap System, Rev. 0 GC6463/ARA_Permanent_Cap_Design_Report 15 March 2020 5. DESIGN CALCULATIONS 5.1 Infiltration Analysis The Hydrologic Evaluation of Landfill Performance (HELP) model Version 3.07 [Schroeder, et. al., 1994a, 1994b] was used to estimate infiltration into the structural fill. The HELP model is a quasi-two-dimensional water balance computer program used to evaluate the water movement and retention through the waste, cap system, and liner system components. The model, along with site-specific weather data and design information, was utilized to estimate runoff, evapotranspiration, drainage, and infiltration. Geosyntec evaluated the infiltration through side slope and top deck areas for the existing soil cap and proposed permanent cap system. In each case, calculations were performed for a representative 1-acre acre area and infiltration at the CCP boundary was selected and scaled upwards based on the representative area for each case. Appendix A presents the evaluation cases, input parameters, and results of the analysis. For the 22.7-acre structural fill, the computed infiltration into Area 1 CCP was reduced from approximately 22,397.1 gallons per day (gpd) to 13.9 gpd. However, simplifications associated with the HELP model likely underpredict infiltration under current (pre-permanent cap) conditions due to localized undulations and depressions within the current topography and the existing security fence mow strip. The model likely overpredicts infiltration under proposed conditions since channelized flow and the geocomposite drainage strips are not considered. The infiltration analysis for proposed conditions was developed assuming a high-quality installation with construction quality assurance oversight to minimize defects within the installation. The infiltration analysis was also utilized to evaluate the hydraulic head within the geocomposite side slopes for the peak daily infiltration into the drainage layer. Giroud et. al [2004] was applied within Appendix A to demonstrate that the hydraulic head will remain within the geocomposite drainage layer during the peak daily infiltration. 5.2 Slope Stability Analysis Global slope stability analyses were performed using Spencer’s method [Spencer, 1973], as implemented in the computer program SLIDE®, version 6.039 [Rocscience, 2016]. Spencer’s method satisfies vertical and horizontal force and moment equilibrium, and is considered more rigorous than other methods such as the simplified Janbu method [Janbu, 1973] and Bishop’s method [Bishop, 1955]. SLIDE® generates potential circular slip surfaces, calculates the FS for each of these surfaces, and identifies the most critical slip surface with the lowest calculated FS. The veneer slope stability of the permanent cap system was evaluated using the method proposed by Giroud et al. [1995] for geosynthetic-soil layered systems. Appendix B provides the methodology, critical cross sections, and engineering properties for each material layer to perform slope stability analysis, which demonstrates that the calculated FS’s exceed 1.5 for global, veneer, ARA – Area 1 Structural Fill Design Report – Permanent Cap System, Rev. 0 GC6463/ARA_Permanent_Cap_Design_Report 16 March 2020 and base sliding mechanisms for current interstitial water levels and anticipated future water levels within the fill. 5.3 Stormwater Design Calculations The surface water runoff hydrographs, channel capacity, and dry pond routing for each drainage area were calculated using hydrologic and hydraulic procedures presented in the Urban Hydrology for Small Wetlands Technical Release 55 (TR-55) [Soil Conservation Service (SCS), 1986]; NCDEQ Erosion Control Manual [NCDEQ, 2013]; Manning’s kinematic equation; channel shear stresses, and other recognized engineering procedures encoded in HydroCADTM (HydroCAD) software [HydroCAD, 2016]. Appendix C provides the methodology, conveyance feature layout, and design land use conditions selected to design the stormwater conveyance features such that the FAA and local and state requirements are achieved. ARA – Area 1 Structural Fill Design Report – Permanent Cap System, Rev. 0 GC6463/ARA_Permanent_Cap_Design_Report 17 March 2020 6. DESIGN DOCUMENTS 6.1 Design Drawings Design drawings that support the construction of the permanent cap system and auxiliary design features at ARA are provided as Appendix D. The design drawings include subgrade and final grading plans, stormwater pond grading plans, cross sections, and construction details for a construction to complete design objectives. 6.2 Technical Specifications The permanent cap system for Area 1 will be constructed with quality materials and industry proven construction practices. Technical specifications that support quality construction activities for the permanent cap system are provided within Appendix E of this Report. 