HomeMy WebLinkAboutNC0022098_Fact Sheet_20211109Cranbrook Village MHP WWTP – Renewal Fact sheet
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NCDEQ / DWR /NPDES
FACT SHEET FOR RENEWAL
PERMIT NC0022098
Table 1 - Facility Information
Applicant / Facility Name: Michael Brown, Owner / Paul Smith (ORC)
Cranbrook Village MHP
Applicant Address: 1150 Hungry Neck Blvd., Suite 359
Mount Pleasant, South Carolina
Facility Address: 4309 Old Village Place, Greensboro
Permitted Flow: 0.010 MGD
Type of Waste /
Treatment Summary:
100% Domestic
no WET test / tablet disinfection
Facility / Permit Status: Biological Grade II WPCS / Renewal
County: Gilford County
Miscellaneous
Receiving Stream: Little Alamance
Creek
Regional
Office: Winston-Salem (WSRO)
Stream Class /
Stream Index:
WS-IV; NSW
16-19-3-(0.5)
State /
USGS Quad: C19SE / Greensboro, NC
Instream Monitoring: No Permittee
Contacts:
Paul Smith (ORC)
336-932-9347
[smithindustries@bellsouth.net]
303(d) Listed? No Permit
Writer: Joe R. Corporon, P.G.
Basin: Cape Fear Date: 03Nov2021
Subbasin: 03-06-03
HUC: 030300020102
Drainage Area (mi2): ~
Lat. 36.004 N Long. 79.752 W
s7Q10 (cfs) 0.0
w7Q10 (cfs) 0.0
Average Flow (cfs): 0.0
IWC (%): 100%
FACILITY SUMMARY
Cranbrook Village Mobile Park WWTP services a 100% domestic wastewater discharge generated by
~ 200 residences. Average Annual flow rate for the past two years 0.007 MGD. The treatment system
design flow is 0.010 MGD, currently permitted at this capacity (see discharge data summary, Table 3).
INSPECTION / CORRESPONDENCE
O&M Recommendations, 29May2018 - This treatment system is showing significant signs of age and
wear. The ladder to climb on top of the treatment system is severely rusted and potentially unsafe for the
operator and inspector. The walkway is also severely rusted. The in -ground digester appears to be caving
into some degree. The bar screen fell off the system at some point and has not been replaced, so the
operator manually removes solids. These issues should be addressed soon before they impact treatment.
Cranbrook Village MHP WWTP – Renewal Fact sheet
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REASONABLE POTENTIAL ANALYSES (RPA)
The permit renewal identified no parameters of concern (POCs) that required a reasonable potential
analysis.
Table 2 - COMPLIANCE HISTORY -Jan2019-Sep2021
NO INSTREAM MONITORING – receiving steam not impaired:
Low permitted flow to named stream; Little Alamance Creek (17-19-3-(0.5) is Supporting; Good-Fair
Bioclassification. Currently, no stream monitoring in the permit – no changes recommended.
DMR DATA SUMMARY (JAN2018-JUN2021)
Table 3 - Conventional Parameters:
Effluent Characteristics Minimum Average Maximum Sample Count
Flow (MGD) 0.0028 0.0064 0.010 145
BOD, 5-day, 20º C (mg/l) < 2 4.72 44.6 143
pH (standard units) 6.8 7.12 7.3 145
Temperature º C 1 17.78 31 693
Total Suspended Solids (mg/l) 2.1 5.20 16.8 144
Fecal Coliform (per 100 ml) 0.34 16.19 387 144
Total Nitrogen (TN) 1.1 12.26 37.87 9
Total Phosphorus (TP) 0.014 1.94 5.9 9
Total Residual Chlorine (TRC) < 6 6 6 289
Ammonia (NH3 as N) < 0.1 4.49 46.4 150
CORRECTIONS TO AMMONIA LIMITS
Previous winter limits for Ammonia (as N) of 24.0 mg/L are incorrect. According to 15A NCAC 2B
.0404(c), winter waste-load allocations for oxygen consuming waste shall not be less stringent
than 2 times the summer limit. Considering previous summer limits of 3.8 mg/L MA, winter
limits are hereby revised from 24.0 mg/L to 7.2 mg/L MA [see section A. (1.)].
