HomeMy WebLinkAboutNCS000040_HISTORICAL FILE_20200921STORMWATER DIVISION CODING SHEET
NCS PERMITS
PERMIT NO.
NCsucu)40
DOC TYPE
❑ FINAL PERMIT
❑ MONITORING REPORTS
❑ APPLICATION
❑ COMPLIANCE
tK OTHER - HISToCziCA-L- INPOP-mATLO"
DOC DATE
❑ 2020p9zi
YYYYM M D D
ROY COOPER
Governor
MICHAELS.REGAN
Secretary
S. DANIEL SMITH
Interim Director
Mr. David Waggoner
Charlotte Pipe and Foundry Company
P.O. Box 35430
Charlotte, NC 28235
Dear Mr. Waggoner:
NORTH CAROLINA
Environmental Quality
J
February 5, 2019
L�
Subject: Final NPDES Stormwater Permit
Permit No. NCS000040
Charlotte Pipe and Foundry Company
Mecklenburg County
In response to your renewal, application for continued coverage under:NPDES stormwater permit
No. NCS000040, the Division of Energy, Mineral anala'nd Resources is forwarding. herewith
the subject state - NPDES permit. This permit is issued pursuant to the requirements of North
Carolina General Statute 143-215 .1 and the Memorandum of Agreement between North
Carolina and the U.S. Environmental Protection Agency dated October 15, 2007 (or as
subsequently amended). This final permit includes no major changes from the draft permit
sent to you on September 19, 2018.
The monitoring strategy remains the same (semi-annual) as the previous term of the permit.
Please note that analytical and qualitative monitoring is required in this permit. Failure to
complete the monitoring as required is a violation of the permit and any permit noncompliance
constitutes a violation of the Clean Water Act. Reference Part III, Section A, Item 2 "Duty to
Comply", Item 9 'Penalties for Tampering" and Item 10 "Penalties for Falsification of Reports"
of your permit for further information.
If any parts, measurement frequencies or sampling requirements contained in this permit are
unacceptable to you, you have the right to an adjudicatory hearing upon written request within
thirty (30) days following receipt of this letter. This request must be in the form of a written
petition, conforming to Chapter 150B of the North Carolina General Statutes, and filed with the
Office of Administrative Hearings, Post Office Drawer 27447, Raleigh, North Carolina 27611-
7447. Unless such demand is made, this decision shall be final and binding.
Please take notice this permit is not transferable. Part III, B.2. addresses the requirements to be
followed in case of change in ownership or control of this discharge. This permit does not affect
the legal requirements to obtain other permits which may be required by the Division of Energy,
North Carolina Department of Environmental Quality I Division of Energy, Mineral and Land Resources
512 North Salisbury Street 1 1612 Mail Service Center I Raleigh, North Carolina 27699-1612
919.707.9200
Mr. David Waggoner
Charlotte Pipe and Foundry Company
Subject: Final NPDES Stormwater Permit No. NCS000040
February 5, 2019
Page 2 of 2
Mineral, and Land Resources, or permits required by the Division of Water Resources, Coastal
Area Management Act or any other federal or local governmental permit that may be required.
If you have any questions or comments concerning this permit, contact Tom S. Poe at (919) 707-
3646, or at email, tom.poe@ncdenr.gov.
Sincerely,
for S. Daniel Smith, Interim Director
Division of Energy, Mineral and Land Resources
cc: (sent via ail) IZ:ck,%,J,Far Mer Me(kACt ,iVV
Charlotte -Mecklenburg tormwater Services
Zahi an, DEMLR Land Quality, Mooresville Regional Office
Sam S Ph.D., EPA Region IV, 61 Forsyth Stre t nta, GA 30303
R4NPDESPennits
Stormwater Program Files
Attachments:
NPDES Stormwater Permit No. NCS000040
NPDES Stormwater DMR Forms
uxrf-d, NCS000040
STATE OF NORTH CAROLINA
DEPARTMENT OF ENVIRONMENTAL QUALITY
DIVISION OF ENERGY, MINERAL, AND LAND RESOURCES
PERMIT
TO DISCHARGE STORMWATER UNDER THE
NATIONAL POLLUTANT DISCHARGE ELIMINATION SYSTEM
In compliance with the provisions of North Carolina General Statute 143-215.1, other
lawful standards and regulations promulgated and adopted by the North Carolina
Environmental Management Commission, and the Federal Water Pollution Control Act, as
amended,
Charlotte Pipe and Foundry Co
is hereby authorized to discharge stormwater from a facility located at
Charlotte Pipe and Foundry Company
1335 S Clarkson St
Charlotte, NC
Mecklenburg County
to receiving waters designated as Irwin Creek, a class C stream in the Catawba River Basin,
in accordance with the discharge limitations, monitoring requirements, and other
conditions set forth in Parts 1, II, III, and IV hereof
This permit shall become effective February 2/8
2At,1 L y
This permit and the authori tion to discharge shall expire at midnight on January 2QlL3.
Signed this day Februa 5 18.
for S. Daniel Smith, Interim Director
Division of Energy, Mineral and Land Resources
By the Authority of the Environmental Management Commission
Permit No. NCS000040
TABLE OF CONTENTS
PART I INTRODUCTION
Section A: Individual Permit Coverage
Section B: Permitted Activities
Section C: Location Map
PART II MONITORING, CONTROLS, AND LIMITATIONS FOR PERMITTED
DISCHARGES
Section A: Stormwater Pollution Prevention Plan
Section B: Analytical Monitoring Requirements
Section C: Qualitative Monitoring Requirements
Section D: Special Conditions
PART III STANDARD CONDITIONS FOR NPDES STORMWATER INDIVIDUAL PERMITS
Section A: Compliance and Liability
1. Compliance Schedule
2. Duty to Comply
3. Duty to Mitigate
4. Civil and Criminal Liability
S. Oil and.Hazardous Substance Liability
6., Property Rights
7. Severability
8. Duty to Provide Information -
9. Penalties for Tampering
10. Penalties for Falsification of Reports
11. Onshore or Offshore Construction
12. Duty to Reapply
i
I
1 .
Energy. Mineral
and Land Resources
ENVIRONMENTAL QUALITY
DATE: September 17, 2018
TO: [Charlotte Observer]
EMAIL: [E-MAIL]
ROY COOPER
MICHAEL S. REGAN
seaem,y
WILLIAM E. (TOBY) VINSON, JR.
Interinr Oirttcfor
FROM: Bradley Bennett, DIVISION OF ENERGY, MINERAL, AND LAND RESOURCES
SUBJECT: PUBLIC NOTICE
PAGES: 1
Please publish only the information (Public Notice) attached, ONETIME in the legal section of your paper by Friday,
September 21, 2018. Please fax a copy of the proof to Bradley Bennett at (919) 807-6368 for final approval prior to
publication. Within 10 days after publish date; please send the invoice and two copies of the original affidavit to:
Bradley Bennett
NCDEQ/DEMLR
512 N. Salisbury St.
1612 Mail Service Center
Raleigh, NC 27699-1612
NC DIV. OF ENERGY, MINERAL AND LAND RESOURCES' INTENT TO ISSUE THE FOLLOWING
STORMWATER DISCHARGE PERMITS
Public comment or objection to the draft permits is invited. Submit written comments to DEMLR at the address below.
All comments received through October 21, 2018 will be considered in the final determination regarding permit
issuance and permit provisions.
Applications: The following facilities have applied for renewal of their NPDES permits to discharge stormwater from
their locations in Mecklenburg County.
• Charlotte Pipe and Foundry Co, 1335 S. Clarkson St, Charlotte, NC. The facility discharges to Irwin Creek in the
Catawba River Basin. Permit NCS000040.
• IGM Resins USA, Inc, 3300 Westinghouse Blvd, Charlotte, NC. The facility discharges to Steele Creek in the Catawba
River Basin. Permit NCS000049.
• Gerdau Ameristeel US, Inc, 6601 Lakeview Rd, Charlotte, NC. The facility discharges to Long Creek in the Catawba
River Basin. Permit NCS000304.
• Nexeo Solutions, LLC, 3930 Glenwood Rd, Charlotte, NC. The facility discharges to a UT to Stewart Creek in the
Catawba River Basin. Permit NCS000315.
Stormwater Program Contact: Bradley Bennett
(919)807-6392
bradley.bennett@ncdenr.gov
A copy of the draft permit is available at: https://bit.ly/2jSfSls. Additional permit documents are available for the
reproduction cost at:
DEMLR Stormwater Program
512 N. Salisbury Street
1612 Mail Service Center
Raleigh, NC 27699-1612
State of North Carolina I Environmental Quality I Energy, Mineral, and Land Resources
1612 Mail Service Center 1512 N. Salisbury St. I Raleigh, NC 27699
919 707 9200 T
NC Division of Energy, Mineral and Land Resources
NPDES Stormwater Permit Contacts Summary
NC DEb1LR has the following contact information in our Permit Database for vour permit as of 8/7/2018
Permit Number: NCS000040
Permit Type: Stonnwater Discharae Individual
Facility Name: Chadotte Pipe & Foundry Company — Cast Iron Division ✓
Facility Addressl: 1335 S Clarkson St
Facility Address2:
City, State & Zip: Charlotte, NC 28208
MUST submit a Change of Name/Ownership form to DEMLR to make any changes to this Owner information.
(pick Here for Change of Name/Ownersh — Form)
Owner Name: Charlotte Pipe & Foundry Co
Owner Type: Non -Government Owner Type Group: Organization
*** Legally Responsible for Permit ***
(Responsible corporate officer/principle executive officer or ranldng elected official/general partner or proprietor,
or any other person with delegated signatory authority from the legally responsible person.)
owner wmuapon: wwxam nnw Miae Mall Title: Senior Vice President -Cast Iron Division
Addressl: PO-.Bo>Fl-3ag PO Box 35430
Address2:
City, State & Zip: ^aon-^-,e ^R,°,,� Charlotte, NC 28235
Work Phone: 704-332-2647 Fax: 704-348-5539
Email Address; Egrice.^^^^^ da..-- m mhall@charottepipe.com
_ *** Permit Annual Fee Billing ***
Billing Month: August
Invoice Number Invoice Date Invoice Due Date Invoice Amount Invoice Status
Owner Contact Person(s)
Contact Name Ttle Address Phone fax E i
Facility Contact Person(s)
Contact Name Mig Aggress Phone faX Email
David Waggoner PO Box 35430, Charlotte, NC 28235 704-332-2647 704-348-5539 dwaggoner@chadottepipe.com
Contact Name Title Address phone Em Email c/
David Waggoner PO Box 35430, Charlotte, NC 28235 704-332-2647 704-348-5539 dwaggoner@chadottepipe.00m
Permit Billing Contact
Contact Name T1Slfl Aggress Phone fON Email
David Waggoner PO Box 35430, Charlotte, NC 28235 704-332-2647 704-348-5539 dwaggoner@chadottepipe.com
.% �1pp1Ar
8/7/201e �f
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North Carolina Department of Natural and Cultural Resources
Natural Heritage Program
Governor Roy Cooper Secretary Susi H. Hamilton
July 18, 2018
Bradley Bennett
NCDEQ
512 N. Salisbury Street
Raleigh, NC 27604
RE: NCS Renewal Report; NCS000040
Dear Bradley Bennett:
NCNHDE-6485
The North Carolina Natural Heritage Program (NCNHP) appreciates the opportunity to provide information
about natural heritage resources for the project referenced above.
Based on the project area mapped with your request, a query of the NCNHP database, indicates that there are
no records for rare species, important natural communities, natural areas, and/or conservation/managed areas
within the proposed project boundary. Please note that although there may be no documentation of natural
heritage elements within the project boundary, it does not imply or confirm their absence; the area may not have
been surveyed. The results of this query should not be substituted for field surveys where suitable habitat exists.
In the event that rare species are found within the project area, please contact the NCNHP so that we may
update our records.
The attached 'Potential Occurrences' table summarizes rare species and natural communities that have been
documented within a one -mile radius of the property boundary. The proximity of these records suggests that
these natural heritage elements may potentially be present in the project area if suitable habitat exists. Tables of
natural areas and conservation/managed areas within a one -mile radius of the project area, if any, are also
included in this report.
If a Federally -listed species is found within the project area or is indicated within a one -mile radius of the project
area, the NCNHP recommends contacting the US Fish and Wildlife Service (USFWS) for guidance. Contact
information for USFWS offices in North Carolina is found here:
ffht(ps 7llwww.fws.aov/offices/D irecto W ListOffices.cfm?statecode=37.
Please note that natural heritage element data are maintained for the purposes of conservation planning, project
review, and scientific research, and are not intended for use as the primary criteria for regulatory decisions.
Information provided by the NCNHP database may not be published without prior written notification to the
NCNHP, and the NCNHP must be credited as an information source in these publications. Maps of NCNHP
data may not be redistributed without permission.
The NC Natural Heritage Program may follow this letter with additional correspondence if a Dedicated Nature
Preserve, Registered Heritage Area, Clean Water Management Trust Fund easement, or Federally -listed
species are documented near the project area.
If you have questions regarding the information provided in this letter or need additional assistance, please
contact Rodney A. Butler at rodney.butler ncdcr.eov or 919-707-8603.
Sincerely,
NC Natural Heritage Program
MAILING ADDRESS:
1651 Mall Service Center
Raleigh, NC 27699-1651
Telephone: (919)707-8107
xvnv.ncnhp.org
LOCATION:
121 West Jones Street
Raleigh, NC 27603
Natural Heritage Element Occurrences, Natural Areas, and Managed Areas Within a One -mile Radius of the Project Area
NCS Renewal Report
Project No. NCS000040
July 18, 2018
NCNHDE-6485
Element Occurrences Documented Within a One -mile Radius of the Project Area
axonomic
EO ID
Scientific Name
Common Name
Last
Element
Accuracy Federal
State
Global
State
Group
Observation
Occurrence
Status
Status
Rank
Rank
Date
Rank
Bird
32170
Falco peregrinus anatum American Peregrine
2015-06
E
2-High ---
Endangered
G4T4
S1B,S2
Falcon
N
Freshwater
7236
Lasmigona decorate
Carolina Heelsplitter
1880-Pre
X
3-Medium Endangered
Endangered
G1
S1
Bivalve
Mammal
20386
Lasiurus intermedius
Florida Yellow Bat
2000
D
1-Very --
Special
G4G5T
S1
floridanus
High
Concern
4
Vascular Plant
13743
Delphinium exaltatum
Tall Larkspur
1800s
Hi?
5-Very ---
Endangered
G3
S2
Low
Vascular Plant
13382
Echinacea laevigata
Smooth Coneflower
1900-Pre
X
4-Low Endangered
Endangered
G2G3
S1 S2
Vascular Plant
28127
Echinacea pallida
Pale Coneflower
1969-06
H
3-Medium ---
Significantly
G4
S1
Rare Disjunct
No Natural Areas are Documented Within a One -mile Radius of the Project Area
Within a One -mile
Mecklenburg County Open Space
Mecklenburg County
Local Government
Definitions and an explanation of status designations and codes can be found at btips-Uninnhde.natureserve rq/content/heln. Data query generated on July 18, 2018; source: NCNHP, Q2 April 2018. Please resubmit your
information request if more than one year elapses before project initiation as new information is continually added to the NCNHP database.
Page 2 of 3
N; S000040
MCDENR
North Carolina Department of Environment and Natural Resources
Division of Water Quality
Beverly Eaves Perdue Coleen H. Sullins
Governor Director
STAFF REVIEW AND EVALUATION
NPDES Stormwater Permit
Dee Freeman
Secretary
Facility Name:
Charlotte Pipe & Foundry Cc
NPDES Permit Number:
NCS000040
Facility Location:
1335 South Clarkson Street, Charlotte, NC (Mecklenburg County)
Type of Activity:
GRAY AND'DUCTILE IRON FOUNDRIES
SIC Code:
3321
Receiving Streams:
See Figure 1
River Basin:
Catawba River Basin, Sub -basin 03-08-34
Stream Classification:
C
Proposed Permit Requirements:
See attached draft permit.
r4licr.—.1
Monitoring Data:
See Table IResponse
Requested by (Date): Central Office Staff Contact:
Return to: Brian Lowther, (919) 807-6368
Special Issues:
Issue
Rating Scale: 1 eas to 10 hard
Corn Hance history
6
Benchmark exceedance
7
Location (TMDL, T&E
species, etc
7
Other Challenges:
• Missing data
6
Difficult Rating:
26/40
Special Issues Explanation:
Many analytical monitoring values are over the current benchmarks for Cr, Cu, Pb, Ni, Zn, TKN, COD and
TSS.
Description of Onsite Activities:
• The CP&F facility is located at 1335 South Clarkson Street in Charlotte, NC. The facility is on
approximately 35 acres and has numerous buildings. Total impervious area (parking lots, buildings,
roadways, etc.) is estimated at 95 percent of the total site area. The facility has been operating as a pipe
foundry since 1926 at this location and currently has 475 employees. Plant operations typically occur 24
hours a day, 5 days a week. The facility is engaged in the manufacture of cast iron piping and fittings.
The facility's SIC code is reported as 3321. The facility stores and distributes the following raw materials:
cast iron scrap, coke, coal, limestone, quartz, sand, silicon, bentonite, petroleum -asphalt, gasoline and
Page 1 of 9
.
NCS000040
diesel fuel. (Information from inspection report, 05/08/06)
Documents Reviewed:
• NPDES Stormwater Permit Application Materials
• National Heritage Program (NHP) Threatened and Endangered Species Database
• SPU File
• Central Files
• EPA Sector -Specific Permit, 2008
• 303(d) List, 2006 final
• 2004 Catawba Basinwide Plan
History:
• August 31, 1994: Date permit first issued. Analytical monitoring parameters included COD, TSS, Total
Kjeldahl Nitrogen, Total Chromium, Total Copper, Total Recoverable Lead, Total Nickel, Total Zinc and
Phenols. Samples were to be taken annually.
• February 19, 1999: Permit renewal reminder letter.
• December 3, 1999: Date permit re -issued. Analytical monitoring parameters included COD, TSS, Total
Kjeldahl Nitrogen, Phenols, Total Copper, Total Recoverable Lead, Total Nickel, Total Zinc and Total
Chromium. Samples were to be taken annually for the first three years and quarterly during the 4`h year.
• May 3, 2004: Permit renewal reminder letter.
• .July 7, 2004: Date permittee submitted renewal application.
:April 5, 2006,:,Site visit by Mr. Donald Ceccarelli of the Mecklenburg County Water Quality Program
i�'[vlay 8, 2006:'Notice of Violation.
is
Page 2 of 9
NCS000040
NCS000040
Map Scale 1:24,000
Figure 1: Map of Facility
Charlotte Pipe & Foundry Co
Lad aide: 350 13' 28" N
Longitude: 800 51' 42" W
County: Mecklenburg .
Reca mng Stream: Irwin Creek
Stream Gass: C
Sub -barn: 03-08-34 (Catawba River Basin)
Facility Location
Page 3 of 9
NCS000040
Central Office Review Summary:
1. Owner's Other Permits:
• AFS — 3711900626
NCG500117
RCRA NCD980247316
2. General Observations:
• Outfalls: Stormwater runoff from the main manufacturing plant discharges via three stormwater
outfalls (SW001, SW002, SW005) across 1-77 and ultimately to Irwin Creek. Tow other outfalls (SWO03,
SW004) have been identified as intermediate outfalls for sampling purposes.
- SW001: This outfall drains approximately 7.2 acres of the southwestern portion of the facility that
contains the wastewater treatment plant, fitting storage area, scrap iron storage area and the cupola
bag houses. This outfall also drains several off -site properties up gradient of the CP&F facility.
The drainage area is approximately 95% impervious.
- SWO02: This outfall drains approximately 3.1 acres of the central portion of the facility, which
contains the main raw material unloading area, machine shop, shell cure building, and cupola
furnace building. The drainage area is approximately 95% impervious.
- SWO03: This outfall is located up gradient of the facility and was historically used to sample off -
site water that flowed onto the property for purposes of comparing influent stormwater samples at
SWO03 to effluent stormwater samples at SW004. However, CP&F determined that SWO03 was
not collecting the major portion of the influent stormwater and this is no longer sampling.
- S WO04: This outfall drains approximately 1 1.1 acres of the western portion of the facility that
contains the fueling station, fuel storage tanks, maintenance shop, bulk spent material storage area,
pipe production building, pipe coating building, the hot dip coating area, and serves as the permitted
discharge pipe for non -contact cooling water. This outfall also drains many offsite properties up
gradient of the facility. The drainage area is approximately 95% impervious.
-S W005: This outfall drains approximately 2.5 acres of the northwestern portion of the site, which
contains the hot dip collectors and the fittings tar pit building. In addition stormwater from S WO04
flows into SWO05 at Clarkson Street. The drainage area is approximately 95 percent impervious.
After the application was filed the facility purchased more property and there are now a total of seven
outfalls now: 001 (35' 13'27", -80' 51'51"), 002 (35' 13'29", -80' 51'49"), 002A (350 13'23", -800
51'42"), 004 (35° 13'27", -800 51'39"), 005 (35° 13'29", -80° 51'41 "), 006 (350 13'34", -800 51'45"), and
007 (350 13'34", -800 51'39").
3. Impairment: Irwin Creek is on the 303(d) list for standard violations for turbidity and fecal coliform, as well
as, having impaired biological integrity. Basinwide Plan recommendations include:
Current Status and 2004 Recommendations
The Irwin Creek site is showing a slight trend of lowered conductivity since the middle 1990s. There is a Fecal
Coliform Bacteria TMDL for Sugar Creek, Irwin Creek, Little Sugar Creek and McAlpine Creek. The TMDL
addresses all identifiable sources of fecal coliform pollution including, but not limited to, wastewater treatment
plants, sanitary sewer overflows, stormwater runoff, failing septic systems, and background wildlife
contributions. The TMDL study indicated that excluding stormwater runoff, the primary contributors of fecal
coliform pollution in this watershed are point sources (WWTP, etc.) and direct input nonpoint sources (failing
septic systems).
4. Threatened and Endangered: Based on the Natural Heritage Virtual Workroom there is one federally
endangered species within 2 miles of the facility: Lasmigone decorata, Carolina Heelsplitter. More information
was provided that showed the element occurrence ranking as X — Extirpated. The most recent survey date was
1987 indicating the Carolina Heelsplitter used to be located in Irwin Creek but no longer exists there.
Page 4 of 9
Nr S000040
5. Location: Drains to a classified C stream. The inspection report indicated the site map needed to be updated.
6. Industrial Changes Since Previous Permit: None provided in renewal application.
Analytical Monitoring Notes: Analytical monitoring parameters included COD, TSS, Total Kjeldahl Nitrogen,
Phenols, Total Copper, Total Recoverable Lead, Total Nickel, Total Zinc and Total Chromium. Samples were
to be taken annually for the first three years and quarterly during the 4`h year. The application only included
one sample for each ourfall. The samples had values over our current benchmarks for Cr, Cu, Ph, Ni, Zn,
Phenol, COD and TSS. The data was missing information such as total rainfall, event duration, and estimated
now.
This industry (SIC 3321) is covered in the EPA Multi -Sector General Permit under Subsector F2, Iron and
Steel Foundries. The parameters recommended for monitoring include Total Aluminum, TSS, Total Copper,
Total Iron, and Total Zinc.
,The inspection report indicated the facility uses more than 55 gallons of new motor oil and therefore should
have done analytical monitoring under Part 11 Section D of the permit. CP&F personnel indicated that more
than 55 gallons of new motor oil were used but no records of quantities have been kept.
Oil and Grease was added to the monitoring because it is a potential pollutant onsitc.
Another set of values was sent from at storm event on February 26, 2008. Many values are over the current
benchmarks for Cr, Cu, Pb, Ni, Zn, TKN, COD and TSS.
8. Qualitative Monitoring Notes: No visual monitoring was provided. An inspection report was given instead.
Page 5 of 9
NCS000040
Table 1: Analytical Monitoring
Outfall
Sample
Date
Total
Flow
(MGD)
Precipitation
(in)
Duration
(hours)
Cr
Cu
Pb
Ni
Zn
TKN
Phenol
COD
TSS
ELnctvmrk,.
I nxjL
Benchmark:
0.007 nxjL
Bendynaric,
0.03 mYL
%nchmrk.,
026 rrKYL
Benchmark:
I 0.067myl-
Berchmailc
20 mYL
Benchmark:
4,5 n9t
Berrhrrork:
120 mqL
Bemhnerlc
100mgfL
SVV-001
6/2 Y2004
.. .
0.1
190.079.,!!-
0.55- y
0.033
olot-Q.8
4-
1.9
0.29
g 210.-4
%kr21Oj*-
SW-002
C/2412004
0.15
W, Q.,I 2
0.81:
0.056
W,1.2
1.6
0.17
M220 t
SVV-002A
6125/2004
12 it
WO.,45fW--
0.32'N
",4� 7
1.5
0.09
WWO,'
;AWWM
SVV-0D4
6126/2004
0.27
MK0.42;
0.18
4W2-.5,
8.5
`WAW
010700
R*540OWe,
SVV-005
6127/2004
0.61
WW0.07 .
'c,0.12,
0.016
<1.0
1.4
"A""400
7,F750DW
SVV-ODI
'2126/2008
ND
100.01671,,
0.0203
1 ND
--,W OA 24,
0.99
0.02
226
30
-SVV-002
2t262008
0.0182
I-0.141
0.0111
AV0.411
1.4
0.063
119
294M
SW-002A
21262MB
1.95;,)ft
NWY66M,
-7v�9.52-'
0.181
17�7'.'
2 1'2 --*41-
1.8
W142KI
1=9610IN
SVV-004
2/26/2008
0.0132
WO!620r
0.0199
0.0067
MO.'373'W,
0.92
0.023
36
.SVV-
2(2612008
0.0143
K0.0461k.
0.14
0.0119
vffO.8I5I.:,.
1.9
0.032
"',251
6
SVV
t2t2612008
0.0128
0.0265
0.006
WO':21,,,-`
0.92
0.�
50
2M126jW
212&/20018
0.0906
00.0611 i
,0.0891
0.0345
!W0.8�15 1
2.2
0.015
80
-!W'6549K
PEEqOver Current Benchmark
Data Not Collected
Page 6 of 9
NCS000040
Revised Permit Recommendations: Analytical Monitoring:
1. Maintain monitoring for COD, TSS, Total Kjeldahl Nitrogen, Phenols, Total Copper, Total Recoverable
Lead, Total Nickel, Total Zinc and Total Chromium. Oil & Grease has been added to the monitoring.
2. pH has been added to the analytical monitoring requirements.
3. All analytical monitoring has been set to semi-annually during a representative storm event as defined in Part 11
Section B. The permittee must also document the total precipitation for each event. If no discharge occurs
during the sampling period, the permittee must submit a monitoring report indicating "No Flow" within 30 days
of the end of the six-month sampling period. Additionally, samples must be taken a minimum of 60 days apart,
as specified in Table 2.
4. Benchmarks for analytical monitoring have been added to this draft permit. Exceedances of benchmark values
require the permittee to increase monitoring, increase management actions, increase record keeping, and/or
install stormwater Best Management Practices (BMPs) in a tiered program. If the sampling results are above a
benchmark value, or outside of the benchmark range, for any parameter at any outfall then the facility shall
follow the Tier 1 guidelines which require a facility inspection within two weeks and implementation of a
mitigation plan within two months. If during the term of this permit, the sampling results are above the
benchmark values, or outside of the benchmark range, for any specific parameter at a specific discharge outfall
two times in a row (consecutive), then the facility shall follow the Tier 2 guidelines which require a repetition
of the steps listed for Tier 1 and also immediately institute monthly monitoring for all parameters at every
outfall where a sampling result exceeded the benchmark value for two consecutive samples.
5. The permittee is required to collect all of the analytical and qualitative monitoring samples during
representative storm events as defined in Part 11 Section B. Qualitative monitoring is required regardless of
representative outfall status.
6. The permittee is responsible for all monitoring until the renewal permit is issued. See Footnote I of Tables 1,
4, and 5.
7. The flow reporting requirement has been removed per DWQ revised strategy. (The total rainfall parameter is in
this permit, however.)
8. Vehicle maintenance monitoring has been revised to semi-annually in order to coincide with analytical and
qualitative monitoring.
Other Proposed Changes to the Previous Permit:
1. Additional guidance is provided about the Site Plan requirements. The site map must now identify if the
receiving stream is impaired and if it has a TMDL established. It must also describe potential pollutants in each
outfall. The map requirements are stated more explicitly. And, the site plan must contain a list of significant
spills that have occurred in the past three years and also must certify that the outfalls have been inspected to
ensure that they do not contain non-stormwater discharges. Additional information is provided in Part 11
Section A.
2. Additional requirements for the Stomrwater Management Plan have been specified in Part 11 Section A. More
details regarding secondary containment are provided.
3. Additional requirements for the Stormwater Pollution Prevention Plan have been specified in Part 11 Section A.
The plan must also be updated annually to include a list of significant spills and to certify that the outfalls do
not contain non-stormwater discharges.
4. The facility must now implement a semi-annual Facility Inspection Program of the site's stormwater
management controls as specified in Part 11 Section A.
5. Information regarding the No Exposure Exclusion has been added to this draft permit. if industrial materials
and activities are not exposed to precipitation or runoff as described in 40 CFR § I22.26(g), the facility may
qualify for a No Exposure Exclusion from NPDES stormwater discharge permit requirements. Additional
information is provided in Part I Section A.
Page 7 of 9
IMIIIIIIIINII
Discussions with permittee: David Waggoner, 704-332-2647, 03/19/09
1. General description of industrial activities. Grey metal pipe foundi y. Use recycled material. Melt iron and
then cast pipes and fittings.
2. Have there been any changes in industrial activities since the application was submitted? Yes. Will be
submitted in an email.
3. What is Outfall 002A? Outfall close to 002. There are seven outfalls noiv.
4. The inspection report for a 2006 visit indicated that the site map and SPPP needed to be updated. Has this been
done? Can you send us the map? They have been updated. Will send a copy of the site map.
5. Do you have onsite vehicle maintenance? Yes. All maintenance is date inside. The area has French drains that go
directly to the server system.
Page 8 of 9
. TVCS000040
Recommendations: Based on the documents reviewed, the application information submitted on July 4, 2004
sufficient to issue an Individual Stormwater Permit.
Prepared by (Signature) Date
Stormwater Permitting Unit Supervisor hG / ��e&Date 3 1G 4
for Bradley Bennett
Concurrence by Regional Officv // Date
RO Water Quality Supervisor Date
Regional Office Staff Comments (attach additional pages as necessary)
Page 9 of 9
NCS000040
Site inspection conducted on May 6, 2009 by Michael Parker. Facility contact: David Waggoner.
Current NPDGS SW permit expired in 2004. Area had received significant rainfall the evening prior to
the site visit. Charlotte Pipe and Foundry (CP&F) is presently operating on a reduced schedule (3 — 4
days per week) due to depressed economic conditions. The site is located in a heavily commercial and
industrialized area of downtown Charlotte.
The SW drainage system at this site was installed back in the 1920's when the company located to this
site. The existing SW drainage system not only serves CP&F, but also receives SW from other
businesses and commercial property adjacent and upgradient to the CP&F site. Some of these off -site
properties have been found to have significant soil and GW contamination, and on -going remediation
activities are being conducted. Such being the case, the possibility exists that some of these
contaminants may be entering the SW collection system that passes through.the CP&F property via 1/I.
CP&F personnel have not verified (through analytical testing) that upstream contaminants are entering
their SW system, however, it was suggested during the site visit that additional testing be conducted of
the upstream SW drainage system to ascertain the impacts (if any) these upgradient properties may be
having on contaminant levels found in the SW sampling data collected by CP&F..
Analytical testing reviewed during the site visit indicated that CP&F will have difficulty in complying
with the benchmark levels proposed in the new SW permit based on testing conducted at the SW
outfal is located at this site. If the current benchmark values noted in the draft permit are incorporated
into the final permit, CP&F will likely be subject to Tier II and Tier III monitoring requirements during
the first rainfall event. Such being the case, consideration should be given to either modifying the
current benchmark values or consider the inclusion of a compliance schedule to allow CP&F to
implement BMPs that may help reduce the off -site migration of pollutants. It should also be noted that
CP&F plans a major site construction project in 2009, which will result in a substantial portion of the
property covered under a metal roof. The area to be covered is suspected to be a significant source for
Pollutants found in CP&F SW sampling data. If a compliance schedule is incorporated into the
renewed permit, the completion schedule of this project should be taken into consideration.
Since the original renewal application was received in 2004, there has been additional property added
to the CP&F site on both the north side and the east side. This additional property also includes SW
outfalis that may have not been reflected in the original renewal application. It is suggested that an
updated renewal application be provided including a revised site map that indicates the current
property boundaries and existing SW outfalls. It is also recommended that use of SW outfall 004 be
discontinued since it eventually flows through outfall 005, which is currently monitored and outfall
007 be eliminated as it does not receive SW from the industrial process/storage areas.
5ti �iw ��n 'J�!: .- iL_
1.
0aaPRL0=0==0=
PIPE and FOUNDRY COMPANY
P.O. Box 35430 • Telephone 704/332-2647
CHARLOTTE, NORTH CAROLINA 28235
Foundry Fax No. 332-4581
August 24, 2016
Bethany Georgoulias
NCDENR - Stormwater Permitting Program
1612 Mail Service Center
Raleigh,- NC 27699-1612
(91.9) 807-6372
RE: Charlotte Pipe and Foundry Company
Permit # NCS000040
NPDES Stormwater Permit Renewal
SW006 Outfall Relocation
RECEIVED
- - - - - - -AUGI2 6 2016- - -
DENR•LAND QUALITY
STORMWATER PERMITTING
Charlotte Pipe and Foundry Company (Charlotte Pipe) is submitting this
request to relocate Stormwater Outfall SW006 from a location within our
fence line to a location (SW006A) just outside our fence line. This request is
being made as raw material storage and drop lot parking were required to be
moved due to the sale of property across the railroad tracks (along the
southeastern property line) to NCDOT.
The aforementioned activities have been moved to drainage Area I along our
northern property line. By relocating sampling point SWO06 to SW006A,
Charlotte Pipe will capture flow from both the existing SW006 sampling
location (it is direct piped to the new location) and from the new material
storage area. The existing (SW006) and proposed (SW006A) sample locations
are less than 1.00-foot apart and have been highlighted on the attached
drawing for reference.
If you have any questions or need any additional information, please contact
Jenny Pappalardo at (704) 348-5513 or David Waggoner at (704) 348-5408.
Sincerely,
_.( /�
David G. Waggoner
Charlotte Pipe and Foundry Company
Quality -Environmental Manager
VING NUMBER
34-12
J
W;r�
Hi '-zV�
G
F
10
u
C
E
12
d
Ar�n
Fitting
Storage--
Area
p ' fruc v
-, -Cru�k _
�� '
parking
V
Z �m
J
-
Z �e
�Lu
w
U
�- I-
w9w
J N
CL
yC.1
0 0 (n
LL
OUTFALL
SWO02A
72�
OUTFALL
SW001
SCALE
0' 100' 200'
DIRECTION OF STORM WATER FLOW
- LOCATION OF STORM WATER OUTFALLS
OUTFALL
LATITUDE
LONGITUDE
001
35°13'27"N
-80a51'49"W
002
35°13'29"N
-80a51'47"W
002A
38a13'36"N
-80a51'47"W
004
35a13'27"N
-80051'38"W
005A
35a13'28"N
-80a51'40"W
006
35a13'32"N
-80°51'44"W
006APROPOSED
35a13'33"N
-80°51'45"W
AREA
(ACRES)
PERCENT
IMPERVIOUS
AREA 1
9.19
50%
AREA 11
2.90
95%
AREA 111
3.33
85%
AREA IV
7.44
95%
AREA V
2.28
95%
AREA VI
1.78
85%
AREA VII
12.50
95%
OUTFALL
POTENTIAL POLLUTANTS
001
METALS, CHEMICAL RESIDUES, OIL & GREASE
002
METALS, CHEMICAL RESIDUES, OIL & GREASE
002A
METALS, CHEMICAL RESIDUES, OIL & GREASE
004
METALS, CHEMICAL RESIDUES, OIL & GREASE
005A
METALS, CHEMICAL RESIDUES, OIL & GREASE
006
METALS, CHEMICAL RESIDUES, OIL & GREASE
006A PROPOSED
METALS, CHEMICAL RESIDUES, OIL & GREASE
I
w
i
rf
E
L1
J
C
Ln
1 105/161 Revised as Noted
REV I DATE I DESCRIPTION
LIMITS UNLESS OTHERWISE SPECIFIED
FRACTIONS f 1/64 DEC. FRACTIONS t .01 ANGLES t 30'
DECIMALS f .005 SURFACE FINISH 125 R.M.S.
CHARLOTTE PIPE AND FOUNDRY CO.
1335 SOUTH CLARKSON STREET
CHARLOTTE, NORTH CAROLINA CAST IRON A
TITLE Environmental Survey
SCALE DR BY DJO DRAWING NUMBER
DATE 4-28-2015 CK BY 34-12
Bin
Storage
IRWIN
CREEK
OUTFALL
SWO06
ti
Warehouse
OLD S)SWO07
Location
_ - - - Asphalt
— — Trash
s
Dunpster Parking
� I
O
Asphalt I
Parking
BinStorage
c,`
Asphalt
i"`
/ Dunpsh
rash
/ Dunpsters
Bulkulk Mn
/ Spent Storage
Flttln (Covered)
Storog
Area
Storage
VAsphalt i
HOUSE /
USED OIL D Upstream Loc
TANK ,vi! r -, 4- � S'd-003
Generator ➢r4n y! uI rn li _ ,
Sto e i � "�
Trash
Dunpster �' '® S�J
H -- --
/ ruuxzzr �g
(� y sue srn u;cansu
OUTFAL-L Property of Rallroad
SWO04
S
-
OUTFACE
SW005
Sp
-----------------
SAMPLE
LOCATION
FORSW002w / m=
(SWO02A) Parking
a`
a.a.n,. n Stag
T. �'I
H �fi Storage �
oar
Asphalt I p Gravel
n
Grass
1,5
OUTFACE — ._
o o
SWO02 a
DRUM/ 011
CS TOTE i
STORAGE. i
1 SHED F�
Tvs,vvv-wgW '�I `a' `Y✓'--" -pstream Lur l ��.
raxu SW 010
,ii IIWIaa"
3 Coke
!� ®� Storage Asphalt
Asphalt / f - x, �: Cardboard
/ Trash Dunpster
Asphalt
B - CI -r Dun ster
n<u Trnsh /' �pstream Lac
sack[ �� � storoe: Dun stet SW-Oltl
Trucksbom
I
Bin UM - Parking
OUTFALL
�/�/Q0l ® .oq
IBentonit g Stota e
••
Bin
®FeldsP
nr SO....,o ma.
Storage Silos
IF I .
Asphalt
Gravel Parking
Asphalt /
® ® / Truck
D nsracmxs vau ✓✓✓ �
I
I Parking
1,
GRASS'
upstreon Loc
Sw-011
DIRECTION OF STORM WATER FLOW
LOCATION OF STORM WATER OUTFALLS
LATITUDE
LONGITUDE
001
350
13'27"
300
1 °51 LI
002
35°13'29"a
30°51'49"
002A
3 °131:23"
30051'
2"
004
35°13'27"
3 °
1'39"W
005
350
13'29"
30051
° 1 "
006
35°13'34"
30051'45"
a
AREA
PERCENT
(ACRES --
IMPERMUS
--
AREA �
—
5.75
9 % --
EA H
2.90
95%
AREA III
3.33
35%
AREA W
10.23
95%
AREA V
2.2
95%
AREA V1
8.53
5%
AREA M
12.00
95%
001
METALS,
CHENCAL
RESIDUES,
OIL
&
GREASE
002
MET ALS),
CHEMICAL
RESIDUES,
OIL
&GREASE
00 A
METALS,
CHEMICAL
RESIDUES,
OIL
&
GREASE
004
METALS,
CHEMICAL
RESIDUES,
OIL
&
GREASE
005
METALS,
CHEMICAL
RESIDUES,
OIL
&
GREASE
006
METALS,
CHEMICAL
RESIDUES,
OIL
&
GREASE
r.,
ry
-i
IJ
\
V
�
IN
F-1 1
'NC
10,1
RECEIVED
JUL 112014
DENR•LAND QUALITY
STOP,MWATER PERMITTING
ading Dock
h3
J
sn �
As It
Prig r'
y sn l
G-
� 4sn
f
Warehouse
OLD Sample
Location SWO07 - - Asphalt
Trash
- Dumpster
Parking
Bin Storage
Asphalt
/ TOTE
STORAGE
SHED
/ Scrop Metal
Dumpster
Dumpsters
-.� Bulk Material
Spent Storage
/ Flttln (Covered)
Storag
Area
/Fitting
/ Storage
Area
Storage
Asp/It
a
OIL
HDUSE
USED OIL � ---
TANK Dr m
Generator
Upstream Loc
® SW-003
OUTFALL
LATITUDE
I`
001
350
13'2 "
30051'51
"
002
35°
13'29"
0051'49"
002A
35°13'
ee
0051'42"
004
35°13'27"
0051'39"
005
35013'
9"
30051
° 1"
006
35013'34"
300
1'45"
Sto —�_
Trash j ... ,"
O!.T
Dumpster -
i
Bin - y --- d
Sn"STY LLG LE
Storage / y s�_sra yl — c 'Dr
= Asphalt \ a �. ® vnoa
Property of Railroad Parking OUTFALL/ 89®; ®, =�@AREA PERCENT
I
SWO04� tl IMPERVIOUS
IRWIN ®AREAI -
m ;
5.75 0%
CREEK OUTFALL sd AREA 11 2.90 95%
SWO06 Asa GRPRL
�snw, m
yall
AREA � � I 3.33 `�/�
OUTFALL o^G
swoon AREA IV 10.23 95%
AREA V 2.28 95%
SA
�s 'i 2 TOTES OF UIL
SAMPLE ° --SHELL CORE UNLOADING AREA AREA V9 3.53 Rom,%
I ww GY J/, // v
rex� h m
LOCATION � �iNpli ®m3 i1 12.0695®�/0
FOR SWO02 /
(SWo02A) ,. :, , Parking
- ---
slag
T° Storage
OUTFALL
SW002
OUTFALL
SW001
iPa
As halt a-mRr Gravel
p ;�L�ADI.G AREAb'
/ Grass
�/ --- DRUM/ z'
TOTE
0a ST❑RAGE
coxPecssox� SHED Cc
,
coxoExsnre rl
D-GRLLLN� pstrPam Lec ,
V
XnT 9[P TAWW-0SO —.
® ' �' q
Coke r
® St...
Asphalt
St
orage
m C 3 Siorane
Asphalt" e
Cardboard dT-1,
Trash Dumpster ....� ,.V
I ® ❑ 3 - Dumpster
Asphalt
hal}
i Trash ppstream Loc
SRxPu: Boa, Dumpster SW-010
as
9 Lcarmx y z -- - ,.
SVDI1 - Truck
OFFICE
Parking
Bin
0
® ® ®Felds00 9 Storage
D I onit Fit"
Bin f
\ par 4 sm�RG.' " -
�® m
StorageAREA IV -,
S"°=
Asphalt
Gravel Parking
�\ Asphalt m Siu gR Tr
uck
® Parking
GRASS
IL yT ® ��� am ASS
' Upstream Loc
\ R. SW-0Y1
® �eoeeLi �w in vim
'�
00 a
I$ 6 "�" A. @ �'"
z�JI T i AL.- I
d'� E � R`z' 4d t� P� qd '
C �EWC_o��'L
� X� s`� a rr^p. e a. � 9-e
FZCE ��UEESS9
n,aa o
O'IL
n
.,,m
GREASE
GREASE
002
METALS,
CHEMICAL
RESIDUES,
OIL
&
GREASE
002A
METALS,
CHEMICAL
RESIDUES,
OIL
&
GREASE
004
METALS,
CHEMICAL
RESIDUES,
OIL
&
GREASE
005
METALS,
CHEMICAL
RESIDUES,
OIL
&
GREASE
006
METALS,
CHEMICAL
RESIDUES,
OIL
&
GREASE
Ve Wu A pr*ah " "Ir.
1 F_FI
Y
STEEL 160'-0° STEEL
Paul
Briggs
W architect
A 22 Talbert Blvd.
Lexington, NC 27292
Phone (336) 248-2030
Fax (336) 248-6355
m° Fin " of aa"Y
CONSTRUCTION INC.
0
N
I
a N
/1 L) 0
Irq Z 7
r
r
o:
g mx
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w
z
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3 M M
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0
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Q
Z
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F� F p
Z
Of
LL � Z
J
U
W Q
L,
Q
W �p
W Z /r
G C) �
o U a_
SCALE: 1/8" = 1'-O" 0-
CONTINUOUS Of U
( ) RELATIVE
ELEVATIONS ARE NOTED THUS
100'-0".
NUCOR BUILDING SYSTEMS
DRAWINGS.
