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HomeMy WebLinkAboutNC0024911_Wasteload Allocation_19920826NPDES DOCUHENT SCANNING COVER SHEET NPDES Permit: NC0024911 MSD Buncombe County WWTP Document Type: Permit Issuance Wasteload Allocation Authorization to Construct (AtC) Permit Modification Complete File - Historical Engineering Alternatives (EAA) Report Instream Assessment (67b) Speculative Limits Environmental Assessment (EA) Document Date: August 26, 1992 Thi'a document i'a printed on reu'ae paper - izore any content on the reirerse'aide NPDES WAS 1 i LOAD ALLOCATION PERMIT NO.: JNCOO .z9 FACILITY NAME: b1/%r5y./. f7+*+ f1414.1 ag-triy Awci.u.ec G. Facility Status: rjli Permit Status: " 4 4 Major Pipe No.: Minor 00 Design Capacity: 10. 0 Domestic (% of Flow): 79 Industrial (% of Flow): -2/ Comments: RECEIVING STREAM: v4 t•12 Class: C' Sub -Basin: 09034 Reference USGS Quad: ri/t/V (please attach) County: fl✓#'mob,- Regional Office: 4,446. Requested by: Prepared by. Reviewe icc, = t 135-17\a j Lv a Date: 6�//l Date: 8/27/3 L Date: g aqqa--' Modeler Date Rec. # .U1AN Wit I9i '7 6 341 Drainage Area (mi2 ) 96 4. Avg. Streamflow (cfs): .2/ "o 7Q10 (cfs) V.C,6 Winter 7Q10 (cfs) -�9S 30Q2 (cfs) yr / Toxicity Limits: IWC ) �- % "� elirom-i � C'hvcn.c c. Acut: ' onic Instream Monitoring: `p0 %�� Parameters I'd /-.►.. Upstream Y Location Downstream Y Locationtra.''� Effluent Characteristics Summer Winter itift4/1(' Ait( )247- dv. (fir ; ISI (45/A, 79 P-it,i, Co( mixt) 2470 , \., / ,.....„. ,. PLO ED Comments: RECEIVED Water Quality Stcticxl Facility Name: NPDES No.: Type of Waste: Facility Status: Permit Status: Receiving Stream: Stream Classification: Subbasin: County: Regional Office: Requestor: Date of Request: Topo Quad: FACT SHEET FOR WASTELOAD ALLOCATION Request # 1 0 3 Metropolitan Sewerage District of Buncombe County NC0024911 79% Domestic / 21% Industrial Existing Renewal- 4e,,,47 04 French Broad River C 040302 Buncombe Asheville Max Haner 6/1/92 ERNE AUG 4 - 1992 ��heville Regional Otter„ Asheville, North Caroline Stream Characteristic: USGS # Date: Drainage Area (mi2): Summer 7Q10 (cfs): Winter 7Q10 (cfs): Average Flow (cfs): 30Q2 (cfs): IWC (%): 966 466 595 2140 884 11.7 c; co Wasteload Allocation Summary (approach taken, correspondence with region, EPA, etc.) Effluent limit for BOD5 =30 mg/1 will be revised to CBOD5=25 mg/1 at the request of the Asheville Regional Office. Special Schedule Requirements and additional comments from Reviewers: lieu) :140i.l Ce3aJ U.� c4741(c n, -CO .1/°T c- eku. _ 71e6Ayr-rick /tie-e7-tmlfze L Recommended by: Reviewed by Instream Assessment: 3 1244 Date: 6/17/92 7// /f Date: j Regional Supery s• �►r._ _� �__ �1•_. Date: Permits & Engineering: �l �-- % ' Date: fkl n RETURN TO TECHNICAL SERVICES BY: AUG 2 3 1992 2 Existing Limits: CONVENTIONAL PARAMETERS Monthly Average Summer Winter Wasteflow (MGD): 40.0 BOD5 (mg/1): 30 NH3N (mg/1): nr DO (mg/1): monitor TSS (mg/1): 30 Fecal Col. (/100 ml): 1000 pH (SU): 6-9 Recommended Limits: Monthly Average Summer Winter WQ or EL Wasteflow (MGD): 40.0 CBOD5 (mg/1): 25 NH3N (mg/1): nr DO (mg/1): monitor TSS (mg/1): 30 Fecal Col. (/100 ml): 200 pH (SU): 6-9 Limits Changes Due To: Parameter(s) Affected Change in 7Q10 data Change in stream classification Relocation of discharge Change in wasteflow Other (onsite toxicity study, interaction, etc.) Instream data New regulations/standards/procedures Fecal Coliform New facility information BOD5 (explanation of any modifications to past modeling analysis including new flows, rates, field data, interacting discharges) (See page 4 for miscellaneous and special conditions, if applicable) 3 Type of Toxicity Test: Existing Limit Recommended Limit: Monitoring Schedule: Existing Limits Chromium (µg/1)• Copper WA): Nickel (µg/1): Lead (µgm): Zinc (µg/1): Cyanide (µg/1): Silver (µg/1): Recommended Limits Chromium (µg/1): Copper (µg/1): Nickel (µg/1): Lead (µgm): Zinc (µg/1): Cyanide (nil): Silver (µg/1): Limits Changes Due To: Change in 7Q10 data Change in stream classification Relocation of discharge Change in wasteflow New pretreatment information Failing toxicity test Other (onsite toxicity study, interaction, etc.) TOXICS/METALS Phase 1 }Chronic Ceriodaphnia Qrtrly Phase 2) Acute Fathead Minnow 24hr - No significant mortality * for discharge into a flume Phase 1) Chronic @ 11.7% Phase 2) Acute Fathead Minnow @ 90% Phase 1) Chronic @ 11.7% Phase 2) Acute Fathead Minnow @ 90% Feb May Aug Nov Daily Max. monitor monitor monitor monitor monitor monitor monitor Daily Max. monitor monitor monitor monitor monitor monitor monitor WQorEL WQ WQ WQ WQ WQ WQ WQ Parameter(s) Affected X_ Parameter(s) are water quality limited. For some parameters, the available load capacity of the immediate receiving water will be consumed. This may affect future water quality based effluent limitations for additional dischargers within this portion of the watershed. OR No parameters are water quality limited, but this discharge may affect future allocations. 