Cranbrook Village MHP WWTP – Renewal Fact sheet
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SUMMARY OF PROPOSED CHANGES
• Adjusted winter MA limits for Ammonia from 24.0 to 7.2 mg/L
• updated permit format
• added to Class WW-II citation [section A. (1.) header]
• updated eDMR requirements
• updated site map
PROPOSED SCHEDULE OF ISSUANCE
Draft Permit to Public Notice: 09Nov2021 (est.)
Permit Scheduled to Issue: 17Dec2021 (est.)
Effective Date 01Feb2022 (est.)
NPDES DIVISION CONTACT
If you have questions about any of the above information, or on the attached permit, please email
Joe R. Corporon, P.G. [joe.corporon@ncdenr.gov].
NAME: DATE: 03NOV20121
NPDES Implementation of Instream Dissolved Metals Standards – Freshwater Standards
The NC 2007-2015 Water Quality Standard (WQS) Triennial Review was approved by the NC
Environmental Management Commission (EMC) on November 13, 2014. The US EPA
subsequently approved the WQS revisions on April 6, 2016, with some exceptions. Therefore,
metal limits in draft permits out to public notice after April 6, 2016 must be calculated to protect
the new standards - as approved.
Table 5. NC Dissolved Metals Water Quality Standards/Aquatic Life Protection
Parameter Acute FW, µg/l
(Dissolved)
Chronic FW,
µg/l
(Dissolved)
Acute SW, µg/l
(Dissolved)
Chronic SW,
µg/l
(Dissolved)
Arsenic 340 150 69 36
Beryllium 65 6.5 --- ---
Cadmium Calculation Calculation 40 8.8
Chromium III Calculation Calculation --- ---
Chromium VI 16 11 1100 50
Copper Calculation Calculation 4.8 3.1
Lead Calculation Calculation 210 8.1
Nickel Calculation Calculation 74 8.2
Silver Calculation 0.06 1.9 0.1
Zinc Calculation Calculation 90 81
Cranbrook Village MHP WWTP – Renewal Fact sheet
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Table 1 Notes:
1. FW= Freshwater, SW= Saltwater
2. Calculation = Hardness dependent standard
3. Only the aquatic life standards listed above are expressed in dissolved form. Aquatic life
standards for Mercury and selenium are still expressed as Total Recoverable Metals due
to bioaccumulative concerns (as are all human health standards for all metals). It is still
necessary to evaluate total recoverable aquatic life and human health standards listed in
15A NCAC 2B.0200 (e.g., arsenic at 10 µg/l for human health protection; cyanide at 5
µg/L and fluoride at 1.8 mg/L for aquatic life protection).
Table 2. Dissolved Freshwater Standards for Hardness-Dependent Metals
The Water Effects Ratio (WER) is equal to one unless determined otherwise under 15A
NCAC 02B .0211 Subparagraph (11)(d)
Metal NC Dissolved Standard, µg/l
Cadmium, Acute WER*{1.136672-[ln hardness](0.041838)} ∙ e^{0.9151 [ln
hardness]-3.1485}
Cadmium, Acute Trout
waters
WER*{1.136672-[ln hardness](0.041838)} ∙ e^{0.9151[ln
hardness]-3.6236}
Cadmium, Chronic WER*{1.101672-[ln hardness](0.041838)} ∙ e^{0.7998[ln
hardness]-4.4451}
Chromium III, Acute WER*0.316 ∙ e^{0.8190[ln hardness]+3.7256}
Chromium III, Chronic WER*0.860 ∙ e^{0.8190[ln hardness]+0.6848}
Copper, Acute WER*0.960 ∙ e^{0.9422[ln hardness]-1.700}
Copper, Chronic WER*0.960 ∙ e^{0.8545[ln hardness]-1.702}
Lead, Acute WER*{1.46203-[ln hardness](0.145712)} ∙ e^{1.273[ln hardness]-
1.460}
Lead, Chronic WER*{1.46203-[ln hardness](0.145712)} ∙ e^{1.273[ln hardness]-
4.705}
Nickel, Acute WER*0.998 ∙ e^{0.8460[ln hardness]+2.255}
Nickel, Chronic WER*0.997 ∙ e^{0.8460[ln hardness]+0.0584}
Silver, Acute WER*0.85 ∙ e^{1.72[ln hardness]-6.59}
Silver, Chronic Not applicable
Zinc, Acute WER*0.978 ∙ e^{0.8473[ln hardness]+0.884}
Zinc, Chronic WER*0.986 ∙ e^{0.8473[ln hardness]+0.884}
General Information on the Reasonable Potential Analysis (RPA)
Cranbrook Village MHP WWTP – Renewal Fact sheet
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The RPA process itself did not change as the result of the new metals standards. However,
application of the dissolved and hardness-dependent standards requires additional consideration
in order to establish the numeric standard for each metal of concern of each individual discharge.