(4) DUE TO THE SHORT PIER HEIGHT THE ANCHOR ROD ASSEMBLIES ARE TO BE
LINE LINE
CAST WITH THE FOOTINGS. THE GENERAL CONTRACTOR IS TO TAKE CARE IN SHEET TITLE
PROPERLY LOCATING AND SECURING THE ANCHOR RODS.
(5) PRESUMPTIVE ALLOWABLE SOIL BEARING PRESSURES (FIELD VERIFY):
Qj a 2000 PSF AT COLUMN FOOTINGS U.N.O.
b) 2500 PSF AT CAST -IN -PLACE CONCRETE WALLS U.N.O. FOUNDATION
6 MINIMUM CONCRETE COMPRESSIVE STRENGTH = 3000PSI AT 28 DAYS. PLAN
IV\MMM 7 DEFORMED REINFORCING BARS ARE TO CONFORM TO ASTM A615.
$ = FINISHED GRADES 8 ANCHOR RODS ARE TO CONFORM TO ASTM F1554 GRADE 36.
9 LOCATE BOTTOM REINFORCING BARS 3" CLEAR FROM BOTTOM OF FOOTING
0 $ T.O.S. =DENOTES TOP OF CONCRETE (10) LOCATE TOP REINFORCING BARS 2° CLEAR FROM TOP OF FOOTING
SLAB ELEVATION (11) MINIMUM LAP SPLICE FOR #4 BARS IS 24" SHEET
(12) MINIMUM LAP SPLICE FOR #5 BARS IS 27"
(13) SUPPORT REINFORCING BARS USING STANDARD BAR SUPPORTS.
CJ = DENOTES CONSTRUCTION JOINT
OR SAWCUT CONTROL JOINT
DATE REVISION DESCRIPTION S1.1
P24-24 = 2'-0"x2'-0"x1'-0" WITH (10) #5 DOWELS AND (3) #3 CLOSED TIES
P20-20 = 1'-8"xi'-8"xi'-0" WITH (9) #5 DOWELS AND (3) #3 CLOSED TIES REVISION 1
LINE
39'-5 7/i6" 120'-6 9/i6"
LINE
40'-0" 30'-0" 30'-0° 30'-0" 30'-0"
STEEL
LINE
6 9/16" 29'-6 i/2°
DETAIL 52.2 S2.1 52.1 1 FOOTING '
5 1/2"
II S21
I CENTERLINE
-
F110-110 F120 120 F120-120 F100-100
1/i6")-1'-5 1/16") � r � (-0'-7 5/16") - - , (+2'-9 1/8")
I P24-24 I I I P24-24 52.1 I I I P24-24 P24-24 I
w z
[-0'-11 1/16"] I I [-0'-5 1/16"] I I [+0'-4 11/i6"] I I [+3'-9 1/8"] r _ -'
-.� 2
$100'-0" - ---� \ I r-- ---I------� �-----BRACED BAY ----� -- r---------------� F------------------
BENCHMARK
�----------- -
REFERENCE __ •� I I o I I I I I I I L_
J F60-60 z�
c---- ---J L---1---J III
L___-1_- L----1--_ J
(+3'-11 7/8") o
P20-20 � W
�_J
" p ,- " I
f„ T.O.S. ° � .$g9-10 $98-4 $100 0 $102 7
$104'-3" III
I
[+4'-11 7/8"]
(99 0) �
$T.O.S.
DETAIL r (99�-0") T.O.S.$��
(99 -0)
NEW CROSS TIE
^� RETAINING WA
FOOTING
SCHEDULE
MARK
SIZE
REINFORCING
F120-120
12'-0"
x 12'-0"
x 3'-0"
(11) #7 BARS x 11'-6"
EACH WAY (TOP do BOTTOM)
F110-110
11'-0"
x 11'-0"
z 3'-0"
(10) #7 BARS x 10'-6"
EACH WAY (TOP do BOTTOM)
F100-100
10'-0"
x 10'-0"
x 3'-0"
(12) #6 BARS x 9'-6"
EACH WAY (TOP &BOTTOM)
F96-96
9'-6"
x 9'-6"
x 2'-9"
(10) #6 BARS x 9'-0"
EACH WAY (TOP k BOTTOM)
F70-70
7'-0"
x 7'-0"
x 2'-6"
(7) #6 BARS x 6'-6"
EACH WAY (TOP k BOTTOM)
F60-60
6'-0"
x 6'-0"
x 1'-6"
(5) #5 BARS x 5'-6"
EACH WAY (TOP k BOTTOM)
12
Pnnp- PITr1-I 11
0
Lo
N
100,0
- 4-
I I
�1NnRTH FI FVATInN
Y
L--_____J
EAST ELEVATION
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NCNHDE-6485: NCS Renewal Report
Bennett, Bradle
From: Broadway, Chad <Chad.Broadway@mecklenburgcountync.gov>
Sent: Friday, August 17, 2018 8:08 AM
To: Bennett, Bradley
Cc: Khan, Zahid; Moore, James
Subject: [External] RE: [External]Checking in on a few more Mecklenburg County sites
Attachments: IGM Resins - 9-22-15 - Final Report.pdf; Gerdau Ameristeel NOV 8-2-12.pdf; Geradu
Ameristeel US Inc. - Final - 5-14-13.pdf; Gerdau - Facility Cover Letter and Inspection_
11.14.17.pdf; Gerdau Monitoring - Cover Letter and Report (Color).pdf; Inspection
Report - Charlotte Pipe and Foundry - FINAL.pdf; Final - Nexeo Solutions - Stormwater
Facility Inspection.pdf; NexeoSolutions_report_v2.pdf
CAUTION: Exter aI email. Do not slick links or open attachments u less verifie .Send all suspicious email as an attachment to
..
Hi Bradley,
Sorry for the very late response, we've had a number of issues come up over the last month and I'm just now getting
caught up. For the facilities you mentioned:
• NCS000049 — IGM Resins USA, Inc. —3300 Westinghouse Blvd
o Our most recent inspection of the facility was on 9/22/15 (attached), although it was by an inspector
who is no longer in our group and is not very thorough/descriptive.
o I conducted a complaint -based inspection at the facility in June of this year and found a compromised
pipe that conveys process water to their pretreatment system. While I did not view any discharge from
the pipe during two visits, the pipe appeared to have a high potential to discharge residual toluene (one
of the primary chemicals used on site) and other pollutants from their waste stream. I received
notification last week that the pipe has been replaced.
o From my visit, there was a fair amount of spilled material and a lot of outdoor ASTs, but most of the
exposed area near the plant appears to be collected in a system that discharges to the facility's
pretreatment system.
• NCS000304 — Gerdau Ameristeel US, Inc. - 6601 Lakeview Road
o Our most recent facility inspections were on 10/23/17 and 5/14/13 (attached).
o We also conducted stormwater monitoring on 2/9/14. Results are attached — we found slight
exceedances of pH, Cu, and Zn.
Generally speaking, the facility has a significant amount of exposure and pollution sources, but
also reuses a lot of accumulated stormwater and has very large buffers between the plant and
the final outfalls.
o I responded to a spill of approximately 125 gallons of hydraulic oil on 1/3/18. 1 think this spill was
reported to MRO, and then Zahid notified us. The discharge was due to an operator error during facility
maintenance, and approximately half of the spilled amount reached the ground with no obvious impacts
to the storm drainage system. The affected area was excavated by a remediation contractor within a
week and results for remaining soils were below action levels.
o We conducted a complaint -based inspection in January 2015 based on reports of discharges from the
facility's closed -loop recycle process water (contact) system. During our inspection, no active discharge
was occurring, but high-water marks and stained soils around the system's return pond indicated
multiple previous discharges from the system. From my understanding, while this may not be relevant
to the NPDES permit, this situation also turned into a wrongful termination whistle blower lawsuit. We
have been contacted by legal representatives for the former employee on multiple occasions.
o We conducted an inspection on 8/2/12 for a spill of 460 gallons of diesel fuel to the ground and a
stormwater retention / process water pond. The NOV is attached, and I think James Moore may have
recently been contacted about this discharge.
NCS000040 — Charlotte Pipe & Foundry Co. - 1335 S. Clarkson Street
o Our most recent facility inspection was on 5/14/2015 (attached). From the report, it appears they were
in Tier II/III at the time, but there's not information about what parameter(s) were exceeded or how
great the exceedances were.
o We also responded to an "asphalt -water mixture spill" on 1-13-14. Our file did not have a lot of
information about the source and cause of this spill, but I would assume it was due to site
improvements as opposed to process -related.
• NCS000315 — Nexeo Solutions LLC — 3930 Glenwood Drive
I inspected the facility on 11/28/17 and a previous inspection was conducted on 3/31/14.
(attached) The facility is a repackaging and distribution center for haz-mats, flammables, caustics, etc.,
and is generally well -kept.
During my inspection, I found they were not conducting qualitative monitoring at all outfalls, as
required. Based on the requirement for analytical to only be conducted at one outfall, I could see how
this may have been confusing.
Chad Broadway, Environmental Specialist
Charlotte -Mecklenburg Storm Water Services
Mecklenburg County Water Quality Program
2145 Suttle Avenue
Charlotte, NC 28208
704-280-1497 (mobile)
chad.broadwav@mecknc.eov
http:Zlcharlottenc.gov/StormWater
Storm Water's WHY statement: We are passionate about making our environment safe and healthy by reducing
flood losses and improving water quality for all.
chortotfu4j sklenbarg
STORK!
_ _LL_ WATER
_ Services
From: Bennett, Bradley <bradley.bennett@ncdenr.gov>
Sent: Monday, July 30, 2018 3:55 PM
To: Broadway, Chad <Chad.Broadway@mecklenburgcountync.gov>
Cc: Khan, Zahid <zahid.khan @ncdenr.gov>; Moore, James <james.moore@ncdenr.gov>
Subject: [ExternaljChecking in on a few more Mecklenburg County sites
CAUTION: This email originated from outside of the organization. Do not click links or open attachments unless you
ize the sender and know the content is safe.
Hey Chad,
Over the next few weeks I'll hopefully be getting to a few more facilities for individual permit renewals. I just wanted to
touch base with you and see if you had any information on these that might not be reflected in BIIMS inspections.
• NCS000049 — IGM Resins USA, Inc. — 3300 Westinghouse Blvd
• NCS000304 — Gerdau Ameristeel US, Inc. - 6601 Lakeview Road
• NCS000040 — Charlotte Pipe & Foundry Co. - 1335 S. Clarkson Street
• NCS000315 — Nexeo Solutions LLC — 3930 Glenwood Drive
I haven't started the review just yet so I don't have any drafts ready. Just wanted to see if you have anything to pass
along on these that we should consider as we work through it. I'll check through BIMS and see if there were any issues
from the most recent DEMLR or CMSWS inspections.
Zahid, James— heads of for you guys also. Let me know if you are aware of any issues.
CI
Bradley Bennett
Stormwater Program Note New Phone Number
NC Division of Energy, Mineral & Land Resources Phone: (919) 707-3646
512 N. Salisbury Street Fax: (919) 807-6494
1612 Mail Service Center Email: brad ley. bennett(cDncdenr.gov
Raleigh, NC 27699-1612
Email correspondence to and from this address may be subject to public records laws
Charfooee-Mecklenbburrg 700 North Tryon Street
0 t! .STORM Charlotte, NC 28202
WATER Facility Inspection Fax 704.336.4391
— . Services
Facility Name: Charlotte Pipe & Foundry Company
Inspection ID: 16536
Contact: Jenny Pappalardo, Environmental Engineer
Permit #: NCS000040
Inspector: Ron Eubanks
Receiving Stream: IRWIN
Inspection Date: 05104/2015 Entry Time: 9:30 am Exit Time: 12:00 pm SIC #:
Facility Description: The Charlotte Pipe and Foundry facility is located at 1335 South Clarkson Street on
approximately 45 acres of property. The facility manufactures cast iron piping and cast iron piping joints & fittings.
File Review/History: Stormwater inspections have been previously conducted by Charlotte -Mecklenburg Storm
Water Services at Charlotte Pipe and Foundry Company on April 19, 2002, April 5, 2006, and May 3, 2010.
Inspection Summary: During the recent inspection, Charlotte Pipe and Foundry Company was observed to be in
compliance with the Charlotte Storm Water Pollution Control
Ordinance. Please refer to the report for comments and
recommendations regarding the inspection.
Site Inspection Deficiency
Comment
Stormwater system (catch basins,
No
Stormwater runoff from the property drains by sheet flow into
inlets, outfalis, etc.)
a series of catch basins and discharges from the property via
five (5) outfalls. The stormwater drainage systems appeared
to be in good condition; no significant pollution issues were
observed.
Erosion issues
No
No stormwater erosion issues were observed on the property
during the inspection.
Structural stormwater BMPs
Recommendation
The structural stormwater best management practices
(BMPs) at the site include inlet protection in some of the catch
basins on the property. The waste aggregates have also
been recently relocated indoors on the property to prevent
contact with stormwater runoff. Routine parking lot sweeping
and catch basin inlet cleaning activities are recommended to
reduce the amount of sediment in stormwater runoff from the
property.
Illicit discharges/connections
No
No illicit discharge or connections were observed on the
property during the inspection.
Aboveground storage tank(s) - list
No
The aboveground storage tanks (ASTs) on the property
tank sizes & contents
include: one (1) 10,000-gallon gasoline AST, one (1)
10,000-gallon diesel fuel AST, one (1) 15,000-gallon hot
asphalt AST, and one (1) 500-gallon used oil AST. Each of
the ASTs are located within secondary containment with a
locked drain valve.
Underground storage tank(s) - fill
N/A
port area; list tank sizes & contents
Outdoor material storage area(s)
No
Some raw materials and finished product are stored outdoors
on paved and gravel areas of the property. No significant
stormwater pollution issues were observed in the outdoor
material storage areas.
Outdoor processing area(s)
N/A
•
To report pollution or drainage problems call: 311
http:// s t o r m w a t e r. c h a r m e c k. o r g . cauu.trrrr•..
5/21/2015 4:52:31PM
Page 1 of 3
Site Inspection Deficiency Comment
Loading/unloading area(s)
No
There are several loading/unloading areas on the property.
No significant stormwater pollution issues were observed in
the loading/unloading areas.
Vehicle/equipment area(s) - fueling,
Recommendation
Facility vehicles and equipment are fueled onsite from the fuel
washing, storage, etc.
dispenser pumps located adjacent to the gasoline and diesel
fuel ASTs. Facility vehicles and equipment are also washed
on the property in a wash bay. The wash bay drains into an
oil/ water separator which is connected to the sanitary sewer
system. Since there are storm water inlets located down
gradient from the fueling area, stormwater inlet protection
BMPs are recommended.
Oil/Water separator and/or
No
There is an oil/water separator located on the property for the
pretreatment
vehicle wash bay. Charlotte Pipe and Foundry Company also
has a Pretreatment Permit (#0665) with Charlotte Water
(formerly Charlotte -Mecklenburg Utilities).
Waste storage/disposal area -
Recommendation
There are municipal waste, scrap metal recycling, and wood
dumpsters, scrap metal bins, etc.
pallet recycling dumpsters located on the property. Each of
the observed dumpsters appeared to be in good condition;
however, the scrap metal recycling dumpster were uncovered.
It is recommended that the dumpsters be covered to prevent
stormwater accumulation.
Food service area(s)
No
There is a grease trap located on the property; the grease
trap is cleaned annually.
Indoor material storage area(s)
No
Various chemicals and paint are stored indoors on the
property.
Indoor processing area(s)
No
Floor drains
No
The floor drains on the property are connected to the
pretreatment system which discharges to the sanitary sewer.
Spill response equipment
No
Spill kits are located at the garage, oil house, and
loading/unloading areas on the property.
Stormwater Pollution Plan Observed Comment
Does the facility have a stormwater
Yes
pollution prevention plan?
General location (USGS) map
Yes
Narrative description of practices
Yes
Detailed site map
Yes
List of significant spills (past 3 years)
Yes
A spill from the hot dip asphalt area was properly reported on
January 13, 2014,
Non-stormwater discharge
Yes
evaluation of outfall(s)
Feasibility study
Yes
All necessary secondary
Yes
containment provided
Collected water evaluated and
Yes
documented prior to release
BMP Summary
Yes
Spill prevention and response plan
Yes
Preventative maintenance and good
Yes
housekeeping plan
Facility provides and documents
Yes
Employee training was conducted in December 2014.
employee training
List of responsible parties
Yes
Reviewed and updated annually
Yes
Stormwater facility inspection
Yes
program conducted semi-annually
Qualitative/Analytical Monitoring Observed Comment
•
KrnTo report pollution or drainage problems call: 311
http://stormwater.charmeck.arg
ClLtlll,l l"ITt;.
5/21/2015 4:52:31PM Page 2of3
Qualitative/Analytical Monitoring Observed Comment
Qualitative monitoring conducted
Yes
The most recent qualitative monitoring was conducted on
semi-annually
December 16, 2014 and April 14, 2015.
Analytical monitoring conducted
Yes
The most recent analytical monitoring was conducted on
semi-annually
December 16, 2014 and April 14, 2015. Due to recent
benchmark exceedences, monthly monitoring is being
conducted at stormwater outall #4.
Analytical monitoring from vehicle
Yes
maintenance
Permit and Outfalls Observed Comment
Copy of permit and certificate of
Yes
Charlotte Pipe and Foundry Company has an Individual
coverage onsite
NPDES Stormwater Permit (NCS000040).
All ouffalls observed
Yes
No stormwater pollution issues were observed at the outfalls.
Number of Outfalls Observed
5
Representative ouffall status
N/A
documented by NCDWQ
Annual no -exposure self
N/A
re -certification documented
Additional Findings Observed Comment
Observation(s)
Observation(s)
Observation(s)
Phase II Permit Requirements Observed Comment
Wastes removed from the MS4
N/A
properly disposed
Public transportation (roadway)
N/A
projects constructed within the last
year
Curb miles and parking lots swept
N/A
documented
Catch basin and storm drain pipe
N/A
cleaning documented
Records of pesticide/herbicide
N/A
applicator licenses maintained for
staff and contractors
If pesticide treatment areas
N/A
exceeded, was permit application
submitted?
Pesticide limitations in Goose Creek
N/A
Watershed followed
•
To report pollution or drainage problems call: 311
h IIp:// s t o r m w a t e r. c h a r m e c k. o r g
I:ILtRl.l1'1'1'1_ cLL
5/21/2015 4:52:31 PM
Page 3 of 3
CHARL( TTE
PIPE and FOUNDRY COMPANY
P.O. Box 35430 • Telephone 704/332-2647
CHARLOTTE, NORTH CAROLINA 28235
Foundry Fax No. 332-4581
July 1.0, 2014
NCDENR -DEMLR
Attn: Zahid Khan
61.0 East Center Ave., Suite 301
Mooresville, NC 28115
704.663.1.699
r
RF�jIz1j p
J0 i1'i14
STORYWAER ": ?ARTY
NG
RE: Charlotte Pipe & Foundry Co. - Mecklenburg County, NC
NPDES Stormwater Permit NCS000040
SWO04 Zinc Benchmark Exceedance
Dear Mr. Khan:
In follow-up to a phone conversation with Ken Pickle, NCDEMLR Stormwater -
Raleigh on Thursday, July 10, 2014, I am submitting this written notification that
we have exceeded the benchmark value for Zinc from SWO04 on four occasions
since our delay of tiers has expired.
We have implemented several significant BMPs over the past several years to
reduce concentrations of regulated parameters in our stormwater. These include,
but are not limited to:
• Installation of a Waste Storage Building to cover our waste piles;
• Installation of sump pumps in our scrap storage area and charging system
pits which pump rain water to our on -site water treatment plant for
recycling;
• Placement of covers on outside baghouse collection bins to prevent run-off
to the storm drains;
• Routine sweeping of facility grounds;
• Vacuuming of multiple storm drains;
• Weekly 5S departmental cleaning of outside areas;
• Monthly inspections of material storage areas; and
• Quarterly visual and housekeeping inspections of the site.
Mr. Khan
Page 2
We would like to work with you to establish a path forward. Please contact me
at 704.348.5513 to schedule a site visit or if you need any additional information.
Thank you for your assistance.
Sincerely,
Jenny Pappalardo
Charlotte Pipe and Foundry Co.
Environmental Engineer
cc: Ken Pickle
] 612 Mail Service Center
Raleigh, NC 27699-1612
(919)807-6376
Pickle, Ken
From: Eubanks, Ron <Perry.Eubanks@mecklen rgcountync.gov>
Sent: LTuesday, July 14, 2015 10:54 AM
To: Jay
Cc: bert; Pappalardo, Jenn .; dwaggoner@charlottepipe.com; Pickle, Ken
Subject: rmwater Ins ection - harlotte Pipe and Foundry
Attachments: e Pi a and Found Cover Letter.pdf; Inspection Report - Charlotte Pipe and
Foundry - FINAL.pdf
Good morning Jay,
I spoke with Ms. Jenny Pappalardo (Charlotte Pipe & Foundry) earlier this morning regarding the planned
construction activities to be performed at the site. From our conversation, it is my understanding that the
construction activities are being performed to accommodate the CATS Light Rail expansion project near the
Charlotte Pipe & Foundry property. As you may be aware, Charlotte -Mecklenburg Storm Water Services
(CMSWS) performs inspections at various industrial facilities within the City of Charlotte under the City's Phase
I Stormwater Permit. The recent inspection conducted by CMSWS on May 4, 2015 has been attached for
reference. I explained to Ms. Pappalardo that the construction activities at the site would have to comply with
the City of Charlotte Soil Erosion and Sediment Control Ordinance. I explained that an Erosion Control Plan
would also be required if the disturbed area was greater than one (1) acre. As for their NPDES Individual
Stormwater Permit, it is currently up for renewal at the State and they plan to update their Stormwater
Pollution Prevention Plan (i.e., Site Map, Outfall locations, etc.) when the construction activities have been
completed. Please contact Ms. Pappalardo at (704) 348-5513 to discuss the City of Charlotte erosion control
requirements for this project. Please send me an e-mail or contact me at (980) 721-4191, if you have any
questions or need additional information regarding this matter. Thanks as always for your help.
Have a great day!
Ron Eubanks, Environmental Specialist
Charlotte -Mecklenburg Storm Water Services
Mecklenburg County Water Quality Program
700 North Tryon Street
Charlotte, North Carolina 28202
Phone: (704) 336-5446 (office), (980) 721-4191 (cell)
E-mail: Perry.Eubanks@MecklenburgCountyNC.gov /✓4fllefP!,A ISS. o I-e-V;.re �oenH��7�/
Coul1--S qo/�/rt2Tien /a 4eo;.VOr(
Consider the environment before printing this email or the attachment.
71/4/Ae/S
K,BP advisPo/✓enn y /a�oPa�a��o o�
From: Eubanks, Ron
Sent: Thursday, May 21, 2015 5:12 PM
To: 'Pappalardo, Jenny L.'
Cc: 'dwaggoner@charlottepipe.com'
Subject: RE: Stormwater Inspection - Charlotte Pipe and Foundry
C'P:1rF thif.- L
• �r'opotPa/P/a�rcT s�tw/off �e
reiclee-f-d /A ��aat°d 5Aae
W.-w oalva//s nray 6e o//
D/!PS a ban do ono,(.
Hi Jenny,
Please find attached copies of the cover letter and report from the recent stormwater inspection conducted
by Charlotte -Mecklenburg Storm Water Services at Charlotte Pipe and Foundry. From the report, there are a
few recommendations; however, no written response is necessary. Please send me an e-mail or call with any
questions. Thank you and David for your cooperation with the inspection.
Have a great "Memorial Day" weekend.
Ron Eubanks, Environmental Specialist
Charlotte -Mecklenburg Storm Water Services
Mecklenburg County Water Quality Program
700 North Tryon Street
Charlotte, North Carolina 28202
Phone: (704) 336-5446 (office), (980) 721-4191 (cell)
E-mail: Perry.Eubanks@MecklenburgCountyNC.gov
NA Consider the environment before printing this email or the attachment
From: Pappalardo, Jenny L.[mailto:ipappalardo@charlottepipe.com]
Sent: Friday, April 24, 2015 2:26 PM
To: Eubanks, Ron
Subject: Re: Stormwater Inspection - Charlotte Pipe and Foundry
Yes, check in at guard shack at main gate and have them page me. Look forward to seeing you.
Sent from my iPhone
On Apr 24, 2015, at 1:11 PM, Eubanks, Ron <Perry. Eubanksmecklenburgcountync.gov> wrote:
Hi Jenny,
Let's plan to meet at 9:30 a.m. on May 41h. Do you want me to meet you at the visitor entrance
at guard house?
Have a good afternoon.
Ron Eubanks, Environmental Specialist
Charlotte -Mecklenburg Storm Water Services
Mecklenburg County Water Quality Program
700 North Tryon Street
Charlotte, North Carolina 28202
Phone: (704) 336-5446 (office), (980) 721-4191 (cell)
E-mail: Perry.Eubanks@MecklenburgCountyNC.gov
Consider the environment before printing this email or the attachment
From: Pappalardo, Jenny L. [mailto:ipappalardoPcharlottepipe.coml
Sent: Friday, April 24, 2015 11:38 AM
To: Eubanks, Ron
Subject: Re: Stormwater Inspection - Charlotte Pipe and Foundry
Thank you Ron. I would prefer AM, but can work around anything convenient for you.
Sent from my iPhone
On Apr 24, 2015, at 10:05 AM, Eubanks, Ron <Perry.Eubanks&mecklenbur cg ountynagov>
wrote:
Good morning Jenny,
Please find attached an explanation letter for the requested stormwater
inspection and a copy of the report from the previous inspection conducted by
Charlotte -Mecklenburg Storm Water Services at Charlotte Pipe and Foundry on
May 3, 2010. From your e-mail, I am also available on May 4`h. Do you prefer to
schedule the inspection in the morning (9:30 a.m. —11:30 a.m.) or afternoon
(1:30 p.m. — 3:30 p.m.)? Please send me an e-mail or contact me at (980) 721-
4191 to confirm. Thanks again to you and David Waggoner for your cooperation.
Have a great weekend.
Ron Eubanks, Environmental Specialist
Charlotte -Mecklenburg Storm Water Services
Mecklenburg County Water Quality Program
700 North Tryon Street
Charlotte, North Carolina 28202
Phone: (704) 336-5446 (office), (980) 721-4191 (cell)
E-mail: Perry.Eubanks@MecklenburgCountyNC.gOv
NA Consider the environment before printing this email or the attachment
From: Pappalardo, Jenny L. [mailto:ipappalardo@charlottepipe.com]
Sent: Thursday, April 23, 2015 3:15 PM
To: Eubanks, Ron
Subject: Stormwater Inspection
Ron,
In follow-up to our phone conversation, I am available May 4, 7-8, 12-15 for you to visit
the site. Please let me know what works for you.
Have a nice day.
Thanks,
Jenny
Jenny L. Pappalardo
CHARLOTTE PIPE and FOUNDRY CO.
1335 South Clarkson Street
Charlotte, NC 28208
Office: 704-348-5513
<Explanation Letter - Charlotte Pipe and Foundry Company.pdf>
<Inspection Report -Charlotte Pipe and Foundry-FINAL.pdf>
ChadattaMwklenbure
STORM
WATER
Services -
May 18, 2015
Jenny Pappalardo, Environmental Engineer
Charlotte Pipe and Foundry Company
1335 South Clarkson Street
Charlotte, NC 28208
Subject: Industrial Facility Inspection
Charlotte Pipe and Foundry Company
Dear Ms. Pappalardo:
700 North Tryon Street
Charlotte, NC 28202
Fax 704.336.4391
On May 4, 2015, Ron Eubanks of Charlotte -Mecklenburg Storm Water Services
(CMSWS) conducted an inspection of the above referenced facility as a requirement of the City
of Charlotte's NPDES Permit, NCS000240, Part 11 Section H. Inspection authority is granted by
Charlotte City Code Chapter 18, Article III, Section 18-82. At the time of inspection, the facility
was observed to be in compliance with the City of Charlotte Storm Water Pollution Control
Ordinance; however, the following recommendations are provided:
Structural stormwater BMPs — The structural stormwater best management practices
(BMPs) at the site include inlet protection in some of the catch basins on the property.
Routine parking lot sweeping and catch basin inlet cleaning activities are recommended
to reduce the amount of sediment in stormwater runofffrom the property.
Vehicle/equipment area(s) — Facility vehicles and equipment are fueled onsite from the
fuel dispenser pumps located adjacent to the gasoline and diesel fuel aboveground storage
tanks (ASTs). Since there are stormwater inlets located down gradient from the fueling
area, stormwater inlet protection BMPs are recommended.
Waste storage/disposal area(s) - There are municipal waste dumpster, scrap metal
recycling, and wood pallet recycling dumpsters located on the property. Each of the
observed dumpsters appeared to be in good condition; however, the scrap metal recycling
dumpsters were uncovered. It is recommended that the scrap metal dumpsters be
covered to prevent stormwater accumulation.
• O
To report pollution or drainage problems, call: 311
e http://stormwater.charmeck.org
C.11,(IILOTfIt
Ms. Jenny Pappalardo
Page 2
May 18, 2015
The attached report provides details about inspection observations and should be self-
explanatory. Please contact me at (980) 721-4191, if you have any questions or need additional
information. Thank you for your time and cooperation with the inspection.
Sincerely,
P. Ronald Eubanks
Environmental Specialist
Charlotte -Mecklenburg Storm Water Services
cc: Craig Miller, Charlotte Storm Water Services
Erich Schweiber, NCDENR — DEMLR
David Waggoner, Charlotte Pipe and Foundry Company
Cbar►fgob1aMeeklwbef�jg 700 North Tryon Street
S1L®�9rM Charlotte, NC 28202
WATERFacility Inspection Fax: 704.336.4391
Facility Name: Charlotte Pipe & Foundry Company
Inspection ID: 18536
Contact: Jenny Pappalardo, Environmental Engineer
Permit #: NCS000040
Inspector: Ron Eubanks
Receiving Stream: IRWIN
Inspection Date: 05/04/2015 Entry Time: 9:30 am Exit Time:
12:00 pm SIC #:
Facility Description: The Charlotte Pipe and Foundry facility
is located at 1335 South Clarkson Street on
approximately 45 acres of property. The facility manufactures cast iron piping and cast iron piping joints & fittings.
File Review/History: Stormwater inspections have been previously conducted by Charlotte -Mecklenburg Storm
Water Services at Charlotte Pipe and Foundry Company on April 19, 2002, April 5, 2006, and May 3, 2010,
Inspection Summary: During the recent inspection, Charlotte Pipe and Foundry Company was observed to be in
compliance with the Charlotte Storm Water Pollution Control
Ordinance. Please refer to the report for comments and
recommendations regarding the inspection.
INSPECTION
DETAILS
Site Inspection Deficiency
Comment
Stormwater system (catch basins,
No
Stormwater runoff from the property drains by sheet flow into
inlets, outfalls, etc.)
a series of catch basins and discharges from the property via
five (5) outfalls. The stormwater drainage systems appeared
to be in good condition; no significant pollution issues were
observed.
Erosion issues
No
No stormwater erosion issues were observed on the property
during the inspection.
Structural stormwater BMPs
Recommendation
The structural stormwater best management practices
(BMPs) at the site include inlet protection in some of the catch
basins on the property. The waste aggregates have also
been recently relocated indoors on the property to prevent
contact with stormwater runoff. Routine parking lot sweeping
and catch basin inlet cleaning activities are recommended to
reduce the amount of sediment in stormwater runoff from the
property.
Illicit discharges/connections
No
No illicit discharge or connections were observed on the
property during the inspection.
Aboveground storage tank(s) - list
No
The aboveground storage tanks (ASTs) on the property
tank sizes & contents
include: one (1) 10,000-gallon gasoline AST, one (1)
10,000-gallon diesel fuel AST, one (1) 15,000-gallon hot
asphalt AST, and one (1) 500-gallon used oil AST. Each of
the ASTs are located within secondary containment with a
locked drain valve.
Underground storage tank(s) - fill
N/A
port area; list tank sizes & contents
Outdoor material storage area(s)
No
Some raw materials and finished product are stored outdoors
on paved and gravel areas of the property. No significant
stormwater pollution issues were observed in the outdoor
material storage areas.
Outdoor processing area(s)
N/A
ifT1,• O
To report pollution or drainage problems call: 311
http:// s t o r in w a t e r. c h a r m e c k. o rg
(]4UIIAYI'IE
5/21/2015 4:52:31PM
Page 1 of 3
Site Inspection Deficiency Comment
Loading/unloading area(s)
No
There are several loading/unloading areas on the property.
No significant stormwater pollution issues were observed in
the loading/unloading areas.
Vehicle/equipment area(s) - fueling,
Recommendation
Facility vehicles and equipment are fueled onsite from the fuel
washing, storage, etc.
dispenser pumps located adjacent to the gasoline and diesel
fuel ASTs. Facility vehicles and equipment are also washed
on the property in a wash bay. The wash bay drains into an
oil/ water separator which is connected to the sanitary sewer
system. Since there are storm water inlets located down
gradient from the fueling area, stormwater inlet protection
BMPs are recommended.
Oil/water separator and/or
No
There is an oiUwater separator located on the property for the
pretreatment
vehicle wash bay. Charlotte Pipe and Foundry Company also
has a Pretreatment Permit (#0665) with Charlotte Water
(former) Charlotte -Mecklenburg Utilities).
Waste storage/disposal area -
Recommendation
There are municipal waste, scrap metal recycling, and wood
dumpsters, scrap metal bins, etc.
pallet recycling dumpsters located on the property. Each of
the observed dumpsters appeared to be in good condition;
however, the scrap metal recycling dumpster were uncovered.
It is recommended that the dumpsters be covered to prevent
stormwater accumulation.
Food service areas)
No
There is a grease trap located on the property; the grease
tra is cleaned annual) .
Indoor material storage area(s)
No
Various chemicals and paint are stored indoors on the
property.
Indoor processing area(s)
No
Floor drains
No
The Floor drains on the property are connected to the
pretreatment system which discharges to the sanitary sewer.
Spill response equipment
No
Spill kits are located at the garage, oil house, and
loading/unloadingloading/unloading areas on the property.
Stormwater Pollution Plan Observed Comment
Does the facility have a stormwater
Yes
pollution prevention plan?
General location (USGS) map
Yes
Narrative description of practices
Yes
Detailed site map
Yes
List of significant spills (past 3 years)
Yes
A spill from the hot dip asphalt area was properly reported on
January 13, 2014.
Non-stormwater discharge
Yes
evaluation of outfall(s)
Feasibility study
Yes
All necessary secondary
Yes
containment provided
Collected water evaluated and
Yes
documented prior to release
BMP Summary
Yes
Spill prevention and response plan
Yes
Preventative maintenance and good
Yes
housekeeping plan
Facility provides and documents
Yes
Employee training was conducted in December 2014.
employee training
List of responsible parties
Yes
Reviewed and updated annually
Yes
Stormwater facility inspection
Yes
program conducted semi-annually
I
Qualitative/Analytical Monitoring Observed Comment
•
To report pollution or drainage problems call: 311
http:// s t o r m w a t e r. c h a r m e c k. o rg
(:11,11t1A17TE.
5/21/2015 45231PM
Page 2 of 3
QualitativelAnalytical Monitoring Observed Comment
Qualitative monitoring conducted
Yes
The most recent qualitative monitoring was conducted on
semi-annually
December 16, 2014 and April 14, 2015.
Analytical monitoring conducted
Yes
The most recent analytical monitoring was conducted on
semi-annually
December 16, 2014 and April 14, 2015. Due to recent
benchmark exceedences, monthly monitoring is being
conducted at stormwater outfall #4.
Analytical monitoring from vehicle
Yes
maintenance
Permit and Outfalls Observed Comment
Copy of permit and certificate of
Yes
Charlotte Pipe and Foundry Company has an Individual
coverage onsite
NPDES Stormwater Permit (NCS000040).
All outfalls observed
Yes
No stormwater pollution issues were observed at the outfalls.
Number of Outfalls Observed
5
Representative outfall status
N/A
documented by NCDWQ
Annual no -exposure self
N/A
re -certification documented
Additional Findings Observed Comment
Observation(s)
Observation(s)
Observation(s)
Phase II Permit Requirements Observed Comment
Wastes removed from the MS4
N/A
properly disposed
Public transportation (roadway)
N/A
projects constructed within the last
year
Curb miles and parking lots swept
N/A
documented
Catch basin and storm drain pipe
N/A
cleaning documented
Records of pesticide/herbicide
N/A
applicator licenses maintained for
staff and contractors
If pesticide treatment areas
N/A
exceeded, was permit application
submitted?
Pesticide limitations in Goose Creek
N/A
Watershed followed
To report pollution or drainage problems call: 311
http:// s t o r m w a t e r. c h a r m e c k. o rg
5/21/2016 4:52:31PM Page 3 of 3
NC®ENR
North Carolina Department of Environment and Natural Resources
Pat McCrory
Governor
Charlotte Pipe & Foundry Co.
Attention Ms. Jenny Pappalardo
P.O. Box 35430
Charlotte, North Carolina 28235
Dear Ms. Pappalardo:
John E. Skvarla, III
Secretary
August 8, 2014.
Subject: Compliance Evaluation Inspection
Stormwater Permit # NCS000040
Mecklenburg County, North Carolina
Enclosed is a copy of the Compliance Evaluation Inspection (CEI) report for the
inspection conducted on August 6, 2014 by Mr. Erich Schweiber and Mr. Samar Bou-
Ghazale of this Office.
The report should be self-explanatory; however, should you have any questions
concerning the report, please do not hesitate to contact Mr. Bou-Ghazale at (704) 663-
1699 Ext.2199.
Sincerely,
Zahid S. Khan, CPM, CPESC, CPSWQ
Regional Engineer
Land Quality Section
Attachment
Division of Energy, Mineral, and Land Resources
Land Quality Section - Mooresville Regional Office
610 East Center Avenue, Suite 301. Mooresville, North Carolina 28115
Telephone: 704-663-16991 FAX: 704-663-6040 • Internet: http://portal.nodenr.org/web/Ir/land-quality
An Equal opportunity / Affirmative Action Employer — 50% Recycled / 10% Post Consumer Paper
Compliance Inspection Report
Permit: NCS000040 Effective: 11/06/09 Expiration: 07/31/14 Owner: Charlotte Pipe & Foundry Cc
SOC: Effective: Expiration: Facility: Charlotte Pipe & Foundry Company
County: Mecklenburg 1335 S Clarkson St
Region: Mooresville
Charlotte NC 28208
Contact Person: David Waggoner Title: Phone: 704-332-2647
Directions to Facility:
System Classifications:
Primary ORC:
Secondary ORC(s):
On -Site Representative(s):
Related Permits:
Inspection Date: 08/06/2014 Entry Time: 09:15AM
Primary Inspector: Samar E Bou Ghazale
Secondary Inspector(s):
Reason for Inspection: Routine
Permit Inspection Type: Stormwater Discharge, Individual .
Facility Status: ® Compliant ❑ Not Compliant
Question Areas:
® Storm Water
(See attachment summary)
Certification:
Phone:
Exit Time: 1145AM
Phone: 704-663-1699 Ext.2199
Inspection Type: Compliance Evaluation
Page: 1
Permit: NCS000040 Owner -Facility: Charlotte Pipe & Foundry Cc
Inspection Date: 08/06/2014 Inspection Type : Compliance Evaluation Reason for Visit: Routine
Inspection Summary:
Site is in compliance. However, there are several areas that need to be investigated prior to applying for reduced
monitoring. There are 3 garbage bins that are rusted and discharge stormwater to outfall# 4. Also, several oil patches were
noted on the concrete and lots of tires marks. Several areas contain rusted metals that discharge to outfall # 4. Please
continue the investigations around the site in order to identify the source of the zinc.
Page: 2
permit: NCS000040 Owner- Facility: Charlotte Pipe 8 Foundry Co
Inspection Date: 08/06/2014 Inspection Type : Compliance Evaluation Reason for Visit: Routine
Stormwater Pollution Prevention Plan
Yes No NA NE
Does the site have a Stormwater Pollution Prevention Plan?
® ❑ ❑ ❑
# Does the Plan include a General Location (USGS) map?
®❑ ❑ ❑
# Does the Plan include a "Narrative Description of Practices'?
®❑ ❑ ❑
# Does the Plan include a detailed site map including outfall locations and drainage areas?
®❑ ❑ ❑
# Does the Plan include a list of significant spills occurring during the past 3 years?
®❑ ❑ ❑
# Has the facility evaluated feasible alternatives to current practices?
❑ ®❑ ❑
# Does the facility provide all necessary secondary containment?
®❑ ❑ ❑
# Does the Plan include a BMP summary?
® ❑ ❑ ❑
# Does the Plan include a Spill Prevention and Response Plan (SPRP)?
® ❑ ❑ ❑
# Does the Plan include a Preventative Maintenance and Good Housekeeping Plan?
is ❑ ❑ ❑
# Does the facility provide and document Employee Training?
W ❑ ❑ ❑
# Does the Plan include a list of Responsible Party(s)?
® ❑ ❑ ❑
# Is the Plan reviewed and updated annually?
® ❑ ❑ ❑
# Does the Plan include a Stormwater Facility Inspection Program?
® ❑ ❑ ❑
Has the Stormwater Pollution Prevention Plan been implemented?
® ❑ ❑ ❑
Comment: Please provide feasible alternatives to current practices.
Qualitative Monitoring
Yes No NA NE
Has the facility conducted its Qualitative Monitoring semi-annually?
® ❑ ❑ ❑
Comment
Analytical Monitoring Yes No NA NE
Has the facility conducted its Analytical monitoring? ® ❑ ❑ ❑
# Has the facility conducted its Analytical monitoring from Vehicle Maintenance areas? ® ❑ ❑ ❑
Comment:
Permit and Outfalls
' Yea Na NA NE
# Is a copy of the Permit and the Certificate of Coverage available at the site? ®❑ ❑ ❑
# Were all outfalls observed during the inspection? ®❑ ❑ ❑
# If the facility has representative outfall status, is it properly documented by the Division? ❑ ❑ ® ❑
# Has the facility evaluated all illicit (non stornwater) discharges? ® ❑ ❑ ❑
Comment: No need to collect samples from Outfall # 5 since it is not a representative sample. Please
collect the sample from inside the facility above outfall # 5 near the gate.
Page: 3
RECEIVED
DIVISION OF t�fATER QUALITY
JAN 21 W4
PIPE and FOUNDRY COMPANY MOORESVILLEREGiONALOFFICE
P.O. Box 35430 • Telephone 704/332-2647
CHARLOTTE, NORTH CAROLINA 28235
Foundry Fax No. 332-4581
January 15, 2014
NCDENR-DEMLR
Attn: Mike Parker
610 East Center Ave., Suite 301
Mooresville, NC 28115
704.663.1699
RE: Charlotte Pipe & Foundry Co. - Mecklenburg County, NC
NPDES Stormwater Permit NCS000040
Spill Report
Dear Mr. Parker:
In follow-up to a phone conversation with Wes Bell on Monday, January 13,
2014, I am submitting this written discharge report in reference to a hot dip
asphalt -water mixture spill that occurred at our facility.
The incident occurred on Monday, January 13, 2014 and was discovered
about 6:30AM. Ron Eubanks with Charlotte -Mecklenburg Storm Water
Services came to the site that afternoon to discuss the incident and to observe
the spill area and clean-up efforts. A complete summary of the incident is
enclosed.
Please contact me at 704.348.5513 if you need any additional information.
Thank you for your assistance.
Sincerely,
Jenny L. Pappalardo
Charlotte Pipe and Foundry Co.
Environmental Engineer
cc: Ron Eubanks, CMSWS
700 N. Tryon Street
Charlotte, NC 28202
704.336.5446
CHARLOTTE PIPE DISCHARGE REPORT
Facility Name: Charlotte Pipe & Foundry Facility Phone Number: 704-332-2647
Facility Location: 1335 South Clarkson St., Charlotte, NC Specific Plant: Cast Iran Foundry
Maximum Oil Storage Capacity: NIA gallons Normal Daily Oil Throughput: NIA gallons (max)
Facility Description: Iron Foundry
Reportable Incident Type Evacuation Required? No
Discharge to eater that exceeds 1,000 gallons
Two discharges to water that exceed 42 gallons each within 12-month period
Discharge to water that violates applicable water quality standards
X Discharge to water that causes sheen upon or discoloration of water surface
Discharge to water that causes a sludge or emulsion to form beneath water surface
Discharge of 75 gallons or more of diesel fuel within 24-hour period
X Discharge of 25 gallons or more of petroleum product other than diesel within 24-hour period
Incident Source and Location: #4 and #5 Fnrrre Collector
Incident Date: Mondail,lanuary 13, 2014 Weather Conditions: Morning, Sunny
Approximate Time Incident Began:—06:00arr Discovered:—06:30arr
Ended: Water turned ojfinnnediatehLpon discovery; containment and clear -up lasted throughout the dal
Material Discharged: Hot Dip Asphalt -Water Mixture Concentration of Discharge: Unknown
Total Quantity Discharged: 100-200 gals Qty. Discharged to Navigable Waters: Yes, but Unknown gals
Affected Media: Asyholted Area Stormwater Drains, Irwin Creek
Transportation Characteristics of Media into Which Material Discharged:
All water lines had been drained in the facility the previous week to prevent freezing/busting with the cold weather. During
startup on Monday AM, while drrning on water valves to startup equipment, a plant employee accidently turned on tine
water valve for the emergency flood system (emergency use in case of fire) for the #4 and #5 frone collectors. The fume
collectors started filling with water. Since the valve to the effluent tote was not closed, the asphalt -water from the fume
collectors started flowing to the tote until it overflowed. The asplmlt-water mixture flowed along the asphalted area to three
stornrwater drains in the area. 77rc asplmlt-water rnixtttre traveled through the stornrwater drains and entered Irwin Creek.
