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HomeMy WebLinkAboutNC0085812_Crooked Creek Model_20201117INTEROFFICE MEMORANDUM TO: DWR NPDES Permitting Branch FROM: DWR Modeling and Assessment Branch SUBJECT: Review of Crooked Creek QUAL2K Model Application for Grassy Branch WWTP DATE: November 16, 2020 CC: The NC Division of Water Resources (DWR) Modeling and Assessment Branch has completed review of the report "Crooked Creek Model Application for Grassy Branch Wastewater Treatment Plant" produced by Tetra Tech for Union County. In general, the report is clearly written and consistent with findings in the modeling files. One exception is a typo in the text, on page 6: "...permit limits associated with ammonia change from existing permit limits of 2 and 4 mg/I for summer and winter to 1 and 3 mg/I respectively", whereas the actual new ammonia permit limit for the winter is 2 mg/I (not 3 mg/1). This winter limit is correctly shown in Table 3 of the report though. For the purpose of aiding in the NPDES Branch's permit writing process, below are the permit limits used in the scenario analysis: Interim SOC limits: Flow = 0.12 MGD BODS = 30 mg/I NH3 = 6 mg/I (summer) and 20 mg/I (winter) DO = 5 mg/I TSS = 100 mg/I Final limits: Flow = 0.12 MGD BODS = 5 mg/I (summer) and 10 mg/I (winter) NH3 = 1 mg/I (summer) and 2 mg/I (winter) DO=6mg/I TSS = 30 mg/I The results of the scenario analysis indicate that the minimum DO concentration of Crooked Creek between the outfall of Grassy Branch WWTP and the Rocky River confluence would stay above the water quality standard of 5 mg/I under the interim and final discharge limits. In addition to the DO impact analysis, Tetra Tech assessed the TSS discharge effects on the stream TSS/turbidity. In our last meeting with Tetra Tech on October 1, 2019, we asked them to make two additional assessments: (1) per NPDES branch's request, add NC0088838 (Radiator Specialty Company) to the model as one of the dischargers and (2) investigate the sensitivity of predicted stream DO to the assumed bottom algae conditions. Tetra Tech performed these additional analyses and summarized their findings in the report. During our internal meeting with the NPDES team on October 16, 2020, a question was raised on why the discharge to a (near) zero -flow stream appeared to have only small impacts on the stream DO. It may help to note that the simulated streamflow just upstream of the Grassy Branch WWTP outfall is 3.6 cfs in the reported scenario analysis, which is very close to that in the calibrated model (3.7 cfs). Scenario analyses are typically conducted under the "seasonally critical conditions and maximum permitted discharges", and here happened to result in similar total flows but with different sources (99% of 3.6 cfs comes from point sources in the scenario analysis; 39% of 3.7 cfs in the calibrated model). Higher point source composition in the scenario analysis means much more oxygen consuming materials are discharged into North Fork Crooked Creek even if the flows are similar. However, the movement of water slows down considerably around the beaver dams area above the Grassy Branch WWTP outfall, depleting most of the oxygen consuming materials (and severely lowering stream DO in that area). Water movement speeds up afterwards, and the predicted BOD concentrations do not change much past the Grassy Branch WWTP until the stream travels about 6.7 miles and meets Rocky River. The Modeling and Assessment Branch conducted an additional analysis to address the potential impact of Grassy Branch WWTP expansion on Rocky River DO. The model used for this analysis is a QUAL2K model for Rocky River, originally developed by Brown and Caldwell for Charlotte Water to simulate the expansion of Mallard Creek WRF ("Mallard Creek Water Quality Modeling - Update and Sensitivity Analysis"). The Modeling Branch slightly refined the model by updating permit limits and discharge locations for the WWTPs included in the model. Potential impacts from Grassy Branch WWTP expansion were considered by taking the flows and water quality parameter concentrations predicted by the Crooked Creek QUAL2K model at the downstream end of the model (Rocky River confluence) and entering them to the Rocky River QUAL2K model as tributary inputs. The simulation results indicate that the proposed expansion of Grassy Branch WWTP is not likely to cause a violation of dissolved oxygen standards in Rocky River (Figure 1). 10 9 8 J E 0 6 5 4 Rocky River QUAL2K Model Predictions for Proposed Expansion of Grassy Branch WWTP (Summertime) —Grassy Branch WWTP Interim Limits 3 —Grassy Branch WWTP Final Limits � —DO Standard 0 � a F � } 6 V G u c m v ¢ d 80 70 60 50 40 30 20 10 0 River Mile Rocky River QUAL2K Model Predictions for Proposed Expansion of Grassy Branch WWTP (Wintertime) —Grassy Branch WWTP Interim Limits —Grassy Branch WWTP Final Limits —DO Standard v d H v V � c� 80 70 60 50 40 30 20 10 0 River Mile Figure 1. Rocky River dissolved oxygen simulation results for summer (top) and winter (bottom). 3