The hardness-based standards require some knowledge of the effluent and instream (upstream)
hardness and so must be calculated case-by-case for each discharge.
Metals limits must be expressed as ‘total recoverable’ metals in accordance with 40 CFR
122.45(c). The discharge-specific standards must be converted to the equivalent total values for
use in the RPA calculations. We will generally rely on default translator values developed for
each metal (more on that below), but it is also possible to consider case-specific translators
developed in accordance with established methodology.
RPA Permitting Guidance/WQBELs for Hardness-Dependent Metals - Freshwater
The RPA is designed to predict the maximum likely effluent concentrations for each metal of
concern, based on recent effluent data, and calculate the allowable effluent concentrations, based
on applicable standards and the critical low-flow values for the receiving stream.
If the maximum predicted value is greater than the maximum allowed value (chronic or acute),
the discharge has reasonable potential to exceed the standard, which warrants a permit limit in
most cases. If monitoring for a particular pollutant indicates that the pollutant is not present (i.e.
consistently below detection level), then the Division may remove the monitoring requirement in
the reissued permit.
1. To perform a RPA on the Freshwater hardness-dependent metals the Permit Writer
compiles the following information:
• Critical low flow of the receiving stream, 7Q10 (the spreadsheet automatically
calculates the 1Q10 using the formula 1Q10 = 0.843 (s7Q10, cfs) 0.993
• Effluent hardness and upstream hardness, site-specific data is preferred
• Permitted flow
• Receiving stream classification
2. In order to establish the numeric standard for each hardness-dependent metal of concern
and for each individual discharge, the Permit Writer must first determine what effluent
and instream (upstream) hardness values to use in the equations.
The permit writer reviews DMR’s, Effluent Pollutant Scans, and Toxicity Test results for
any hardness data and contacts the Permittee to see if any additional data is available for
instream hardness values, upstream of the discharge.
If no hardness data is available, the permit writer may choose to do an initial evaluation
using a default hardness of 25 mg/L (CaCO3 or (Ca + Mg)). Minimum and maximum
limits on the hardness value used for water quality calculations are 25 mg/L and 400
mg/L, respectively.
If the use of a default hardness value results in a hardness-dependent metal showing
reasonable potential, the permit writer contacts the Permittee and requests 5 site-specific
effluent and upstream hardness samples over a period of one week. The RPA is rerun
using the new data.
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The overall hardness value used in the water quality calculations is calculated as follows:
Combined Hardness (chronic)
= (Permitted Flow, cfs *Avg. Effluent Hardness, mg/L) x (s7Q10, cfs *Avg. Upstream Hardness,
mg/L)
(Permitted Flow, cfs + s7Q10, cfs)
The Combined Hardness for acute is the same but the calculation uses the 1Q10 flow.
3. The permit writer converts the numeric standard for each metal of concern to a total
recoverable metal, using the EPA Default Partition Coefficients (DPCs) or site-specific
translators, if any have been developed using federally approved methodology.
4. The numeric standard for each metal of concern is divided by the default partition
coefficient (or site-specific translator) to obtain a Total Recoverable Metal at ambient
conditions.