Person Possessing or Controlling Material at Time of Discharge
It is unknown as to who opened the flood systern valve.
Person Having Actual Knowledge of Facts Surrounding Discharge:
Robert Hooks, Bobby Morton, Glen Allen
Person to Contact for Additional Information Concerning Discharge:
David Waggoner, 704.348.5408
Jenny Pappolardo, 704,348,5513
Robert Hooks
CHARLOTTE PIPE DISCHARGE REPORT, Page 2
Cause of Discharge, Including Failure Analysis:
A plant employee turned on the water valve for the emergency flood system for the #4 and #5 fioue collectors. Tire f une
collectors started filling with water, which ran into the effluent tote. While the flood system valve is currently labeled,
Charlotte Pipe has replaced the existing sign with a more obvious sign. In addition, a plastic zip tie, carter pin, and safety
pin have been added to the valve. Th us, f dure use will require the zip tie to be cut and the carter pin to be renwved so tine
safety pin can be accessed and removed (like a fire extinguisher) to open the valve.
Efforts Taken to Control or Mitigate Discharge:
Oil -day was inunediately put down iu tine area of the spill. Stonnwater drain covers were removed and oil -dry was
applied and dug -out of the catch basins to collect as much of tine spilled naterial as possible. Boons were put down in
Irvin Creek at tine out/all area to bean and collect oil entering the creek.
Harmful Effects of Discharge, if Known:
An unknown quantity of oily asphalt flowed through the stornrwater drains to Irwin Creek, which drains into Catawba
River.
Damages or Injuries Caused by Discharge:
No injuries.
Corrective Actions and Countermeasures Taken, Including Equipment Repairs and Replacements:
Plant ennployees have been instructed that tine tote valves need to be closed when system is not in use.
Measures Taken or Planned to Reduce Possibility of Recurrence:
The emergency flood system valve was ennrrently labeled, but Charlotte Pipe has replaced the existing sign with a more
obvious sign. In addition, a plastic zip tie, carter pin, and safety pin have been added to the valve. Thus, future use will
require the zip tie to be cut and the carter pin to be removed so the safety pin can be accessed and removed (like a fire
extinguisher) to open the valve.
Present or Proposed Remedial Action at Site of Discharge:
Oil -dry was hnniediately put down i❑ the area of the spill. Stormwater drain covers were renwved and oil -dry was
applied and dug -out of the catch basins to collect as rmuch of the spilled material as possible. Boonns were put down in
Irwin Creek at the outfall area to bean and collect oil entering the creek. FCC was contracted to clean and vacuron out
the stornrwater drains associated with the spill area. In addition, bomrnS were added in tine deep stornudrains to absorb
any residual oil. This was done the afternoon of the spill as it was scheduled to rain the nest day. FCC also used
absorbent pads to clean oil contained in the bernred area of the creek. This was consistent with Ron Eubanks (CMSWS)
reconuaendation as lie cane to the site to discuss tine incident and to observe tite spill area and dean -up efforts. Tine
original absorbent pads were picked up the evening of the spill and new ores were put down to catch additional oil
Within the drains that may get flushed out dining the rainfall on Tuesday. Wednesday, FCC returned to pick tip the
absorbent pads on Wednesday and put down new ones. These pads and booms will be left in fire creek for a few extra
days in the event that there is any additional residual oil. All materials have beenlzvill be disposed of in compliance
with regulatory requirennents.
Individuals and/or Organizations Contacted:
Charlotte -Mecklenburg Storm Water Services (CMSWS) - Ron Eubanks, 704.336.5446
EPA National Response Center (NRC), 800,424,8802
Division of Energy Minerals and Land Resources (Mooresville Regional Office) — Wes Bell, 704.663.1699
Prepared by: lenity L. Pappmlardo Title: Environnantal Engineer
Signature: J Date: lammrn 16, 2014
1 r�
NCDENR
North Carolina Department of Environment and
Division of Water Quality
Beverly Eaves Perdue Coleen H. Sullins
Governor Director
June 9, 2011
David Waggoner, Environmental Manager
Charlotte Pipe and Foundry Company
1335 South Clarkson Street
Charlotte, NC 28208
Natural Resources
Subject: Stormwater Monitoring Results
Charlotte Pipe and Foundry Company at 1335 South Clarkson Street
NPDES Stormwater Permit - NCS000040
Mecklenburg County
Dear Mr. Waggoner:
�r.
Dee Freeman
Enclosed are the monitoring results from the stormwater sampling upstream and downstream of the
subject facility on April 5, 2011. The grab samples were collected during the sampling investigation
performed by Ron Eubanks of Charlotte -Mecklenburg Storm Water Services and included analyses
required by your permit and additional analyses of interest in stormwater discharges. The stormwater
samples were collected as a follow-up to the sampling conducted on November, 16, 2010. This sampling
highlighted elevated concentrations of chemical oxygen demand (COD), total suspended solids (TSS),
copper, lead, and zinc in stormwater runoff at the site with the benchmark values contained in Stormwater
Permit NCS00004. You were forwarded these results on January 19, 2011.
The April 5, 2011, sampling investigation was conducted as part of a cooperative working agreement
between Mecklenburg County and the Division of Water Quality. In addition, the investigation was
conducted on behalf of the City of Charlotte in compliance with the City's NPDES Permit, NCS000240, Part
II Section H. The enclosed monitoring results indicate that the stormwater samples collected downstream
of Charlotte Pipe and Foundry Company facility contained elevated concentrations of copper and zinc
compared with the benchmark values contained in Stormwater Permit NCS000040. However, the copper
concentration was also elevated at the upstream sampling location. This indicates that zinc is the only
monitored parameter that may be attributed to industrial activities at the Charlotte Pipe and Foundry
Company facility. All other measured parameters were below the permit benchmarks downstream of the
site.
Through previous correspondence this Office is aware that you have installed best management
practices (BMPs) to reduce your impact on stormwater discharges. The BMPs appear to be working
properly as the water quality of the stormwater downstream of the facility was very good. This Office
commends your efforts to reduce the concentrations of the above noted parameters in your stormwater
runoff. It is recommended that you continue to evaluate the effectiveness of the chosen BMPs and
continue-upstream-stormwater-monitoring-to-assess-off-site-impacts-on-the-stormwater-disch arges-from -
your site. Please keep this Office informed of your efforts to meet the permit benchmark concentrations.
Mooresville Regional Office
Location: 610 East Center Ave.. Suite 301 Mooresville, NC 28115 One
Phone: (704) 663-16991 Fax (704) 663-60401 CustornerService: 1-877-623-6748 NoTthCar011Ila
Internet: hltpalpoRal.ncdencorglwebhvq ��li GLII {Lry���
An Equal Opportunity', Afrmauve Action Employer-50% Rccycledl109% Post Conscmer paper bi
David Waggoner,.CFiarlotte Pipe and Foundry Company
Stormwater Sampling, Page 2
June 9, 2011
The enclosed results should be self-explanatory, however should you have any questions concerning
the sampling results or have any questions regarding your permit, please do not hesitate to contact Ron
Eubanks with CMSWS or Ms. Marcia Allocco of the Division of Water Quality at (704) 235-2204.
Sincerely,
for Robert B. Krebs, Regional Supervisor
Surface Water Protection Section
Mooresville Regional Office
Enclosure: Sampling Results from 4/5/11
cc: Rusty Rozzelle, MCWQP
Craig Miller, City of Charlotte
Water Quality Central Files
Mooresville Regional Office
Location: 610 East Center Ave., Suite 301 Mooresville, NO 28115
Phone: (704) 663-16991 Fax: (704) 663-60401 Customer Service: 1-877-623-6748
Internet: hHp:llpogal.ncdenr.org/web/wq
An Equat Opportunity t Affirmative Actium Employer- 30% Recycled110% Past Consumer paper
One
NorthCarolina
Naturally
David Waggoner, Charlotte Pipe and Foundry Company
Stormwater Sampling, Page 3
June 9, 2011
ADDENDUM
The National Pollutant Discharge Elimination System (NPDES) program was established under the federal
Clean Water Act and then delegated to the Division of Water Quality for implementation in North Carolina. The
NPDES permitting program for stormwater discharges was established in 1990. Phase I focuses on site and
operations planning to reduce pollutant sources.
Through the NPDES permitting program industrial facilities that fall into one of the subject ten categories are
required to obtain permit coverage under a general permit or an individual permit, depending upon the
facilities SIC code and the industrial activity occurring at the facility. There are currently 19 active general
stormwater permits in North Carolina. One condition that is applicable to both the general permits and
individual stormwater permits is the requirement to develop and implement site -specific comprehensive
Stormwater Pollution Prevention plans (SPPP). These plans are required to include a comprehensive
evaluation of the site and operations to reduce pollutant sources and prevent pollutant discharge.
Copies of the general permits and accompanying documents can be accessed from the following webpage:
http://portal.ncdenr.org/web/wq/ws/su/npdesswl#General_Permits_NPDES. Permit text, technical bulletins,
discharge monitoring forms, and a Notice of Intent [which is the application for coverage under a NPDES
General Stormwater Permit] can be found on this website.
The following items are a subset of permit requirements and are listed to assist you and help bring your
attention to certain permitting issues, process and condition requirements of your permit. Please see the
above mentioned website to obtain a copy of the permit so you may fully comply with all the conditions therein.
Failure to properly comply with conditions of the permit, like those bulleted below, is a violation(s) of
the permit and subject to civil penalty assessment(s) of up to $25,000.00 per day.
• Industrial facilities that fall into one of the subject ten categories are required to obtain permit coverage
under a general NPDES stormwater permit or an individual NPDES stormwater permit
• All persons desiring to have facilities covered by a General Permit must register with the Division of
Water Quality (DWQ) by filing of a Notice of Intent (NOI) and Applicable Fees.
• This Notice of Intent (NOI) must be submitted and a Certificate of Coverage issued prior to any
discharge of stormwater associated with the industrial activity, process wastewater, and/or mine
dewatering.
• Once the Notice of Intent is received, DWQ will review and determine whether a Certificate of Coverage
(COC) may be issued. If this Certificate of Coverage is issued the facility is covered by the General
Permit. That is, the permittee is authorized to discharge stormwater, process wastewater, and/or mine
dewatering pursuant to the type of General Permit until the permit expires or is modified or revoked.
• Any other point -source discharge to surface waters of the state is prohibited unless it is an allowable
non-stormwater discharge or is covered by another permit, authorization, or approval.
• . There are currently 19 active general permits. Permit conditions vary accordingly; however, most of the
permits have the following condition requirements (you must read your entire permit to ensure full
compliance):
o Development and compliance with the Stormwater Pollution Prevention Plan
o Collection, reporting, and recording of Analytical Monitoring
o Collection, reporting, and recording of Qualitative Monitoring
!Mooresville Regional Office
Location: 610 East Center Ave., Suite 301 Mooresville, NC 28115
Phone: (704) 663-16991 Fax: (704) 663a401 Customer Service: 1-877-623-6748
Internethttp:llponal,ncdenr.c lwebiwq
Ono
NorthCarolina
i/vaturallil
An Equal opportunity V.Afrrmaiive Action Employer - 30% Recvclec,109b Post Consumer paper
David Waggoner, Charlotte Pipe and Foundry Company
Stormwater Sampling, Page 4
June 9, 2011
o Collection, reporting, and recording of Vehicle Maintenance Monitoring (if applicable)
Records — Visual monitoring shall be documented and records maintained at the facility along
with the Stormwater Pollution Prevention Plan. Copies of the analytical monitoring results shall
also be maintained on site. The Permittee shall retain records of all monitoring information,
including all calibration and maintenance records and all original strip -chart recordings for
continuous monitoring instrumentation, and copies of all reports required by this general permit
for a period of at least 5 years from the date of the sample measurement, report, or application.
Expiration — The permittee is not authorized to discharge after the expiration date of the general
permit. In order to receive automatic authorization to discharge beyond the expiration date, the
permittee shall submit forms and fees as are required by the agency authorized to issue permits
no later than 180-days prior to the expiration date. Any permittee that has not requested
renewal at least 180 days prior to expiration, or any permittee that does not have a permit after
the expiration and has not requested renewal at least 180 days prior to expiration, will be
subject to enforcement. Failure to renew your permit is a violation.
Transfer — The Certificate of Coverage (COC) issued pursuant to this general permit is not
transferable to any person expect after notice to and approval by the Director. The Director may
require modification or revocation and reissuance of the Certificate of Coverage to change the
name and incorporate such other requirements as may be necessary under the Clean Water
Act. The Permit is NOT transferable.
Name Change, Closure, or Facility Ownership change — Permittee is required to notify the
Division in writing in the event the permitted facility is sold or closed. The Division of Water
Quality views changes of name or ownership as a modification that requires the Director's
approval and reissuance of the permit. Name and ownership changes require you to complete a
Name/Ownership Change Form from the Division and mail it back to the Division of Water
Quality along with all appropriate information.
o Proper Operation and Maintenance is a requirement of the permit.
Mooresville Regional Office
Location: 610 East Center Ave., Suite 301 Mooresville, NO 28115
Phone. (704) 663-16991 Fax: (704) 663 60401 Customer Service: 1-877-623-6748
Internet: m1pa/ponal.ncdenr.orglweblwq
An Equal Opporiunily t Affirmative Acton Employer - 30% Recycled!!0% Post Consumer paper
One
NorthCarolina
Naturally
ANALYTICAL RESULTS SHEET
Name of Facility: Charlotte Pipe and Foundry Company
Grab: ® Composite: ❑
Sample Date(s): 04/05/2011
NPDES Permit No.: NCS000040
Sample Location: Upstream
County: Mecklenburg
Temperature (°C)
15.2
Fecal coliform (CFU/100 mL)
<100
Dissolved Oxygen (mg/L)
9.92
E. Coli (MPN/100 mL)
<100
Conductivity (Ns/cm)
186
Enterococcus (MPN/100 mL)
<100
pH
7.76
Ammonia -nitrogen (NH3-N) (mg/L)
0.23
Turbidity (NTU)
27
Total Kjeldahl Nitrogen (TKN) (mg/L)
0.46
Biological Oxygen Demand, 5-day
(BOD5).(mg/L)
<2.0
Nitrate/Nitrite-nitrogen (NO2 and NO3)
(mg/L)
1.0
Chemical Oxygen Demand (COD) (mg/L)
<10
Total Phosphorus (P) (mg/L)
0.075
Total Suspended Solids JSS) (mg/L)
6.6
Chromium (Cr) (pg/L)
<5.0
Total Sediment Concentration (mg/L)
5.5
Copper (Cu) (pg/L)
9.3*
Oil & Grease (mg/L)
<5.0
Lead (Pb) (Ng/L)
<5.0
Zinc (Zn) (Ng/L)
18
" - denotes an exceedance of the permit benchmark concentration
ANALYTICAL RESULTS SHEET
Name of Facility: Charlotte Pipe and Foundry Company
Grab: M Composite: ❑
Sample Date(s): 4/5/2011
NPDES Permit No.: NCS000040
Sample Location: Downstream
County: Mecklenburg
Temperature (°C)
14.6
Fecal coliform (CFU/100 mL)
230
Dissolved Oxygen (mg/L)
10.33
E. Coli (MPN/100 mL)
100
Conductivity (ps/cm)
193
Enterococcus (MPN/100 mL)
410
pH
7.95
Ammonia -nitrogen (NH3-N) (mg/L)
0.23
Turbidity (NTU)
37
Total Kjeldahl Nitrogen (TKN) (mg/L)
0.68
Biological Oxygen Demand, 5-day
(BODO (mg/L)
2.7
Nitrate/Nitrite-nitrogen (NO2 and NO3)
(mg/L)
0.93
Chemical Oxygen Demand (COD) (mg/L)
18
Total Phosphorus (P) (mg/L)
0.078
Total Suspended Solids (TSS) (mg/L)
17
Chromium (Cr) (pg/L)
<5.0
Total Sediment Concentration (mg/L)
13
Copper (Cu) (pg/L)
12`
Oil & Grease (mg/L)
<5.0
Lead (Pb) (pg/L)
9.9
Zinc (Zn) (pg/L)
100'
denotes an exceedance of the permit benchmark concentration
U"AR"LOTTE RECEIVED
• • 1 FO UNDRY• 1
P.O. Box 35430 • Telephone 704/332-2647 MAR 15 2011
CHARLOTTE, NORTH CAROLINA 28235
Foundry Fax No. 332 4581 MOORESVILLE REGIONAL OFFICE
March 11, 2011
To: Mr. Robert Krebs
From: David Waggoner
RE: Charlotte Pipe Storm Water Sampling
Mr. Robert Krebs,
On November 16, 2010, Ron Eubanks with the Land Use and Environmental Services
Agency performed some storm water sampling at two of our outfalls. Some of the
monitoring parameters were above our permitted benchmarks. Charlotte Pipe was also
poised to sample this day at outfalls both above and below our property. Our consultants
ended up not testing this day due to the rain event total only reaching .07 inches.
Our industrial activity has been way off the normal production levels as we have
followed the economy down. We only operated about three days/week during 2010 and
had nothing going on out of the ordinary that would have impacted storm water runoff
from our property.
The reason that we now test above and below our property is to show NCDENR-DWQ
the contamination levels of the storm water before it enters under our plant as several
major arteries run from uptown, under our plant and out to Irwin Creek. Also we are
surrounded on one side of our property by an old Norfolk Southern Railroad.
In 2009 we offered to build a massive BMP to help reduce our impact on our storm
water. It was completed last summer. We also installed a sprinkler system on our scrap
handling yard to keep the dust knocked down. DENR's Raleigh storm water division
helped us work through our new permit. They also agreed to give us a two year extension
on compliance with the benchmarks so that we would have time to work on BMPs while
also gathering more analytical data above and below our site so that we can see what our
net average impact truly is.
I hope this helps. You may reach me at 704-348-5408 if you have any questions.
Thank you,
David Waggoner
Allocco, Marcia
From: Hall, Erin R. [Erin.Hall@mecklenburgcountyne.gov]
Sent: Friday, February 04, 2011 11:27 AM
To: Allocco, Marcia
Cc: Eubanks, Ron
Subject: FW: Charlotte Pipe and Foundry Company - Stormwater Monitoring Report
Attachments: USGS Raingage CRN-15 - Grapl•.pdf; USGS Raingage CRN-19 - Graph.pdf
Marcia,
Below is an email from Ron regarding the rainfall totals for Charlotte Pipe and Foundry. Attached are the USGS rainfall
totals from CRN-15 and CRN-19. Ron is planning to collect additional stormwater samples for Charlotte Pipe and
Foundry. He will contact David Waggoner regarding this... David may want to collect samples at the same time to
compare analytical results, as Ron has stated below.
Let Ron and myself know if we need to take a different approach with this.
Thanks,
Erin
From: Eubanks, Ron
Sent: Friday, February 04, 2011 11:19 AM
To: Hall, Erin R.
Subject: RE: Charlotte Pipe and Foundry Company - Stormwater Monitoring Report .
Hi Erin,
From our conversation earlier today, please find attached the USGS rain. -age data for CRN-15 and CRN-19.
These are the closest USGS raingages to the Charlotte Pipe and Foundry Company. The USGS recorded
rainfall at CRN-15 was 0.02 inches and the rainfall recorded at CRN-19 was 0.08 inches. I'm not certain of the
exact rainfall that occurred at the Charlotte Pipe and Foundry Company during the storm event on November
16. 2010: however, there was enough rainfall to runoff the site and the stornwater samples were collected
within the first hour of the storm event. Since the storm event does not appear to have exceeded the 0.10 inches
of rainfall for a representative event, I will plan to collect additional storm water samples at the site. I will
coordinate the stormwater monitoring with UIr. David Waggoner (Charlotte Pipe and Foundry Company), in
case they want to compare analytical results. Please send me an e-mail or drop by, if you have any questions or
need additional information regarding this matter. Thank you.
Have a good weekend.
Ron Eubanks
Environmental Specialist
Mecklenburg County Water Quality Program
700 North Tryon Street
Charlotte, North Carolina 28202
Phone: (704) 336-5446
Fax: (704) 336-4391
E-mail: Perry.Eubanks(aDMecklenburgCountyNC.gov
LI
From: Hall, Erin R.
Sent: Monday, January 31, 2011
To: Miller, Craig M.
Cc: Eubanks, Ron
Subject: RE: Charlotte Pipe and
Craig,
11:30 AM
Foundry Company - Stormwater Monitoring Report
Below is part of Marcia's email that should clarify "additional results." I don't have the DMR that she is referring to. We
can look up DN1Rs in BIMS, but I think it's only for wastewater permits.
"I have attached the final documents that will go out today. Changed around the letter a bit because I had a
copy of the permittee's DNIR from July and I also liked the wording I had done for the Norfolk Southern letter
regarding the additional analyses (need to update your template). I thought this was a better way to highlight
the elevated concentrations rather than comparison with water quality standards. This is also based on a
conversation with Gilbert Turner (Norfolk southern) where he was not understanding the language in that part
of his letter."
From: Miller, Craig M. [mailto:cmmiller@ci.charlotte.nc.us]
Sent: Monday, January 31, 2011 11:21 AM
To: Hall, Erin R.
Cc: Eubanks, Ron
Subject: RE: Charlotte Pipe and Foundry Company - Stormwater Monitoring Report
Hi Erin,
Ron and I haven't discussed Pipe & Foundry's results yet. DENR's letter mentions "additional results" and it sounds like
concentrations for several parameters improved. Do either of you have those results?
Ron, please give me a shout when you get a chance.
Thank you,
Craig Miller, QEP
Senior Water Quality Specialist
Charlotte Mecklenburg Stormwater Services
600 East 4th St.
Charlotte, NC 28202
Phone: (704) 336-7605
Fax: (704) 353-0473
Email: cmmiller@ci.charlotte.nc.us
Please comment on my work/assistance by completing this very short, anonymous customer service survey.
http://www.surveviTioiikev.com/s.aspx?siii=vld 20A5th3sJ l fI Fo 2bAU7O 3d 3d
It is able to be filled out and submitted electronically. Results are sent to and tabulated by a 3rd party.
A customer is anyone who I communicate with about work, whether external or internal.
Thank you!
From: Hall, Erin R. [mailto:Erin.Hall@mecklenburgcountync.gov]
Sent: Monday, January 31, 2011 10:15 AM
To: Miller, Craig M.
Subject: FW: Charlotte Pipe and Foundry Company - Stormwater Monitoring Report
Craig,
Has Ron already discussed lab results with you for Charlotte Pipe and Foundry? He's either not in today or in the field.
Wasn't sure what was decided on for this facility. Marcia was inquiring about the TP result. The monitoring report/tables
are attached.
Thanks,
Erin
From: Allocco, Marcia [mailto:marcia.allocco@ncdenr.gov]
Sent: Monday, January 31, 2011 9:44 AM
To: Hall, Erin R.
Subject: RE: Charlotte Pipe and Foundry Company - Stormwater Monitoring Report
Is that an enforceable water quality standard?
From: Hall, Erin R. [mailto: Erin. Hall@mecklenburgcountync.gov]
Sent: Monday, January 31, 2011 9:38 AM
To: Allocco, Marcia
Subject: RE: Charlotte Pipe and Foundry Company - Stormwater Monitoring Report
Hey Marcia,
Regarding the TP... we have our own local water quality standard for TP (watch and action levels). The local action level
for TP is 0.4 mg/L. I believe that was the confusion... local versus state water quality standards. I'll try to remember to
use Norfolk Southern report as a template for any other reports that I review until we get the updated template.
Thanks,
Erin
From: Allocco, Marcia [mailto:marcia.allocco@ncdenr.gov]
Sent: Friday, January 28, 2011 10:44 AM
To: Hall, Erin R.
Subject: RE: Charlotte Pipe and Foundry Company - Stormwater Monitoring Report
Hi Erin,
I have attached the final documents that will go out today. Changed around the letter a bit because I had a
copy of the permittee's DMR from July and I also liked the wording I had done for the Norfolk Southern letter
regarding the additional analyses (need to update your template). I thought this was a better way to highlight
the elevated concentrations rather than comparison with water quality standards. This is also based on a
conversation with Gilbert Turner (Norfolk southern) where he was not understanding the language in that part
of his letter.
I saw where Ron was unsure if there was a phosphorus water quality standard. At this time there is not one.
The Division is still proposing to the EPA to use chlorophyll A concentrations as a surrogate for N and P.
There is a TMDL developed for phosphorus in the Catawba which resulted in phosphorus loading limits in the 3
of the CMUD permits and the Twelve mile WWTP in Union county. Perhaps this is where Ron was getting the
0.4 mg/L from but I have not seen that number before associated with phosphorous.
Marcia
From: Hall, Erin R. [ma ilto: Erin. Hall@mecklenburgcountync.gov]
Sent: Wednesday, January 19, 2011 4:22 PM
To: Allocco, Marcia
Subject: FW: Charlotte Pipe and Foundry Company - Stormwater Monitoring Report
Charlotte Pipe and Foundry report and result tables are attached.
From: Eubanks, Ron
Sent: Wednesday, January 19, 2011 3:47 PM
To: Hall, Erin R.
Subject: Charlotte Pipe and Foundry Company - Stormwater Monitoring Report
Hi Erin,
Please review the revised stormwater monitoring report for the Charlotte Pipe and Foundry Company to send
to Ms. Marcia Allocco. Per your comments, I included turbidity and total phosphorus in the stream standards
section of the letter. What is the stream standard for total phosphorus? It is my understanding that it is 0.4
mg/I. If so, only Outfall #001 would exceed the stream standard for total phosphorus. Please send me an e-
mail or drop by, if you have any questions or need additional information regarding this matter. Thank you.
Have a great day!
Ron Eubanks
Environmental Specialist
Mecklenburg County Water Quality Program
700 North Tryon Street
Charlotte, North Carolina 28202
Phone: (704) 336-5446
Fax: (704) 336-4391
E-mail: Perry. Eubanks(()MecklenburoCountyNC.gov
T?4
NCDENR
North Carolina Department of Environment and Natural Resources
Division of Water Quality
Beverly Eaves Perdue Coleen H. Sullins
Governor Director
July 9, 2010
David Waggoner, Environmental Manager
Charlotte Pipe and Foundry Company
1335 South Clarkson Street
Charlotte, NC 28208
Subject: Compliance Evaluation Inspection
Charlotte Pipe and Foundry Company
1335 South Clarkson Street
Charlotte, INC 28208
NPDES Stormwater Permit NCS000040
Mecklenburg County
Dear Mr. Waggoner:
Dee Freeman
Secretary
On May 3, 2010, Ron Eubanks from Charlotte -Mecklenburg Stormwater Services (CMSWS), conducted a site
inspection of the Charlotte Pipe and Foundry Company facility located at 1335 South Clarkson Street in
Charlotte, Mecklenburg County, North Carolina. The site drains to an unnamed tributary of Irwin Creek, Class
C waters located in the Catawba River Basin. The site visit and file review revealed that the subject facility is
covered by NPDES Individual Stormwater Permit — NCS000040.
This inspection was conducted as part of a cooperative working agreement between Mecklenburg County and
the Division of Water Quality. In addition, the inspection was conducted on behalf of the City of Charlotte in
compliance with the City's NPDES Permit, NCS000240, Part II Section H. The following observations were
noted during the Charlotte -Mecklenburg Stormwater Services inspection (please see the attached addendum
for information about your permit):
1) Stormwater Pollution Prevention Plan (SPPP)
A Stormwater Pollution Prevention Plan (SPPP) has been developed, recorded, and properly implemented.
Yes ® No ❑
2) Qualitative Monitoring
Qualitative monitoring has been conducted and recorded in accordance with permit requirements.
Yes ® No ❑
3) Analytical Monitoring
Analytical monitoring has been conducted and recorded in accordance with permit requirements.
Yes Z No ❑ NA ❑
Mooresville Regional Office
Location: 610 East Center Ave., Suite 301 Mooresville, NO 28115
Phone: (704) 663-16991 Fax: (704) 663-60401 Customer Service: 1-877-623-6748
Internet: hftpJ/portal.ncdenr.org/webiwq
NorthCarolina
Natimallt/
Mr. David Waggoner, Charlotte Pipe and Foundry Company
Compliance Evaluation Inspection, Page 2
July 9, 2010
4) Permit and Outfalls
It was noted during the site inspection that storm water samples are no longer collected from stormwater outfall
SWO 07. This is in line with the guidance provided by M. Parker of the Division of Water Quality during the
May 2009 DWQ inspection.
5) City of Charlotte Stormwater Ordinance Review:
The facility appeared to be in compliance with the City of Charlotte Stormwater Ordinance.
Thank you for the assistance and cooperation during the inspection. Overall, the facility's Stormwater program
was well developed and implemented and this Office commends the permittee's efforts to ensure compliance
with your NPDES permit.
If you have any questions, comments, or need assistance understanding any aspect of your permit, please do
not hesitate to contact Ron Eubanks with CMSWS or Ms. Marcia Allocco of the Division of Water Quality at
(704) 235-2204.
Sincerely, �
for Robert B. Krebs
Regional Supervisor
Surface Water Protection Section
Mooresville Regional Office
cc: Rusty Rozzelle, MCWQP
Craig Miller, City of Charlotte
Water Quality Central Files
Mooresville Regional Office
Location: 610 East Center Ave., Suite 301 Mooresville, NC 28115
Phone: (704) 663-16991 Fax: (704) 663-60401 Customer Service: 1-877-623-6748
Internet: www.ncvvaterquafny.org
One
NorthCarolina
An Equal Opportunity 1 Affirmative Action Employer - 30 h Recycled110% Post Consumer paper
Mr. David Waggoner, Charlotte Pipe and Foundry Company
Compliance Evaluation Inspection, Page 3
July 9, 2010
ADDENDUM
The National Pollutant Discharge Elimination System (NPDES) program was established under the federal
Clean Water Act and then delegated to the Division of Water Quality for implementation in North Carolina. The
NPDES permitting program for stormwater discharges was established in 1990. Phase I focuses on site and
operations planning to reduce pollutant sources.
Through the NPDES permitting program industrial facilities that fall into one of the subject ten categories are
required to obtain permit coverage under a general permit or an individual permit, depending upon the
facilities SIC code and the industrial activity occurring at the facility. There are currently 19 active general
stormwater permits in North Carolina. One condition that is applicable to both the general permits and
individual stormwater permits is the requirement to develop and implement site -specific comprehensive
Stormwater Pollution Prevention plans (SPPP). These plans are required to include a comprehensive
evaluation of the site and operations to reduce pollutant sources and prevent pollutant discharge.
Copies of the general permits and accompanying documents can be accessed from the following webpage.
http://portal.ncdenr.org/web/wq/ws/su/npdessw#General_Permits_NPDES. Permit text, technical bulletins,
discharge monitoring forms, and a Notice of Intent [which is the application for coverage under a NPDES
General Stormwater Permit] can be found on this website.
The following items are a subset of permit requirements and are listed to assist you and help bring your
attention to certain permitting issues, process and condition requirements of your permit. Please see the
above mentioned website to obtain a copy of the permit so you may fully comply with all the conditions therein.
Failure to properly comply with conditions of the permit, like those bulleted below, is a violation(s) of
the permit and subject to civil penalty assessment(s) of up to $25,000.00 per day.
• Industrial facilities that fall into one of the subject ten categories are required to obtain permit coverage
under a general NPDES stormwater permit or an individual NPDES stormwater permit
• All persons desiring to have facilities covered by a General Permit must register with the Division of
Water Quality (DWQ) by filing of a Notice of Intent (NO[) and Applicable Fees.
• This Notice of Intent (NOI) must be submitted and a Certificate of Coverage issued prior to any
discharge of stormwater associated with the industrial activity, process wastewater, and/or mine
dewatering.
• Once the Notice of Intent is received, DWQ will review and determine whether a Certificate of Coverage
(COC) may be issued. If this Certificate of Coverage is issued the facility is covered by the General
Permit. That is, the permittee is authorized to discharge stormwater, process wastewater, and/or mine
dewatering pursuant to the type of General Permit until the permit expires or is modified or revoked.
• Any other point -source discharge to surface waters of the state is prohibited unless it is an allowable
non-stormwater discharge or is covered by another permit, authorization, or approval.
• There are currently 19 active general permits. Permit conditions vary accordingly; however, most of the
permits have the following condition requirements (you must read your entire permit to ensure full
compliance):
o Development and compliance with the Stormwater Pollution Prevention Plan
o Collection, reporting, and recording of Analytical Monitoring
Mooresville Regional Office
Location, 610 East Center Ave., Suite 301 Mooresville, NC 28115
Phone: (704) 663.16991 Fax: (704) 663-60401 Customer Service: 1-877 623-6748
Internet: wN.nmaferquality.org
One.
NorthCarolina
Naturally
An Equal Gpponunily t Affirmative Acton Employer - 30% Recycledi10% Post Consumer paper
Mr. David Waggoner, Charlotte Pipe and Foundry Company
Compliance Evaluation Inspection, Page 4
July 9, 2010
o Collection, reporting, and recording of Qualitative Monitoring
o Collection, reporting, and recording of Vehicle Maintenance Monitoring (if applicable)
Records —Visual monitoring shall be documented and records maintained at the facility along
with the Stormwater Pollution Prevention Plan. Copies of the analytical monitoring results shall
also be maintained on site. The Permlttee shall retain records of all monitoring information,
including all calibration and maintenance records and all original strip -chart recordings for
continuous monitoring instrumentation, and copies of all reports required by this general permit
for a period of at least 5 years from the date of the sample measurement, report, or application.
Expiration — The permittee is not authorized to discharge after the expiration date of the general
permit. In order to receive automatic authorization to discharge beyond the expiration date, the
permittee shall submit forms and fees as are required by the agency authorized to issue permits
no later than 180-days prior to the expiration date. Any permittee that has not requested
renewal at least 180 days prior to expiration, or any permittee that does not have a permit after
the expiration and has not requested renewal at least 180 days prior to expiration, will be
subject to enforcement. Failure to renew your permit is a violation.
Transfer —The Certificate of Coverage (COC) issued pursuant to this general permit is not
transferable to any person expect after notice to and approval by the Director. The Director may
require modification or revocation and reissuance of the Certificate of Coverage to change the
name and incorporate such other requirements as may be necessary under the Clean Water
Act. The Permit is.NOT transferable.
Name Change, Closure, or Facility Ownership change — Permittee is required to notify the
Division in writing in the event the permitted facility is sold or closed. The Division of Water
Quality views changes of name or ownership as a modification that requires the Director's
approval and relssuance of the permit. Name and ownership changes require you to complete a
Name/Ownership Change Form from the Division and mail it back to the Division of Water
Quality along with all appropriate information.
o Proper Operation and Maintenance is a requirement of the permit.
Mooresville Regional Office
Location. 610 East Center Ave.. Suite 301 Mooresville, NC 28115
Phone: (704) 663-1699 \ Fax'. (704) 663-6040 \ Customer Service: 1-877-623-6748
Internet: www.ncvvaterquallty.org
An Equal Oppodunity 1 Affirmative Action Employer - 30% Recycled110% Post Consumer paper
One
NorthCarolina
Naturally
Permit: NCS000040
SOC:
County: Mecklenburg
Region: Mooresville
Compliance Inspection Report
Effective: 11/06/09 Expiration: 07/31/14 Owner: Charlotte Pipe & Foundry Cc
Effective: Expiration: Facility: Charlotte Pipe & Foundry Company
1335 S Clarison St
Contact Person: David Waggoner
Directions to Facility:
System Classifications:
Primary ORC:
Secondary ORC(s):
On -Site Representative(s):
Related Permits:
Charlotte NC 28208
Title: Phone: 704-332-2647
Certification: Phone:
Inspection Date: 05/03/2010 Entry Time: 10:15 AM Exit Time: 12:15 PM
Primary Inspector: Water Quality Program Meckenburg County Phone: 704-336-5449
Secondary Inspector(s):
Reason for Inspection: Routine
Permit Inspection Type: Stormwater Discharge, Individual
Facility Status: M Compliant Q Not Compliant
Question Areas:
Storm Water
(See attachment summary)
Inspection Type: Compliance Evaluation
Page 1
Permit: NCS000040 Owner - Facility: Chadotte Pipe & Foundry Co
Inspection Date: 05/03/2010 Inspection Type: Compliance Evaluation Reason for Visit: Routine
Inspection Summary:
Facility Description.
The Charlotte Pipe and Foundry Company facility is comprised of approximately 45 acres and includes seven drainage
areas. The facility typically operates 24 hours a day, five days a week. The facility manufactures cast iron piping and cast
iron piping joints and fittings.
The manufacturing process at Charlotte Pipe and Foundry begins with receipt of the raw materials (i.e., scrap cast iron,
pig iron, coke, coal, limestone, quartz, sand, silicon, bentonite, petroleum asphalt, gasoline, and diesel fuel) from
suppliers. The raw materials are used throughout the facility to manufacture cast iron piping and cast iron fittings.
Finished piping and fittings are packaged, stored, and then shipped to customers.
Raw materials and finished products are stored outdoors on paved and gravel areas at the site. Dry materials small
enough to be stored on pallets are maintained inside the foundry buildings. To support production activities, the facility
maintains a wastewater processing system, which discharges into the local sanitary sewer system.
Compliance History:
The Mecklenburg County Water Quality Program (MCWQP) conducted prior Industrial Facility Inspections at Charlotte
Pipe & Foundry Company on April 19, 2002 and April 5, 2006. A Notice of Violation (NOV) was issued to Charlotte Pipe
& Foundry Company from the April 5, 2006 inspection for violations described under the facility site review, self monitoring
program, and stormwater/pollution prevention sections of the NPDES Stormwater Permit. A NOV was also issued to
Charlotte Pipe & Foundry Company on February 23, 2004 for the discharge of hydraulic oil to Irwin Creek via the
municipal storm water collection system. The Division of water quality conducted a compliant stormwater inspection at
the facility in May 2009.
Industrial Operations/City of Charlotte Stormwater Ordinance Review:
No housekeeping problems were noted during the inspection, and the facility appeared to be in compliance with the City
of Charlotte Stormwater Ordinance.
Page: 2
J
Permit: NCS000040 Owner - Facility: Charlotte Pipe & Foundry Co
Inspection Date: 05/03/2010 Inspection Type: Compliance Evaluation Reason for Visit: Routine
Stormwater Pollution Prevention Plan Yes No NA NE
Does the site have a Stormwater Pollution Prevention Plan?
13
n
n
# Does the Plan include a General Location (USGS) map?
M
❑
❑
❑
# Does the Plan include a "Narrative Description of Practices"?
®
n
n
In
# Does the Plan include a detailed site map including outfall locations and drainage areas?
®n
n
n
# Does the Plan include a list of significant spills occurring during the past 3 years?
n
# Has the facility evaluated feasible alternatives to current practices?
®
n
n
n
# Does the facility provide all necessary secondary containment?
®
n
n
n
# Does the Plan include a BMP summary?
®
n
n
n
# Does the Plan include a Spill Prevention and Response Plan (SPRP)?
®
n
n
n'
# Does the Plan include a Preventative Maintenance and Good Housekeeping Plan?
®
n
n
n
# Does the facility provide and document Employee Training?
®
n
n
n-
# Does the Plan include a list of Responsible Party(s)?
®
❑
n
n
# Is the Plan reviewed and updated annually?
®
n
n
n
# Does the Plan include a Stormwater Facility Inspection Program?
1B
n
n
Has the Stormwater Pollution Prevention Plan been implemented?
m
n
n
n
Comment. The Storm Water Pollution Prevention Plan (SWPPP) was reviewed and
updated in December 2009.
Qualitative Monitoring
Yes
No
NA
NE
Has the facility conducted its Qualitative Monitoring semi-annually?
MOOD
Comment
Analytical Monitoring
Yes
No
NA
NE
Has the facility conducted its Analytical monitoring?
®
n
n
n
# Has the facility conducted its Analytical monitoring from Vehicle Maintenance areas?
m
n
n
n
Comment: The drains in the garage area discharge into the Charlotte -Mecklenburg
Utilities (CMU) sanitary sewer system via an oil/water separator.
Permit and Outfalls
Yes
No
NA
NE
# Is a copy of the Permit and the Certificate of Coverage available at the site?
M
n
n
n
# Were all outfalls observed during the inspection?
M
n
n
n
# If the facility has representative outfall status, is it properly documented by the Division?
n
n
_ ®
n
# Has the facility evaluated all illicit (non stormwater) discharges?
®
n
n
n -
Page:3
Permit: NCS000040 Owner - Facility: Charlotte Pipe & Foundry Co
Inspection Date: 05/0312010 Inspection Type: Compliance Evaluation Reason for Visit: Routine
Comment. A non-stormwater discharge was observed in the storm sewer system
draining onto the Charlotte Pipe and Foundry property. A sample was collected on May
5, 2010, and delivered to the Charlotte -Mecklenburg Utilities Laboratory to be analyzed
for fecal coliform and fluoride. Based on the fluoride concentration of the laboratory
results, the non-stormwater discharge may be a City water leak. The fecal coliform
concentration of the non-stormwater discharge sample was below the laboratory
reporting limit.
During the site inspection, it was noted that storm water samples are no longer collected
from stormwater outfall SWO 07. This is in line with the guidance provided by M. Parker
of the Division of Water Quality during the May 2009 DWQ inspection.
Page:4
Laboratory Analysis Report
Report Date: 5/19/2010 10:07:08 AM
wauyrm
eww+uowe:¢
LABORATORY SERVICES DIVISION
LOCATION: Charlotte Pipe
LOC ID: W-SPEC
SAMPLE DATE -TIME 5/5/2010 14:50
SAMPLE DESCRIPTION: Grab CHAIN OF CUSTODY #: 100505035
Parameter Result Units RL Method Start Date I Time Analyst
AD49761
FECAL COLIFORM
<10
CFU/100 ml
10
SM 9222D
5/5/2010
16:01
EKR
AD49761
FLUORIDE
0.86
mg]L
0.10
Ski 4500FC
5/7/2010
9:43
TCV
Comment:
Laboratory Supervisor: 4L /2/124
CMU-Environmental Laboratory Servi s N.C. Certification No.192 N.C. DHHS Certification No. 37417
4222 Westmont Drive, Charlotte, North Carolina 28217
Page 1 of 1
North Carolina
Beverly Eaves Perdue
c4iLA.
NC®ENR
Department of Environment and
Division of Water Quality
Coleen H. Sullins
Governor Director
May 11, 2009
Mr. David Waggoner, Project Engineer
Charlotte Pipe & Foundry Company
Post Office Box 35430
Charlotte, North Carolina 29235
Dear Mr. Waggoner:
Natural Resources
Dee Freeman
Secretary
Subject: Compliance Evaluation Inspection
Charlotte Pipe & Foundry
Permit No. NCS000040
Mecklenburg County, NC
Enclosed is a copy of the Compliance Evaluation Inspection (CEI) report for the inspection
conducted at the subject facility on May 6, 2009, by Mr. Michael L. Parker with this Office. Thank you
for your assistance and cooperation during the inspection.
The enclosed report should be self-explanatory. Overall, your facility's Stormwater Pollution
Prevention Plan (SPPP) was well developed and implemented, however, you will find that an
organizational structure that closely follows the template established in the SPPP will be helpful when
locating various components of the Plan during future inspections. Renewal changes planned for the
subject permit were discussed during the site visit and are also summarized in the attached inspection
report. As a reminder, please notes that your SPPP should be updated on an annual basis as required by
Part II, Section A, No. 7. of your permit.
If you have any questions, comments, or need assistance with understanding any aspect of your
permit, please do not hesitate to contact Mr. Parker at (704) 663-1699.
incerely,
for Robert B. Krebs
Regional Supervisor
Surface Water Protection Section
Enclosure
cc: Shelton Sullivan — NPS/ACO Unit
Mooresville Regional Office
Location: 610 East Center Ave., Suite 301 Mooresville, NC 28115 One Phone: (704) 663-1699 \ Fax: (704) 663-6040 \ Customer Service: 1-877-623-6748 North!�narOltna
Internet: www.ncwaterquality.org Naturally
An Equal Opportunity \Affirmative Action Employer— 50% Recycled/10% Post Consumer paper
Compliance Inspection Report
Permit: NCS000040 Effective: 12/06/99 Expiration: 12/31/04 Owner: Charlotte Pipe & Foundry Cc
SOC: Effective: Expiration: Facility: Charlotte Pipe & Foundry Company
County: Mecklenburg 1335 S Clarkson St
Region: Mooresville
Cr„rlc+re N(. 2n2na
Contact Person: David Waggoner Title: Phone: 704-332-2647
Directions to Facility:
System Classifications:
Primary ORC: Certification: Phone:
Secondary ORC(s):
On -Site Representative(s):
24 hour contact name David Waggoner Phone: 704-332-2647
On -site representative David Waggoner Phone: 704-332-2647
Related Permits:
Inspection Date: 05/06/2009 Entry Time: 10:00 AM Exit Time: 11:50 AM
Primary Inspector: Michael L Parker' Y Phone: Ext.21 3-1699
xt.2194
Secondary Inspector(s):
Reason for Inspection: Routine Inspection Type: Compliance Evaluation
Permit Inspection Type: Stormwater Discharge, Individual
Facility Status: 0 Compliant Q Not Compliant
Question Areas:
® Storm Water
(See attachment summary)
Page: 1
Permit: NCS000040 Owner - Facility: Charlotte Pipe & Foundry Cc
Inspection Date: 05/0612009 Inspection Type: Compliance Evaluation Reason for Visit: Routine
Inspection Summary:
The SPPP maintained by Charlotte Pipe & Foundry (CP&F) contained all the components of the SPPP as required by the
SW permit, however, there was room for improvement as to the organization of the various facets of the Plan.