4 INSTREAM MONITORING REQUIREMENTS Upstream Location: above outfall in flume Downstream Location: below outfall in flume Parameters: Dissolved Oxygen, Temperature, Conductivity Special instream monitoring locations or monitoring frequencies: Recommend 3/week in the summer and 2/month in the winter MISCELLANEOUS INFORMATION & SPECIAL CONDITIONS Adequacy of Existing Treatment Has the facility demonstrated the ability to meet the proposed new limits with existing treatment facilities? Yes i No If no, which parameters cannot be met? Would a "phasing in" of the new limits be appropriate? Yes No If yes, please provide a schedule (and basis for that schedule) with the regional office recommendations: If no, why not? Special Instructions or Conditions Wasteload sent to EPA? (Major) _Nit (Y or N) (If yes, then attach schematic, toxics spreadsheet, copy of model, or, if not modeled, then old assumptions that were made, and description of how it fits into basinwide plan) Additional Information attached? (Y or N) If yes, explain with attachments. Facility Name 474/6/06/4"/ S"",,'/L/44- "" - 5 L Permit # °.2f 9// Pipe # oo / CHRONIC TOXICITY PASS/FAIL PERMIT LIMIT (QRTRLY) (**Chronic Toxicity (Ceriodaphnia) P/F at J %,fEB /14Y4UG /1,b✓, See Part _, Condition .) The effluent discharge shall at no time exhibit chronic toxicity using test procedures outlined in: 1.) The North Carolina Ceriodaphnia chronic effluent bioassay procedure (North Carolina Chronic Bioassay Procedure - Revised *September 1989) or subsequent versions. The effluent concentration at which there may be no observable inhibition of reproduction or significant mortality is /2 % (defined as treatment two in the North Carolina procedure document). The permit holder shall perform quarterly monitoring using this procedure to establish compliance with the permit condition. The first test will be performed after thirty days from the effective date of this permit during the months of ,E6 RAY MI6- AV . Effluent sampling for this testing shall be performed at the NPDES permitted final effluent discharge below all treatment processes. All toxicity testing results required as part of this permit condition will be entered on the Effluent Discharge Monitoring Form (MR-1) for the month in which it was performed, using the parameter code TGP3B. Additionally, DEM Form AT-1 (original) is to be sent to the following address: Attention: Environmental Sciences Branch North Carolina Division of Environmental Management 4401 Reedy Creek Road Raleigh, N.C. 27607-6445 Test data shall be complete and accurate and include all supporting chemical/physical measurements performed in association with the toxicity tests, as well as all dose/response data. Total residual chlorine of the effluent toxicity sample must be measured and reported if chlorine is employed for disinfection of the waste stream. Should any single quarterly monitoring indicate a failure to meet specified limits, then monthly monitoring will begin immediately until such time that a single test is passed. Upon passing, this monthly test requirement will revert to quarterly in the months specified above. Should any test data from this monitoring requirement or tests performed by the North Carolina Division of Environmental Management indicate potential impacts to the receiving stream, this permit may be re -opened and modified to include alternate monitoring requirements or limits. NOTE: Failure to achieve test conditions as specified in the cited document, such as minimum control organism survival and appropriate environmental controls, shall constitute an invalid test and will require immediate retesting(within 30 days of initial monitoring event). Failure to submit suitable test results will constitute noncompliance with monitoring requirements. 