In some cases, where an EPA default partition coefficient translator does not exist (ie.
silver), the dissolved numeric standard for each metal of concern is divided by the EPA
conversion factor to obtain a Total Recoverable Metal at ambient conditions. This
method presumes that the metal is dissolved to the same extent as it was during EPA’s
criteria development for metals. For more information on conversion factors see the June,
1996 EPA Translator Guidance Document.
5. The RPA spreadsheet uses a mass balance equation to determine the total allowable
concentration (permit limits) for each pollutant using the following equation:
Ca = (s7Q10 + Qw) (Cwqs) – (s7Q10) (Cb)
Qw
Where: Ca = allowable effluent concentration (µg/L or mg/L)
Cwqs = NC Water Quality Standard or federal criteria (µg/L or mg/L)
Cb = background concentration: assume zero for all toxicants except NH3* (µg/L or
mg/L)
EPA default partition coefficients or the “Fraction Dissolved” converts the
value for dissolved metal at laboratory conditions to total recoverable metal
at in-stream ambient conditions. This factor is calculated using the linear
partition coefficients found in The Metals Translator: Guidance for
Calculating a Total Recoverable Permit Limit from a Dissolved Criterion
(EPA 823-B-96-007, June 1996) and the equation:
_Cdiss__ = _______1_______________
Ctotal 1 + { [Kpo] [ss(1+a)] [10-6] }
Where:
ss = in-stream suspended solids concentration [mg/l], minimum of 10 mg/L
used, and
Kpo and a = constants that express the equilibrium relationship between
dissolved and adsorbed forms of metals. A list of constants used for each
hardness-dependent metal can also be found in the RPA program under a
sheet labeled DPCs.
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Qw = permitted effluent flow (cfs, match s7Q10)
s7Q10 = summer low flow used to protect aquatic life from chronic toxicity and
human health through the consumption of water, fish, and shellfish from
noncarcinogens (cfs)
* Discussions are on-going with EPA on how best to address background
concentrations
Flows other than s7Q10 may be incorporated as applicable:
1Q10 = used in the equation to protect aquatic life from acute toxicity
QA = used in the equation to protect human health through the consumption of
water, fish, and shellfish from carcinogens
30Q2 = used in the equation to protect aesthetic quality
6. The permit writer enters the most recent 2-3 years of effluent data for each pollutant of
concern. Data entered must have been taken within four and one-half years prior to the
date of the permit application (40 CFR 122.21). The RPA spreadsheet estimates the 95th
percentile upper concentration of each pollutant. The Predicted Max concentrations are
compared to the Total allowable concentrations to determine if a permit limit is
necessary. If the predicted max exceeds the acute or chronic Total allowable
concentrations, the discharge is considered to show reasonable potential to violate the
water quality standard, and a permit limit (Total allowable concentration) is included in
the permit in accordance with the U.S. EPA Technical Support Document for Water
Quality-Based Toxics Control published in 1991.
7. When appropriate, permit writers develop facility specific compliance schedules in
accordance with the EPA Headquarters Memo dated May 10, 2007 from James Hanlon to
Alexis Strauss on 40 CFR 122.47 Compliance Schedule Requirements.
8. The Total Chromium NC WQS was removed and replaced with trivalent chromium and
hexavalent chromium Water Quality Standards. As a cost savings measure, total
chromium data results may be used as a conservative surrogate in cases where there are
no analytical results based on chromium III or VI. In these cases, the projected maximum
concentration (95th %) for total chromium will be compared against water quality
standards for chromium III and chromium VI.
9. Effluent hardness sampling and instream hardness sampling, upstream of the discharge,
are inserted into all permits with facilities monitoring for hardness-dependent metals to
ensure the accuracy of the permit limits and to build a more robust hardness dataset.
10. Hardness and flow values used in the Reasonable Potential Analysis for this permit
included:
Parameter Value Comments (Data Source)
Average Effluent Hardness (mg/L)
[Total as, CaCO3 or (Ca+Mg)] N/A
Average Upstream Hardness (mg/L)
[Total as, CaCO3 or (Ca+Mg)] N/A
7Q10 summer (cfs) N/A
1Q10 (cfs) N/A
Permitted Flow (MGD) 0.010 BIMS