The SW drainage system at this site was installed back in the 1920's when the company originaiiy iocated to tnis site.
The existing SW drainage system not only serves CP&F, but also receives SW from other businesses and commercial
property adjacent and upgradient to the CP&F site. Some of these off -site properties have been found to have significant
soil and GW contamination, and on -going remediation activities are being conducted. Such being the case, the possibility
exists that some of these contaminants may be entering the SW collection system that passes through the CP&F property
via 1/I. CP&F personnel have not verified (through analytical testing) that upstream contaminants are entering their SW
system, however, it was suggested during the site visit that additional testing be conducted of the upstream SW drainage
system to ascertain the impacts (if any) these upgradient properties may be having on contaminant levels found in the SW
sampling data collected by CP&F.
Analytical testing reviewed during the site visit indicated that CP&F will have difficulty in complying with the benchmark
levels proposed in the new SW permit based on testing conducted at the SW outfalls located at this site. If the current
benchmark values noted in the draft permit are incorporated into the final permit, CP&F will likely be subject to Tier II and
Tier III monitoring requirements during the first representative rainfall event. If the proposed benchmark values remain in
the permit, CP&F should consider requesting the inclusion of a compliance schedule to allow CP&F to implement BMPs
that may help reduce the off -site migration of pollutants. It should also be noted that CP&F plans a major site construction
project in 2009, which will result in a large portion of the property covered under a metal roof. The area to be covered is
suspected to be a significant source for pollutants found in CP&F SW sampling data.
Since the original renewal application was received in 2004, there has been additional property added to the CP&F site on
both the north side and the east side. This additional property also includes SW outfalls that may have not been reflected
in the original renewal application. CP&F should update the 2004 renewal application and includ a revised site map that
indicates the current property boundaries and existing SW outfalls. CP&F should also request that that use of SW outfall
004 be discontinued as it eventually Flows through outfall 005, which is currently monitored and (new) outfall 007 be
eliminated as it does not receive SW from any of the industrial process/storage areas.
Page:2
Permit: NCS000040 Owner - Facility: Charlotte Pipe & Foundry Co
Inspection Date: 05/06/2009 Inspection Type: Compliance Evaluation Reason for Visit: Routine
Stormwater Pollution Prevention Plan Yes No NA NE
Does the site have a Stormwater Pollution Prevention Plan?
■ n n n
■000
if Does the Pian inciude a Genarai LuCaliun (,;CGC) map"
# Does the Plan include a "Narrative Description of Practices"?
■ n n n
# Does the Plan include a detailed site map including outfall locations and drainage areas?
■ n n n
# Does the Plan include a list of significant spills occurring during the past 3 years?
■ n n n
# Has the facility evaluated feasible alternatives to current practices?
® Q Q 0
# Does the facility provide all necessary secondary containment?
■ n n n
■ n n n
# Does the Plan include a BMP summary?
#.Does the Plan include a Spill Prevention and Response Plan (SPRP)?
■ ❑ Q ❑
#-Does the Plan include a Preventative Maintenance and Good Housekeeping Plan?
■ ❑ ❑ ❑
# Does the facility provide and document Employee Training?
■ f_1 n 0
# Does the Plan include a list of Responsible Party(s)?
■ 0
# Is the Plan reviewed and updated annually?
■ 0 ❑ 0
# Does the Plan include a Stormwater Facility Inspection Program?
■ n n n
Has the Stormwater Pollution Prevention Plan been implemented?
■ n n n
Comment: Permittee provides secondary containment, however, all SW collected in
the containment structures are routed to the municipal sewer system and do not
discharge to SW.
Yes No NA NE
Qualitative Monitoring
Has the facility conducted its Qualitative Monitoring semi-annually?
■
Comment.
Yes No NA NE
Analytical Monitoring
Has the facility conducted its Analytical monitoring?
■ n n n
# Has the facility conducted its Analytical monitoring from Vehicle Maintenance areas?
■ n n n
Comment: Current analytical testing results were found to be at or above the
proposed benchmark values contained in this facilities draft permit.
Yes No NA NE
Permit and Outfalls
# Is a copy of the Permit and the Certificate of Coverage available at the site?
■ n n Cl
# Were all outfalls observed during the inspection?
■ n n n
# It the facility has representative outfall status, is it properly documented by the Division?
■0U0
# Has the facility evaluated all illicit (non stormwater) discharges?
■ n n n
Page: 3
Permit: NCS000040 Owner- Facility: Charlotte Pipe & Foundry Cc
Inspection Date: 05106/2009 Inspection Type: Compliance Evaluation Reason for Visit: Routine
Comment: Outfall 004 appears to join with outfall 005 prior to discharging, therefore,
elimination of outfall 004 from SW testing is recommended.
Outfall 007 does not drain any industrial process/storage areas. The permittee should
COiSiu'or rcyucbiiF1g uiat' S —u —" t3c
monitoring.
Page4
- ,j
NCDENR
North Carolina Department of Environment and Natural RescuroH
Division of'Nater Quality
Eeveny Eaves °erdue Coleen H. Sullins Gee Freeman
Gevernor Director Secretar
January 28, 201 i
David Waggoner, Environmental Manager
Charlctte Pipe and Foundry Company
1335 South Clarkson Street
Charlotte, NC 28208
Subject: Stormwater Monitoring Results
Charlotte Pipe and Foundry Company
1335 South Clarkson Street
NPDES Stormwater Permit — NCS000040
Mecklenburg County
Dear Mr. Waggoner:
Enclosed are the monitoring results from the sampling of the stormwater discharges from Outfalls #001 and
#002 at the subject facility on November 16, 2010. The grab samples were collected during the sampling
investigation performed by Ron Eubanks of Charlotte -Mecklenburg Storm Water Services (CMSWS) and
included analyses required by the permit and additional analyses of interest in stormwater discharges. This
sampling investigation was conducted as part of a cooperative working agreement between Mecklenburg
County and the Division of Water Quality. In addition, the investigation was conducted on behalf of the City of
Charlotte in compliance with the City's NPDES Permit, NCS000240, Part II Section H.
The enclosed monitoring results indicate that the stormwater discharged on November 16,.2010, from Outfall
#001 contained elevated concentrations of chemical oxygen demand (COD), total suspended solids (TSS),
copper, lead, and zinc compared with the benchmark values contained in your individual stormwater permit.
The Stormwater discharged from Outfall #002 on the same day contained elevated concentrations of chemical
oxygen demand (COD), copper, lead, and zinc compared with the benchmark values.
Of the additional analyses performed on the stormwater discharges, elevated concentrations of turbidity,
biological oxygen demand (BOD), fecal coliform, and enterococcus were detected in Outfall #001 and elevated
turbidity was detected in Outfall #002 as compared with the Divison's benchmark concentrations developed for
these parameters in individual stormwater permits [turbidity - 50 NTU; BOD - 30 mg/L, fecal coliform — 1,000
CFU/100 nil, and enterococcus - 500 enterococci/100 mill.
A comparison was made between the results noted in the enclosed analytical results sheets and the data
reported on your Discharge Monitoring Report for the stormwater sampling you conducted on July 19, 2010.
The sampling conducted by CMSWS personnel resulted in elevated concentrations of pollutants compared
with your sampling. Please assess your industrial activities during the last six months of 2010 to determine if
any activities may have contributed to the elevated concentrations of the analytes noted above. Through the
development and implementation of stormwater management programs it is the Division of Water Quality's
expectation that stormwater discharges at industrial sites covered by NPDES stormwater permits do not impact
receiving waters.
Mooresville Regional Office
Location: 610 East Center Ave., Suite 301 Mooresville, NC 28115
Phone: (704) 663-16991 "Fax: (704) 663-60401 Customer Service: 1.877-623-6748
Internet hUp:/ipo.qal,nalenr.org/web/wq
one
NOrthCarohna
yw
David Waggoner, Charlotte Pipe and Foundry Company
Stormwater Sampling, Page 2
January 28, 2011
The enclosed results should be self-explanatory, however should you have any questions concerning the
sampling results or have any questions regarding your permit, please do not hesitate to contact Ron Eubanks
with CMSWS or Ms. Marcia Allocco of the Division of Water Quality at (704) 235-2204.
Sincerely, i
for Robert B.-Krebs
Regional Supervisor
Surface Water Protection Section
Mooresville Regional Office
Enclosures: Analytical Results Sheet — SDO #001
Analytical Results Sheet — SDO #002
cc: Rusty Rozzelle, MCWQP
Craig Miller, City of Charlotte
Water Quality Central Files
Stormwater permitting, Brian Lowther
Mooresville Regional Office
Location: 610 East Center Ave., Suite 301 Mooresville, NO 28115
Phone: (704) 663-16991 Fax: (704) 663-60401 Customer Service: 1-877-623-6748
Internet: http:lportal.ncdenr.orglweblwq
One
NorthCarolina
Ai Equal Opportunity t Affirmative Action Employer- 30% Recycled/10% Post Consumer paper
David'P/acgener, Charlotte ^rice and Fcundry Company
Stormwater Sampling, Pace 3
Januar✓ 28, 2011
ADDENDUM
The National Pollutant Discharge Elimination System (NPDES) Program was established under the federal
Clean Water Act and then delegated to the Division of Water Cuality for implementation in Ncrh Carolina. The
NPDES permitting program for stonmv✓ater discharges was established in 1990. Phase I focuses on site and
operations planning to reduce pollutant sources.
Through the NPDES permitting program industrial facilities that fall into one of the subject ten categories are
required to obtain permit coverage under a general permit or an individual permit: depending upon the
facilities SIC code and the industrial activity occurring at the facility. There are currently 19 active general
stormwater permits in North Carolina. One condition that is applicable to both the general permits and
individual stormwater permits is the requirement to develop and implement site -specific comprehensive
Stormwater Pollution Prevention plans (SPPP). These plans are required to include a comprehensive
evaluation of the site and operations to reduce pollutant sources and prevent pollutant discharge.
Copies of the general permits and accompanying documents can be accessed from the following webpage:
http://portal.ncdenr.org/web/wq/ws/su/npdessw#General_Permits_NPDES. Permit text, technical bulletins,
discharge monitoring forms, and a Notice of Intent [r high is the application for coverage under a NPDES
General Stormwater Permit] can be found on this website.
The following items are a subset of permit requirements and are listed to assist you and help bring your
attention to certain permitting issues, process and condition requirements of your permit. Please see the
above mentioned website to obtain a copy of the permit so you may fully comply with all the conditions therein.
Failure to properly comply with conditions of the permit, like those bulleted below, is a violations) of
the permit and subject to civil penalty assessments) of up to $25,000.00 per day.
• Industrial facilities that fall into one of the subject ten categories are required to obtain permit coverage
under a general NPDES stormwater permit or an individual NPDES stormwater permit
• All persons desiring to have facilities covered by a General Permit must register with the Division of
Water Quality (DWQ) by filing of a Notice of Intent (NOI) and Applicable Fees.
• This Notice of Intent (NOI) must be submitted and a Certificate of Coverage issued prior to any
discharge of stormwater associated with the industrial activity, process wastewater, and/or mine
dewatering.
• Once the Notice of Intent is received, DWQ will review and determine whether a Certificate of Coverage
(COC) may be issued. If this Certificate of Coverage is issued the facility is covered by the General
Permit. That is, the permittee is authorized to discharge stormwater, process wastewater, and/or mine
dewatering pursuant to the type of General Permit until the permit expires or is modified or revoked.
• Any other point -source discharge to surface waters of the state is prohibited unless it is an allowable
non-stormwater discharge or is covered by another permit, authorization, or approval.
• There are currently 19 active general permits. Permit conditions vary accordingly, however, most of the
permits have the following condition requirements (you must read your entire permit to ensure full
compliance):
o Development and compliance with the Stormwater Pollution Prevention Plan
o Collection, reporting, and recording of Analytical Monitoring
o Collection, reporting, and recording of Qualitative Monitoring
Mooresville Regional Office
Location: 610 East Center Ave., Suite 301 Mooresville, NC 28115 l
Phone: (704) 663-16991 Fax:1704) 663-60401 Customer Service: 1-877-623-6748 NorthCaioh t7T
Internet: htip:ffpogal.ncdenr.org/webiwq Naturally
ra /l, ,
An Equal Oppotlunity, 1 Affirmative Action Employer -30% Recycled110% Post Consumor paper (/VLL lL ((J
.1
Cavid Waggoner. Charlotte Pipe and Foundr/ Company
S;ormwater Sampling, Page 4
January28, 2091
c Collection, reporting, and recording of Vehicle Maintenance Monitoring (if applicable)
Records —Visual monitoring shall be documented and records maintained at the facility along
with the Stormwater Pollution Prevention Plan. Copies of the analytical monitoring results shall
also be maintained on site. The Permittee shail retain records of all monitoring information,
including all calibration and maintenance records and all original strip -chart recordings for
continuous monitoring instrumentation, and copies of all reports required by this general permit
for a period of at least 5 years from the date of the sample measurement, report, or application.
Expiration — The permittee is not authorized to discharge after the expiration date of the general
permit. In order to receive automatic authorization to discharge beyond the expiration date, the
permittee shall submit forms and fees as are required by the agency authorized to issue permits
no later than 180-days prior to the expiration date. Any permittee that has not requested
renewal at least 180 days prior to expiration, or any permittee that does not have a permit after
the expiration and has not requested renewal at least 180 days prior to expiration, will be
subject to enforcement. Failure to renew your permit is a violation.
c Transfer — The Certificate of Coverage (COC) issued pursuant to this general permit is not
transferable to any person expect after notice to and approval by the Director. The Director may
require modification or revocation and reissuance of the Certificate of Coverage to change the
name and incorporate such other requirements as may be necessary under the Clean Water
Act, The Permit is NOT transferable.
o Name Change, Closure, or Facility Ownership change — Permittee is required to notify the
Division in writing in the event the permitted facility is sold or closed. The Division of Water
Quality views changes of name or ownership as a modification that requires the Director's
approval and reissuance of the permit. Name and ownership changes require you to complete a
Name/Ownership Change Form from the Division and mail it back to the Division of Water
Quality along with all appropriate information.
o Proper Operation and Maintenance is a requirement of the permit.
Mooresville Regional Office
Location: 610 East Center Ave., Suite 301 Mooresville, NC 28115
Phone: (704) 663-16991 Fax: (704) 663-60401 Customer Service: 1.877-623-6748
Internet: htpilpoaal.ncdenr.orglweo1wq
An Equal Opportunity 1 Af rfrative Action Employer - 30% Recycledll0% Post Cen6nmGf paper
Otte
NorthCarolina
Natimallry
ANALYTICAL RESULTS SHEET
Name of Facility: Charlotte Pipe and Foundry Company
Grab: Composite: ❑
Sample Date(s): 11/16/2010
NPDES Permit No.: NCS000040
Sample Location: SDO # 002
County: Mecklenburg
Temperature (°C)
17.5
Fecal coliform (CFU/100 mL)
<100
Dissolved Oxygen (mg/L)
9.52
E. Coli (MPN/100 mL)
<100
Conductivity (ps/cm)
267
Enterococcus (MPN/100 mL)
480
pH
8.68
Ammonia -nitrogen (NH3-N) (mg/L)
0.55
Turbidity (NTU)
160
Total Kjeldahl Nitrogen (TKN) (mg/L)
1.5
Biological Oxygen Demand, 5-day
(BOD5) (mg/L)
19
Nitrate/Nitrite-nitrogen (NO2 and NO3)
(mg/L)
1.6
Chemical Oxygen Demand (COD) (mg/L)
150*
Total Phosphorus (P) (mg/L)
0.16
Total Suspended Solids (TSS) (mg/L)
100
Chromium (Cr) (pg/L)
9.2
Total Sediment Concentration (mg/L)
120
Copper (Cu) (pg/L)
29*
Oil & Grease (mg/L)
<5.0
Lead (Pb) (pg/L)
60*
Zinc (Zn) (pg/L)
570*
denotes an exceedance of the permit benchmark concentrations
ANALYTICAL RESULTS SHEET
Name of Facility: Charlotte Pipe and Foundry Company
Grab: M Composite: ❑
Sample Date(s): 11/16/2010
NPDES Permit No.: NCS000040
Sample Location: SDC # 001
County: Mecklenburg
Temperature (°C)
17.7
Fecal coliform (CFU/100 mL)
1,700
Dissolved Oxygen (mg/L)
9.36
E. Coli (MPN/100 mL)
310
Conductivity (Ns/cm)
238
Enterococcus (MPN/100 mL)
5,000
pH
8.59
Ammonia -nitrogen (NH3-N) (mg/L)
1.9
Turbidity (NTU)
550
Total Kjeldahl Nitrogen (TKN) (mg/L)
3.9
Biological Oxygen Demand, 5-day
(BOD5) (mg/L)
71
Nitrate/Nitrite-nitrogen (.NO2 and NO3)
(mg/L)
2.2
Chemical Oxygen Demand (COD) (mg/L)
480*
Total Phosphorus (P) (mg/L)
0.47
Total Suspended Solids (TSS) (mg/L)
200*
Chromium (Cr) (pg/L)
17
Total Sediment Concentration (mg/L)
190
Copper (Cu) (Ng/L)
49*
Oil & Grease (mg/L)
19
Lead (Pb) (Ng/L)
170*
Zinc (Zn) (Ng/L)
970*
denotes an exceedance of the permit benchmark concentrations
Waggoner, David
From: Lowther, Brian [brian.lowther@ncdenr.gov]
Sent: Tuesday, December 15, 2009 1:11 PM
To: Waggoner, David
Subject: RE: Aggregate storage building drawings
I usually get mail through mail services which is
1617 Mail Service Center
Raleigh, NC 27699-1617
But our physical address is
Division of Water Quality
Stormwater Permitting Unit
512 North Salisbury St.
Raleigh, NC 27604
Brian
From: Waggoner, David [mailto:dwaggoner@charlottepipe.com]
Sent: Tuesday, December 15, 2009 1:06 PM
To: Lowther, Brian
Subject: RE: Aggregate storage building drawings
Brian,
�/�''An/
w�r-k$
That's not a problem. Can you give me your direct mailing address?
Thanks, David
From: Lowther, Brian [mailto:brian.lowther@ncdenr.gov]
Sent: Tuesday, December 15, 2009 1:03 PM
To: Waggoner, David
Subject: RE: Aggregate storage building drawings
David,
-rr`e,4k-5,
I quickly reviewed the drawings and they look to be good but I was wondering if you could send me hardcopies to
review. We don't have a way to easily plot the drawings.
Thanks,
Brian
From: Waggoner, David [mailto:dwaggoner@charlottepipe.com]
Sent: Monday, December 14, 2009 9:21 AM
To: 'Brian Lowther'
Lowther, Brian
From:
Pickle, Ken
Sent:
Monday, October 19, 2009 12:25 PM
To:
Lowther, Brian
Cc:
Bennett, Bradley
Subject:
CP&F
Attachments:
NCS000040_Charlotte Pipe and Foundry Co_Modification Cover Letter2.docx
Brian,
Looks good. See my couple of small suggestions.
It looks like you dealt with the question of, Do they have the right to appeal?, by including just the mods in their right to
appeal. Seems like a reasonable resolution to me. Let's see if it causes any problems — I don't think it will.
Our rationale here for not going forward with full procedural duplication is as follows:
a) We consider this an allowable minor modification, not requiring repetition of all the previous procedural steps
b) We issued a final permit, already, once. CP&F did not review/comment during the public comment period.
c) Upon issuance they wanted to petition for changes via OAH; we talked them out of that time-consuming and
costly approach, and instead persuaded them to ask for a permit modification. Subsequently we agreed to delay
the Tiers kick -in, in exchange for a permit requirement to install a rather costly BMP without waiting for further
analysis or investigation.
d) 15A NCAC 2H .0114(b)(1) allows reduced procedural steps for modifications to the monitoring program, which
we consider the kick -in of the Tiered program to be, by virtue of it's direct connection to monitoring results, and
by virtue of its appearance in the permit text in Part II Section B Analytical Monitoring Requirements. (Note that
we have not changed any text under Part III A 1. Compliance Schedule, which appears to be limited by the same
rule part (b)(3) to a maximum of four months delay.)
Ken
E-mail correspondence to and from this address may be subject to the North Carolina Public Records Law, and may be
disclosed to third parties.
1PRE.TXT
WET POND
0
0
0
0
1
3
7
---------------
12
12
--------------------------------------------------
Total (cfs)
0
0
0
0
1
3
7
12
12
-----------------------------------------------------------
subarea
12.5
12.6
12.7
12.8
13.0
13.2
13.4
13.6
--
13.8
Description
hr
hr
hr
hr
hr
hr
hr
hr
hr
-------------------------------------------------------------------------------
WET POND
10
8
6
5
3
2
2
2
2
-- --- -
- --- -- - -- --- --
Total (cfs)
- --------
10
-- -------
8
- -
6
---- ---
5
-- --- -----
3
--- --
2
----------
2
2
2
---------------------------------------------------------------------------
subarea
14.0
14.3
14.6
15.0
15.5
16.0
16.5
17.0
17.5
Description
hr
hr
hr
hr
_ ___
hr
hr
-_____-------------
hr
hr
hr
-
_ ____
WET POND
2
_ ___
1
1
1
1
1
__-______-____----------_-
i
i
___________________________________________
Total (cfs)
2
1
1
1
1
1
1
1
1
-- --- -- ---- -----------
subarea
18.0
-- -------
19.0
- ---
20.0
-- --
22.0
-------
26.0
-- - -- ---
-- --
--- ----
-----
Description
hr
hr
hr
hr
hr
-----------------------------------------------------------------------
WET POND
1
1
1
0
0
'-------------_-
---------------------------------------------------------------
Total (cfs)
1
1
1
0
0 0
Quick TR-55 version: 5.46 5.
TR-55
Executed: 0
watershed file: --> c
Hydrograph file: --> c
Time
(hrs)
11.0
11.1
11.2
11.3
11.4
11.5
11.6
11.7
11.8
11.9
12.0
12.1
12.2
12.3
12.4
12.5
12.6
12.7
12.8
12.9
13.0
13.1
13.2
13.3
13.4
13.5
13.6
13.7
13.8
13.9
14.0
14.1
14.2
HVDROGRAPH METHOD
Distribution
ration storm)
1 YEAR 24
PRE-DEVEL
FI OW
(cfs)
1-2009 11:19:52
rojects\209\talc
rojects\209\tale
H UR STORM
OPE RUNOFF
14.8
14.9
15.0
15.1
15.2
15.3
15.4
15.5
15.6
15.7
15.8
15.9
16.0
16.1
16.2
16.3
16.4
16.5
16.6
16.7
16.8
16.9
17.0
17.1
17.2
17.3
17.4
17.5
17.6
17.7
17.8
17.9
18.0
1
1
1
1
1
1
1
1
1
1
1
1
1
1
1
1
1
1
1
1
1
1
1
Page 4
WSD
HVD
Page 2
CHARLOTTE
PIPE and FOUNDRY COMPANY
P.O. Box 35430 • Telephone 704/332-2647
CHARLOTTE, NORTH CAROLINA 28235
Foundry Fax No. 332-4581
September 24, 2009
North Carolina Department of Environment & Natural Resources
Division of Water Quality
Stormwater Permit Unit
Mr. Ken Pickle
Mr. Brian Lowther
1617 Mail Service Center
Raleigh, NC 27699-4714
SUBJECT: Charlotte Pipe NPDES Stormwater Permit #NCS000040
Charlotte Pipe is requesting a minor modification to NPDES Permit
#NCS000040. As per our conversations with your office, we are
requesting a two-year delay to the kick in of the tiered monitoring
approach as specified in Section B of the permit. Due to offsite
contributions and stormwater exposure on site, we anticipate stormwater
sampling results to exceed the benchmark values set in Section B of the
existing permit. To minimize these exceedences, we propose the
installation of a BMP to reduce the stormwater pollutants at the facility.
We propose to construct a cover over the aggregate storage area located at
the northeast portion of our property. The cover will be a 150'L x 120'W
x 35'H pre-engineered steel building. The containment area will include
an eight inch concrete floor and concrete retaining walls on three sides.
The storage building will be designed with an internal water spray system
for dust control. The water spray system will apply water in amounts as
to minimally wet the pile, not create a stormwater runoff. The anticipated
construction date of the cover is December 2009.
Please contact me at (704) 348-5408 if you have any questions or need any
additional information..
Sincerely,
f
David W ggoner
[N
SEP 2 9 2009
I
�f�hi �' I` 1, ty;�'1
!. I ':. J„ .... I 3 a'
Pickle, Ken.
From:
Sent:
To:
Subject:
Lowther, Brian
Monday, August
Pickle, Ken
RE: Charlotte PA
res��.n 6e,- A/i r4T4Qv-als e x a7C7'/r, e%/Z4G
/ /his � 6e
:08 PM
/07 374 0 61470?ls
ei. care Ot me
Bradley correctly. Your note on the file said Bradley said it was
"ok to be flexible on time, parameters." I don't really re
Brian
Laura,
Thanks for following up on this and talking with us on the phone this
F307
make sure.
�it ✓e alone . ��'
,.f wtio�d mat � aaA 6e
After our last phone conversation Ken and I were asked to talk with Br dley Bennett to discuss th e and the
possibility of delaying the permit. We have talked with Bradley and i formed him of the permitt e _oncerns and of the
issues with the site and the permit. Bradley understood it was a diff ult site given the location and recommended
contacting Charlotte/Me jsleEb rrg CountyWfor more information �He� somewhat flexible wit`h jpme
and parameter3howeve teowe could not raise the benchmarks. He sai that we would not delay the permiit�ut
1 WG could do a minor mg of the monitorin schedul f d� a/ yosfl't�N 1llf
ari7�o�/)��oin ret+9,� /t��a Po//��Tc�Yiy6u7`%��n.
!� We understand thi I �' the site location ntAHowever, we want to protect the
water quality as much as possible and strive to reac b� ance these with our erm� We understand our L
current permit is not favoraOto the permittee because they will probably be ov Af ee Oer°hmarks. We *AAA Tb t/Jo��
tter4" with the permitteAu -'-^r- ih. 6 ,__ We do encourage collecting samples to identify the Aei! /47 Vo
o? Q-@4k- �-�off site r butions. We feel ., cuLrent permit gives time for this sampling to occur before
more sampling is required�,Pere is some trust req i c from the permittee that the state will work with the
permittee in order to address the exceedances of the benchmarks. We feel the permit sets up viable options in this
case which include but are not limited to:
require that the permittee increase or decrease the monitoring frequency for the remainder of the permit;
require the permittee to install structural stormwater controls;
require the permittee to implement other stormwater control measures; or
Again though, we feel that the state will do its best to work with the permittee tc
to work with the physical constraints of the site. Q)✓Q 44// &/MM J,4 0?
aMY VOR a re -I ,44-ft, area:i�.caT�im/jj�ear►dilero oi- aaF7dA4
r Please'(et me know if you have any questions or comments.
Brian Lowther d
a+.sd �i/p/efalio�cmRgop;y daa C�1ee/oa,
)alance protecting water quality and
eW Itw- / 4O*-W oolo
A Pcc� S 1�i°
T�
From: Laura Moody [mailto: Laura. Moody@erm.com]
Sent: Monday, August 03, 2009 10:38 AM too peril 14,V✓e QQ L M/
To: Pickle, Ken lk iei' A in aigdoq /enj /r12� T mode
Subject: Charlotte Pipe ! J e /�P1�1°q
/%) O/7c�1' /Q da/o'/'I�SS c�/)CiI.ON/'� eI�LPP�PAGBS' f0
KeniB
exr,,SS 0le %.Z 01,0414 Alep q 0.7 7%0 //r»I/Jq m�
.J .
.SoLa1p/i�xj er/eg7�:
Case 08=017898-ATS• Doc 297 Filed 04101/09 Entered.04/01/09 15'45:10' Page'46'of -
83
, ,
writing by the Sellers and { fie Purchasers iri•whole or m part to the•extent permitted by applicable
(a) there shall not be in effect any statute, rule,Y regulation, executive order
enacted, issued, entered or promulgated by a Governmental Body of competent jurisdiction
restraining, ., enjoining or otherwise , ,prohibiting; the, Consummation of the transactions
contemplated hereby; and
(b) \the' Bankru'ptcy'Court shall have entered the Sale Order (as provided in ' v
Article VI), and such•order $hall be,,a..Final.,Order and •in, form and substance reasonably
satisfactory' to'the Sellers and the Purcliasers„which order shall not have been reversed,
modified, amended or stayed. s
i
8.2 Conditions Precedent to the Obligations of the Sellers. The obligations of the
Sellers to consummate the transactions contemplated by this Agreement are subject to the
fulfillment, on or prior to the Closing Date, of each of the following conditions (any or all of
which may be waived in writing by the Sellers in whole or in part to the extent permitted by
applicable Law):
(a) the representations and warranties of the Purchasers set forth in Article V
hereof shall be true and correct in all material respects, in each case as of the Execution Date and
as of the Closiiig,•Date as though made ; on and as of the Closing Date (except for such
representations and,warranties made as of'a specific date, which shall be true and correct in all
material respects'as-of such date) and.the Sellers shall have received a certificate signed by an , ,.; ;,,. , ,:,,•,�,
authorized officer &-each Purchaser, dated the Closing Date, to the foregoing effect;
(b) - the Purchasers, shall have -,performed and complied in all material respects
with all obligations and agreements required,bydhi$ Agreeient to, be -performed •ort complied,_
with by the Purchasers on or prior to' the :Closing Dafe;!me dding,- without`limltation, ,the
Purchasers prpviding adequate assurance `of future perforriance as required under the t,e
Bankruptcy C8de'46 effect the assumption and assignment of the Assigned Contracts and r ;
Assumed Liabilities, and the Sellers shall have received a certificate signed by. an authorized
officer of each Purchaser, dated the Closing Date, to the foregoing effect;
(c) the Purchasers shall have delivered, or caused to be delivered, to the
Sellers all of the items set forth in Section 3.3; and
(d) the Purchasers shall have delivered the Purchase Price in accordance with
Article IL
8.3 Conditions Precedent to the Obligations of the Purchasers. The obligations'of the'+' r• ° .
Purchasers to consummate the transactions contemplated by this Agreement are subject to the
fulfillment, on or prior to the Closing Date, of each of the following conditions (any or all of
which may be waived in writing by the Purchasers in whole or in part to the extent permitted by
applicable Law):
(a) the Sellers shall have delivered to the Purchasers, a certified copy, of the
Sale Order (which shall contain the teens described in'Section 6.'2); `
LEGAL _US_E # 82611875.8 ''' 23 • f • ,,, .. .•. „ 4�').
Case 08-01789-8-ATS Doc 297 Filed 04/01/09 Entered 04/01/09 15:45:10 Page 47 of
83
(b) the representations and warranties of the Sellers set forth in Article IV
hereof shall be true and correct as of the Execution Date and as of the Closing Date as though
made on and as of the Closing Date (except for such representations and warranties made as of a
specific date, which shall be true and correct as of such date) except where the failure of such
representations or warranties to be true and correct (without giving effect to any limitation or
qualification as to "materiality" or "Material Adverse Effect" set forth in such representations
and warranties) has not had and would not reasonably be expected to have, individually or in the
aggregate, a Material Adverse Effect, and the Purchasers shall have received a certificate signed
by an authorized officer of each Seller, dated the Closing Date, to the foregoing effect;
(c) the Sellers shall have performed and complied in all material respects with
all obligations and agreements required in this Agreement to be performed or complied with by
them on or prior to the Closing Date, and the Purchasers shall have received a certificate signed
by an authorized officer of each Seller, dated the Closing Date, to the forgoing effect;
(d) except as provided in Section 7.3, and provided the Purchasers have
provided adequate assurance of future performance as required under the Bankruptcy Code to
effect the assumption and assignment of the Assigned Contracts, all of the Assigned Contracts
set forth on Schedules 1.1(a)(vii) and 1.1(b)(viii) shall (i) be in full force and effect on the
Closing Date, subject to the Bankruptcy Exception, (ii) be assignable to the Purchasers without
the consent of the counterparty to such Assigned Contract for such assignment (or such consent
shall have been received prior to the Closing Date) and (iii) have had the amount of all of the
Sellers' breaches and defaults thereunder finalized to the best of the Sellers' ability, such that the
Cure Costs may be paid by (or creation of reserves therefor) in accordance with the Sale Order;
(e) the Sellers shall have delivered, or caused to be delivered, to the
Purchasers all of the items set forth in Section 3.1 and
(f) the Purchasers shall have received all authorizations, in form and
substance reasonably satisfactory to the Purchasers, from FERC, under the FPA, to acquire, own
and operate the Purchased Assets.
8.4 Frustration of Closing Conditions. Neither the Sellers nor the Purchasers may
rely on the failure of any condition set forth in Sections 8.1, 8_2 or 8_3, as the case may be, if
such failure was caused directly by such party's failure to comply with any provision of this
Agreement. p
ARTICLE IX.
ADDITIONAL DEFINITIONS
9.1 Certain Definitions. As used herein:
(a) "Accounts Receivable" means (i) any and all accounts receivable, trade
accounts and other amounts receivables (including overdue accounts receivable) owed to a Seller
relating to the Business and other rights to payment owed to a Seller and the full benefit of all
security for such accounts or rights to payment relating to the sale of goods or provision of
services by a Seller, including all trade accounts receivable representing amounts receivable in
LEGAL -USE # 82611875.8 24
Hope you had a great weekend and you have recovered from having the grandkids there! Have you had an opportunity to
talk with Bradley in regards to the stormwater permit options for Charlotte Pipe?
Thanks,
Laura
Laura Rohe Mood)'
ERM NC, PC
8000 Corporate Center Drive
Suite 200
Charlotte, NC 28226
Phone:7O4-541.-8345
Pax:7O4-541-8416
This electronic mail message may contain information which is (a) LEGALLY PRIVILEGED, PROPRIETARY IN NATURE, OR OTHERWISE PROTECTED BY
LAW FROM DISCLOSURE, and (b) intended only for the use of the Addressee (a) names herein. If you are not the Addressee (a), or the person responsible for
delivering this to the Addressee (a), you are hereby notified that reading, copying, or distributing this message is prohibited. If you have received this electronic
mail message in error, please contact us immediately at (704) 541-8345 and take the steps necessary to delete the message completely from your computer
system. Thank you, ERM NC, PC.
This electronic mail message may contain information which is (a) LEGALLY PRIVILEGED, PROPRIETARY IN NATURE, OR OTHERWISE PROTECTED BY
LAW FROM DISCLOSURE, and (b) intended only for the use of the Addressee (a) names herein. If you are not the Addressee (a), or the person responsible for
delivering this to the Addressee (t), you are hereby notified that reading, copying, or distributing this message is prohibited. If you have received this electronic
mail message in error, please contact us immediately at our Atlanta office (770) 590-8383 and take the steps necessary to delete the message completely from
your computer system. Thank you, Environmental Resources Management.
Sew.
H Ak a6�
A--NZ`7`L
yo�
1)C14e Ne/l�E 4Je �d� MI � c� 5 yO tti
2
Permit No. NCS000040
SEC P FN '
P To -s� r Faa' rl` `35+ � �.
The Permittee shall ' / selected BMP nc Include.consu:uct••ionnd-mam errartce-records in
the facility's SPPP: / L / �e P
(a.) Tl e MP ust be selected based on the assessment of t i�tal for sources to contribute
signifi t qua tities of pollutants to tormwater discharges, d based on data collected through
historical m oFitg o€sto�rnwcrt is s-Fhzseleeted- - may-beitlaexsicuctural
taf nrttE�t BMPs o source reducti #selee st be selected and submitted to
the Diviswvrrnot ter than December 1, 2009.
pon receipt of timely approval of the selected BMP, the permittee shall develop construction
plans for the selected and approv BM Construction plans, including a narrative description, a i
construction schedule, and support g dee gn calculations, must be submitted for each BMP not later
than January 1, 2010.
(c.) Upon receipt ofi imelapproval of the construction and associated documentation, the
Permittee shall construct and/or implement the selected and approved BMPs. The selected BMPs
shall be installed, operating, or implemented not later than July 31, 2010. The Permittee shall
provide monthly progress reports to the Division between January 1, 2010 and July 31, 2016, or
until final installation, operation, or implementation of the selected and approved BMPs is achieved.
Any subsequent revisions to the selected-BMP required.in.this_Section E shall not require a
revision to the Stormwater Permit. Any revision to the construction and maintenance records
after the he initial review and approval of DWQ shall be accomplished by mutual agreemep�
between DWO and the Permittee. _
11Jp
/�O u,-) A
fi�
uS.
Gffr
B. 'Q �are�s�B��dyo.�ladrw• o-�e. 5���-�, LLY
e \j
E �6 mP , I S,np cc Ce t +
/'o b
Part II Page 12 of 11
?7 w rev. 4z
APPLICATION FOR A MINING PERMIT
E. DETERMINATION OF AFFECTED ACREAGE AND BOND
The following bond calculation worksheet is to be used to establish an appropriate bond (based upon a range
of $500 to $5,000 per affected acre) for each permitted mine site based upon the acreage approved by the
Department to be affected during the life of the mining permit. Please insert the approximate acreage for each
aspect o the mining operation that you intend to affect during the life ofthis mining permit (in addition, please
insert the appropriate reclamation cost/acre for each category from the Schedule of Reclamation Costs
provided with this application form) OR you can defer to the Department to calculate your bond for you based
upon your Wraps and standard reclamation costs:
AFFECTED RECLAMATION RECLAMATION
CATEGORY ACREAGE COST/ACRE* COST
Tailings/Sediment Ponds:
0.00
Ac.
X
$ 0
/Ac. _
$ 0
Stockpiles:
0.00
Ac.
X
$ 0
/Ac. _
$ 0
Wastepiles:
0.00
Ac.
X
$ 0
/Ac. _
$ 0
Processing Area/Haul Roads:
2.54
Ac.
X
$ 1800.00
/Ac. _
$ 4,272.00
Mine Excavation:
38.14
Ac.
X
$ 500.00
/Ac. _
$ 19,070.00
Other:
0.00
Ac. X
$
/Ac.
_ $
TOTAL AFFECTED AC.:
40.68 Ac.
(TOTAL PERMITTED AC.:
40.68 Ac.)
Divide the TOTAL AFFECTED AC. above into the following two categories: a) affected acres that drain into
proposed/existing excavation and/or b) affected acres that will be graded for positive drainage where measures will
be needed to prevent offsite sedimentation and sedimentation to onsite watercourses and wetlands.
a) Internal Drainage 40.68 Ac.
b) Positive Drainage 0 Ac. X $1,500.00 = $ 0
SUBTOTAL COST: $ 23,342.00
Inflation Factor:
0.02 X SUBTOTAL COST: $ 466.84 X Permit Life (1 to 10 years): 10
INFLATION COST: $ 4,668.40
TOTAL COST = SUBTOTAL COST + INFLATION COST = $ 28,010.40
Total Reclamation Bond Cost: $ 28,000.00
(round down to the nearest $100.00)
-14-
t.,
Lowther, Brian
From: Lowther, Brian
Sent: Tuesday. August 04, 2009 1 10 PM
To: 'Laura.Moody@erm.com'
Cc: Pickle, Ken; David, Waggoner,: 'maxiustice@parkerpoe.com'
Subject: RE: Charlotte Pipe
ftannitn for fohow,ia,; u[) on this and hdkiui; with tin on too phone ymyrddir.
" cut On phyn non-vanon 0
n re asked to talk who Brodhv i-i-
- i
the son and the pobytidn
,!,naymg the jo min, Ae have 1,,
. 4raclb, ind informed hvii that on
41
, concerned about corrunuxf�
4- chnnark er nAk ns,4, and tN pc ,-o
a , that ,*nlh'watef I)OHLIt,ors dI,, 1'
nq be completely below
v-0mail vdnpn jml of in_ %, k -% .
" 1 o we dak the permit sack v urn
i was a &Hmuq one glen the
ov mon and rausn"i, hoed that we , r
old( i, C.harkyte/h/locklenbuig County q4,
at
ny wAt-f for more Noinfaterd
'Pla.1h we dov, done. Tacky noted that
we can he somewhat flexible with tinn,
a
1 no ametes; however he noted on,
could not rain the benchmarks. He >a
d that we would not delay the permit imeq
r
w crauki do a minor modification of'
thmonitol njj n( heduln without to )v
through the public notice and pur.tlic comm
r,t PPHOCI
c,,c undeisiaht' thrs is a diftic Lilt sae
-a: :I'e Site Deaf ern land vomnkvr• 'd
D
i,. r e upstream pollutant
(,1,Irmutjow, Howosu, vju war, w
- I the walarr quahtf, a, much "
r)k
�, ! Ive to reach a balance
between then vith our permit d,-
w : :and c ., current porina s rwi 7
V
We permittee because they will
puldhN be own surn, of the & n i
h he vv at to rotor, -Au tiait a',;i
o
-er uonf e is not a permit
violation. An exioiqhiwe is iWpHdc 1
two trigger odditional quirruwanr nn inqt
it icnon by the permittee. We
hope to work oitin th,> riprmitto, r <
nif r,iative mode in order to odd"�o out
hu
_ �irn im exceederwes to the extent
eojnsocailyfex,iblp We do ersooraa,
your current plan to collect additional
arrN
yes ioidentify the magnitude of
if xe contributions. We feel that the
current permit gives time for this wmphng
1',
-nu!r before more SJITIPling It,
inquired, poifo=0; " ovAns of 12
� Uh, depending roi the tmiii,t or
ri,
There is some tiu'n
, rdiared from i 1),• ;erfnrth e th,o th.,
in, will tak., into account the fea onkuy
of j
� :&A sumn-twator managenny,t
dr hons as the not itittwo androw
edentc, of the bern hinnaks. V ,
kn,
KTQo Not offsite contributions,
her, tj� J ovaii,&� 'd )at! ill ... ;
nts it, !y vent well hi -A , hat _�
,
) . :)Y nornhoater management
owrans We hia tho rermit airwany
r nm that DAKI "send, to work wita
n*
won wi that it sets LOP viable
cpums where bpqchHmrk exwyqw.
minue; ire options .0toadf, KIN IA- ,
ri
permit include, but are not
Iminked to:
• mcLm , No the roi = e .
,w or do roam the moritonriq WAVwl:
y
I lVI remainder of the permit;
• i equir, in� pc"nabev to an, 5
1 Ar.Juril stormwater ciamouly or
• requite Wo pin mitfue to "jn.
npqa other stormwater control na,a,ja-
Ago", though, we fownilow 11h, n'. to .
v Is boa to Nwk wrth wi, perp. ',
' , i
protecting water quality and
Q A/Awk widurs the #hR I Co.vdnw,
thn Ote. DVK) will provotV j at n
1 A wiN agreements, modificatton,
conditions, or, it, th r
, NuAN; from mogauatn"I VP , tt
1�1hy considerations, and
,AE�rjjietatronrol on , )inh 'Iaio r�i
r
PC iy� lot me Know A, aw hav,, any c -airs or cornrinctst.
brion Lowther
Parkway just west of the pro tee box on golf hole 1. This
section of stream needs 2 to 4 inches of sediment removal.
Trail Parkway west of golf hole 1. This section of stream
needs 2 to 4 inches of sediment removal.
Photo Point Six: Greenbrier Creek below Wilderness Trail
Parkway west of golf hole 1. This section of stream needs 2
to 4 inches of sediment removal.
Photo Point Eight: Greenbrier Creek below Wilderness
Trail Parkway west of golf hole 1. This section of stream
needs 2 to 4 inches of sediment removal.
From: Laura Moody [mailto:Laura. Moody@erm.com]
Sent: Monday, August 03, 2009 10:38 AM
To: Pickle, Ken
Subject: Charlotte Pipe
Ken -
Hope you had a great weekend and you have recovered from having the grandkids there! Have you had an opportunity to
talk with Bradley in regards to the stormwater permit options for Charlotte Pipe?