7Q10 464 cfs Permitted Flow 1°• ° MGD IWC% // 7 Basin & Sub -basin Fei °2- ReceivingStream av County mended by: 7//�/9 QCLR Version 9/91 w i '7�JAt Facility Name /ld'ye6f, a/ dFclr,. ,�d �vvv►4. p t # / �� �9i/ `/ Pipe # ACUTE TOXICITY PASS/FAIL PERMIT LIMIT (QRTRLY) The permittee shall conduct acute toxicity tests on a quarterly basis using protocols defined in the North Carolina Procedure Document entitled "Pass/Fail Methodology For Determining Acute Toxicity In A Single Effluent Concentration." The monitoring shall be performed as a Fathead Minnow (Pimephales promelas) 24 hour static test, using effluent collected as a 24 hour composite. The effluent concentration at which there may be at no time significant acute mortality is 90% (defined as treatment two in the North Carolina procedure document). Effluent samples for self -monitoring purposes must be obtained during representative effluent discharge below all waste treatment. The first test will be performed after thirty days from the effective date of this permit during the months of 165 MAY MI F 4Ia✓ All toxicity testing results required as part. of this permit condition will be entered on the Effluent Discharge Monitoring Form (MR-1) for the month in which it was performed, using the parameter code TGE6C. Additionally, DEM Form AT-2 (original) is to be sent to the following address: Attention: Environmental Sciences Branch North Carolina Division of Environmental Management 4401 Reedy Creek Road Raleigh, N.C. 27607 Test data shall be complete and accurate and include all supporting chemical/physical measurements performed in association with the toxicity tests, as well as all dose/response data. Total residual chlorine of the effluent toxicity sample must be measured and reported if chlorine is employed for disinfection of the waste stream. Should any single quarterly monitoring indicate a failure to meet specified limits, then monthly monitoring will begin immediately until such time that a single test is passed. Upon passing, this monthly test requirement will revert to quarterly in the months specified above. Should any test data from either these monitoring requirements or tests performed by the North Carolina Division of Environmental Management indicate potential impacts to the receiving stream, this permit may be re -opened and modified to include alternate monitoring requirements or limits. NOTE: Failure to achieve test conditions as specified in the cited document, such as minimum control organism survival and appropriate environmental controls, shall constitute an invalid test and will require immediate retesting(within 30 days of initial monitoring event). Failure to submit suitable test results will constitute noncompliance with monitoring requirements. 7Q10 cfs Permitted Flow 90 MGD IWC Basin & Sub -basin F0-23 aL Receiving Stream 1-f-C•4 5444 Mutes County f30"4.4,4 c mmended by: Date t /3 of ! f 04.0 ./i itch 4 14'ML !l • MI4lmu/I *. MJ 7/ jf VL /VI. lila kin d'SCJucc�, "14 Gel Is A. IJ 71L 1 L . AL 7v/0 1 i ti r/�"K Affm-4 0,., , D¢%L C QAL PIF Fathead 24 Version 9/91 State of North Carolina Department of Environment, Health, and Natural Resources Asheville Regional Office James G. Martin, Governor William W. Cobey, Jr., Secretary DIVISION OF ENVIRONMENTAL MANAGEMENT WATER QUALITY SECTIQN June 1, 1992 .a MEMORANDUM To: Steve Tedder, Chief Water Quality Section Through: From: Subject: Forrest R. Westall Regional Water Quality Max L. Haner Environmental Chemist / ARO Ann B. Orr Regional Manager REGERI ED J O N 0 3 1992 TECHNICAL SUPPORT BRANCH asor Requested Policy Determination Carbonaceous BOD5 vs Total BOD5 for NPDES Permit Compliance MSD of Buncombe County (NC0024911) Information obtained by MSD of Buncombe County (NC0024911) during a March, 1992, performance test for its new RBC-Microscreen facility shows specific interference in the actual BOD5 test from nitrifying bacteria to the extent to cause concern forpossible violation of effluent BOD5 limits. As result of the test findings and since Standard Methods specifically provides for use of nitrifying inhibitors in the BOD5 test procedure, MSD has been reporting carbonaceous BOD5 data onitsDMRs. ARO has no objection to use of these carbonaceous ROD5 test results and has advised MSD accordingly by letter dated. June 1, 1992 (attached). It appears appropriate for DEM to review use of these carbonaceous BOD test results with respect to compliance with