6.3 Construction Quality Assurance Plan The permanent cap system will be installed with good construction practices and under a stringent CQA program to minimize defects in the installed geomembrane liner. The CQA Plan applicable for the permanent cap system is provided in Appendix F of this Report. ARA – Area 1 Structural Fill Design Report – Permanent Cap System, Rev. 0 GC6463/ARA_Permanent_Cap_Design_Report 18 March 2020 7. CONCLUSIONS AND LIMITATIONS 7.1 Conclusions As demonstrated within this Report, the Area 1 permanent cap system design meets the following objectives:  Abate or control seepage from Area 1 through the installation of a permanent cap system to reduce and abate infiltration from precipitation into the CCP, which is anticipated to lower interstitial water elevations over time;  Achieve long-term, slope stability factors of safety equal to or above 1.5;  Improve and actively manage stormwater runoff volume from Area 1 prior to flow from the property boundary; and  Provide drawings, technical specifications, and CQA plans to ensure a high-quality installation. Geosyntec notes that the permanent cap system design was intended to achieve the above objectives only. Modifications to the permanent cap system (i.e., revisions to grading due to unknown future development activities) must be designed and sealed by a professional engineer licensed in the state of North Carolina. 7.2 Limitations The permanent cap system design and supporting calculations, specifications, and drawings documented within this Report were prepared based on assumptions presented in Section 4.7 and intended solely to construct a permanent cap system for Area 1 at the Asheville Regional Airport. Use of the design documents presented herein for other sites or purposes at ARA is not authorized or certified within this document. ARA – Area 1 Structural Fill Design Report – Permanent Cap System, Rev. 0 GC6463/ARA_Permanent_Cap_Design_Report 19 March 2020 8. REFERENCES Bishop, A. (1955), “The Use of the Slip Circle in the Stability Analysis of Slopes,” Géotechnique, Volume 5, No. 1, Jan 1955, pp. 7-17. Buncombe County, NC, 2006. Checklist and Guidelines for the Preparation of Erosion and Sedimentation Control Plans. Buncombe County, NC, 2013. Stormwater Management Plan Review Checklist. Buncombe County, NC, 2019. Code of Ordinances, Division 3 – Stormwater Plan Submittal. As Accessed on 21 January 2019. Federal Aviation Administration, (2013). Airport Drainage Design – Advisory Circular. U.S. Department of Transportation Agency, Federal Aviation Administration. Washington, D.C. Geosyntec (2017). “Engineering Analysis Report Asheville Regional Airport – Area 1 Structural Fill Asheville, North Carolina.” December 2017. Geosyntec 2019. “Hydrogeologic Conceptual Model Report”, prepared for Duke Energy, January 2019. Giroud, J.P., Bachus, R.C. and Bonaparte, R. (1995), “Influence of Water Flow on the Stability of Geosynthetic-Soil Layered Systems on Slopes” Geosynthetics International, Vol. 2, No. 6, pp. 1149-1180, January 1995. Giroud, J.P., Zhao, A., Tomlinson, H.M., and Zornberg, J.G. (2004), "Liquid Flow Equations for Drainage Systems Composed of Two Layers Including a Geocomposite", Geosynthetics International, Vo. 11, No. 1.Koerner, R.M. (1998), “Designing with Geosynthetics”, Fourth Edition. HydroCADTM Software Solutions, LLC., 2016. HydroCADTM Stormwater Modeling System, Version 10.00-22. Chocorua, New Hampshire. Janbu, N. (1973), “Slope Stability Computations,” Embankment Dam Engineering, Casagrande Memorial Volume, R. C. Hirschfield and S. J. Poulos, Eds., John Wiley, New York, 1973, pp. 47-86. NCDEQ, 2013. Erosion and Sediment Control Planning and Design Manual. Raleigh, North Carolina. NCDEQ, 2017. Stormwater Design Manual. Raleigh, North Carolina. ARA – Area 1 Structural Fill Design Report – Permanent Cap System, Rev. 0 GC6463/ARA_Permanent_Cap_Design_Report 20 March 2020 NCDEQ, 2019. Site Assessment Review. Asheville Airport CCP Structural Fill – Area 1, 12 August 2019. Rocscience (2016). SLIDE v6.0. Rocscience Inc., Toronto, Ontario. Schroeder, P. R., Aziz, N. M., Lloyd, C. M. and Zappi, P. A, 1994a. “The Hydrologic Evaluation of Landfill Performance (HELP) model: User’s Guide for Version 3”, EPA/600/R-94/168a, September 1994, U.S. Environmental Protection Agency Office of Research and Development, Washington, DC. Schroeder, P.R., Dozier, T.S., Zappi, P.A., McEnroe, B.M., Sjostrom, J.W., and Peyton, R. L. 1994b. “The Hydrologic Evaluation of Landfill Performance (HELP) Model: Engineering Documentation for Version 3”, EPA/600/R-94/168b, September 1994, U.S. Environmental Protection Agency Office of Research and Development, Washington, DC. Spencer, E., 1967. “A Method of Analysis of the Stability of Embankments Assuming Parallel Inter-Slice Forces.”, Geotechnique, Vol. 17, No. 1, pp. 11-26. Soil Conservation Service (SCS), 1986. Urban Hydrology for Small Watersheds, Technical Release 55 (TR-55), 2nd Ed., United States Department of Agriculture, Soil Conservation Service. Washington, D.C. United States Army Corp. of Engineers (2003), “Engineering and Design: Slope Stability Engineer Manual”, Manual No. 1110-2-1902, 31 October 2003. Vaughan Engineering (2010), “Charah – Asheville Regional Airport Coal Combustion Product Engineered Fill, March 2010 Update, “As Built” Surface Development as of December 29, 2009”, 8 March 2010. FIGURES Asheville RegionalAirport French Broad River §¨¦26 §¨¦26 §¨¦26 Area 1 - East Fill Area 1 - West Fill 60" dia meter RCP French Broad River SITE LOCATION MAP Asheville R egional AirportFletcher, North Carolina Figure 1 \\Charlotte-01\Data\GIS\Projects\D\Duke\Asheville Airport\mxds\Cap Design Report JHOBARTCHARLOTTE, NC MARCH 2020 1,000 0 1,000 2,000500 Feet ³ Notes:1. Ser vice Layer Credits: Source: Esri, DigitalGlobe, GeoEye,Earthstar Geographics, CNES/Airbus DS, USDA, U SGS,AeroGRID , IGN, and the GIS User Community.2. Parcel boundaries obtained from Buncombe County GIS websiteon 20 December 2017. Legend Area 1 Sto rm wate r Network Area 1 Parcel Bo unda ry