Thanks,
Laura
Laura Rohe Mooc1Y
ERM NC, PC
8000 Corporate Center Drive
Suite 200
Charlotte, NC 28220
Phone:704-541-8345
Fax:704-541-8416
This electronic mail message may contain information which is (a) LEGALLY PRIVILEGED, PROPRIETARY IN NATURE, OR OTHERWISE PROTECTED BY
LAW FROM DISCLOSURE, and (b) intended only for the use of the Addressee (s) names herein. If you are not the Addressee is), or the person responsible for
delivering this to the Addressee (s), you are hereby notified that reading, copying, or distributing this message is prohibited. If you have received this electronic
mail message in error, please contact us immediately at (704) 541-8345 and take the steps necessary to delete the message completely from your computer
system. Thank you. FIRM NC.. PC.
This electronic mail message may contain information which is (a) LEGALLY PRIVILEGED, PROPRIETARY IN NATURE, OR OTHERWISE PROTECTED BY
LAW FROM DISCLOSURE, and (b) intended only for the use of the Addressee (s) names herein. If you are not the Addressee (s), or the person responsible for
delivering this to the Addressee (s). you are hereby notified that reading. copying, or distributing this message is prohibited. If you have received this electronic
mad message in error. please contact us immediately at our Atlanta office (770) 590-8383 and take the steps necessary to delete the message completely from
your computer system Thank you. Environmental Resources Management
hole 1 which needs 2 to 4 inches of sediment removal.
tributary to Greenbrier Creek. This portion of stream is
between holes 1 and 17 and needs 1 to 2 inches of
sediment removal.
hole 1. This pool section needs to have 4-6 inches of
sediment removal.
tributary to Greenbrier Creek. This portion of stream needs
2 to 4 inches of sediment removal.
�(,o:*
-B O N N
d
_. p CD
rn= q 0CD
CD �
N CD N
o -I C> Cn
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O N IV N
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3
North Carolina
Beverly Eaves, Perdue
Governor
®r
HCEN
Department of Environment and Natural Resources
Division of Water Quality
Coleen H. Sullins
Mr. David Waggoner
Charlotte Pipe & Foundry Company
PO Box 35430
Charlotte, NC 28208
Dear Mr. Waggoner:
Dee Freeman
Director Secretary
May 20, 2009
Subject: Draft NPDES Stormwater Permit
Permit No. NCS000040
Charlotte Pipe & Foundry Company
Mecklenburg County
Enclosed with this letter is a copy of the draft stormwater permit for your facility. Please review the draft
very carefully to ensure thorough understandhig of the conditions and requirements it contains.
The draft permit contains the following significant changes from this facility's current permit:
Analytical monitoring changes:
7. Analytical monitoring parameters, COD, TSS, Total Kjeldahl Nitrogen,.Phenols, Total Copper, Total
Recoverable Lead, Total Nickel, Total Zinc and Total Chromium, have been maintained in the permit. Oil
& Grease and pH has been added to the permit based on the parameter being potential pollutants at the
site.
2. All analytical monitoring has been set to semi-annually during a representative storm event as defined in
Part II Section B. The permittee must also document the total precipitatiomfor each event. If no discharge
occurs during the sampling period, the permittee must submit a monitoring report indicating "No Flow"
within 30 days of the end of the six-month sampling period. Additioriaily, samples must be taken a
minimum of 60 days apart, as specified in fable 2.
3. .Benchmarks for analytical monitoring have been added to this draft permit. Exceedances of benchmark
values require the permittee to increase monitoring, increase management actions, increase record
keeping, and/or install stormwater Best Management Practices (BMPs) in a tiered program. If the
sampling results are above a benchmark value, or outside of the benchmark range, for any parameter at
any outfall then the facility shall follow the Tier 1 guidelines which require a facility inspection within
two weeks and implementation of a mitigation plan within two months. If during the term of this permit,
the sampling results are above the benchmark values, or outside of the benchmark range, for any specific
parameter at a specific discharge outfall two times in a row (consecutive), then the facility. shall follow the
Tier 2 guidelines which require a repetition of the steps listed for Tier 1 and also immediately institute
monthly monitoring for all parameters at every outfall, where a sampling result exceeded the benchmark
value for two consecutive samples.
4. You are required to collect all of the analytical and qualitative monitoring samples during representative
storm events as defined in Part II Section B. Qualitative monitoring is required regardless of
representative outfall status.
5. You are responsible for all monitoring until the renewal permit is issued. See Footnote 1 of Tables 1, 4,
and 5.
Wetlands and Stormwater Branch -
- - One
1617 Mail Service Center, Raleigh, North Carolina 27699-1617
1,!'+
NOTCHCaTO11Tla
Location: 512 N. Salisbury St. Ralegh, North Carolina 27604
Phone: 919-807-6300 1 FAX: 919-807-64941 Customer Service:1-877-623-6748 -
�y /{.l,p�t ////
�Q'`urQL[J/
Internet: vmv.nmaterquality.org
i/
An Equal Oppodunity \ Affirmative Action Employer
Mr. David Waggoner
Charlotte Pipe & Foundry Company
Permit No. NCS000040
6. The flow reporting requirement has been removed per DWQ revised strategy. (The total rainfall
parameter is in this permit, however.)
7. Vehicle maintenance monitoring has been revised to semi-annually in order to coincide with analytical
and qualitative monitoring. This requirement appears in all Individual Stormwater permits, however it
only applies to facilities that do vehicle' maintenance. If the facility begins vehicle maintenance during the
permitted timeframe then the requirements shall apply.
Other permit changes:
1. Additional guidance is provided about the Site Plan requirements. The site map must now identify if the
receiving stream is impaired and if it has a TMDL established. It must also describe potential pollutants
in each outfall. The map requirements are stated more explicitly. And, the site plan must contain a list of
significant spills that have occurred in.the past three years and also must certify that the outfalls have
been inspected to ensure that they do not contain non-stormwater discharges: Additional information is
provided in Part II Section A.
2. Additional requirements for the Stormwater Management Plan have been specified in Part II Section A.
More details regarding secondary containment are provided.
3. Additional requirements.for the Stormwater Pollution Prevention Plan have been specified.in Part II
Section.A. The plan must also be updated annually to include a list of significant spills and to certify that
the outfalls do not contain non-stormwater discharges.
4. The facility must now implement a semi-annual Facility Inspection Program of the site's stormwater
management controls as specified in Part 1I Section A.
5. Information regarding the No Exposure Exclusion has been added to this draft permit. If industrial
materials and activities are not exposed.to precipitation or runoff as described in 40 CPR §122.26(g), the
facility may qualify for a No Exposure Exclusion from.NPDES stormwater discharge permit
requirements. Additional information is provided in Part I Section A.
6, Per the requirements of the Catawba Riparian Buffer Riffle, all stormwater drainage from portions of
this site that have been constructed after June 30, 2001 must be discharged through'a correctly
designed level spreader or another device that meets diffuse flow requirements per 15A NCAC 213
.0243. Diffuse flow requirements are described in Chapter 8 of the North Carolina Stormwater BMP
Manual, available at:littp://h2o.enr.state.nc.us/su/brnp_forms.hhn
Please submit any comments to me no later than thirty (30) days following your receipt of the draft.
Comments should be sent to the address listed at the bottom of this page. If no adverse comments are
received from the public or from you, this permit will likely be issued in about two months.
If you have any questions or comments concerning this draft permit, contact me at (919) 807-6368 or
bi-ian.lowther@ncdenr.gov
cc: Mooresville Regional Office
Stormwater Permitting Unit
Attachments: Draft Permit
Sincerely,
2
Brian Lowther
Environmental Engineer
Stormwater Permitting Unit
2
���
NCDENR
North Carolina Department of Environment and
Division of Water Quality
Beverly Eaves Perdue Coleen H. Sullins
Governor Director
DATE: May 20, 2009
TO: Charlotte Observer
EMAIL: publicnotices@charlotteobserver.com
FROM: SARAH YOUNG, DIVISION OF WATER QUALITY
SUBJECT: PUBLIC NOTICE
PAGES: 1
Natural Resources
Dee Freeman
Secretary
Please publish only the information (Public Notice) below, ONE TIME in the legal section of your paper by
Tuesday, May 26, 2009. Please fax a copy of the proof to me at (919) 807-6494 for final approval prior to
publication. Within 10 days after publish date, please send the invoice and two copies of the original affidavit
to:
Sarah Young
NCDENR/DWQ Stormwater Permitting Unit
1617 Mail Service Center
Raleigh, NC 27699-1617
NC DIVISION OF WATER QUALITY INTENT TO ISSUE A STORMWATER DISCHARGE PERMIT
Public comment or objection to the draft permit is invited. Submit written comments to DWQ at the address below.
All comments received prior to June 25, 2009 will be considered in the final determination regarding permit issuance
and permit provisions.
Application: Charlotte Pipe & Foundry Company, PO Box 35430. Charlotte, NC 28208 has applied for an NPDES
permit to discharge slormwater from an industrial facility at: Charlotte Pipe & Foundry Company, 1335 South .
Clarkson Street, Charlotte, NC, Mecklenburg County. The facility discharges to the Irwin Creek.
Copies of the draft permit, No. NCS000040, are available at: http://h2o.enr.state.nc.us/su/publicnotice.htm .
Additional permit documents are available for the reproduction cost at:
DWQ Stormwater Permitting Unit
512 N. Salisbury Street (location, zip 27604)
1617 Mail Service Center (mail)
Raleigh, NC 27699-1617
DWQ Contact: Brian Lowther
(919)-807-6368
brian.lowther@ncdenr.gov
Wetlands and Stormwater Branch
1617 Mail Service Center, Raleigh, North Carolina 27699-1617
Location: 512 N. Salisbury St. Raleigh, North Carolina 27604
Phone: 919-807.63001 FAX: 9194f07-6494\ Customer Service: 1-877-623-6748
Internet: www.ncwaterquality.org
An Equal opportunity 1 Affirmative Acton Employer
Noi thiCarotina
Naturally
The Charlotte Observer Publishing Co.
CharLotte, NC
North Carolina ) ss Affidavit of Publication
Mecklenburg County}
THE CHARLOTTE OBSERVER
STORMWATER PERMITTING UNIT
NCSDENR/DWO
1617 MAIL SERVICE CENTER
RALEIGH NC 27699-1677
REFERENCE: 30064055
6347714 stormwater discharge
Before the undersigned, a Notary Public of said
County and State, duly authorized to administer
oaths affirmations, etc., personally appeared,
being duly sworn or affirmed according to Law,
doth depose and say that he/she is a
representative of The CharLotte Observer
Publishing Company, a corporation organized and
doing business under the Laws of the State of
De Laware, and publishing a newspaper known as The
Charlotte Observer in the city of Charlotte,
County of Mecklenburg, and State of North Carolina
and that as such he/she is famiLiar with the
books, records, files, and business of said
Corporation and by reference to the files of said
publication, the attached advertisement was
inserted. The following is correctly copied from
the books and files of the aforesaid Corporation
and PubLication.
PUBLISHED ON: 05/26
AD SPACE: 52 LINE
FILED ON: 05/29/09
NAME: (1neLU/'A,1U\ ,U97` Ti TITLE: 11,i `--i(\.
DATE: . MIRY 217009
In Testimony Whereof I have hereunto set my hand and affixed my seat, the
day and tear aforesaid. a.
Nota /—'LMy Commission Expires:
My Commission Expires May 27, 2011
NC DIVISION OF WATER QUALITY INTENT TO Issue
A STORMWATER DISCHARGE PERMIT
Public comment or imitation to the draft permit is invited. Submit
written comments to WO at the address below. All Comments
mceived prior to Juno 25, 2009 will be considered in the final
deterina6bn regard'ag peril issuance and permil provisions.
Application: Charlotte Pipe A Foundry Company, PO Box 3SJ30.
Charlotte. NO 282W has applied for an NPDES permit to did.
Chargestormwxter tram r industrial fecilty at. Charlotte Pipe 8
Founary Company, 1335 South Clarkson Street, Charlotte. NO,
Mecklenburg County The facility discharges to the Irwin Crook.
Copies of the draft permit, No. NCS0900a0, are available ab
M1no'llh n a no e_/_ ulottelancred hire Additional permit
ocum tlarmsn ere available - far the reproduction cost at
DWO Stormwater Permitting Unit
512 N Salisbury Street (location, zip 27")
1617 Mail Samoa Center hasip
Raleigh, NO 27699-1617
OWO Contact: Stan L3wmer
(919)-807-6368 -
brian.lowmerpncdenr gov
LP63a7)la
NCQ,000040
0
®®ggam�++
9�� DENR
North Carolina Department of Environment and Natural Resources
Division of Water Quality
Beverly Eaves Perdue Coleen H. Sullins Dee Freeman
Governor Director
Secretary
STAFF REVIEW AND EVALUATION
NPDES Stormwater Permit
Facility Name:
Charlotte Pipe & Foundry Co
NPDES Permit Number:
NCS000040
Facility Location:
1335 South Clarkson Street, Charlotte, NC (Mecklenburg County)
Type of Activity:
GRAY AND' DUCTILE IRON FOUNDRIES
SIC Code:,
3321
Receiving Streams:
See Figure 1
River Basin:
Catawba River Basin, Sub -basin 03-08-34
Stream Classification:
C
Proposed Permit Requirements:
See attached draft permit.
Monitoring Data:
See Table 1
Response Requested by (Date):
Central Office Staff Contact:
Return to: Brian Lowther, (919) 807-6368
Special Issues:
5 ", Issue
,Ratio .Scale' ;1(eas to 10 hard `
Com Hance histor
6
Benchmark exceedance
7
Location (TMDL, T&E
s ecies, etc
7
Other Challenges:
• Missin data
6
Difficult Rating:
26/40
Special Issues Explanation:
Many analytical monitoring values are over the current benchmarks for Cr, Cu, Pb, Ni, Zn, TKN, COD and
TSS.
Description of Onsite Activities:
• The CP&F facility is located at 1335 South Clarkson Street in Charlotte, NC. The facility is on
approximately 35 acres and has numerous buildings. Total impervious area (parking lots, buildings,
roadways, etc.) is estimated at 95 percent of the total site area. The facility has been operating as a pipe
foundry since 1926 at this location and currently has 475 employees. Plant operations typically occur 24
hours a day, 5 days a week. The facility is engaged in the manufacture of cast iron piping and fittings.
The facility's SIC code is 'reported as 3321. The facility stores and distributes the following raw materials:
cast iron scrap, coke, coal, limestone, quartz, sand,.silicon, bentonite, petroleum -asphalt, gasoline and
Page 1 of 9
NCS000040
diesel fuel. (Information from inspection report, 05/08/06)
Documents Reviewed:
• NPDES Stormwater Permit Application Materials
• National Heritage Program (NHP) Threatened and Endangered Species Database
• SPU File
• Central Files
• EPA Sector -Specific Permit, 2008
0 303(d) List, 2006 final
• 2004 Catawba Basinwide Plan
History:
• August 31, 1994: Date permit first issued. Analytical monitoring parameters included COD, TSS, Total
Kjeldahl Nitrogen, Total Chromium, Total Copper, Total Recoverable Lead, Total Nickel, Total Zinc and
Phenols. Samples were to be taken annually.
• February 19, 1999: Permit renewal reminder letter.
• December 3, 1999: Date permit re -issued. Analytical monitoring parameters included COD, TSS, Total
Kjeldahl Nitrogen, Phenols, Total Copper, Total Recoverable Lead, Total Nickel, Total Zinc and Total
Chromium. Samples were. to be taken annually for the first three years and quarterly during the 4'h year.
• May 3, 2004: Pen -nit renewal reminder letter.
• July 7, 2004: Date permittee submitted renewal application.
• April 5, 2006: Site visit by Mr. Donald Ceccarelli of the Mecklenburg County Water Quality Program
(MC WQP).
• May 8, 2006: Notice of Violation.
Page 2 of 9
NCS000040
NCS000040
M40 Scale 1:24, 000
Figure I: Map of Facility
Charlotte Pipe & Foundry Co
Lad tude: 350 13' 28" N
Longitude: 800 51' 42" W
County:Vleddenburg
Receving Stream: Irwin Creek
Stream Class: C
Sub -basin: 03-08-34 (Catawba River Basin)
O`LORION!r �S • �
�drrTr k.++
Facility Location
Page 3 of 9
NCS000040
Central Office Review Summary:
1. Owner's Other Permits:
• AFS — 3711900626
NCG500117
RCRA NCD980247316
2. General Observations:
• Outfalls: Stormwater runoff from the main manufacturing plant discharges via three stormwater
outfalls (SW001, SW002, SW005) across I-77 and ultimately to Irwin Creek. Tow other outfalls (SWO03,
SW004) have been identified as intermediate outfalls for sampling purposes.
- S WOOI : This outfall drains approximately 7.2 acres of the southwestern portion of the facility that
contains the wastewater treatment plant, fitting storage area, scrap iron storage area and the cupola
bag houses. This outfall also drains several off -site properties up gradient of the CP&F facility.
The drainage area is approximately 95%n impervious.
- S WO02: This outfall drains approximately 3.1 acres of the central portion of the facility, which
contains the main raw material unloading area, machine shop, shell cure building, and cupola
furnace building. The drainage area is approximately 95% impervious.
- SWO03: This outfall is located up gradient of the facility.and was historically used to sample off -
site water that flowed onto the property for purposes of comparing influent stormwater samples at
SWO03 to effluent stormwater samples at SW004. However, CP&F determined that SWO03 was
not collecting the major portion of the influent stormwater and this is no longer sampling.
SWO04: This outfall drains approximately 11.1 acres of the western portion of the facility that
contains the fueling station, fuel storage tanks, maintenance shop, bulk spent material storage area,
pipe production building, pipe coating building, the hot dip coating area, and serves as the permitted
discharge pipe for non -contact cooling water. This outfall also drains many offsite properties up
gradient of the facility. The drainage area is approximately 95% impervious.
SW005: This outfall drains approximately 2.5 acres of the northwestern portion of the site, which
contains the hot dip collectors and the fittings tar pit.building. In addition stormwater from S WO04
flows into SWO05 at Clarkson Street. The drainage area is approximately 95 percent impervious.
After the application was filed the facility purchased more property and there are now a total of seven
outfalls now: 001 (35' 13'27", -80' 51'51"), 002 (35' 13'29", -80' 51'49"), 002A (35' 13'23", -80'
51'42"), 004 (35° 13'27", -800 51'39"), 005 (350 13'29", -80° 51'41"), 006 (350 13'34", -80° 51'45"), and
007 (350 13'34", -80° 51'39").
3. Impairment: Irwin Creek is on the 303(d) list for standard violations for turbidity and fecal coliform, as well
as, having impaired biological integrity. Basinwide Plan recommendations include:
Current Status and 2004 Recommendations
The Irwin Creek site is showing a slight trend of lowered conductivity since the middle 1990s. There is a Fecal
Coliform Bacteria TMDL for Sugar Creek, Irwin Creek, Little Sugar Creek and McAlpine Creek. The TMDL
addresses all identifiable sources of fecal coliform pollution including, but not limited to, wastewater treatment
plants, sanitary sewer overflows, stormwater runoff, failing septic systems, and background wildlife
contributions. The TMDL study indicated that excluding stormwater runoff, the primary contributors of fecal
coliform pollution in this watershed are point sources (WWTP, etc.) and direct input nonpoint sources (failing
septic systems).
4. Threatened and Endangered: Based on the Natural Heritage Virtual Workroom there is one federally
endangered species within 2 miles of the facility: Lasmigone decorata, Carolina Heelsplitter. More information
was provided that showed the element occurrence ranking as X — Extirpated. The most recent survey date was
1987 indicating the Carolina Heelsplitter used to be located in Irwin Creek but no longer exists there.
Page 4 of 9
NCS000040
5. Location: Drains to a classified C stream. The inspection report indicated the site map needed to be updated.
6. Industrial Changes Since Previous Permit: None provided in renewal application.
7. Analytical Monitoring Notes: Analytical monitoring parameters included COD, TSS, Total Kjeldahl Nitrogen,
Phenols, Total Copper, Total Recoverable Lead, Total Nickel, Total Zinc and Total Chromium. Samples were
to be taken annually for the first three years and quarterly during the 41h year. The application only included
one sample for each out/all. The samples had values over our current benchmarks for Cr, Cu, Pb, Ni, Zn,
Phenol, COD and TSS. The data was missing information such as total rainfall, event duration, and estimated
flow.
This industry (SIC 3321) is covered in the EPA Multi -Sector General Permit under Subsector F2, Iron and
Steel Foundries. The parameters recommended for monitoring include Total Aluminum, TSS, Total Copper,
Total Iron, and Total Zinc.
The inspection report indicated the facility uses more than 55 gallons of new motor oil and therefore should
have done analytical monitoring under Part II Section D of the permit. CP&F personnel indicated that more
than 55 gallons of new motor oil were used but no records of quantities have been kept.
Oil and Grease was added to the monitoring because it is a potential pollutant onsite.
Another set of values was sent from at storm event on February 26, 2008. Many values are over the current
benchmarks for Cr, Cu, Pb, Ni, Zn, TKN, COD and TSS.
8. Qualitative Monitoring Notes: No visual monitoring was provided. An inspection report was given instead.
Page 5 of 9
NUIRIIIIZII M 1
Table 1: Analytical Monitoring
Outfall
Sample
Date
Total
Flow
1M
Precipitation
(in)
Duration
(hours)
O
Cu
Pb
Ni
Zn
TKN
Phenol
COD
TSS
Banchrrark
1 mg'L
Benchmark:
1 0.007 nxjL
Bent mark:
1 0.03 mgIL
Benchmark
I 026 ng'L
Berchma,k:
0.067 m qL
Bench,rerk:
20 mg'L
B3 hmarlc
4.5 mgA-
Bewturak
1 120 mg/L
Bemtrrark:
I 100 mg'L
SW-001
62312D04
t.i .'
r
: "
0.1
0,079
F'_ � ''
O:S5.r,;_
. 0.033
1,, ? 7 -
0Slvr_-
1.9
0.29
210,
' . - :.
Mx'210,r-
SVV-002
6(24/2D04
4 T 9 is
_ . ] ` bzN
" %?}. '}.
0.15
O;112W
0.056
=-MV2,M
1.6
0.17
220 1
, 250y`„ i
SW-002A
612512D04
ae
e , , .-i3
« •.2. -
12,EWOF45MI
M32
4 0_3=
MJW7;M
1.5
0.09
900
850 t
SVV-004
6/26/2004
wr
; p K
?+;" 1
0.27
2*0�42=
9MI13Sj
0.18
2'.5.N
8.5
;, ..3. °
k1700Y
5400 `
SVV-005
6/27/2D04
_ Y ' i
; x ` � 'x
` - :- °;
0.61
MPW
0.,12, ?
0.016
O'29i7N
<1.0
1.4
4M
W500
S1N-001
2/26/2D08
-"
ti
r'_'•.
ND
0.'0i167
0.0203
ND
f.WO.3,24QI
0.99
0.02
77226 T
30
SVV-002
2/26/20D8
0.0182
NUOM9PA
041@'a
0.0111
0.411
1.4
0.063
119
@W94 5
SVV-002A
2/26/2008
... VIa
sc
. ,. -.
�741195
1156
9T52
0.181
.
W,-7 •
;• . 2,1z2n
1.8
M042MI
a 961Q
SW-004
2262008
s�
'M 2F
. ' ''?
0.0132
NSW02m,
0.0199
0.0067
O1173
0.92
0.023
36
109 i"
SW-005
2/26/2008
' '
�1,
, c -
Y ,rx ..
0.0143
0:0,461
0.14
0.0119
0 81;
1.9
0.032ua}251+'
SVV 006
2/2&2D08
} `�.«
"=
0.0128
9.0195;
0.0265
0.006
0}21WJ
0.92
0.055
50
1_26
SVJ 007
212&2D08
{ ;'
0.0906
0:0611
X0'08911` }
0.0345
' 0815::
2.2
0.015
80
1a Over Current Bendirrork
Data Not Collected
Page 6 of 9
L
NC$000040
Revised Permit Recommendations: Analytical Monitoring:
1. Maintain monitoring for COD, TSS, Total Kjeldahl Nitrogen, Phenols, Total Copper, Total Recoverable
Lead, Total Nickel, Total Zinc and Total Chromium. Oil & Grease has been added to the monitoring.
2. pH has been added to the analytical monitoring requirements.
3. All analytical monitoring has been set to semi-annually during a representative storm event as defined in Part II
Section B. The permittee must also document the total precipitation for each event. If no discharge occurs
during the sampling period, the pennittee must submit a monitoring report indicating "No Flow" within 30 days
of the end of the six-month sampling period. Additionally, samples must be taken a minimum of 60 days apart,
as specified in Table 2.
4. Benchmarks for analytical monitoring have been added to this draft permit. Exceedances of benchmark values
require the pennittee to increase monitoring, increase management actions, increase record keeping, and/or
install stonnwater Best Management Practices (BMPs) in a tiered program. If the sampling results are above a
benchmark value, or outside of the benchmark range, for any parameter at any outfall then the facility shall
follow the Tier 1 guidelines which require a facility inspection within two weeks and implementation of a
mitigation plan within two months,. If during the term of this permit, the sampling results are above the
benchmark values, or outside of the benchmark range, for any specific parameter at a specific discharge outfall
two times in a row (consecutive), then the facility shall follow the Tier 2 guidelines which require a repetition
of the steps listed for Tier I and also immediately institute monthly monitoring for all parameters at every
outfall where a sampling result exceeded the benchmark value for two consecutive samples.
5. The permittee is required to collect all of the analytical and qualitative monitoring samples during
representative storm events as defined in Part 11 Section B. Qualitative monitoring is required regardless of
representative outfall status.
6. The permittee is responsible for all monitoring until the renewal permit is issued. See Footnote I of Tables 1,
4, and 5.
7. The flow reporting requirement has been removed per D WQ revised strategy. (The total rainfall parameter is in
this permit, however.)
8. Vehicle maintenance monitoring has been revised to semi-annually in order to coincide with analytical and
qualitative monitoring.
Other Proposed Changes to the Previous Permit:
1. Additional guidance is provided about the Site Plan requirements. The site map must now identify if the
receiving stream is impaired and if it has a TMDL established. It must also describe potential pollutants in each
outfall. The map requirements are stated more explicitly. And, the site plan must contain a list of significant
spills that have occurred in the past three years and also must certify that the outfalls have been inspected to
ensure that they do not contain non-stormwater discharges. Additional information is provided in Part II
Section A.
2. Additional requirements for the Stonnwater Management Plan have been specified in Part 11 Section A. More
details regarding secondary containment are provided.
3. Additional requirements for the Stormwater Pollution Prevention Plan have been specified in Part II Section A.
The plan must also be updated annually to include a list of significant spills and to certify that the outfalls do
not contain non-stormwater discharges.
4. The facility must now implement a semi-annual Facility Inspection Program of the site's stonnwater
management controls as specified in Part II Section A.
5. Information regarding the No Exposure Exclusion has been added to this draft permit. If industrial materials
and activities are not exposed to precipitation or runoff as described in 40 CFR § 122.26(g), the facility may
qualify for a No Exposure Exclusion from NPDES stormwater discharge permit requirements. Additional
information is provided in Part I Section A.
Page 7 of 9
NCS000040
Discussions with permittee: David Waggoner, 704-332-2647, 03/19/09.
1. General description of industrial activities. Grey metal pipe foundry. Use recycled material. Melt iron and
then cast pipes and fittings.
2. Have there been any changes in industrial activities since the application was submitted? Yes. Will be
submitted in an email.
3. What is Outfall 002A? Outfall close to 002. ,There are seven outfalls now.
4. The inspection report for a 2006 visit indicated that the site map and SPPP needed to be updated. Has this been
done? Can you send us the map? They have been updated. Will send a copy of the site map.
5. Do you have onsite vehicle maintenance? Yes. All maintenance is done inside. The area has French drains that go
directly to the sewer system.
Page 8 of 9
NCS000040
Recommendations: Based on the documents reviewed, the application information submitted on July 4, 2004
sufficient to issue an Individual Stormwater Permit.
Prepared by (Signature)
Date
Stormwater Permitting Unit Supervisor Lr-/ Repo Date 3 A o
for Bradley Bennett
Concurrence by Regional
RO Water Quality
Date
Regional Office Staff Comments (attach additional pages as necessary)
Page 9 of 9
HC®EHR
North Carolina Department of Environment and Natural Resources
Division of Water Quality
Beverly Eaves Perdue Coleen H. Sullins Dee Freeman
Governor Director Secretary
March 10, 2009
Mr. David Waggoner
Charlotte Pipe & Foundry Company
PO Box35430
Charlotte, NC 28208
Subject: NPDES Permit Renewal Application
Charlotte Pipe & Foundry Company
Permit Number NCS000040
Individual Stormwater Permit
Mecklenburg County
Dear Mr. Waggoner:
The Division of Water Quality's Stormwater Permitting Unit (SPU) acknowledges receipt of
your renewal application for coverage under NPDES Permit Number NCS000040 on July 7, 2004. We
apologize for the lengthy delay in responding to your submittal and are now making every effort to
review your permit renewal as expeditiously as possible. Our Unit anticipates making significant
progress on individual permits over the next six months to reduce our backlog.
We are currently beginning our review of your renewal application. Please continue to comply
with all conditions and monitoring requirements in your expired NPDES stormwater permit. As
long as you have submitted a complete renewal request package and maintain compliance with those
permit conditions, stormwater discharges from this facility are authorized by that permit until the
Division issues a renewal permit or notifies you of an alternative action.
No additional information is required at this time, but we may contact you in the future. Please
notify us if any significant changes have taken place at this facility since you submitted the renewal
package. If you have any questions about this matter, please contact me at (919) 807-6368,
brian.lowther@ncmail.net.
Sincerely,
Brian Lowther
Environmental Engineer
Stormwater Permitting Unit
cc: Mooresville Regional Office
eStormwater-Peimifting--Unit-Fifes
Central Files
Wetlands and Stormwater Branch One t,
1617 Mail Service Center, Raleigh, North Carolina 27699-1617 1 1� rv QPt11Cc`trOhlla
Location: 512 N. Salisbury St. Raleigh, North Carolina 27604 q//
Phone: 919-807-6300 \ FAX 919-807-6494 \ Customer Service: 1-877-623-6748 Naturally
Internet: www.ncwaterquallty.org ll�� �/
An Equal Opportunity \ Affirmative Action Employer
Lasmigona decorata 3
http: //nhpweb.enr.state.nc.us/nhis/partner/fortns/eo/eo_py_eo_info.phtml?gid=3792&cmd=Up...
i
Element Occurrence Information
Element Occurrence ID
7236
Scientific Name
Lasmigona decorata
I Element Occurrence
3
Number
Common Name
Carolina Heelsplitter
Most Recent Survey
1987
Date
Date First Observed
1880-PRE
Date Last Observed
1880-PRE
Element Occurrence
X - Extirpated
Rank
Directions CTB/Irwin Creek P: The site is located in central Mecklenburg County and consists of Irwin Creek from its source
to its confluence with Taggart Creek. .
Element Occurrence
This was the location of a syntype of L. decorata. Nine specimens are deposited in the Academy of Natural
Data
Sciences at Philadelphia.
Habitat Description
Small Piedmont stream whose headwaters are located in the western part of Charlotte, NC.
Owner Name and
Comments
Protection Comments -
Management Comments
Additional Comments
1 of 1 3/25/2009 10:16 AM
Laura,
Thanks for following up on this and talking with us on the phone this morning.
After our last phone conversation Ken and I were asked to talk with Bradley Bennett to discuss the site
and the possibility of delaying the permit. We have talked with Bradley and informed him of the
permittees concerns and of the issues with the site and the permit. Bradley understood it was a difficult
site given the location and recommended contacting Charlotte/Mecklenburg County for more
information, which we have done. Bradley noted that we can be somewhat flexible with time and
parameters; however he noted we could not raise the benchmarks. He said that we would not delay the
permit itself but could do a minor modification of the monitoring schedule without going through the
public notice and public comment period.
We understand this is a difficult site given the site location, land constraints and probable upstream
pollutant contributions. However, we want to protect the water quality as much as possible and
strive to reach a balance between these with our permit. We understand our current permit is not
favorable to the permittee because they will probably be over some of the benchmarks. We hope to
work with the permittee in a cooperative r+e� no f * mode in order to address
benchmark exceedances to the extent realistically feasible. We do encourage collecting samples to
identify the magnitude of offsite contributions. We feel that aethe current permit gives time for this
sampling to occur before more sampling is required, potentially in excess of 12 months, depending on
the timing of sampling events. There is some trust required from the permittee that the state will
work with the permittee in order to address the exceedances of the benchmarks. We feel the permit
sets up viable options in this case which include but are not limited to:
• require that the permittee increase or decrease the monitoring frequency for the remainder
of the permit;
• require the permittee to install structural stormwater controls;
• require the permittee to implement other stormwater control measures ;`or)
Again though, we feel that the state will do its best to work with the permittee to balance protecting
water quality and to work with the physical constraints of the site. DWQ will provide a written record
of any agreements, modifications, conditions or amendments to the permit resulting from negotiation
and interpretations of on -going data collection.
Please let me know if you have any questions or comments.
Brian Lowther e tit
YWI
^
je
1't /
Case 08-01789-8-ATS Doc 297 Filed 04/01/09 Entered 04/01/09 15:45:10 Page 52 of
83
Sellers to consummate the transactions contemplated by this Agreement or perform their
obligations under this Agreement except, in each case, for any such effect resulting from any of
the following: (A) any action by a Purchasers or any of its Affiliates or the omission of an action
that was required to be taken by a Purchaser or any of its Affiliates, (B) any action taken by a
Seller at the request or with the prior written consent of the Purchasers or (C) the commencement
of the Chapter 11 Cases.
(fl) "Ordinary Course of Business" means the ordinary and usual course of
normal day to day operations of the Business consistent with past practice, which may include
modifying operations to conserve cash flow to the extent approved in advance by the Purchasers.
(gg) "Owned I\ llectua] Property" means all "Intellectual Property owned by a
Seller, and used, or held for use, in connection with the operation of the Business.
(hh) "Permits" means all
environmental, construction and operation per
waivers, clearances, exemptions, classificai\il
schedules and other similar documents and aut
Seller and used, or held for use, in connection
ownership of the Purchased Assets or assumpti
(ii) "Permitted Encumt
easements, rights of way, restrictive a
encumbrances or non -monetary impedime
individually or in the aggregate, adversely
the Leased Real Property and the Lumber
aggregate, adversely affect the use or oa
ifcations, licenses, pennits (including
franchises, certificates, approvals, consents,
,pstrations, variances, orders, tariffs, rate
tions issued by any Governmental Body to a
he operation of the Business or applicable to
the Assumed Liabilities.
ces" means (i) Encumbrances for utilities, (ii)
rants, encroachments and similar non -monetary
against any of the Purchased Assets which do not,
;ct the operation of the Business and, in the case of
Real Property which do not, individually or in the
incy of such Leased Real Property or Lumberton
Real Property as it relates to the operation of the Business or materially detract from the value of
the Leased Real Property or Lumberton Real Property, (iii) applicable zoning Laws, building
codes, land use restrictions and other similar restrictions imposed by Law, (iv) materialmans',
mechanics', artisans', shippers', warehousemen or other similar common law or statutory liens
incured in the Ordinary Course of Business, including the lien of Nalco Mobetee, hnc., if any,
(v) ad valorem or property Taxis on the Purchased Assets, the Lumberton Real Property, the
Leased Real Property, and the/Leasehold Improvements and (vi) such\other Encumbrances or
title exceptions as the Purchasers may approve in writing in their sole discretion or which do not,
individually or in the aggregate, adversely affect the operation of the Business.
0j) "Person" means an individual, corporation, partnership, limited liability
company, joint venture,lassociation, trust, unincorporated organization, laborunion, estate,
Governmental Body or otIher entity or group.
i
(kk) "Petition Date" means the date on which involuntary petitions were filed
commencing the Sellers' Chapter 11 Cases.
(11) "Prepetition Credit Facility" means that certain Credit Agreement, dated
as of June 7, 2006, by and among Del Mar Onshore Partners, L.P., as agent, the lenders party
LEGAL_US_E # 82611875.8 29
/t%$ ae do ¢O
Pickle. Ken
From: _ Waggoner, David [dwaggoner@charlottepipe.com]
Sent: Friday, August 14, 2009 9:15 AM
To: Pickle, Ken
Cc: 'Laura Moody'; Lowther, Brian
Subject: RE: Charlotte Pipe
That is fine with me.
Thanks, David
From: Pickle, Ken [mailto:ken.pickle@ncdenr.gov]
Sent: Friday, August 14, 2009 9:14 AM
To: Waggoner, David
Cc: 'Laura Moody'; Lowther, Brian
Subject: RE: Charlotte Pipe
David,
At this stage I was thinking a phone call....... contrary perspective?
Ken
From: Waggoner, David [maiIto: dwaggoner@charlottepipe.com]
Sent: Friday, August 14, 2009 8:56 AM
To: Pickle, Ken
Cc: 'Laura Moody'; Lowther, Brian
Subject: RE: Charlotte Pipe
Ken that is fine. Will this be a conf call or actual meeting? Thanks, David
From: Pickle, Ken [mailto:ken.pickle@ncdenr.gov]
Sent: Friday, August 14, 2009 8:12 AM
To: Pickle, Ken; Waggoner, David
Cc: 'Laura Moody'; Lowther, Brian
Subject: RE: Charlotte Pipe
David, 2 2 452�
i 939972 1531$r`
Oh, no, not next Tuesday. I'm out all day. Wednesday looks better for me. Will you be available then?
I agree with looking at preventing exposure first. In general, we like the idea of preventing stormwater contact as a
more effective step than stormwater runoff treatment units. (This is the specific program goal of offering our
permittees the No Exposure Exclusion from Permitting option.) Typically the specific site conditions determine what's
feasible/effective, whether reducing exposure or providing treatment, or some combination.
I hope on Wednesday we can discuss the options you identify, or at least a plan for identifying options that you consider
feasible.
Ultimately after our discussions bring us into agreement, we'd like to receive a written request to amend the permit. By
NC rule, our ability to amend the permit as a 'minor modification' (as opposed to a 'major modification' which requires
going through the public notice procedure again), is limited to modifying schedule and monitoring elements only. But I
think we can accomplish what we need to with those tools.
'}� N L WfSCMIi W S'S' �v. 1 a
"a Netzler Design
DATE: z r8 oq P.M.: acr 1,14101,
Charlotte wNorth 2:rOB NO�ell�o8f- n BY: 1tL r 1 ioolVIoruehead quare Dr,Suite 530TO �aSt44a ar
Caiolinas282o3�iS�a ao
REVISED: 7/7/2009N,1#.�5.'.r,'.!ysBasinData'�'"`^FW
Rational Method w/ Tc Calculated i-yr
Basin 2 - Bioretention at Entrance Side
Open Field = 0.48 Ac.
Te = 24 Min
I = 0.12
0.25'0.12'0.48 = 0.014 cfs Total C'I'A for 1-yr 24hr Release Check
Time of Concentration:
Pre Development
m
:o ir...
,"T�,rsi7YmeConcentrahoris„
8
'�TXtahFloww`
Total T _ 7.0 Minutes
s(�UnaiiY'4arz Sk"�s
TrAe=0.6xT. JITLAG=
TlAG —4.2 Minutes
0.07 Hours
Page 1 of 1
Ken
From: Pickle, Ken
Sent: Friday, August 14, 2009 7:38 AM
To: 'Waggoner, David'
Cc: 'Laura Moody'; Lowther, Brian
Subject: RE: Charlotte Pipe
David,
OK, good. Brian and I will contact you Tuesday when he is back in the office.
Moving forward? - Until Brian gets back Tuesday and we re-establish contact, it might be good preparation if you would:
- look at the listed parameters in your permit; identify those with recurring exceedences likely due to pollutants
originating on your site; identify feasible management actions that could be taken now - it may be that some on -site
sources are readily identifiable; determine which of those feasible management actions provide the most bang for your
buck.
- be prepared to offer those actions up front as the basis for a revised permit also featuring delayed kick -in of the Tiered
structure.
Ken
From: Waggoner, David[mailto:dwaggoner@charlottepipe.com]
Sent: Thursday, August 13, 2009 8:45 AM
To: Pickle, Ken
Cc: 'Laura Moody'
Subject; RE: Charlotte Pipe
Ken,
I like your idea. I think instead of installing treatment systems, because there isn't enough room, we would took at BMPs
that would stop the TSS by slopping the storm water contact. This will take an evaluation on our part but I think it is
cheaper to eliminate the source than to treat it forever.
Your thoughts moving forward?
Thanks, David
From: Pickle, Ken [mailto:ken.pickle@ncdenr.gov]
Sent: Wednesday, August 05, 2009 3:09 PM
To: Justice, Max E.
Cc: Waggoner, David; Bennett, Bradley; Lowther, Brian; Laura.Moody@erm.com
Subject: RE: Charlotte Pipe
Thanks, Max.
I called for David to discuss his receptivity to this idea, but couldn't reach him. I understand he's out for a few days.
Brian is also out until next week. I wanted to respond to you right away, so here's one idea:
ONE OPTION: We recently had a permit renewal where we offered the permittee a 2-year delayed kick -in of the Tiered
approach in exchange for the up -front
JOB NO.: 08-044 BY: nrr 1+tooi'Morehead,SquareDr,Suite53o''i "ID/
DATE. 2181091 P.M.: xr,•r : §i, Chailotte, North;Carohnal28zo tF...r:,,a_.4 hi
REVISED: 51141091
Curve Number:
ostDeve[oped� ON ffSasin+#2`Piped
CoverT e; s1 k Kos
# 3/IIRWIN
real.1% ?a' %5L%J t'• CNi,aWtdWN.-P
Landscaping / Grass Soil C
98561
0.39 74
28.90
Walks, Roof, Pavement Soil C
15383
0.61 98
59.73
0.00
Total
25239
88.63
Composite CN 88.83 11
0.58 Use CN = 88.6
Time of Concentration:
Post -Development
Tc=S Min for Post
Page 1 of 1
installation of a BMP. In that case the site circumstances identified TSS as the parameter to be managed better, and the
BMP approach was almost self-evident in that they had available land, and the presumed stormwater treatment scheme
was likely to work well for TSS removal. Brian was the permit writer for that permit, as well.
The Charlotte Pipe site may be a little more complicated, but a somewhat similar approach might be agreeable as part of
an overall approach for them. If so, we could re -issue the permit with a minor mod to the monitoring program,
presuming we could agree on a similar kind of trade: CP&F agreement to up -front stormwater treatment with the
installation of a BMP; in exchange for a delayed triggering of the Tiered approach. In the previous case, the permittee
still took the samples as per the schedule in the permit, we just wrote the permit to allow her time to design, install, and
test out the operation of her up -front BMP installation before the benchmark -Tiered response connection was
activated. That permittee sounded quite relieved to incur the nominally small expense for a stormwater BMP in
exchange for the time to develop and install it at no risk of regulatory action, and for the delay in their responsibilities
under the Tiered system (of course, they and we both have the expectation that the BMP will be effective in reducing
stormwater TSS discharges.)
Our perspective on the previous permit was that we accelerated the installation of a BMP that likely would have been
installed anyway sometime after the fourth exceedence. That's good for our mission. On the other hand, the
permittee's plant environmental manager had fears similar to David's about explaining 'exceedences' up the corporate
ladder, and so she was amenable to the permit as re -written; and again, it's likely she would have had to install a BMP
after the fourth exceedence, anyway.
Finally, I'd like to emphasize again a couple of points:
a) We understand that Charlotte Pipe should not be held responsible for stormwater pollutants originating off -site; but
they are responsible for pollutants from their site. We'll work with Charlotte Pipe in accordance with this
understanding, and with the understanding that, at least at the beginning, it's unclear what is coming from off site.
b) While DWQ wants all our permittees to respond to benchmark exceedences with effective management, we
acknowledge that feasible management actions may be limited at some sites, including Charlotte Pipe. Our specific
intent in instituting the new permit template in 2007 (approx 2500 general permittees, and 100 individual permittees
now covered under that template), was to deliberately construct the Tiered program language so that DWQ would have
the latitude to make the rational decisions as to feasible mangement actions and monitoring programs at sites where
benchmark exceedences seem intractable.
Ken
From: Duplissey, Vickie D.[mailto:vickieduplissey@parkerpoe.com] On Behalf Of Justice, Max E.
Sent: Wednesday, August 05, 2009 11:22 AM
To: Pickle, Ken
Cc: David, Waggoner,; Bennett, Bradley; Lowther, Brian; Laura.Moody@erm.com
Subject: RE: Charlotte Pipe
Ken,
Thanks for what you are doing. What kind of modification to the monitoring requirements are you
thinking about?