terms and conditions contained in MSD's standard NPDES permit. Absent any significant water quality concerns and since no specific reference appears in the NPDES permit relating to use of carbonaceous BOD5' it is recommended that wording in the MSD NPDES permit recognize reporting of BOD data in accordance with standard test procedures to demonstrates permit compliance. DEM should consider modifying the standard wording in all NPDES permits accordingly. Interchange Building, 59 Woodfin Place, Asheville, N.C. 28801 • Telephone 704-251-6208 t An Equal Opportunity Affirmative Action Employer Page 2 June 1, 1992 Thanks for your attention to this matter. A copy of MSD's-April 24, 1992, letter outlining the performance test findings as related to use of carbonaceous BOD data is also attached. Should you have questions or wish a more detailed discussion, please advise. Attachments xc: Trevor Clements Don Safrit SDMetropolitan Sewerage District of Buncombe County North Carolina W. H. Mull, P.E., Engineer -Manager P.O. Box 8969, Asheville, N.C. 28814 Telephone: Area Code 704-254-9646 Telecopler (704) 254-3299 John 8. Stevens, General Counsel Mr. Max Haner Environmental Chemistry Consultan N.C. Dept.' of Environment, Health & Natural Resources 59 Woodfin Place Asheville, N.C. 28801 Subject: CBOD Reporting Dear Mr. Haver: RECEIVE° Water Qul"rty. Section APR 2 !9 1992 Seville Regional 01fi Asheville, North Caroline FrankS. $mithJil, Chairman George.E. IveYL Ylcd-Chairman .Striven T. Aceto •Jackle.W. Bryson M. Wayne Odwards Richard P..Mass Diane K.'McDonald Charles W. Penny Marvin E Waddey Carolyn R. Wallace April 24, 1992 The standard of performance requirements of Envirex's B - ... Screen process warranty specify that a 30 day- to performance test be completed in order to ascertain the ability of the "Bio-Screen" process to meet our 30 mg/I BOD - 30 m /I TSS The test protocol requires that the treatment plant be placed into permit limital configuration that simulates the 40 MGD design flow hydraulic and organic loading. configuration is to be maintained for the entire 30 day testing period. Thissir This design flow configuration consists of operating with only seven RBC trains simulated intermediate clarifiers with the number of Primary and secondarysins and two manipulated to match predetermined unit flows. The performance test was scheduled microscreens on line, mutual agreement between Envirex and MSD to begin March 1, 1992. eduled by In order to allow the RBC Biomass to reach equilibrium for the simulated hydraulic/organic loading rates, we began test beginning on February 3rd. By February 17th, theuRg removing RBC's from service obtained. On March 1st, C testing configuration had been the intermediate clarifiers and the primary/secondary microscreens were placed into the test configuration. During the month of February, we experienced higher than expected BOD in our plant effluent. Our monthly average BOD was 34.2 mg/I. Even th values e modifying our plant configuration, the high plant effluent BOD was difficult to e were because our RBC effluent soluble BOD remained low (10.5 mg/I). It explain The low RBC effluent soluble BOD indicated that we were obtaining adequate biological treatment. Good soluble BOD removal coupled with low effluent TSS (17.6 mg/I) led us to conclude that the increase in plant effluent BOD was due to an increase in the soluble fraction of the total BOD. Additional BOD analysis of the clarifier effluent and the secondary microscreen influent and effluent channels confirmed that the increase in soluble BOD. occurs downstream of the RBC process, however the total BOD didn't exhibit this same tendency. Our initial investigation into ,the problem consisted of a search for plant variables that we had not accounted for... We unsuccessfully searched for any plant side streams or additions. Piggy backing an ISCO sampler on our effluent sampling point seemed to eliminate our plant sampler as a problem source. Chlorination of the effluent sampler line produced no positive results:: (Since our sample line is so long about 300 feet we are proceeding with the installation: of a tap that will allow us to regularly chlorinate the sample line as a quality control measure): After numerous consultations with Envirex and the discovery of a timely article in "Operators Forum" we began to look into the possibility of Nitrification occurring in our BOD bottles. This