Regards,
Max
r-
en all
WIy+� y •RA0No8-oqq BY ncl h+tootMorchead Squae Dysrute 53oz r8 o P W REI6 sChaHotte, NorthlCnmhna 282031�'S kt `
REVISED: 71 09iMu""i.'i3'1a�'.1'rBtOx�RCIC/1tiO1tBIVIPrd"1..dAad
WATER OUALITYREOUIREMENTSFOR BASIN #2
Drainage basin data
Drainage area to pond (Da)= 0.58 ac
Post -development impervious percentage = 61
Hydrologic Input Data
Acres CN Tc
Pre -Developed: 0.48 74.0 7.0
Post -Developed (P): 0.58 88.6 5.0
Preliminary SCS Modelino Calculations
Q-lin Q-1 yr Q70-yr
Pre -Developed: - 0.47 0.78
Post -Developed (P): 0.63 1.72 3.55
Post -Developed (S): Minimal Flow Rolled into Piped Category
WQv Calculation
Using the runoff volume calculations in the "Simple Method":
Rv = 0.05 + .009 (1)
Rv= 0.60 in/in
WQv = (Design rainfall) (Rv) (Drainage Area)
WQv = 1" rainfall x Rv intin x 1112 infft x Da =
WQv= 0.029 ac-ft
WQv= 0.60 in
Release Rate Calculations for "yi
For Standard Efflcieny use 1.0 days, 2' depth to obtain 85%TSS, 60%TP
Q(WQv)= WQv(ac-R) ' 43,560 /(24hr+3hr) ' 3,600sec for 1.0 day hold.
Q(WQv): 0.013 cfs
Surface area requirements
Initial Calculation for 12' pending depth Maximum
At-- 1259 sqft WQv'43,560/IIt
Surface`Area.Calculationst r`� ,*I"f
k
!Permeability coefficient=_
Df....
__
IFilter bed depth ft) _ l
i.___ P
2
..-
Hf
. _!_—.__—_. _
IAverage height of water (in) =
_
6
_
Tf
fI
IFilter bed drain time (days) =
1.125
At
Required Surface Area (sft) =
1,259
aft
V
112" Storage Volume = 1
1,259
eft
Minimum Surface Area Required= 1259 sqft
Maximum Surface Area Required= 1679 In
or
Surface Area Prorvided= 1634.0 ftr
1" Treatment Volume= 1259 ft'
1" Treatment Height= 0.77 It or
Full Tem era Pool Water Surface= 656.27 msl
1,259 cft
Sta-wMecharue'tllrulMedlaU
Surface
Q
Area
cfs
cfs
cfs
cfs
3M16341„
0.25
0.005
1634
0.50
0.006
1634
0.75
0,007
1634
1.00
0.007
4j634P.z
Qo(cfs) = (SA ' 0.50ft/day ' (h+d)/d) 124 ' 3600
9.25 In
From: Pickle, Ken [mailto:ken.pickle@ncdenr.govj
Sent: Wednesday, August 05, 2009 10:21 AM
To: Lowther, Brian; Laura. Moody@erm.com
Cc: David, Waggoner,; Justice, Max E.; Bennett, Bradley
Subject: RE: Charlotte Pipe
Hi Laura,
I have just a bit of commentary to add to our email yesterday.
We tried to go to some lengths to emphasize our flexibility in working with Charlotte Pipe, including a minor
modification to the permit monitoring requirements. The specifics are lacking, because those need to be worked out
together. We are motivated by an interest in pre-empting Max's filing with the CA11.
We understand that petitioners may feel the need to preserve their rights by filing for a hearing. And Charlotte Pipe
certainly has that right, as they should.
Is there anything else from us that would allow Charlotte Pipe to stay with us in the engineering and regulatory world,
rather than the legal world?
Ken
From: Lowther, Brian
Sent: Tuesday, August 04, 2009 1:10 PM
To: Laura.Moody@erm.com
Cc: Pickle, Ken; David, Waggoner,; maxjustice@parkerpoe.com
Subject: RE: Charlotte Pipe
Laura,
Thanks for following up on this and talking with us on the phone yesterday.
In our last phone conversation Ken and I were asked to talk with Bradley Bennett to discuss the site and the possibility of
delaying the permit. We have talked with Bradley and informed him that the permittee is concerned about continuing
benchmark exceedences, and the possibility that stormwater pollutant discharges may never be completely below
benchmark values, and of the issues with the site and the permit. Bradley understood it was a difficult site given the
location and recommended that we contact Charlotte/Mecklenburg County stormwater staff for more information,
which we have done. Bradley noted that we can be somewhat flexible with time and parameters; however he noted we
could not raise the benchmarks. He said that we would not delay the permit itself but could do a minor modification of
the monitoring schedule without going through the public notice and public comment period.
We understand this is a difficult site given the site location, land constraints, and probable upstream pollutant
contributions. However, we want to protect the water quality as much as possible and strive to reach a balance
between these with our permit. We understand our current permit is not favorable to the permittee because they will
probably be over some of the benchmarks. We want to reiterate that a benchmark exceedence is not a permit
violation. An exceedence is intended to just trigger additional stormwater management action by the permittee. We
hope to work with the permittee in a cooperative mode in order to address any benchmark exceedences to the extent
realistically feasible. We do encourage your current plan to collect additional samples to identify the magnitude of
offsite contributions. We feel that the current permit gives time for this sampling to occur before more sampling is
required, potentially in excess of 12 months, depending on the timing of sampling events. There is some trust
required from the permittee that the state will take into account the feasibility of potential stormwater management
actions as the permittee addresses any exceedences of the benchmarks. We acknowledge that offsite contributions,
A'�T P lleni sI,�,�'r4 ISP W, T u31,
JOB NO.: 08-044 BY: Rr r r n#k tooMoreheerSq re�'Di^�Sulle 83a AW
5' ! i twPm •M�' uM '.uv e tMY Ww
DATE z is og P.M.: Rr r t;+4, �.nls _ a1kdCharlotte NorthCarolmn z82o
REVISED: 7 r o9 t'+!+aK+�'".�,">'2raa'`�sB1o=R('teTtLlOn�BMP-':#+sk��,'
00%Gt$cieneu Calculation
Increase of 15%-20% of Surface Area to Gain Additional Efficiency
Af= 1634 sgft Design Surface Area
% Eft-- 29.80 %
Underdrain Design Calcs
Average Drawdown Thru Media
Drawdown= 0.006
cfs
Design Rate= 0.061
cfs
Single Pipe Calculation
D= 0.492
In
Per Table 5-
Underdrain Requirement for Subject Bioretension
4" Die Underdrain
2 Min Number
Qo(cfs) _ (SA ' 0.50R/day ' (h+d)/d) / 24 ' 3600
Q design = 10 ' Do
D = ((16'Q'n)/s^0.5)^3/8
lirnited available land, and other site constraints may very well limit Charlotte Pipe's feasible stormwater management
options. We feel the permit already indicates that DWQ intends to work with difficult sites in that it sets up viable
options where benchmark exceedences continue; the options already identified in the permit include, but are not
limited to:
require that the permittee increase or decrease the monitoring frequency for the remainder of the permit;
require the permittee to install structural stormwater controls; or
require the permittee to implement other stormwater control measures;
Again though, we feel that the state will do its best to work with the permittee to balance protecting water quality and
to work within the physical constraints of the site. DWQ will provide a written record of any agreements, modifications,
conditions, or amendments to the permit resulting from negotiation, limitations of feasibility considerations, and
interpretations of on -going data collection.
Please let me know if you have any questions or comments.
Brian Lowther
From: Laura Moody [mailto: Laura. Moody@erm.com]
Sent: Monday, August 03, 2009 10:38 AM
To: Pickle, Ken
Subject: Charlotte Pipe
Ken -
Hope you had a great weekend and you have recovered from having the grandkids there! Have you had an opportunity to
talk with Bradley in regards to the stormwater permit options for Charlotte Pipe?
Thanks,
Laura
Laura Rohe Moody
ERM NC, PC
8000 Corporate Center Drive
Su i to 200
Charlotte, NC 28226
Phone: 704-541-8345
Fax: 704-541-84-16
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mail message in error, please contact us immediately at (704) 541-8345 and take the steps necessary to delete the message completely from your computer
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Hydraflow Table of Contents
Hydraflow Hydrographs by Intelisolve v9.02
RG20neYrBWC.gpw
Monday, Jul 6, 2009
Hydrograph Return Period Recap................................................................... 1
10 - Year
HydrographReports........................................................................................................ 2
Hydrograph No. 1, SCS Runoff, Post#2....................................................................... 2
Hydrograph No..3, Reservoir, Bioretention#2................................................................ 3
PondReport - Bioretention2...................................................................................... 4
OFReport ......................................................................................................... 5
Material Safety Data Sheet
U.S. Department.of Labor
May be LAW to Comply lvith
OSHA's Hazard Communlaalian Steedard,
Occupwonal Safety ied Health Administration
29 CFR 19M1200. $landard must be
(Non-Menda,ory Farm)
consulted for spocilic rtpulromonls.
Form A pprovad
OMR No. 1210-0079
IDENTITY(AS UmdMleber uep CA$No.
1
65996-77-2
Y.N,&.Aapetvs ero nd pdrrY((ed,hyty hem4mrepp'ceAb,an.
et yr Sa Coke
arm ma ko d aswbNe, vw apaoo mull 6o mertev, Io so m Mat.
$acllon 1
snare,. name
ARC Coke alyision. erunu..nd Co., Inc,
Em.,g.�..y Telopborro number (205) 849-1330
Adaross ((antlrv, Sb.el. C.y, sraro, aN SM CohI
Alabama 800 523-a661 Other 60
ToNptwna NurtWal Iw e,rmmallat
&.o. 8ax' nota9
me A9 n
DAN P,Opared
All.-i-Sh-Bb Ala 35212
2/7/e5
99newr. m Naps,. F7p ,,.f
eocuon N — Hazardous In$Tedlentsildentlty, Intannatlon
HazvdWa Ca,aironwee (Sp.dra Clronrcal Ide0sM Oanlmn N ma(s)) OSHA PEI- ACpH TLVRec.,r tl e,oMud %fwo
Carbon N/A N/A N/A 93 - 94
Aar,
Sentlon III - PhyslcattChamloal CRarlaClads[IO.a
Bell, Pam
N/A
.Spoofp eta vdy lHlA-11
1.92
Vepw Preewry (nen Hp)
----j
MoLLlrp Pdm
N/A
I
N/A
VNv penally (MR • 1)
-
Evapwall.n Palu
Sdub1AM'IAW®m
N/A
(p ACMa1. I
N/A
NTT, -
AHq ur10 Odor
arcattillar dark gray lamps. No djsrfngqjpjIj,g d
SedNprs IV — rue and:@xploslon Hazard Data
_ . water
SpoGm Pea fWallrq proc.Cums ..
Ur.,neFgk .,k kapi000-Heavy
(Reproduce bwllyj - -
OSHA 174, Sept. I=
MATERIAL SAFETY DATA SHEETS
Date Prepared: 5-9-03
1. CIIEMICAL PRODUCT AND COMPANY IDENTIFICATION
Product Name: Metallurgical Coke CAS No. 65996-77-2
MANUFACTURER
A13C Coke Division, Drummond Co., Inc.
P.O. Box 10246
Birmingham, AL 35202
General Information: (205) 849-1342
EMERGENCY TELFPHONF NUMBERS
ABC Coke: (205) 849-1330
Alabama: (800) 523-8661
Other: (800) 321-4015
2. COMPOSITION/INFORMATION ON INGREDIENTS
OSI to PEI-
Carbon N/A -
ACGIH'HN
N/A
%
90-95
Ash N/A
N/A
5-9
Sulfur N/A
N/A
0.5-1.0
3. IIAZARDS INDENTIFICATION
Immediate Contents: Not classified as a hazardous substance under fire, spill,
leak conditions. Carbon monoxide may evolve during combustions.
Potential health Effects: This product may be irritating to the skin; eyes, and
respiratory and gastrointestinal tract. Inhalation of dusts may lead to irreversible
lung disease and/or cancer.
4. FIRST AID MEASURES
Eyer: Plush with water for at least 15 minutes. If irritation -occurs and persists,
obtain medical attention.
S'kitr: Wash with plenty of soap and water. Get medical attention if irritation
occurs and persists.
Page I of 5
Ingestion: Drink plenty of water. Never give anything by mouth to an
unconscious person. If any discomfort persists, obtain medical attention.
Inhalation: Remove to fresh air. If breathing difficulty or discomfort occurs and
persists, obtain medical attention.
5. rIRE FIGHTING MEASURSES
Plash Point
1,000 deg. I-'LI'L
N/A
UEL
N/A
Extinguish Media
Water
Special Fire Fighting Procedures
None
Unusual Fire and explosion Hazards
None Known
G. ACCIDENTAL RELEASE MEASURES
Avoid breathing dust. Sweep up material and dispose of using the procedure
under water disposal method.
7. HANDLING AND STORAGE
Waste Disposal Mcthod:
Generally landfilling, but must comply with federal, state, and local regulations.
Precautions to be Taken in Handling and Storing_
Use respiratory protection if generation of airborne dust is anticipated
Other Precautions:
None known
S. EXPOSURE CONTROLS / PERSONAL PROTECTION
Respiratory Protection
Protective Gloves
Other protective Clothing or Equipment
Work/Hygienic Practices
Local cxhauq
Ventilation Yes. irexecnivo dust
Page 2 of 5
Approved dust respirator
Abrasive resistant
N/A
NIA
Mechanical Spcoinl 01hcr
NIA N/A NIA
9. PHYSICAL AND CHEMICAL. PROPERTIES
Boiling Point
Freezing Point
Vapor Pressure (man Hg)
Vapor Density (AIR = 1)
Solubility in Water
Specific Gravity (H20 = 1)
Melting Point
Evaporation Ratc
Odor
Appearance
Ph
N/A
N/A
N/A
N/A
0
1.92
N/A
N/A
None
Irregular dark gray Imnps
N/A
10. STA B ILITY AND REACTIVITY
Stability
Conditions to Avoid
Incompatibility
1lazuird Decomposition Products
Idazardous Polymerization
Stable
None Known
None Known
Carbon Monoxide may evolve during
combustion.
Will not occur
ILTOXICOLOGICAL INFORMATION
Eye Effects: No data available for the product,
Skin effects: No data available for the product.
Derma! LD50: No data available for the product.
Ora( LD50: No data available for the product.
Inhalation LC50: No data available for the product.
Acute effects from overexposure: No data available for the product. This product
may be irritating to the skin, eyes, respiratory and gastrointestinal tract.
Chronic effects from overexposure: No data available for the product,
12.ECOLOGICAL INFORMATION
FcotoxicoloEical hJormation: No data available for the product. This product is
composed primarily of fixed carbon, and as, which arc anticipated to readily dissipate
Page 3of�
upon release to the environment. Leachate from this product may contain various
heavy metals.
Chemical fate -information: No data available for the product. Al high
concentrations, this product may affect the turbidity, BOD, COD, and suspended
solid concentration of aquatic systems. _
13.DISPOSAI, CONSIDERATION
Waste Disposal Method:
Generally landfilling, but must comply with federal, state, and local regulations.
14.TRANSPORT INFORMATION
U.S. DOT (Department of Transportation)
Proper Shipping Name: Not regulated
Primary Hazard Class/Division: Not applicable
UN/NA Number: None
Placards: None
Label: Not applicable
Other Shipping Information: DOT MARKING: Coke
HAZARDOUS SUBSTANCE/RQ: Not applicable
49 STCC Number: None
Special Shipping Notes: IMDCI: Not regulated
rATA: Not regulated
15.RLGULATORY INFORMATION
All uomponcrim arc in compliance with the following inventories: U.S. TSCA, 171)
EINICS, Canadian DSL, Australian AICS, Korean, Philippine PICCS, Chinese
Canadian WIAWS classification: Not Controlled
Page 4 of 5
SARA Hazard Notification:
Hazard Categories Under Title III
Rules (40 CFR 370):
Not applicable
Section 302 Extremely Hazardous
Substances:
Section 313 Toxic Chemicals:
CERCI.A Reportable Quantity:
Not applicable
16. OTHER INFORMATION
HMIS RATING:
NFPA RATING:
Health 0
Ilealth 0
Flammability 0
Flammability 0
Reactivity 0
Reactivity 0
Protection F
Special None
Key: 4 = Severe
3 = Serious
2 — Moderate
I = Slight
0 = Minimal
I[MIS RATINGS NOTES: Health = 0 (chronic effects), Protection = F (Safety
glasses, gloves, apron, dust respirator)
While the information contained in this Material Safety Data Sheet (MSDS) is based
on technical data, which ABC Coke believes to be correct, it is nevertheless intended
for use by persons possessing technical skill and at their own discretion and risk.
Since the conditions of use are beyond the control of ABC Coke, no warranty,
expressed or implied, is made, and no liability in connection with any use of this
information is assumed.
Page 5 ol'5
A
Pickle; Ken
From:
Pickle, Ken
Sent:
Wednesday, May 13, 2009 11:11 AM
To:
'Laura Moody'
Cc:
Jones, Jennifer M.
Subject:
RE: Charlotte Pipe
Hi Laura,
a) SHORT ANSWER: At this time, for this facility, my sense is that a 100sf coke pile would be considered as an
incidental/insignificant issue as far as stormwater runoff from the whole site. At this time, my guess is that the presence
of this uncovered bunker would not preclude sw permit coverage, nor would it result in any special permit conditions.
b) LONG ANSWER: I've added the qualifiers, "at this time" above because we are currently considering several related
issues as our program evolves. 1 really can't reliably predict where the stormwater program may be in a year with these
related issues.
The attention occasioned by the catastrophic ash pond spill in Tennesse (TVA) has resulted in direction to the DWQ to be
sure that NC is doing what we should wrt wastewater, surface water, and groundwater. Even though that disaster was
basically a civil engineering failure, the results were, in part, environmental. Within DWQ we have a live issue now as we
re-examine our regulatory programs status concerning ash ponds at coal-fired power plants. Because we suspect that a
key element in environmental impact is the presence of leachable heavy metals, our re-examination is spreading to
consider not just ash ponds at coal-fired power plants, but also other facilities with coal piles, and coal ash (like Frito-Lay
off Westinghouse in Charlotte.) In stormwater we are beginning to require monitoring for a lengthy suite of heavy
metals (" 10 to 20 metals) in stormwater discharges from some of these facilities.
For the stormwater unit, a complicating factor is the established precedent within DWQ to address coal pile runoff at
power plants as wastewater. I think we have had only a small number of coal piles NOT at power plants. In the past we
have addressed some of those flows as stormwater discharges. We are re-evaluating that strategy now.
Intuitively, I don't see much difference between the heavy metals pollution potential from coal, coal ash, OR C01<E. It
seems to me that the coking process might drive off some fraction of the potential for organic pollutants, but I would
expect almost all of the metals to remain in the coke (possibly excepting Hg?) I note that the MSDS you sent to me
reports that leachable heavy metals may be present in the coke.
For this new facility these two issues operate to make me think it's not an issue now for Charlotte Pipe:
- the relatively small size of the overflow bin compared to the large plant site and contributing drainage area. The KEY
ELEMENT in my opinion.
- the not yet fully settled nature of DWQ's posture on coal ash ponds and how that posture might expand to cover a
small coke bin.
the fact that the site scheme we looked at together last year included ponds providing substantial settling provisions.
We're uncertain what BMPs might find application in runoff for metals removal. Bioretention or sand filtration might be
able to strain out metals associated with particulates. Any sort of media BMP (sand filtration or bioretention or
proprietary devices) might be able to sorb some fraction of dissolved metals. Our experience with these types of
pollutants is very limited. That argues that we will be very cautious in the permitting of runoff with such potential
pollutants.
c) It's good to see that this project is still in development, given the current economic conditions.
O
Page 7
date: N o K Visible Sediment leaving the project right of way and into jurisdictional areas: INin
the answer is YES,
intlicate locations and
Rainfall: No ❑ Yes amt. gs in Are there any signs of fuels, lubricants, coolants, or other contaminants corrective actions taken
Evaluator: dischar ad on the ground or surface waters? 4/N below.
nspe a eroswn and se<umern control.measures
,- Commens and ComecGve Actions:�-
on projects that are one acre or greater atleast
once every' Tcalenderdaysdis' least tvnce'every 7,
UlenEar days for facilities dischargmg`t`o;303(d)�,
listed wateis impeirad forturbidrty or sediment) antl (� ✓` �/
Date: `' Visible Sediment leaving the project right of way and into jurisdictional areas: N If the answer is YES,
�S' t r2 In intlicate locations and
Rainfall: No ❑ Y/ m Are there any signs of fuels, lubricants, coolants, or other conta 'nants wmective actions taken
Evaluator G✓/ discharged on the round or surface waters? V7N below.
Inspect ali erosion and sediment control measures Ca"n'ants and Cortecwe Acuans: —
AL -
Date: - D c Visible Sediment leaving the project right of way and into jurisdictionaldM� areas , If the answer is YES,
indicate locations and
Rainfall: No []Ye ❑amt. in Are there any signs of fuels, lubricants, coolants, or other contamirants corrective actions taken
Evaluator: -C discharged on the ground or surface waters- -- i� below.
MLr:1L Comments and Corrective Actions:
,Inspect all eroswn and sediment control measures
on prolecLk that are one acre o[ greater;at leasl'r C rC_
Date: - 2 8-O$ G f/ Vsible Sediment leaving the project right of way and into jurisdictional areas: /N_ he answer is VES,
ry indicate locations and
Rainfall: No ElYe CJafTlt.;ln Are there any signs of fuels, lubricants, coolants, or other contaminants wnective actions taken
Evaluator - L r%r . discharged on the ground or surface waters */N below.
tl- 'y Comments antl Comedive AUi_on.:
Inspect all erosion and sediment Contra measures
:f nmiects t at ate one acre or. greater at least I; �/,.,�,'� /
Date: 9- N-O Visible Sediment leaving the project right of way and into jurisdictional areas: N/N ✓ If the answer is VES,
B' indicate locations and
Rainfall: No des ❑arflt. In Are there any signs of fuels, lubricants, coolants, or other contaminants corrective actions taken
!—
Evaluator: �F.. dischar ed on the round or surface waters? °PIN below.
O -w T: Comments ono Comectiva Actions:
Inspect all erosion ana sediment control measures
r/n
d) I recall that this project is confidential, but I've copied Jennifer here because she is dealing with Frito Lay (referenced
above), and because she is leading the re-evaluation effort in our Unit on coal piles and ash ponds.
I hope Dave's job is still good, given the state of the building industry. All ok there?
1 spoke at length with Rick the other day, it's always good to hear from him.
Pesonally, we're all good, too.
Erin has delivered grandchild #3, Carolina Laurel Neese.
Emily has started keeping bees at her house.
Kenny is finishing his first year in law school.
Sharon is looking forward to the end of the school year. I hope she makes it.
Work is still good for me.
Ken
From: Laura Moody [mailto:Laura.Moody@erm.com]
Sent: Tuesday, May 12, 2009 9:40 AM
To: Ken Pickle
Subject: Charlotte Pipe
Ken -
I hope all is well on your end. We are good. The kids are on a count down until school gets out. I have a question
concerning the new facility at Charlotte Pipe. They would like to design a 100 sq ft overflow coke storage bunker. It
would be fed by dump truck, so they would like to have it uncovered. Would this be allowable for stormwater reasons? I
have attached the MSDS for the material.
Thanks,
Laura
Laura Rohe Moody
ERM NC, PC
8000 Corporate Center Drive
Suite 200
Charlotte, NC 2822E
Phone:704-541-8345
Fax:704-541-8416
This electronic mail message may contain information which is (a) LEGALLY PRIVILEGED, PROPRIETARY IN NATURE, OR OTHERWISE PROTECTED BY
LAW FROM DISCLOSURE, and (b) intended only for the use of the Addressee (a) names herein. If you are not the Addressee (a), or the person responsible for
delivering this to the Addressee (a), you are hereby notified that reading, copying, or distributing this message is prohibited. If you have received this electronic
mail message in error, please contact us immediately at (704) 541-8345 and take the steps necessary to delete the message completely from your computer
system. Thank you, ERM NC, PC.
This electronic mail message may contain information which is (a) LEGALLY PRIVILEGED, PROPRIETARY IN NATURE, OR OTHERWISE PROTECTED BY
LAW FROM DISCLOSURE, and (b) intended only for the use of the Addressee (s) names herein. If you are not the Addressee (s), or the person responsible for
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mail message in error, please contact us immediately at our Atlanta office (770) 590-8383 and take the steps necessary to delete the message completely from
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t
Page&
�' _ If the answer is YES,
indicate locations and
Rainfall: No ❑ Yes D
Date: �7 — d `O Zi Visible Sediment leaving the project right of way and into jurisdictional areas: Y7N�
r�r� arnt:- Z—in Are there any signs of fuels, lubricants, coolants, or other contaminants corrective actions taken
i
Evaluator: discharged on the ground or surface waters? YIN :✓ below.
Inspect all erosion and sediment control measures
Comments and Corrective Actions: r'+
on profectsthat are one acre or greater at east /
..ro n,mv 9'� Inndm dove lm lmaJw�o uJav ]` To .O•/fn i s ^�^.
C
Date: i ' /7- o O
Rainfall: No ❑ Yes 5rnt. r / in
Visible Sediment leaving the project right of way and into ju sdictional areayt(/N i�
If the answer is YES,
indicate locations a nd
corrective actions taken
Are there any signs of fuels, lubricants, coolants, or other contaminants
Evaluator:
discharged on the ground or surface waters?dr/N
below.
;Inspect all`erosion and sediment control measunis
r ton projecle that are one acre or greater at least,,
oInce eve 7 calendar da 'v iy,s. ys'(at least tnwece every 7y
calendar days for facilities Eischargmg l0 303(d)R
listed waters Impaired for turbidRy or sediment)and
comments and corrective A tors ., v
r-3
j vnthm 24 hours after any stone event of greater','
thaeOSlnch of ram per 24 hour period:"
Date: --2S -(r-I� Visible Sediment leaving the project right of way and into Jurisdictional areas:6Y/N If the answer is YES,
Rainfall: NoE2Ye LW .t. In indicate locations and
Are there any signs of fuels, lubricants, coolants, or other contaminants corrective actions taken
Evaluator: / y /� . discharged on the around or surface waters? */N'--� below.
_. „,
....fin _iia...... w....w:me... �,..e�'...�.::... .:-2 Commend end Corrective Actions: /7_ .. .4— ✓
Date: '7 % %'Ct (( Visible Sediment leaving the project right of way and into jurisdictional areas: y/N/t/ H the answer is YES,
indicate locations and
Rainfall: No ❑ Yes rmr t. • In Are there any signs of fuels, lubricants, coolants, or other contaminants corzective actions taken
Evaluator: //�i" 4 _ discharaed on the around or surface waters?�%Ni+ ' below.
Date: - —Oc Visible Sediment leaving the project right of way and into jurisdictional areas: /Njl If the answer is YES,
Rainfal:No❑ Ye ndicatelocationsaM
/�j t in Are there any signs of fuels, lubricants, coolants, or other contaminants corrective actions taken
EValuator, (�/P. disrhnrnpd nn the nrnund nr surface waters? g/N /ram below.
C
State of North Carolina
Department of Environment
and Natural Resources
Division of Water Quality
Michael F. Easley, Governor
William G. Ross Jr., Secretary
Alan W. Klimek, P.E., Director
May 3, 2004
CI IARLOTTE PIPE & FOUNDRY CO
ATTN:BILL WIEBKING, OR SUCCESSOR
PO BOX 35430
CHARLOTTE, NC 28235
1
NCDENR
NORTH CAROLINA DEPARTMENT OF
ENVIRONMENT AND NATURAL RESOURCES
Subject: NPDES Stormwater Permit Renewal
Charlotte Pipe & Foundry Co
Permit Number NCS000040
Mecklenburg County
Dear Permittee:
Your facility is currently covered for stormwater discharge under NPDES Permit NCS000040. This permit expires
on December 31, 2004. North Carolina Administrative Code (15A NCAC 2H.0105(e)) requires that an
application for permit renewal be. filed at least 180 days prior to expiration of the current permit. In order to assure
your continued coverage under your permit, you must apply to the Division of Water Quality (DWQ) for renewal
of your permit. To make this renewal process easier, we are informing you in advance that your permit will be
expiring. Enclosed you will find an individual permit renewal application form, supplemental information request,
and Stormwater Pollution Prevention Plan certification.
Filing the application form along with the requested supplimental information will constitute your application for
renewal of your permit. As stated above, the application form must be completed and returned along with all
requested information by July 9, 2004 in order for the permit to be renewed by December 31, 2004.
Failure to request renewal by July 9, 2004 may result in a civil assessment of at least $500.00. Larger penalties
may be assessed depending on the delinquency of the request. Discharge of stormwater from your facility without
coverage under a valid stormwater NPDES permit would constitute a violation of NCGS 143-215.1 and could
result in assessments of civil penalties of up to $25,000 per day.
If you have any questions regarding the permit renewal procedures please contact Bill Mills of the Stormwater and
General Permits Unit at (919) 733-5083, ext. 548.
Sincerely,
Bradley Bennett, Supervisor
Stormwater and General Permits Unit
cc: Central Files
Stormwater and General Permits Unit Files
Mooresville Regional Office
1617 Mail service Center, Raleigh, North Carolina 27699-1617 Telephone 919-733-5083 Fax 919-733-9919
An Equal Opportunity Affirmative Action Employer 50% recycled/ 10 % post -consumer paper
_State of North Carolina
Department of Environment
and Natural Resources
Division of Water Quality
James B. Hunt, Jr., Governor
Bill Holman, Secretary
Kerr T. Stevens, Director
December 3, 1999
Mr. Bill Wiebking
Charlotte Pipe and Foundry
P.O. Box 35430
Charlotte, North Carolina 28253
�f
NCDENR
NORTH CAROLINA DEPARTMENT OF
ENVIRONMENT AND NATURAL RESOURCES
Subject: Permit No. NCS000040
Charlotte Pipe and Foundry
Mecklenburg County
Dear Mr. Wiebking:
In response to your renewal application for continued coverage under NPDES stormwater permit
NCS000040, the Division of Water Quality (DWQ) is forwarding herewith the subject state - NPDES
permit. This permit is issued pursuant to the requirements of North Carolina General Statute 143-215 .1
and the Memorandum of Agreement between North Carolina and the US Environmental Protection
agency dated December 6, 1983.
A condition of your permit is to evaluate sources of stormwater pollution. It is expected that this
is an ongoing activity. The Division has received comments on the draft permit from the Mecklenburg
County Department of Environmental Protection (MCDEP) concerning elevated levels of metals in your
stormwater discharge. We also understand that MCDEP has requested that you evaluate the site to
determine and eliminate the source of these pollutants and that your staff is working with MCDEP to
accomplish this task. In their draft permit comments, MCDEP requested that several metals be added to
your permit, however at this time the Division will defer that decision and encourage your facility to
continue working with MCDEP to identify and eliminate the pollutant source. The Division requests that
the Stormwater and General Permits Unit staff be periodically updated on your efforts to identify and
eliminate these pollutant sources.
If any parts, measurement frequencies or sampling requirements contained in this permit are
unacceptable to you, you have the right to an adjudicatory hearing upon written request within thirty (30)
days following receipt of this letter. This request must be in the form of a written petition, conforming to
Chapter I50B of the North Carolina General Statutes, and filed with the Office of Administrative
Hearings, Post Office Drawer 27447, Raleigh, North Carolina 27611 -7447. Unless such demand is
made, this decision shall be final and binding.
Please take notice this permit is not transferable. Part III, B.2. addresses the requirements to be
followed in case of change in ownership or control of this discharge.
1617 Mail Service Center, Raleigh, North Carolina 27699-1617 Telephone 919-733-5083 FAX 919-733-9919
An Equal Opportunity Affirmative Action Employer 50 % recycled/ 10% post -consumer paper
Page 2
This permit does not affect the legal requirements to obtain other permits which may be required
by the Division of Environmental Management or permits required by the Division of Land Resources,
Coastal Area Management Act or any other Federal or Local governmental permit that may be required.
If you have any questions concerning this permit, please contact Darren England at telephone
number 919/733-5083 ext. 545.
Sincerely,
I lam'
for Kerr T. Stevens
cc: Mr. Roger O. Pfaff, EPA
Mooresville Regional Office
Mr. Rusty Rozzelle, MCDEP
Permit No. NCS000040
STATE OF NORTH CAROLINA
DEPARTMENT OF ENVIRONMENT AND NATURAL RESOURCES
DIVISION OF WATER QUALITY
PERMIT
TO DISCHARGE STORMWATER UNDER THE
NATIONAL POLLUTANT DISCHARGE ELIMINATION SYSTEM
In compliance with the provisions of North Carolina General Statute 143-215.1, other lawful standards and regulations
promulgated and adopted by the North Carolina Environmental Management Commission, and the Federal Water Pollution
Control Act, as amended,
Charlotte Pipe and Foundry Company
is hereby authorized to discharge stormwater from a facility located at
Charlotte Pipe and Foundry Company
1335 South Clarkson Street
Charlotte
Mecklenburg County
to receiving waters designated as Irwin Creek, a class C stream, in the Catawba River Basin, in accordance with the discharge
limitations, monitoring requirements, and other conditions set forth in Parts 1, II, III, IV, V and VI hereof.
This permit shall become effective January 1, 2000.
This permit and the authorization to discharge shall expire at midnight on December 31, 2004.
Signed this day December 6, 1999.
for Kerr T. Stevens, Director
Division of Water Quality
By the Authority of the Environmental Management Commission
Permit No. NCS000040
TABLE OF CONTENTS
PART I INTRODUCTION
Section A: Individual Permit Coverage
Section B: Permitted Activities
Section C: Location Map
PART II MONITORING, CONTROLS, AND LIMITATIONS FOR PERMITTED DISCHARGES
Section A:
Stormwater Pollution Prevention Plan
Section B:
Analytical Monitoring Requirements
Section C:
Qualitative Monitoring Requirements
Section D:
On -Site Vehicle Maintenance Monitoring Requirements
PART III STANDARD CONDITIONS
Section A: Compliance and Liability
I.
Compliance Schedule
2.
Duty to Comply
3.
Duty to Mitigate
4.
Civil and Criminal Liability
5.
Oil and Hazardous Substance Liability
6.
Property Rights
7.
Severability
8.
Duty to Provide Information
9.
Penalties for Tampering
10.
Penalties for Falsification of Reports
Section B: General
Conditions
1.
Individual Permit Expiration
2.
Transfers
3.
Signatory Requirements
4.
Individual Permit Modification, Revocation and Reissuance, or Termination
5.
Permit Actions
Section C: Operation and Maintenance of Pollution Controls
I. Proper Operation and Maintenance
2. Need to Halt or Reduce Not a Defense
3. Bypassing of Stormwater Control Facilities
Section D: Monitoring and Records
I.
Representative Sampling
2.
Recording Results
3.
Flow Measurements
4.
Test Procedures
5.
Representative Outfall
6.
Records Retention
7.
Inspection and Entry
Permit No. NCS000040
Section E: Reporting Requirements
I.
Discharge Monitoring Reports
2.
Submitting Reports
3.
Availability of Reports
4.
Non-Stormwater Discharges
5.
Planned Changes
6.
Anticipated Noncompliance
7.
Bypass
8.
Twenty-four Hour Reporting
9.
Other Noncompliance
10.
Other Information
PART IV LIMITATIONS REOPENER
PART V ADMINISTERING AND COMPLIANCE MONITORING FEE REQUIREMENTS
PART VI DEFINITIONS
Permit No. NCS000040
PART I INTRODUCTION
SECTION A: INDIVIDUAL PERMIT COVERAGE
During the period beginning on the effective date of the permit and lasting until expiration, the permittee is
authorized to discharge stormwater associated with industrial activity. Such discharges shall be controlled, limited
and monitored as specified in this permit.
SECTION B: PERMITTED ACTIVITIES
Until this permit expires or is modified or revoked, the permittee is authorized to discharge stormwater to the surface
waters of North Carolina or separate storm sewer system which has been :adequately treated and managed in
accordance with the terms and conditions of this individual permit. All discharges shall be in accordance with the
conditions of this permit.
Any other point source discharge to surface waters of the state is prohibited unless it is an allowable non-stormwater
discharge or is covered by another permit, authorization or approval.
This permit does not relieve the permittee from responsibility for compliance with any other applicable federal, state,
or local law, rule, standard, ordinance, order, judgment, or decree.
Part I Page I of 2
Permit No. NCS000040
PART II MONITORING, CONTROLS, AND LIMITATIONS FOR PERMITTED DISCHARGES
SECTION A: STORMWATER POLLUTION PREVENTION PLAN
The permittee shall develop a Stormwater Pollution Prevention Plan, herein after referred to as the Plan. This Plan
shall be considered public information in accordance with Part III, Standard Conditions, Section E, Paragraph 3 of
this individual permit. The Plan shall include, at a minimum, the following items:
Site Plan. The site plan shall provide a description of the physical facility and the potential pollutant
sources which may be expected to contribute to contamination of stormwater discharges. The site plan shall
contain the following:
(a) A general location map (USGS quadrangle map or appropriately drafted equivalent map),
showing the facility's location in relation to transportation routes and surface waters, the name of
the receiving water(s) to which the stormwater outfall(s) discharges, or if the discharge is to a
municipal separate storm sewer system, the name of the municipality and the ultimate receiving
waters; and accurate latitude and longitude of the point(s) of discharge.
(b) A narrative description of storage practices, loading and unloading activities, outdoor process
areas, dust or particulate generating or control processes, and waste disposal practices.
(c) A site map drawn to scale with the distance legend indicating location of industrial activities
(including storage of materials, disposal areas, process areas and loading and unloading areas),
drainage structures, drainage areas for each outfall and activities occurring in the drainage area,
building locations, existing BMPs and impervious surfaces, and the percentage of each drainage
area that is impervious. For each outfall, a narrative description of the potential pollutants which
could be expected to be present in the stormwater discharge.
(d) A list of significant spills or leaks of pollutants that have occurred at the facility during the 3
previous years and any corrective actions taken to mitigate spill impacts.
(e) Certification that the stormwater outfalls have been evaluated for the presence of non-stormwater
discharges. The certification statement will be signed in accordance with the requirements found
in Part 111, Standard Conditions, Section B, Paragraph 3.
2. Stormwater Management Plan. The stormwater management plan shall contain a narrative description of
the materials management practices employed which control or minimize the exposure of significant
materials to stormwater, including structural and nonstructural measures. The stormwater management
plan, at a minimum, shall incorporate the following:
(a) Feasibility Study. A review of the technical and economic feasibility of changing the methods of
operations and/or storage practices to eliminate or reduce exposure of materials and processes to
stormwater. Wherever practical, the permittee shall prevent exposure of all storage areas, material
handling operations, and manufacturing or fueling operations. In areas where elimination of
exposure is not practical, the stormwater management plan shall document the feasibility of
diverting the stormwater runoff away from areas of potential contamination.
(b) Secondary Containment Schedule. A schedule to provide secondary containment for bulk storage
of liquid materials, storage of Section 313 of Title III of the Superfund Amendments and
Reauthorization Act (SARA) water priority chemicals, or storage of hazardous substances to
prevent leaks and spills from contaminating stormwater runoff. If the secondary containment
devices are connected directly to stormwater conveyance systems, the connection shall be
controlled by manually activated valves or other similar devices [which shall be secured with a
locking mechanism] and any stormwater that accumulates in the containment area shall be at a
Part 11 Page I of 6
Permit No. NCS000040
minimum visually observed for color, foam, oulfall staining, visible sheens and dry weather flow,
prior to release of the accumulated stormwater. Accumulated stormwater shall be released if found
to be uncontaminated by the material stored within the containment area. Records documenting
the individual making the observation, the description of the accumulated stormwater and the date
and time of the release shall be kept for a period of five years.
(c) BMP Summary. A narrative description shall be provided of Best Management Practices (BMPs)
to be considered such as, but not limited to, oil and grease separation, debris control, vegetative
filter strips, infiltration and stormwater detention or retention, where necessary. The need for
structural BMPs shall be based on the assessment of potential of sources to contribute significant
quantities of pollutants to stormwater discharges and data collected through monitoring of
stormwater discharges.
Spill Prevention and Response Plan. The Spill Prevention and Response Plan (SPRP) shall incorporate an
assessment of potential pollutant sources based on a materials inventory of the facility. Facility personnel
(or team) responsible for implementing the SPRP shall be identified. A responsible person shall be on -site
at all times during facility operations that have the potential to contaminate stormwater runoff through spills
or exposure of materials associated with the facility operations. The SPRP must be site stormwater specific.
Therefore, a SPCC plan may be a component of the SPRP, but may not be sufficient to completely address
the stormwater aspects of the SPRP. The common elements of the SPCC with the SPRP may be
incorporated by reference into the SPRP.
4. Preventative Maintenance and Good Housekeeping Program. A preventative maintenance program shall be
developed. The program shall document schedules of inspections and maintenance activities of stormwater
control systems, plant equipment and systems. Inspection of material handling areas and regular cleaning
schedules of these areas shall be incorporated into the program.
5. Employee Training. Training schedules shall be developed and training provided at a minimum on an
annual basis on proper spill response and cleanup procedures and preventative maintenance activities for all
personnel involved in any of the facility's operations that have the potential to contaminate stormwater
runoff. Facility personnel (or team) responsible for implementing the training shall be identified.
6. Responsible Party. The Stormwater Pollution Prevention Plan shall identify a specific position(s)
responsible for the overall coordination, development, implementation, and revision to the Plan.
Responsibilities for all components of the Plan shall be documented and position assignments provided.
7. Plan Amendment. The permittee shall amend the Plan whenever there is a change in design, construction,
operation, or maintenance which has a significant effect on the potential for the discharge of pollutants to
surface waters. The Stormwater Pollution Prevention Plan shall be reviewed and updated on an annual
basis.
The Director may notify the permittee when the Plan does not meet one or more of the minimum
requirements of the permit. Within 30 days of such notice, the permittee shall submit a time schedule to the
Director for modifying the Plan to meet minimum requirements. The permittee shall provide certification in
writing (in accordance with Part 111, Standard Conditions, Section B, Paragraph 3) to the Director that the
changes have been made.
8. Facility Inspection Program. Facilities are required to inspect all stormwater systems on at least a
semiannual schedule, once in the fall (September -November) and once in the spring (April - June). The
inspection and any subsequent maintenance activities performed shall be documented, recording date and
time of inspection, individual(s) making the inspection and a narrative description of the facility's
stormwater control systems, plant equipment and systems. Records of these inspections shall be
incorporated into the Stormwater Pollution Prevention Plan.
Stormwater discharge characteristic monitoring as required in Part 11 of this permit shall be performed in
addition to facility inspections.
Part 11 Page 2 of 6
Permit No. NCS000040
9. Implementation. The permittee shall document all monitoring, measurements, inspections and maintenance
activities and training provided to employees, including the log of the sampling data and of activities taken
to implement BMPs associated with the industrial activities, including vehicle maintenance activities. Such
documentation shall be kept on -site for a period of five years and made available to the Director or his
authorized representative immediately upon request.
Part 11 Page 3 of 6
Permit No. NCS000040
0Q O Ada
0 ➢`
110
too ib0
2D
q,S
1r�i)
O.01'k ,001
0.03
,2¢
0.12 .o�Z
SECTION B: ANALYTICAL MONITORING REQUIREMENTS
During the period beginning on the effective dale of the permit and lasting until expiration, the permittee is
authorized to discharge stormwater subject to the provisions of this permit. Analytical monitoring of stormwater
discharges shall be performed as specified below in Table 1.
All analytical monitoring shall be performed during a representative storm event. The required monitoring will
result in a minimum of 7 analytical samplings being conducted over the term of the permit at each stormwater
discharge outfall (SDO). The permittee shall complete the minimum 7 analytical samplings in accordance with the
schedule specified below in Table 2.
Table 1. Analytical Monitoring Requirements
` c') 4 Dtsehar e� r,It h
"'GY g, c y r ,x
<i�gt, ,
a *
1
v= 1 +iSam
(, Measurement Frequency ffl
+' S i`s`'+..
,p p lelx
,ia f
Sample
1i i h 7 h
2 i}i x,y. ti s"+-e 6'.
s s."+��`
'.5' 'va`
2
_a+,Un3tslr,
y, f`,',a�',ra',*.Y:
.t.,x+T. e?:i. fr13
P" ocahon3,
Chemical Oxygen Demand
mg/1
Annually year 1, 2, 3
Grab
SDO
Quarterly year 4 -
Total Suspended Solids
mg/I
Annually year 1, 2, 3
Grab
SDO
Quarterly year 4
Total Kjeldahl
mg/I
Annually year 1, 2, 3
Grab
SDO
Quarterlyyear 4
Phenols
ug/I
Annually year 1, 2, 3
Grab
SDO
Quarterly year 4
Total Copper
ug/I
Annually year 1, 21 3
Grab
SDO
Quarterly year 4
Total Recoverable Lead
ug/I
Annually year 1, 2, 3
Grab
SDO
Quarterly ear 4
Total Nickel
ug/I
Annually year 1, 2, 3
Grab
SDO
Quarterly year 4
Total Zinc
ug/I
Annually year 11 21 3
Grab
SDO
Quarterly year 4
Total Chromium
ug/I
Annually year 1, 2, 3
Grab
SDO
Quarterly year 4
Total Rainfall4
inches
Annually year 1, 2, 3
Quarterly year 4
/////
Annually year 1, 2, 3
Event,Duration4
minutes
Quarterly year 4
-
-
'-%'
,Total"FI6w4
MG
Annually year 1, 2, 3
-
SDO
Quarterly year 4
0.1!S-Toot At
I Measurement Frequency: Once per year during years 1, 2, and 3 of the permit term. Each quarter during the 4ih
year of the permit term. A year is defined as the 12 month period beginning on the month and day of issuance of
the Permit. See Table 2 for schedule of monitoring periods.
2 If the stormwater runoff is controlled by a stormwater detention pond, a grab sample of the discharge from the
pond shall be collected within the first 30 minutes of discharge. If the detention pond discharges only in response
to a storm event exceeding a ten year design storm, then no analytical monitoring is required and only qualitative
monitoring shall be performed.
3 Sample Location: Samples shall be collected at each stormwater discharge outfall (SDO) unless representative
outfall status has been granted.
4 For each sampled representative storm event the total precipitation, storm duration, and total flow must be
monitored. Total flow shall be either; (a) measured continuously, (b) calculated based on the amount of area
Part 11 Page 4 of 6
Permit No. NCS000040
draining to the outfall, the amount of built -upon (impervious) area, and the total amount of rainfall, or (c)
estimated by the measurement of Flow at 20 minute intervals during the rainfall event.
Table 2. Monitoring schedule
5
�,�3�iVlo itorthggpenod ,�
'i T
Sample+Number ;
5 S F F Y.f
;, -,� _ Start i
Year
I
January1,2000
December 31, 2000
Year 2
2
January 1, 2001
December 31, 2001
Year 3
3
January 1, 2002
December 31, 2002
Year 4 - I" quarter
4
January 1, 2003
March 31, 2003
Year 4 - 2"d quarter
5
April I, 2003
June 30, 2003
Year 4 - 3" quarter
6
July 1, 2003
September 30, 2003
Year 4 - 4" quarter
7
October 1, 2003
December 31, 2003
SECTION C: QUALITATIVE MONITORING REQUIREMENTS
Qualitative monitoring requires a visual inspection of each stormwater outfall regardless of representative outfall
status and shall be performed as specified below in Table 3. Qualitative monitoring is for the purpose of evaluating
the effectiveness of the Stormwater Pollution Prevention Plan (SPPP) and assessing new sources of stormwater
pollution. No analytical tests are required. Qualitative monitoring of stormwater outfalls does not need to be
performed during a representative storm event.
In the event an atypical condition is noted at a stormwater discharge outfall, the Permittee shall document the
suspected cause of the condition and any actions taken in response to the discovery. This documentation will be
maintained with the Stormwater Pollution Prevention Plan.
All qualitative monitoring will be performed twice per year, once in the spring (April - June) and once in the fall
(September - November).
Table 3. Oualitalive Monitoring Requirements
Iil Y
n
Discharge,Characteshc5' "'. '
dr. rtfi^,t
tt<
PY fW
{f Frequency
tt� Momtonng . 5
-FL
>Loratiohl:.a.•?
.Color
Semi -Annual
SDO
Odor
Semi -Annual
SDO
Clarity
Semi -Annual
SOO
Floating Solids
Semi -Annual
SDO
Suspended Solids
Semi -Annual
SDO
Foam
Semi -Annual
SDO
Oil Sheen
Semi -Annual
SDO
Other obvious indicators
of stormwater pollution
Semi -Annual
SDO
Footnotes:
I Monitoring Location: Qualitative monitoring shall be performed at each stormwater discharge outfall (SDO)
regardless of representative outfall status.
Part 11 Page 5 of 6
Permit No. NCS000040
SECTION D: ON -SITE VEHICLE MAINTENANCE MONITORING REQUIREMENTS
Facilities which have any vehicle maintenance activity occurring on -site which uses more than 55 gallons of new
motor oil per month when averaged over the calendar year shall perform analytical monitoring as specified below in
Table 4. This monitoring shall be performed at all outfalls which discharge stormwater runoff from vehicle
maintenance areas.
All analytical monitoring shall be performed during a representative storm event. The required monitoring will
result in a minimum of 7 analytical samplings being conducted over the term of the permit at each stormwater
discharge outfall (SDO) which discharges stormwater runoff from vehicle maintenance areas. The permittee shall
complete the minimum 7 analytical samplings in accordance with the schedule specified in Table 2 (Part 11, Section
B).
Table 4. Analvtical Monitoring Requirements for On -Site Vehicle Maintenance
DtWifte.Characteristia,
�yc
; ',t"_Unias
f
^Measurement-
Sampler ti
�`#,'rS—-19N
'�
fV.
z
1.�,'_
a
a ;fit..-.,�1
,Fre uenc
�..:T e24.
t?Locatton?..a
pH
standard
Annually year 1, 2, 3
Grab
SDO
Quarterly year 4
Oil and Grease
mg/1
Annually year 1, 2, 3
Grab
SDO
Quarterly year 4
Total Suspended Solids
mg/I
Annually year 1, 2, 3
Grab
SDO
Quarterly year 4
New Motor Oil Usage
gallons/month
Annually year 1, 2, 3
Estimate
-
Quarterly year 4
Total Flow4
MG
Annually year 1, 2, 3
Grab
SDO
Quarterly year 4
Footnotes:
I Measurement Frequency: Once per year during years 1, 2, and 3 of the permit term. Each quarter during the 4i°
year of the permit term. A year is defined as the 12 month period beginning on the month and day of issuance of
the Permit. See Table 2 for schedule of monitoring periods.
2 If the stormwater runoff is controlled by a stormwater detention pond, a grab sample of the discharge from the
pond shall be collected within the first 30 minutes of discharge. If the detention pond discharges only in response
to a storm event exceeding a ten year design storm, then no analytical monitoring is required and only qualitative
monitoring shall be performed.
3 Sample Location: Samples shall be collected at each stormwater discharge outfall (SDO) that discharges
stormwater runoff from area(s) where vehicle maintenance activities occur.
4 Total flow shall be; (a) measured continuously, (b) calculated based on the amount of area draining to the outfall,
the amount of built -upon (impervious) area, and the total amount of rainfall, or (c) estimated by the measurement
of flow at 20 minute intervals during the rainfall event. Total precipitation and duration of the rainfall event
measured shall result from the sampled representative storm event.
Part 11 Page 6 of 6
Permit No. NCS000040
PART III STANDARD CONDITIONS FOR NPDES STORMWATER INDIVIDUAL PERMITS
SECTION A: COMPLIANCE AND LIABILITY
Compliance Schedule
The permittee shall comply with Limitations and Controls specified for slormwater discharges in
accordance with the following schedule:
Existing Facilities: The Stormwater Pollution Prevention Plan shall be developed and implemented within
12 months of the effective date of the initial permit and updated thereafter on an annual basis. Secondary
containment, as specified in Part II, Section A, Paragraph 2(b) of this permit, shall be accomplished within
12 months of the effective date of the initial permit issuance.
Proposed Facilities: The Stormwater Pollution Prevention Plan shall be developed and implemented prior to
the beginning of discharges from the operation of the industrial activity and be updated thereafter on an
annual basis. Secondary containment, as specified in Part II, Section A, Paragraph 2(b) of this permit shall
be accomplished prior to the beginning of discharges from the operation of the industrial activity.
2. Duty to Comply
The permittee must comply with all conditions of this individual permit. Any permit noncompliance
constitutes a violation of the Clean Water Act and is grounds for enforcement action; for permit
termination, revocation and reissuance, or modification; or denial of a permit upon renewal application.
a. The permittee shall comply with standards or prohibitions established under section 307(a) of the
Clean Water Act for toxic pollutants within the time provided in the regulations that establish these
standards or prohibitions, even if the permit has not yet been modified to incorporate the
requirement.
b. The Clean Water Act provides that any person who violates a permit condition is subject to a civil
penalty not to exceed $25,000 per day for each violation. Any person who negligently violates any
permit condition is subject to criminal penalties of $2,500 to $25,000 per day of violation, or
imprisonment for not more than 1 year, or both. Any person who knowingly violates permit
conditions is subject to criminal penalties of $5,000 to $50,000 per day of violation, or
imprisonment for not more than 3 years, or both. Also, any person who violates a permit condition
may be assessed an administrative penalty not to exceed $10,000 per violation with the maximum
amount not to exceed $125,000. [Ref: Section 309 of the Federal Act 33 USC 1319 and 40 CFR
122.41(a). I
C. Under state law, a daily civil penally of not more than ten thousand dollars ($10,000) per violation
may be assessed against any person who violates or fails to act in accordance with the terms,
conditions, or requirements of a permit. [Ref: North Carolina General Statutes 143-215.6A]
d. Any person may be assessed an administrative penalty by the Director for violating section 301,
302, 306, 307, 308, 318, or 405 of the Act, or any permit condition or limitation implementing any
of such sections in a permit issued under section 402 of the Act. Administrative penalties for Class
I violations are not to exceed $10,000 per violation, with the maximum amount of any Class I
penalty assessed not to exceed $25,000. Penalties for Class 11 violations are not to exceed $10,000
per day for each day during which the violation continues, with the maximum amount of any Class
II penalty not to exceed $125,000.
Part III Page 1 of 8 Pages
Permit No. NCS000040
Duty to Mitigate
The permittee shall take all reasonable steps to minimize or prevent any discharge in violation of this
individual permit which has a reasonable likelihood of adversely affecting human health or the environment.
4. Civil and Criminal Liabilitv
Except as provided in Part ❑I, Section C of this permit regarding bypassing of stormwater control facilities,
nothing in this individual permit shall be construed to relieve the permittee from any responsibilities,
liabilities, or penalties for noncompliance pursuant to NCGS 143-215.3, 143-215.6A, 143-215.6B, 143-
215.6C or Section 309 of the Federal Act, 33 USC 1319. Furthermore, the permittee is responsible for
consequential damages, such as fish kills, even though the responsibility for effective compliance may be
temporarily suspended.
5. Oil and Hazardous Substance Liabilitv
Nothing in this individual permit shall be construed to preclude the institution of any legal action or relieve
the permittee from any responsibilities, liabilities, or penalties to which the permittee is or may be subject to
under NCGS 143-215.75 et seq. or Section 311 of the Federal Act, 33 USC 1321.
6. Property Rights
The issuance of this individual permit does not convey any property rights in either real or personal
property, or any exclusive privileges, nor does it authorize any injury to private property or any invasion of
personal rights, nor any infringement of Federal, State or local laws or regulations.
Severability
The provisions of this individual permit are severable, and if any provision of this individual permit, or the
application of any provision of this individual permit to any circumstances, is held invalid, the application
of such provision to other circumstances, and the remainder of this individual permit, shall not be affected
thereby.
8. Duty to Provide Information
The permittee shall furnish to the Director, within a reasonable time, any information which the Director
may request to determine whether cause exists for modifying, revoking and reissuing, or terminating the
permit issued pursuant to this individual permit or to determine compliance with this individual permit. The
permittee shall also furnish to the Director upon request, copies of records required to be kept by this
individual permit.
Penalties for Tampering
The Clean Water Act provides that any person who falsifies, tampers with, or knowingly renders inaccurate,
any monitoring device or method required to be maintained under this individual permit shall, upon
conviction, be punished by a fine of not more than $10,000 per violation, or by imprisonment for not more
than two years per violation, or by both. If a conviction of a person is for a violation committed after a first
conviction of such person under this paragraph, punishment is a fine of not more that $20,000 per day of
violation, or by imprisonment of not more than 4 years, or both.
10. Penalties for Falsification of Reports
The Clean Water Act provides that any person who knowingly makes any false statement, representation, or
certification in any record or other document submitted or required to be maintained under this individual
Part III Page 2 of 8 Pages
Permit No. NCS000040
permit, including monitoring reports or reports of compliance or noncompliance shall, upon conviction, be
punished by a fine of not more than $10,000 per violation, or by imprisonment for not more than two years
per violation, or by both.
SECTION B: GENERAL CONDITIONS
Individual Permit Expiration
The permittee is not authorized to discharge after the expiration date. In order to receive automatic
authorization to discharge beyond the expiration date, the permittee shall submit forms and fees as are
required by the agency authorized to issue permits no later than 180 days prior to the expiration date. Any
permittee that has not requested renewal at least 180 days prior to expiration, or any permittee that does not
have a permit after the expiration and has not requested renewal at least 180 days prior to expiration, will be
subjected to enforcement procedures as provided in NCGS § 143-2153.6 and 33 USC 1251 et. seq.
2. Transfers
This permit is not transferable to any person except after notice to and approval by the Director. The
Director may require modification or revocation and reissuance of the permit to change the name and
incorporate such other requirements as may be necessary under the Clean Water Act. Permittee is required
to notify the Division in writing in the event the permitted facility is sold or closed.
3. Signatory Requirements
All applications, reports, or information submitted to the Director shall be signed and certified.
All applications to be covered under this individual permit shall be signed as follows:
(1) For a corporation: by a responsible corporate officer. For the purpose of this Section, a
responsible corporate officer means: (a) a president, secretary, treasurer or vice president
of the corporation in charge of a principal business function, or any other person who
performs similar policy or decision making functions for the corporation, or (b) the
manager of one or more manufacturing production or operating facilities employing more
than 250 persons or having gross annual sales or expenditures exceeding 25 million (in
second quarter 1980 dollars), if authority to sign documents has been assigned or
delegated to the manager in accordance with corporate procedures.
(2) For a partnership or sole proprietorship: by a general partner or the proprietor,
respectively; or
(3) For a municipality, State, Federal, or other public agency: by either a principal executive
officer or ranking elected official.
b. All reports required by the individual permit and other information requested by the Director shall
be signed by a person described above -or by a duly authorized representative of that person. A
person is a duly authorized representative only if:
(1) The authorization is made in writing by a person described above;
(2) The authorization specified either an individual or a position having responsibility for the
overall operation of the regulated facility or activity, such as the position of plant
manager, operator of a well or well field, superintendent, a position of equivalent
responsibility, or an individual or position having overall responsibility for environmental
PartIII Page 3 of 8 Pages
I'�iiiilli�►�►L�IiY1I1I1I1if17
matters for the company. (A duly authorized representative may thus be either a named
individual or any individual occupying a named position.); and
(3) The written authorization is submitted to the Director.
C. Any person signing a document under paragraphs a. or b. of this section shall make the following
certification:
"I certify, under penalty of law, that this document and all attachments were prepared under my
direction or supervision in accordance with a system designed to assure that qualified personnel
properly gather and evaluate the information submitted. Based on my inquiry of the person or
persons who manage the system, or those persons directly responsible for gathering the
information, the information submitted is, to the best of my knowledge and belief, true, accurate,
and complete. I am aware that there are significant penalties for submitting false information,
including the possibility of fines and imprisonment for knowing violations."
4. Individual Permit Modification- Revocation and Reissuance, or Termination
The issuance of this individual permit does not prohibit the Director from reopening and modifying the
individual permit, revoking and reissuing the individual permit, or terminating the individual permit as
allowed by the laws, rules, and regulations contained in Title 40, Code of Federal Regulations, Parts 122
and 123; Title 15A of the North Carolina Administrative Code, Subchapter 2H .0100; and North Carolina
General Statute 143-215.1 et. al.
After public notice and opportunity for a hearing, the individual permit may be terminated for cause. The
filing of a request for a individual permit modification, revocation and reissuance, or termination does not
stay any individual permit condition. The permit shall expire when the individual permit is terminated.
5. Permit Actions
The permit may be modified, revoked and reissued, or terminated for cause. The notification of planned
changes or anticipated noncompliance does not stay any individual permit condition.
SECTION C: OPERATION AND MAINTENANCE OF POLLUTION CONTROLS
I. Proper Operation and Maintenance
The permittee shall at all times properly operate and maintain all facilities and systems of treatment and
control (and related appurtenances) which are installed or used by the permittee to achieve compliance with
the conditions of this individual permit. Proper operation and maintenance also includes adequate
laboratory controls and appropriate quality assurance procedures. This provision requires the operation of
back-up or auxiliary facilities or similar systems which are installed by a permittee only when the operation
is necessary to achieve compliance with the conditions of this individual permit.
Need to Halt or Reduce Not a Defense
It shall not be a defense for a permittee in an enforcement action that it would have been necessary to halt or
reduce the permitted activity in order to maintain compliance with the condition of this individual permit.
Bypassing of Stormwater Control Facilities
Bypass is prohibited and the Director may take enforcement action against a permittee for bypass unless:
Part III Page 4 of 8 Pages
Permit No. NCS000040
a. Bypass was unavoidable to prevent loss of life, personal injury or severe property damage; and
b. There were no feasible alternatives to the bypass, such as the use of auxiliary control facilities,
retention of stormwater or maintenance during normal periods of equipment downtime or dry
weather. This condition is not satisfied if adequate backup controls should have been installed in
the exercise of reasonable engineering judgment to prevent a bypass which occurred during normal
periods of equipment downtime or preventive maintenance; and
C. The permittee submitted notices as required under, Part 111, Section E of this permit.
If the Director determines that it will meet the three conditions listed above, the Director may approve an
anticipated bypass after considering its adverse effects.
SECTION D: MONITORING AND RECORDS
Representative Sampling
Samples collected and measurements taken, as required herein, shall be characteristic of the volume and
nature of the permitted discharge. Analytical sampling shall be performed during a representative storm
event. Samples shall be taken on a day and time that is characteristic of the discharge. All samples shall be
taken before the discharge joins or is diluted by any other waste stream, body of water, or substance.
Monitoring points as specified in this permit shall not be changed without notification to and approval of
the Director.
2. Recording Results
For each measurement, sample, inspection or maintenance activity performed or collected pursuant to the
requirements of this individual permit, the permittee shall record the following information:
a. The date, exact place, and time of sampling, measurements, inspection or maintenance activity;
b. The individual(s) who performed the sampling, measurements, inspection or maintenance activity;
C. The date(s) analyses were performed;
d. The individual(s) who performed the analyses;
e. The analytical techniques or methods used; and
f. The results of such analyses.
3. Flow Measurements
Where required, appropriate Flow measurement devices and methods consistent with accepted scientific
practices shall be selected and used to ensure the accuracy and reliability of measurements of the volume of
monitored discharges.
4. Test Procedures
Test procedures for the analysis of pollutants shall conform to the EMC regulations published pursuant to
NCGS 143-215.63 et. seq, the Water and Air Quality Reporting Acts, and to regulations published pursuant
to Section 304(g), 33 USC 1314, of the Federal Water Pollution Control Act, as Amended, and Regulation
40 CFR 136.
Part III Page 5 of 8 Pages
Permit No. NCS000040
To meet the intent of the monitoring required by this individual permit, all lest procedures must produce
minimum detection and reporting levels and all data generated must be reported down to the minimum
detection or lower reporting level of the procedure.
5. Representative Outfall
If a facility has multiple discharge locations with substantially identical stormwater discharges that are
required to be sampled, the permittee may petition the Director for representative outfall status. If it is
established that the stormwater discharges are substantially identical and the permittee is granted
representative outfall status, then sampling requirements may be performed at a reduced number of outfalls.
6. Records Retention
Visual monitoring shall be documented and records maintained at the facility along with the Stormwater
Pollution Prevention Plan. Copies of analytical monitoring results shall also be maintained on -site. The
permittee shall retain records of all monitoring information, including all calibration and maintenance
records and all original strip chart recordings for continuous monitoring instrumentation, and copies of all
reports required by this individual permit for a period of at least 5 years from the date of the sample,
measurement, report or application. This period may be extended by request of the Director at any time.
Inspection and Ent
The permittee shall allow the Director, or an authorized representative (including an authorized contractor
acting as a representative of the Director), or in the case of a facility which discharges through a municipal
separate storm sewer system, an authorized representative of a municipal operator or the separate storm
sewer system receiving the discharge, upon the presentation of credentials and other documents as may be
required by law, to;
a. Enter upon the permittee's premises where a regulated facility or activity is located or conducted,
or where records must be kept under the conditions of this individual permit;
b. Have access to and copy, at reasonable times, any records that must be kept under the conditions of
this individual permit;
C. Inspect at reasonable times any facilities, equipment (including monitoring and control equipment),
practices, or operations regulated or required under this individual permit; and
d. Sample or monitor at reasonable times, for the purposes of assuring individual permit compliance
or as otherwise authorized by the Clean Water Act, any substances or parameters at any location.
SECTION E: REPORTING REQUIREMENTS
1. Discharge Monitoring Reports
Samples analyzed in accordance with the terms of this permit shall be submitted to the Division on
Discharge Monitoring Report forms provided by the Director. Submittals shall be received by the Division
no later than 30 days from the date the facility receives the sampling results from the laboratory.
Part III Page 6 of 8 Pages
Permit No. NCS000040
2. Submitting Reports
Duplicate signed copies of all reports required herein, shall be submitted to the following address:
Division of Water Quality
Water Quality Section
ATTENTION: Central Files
1617 Mail Service Center
Raleigh, North Carolina 27699-1617
Availability of Reports
Except for data determined to be confidential under NCGS 143-215.3(a)(2) or Section 308 of the Federal
Act, 33 USC 1318, all reports prepared in accordance with the terms shall be available for public inspection
at the offices of the Division of Water Quality. As required by the Act, analytical data shall not be
considered confidential. Knowingly making any false statement on any such report may result in the
imposition of criminal penalties as provided for in NCGS 143-215.613 or in Section 309 of the Federal Act.
4. Non-Stormwater Discharges
If the storm event monitored in accordance with this individual permit coincides with a non-stormwater
discharge, the permittee shall separately monitor all parameters as required under the non-Stormwater
discharge permit and provide this information with the Stormwater discharge monitoring report.
5. Planned Changes
The permittee shall give notice to the Director as soon as possible of any planned changes at the permitted
facility which could significantly alter the nature or quantity of pollutants discharged. This notification
requirement includes pollutants which are not specifically listed in the individual permit or subject to
notification requirements under 40 CFR Part 122.42 (a).
6. Anticipated Noncompliance
The permittee shall give notice to the Director as soon as possible of any planned changes at the permitted
facility which may result in noncompliance with the individual permit requirements.
Bypass
a. Anticipated bypass. If the permittee knows in advance of the need for a bypass, it shall submit
prior notice, if possible at least ten days before the date of the bypass; including an evaluation of
the anticipated quality and affect of the bypass.
b. Unanticipated bypass. The permittee shall submit notice within 24 hours of becoming aware of an
unanticipated bypass.
Twenty-four Hour Reporting
The permittee shall report to the central office or the appropriate regional office any noncompliance which
may endanger health or the environment. Any information shall beprovided orally within 24 hours from
the time the permittee became aware of the circumstances. A written submission shall also be provided
within 5 days of the time the permittee becomes aware of the circumstances.
The written submission shall contain a description of the noncompliance, and its causes; the period of
noncompliance, including exact dates and times, and if the noncompliance has not been corrected, the
Part III Page 7 of 8 Pages
Permit No. NCS000040
anticipated time compliance is expected to continue; and steps taken or planned to reduce, eliminate, and
prevent reoccurrence of the noncompliance.
The Director may waive the written report on a case -by -case basis if the oral report has been received
within 24 hours.
Other Noncompliance
The permiltee shall report all instances of noncompliance not reported under 24 hour reporting at the time
monitoring reports are submitted.
10. Other Information
Where the permittee becomes aware that it failed to submit any relevant facts in an application for an
individual permit or in any report to the Director, it shall promptly submit such facts or information.
Part III Page 8 of 8 Pages
Permit No. NCS000040
PART IV LIMITATIONS REOPENER
This individual permit shall be modified or alternatively, revoked and reissued, to comply with any applicable
effluent guideline or water quality standard issued or approved under Sections 302(b) (2) (c), and (d), 304(b) (2) and
307(a) of the Clean Water Act, if the effluent guideline or water quality standard so issued or approved:
Contains different conditions or is otherwise more stringent than any effluent limitation in the individual
permit; or
b. Controls any pollutant not limited in the individual permit.
The individual permit as modified or reissued under this paragraph shall also contain any other requirements in the
Act then applicable.
PART V ADMINISTERING AND COMPLIANCE MONITORING FEE
REQUIREMENTS
The permittee must pay the administering and compliance monitoring fee within 30 (thirty) days after being billed by
the Division. Failure to pay the fee in timely manner in accordance with 15A NCAC 2H .0105(b)(4) may cause this
Division to initiate action to revoke the Individual Permit.
PART VI DEFINITIONS
Act
See Clean Water Act.
2. Arithmetic Mean
The arithmetic mean of any set of values is the summation of the individual values divided by the number of
individual values.
3. Allowable Non-Stormwater Discharges
This permit regulates Stormwater discharges. Non-Stormwater discharges which shall be allowed in the
Stormwater conveyance system are:
(a) All other discharges that are authorized by a non-Stormwater NPDES permit.
(b) Uncontaminated groundwater, foundation drains, air -conditioner condensate without added
chemicals, springs, discharges of uncontaminated potable water, waterline and fire hydrant
flushings, water from footing drains, flows from riparian habitats and wetlands.
(c) Discharges resulting from fire -fighting or fire -fighting training.
4. Best Management Practices (BMPs)
Measures or practices used to reduce the amount of pollution entering surface waters. BMPs may take the
form of a process; activity, or physical structure.
Parts IV, V and VI Page I of 5
Permit No. NCS000040
Bypass
A bypass is the known diversion of stormwater from any portion of a stormwater control facility including
the collection system, which is not a designed or established operating mode for the facility.
6. Bulk Storage of Liquid Products
Liquid raw materials, manufactured products, waste materials or by-products with a single above ground
storage conlainerhaving a capacity of greater than 660 gallons or with multiple above ground storage
containers located in close proximity to each other having a total combined storage capacity of greater than
1,320 gallons.
7. Clean Water Act
The Federal Water Pollution Control Act, also known as the Clean Water Act (CWA), as amended, 33
USC 1251, et. seq.
8. Division or DWO
The Division of Water Quality, Department of Environment and Natural Resources.
9. Director
The Director of the Division of Water Quality, the permit issuing authority.
10. EMC
The North Carolina Environmental Management Commission.
11. Grab Sample
An individual sample collected instantaneously. Grab samples that will be directly analyzed or qualitatively
monitored must be taken within the first 30 minutes of discharge.
12. Hazardous Substance
Any substance designated under 40 CFR Part 116 pursuant to Section 311 of the Clean Water Act.
13. Landfill
A disposal facility or part of a disposal facility where waste is placed in or on land and which is not a land
treatment facility; a surface impoundment, an injection well, a hazardous waste long-term storage facility or
a surface storage facility.
14. Municipal Separate Storm Sewer System
A stormwater collection system within an incorporated area of local self-government such as a city or town.
15. Overburden
Any material of any nature, consolidated or unconsolidated, that overlies a mineral deposit, excluding
topsoil or similar naturally -occurring surface materials that are not disturbed by mining operations.
Part VI Page 2 of 5 Pages
Permit No. NCS000040
16. Permittee
The owner or operator issued a permit pursuant to this individual permit.
17. Point Source Discharge of Stormwater
Any discernible, confined and discrete conveyance including, but not specifically limited to, any pipe, ditch,
channel, tunnel, conduit, well, or discrete fissure from which Stormwater is or may be discharged to waters
of the state.
18. Representative Storm Event
A storm event that measures greater than 0.1 inches of rainfall and that is preceded by at least 72 hours in which no
storm event measuring greater than 0.1 inches has occurred. A single storm event may contain up to 10 consecutive
hours of no precipitation. For example, if it rains for 2 hours without producing any collectable discharge, and then
stops, a sample may be collected if a rain producing a discharge begins again within the next 10 hours.
19. Representative Outfall Status
When it is established that the discharge of stormwater runoff from a single outfall is representative of the
discharges at multiple outfalls, the DWQ may grant representative outfall status. Representative outfall
status allows the permittee to perform analytical monitoring at a reduced number of outfalls.
20. Rinse Water Discharge
The discharge of rinse water from equipment cleaning areas associated with industrial activity. Rinse
waters from vehicle and equipment cleaning areas are process wastewaters and do not include washwaters
utilizing any type of detergent or cleaning agent.
21. Secondary Containment
Spill containment for the contents of the single largest tank within the containment structure plus sufficient
freeboard to allow for the 25-year, 24-hour storm event.
22. Section 313 Water Priority Chemical
A chemical or chemical category which
a. Is listed in 40 CFR 372.65 pursuant to Section 313 of Title III of the Superfund Amendments and
Reauthorization Act (SARA) of 1986, also titled the Emergency Planning and Community Right -
to -Know Act of 1986;
b. Is present at or above threshold levels at a facility subject to SARA title III, Section 313 reporting
requirements; and
C. That meet at least one of the following criteria:
(1) Is listed in Appendix D of 40 CFR part 122 on either Table II (organic priority
pollutants), Table III (certain metals, cyanides, and phenols) or Table IV (certain toxic
pollutants and hazardous substances);
(2) Is listed as a hazardous substance pursuant to section 311(b)(2)(A) of the CWA at 40
CFR l 16.4; or
(3) Is a pollutant for which EPA has published acute or chronic water quality criteria.
Part VI Page 3 of 5 Pages
Permit No. NCS000040
23. Severe Property Damage
Means substantial physical damage to property, damage to the control facilities which causes them to
become inoperable, or substantial and permanent loss of natural resources which can reasonably be
expected to occur in the absence of a bypass. Severe property damage does not mean economic loss
caused by delays in production.
24. Significant Materials
Includes, but is not limited to: raw materials; fuels; materials such as solvents, detergents, and plastic
pellets; finished materials such as metallic products; raw materials used in food processing or production;
hazardous substances designated under section 101(14) of CERCLA; any chemical the facility is required to
report pursuant to section 313 of Title III of SARA; fertilizers; pesticides; and waste products such as ashes,
slag and sludge that have the potential to be released with stormwater discharges.
25. Significant Spills
Includes, but is not limited to: releases of oil or hazardous substances in excess of reportable quantities
under section 311 of the Clean Water Act (Ref: 40 CFR 110.10 and CFR 117.21) or section 102 of
CERCLA (Ref: 40 CFR 302.4).
26. Stormwater Runoff
The flow of water which results from precipitation and which occurs immediately following rainfall or as a
result of snowmelt.
27. Stormwater Associated with Industrial Activity
The discharge from any point source which is used for collecting and conveying stormwater and which is
directly related to manufacturing, processing or raw material storage areas at an industrial site. Facilities
considered to be engaged in "industrial activities" include those activities defined in 40 CFR 122.26(b)(14).
The term does not' include discharges from facilities or activities excluded from the NPDES program.
28. Stormwater Pollution Prevention Plan
A comprehensive site -specific plan which details measures and practices to reduce stormwater pollution and
is based on an evaluation of the pollution potential of the site.
29. Ten Year Design Storm
The maximum 24 hour precipitation event expected to be equaled or exceeded on the average once in ten
years. Design storm information can be found in the State of North Carolina Erosion and Sediment Control
Planning and Design Manual.
30. Total Flow
The flow corresponding to the time period over which the entire storm event occurs. Total flow shall be
either; (a) measured continuously, (b) calculated based on the amount of area draining to the outfall, the
amount of built -upon (impervious) area, and the total amount of rainfall, or (c) estimated by the
measurement of flow at 20 minute intervals during the rainfall event.
31. Toxic Pollutant
Any pollutant listed as toxic under Section 307(a)(I) of the Clean Water Act.
Part V I Page 4 of 5 Pages
Permit No. NCS000040
32. Upset
Means an exceptional incident in which there is unintentional and temporary noncompliance with
technology based permit effluent limitations because of factors beyond the reasonable control of the
permittec. An upset does not include noncompliance to the extent caused by operational error, improperly
designed treatment or control facilities, inadequate treatment or control facilities, lack of preventive
maintenance, or careless or improper operation.
33. Vehicle Maintenance Activity
Vehicle rehabilitation, mechanical repairs, painting, fueling, lubrication, vehicle cleaning operations, or
airport deicing operations.
34. Visible Sedimentation
Solid particulate matter, both mineral and organic, that has been or is being transported by water, air,
gravity, or ice from its site of origin which can be seen with the unaided eye.
35. 25-year,24 hour storm event
The maximum 24-hour precipitation event expected to be equaled or exceeded, on the average, once in 25
years.
Part V I Page 5 of 5 Pages
State of North Carolina
Department of Environment
and Natural Resources
Division of Water Quality
James B. Hunt, Jr., Governor
Wayne McDevitt, Secretary
A. Preston Howard, Jr., P.E., Director
GREG SIMMONS
CHARLOTTE PIPE & FOUNDRY
PO BOX 35430
CHARLOTTE, NC 28253
Dear Permittee:
February 19, 1999
1!
NCDENR
NORTH CAROLINA DEPARTMENT OF
ENVIRONMENT ANo NATURAL RESOURCES
Subject: NPDES Stormwater Permit Renewal
Charlotte Pipe & Foundry
Permit Number NCS000040
Mecklenburg County
Your facility is currently covered for stormwater discharge under NPDES Permit NCS000040. This permit
expires on August 31, 1999. In order to assure your continued coverage under your permit, you must apply to the
Division of Water Quality (DWQ) for renewal of your permit. To make this renewal process easier, we are
informing you in advance that your permit will be expiring. Enclosed you will find an individual permit renewal
application form, supplemental information request, and Stormwater Pollution Prevention Plan certification.
Filing the application form along with the requested supplimental information will constitute your application for
renewal of your permit. The application form must be completed and returned along with all requested
information within thirty days of receipt of this letter in order to constitute a timely renewal filing.
Recent legislation modified the fee structure for DWQ permits. Renewal fees have been eliminated and annual
fees have been changed. The new annual fee for your permit is now $715.00 (you will be invoiced later this year
for your annual fee.) A copy of the new fee schedule is enclosed in this package.
Failure to request renewal within the time period indicated may result in a civil assessment of at least $250.00.
Larger penalties may be assessed depending on the delinquency of the request. Discharge of stormwater from
your facility without coverage under a valid stormwater NPDES permit would constitute a violation of NCGS
143-215.1 and could result in assessments of civil penalties of up to $10,000 per day.
If you have any questions regarding the permit renewal procedures please contact Darren England of the
Stormwater and General Permits Unit at (919) 733-5083, ext. 545.
Sincerely,
Bradley Bennett, Supervisor
Stormwater and General Permits Unit
cc: Central Files
Regional Office
P.O. Box 29535, Raleigh, North Carolina 27626-0535 Telephone 919-733-5083 FAX 919-733-9919
An Equal Opportunity Affirmative Action Employer 50% recycled/ 10% post -consumer paper
State'bf North Carolina
Department of Environment,
Health and Natural Resources
Division of Environmental Management
James B. Hunt, Jr., Governor
Jonathan B. Howes, Secretary
A. Preston Howard, Jr., P.E., Director
July 31, 1995
Mr. David G. Waggoner, Engineer
Charlotte Pipe and Foundry Co.
P.O. Box 35430
Charlotte, North Carolina 28235
Subject: Stormwater Sampling -
Charlotte Pipe and Foundry Co.
Permit No. NCS000040
Mecklenburg County, North Carolina
Dear Mr. Waggoner:
This letter is in response to your letter of May 23, 1995, to Mr. Bill Mills of our staff regarding
representative sampling for the Subject stormwater permit at Charlotte Pipe and Foundry. Your
request was to sample Outfalls SW001, SWO02 (HA and IIB) and SW004, to fulfill the permit
sampling provisions. You indicated that drainage areas III and VI which were listed in the
application for permit have been combined with other drainage areas. Further, you proposed that
since the sand stored in drainage area V has been relocated and secondary containment is proposed
to be installed for bulk storage tanks in this area, sampling for Outfall SWO05 not be required and
that Outfall SW001 be considered representative of SW005.
After staff review of your permit, permit application, and maps of the site, we have concluded
that representative outfall status should not be granted at this time. The sampling results from the
permit application revealed that the contaminant level of SWO05 was quite high (i.e. BOD was 200
mg/l, COD was 1462 mg/l, Suspended Solids was 1613 mg/l, TKN was 88 mg/I, Lead was 42
mg/I, Zinc was 54 mg/1). Because of these high levels, we feel it inappropriate to allow
representative outfall status to the permit at this time that would eliminate the sampling of SW005.
Once new samples for this year have been collected at SWO05 which reflect the changes that have
been made in that drainage area and we have a chance to review the data, we will be willing to
reconsider such a request. Since drainage -areas III and VI have -been combined with other drainage -
areas there will be no separate sampling required for these areas.
If you have any questions concerning this matter, please contact Mr. Bill Mills in the Permits
and Engineering Unit at 733-7015 ext. 548.
cc: Mooresville Regional Office
Coleen Sullins
P.O. Box 29535, Raleigh, North Carolina 27626-0535
An Equal Opportunity Affirmative Action Employer
kSincerelt,,ward, Jr., P.E.
Telephone 919-733-7015 FAX 919-733-9919
50% recycled/ 10% post -consumer paper
CHARL40TTE
PIPE AND FOUNDRY COMPANY
P.O. Box 35430 • Telephone 704/332-2647
j CHARLOTTE, NORTH CAROLINA28235
May 23, 1995 Foundry Fax No.332-4581
Mr. Bill Mills
North Carolina Department of Environment,
Health and Natural Resources
Division of Environmental Management
Water Quality Section,
Permits and Engineering Unit
512 N. Salisbury Street
P.O. Box 29535
Raleigh, North Carolina 27626-0535
Re: Stormwater Individual Permit No. NCS000040
Charlotte Pipe Bc Foundry Co.
Petition for Representative Outfall Status
AEI Project No. N188-18
Dear Mr. Mills;
We are currently developing a strategy for conducting the required stormwater monitoring at
Charlotte Pipe & Foundry Co. to comply with the above referenced Permit. In accordance
with Part I, Section A; Paragraph 2.a. of the Permit, we hereby request the number of
stormwater outfalls at which we are required to -collect stormwater samples be modified and
reduced.
As indicated on the attached Stormwater Drainage Maps (Figures 2-2 to 2-4 from the draft
SWP3 currently under development), drainage from the Charlotte Pipe & Foundry Co.
— - property is discharged 1romfour 4 outfalls SW001--SW002—,SW0041- and SW005 Six 6
drainage outfalls were listed in the Permit application. Drainage zones III and VI have been
combined with Zones IV and I respectively, reducing the drainage areas from six (6) to four
(4). Sample loacations for each outfall were selected based on assessability, safety, and
providing representative samples. Note that Outfall SWO02 has two (2) sampling points
(SW002A and SW002B).
1
The stormwater data from the Permit application is presented in the Summary Table labelled
Attachment A. The surface runoff from the north end of Zone V is represented as Outfall _
005 in Attachment A. The elevated parameters from Outfall 005 resulted from runoff from a
pile of used sand (BH on Figure 2-3), located near the propane tanks. This used sand pile
has since been relocated to Zone IV.
Based on current conditions, we believe Outfall SWO01 to be representative of Outfall
SW005, because the activities occurring in Zone V also occur within Zone I. The bulk
storage tanks located iW Zone V will receive secondary containment based on recommended
BMP's contained in the draft SWP3 currently being reviewed. The fitting coating operation
is already contained. As mentioned previously, the former used -foundry sand pile (BH) has
been relocated to Zone IV, and the hydrostatic water discharge will be sent to the process
sewer. The remaining Zone V activities include finished product storage, transfer of coated
cast products, and vehicle parking. These activities are low risk activities which also occur
in drainage Zone I.
Therefore, we request four (4) sampling points be approved for characterizing the stormwater
runoff from the Charlotte Pipe & Foundry Co. property. These sampling points are
presented in the following table.
DRAINAGE AREAS
OiITFALL
ZONE
AREA;
APPROXIMATE I'
(acres)!
%IMPERVIOUS
SW001
I
7.19
95
- - -- _.. _._._ -
- IIA (E -of Clarkson)
-----2.38--
SW002
IIB (W. of Clarkson)
0.74
.95
NONE
III (deleted)
Part of IV
----
SW004
IV
11.06
99
SWO05
V
2.52
100
(Visual Only)
NONE
VI (deleted)
Part of I
--
2
We understand that visual monitoring of all outfalls will be required, regardless of the
number of outfalls sampled. The attached stormwater drainage maps are in "Draft" form
only and do not show BMP's which will be implemented in accordance with the Stormwater
Pollution Prevention Plant (SWP3) currently being developed.
We would appreciate a timely response concerning this matter so that we can finalize
development of our stormwater monitoring plan. Feel free to contact us if you have any
questions or require further information.
Thank you so much for your assistance.
Sincerely,
David G. Waggoners
Engineer
Attachments
cc: Greg Simmons, CP&F
Carol Hambridge, AEI
Allen Scott, AEI
K
ATTACHMENT A
STORMWATER ANALYSIS SUMMARY
CHARLOTTE PIPE AND FOUNDRY COMPANY
SAMPLE COLLECTION DATE: 11/12/92
PARAMETERS
UNIT
OUTFALL 001
FIRST COMPOSITE
FLUSH
OUTFALL 002
FIRST COMPOSITE
FLUSH
OUTFALL 003
FIRST COMPOSITE
FLUSH
OUTFALL 004
FIRST COMPOSITE
FLUSH
OUTFALL 005
FIRST COMPOSITE
FLUSH
OIL &.GREASE
mg/1
i9.1
NR
1.6
NR
6.0
NR
3.4
NR
12.2
NR
BOO
mg/I
j 16
11
3
2
10
6
17
3
200
70
COD
mg/I
180
105
119
353
62
31
170
165
1462
1272
SUSPENDED SOLIDS
mg/I
DNA
NA
200
788
96
36
410
520
1613
2870
TKN
mg/l
14.7
5.9
11.8
99.9
4.7
3.5
14.7
17.6
88.2
58.8
NITRATE + NITRITE
mg/1
11.6
0.825
1.3
0.50
3.5
1.6
1.25
0.450
2.55
0.380
TOTAL PHOSPHORUS
mg/I
0.65
0.35
0.66
0.65
0.50
0.25
0.60
0.25
1.1
0.63
pH
mg/I
i6.3
NR
9.4
NR
8.5
NR
8.5
NR
10.4
NR
CADMIUM
mg/I
0.002
0.001
0.009
0.001
<0.001
<0.001
0.001
<0.001
0.018
0.108
CHROMIUM
mg/I
<0.010
<0.010
0.02
0.023
<0.010
<0.010
<0.010
0.024
0.135
0.129
COPPER
mg/1
0.248
0.032
0.223
0.228
0.056
0.044
0.068
0.060
1.08
0.857
LEAD
mg/I
1.32
0.40
7.8
4.2
0.170
0.024
0.70
0.35
13.0
42.0
NICKEL
mg/I
0.075
0.040
0.070
0.090
0.070
0.030
0.035
0.11
0.085
0.105
ZINC
mg/I
0.92
0.34
6.7
2.19
0.20
0.070
0.5
0.32
33.4
54.9
PHENOLS
mg/1
6.36
0.05
0.90
0.37
<0.05
<0.05
0.67
0.31
2.4
1.4
IRON
mg/I
6.28
5.96
18.6
10.3
4.49
2.13
11.9
15.8
144
98.6
MANGANESE
mg/I
0.50
0.22
2.16
1.08
0.24
0.075
0.33
0.26
23.2
15.6
NA Not analyzed
NR Not required
filename: 1192 SW.WKt
Fedex info.txt
NCDENR - Stormwater Permitting Program
Individual Permit Renewal
1612 Mail Service Center
Raleigh, NC 27699-1612
919.807.6378
15206-724000 �
Please call jenny (x5513) with tracking number.
THANKS!
Jenny
Page 1
I
IRWIN Ii
CREEK
ding Dock fit, r
/ w
aBin Storage
1 I A It 2 -�� Asphalt
g
AREA 1
y
Warehouse
Gravel -
OLD Sample
Pavement t--' ----" qs halt
Location SW°D> _„ � -_.►�f ,� P %
Bin
Storage
SWoos
Asphalt
Parking
��
Asphalt
II
Parking
L�
AL
SW
SAMPLE
LOCATION
OR Dc
(SWDOZA)
/-
Asphalt t'
Asphalt
Bin
Storage
Asphalt
AREA
\\ IV A
"GRASIS
SUMMIT ,AVENI.IP
AR
\ DIRECTION OF STORM WATER FLOW
- LOCATION OF STORM WATER OUTFALLS
OUTFALL
LATITUDE
LONGITUDE
001
35°13'27"N
80°51'51"W
002
3501329"N
80051'49"W
002A
35°13'23"N
80°51'42"W
004
35`13'27"N
80°51'39"W
005
35e13'29"N
80°51'41"W
006
35013'34"N
80051'45"W
AREA
PERCENT
(ACRES)
IMPERVIOUS
AREA 1
5.75 _
90% ~'
AREA 11
2.90
95%
AREA 111
3.33
85%
AREA IV
10.23
95%
AREA V
2.28
95%
AREA VI
8.53
85%
AREA VII
12.06
95%
DUTFALL
POTENTIAL POLLUTANTS
001
METALS, CHEMICAL RESIDUES, OIL & GREASE '...
002
METALS, CHEMICAL RESIDUES, OIL & GREASE
002A
METALS, CHEMICAL RESIDUES, OIL & GREASE
004
METALS, CHEMICAL RESIDUES, OIL & GREASE I
005
METALS, CHEMICAL RESIDUES, OIL & GREASE
006
METALS, CHEMICAL RESIDUES, OIL & GREASE
Outside Bulk Storage Areas Summary
The following storage areas are located outside:
• One 15,000-gallon hot dip storage tank is located on an asphalt -paved surface
south of the main building. The tank is provided with secondary containment in
the form of an open -top containment area concrete sump. The sump is
approximately 23.2 feet by 17.4 feet by 5 feet, which equates to an approximate
storage capacity of 2,018ft3, or approximately 15,097 gallons. Spilled material
collected within the containment area is removed and disposed of in accordance
with applicable regulations.
• Two 6,000-gallon asphalt emulsion storage tanks are located on an asphalt -paved
surface west of the Water Test building. The tanks are provided with secondary
containment in the form of an open -top containment area concrete sump. The
sump is approximately 15 feet by 37 feet by 3 feet, which equates to an
approximate storage capacity of 1,665 ft3, or approximately 12,455 gallons.
Spilled material collected within the containment area is removed and disposed
of in accordance with applicable regulations.
• A 6,000-gallon hot dip storage tank is located on an asphalt -paved surface west
of the 5-Foot Water Test building. The tank is provided with secondary
containment in the form of an open -top containment area concrete sump. The
sump is approximately 15 feet by 37 feet by 3 feet, which equates to an
approximate storage capacity of 1,665 ft3, or approximately 12,455 gallons.
Spilled material collected within the containment area is removed and disposed
of in accordance with applicable regulations.
• One 50-ton sand silo is located west of the main production building. In
addition, one feldspar silo and one silica flour silo is located south of the waste
treatment building. The silos are not equipped with secondary containment.
However, since the contents are not liquid, spilled material will be easily cleaned
up and should not impact stormwater.
One 550-gallon used oil storage tank is located on an asphalt -paved surface south
of the Oil House. The tank is provided with secondary containment in the form
of metal walls. The containment area is approximately 4 feet X 6 feet X 2 feet,
which equates to an approximate storage capacity of 48 ft3, or approximately 359
gallons. Spilled material collected within the containment area is removed and
disposed of in accordance with applicable regulations.
• One 10,000-gallon gasoline storage double walled tank and one 10,000-gallon
diesel storage double walled tank are located on an asphalt -paved surface near
the northeast corner of the property. The tanks are provided with secondary
containment in the form of concrete walls. The containment area is
approximately 30 feet by 30 feet by 3 feet, which equates to an approximate
storage capacity of 2,700 ft3, or approximately 20,200 gallons. Spilled material
collected within the containment area is removed and disposed of in accordance
with applicable regulations.
One fueling station with four pumps is located on an asphalt -paved surface near
the northeast corner of the property. The fueling station is covered and
equipped with an emergency shut off valve. The fueling station is provided with
secondary containment in the form of a trench drain. Spilled material collected
within the containment area is removed and disposed of in accordance with
applicable regulations.
• Oil drums are stored under cover outside the Oil House. The area is not
equipped secondary containment or with a berm.
• Materials are stored in totes and drums in a covered shed located at the
northeastern portion of the facility. The entrance to the shed is equipped with an
asphalt berm to minimize the potential impact of spills on stormwater.
• Materials are stored in totes and drums in a covered shed located at the
southeastern portion of the facility. This area is not equipped with a berm.
• Two totes of oil are stored on the ground without secondary containment in the
shell core unloading area.
Summary of Analytical Monitoring Results
swool
12/2/2009
7/19/2010
5/27/2011
10/11/2011
5/9/2012
1/14/2013
7/11/2013
Characteristic
Units
8.1.09-1.31.10
2.1.10-733.10
1.1.11-731.11
8.1.11-1.31.11
2.1.12-Z33.12
8.1.12-1.31.13
2.1.13-731.13
8.1.13-1.31.14
1.1.14-Z31.14
Oil & Grease
mg/L
13.8
ND
NO
Note 3
NO
NO
Note 3
Cr
mg/L
0.0055
NO
ND
Note
0.0084
NO
Note
Cu
mg/L
0.014
0.007
NO
Note 3
0.016
NO
Note 3
Pb
mg/L
0.040
NO
0.014
Note 3
0.045
0.012
Note 3
Ni
mg/L
ND
ND
NO
Note 3
0.005
NO
Note 3
Zn
mg/L
0.198
0.077
0.195
Note 3
0.143
0.045
Note 3
TSS
mg/L
51.0
8.7
7.3
Note 3
67.5
6.5
Note 3
Note 4
Note 4
pH
mg/L
7.1
7.6
Note 2
Note 3
7.2
7.8
Note 3
TKN
mg/L
0.85
ND
0.93
Note
0.84
NO
Note
Phenols
mg/L
0.015
NO
0.016
Note 3
0.039
0.021
Note 3
COD
mg/L
100.0
NO
44.0
Note 3
58.0
NO
Note 3
Total Rainfall
in 1
0.11
0.13 1
1.06
1.08
1.14
0.13
3.94
SWO02
12/2/2009
7/19/2010
5/27/2011
10/11/2011
5/9/2012
1/14/2013
7/11/2013
Characteristic
Units
8.1.09-1.31.10
2.1.10-Z31.10
1.1.11-731.11
8.1.11-1.31.12
2.1.12-731.12
8.1.12-1,21.13
2.1.13-731.13
8.1.13-1.31.14
2.1.14-7.31.14
Oil & Grease
mg/L
6.5
NO
NO
ND
NO
NO
NO
Cr
mg/L
0.012
NO
NO
NO
NO
NO
0.0063
Cu
mg/L
0.031
0.015
0.009
0.003
ND
NO
NO
Pb
mg/L
0.042
0.005
NO
0.014
0.022
0.012
0.058
Ni
mg/L
0.0072
NO
NO
ND
ND
NO
NO
Zn
mg/L
0.375
0.114
0.067
0.028
ND
NO
0.158
TSS
mg/L
140.0
14.1
93.6
15.6
20.0
21.0
92.0
Note 4
Note 4
pH
mg/L
7.4
7.0
7.4
6.0
7.1
7.6
6.4
TKN
mg/L
1.5
0.92
0.78
NO
NO
ND
1.1
Phenols
mg/L
0.089
0.01
NO
0.022
NO
0.0068
0.023
COD
mg/L
124.0
ND
57.0
34.0
NO
NO
91.0
Total Rainfall
in 1
0.11
1 0.13
1.06
1.08
1.14
0.13
3.94
Summary of Analytical Monitoring Results
SWO04
12/2/2009
7/19/2010
5/27/2011
10/11/2011
5/9/2012
1/14/2013
7/11/2013
Characteristic
Units
8.1.09-1.3110
2.1.10-7.31.10
2.1.114.31.11
8.1.11-1.31.12
2.1.12-7.31.12
8.1.12-1.31.13
2.1.13-7.3113
8.1.13-1,31.14
2.1.14-7.31.14
Oil & Grease
mg/L
7.6
Note 1
NO
ND
ND
NO
ND
Cr
mg/L
0.017
Note 1
NO
ND
0.0058
NO
ND
Cu
mg/L
0.044
Note 1
0.006
0.0004
0.003
0.008
ND
Ph
mg/L
0.062
Note 1
ND
0.008
ND
0.008
0.061
Ni
mg/L
0.013
Note 1
ND
NO
ND
ND
NO
Zn
mg/L
0.647
Note 1
ND
0.080
0.024
0.075
0.297
TSS
mg/L
234.0
Note 1
16.0
32.0
37.8
11.8
25.3
Note 4
Note 4
pH
mg/L
7.3
Note 1
Note 2
6.7
7.4
7.8
7.1
TKN
mg/L
2.9
Note 1
NO
ND
NO
NO
1.1
Phenols
mg/L
0.048
Note 1
0.016
0.017
0.02
0.0073
0.021
COD
mg/L
176.0
Note 1
116.0
27.0
NO
84.0
56.0
Total Rainfall
in
1 0.11
1 0.13
1 1.06
1 1.08
1.14
0.13
3.94
SW005
12/2/2009
7/19/2010
5/27/2011
10/11/2011
5/9/2012
1/14/2013
7/11/2013
Characteristic
Units
8.1.09-1.31.10
2.1.10-7.31.10
2.1.11-].31.11
8.1.11-1.31.12
2.1.12-7.31.12
8.1.12-1.31.13
2.1.13-231.13
8.1.13-1.31.14
2.1.14-7.31.14
Oil & Grease
mg/L
87.4
Note 1
ND
ND
NO
NO
ND
Cr
mg/L
0.105
Note 1
NO
0.0071
0.0102
0.0419
ND
Cu
mg/L
0.138
Note 1
0.011
0.002
0.003
0.064
ND
Ph
mg/L
0.269
Note 1
0.056
0.019
0.034
0.299
0.025
Ni
mg/L
0.052
Note 1
0.009
ND
0.008
0.019
ND
Zn
mg/L
3.1
Note 1
0.569
0.060
0.471
0.852
NO
TSS
mg/L
1550.0
Note 1
107.0
82.0
92.2
307.2
10.7
Note 4
Nate 4
pH
mg/L
7.3
Note 1
6.5
9.0
7.1
8.3
7.3
TKN
mg/L
13.2
Note 1
2.0
0.83
NO
2.5
1.4
Phenols
mg/L
0.200
Note 1
0.028
0.010
NO
0.022
0.017
COD
mg/L
2170.0
Note 1
98.0
53.0
28.0
179.0
35.0
Total Rainfall
in
0.11
0.13
1.06
1.08
1.14
0.13
3.94
Summary of Analytical Monitoring Results
SW006
12/2/2009
7/19/2010
5/27/2011
10/11/2011
5/9/2012
1/14/2013
7/11/2013
Characteristic
tJnitS
8.1.09-1.31.30
2.1.30-7.31.10
2.1.11-7.31.11
8.1.11-1.31.12
2.1.12-Z33.12
8.3-12-1.31.13
2.1.13-7.31.13
8.1.13-1.31,14
2.1.14-Z31.14
Oil & Grease
mg/L
7.0
Note 1
NO
ND
NO
ND
ND
Cr
mg/L
0.016
Note 1
ND
ND
0.0056
NO
ND
Cu
mg/L
0.035
Note 1
ND
0.007
0.0006
NO
0.001
Pb
mg/L
0.036
Note 1
0.007
0.007
0.021
0.0098
ND
Ni
mg/L
0.010
Note 1
NO
ND
NO
ND
ND
Zn
mg/L
0.346
Note 1
NO
0.063
ND
ND
ND
TSS
mg/L
217.0
Note 1
12.4
6.5
73.6
18.2
15.3
Note 4
Note 4
pH
mg/L
7.4
Note 1
Note 2
6.0
3.2
7.7
7.7
TKN
mg/L
1.3
Note 1
0.73
1.2
NO
0.65
0.57
Phenols
mg/L
0.050
Note 1
ND
NO
0.043
0.0077
0.0088
COD
mg/L
115.0
Note 1
ND
ND
49.0
ND
NO
Total Rainfall
in
1 0.11
0.13
1.06
1 1.08
1.14
0.13
3.94
Notes:
1. Samples were collected for SWOs 001 & 002 only. Due to the short duration of the storm event on July 19, 2010, representative samples from the
remaining permitted locations (SW004, SW005, SW006, SW007) could not be collected. Further attempts to redo the sampling event while staying
with the confines of a representative event were unsuccessful before the end of the sampling period date of July 31, 2010.
2. Laboratory spilled sample and was unable to take measurement.
3. Sample not collected due to unsafe conditions reaching outfall.
4. Analytical data not yet reported for this timeframe at time of renewal submittal.
5. Analytical data is not available for the August 2010 -January 2011 timeframe as the attempt to sample on November 16, 2010 was unsuccessful due to
it not being a representative storm event. Further attempts to redo the sampling event while staying with the confines of a representative event were
unsuccessful before the end of the sampling period date of January 31, 2011.
6. Sampling/visible inspections are no longer required for SWO07 in line with guidance provided by Michael Parker of DWq during May 2009 inspection.
Summary of Visible Inspection Results
SW001
12/2/2009
7/19/2010
5/27/2011
10/11/2011
5/9/2012
1/14/2013
7/11/2013
Characteristic
8.1.09-1.31.10
2.1.10-7.31.30
2.1.11-73111
8.1.11-1.31.12
2.3.12-7.31.12
8.1.12-1.31.33
2.1.13-Z31.13
8.1.13-1.31.14
2.1.14-7.31.14
Med Brown-
Very Light
Cloudy/ Light
Color
Clear
Inaccessible
Dark Gray
Clear
Black
Brown Tint
Brown
Odor
None
None
None
Inaccessible
None
None
None
Clarity
2
1
1
Inaccessible
4
1
4
Floating Solids
1
1
1
Inaccessible
1
1
4
Note 1
Note 1
Suspended Solids
2
1
2
Inaccessible
2
1
4
Foam
No
No
No
No
No
No
No
Oil Sheen
No
No
No
Inaccessible
No
No
No
Erosion/Deposition
No
No
No
No
No
No
No
SW002
12/2/2009
7/19/2010
5/27/2011
10/11/2011
5/9/2012
1/14/2013 .
7/11/2013
Characteristic
8.1.094.31.10
2.1.10-7.31.10
Z1.11-Z31.11
8.1.11-1.31.12
2.1.12-7.31.12
8.1.12-1.31.13
2.1.13-7.31.13
8.1.13-1.31.14
2.1.14-7.31.14
Med Brown-
Very Light
Light Brown-
Cloudy/ Very
Color
Clear
Light Tan
Clear
Black
yellow Tint
Gray
Lgt Brown
Odor
None
None
None
None
None
None
None
Clarity
3
1
1
2
2
2
2
Floating Solids
1
1
1
2
2
2
2
Note 1
Note 1
Suspended Solids
3
1
2
1
2
1
1
Foam
No
No
No
No
No
No
No
Oil Sheen
No
No
No
No
No
No
No
Erosion/Deposition
No
No
No
No
Yes2
No
No
SW004
12/2/2009
7/19/2010
5/27/2011
10/11/2011
5/9/2012
1/14/2013
7/11/2013
Characteristic
8.1.09-1.31.10
2.1.10-7.31.10
2.1.11-7.31.11
8.1.11-1.31.]2
2.1.12-7.31.12
8.1.12-1.31.13
2.1.13-7.31.13
8.1.13-1.31.14
2.1.14-7.31.14
Dark Brown-
Brown -Gray
Color
Note 3
Clear
Light Brown
Clear
Clear
Black
Tint
Odor
None
Note
None
None
None
None
None
Clarity
4
Note 3
1
2
2
2
4
Floating Solids
1
Note 3
1
2
2
2
2
Note 1
Note 1
Suspended Solids
4
Note 3
1
2
2
2
2
Foam
No
Note 3
No
No
No
No
No
Oil Sheen
No
Note 3
No
No
No
No
No
Erosion/Deposition
No
Note 3
No
No
No
No
No
Summary of Visible Inspection Results
SWO05
12/2/2009.
7/19/2010
5/27/2011
10/11/2011
5/9/2012
1/14/2013
7/11/2013
Characteristic
8.1.09-1.31.10
2.1.10-Z31.30
2.1.11-7.31.11
8.1.11-1.31.12
2.1.12J.31.12
8.1.12-1.31.13
2.1.13-7.31.13
8.1.13-1.31.14
2.1.14-Z3114
Light Brown-
Cloudy / Dark
Color
Dark Black
Note 3
Clear
Dark Brown
Gray/ Cloudy
Gray
Brown
Odor
None
Note
None
None
None
None
None
Clarity
5
Note 3
1
2
3
3
4
Floating Solids
1
Note 3
1
2
3
3
3
Note 1
Note 1
Suspended Solids
5
Note 3
2
2
3
3
3
Foam
No
Note 3
No
No
No
No
No
Oil Sheen
No
Note 3
No
No
No
No
No
Erosion/Deposition
No
Note 3
No
No
No
No
No
SWO06
12/2/2009
7/19/2010
5/27/2011
10/11/2011
5/9/2012
1/14/2013
7/11/2013
Characteristic
8.1.09-1.31.10
2.1.10-Z31.10
2.1.11-7.31.11
8.1,114.31.12
2.1.12-Z31.12
8.1.12-1.31.13
2.1.13-7.31.13
8.1.13-1.31.14
2.1.14-731.14
Light Brown -
Color
Med Brown
Note 3
Clear
Light Tan
Clear
Cloudy
Gray
Odor
None
Note
None
None
None
None
None
Clarity
2
Note 3
1
2
3
1
4
Floating Solids
1
Note 3
1
1
2
1
2
Note 1
Note 1
Suspended Solids
3
Note 3
2
1
2
1
2
Foam
No
Note 3
No
No
No
No
No
Oil Sheen
No
Note 3
No
No
No
No
No
Erosion/Deposition
No
Note 3
No
No
No
No
No
Notes:
1. Inspection and sampling data not yet reported for this timeframe at time of renewal submittal.
2. Storm drain inlet covered by woody debris.
3. Inspections completed for SWOs 001 & 002 only. Due to the short duration of the storm event on July 19, 2010, representative sampling from the
remaining permitted locations (SWO04, SWO05, SWO06, SWO07) could not be completed. Further attempts to redo the inspection event while staying
with the confines of a representative event were unsuccessful before the end of the sampling period date of July 31, 2010. Since inspections are
completed in conjunction with sampling, inspections were not completed for this timeframe.
4. Inspection data is not available for the August 2010 -January 2011 timeframe as the attempt to sample/inspect on November 16, 2010 was unsuccessful
due to it not being a representative storm event. Further attempts to redo the sampling event while staying with the confines of a representative
event were unsuccessful before the end of the sampling period date of January 31, 2011.
5. Sampling/visible inspections are no longer required for SWO07 in line with guidance provided by Michael Parker of DWQ during May 2009 inspection.
BMP Summary
General Practices
The facility performs inspections of all outside areas and notes any issues that need to
be corrected. Trash is collected in dumpsters.
Materials Storage
Charlotte Pipe encourages proper material storage to prevent the release of materials
and pollutants that may cause stormwater runoff pollution. Proper storage techniques
include:
• Store materials inside of the facility or under cover, when possible.
• Store materials so that there is adequate aisle space to facilitate material transfer
and inspections.
• When appropriate and/or otherwise required, post signs or placards on the
periphery of the storage areas to indicate the hazards associated with the
materials stored within.
• Store containers and drums away from heavy traffic routes, when possible, to
minimize accidental spills.
• Store containers according to the manufacturer's instructions to avoid damaging
the containers from improper weight distribution.
Material Inventory Control
Improved material inventory practices can reduce the waste that results from
overstocking and the disposal of out -dated materials. Careful tracking of all materials
ordered may also result in more.efficient material usage. The following material
inventory BMPs are implemented at the facility:
Material Safety Data Sheets (MSDS) are maintained for all products used at the
facility. A MSDS is requested and maintained on file prior to the use of the
product for which it was written.
• Containers are labeled to show the name and type of substance contained
therein. When appropriate and/or otherwise required, containers will also be
labeled as to the stock numbers, hazards of the materials stored therein,
expiration date, suggestions for proper handling, and first aid information.
Equipment Operations and Maintenance
C—harlotte-Pipe-personnel-implement the -following equipment -operation -and —
maintenance BMPs as part of the facility's good housekeeping program:
• Stormwater drains are labeled to facilitate employee familiarity with drain
locations and to remind employees that non-stormwater discharges are not
allowed;
• Trash and other solid waste materials are regularly collected and disposed of
appropriately;
• Asphalted outside areas are cleaned each day with a sweeper to remove any
settled particulate debris;
• Equipment is inspected for leaks or conditions, that could lead to discharges of
pollutants or contact of stormwater with raw waste materials;
• Mobile vehicles (company automobiles, forklifts, general purpose vehicles, etc.)
are maintained to prevent leaking; and
• Equipment, which is not working properly, is promptly repaired.
Structural Control Measures
Charlotte Pipe currently employs three types of structural control measures at the
facility to prevent pollutant contact with stormwater. These structural control measures
include: (1) Preventive Covering, (2) Substance Containment, and (3) Vegetative Cover.
Each of these is discussed in more detail below.
• Preventive covering comprises the physical enclosure of material, equipment, or
process operations, when feasible. Charlotte Pipe has built a 150'L x 120'W x
35'H building along the northeastern portion of our property to enclose the
aggregate waste storage areas thus reducing stormwater exposure.
Substance containment measures are used to physically contain or capture a
release of solid, liquid, or gaseous material. These containment measures
provide a second line of defense by preventing a release of material from the
primary containers to reach down gradient surface water. Containment will
prevent both run-on and run-off.
Secondary containment and spill response and prevention procedures for the
bulk liquid storage containers at -the facility (i.e. the fuel and asphalt above
ground storage tanks located in Area VII) are described in detail in the Spill
Prevention Control and Countermeasures (SPCC) Plan. Charlotte Pipe also
employs secondary containment for non -petroleum based products by storing
most products used in the manufacturing process inside of the foundry buildings
or under cover and surrounding bulk material spent storage area with berms to
prevent stormwater runoff. Stormwater which accumulates in the containment
areas is at a minimum visually observed for color, foam, outfall staining, visible
sheen, and dry weather flow prior to release of the accumulated stormwater.
Accumulated stormwater is released only if found uncontaminated by the
materials stored within the containment area.
• Vegetative cover on non -impervious areas prevents erosion and improves the
infiltration capacity of the soil. In addition, the vegetation should be maintained
in all areas to prevent erosion. Charlotte Pipe ensures that all areas of the facility
that are not covered in buildings, concrete, asphalt, and gravel pavement, are
provided with vegetative cover.
Significant Changes in Industrial Activities
Charlotte Pipe has made the following significant changes in industrial activities in the
last five (5) years:
Replacement of the fittings emulsion asphalt dip line with an E-coat system. The
fittings emulsion asphalt dip line, which partially ran outside, was removed from
service mid-2013 and is currently in the process of being dismantled. This
modification has the potential to significantly impact stormwater as the new E-
coat system is located inside a building; thus, there is no potential stormwater
impacts associated with its operation.
The new E-coat applied to castings is expected to be more rust -resistant than the
emulsion asphalt coating previously used; therefore, stormwater impact from
water run-off of the fittings product stored outside should be reduced.
Installation of a 150'L x 120'W x 35'H aggregate waste storage building along the
northeastern portion of our property. This building enclosed the aggregate
waste storage areas thus eliminating stormwater exposure from waste aggregate
pile run-off.
STORMWATER POLLUTION PREVENTION PLAN
DEVELOPMENT AND IMPLEMENTATION
CERTIFICATION
North Carolina Division of Energy, Mineral, and Land Resources — Stormwater Permitting
Facility Name: Charlotte Pipe & Foundry Company
Permit Number: NCS000040
Location Address: 1335 S Clarkson St.
Charlotte, NC 2B208
County: Mecklenburg
"1 certify, under penalty of law,: that the Stormwater Pollution Prevention Plan (SPPP) document and all attachments were developed and
implemented under my direction or supervision in accordance with a system designed to assure that qualified personnel properly gather
and evaluate the information required by the SPPP. Based on my inquiry of the person or persons who manage the system, or those persons
directly responsible for gathering the information, the information gathered is, to the best of my knowledge and belief, true, accurate and
complete."
And
"I certify that the SPPP has been developed, signed and retained at the named facility location, andtheSPPP has been fully Implemented at
this facility location In accordance with the terms and conditions of the stormwater discharge permit"
And
"1 am aware that there are significant penalties for falsifying. information, including the possibility of fines and imprisonment for knowing
violations"
Sign (according to permit signatory requirements) and return this Certification. DO NOT SEND
STORMWATER POLLUTION PREVENTION PLAN WITH THIS CERTIFICATION.
Signature Date el' 3
David Waggoner Quality - Environmental Manager
Print or type name of person signing above Title
SPPP Certification 10/13
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Last update: 911912018
NC Division of Energy, Mineral and Land Resources
Review for Permit Renewal — NCS000040
Charlotte Pipe & Foundry Co.
Charlotte, NC
• Facility Activities and Process - SIC 3321— Grey and ductile iron foundries. Facility has been at this location since 1926.
Manufacture cast iron piping and fittings. Store and distribute cast iron scrap, coke, coal. Limestone, quarz, sand, silicon,
bentonite, petroleum -asphalt, gasoline and diesel fuel.
• Monitoring — The facility has been monitoring for TSS, COD, TKN, Phenols, Cu, Pb, Ni, Zn, Cr, 0&G, and pH. Previous
permit did have tier system.
o Data from 2009 — 2017 (in renewal app) shows multiple benchmark exceedances for Cu and Zn at all outfalls. In addition
there are a few TSS and COD exceedances at various outfalls. Outfall SW005 has CU, ZN, Pb, TSS and COD benchmark
exceedances. " Note that these values were compared to current benchmark numbers which are higher for most
metals parameters than had appeared in the 2009 permit. So according to the permit they may have had more
exceedances. Sample results at 001, 002 and 004 have values that have been deducted from upgradient outfalls. Need
to better determine how this process works.
o O&G, Cr, TKN, Ni and Phenols do not appear to have had results above the benchmark levels. Propose to remove these
parameters.
o Parameters remaining in the permit —TSS, COD, Cu, Pb, Zn, and pH.
o Tier structure adjusted to have the three levels as in current permits.
o Parameter codes added to permit.
• Discussions with Facility — Email to Jenny Pappalardo and David Waggoner on 8/7/2018, wait for response back on
conference call time. Call on 8/10 from Jenny. Touched base 8/22 and she will set up call with her and her boss for wk of
8/27 — she will email — 8/27 @ 1:30
8/27 - Call with Jenny and David Waggoner— Discussed current outfalls and where they are and aren't? Seems that some
issues on outfalls need to be discussed at the site visit. Areas noted on the plans (I through VII) do not seem to
completely match up with specific outfalls. With the loss of property to DOT south of the railroad tracks some storage
moved to area I. Outfall in this area moved to 006A location instead of 006. Outfall 005/005A needs discussion about
sampling point during site visit. Current location doesn't get much flow. Discussed the notations on DMRs related to
values being "net deductions from upgradient outfalls. This applies to outfalls 001, 002 and 004. Appears that this is
because there are dry weather flows from off site that make it into their system (most likely groundwater) that they
need to account for. They monitor these and have been reducing the concentrations at their outfalls based on the
upgradient monitoring. Question how they net out the upgradient concentration?
No major changes since the renewal application other than aggregate storage that was added in compliance with a
special condition of the 2009 permit. Application mentions change from an asphalt emulsion dip line process to e-
coating. The facility does still have some asphalt based processes but noted that any spills with these would not produce
much impact because the material would not travel far. Facility still has issues with some metals (Zn, Cu, etc.) but the
change in benchmark values (metals values increasing from last permit) may have an impact on the number of
exceedances. Discussed these changes in the permit, they were aware that the benchmark numbers would increase.
Noted in the call that Irwin Creek had impairment for a number of these metals so it was unlikely that monitoring would
go away for them. There are a few other parameters that may be removed based on results.
Jenny will look at the process of providing additional summary data on sampling results. She will also provide updates on
contact information since the data in our report are out of date. Asked facility for an updated site plan that can be
transmitted electronically. Also requested an example of how the net deductions are done in the three outfall results. —
Jenny sent response 9/6/2018 — email and attachments in file and Laserfiche.
Surface Water Information - Facility drains to Irwin Creek in the Catawba River Basin, 11-137-1, a class C stream. 2016
Integrated Report lists this segment of Irwin Creek as impaired for Cu, Zn, Pb, Fe and Fecal. Fecal has a TMDL but there
don't appear to be any sources of this at this facility. Include general language in permit.
NC National Heritage review — NHP report shows no aquatic resources within project area. Within one mile there are
listed aquatic species, but these elements are very old and noted as having been destroyed. It does not that there are
species that are an issue with this facility.
Regional Office Information - MRO — Draft to region and to CMSWS on 9/19/2018 by email.
From: Bennett, Bradley <bradley. ben nettPncdenr.gov>
Sent: Tuesday, August 28, 2018 11:05 AM
To: Pappalardo, Jenny L.<ipappalardo(acharlottepipe.com>
Cc: Waggoner, David G. <daggoner@charlotteoipe.com>
Subject: RE: [External] RE: Stormwater Permit Renewal - NCS000040
Jenny,
Last update: 9/19/2018
Email with info request after call.
Permitee (Jenny Pappalardo)
responses in red received 9/6/18.
Thanks to you and David for your time talking about the permit renewal yesterday. I think I have a better feel for all the
things going on at your facility. I did want to try and summarize some things from our discussion and also highlight a few
areas where we would like some additional information or where you needed some additional guidance from us.
• We discussed the current outfalls at the facility. We would like to make sure that we have all the right locations and
everyone is on the same page with these. It seems that the best way to accomplish this is through the regional
office site visit that will be coming up after the draft permit is ready. In particular it seems that you have questions
about outfall 0005A since it doesn't get much flow. We understand that once a draft is prepared, we will be
contacted by the regional office to schedule.
• The major facility changes since the renewal application in 2014 seems to be the shift of some activities due to the
loss of property in the southeastern part of your property due to DOT construction. The renewal application also
noted the change to E-coat system and the installation of the aggregate waste storage building (condition of 2009
permit). Please see attached (Site Layout, Revised 9-2018) that indicates new storage locations for aggregate
materials and truck parking within Area 1. The propane tanks in Area VI have also recently been removed and pipe
product is now being stored in that location.
• We discussed the monitoring results and the references to outfalls 001, 002 and 004 being "net deductions from
upgradient outfalls." It would be helpful for me if you could provide a little bit more information on this process
and maybe even give me an example of how this is determined in your monitoring efforts. During a rain event,
samples are taken at our downstream outfall location and also at a location upstream of the foundry. The
concentration from our location is subtracted from the upstream location concentration to get the reportable
quantity. For example for the July 2018 monthly sampling for Zinc from SW004: Net SW004 Zinc Conc, ug/L =
(SW004 Zn Conc, ug/L) — (SW003 Zn Conc, ug/L) _ (124 ug/L) — (56.5 ug/L) = 67.5 ug/L = 67.5 mg/L.
• We discussed the changes in the benchmark values for some of the metal parameters. With some adjustments over
the last few years to Department water quality standards there have also been some changes to our benchmark
values. You will notice in the draft permit that a number of the metals benchmarks will increase. This should make a
difference in your monitoring under the tier system. We look forward to seeing the new concentrations.
• You indicated in our discussion that the contact information that we forwarded for your review is out of data and
needs to be corrected. Please forward me the corrections and I will make the needed changes in our system
Please see attached file (NC5000040 Contacts Report, Updated 9-2018).
• If you have an electronic version of your site plan that you could provide to me it would be helpful in getting
information to our regional office. We are trying to get more information available electronically, but we don't
have the ability to scan large plans. Please see attached file (Site Layout, Revised 9-2018).
• We also discussed the possibility of getting updated summary information on your facility's qualitative monitoring
results since the renewal application in 2014. You were going to take a look at this at see if you had any
information that you could easily provide. Please see attached file (Outfall Sampling Data, Updated 9-2018).
I hope I hit all the major areas. If you have any questions please let me know. As I mentioned, we will prepare a draft permit
and send it to you for comment in the next few weeks. Our regional office will also schedule a site visit once the draft is
available.
Thanks for your help.
L•1
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9/6/2018
Mail - bradley.bennett@ncdenr.gov
RE: [External] RE: Stormwater Permit Renewal - NCS000040
Pappalardo, Jenny L. <jpappalardo@charlottepipe.conn>
Thu 9/6/2018 1:10 PM
To:Bennett Bradley <bradley.bennett@ncdenr.gov>;
CcWaggoner, David G. <daggoner@charlottepipe.com>;
0 3 attachments (968 KB)
Outfall Sampling Data, Updated 9-2018.pdf; CPF Site Layout, Revised 9-2018.pdf; NCS000040 Contacts Report, Updated 9-2018.pdf;
CAUTION: External email. Do not click links or open attachments unless verified. Send all suspicious email as an attachment to Report Spam.
See answers below. Please let me know if you need anything else.
Thank you,
Jenny
From: Bennett, Bradley <bradley.bennett@ncdenr.gov>
Sent: Tuesday, August 28, 2018 11:05 AM
To: Pappalardo; Jenny L. <jpappalardo@charlottepipe.com>
Cc: Waggoner, David G. <dwaggoner@charlottepipe.com>
Subject: RE: [External] RE: Stormwater Permit Renewal - NC5000040
Jenny,
Thanks to you and David for your time talking about the permit renewal yesterday. I think I have a better feel for all the things going
on at your facility. I did want to try and summarize some things from our discussion and also highlight a few areas where we would
like some additional information or where you needed some additional guidance from us.
• We discussed the current outfalls at the facility. We would like to make sure that we have all the right locations and everyone
is on the same page with these. It seems that the best way to accomplish this is through the regional office site visit that will
be coming up after the draft permit is ready. In particular it seems that you have questions about outfall OOOSA since it
doesn't get much flow. We understand that once a draft is prepared, we will be contacted by the regional office to schedule.
• The major facility changes since the renewal application in 2014 seems to be the shift of some activities due to the loss of
property in the southeastern part of your property due to DOT construction. The renewal application also noted the change
to E-coat system and the installation of the aggregate waste storage building (condition of 2009 permit). Please see attached
(Site Layout, Revised 9-2018) that indicates new storage locations for aggregate materials and truck parking within Area 1.
The propane tanks in Area VI have also recently been removed and pipe product is now being stored in that location.
• We discussed the monitoring results and the references to outfalls 001, 002 and 004 being "net deductions from upgradient
outfalls" It would be helpful for me if you could provide a little bit more information on this process and maybe even give
me an example of how this is determined in your monitoring efforts. During a rain event, samples are taken at our
downstream outfall location and also at a location upstream of the foundry. The concentration from our location is
subtracted from the upstream location concentration to get the reportable quantity. For example for the July 2018 monthly
sampling for Zinc from SW004: Net SW004 Zinc Conc, ug/L = (SW004 Zn Conc, ug/L) — (SWO03 Zn Conc, ug/L) _ (124 ug/L) —
(56.5 ug/L) = 67.5 ug/L = 67.5 mg/L.
• We discussed the changes in the benchmark values for some of the metal parameters. With some adjustments over the last
few years to Department water quality standards there have also been some changes to our benchmark values. You will
notice in the draft permit that a number of the metals benchmarks will increase. This should make a difference in your
monitoring under the tier system. We look forward to seeing the new concentrations.
https://outlook.office365.com/owa/?realm=nc.gov&path=/mail/inbox 1/3
9/6/2018
Mail - bradley.bennett@ncdenr.gov
• You indicated in our discussion that
corrected. Please forward me the i
(NCS000040 Contacts Report, Upda
to our regional office. We are trying t
large plans. Please see attached file (!
• We also discussed the possibility of ge
since the renewal application in 2014.
could easily_ provide. Please see attac
I hope I hit all the major areas. If you have a
send it toy you for comment in the next few
Thanks for your help
M.
From: Pappalardo, Je
Sent: Monday, Augu
To: Bennett, Bradley
Subject: RE: [External] RE: Stormwater Permit
contact information that we forwarded for your review is out of data and needs to be
ections and I will make the needed changes in our system. Please see attached file
9-2018).
get more information available electronically, but we don't have the ability to scan
e Layout, Revised 9-2018).
ing updated summary information on your facility's qualitative monitoring results
file (Outfall Sampling Data, Updated 9-2018).
lions please let me know. As I mentioned, we will prepare a draft permit and
Our regional office will also schedule a site visit once the draft is available.
Renewal - NCS000040
CAUTION: External email. Do not click links or open
Yes, please call 704.348.5513.
Thank you,
Jenny
From: Bennett, Bradley <bLadley.bennett@nci
Sent: Monday, August 27, 2018 7:13 AM
To: Pappalardo, Jenny L. <jpappalardo@chark
Subject: RE: [External] RE: Stormwater Permit
Jenny,
Sorry for the late response. If today at 1:30 still
m
hments unless verified. -
all suspicious email as an attachment to Rgport Spam.
From: Pappalardo, Jenny L. fmailto jppppalardo@�
Sent: Thursday, August 23, 2018 7:47 AM
To: Bennett, Bradley < radl y.be n @nc nr ggy>;
Subject: [External] RE: Stormwater Permit Renewal -
n>; Waggoner, David G. <dwaggoner@charlo eRpe com>
NCS000040
for you then that will be fin, just let me know what number to call you at.
David G. <dwaggoner@c rlo 21pe.com>
CAUTION: External email. Do not click links or open attachments unless verified. Send all suspicious email as an attachment to Report Spam.
Bradley,
Can we plan to talk Monday, Aug 27th at 1:30pm.
Thank you, I
Jenny
https://outlook.office365.com/owal?realm=nc.gov&path=/mailfinbox 1 213
9/6/2016
Mail - bradley.bennett@ncdenr.gov
From: Bennett, Bradley <bradley.benne @ncdenr.gov>
Sent: Tuesday, August 7, 201810:50 AM
To: Pappalardo, Jenny L. <jpap alar o@charlo epipe.com>; Waggoner, David G. <�ggoner@charlo pep com>
Subject: Stormwater Permit Renewal - NCS000040
Hello, and first let me apologize for how long it has taken us to get going on your permit renewal. A number of issues over the last
few years have led to a backlog on renewal of our Individual permits. I would like to set up a time where I can call and talk with you,
or other staff as appropriate, about the renewal. I will be working on this process. Since the previous renewal application came in
back at the end of 2013 I'm guessing there may be some changes that we should discuss and possibly have documented for the
renewal. In addition, here are a few other items that would be helpful if you can provide updates:
• I have attached a printout of contacts we have in our database for the facility. Can you please review this and let me know if
there are changes to contacts and if the owner/facility information is still accurate?
• Federal regulations changed in the last few years to require electronic reporting of data. We are not yet at the stage of being
able to collect stormwater data this way, but we will have to work to get accurate outfall location information in our system in
order to meet federal requirements for electronic reporting when our systems can handle the data. If you could provide the
lat/long coordinates for your facility's outfall points that would be helpful.
• If you can provide a summary of monitoring information since your application submittal in December 2013 that would be
help as well.
• I am very interested in any changes that may have occurred in your facility or processes since your application submittal that
could affect pollutants discharged in stormwater runoff. I see in our files that there were some adjustments to activities in
2016 due to land being sold to NC DOT. If there are other changes on site or changes in your process we would like to know
about those.
• If there have been changes, a new site map showing the most up to date layout of activities, outfalls and drainage will be
needed.
I work part time and I am generally in the office three days a week (Monday— Wednesday). Maybe we can find a day/time soon
that works to talk. For this week I will be in the office Today and Wednesday (8/7-8/8). Next week 1 will be out of the office and
then I'll be back Aug 20-22.
Thanks for your help!
Bradley Bennett
Stormwater Program Note New Phone Number
NC Division of Energy, Mineral & Land Resources Phone: (919) 707-3646
512 N. Salisbury Street Fax: (919) 807-6494
1612 Mail Service Center Email: Bradley Bennett@n enr.gov
Raleigh, NC 27699-1612
Email correspondence to and from this address may be subject to public records laws
https://outlook.o(fice365.com/owal?realm=nc.gov&path=/mail/inbox 3/3
Bennett, Bradley
From: Bennett, Bradley
Sent: Tuesday, August 28, 2018 11:05 AM
To: 'Pappalardo, Jenny U
Cc: Waggoner, David G.
Subject: RE: [External] RE: Stormwater Permit Renewal - NCS000040
Jenny,
Thanks to you and David for your time talking about the permit renewal yesterday. I think I have a better feel for all the
things going on at your facility. I did want to try and summarize some things from our discussion and also highlight a few
areas where we would like some additional information or where you needed some additional guidance from us.
• We discussed the current outfalls at the facility. We would like to make sure that we have all the right locations
and everyone is on the same page with these. It seems that the best way to accomplish this is through the
regional office site visit that will be coming up after the draft permit is ready. In particular it seems that you
have questions about outfall 0005A since it doesn't get much flow.
• The major facility changes since the renewal application in 2014 seems to be the shift of some activities due to
the loss of property in the southeastern part of your property due to DOT construction. The renewal application
also noted the change to E-coat system and the installation of the aggregate waste storage building (condition of
2009 permit).
• We discussed the monitoring results and the references to outfalls 001, 002 and 004 being "net deductions from
upgradient outfalls." It would be helpful for me if you could provide a little bit more information on this
process and maybe even give me an example of how this is determined in your monitoring efforts.
• We discussed the changes in the benchmark values for some of the metal parameters. With some adjustments
over the last few years to Department water quality standards there have also been some changes to our
benchmark values. You will notice in the draft permit that a number of the metals benchmarks will
increase. This should make a difference in your monitoring under the tier system.
• You indicated in our discussion that the contact information that we forwarded for your review is out of data
and needs to be corrected. Please forward me the corrections and I will make the needed changes in our
system.
• If you have an electronic version of your site plan that you could provide to me it would be helpful in getting
information to our regional office. We are trying to get more information available electronically, but we don't
have the ability to scan large plans.
• We also discussed the possibility of getting updated summary information on your facility's qualitative
monitoring results since the renewal application in 2014. You were going to take a look at this at see if you had
any information that You could easily provide.
I hope I hit all the major areas. If you have any questions please let me know. As I mentioned, we will prepare a draft
permit and send it toy you for comment in the next few weeks. Our regional office will also schedule a site visit once the
draft is available.
Thanks for your help.
M.
From: Pappalardo, Jenny L. [mailto:jpappalardo@charlottepipe.com.
Sent: Monday, August 27, 2018 7:34 AM
To: Bennett, Bradley <bradley.bennett@ncdenr.gov>
Subject: RE: [External] RE: Stormwater Permit Renewal - NCS000040
I
ufION External
email. Do not slick li
ks or open attach
ents uIII s verified S . III suspicious mail
as n attar ment to
Yes, please call 704.348.5513.
Thank you,
Jenny
From: Bennett, Bradley <bradley.bennett@ncdenr.gov>
Sent: Monday, August 27, 2018 7:13 AM
To: Pappalardo, Jenny L. <jpappalardo@charlottepipe.com>; Waggoner, David G. <dwaggoner@charlottepipe.com>
Subject: RE: [External] RE: Stormwater Permit Renewal - NCS000040
I
Jenny,
Sorry for the late response. If today at 1:30 still works for you then that will be fin, just let me know what number to call
you at.
BB
From: Pappalardo, Jenny L. [mailto:jpappalardo@charlottepipe.com]
Sent: Thursday, August 23, 2018 7:47 AM
To: Bennett, Bradley <bradley.bennett@ncdenr.gov>; Waggoner, David G. <dwaggoner@charlottepipe.com>
Subject: [External] RE: Stormwater Permit Renewal - NCS000040
Bradley,
Can we plan to talk Monday, Aug 27th at 1:30pm.
Thank you,
Jenny
From: Bennett, Bradley <bradley.bennett@ncdenr.gov>
Sent: Tuesday, August 7, 2018 10:50 AM
To: Pappalardo, Jenny L. <jpappalardo@charlottepipe.com>; Waggoner, David G. <dwaggoner@charlottepipe.com>
Subject: Stormwater Permit Renewal - NCS000040
Hello, and first let me apologize for how long it has taken us to get going on your permit renewal. A number of issues
over the last few years have led to a backlog on renewal of our Individual permits. I would like to set up a time where I
can call and talk with you, or other staff as appropriate, about the renewal. I will be working on this process. Since the
previous renewal application came in back at the end of 2013 I'm guessing there may be some changes that we should
discuss and possibly have documented for the renewal. In addition, here are a few other items that would be helpful if
you can provide updates:
• I have attached a printout of contacts we have in our database for the facility. Can you please review this and
let me know if there are changes to contacts and if the owner/facility information is still accurate?
• Federal regulations changed in the last few years to require electronic reporting of data. We are not yet at the
stage of being able to collect stormwater data this way, but we will have to work to get accurate outfall location
information in our system in order to meet federal requirements for electronic reporting when our systems can
handle the data. If you could provide the lat/long coordinates for your facility's outfall points that would be
helpful.
• If you can provide a summary of monitoring information since your application submittal in December 2013 that
would be help as well.
• 1 am very interested in any changes that may have occurred in your facility or processes since your application
submittal that could affect pollutants discharged in stormwater runoff. I see in our files that there were some
adjustments to activities in 2016 due to land being sold to INC DOT. If there are other changes on site or changes
in your process we would like to know about those.
If there have been changes, a new site map showing the most up to date layout of activities, outfalls and
drainage will be needed.
I work part time and I am generally in the office three days a week (Monday— Wednesday). Maybe we can find a
day/time soon that works to talk. For this week I will be in the office Today and Wednesday (8/7-8/8). Next week I will
be out of the office and then I'll be back Aug 20-22.
Thanks for your help!
Bradley Bennett
Stormwater Program Note New Phone Number
NC Division of Energy, Mineral & Land Resources Phone: (919) 707-3646
512 N. Salisbury Street Fax: (919) 807-6494
1612 Mail Service Center Email: bradley.bennett(a)ncdenr.gov
Raleigh, NC 27699-1612
Email correspondence to and from this address may be subject to public records laws
Final 2016 Integrated Report -All Assessed Waters
Assessment Unit Name
Assessment Unit Number
Irwin Creek
11-137-1
Catawba River Subbasin
Assessment Unit Description
Water Quality Classification
From source to Sugar Creek
C
Criteria Status Reason for Rating Parameter of Interest
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Units
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l Fish Community (Nar, AL, FW)
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Data Inconclusive
l
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4/11/2018 2016 Integrated Report -All Assessed Waters Page 350 of 1306
Fish tissue assessments for mercury apply to all waters and are not individually listed
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