possibility made sense because while operating all of the RBC shafts, with actual plant flows at half the design flow, we probably maintained a population of Nitriflers in the downstream reaches of our RBC basins. When we moved to simulation of design flow, apparently the carbonaceous loading was moved farther downstream in the RBC basins. The nitrifiers, no larger competitive, would have been pushed out of the RBC basins. This possibility is supported by an increase in our effluent ammonia nitrogen levels. Another bit of corroborating evidence is that we began to see some elevated BOD's back in December that correlate with some in -plant changes. Beginning in early December, we began to divert a portion of the primary microscreen's flow from RBC basin #1 to RBC basin #2. This was in an effort to reduce the weight on the RBC basin #1's shafts. This diversion of flow would have also resulted in allowing the carbonaceous loading farther downstream in the RBC process, again moving the nitrifiers out. We began running carbonaceous BOD's on the plant effluent starting March 12th. We found that we were experiencing an effect from nitrification in the BOD bottles. There has been since March 12th a 25% effect from nitrogenous BOD. Standard Methods, 17th Edition, page 5-2 and 5-3 indicates that nitrogenous demand is considered an interference in the determination of BOD and is not useful for assessing the oxygen demand associated with organic material. Standard Methods goes on to state "Many biological treatment plant effluents contain significant numbers of nitrifying organisms. Because oxidation of nitrogenous compounds can occur in such samples, inhibition of nitrification as directed in Paragraph B.4e6 is recommended for samples of secondary effluent...". Currently, the interference of nitrogenous BOD in our effluent is significant enough to lead to non-compliance with our NPDES Permit. Envirex has indicated that a number of RBC plants have experienced a similar problem. We believe that the current problem at MSD is related to the simulation of design flow, and will probably subside once all of the RBC shafts are back in service. We believe however that nitrogenous BOD will remain a potential interference to our BOD analyses and will therefore be reporting CBOD on our monthly monitoring reports. After determining the impact that nitrogenous BOD was having on our ability to meet our permit limits during February, we used the information we had gathered on nitrogenous BOD effect to recalculate the BOD's on our. February report. We noted these recalculations on the report. Our early testing showed a 24% effect from nitrification. Due to the limited number of data points; however we decided to assume a conservative 20% effect. Since then this effect has been shown to be 25% of the total BOD. You will fin d the analyses. results we used to determine this effect attached to this letter..: The March report will include CBOD's beginning on the 12th. The BOD's from the 2nd of March until the 11 th are total BOD's recalculated to reflect the conservative 20% effect of nitrogenous BOD. All of our future monitoring reports will have BOD reported as CBOD and will be noted as such. hope I have provided an adequate explanation of our decision to report CBOD. Please let me know if you need further explanation or`additionat. supporting data: Sincerely,_. E. Marc Fender Assistant Superintendent of Operations MF:sc MSD EFFLUENT TBOD/CBOD - MG/L DATE TBOD CBOD 3/12/92 30 20 3/13/92 32 27 3/16/92 29 23 3/17/92 28 22 3/18/92 46 27 3/19/92 43 36 3/20/92 36 30 3/23/92 19 15 3/24/92 25 23 3/25/92 28 19 3/26/92 33 25 3/27/92 30 30 3/30/92 21 18 3/31/92 36 27 4/1/92 39 21 4/2/92 38 21 4/ //92 33 24 4/6/92 29 18 4/7/92 36 26 4/8/92 38 47 4/9/92 38 27 4/10/92 44 28 4/13/92 27 19 4/14/92 30 24 4/15/92 40 24 4/16/92 31 23 AVERAGE 33.0 24.7 State of North Carolina Department of Environment, Health, and Natural Resources Asheville Regional Office James G. Martin, Governor William W. Cobey, Jr., Secretary DIVISION OF ENVIRONMENTAL MANAGEMENT WATER QUALITY SECTION June 1, 1992 Mr. E. Marc Fender, Assistant Superintendent Metropolitan Sewerage District of Buncombe County Post Office Box 8969 Asheville, North Carolina 28807 Dear Mr. Fender: Ann B. Orr Regional Manager Subject: Required Submittal of Amended Discharge Monitoring Report (DMR) For February, 1992 MSD of Buncombe County (NC0024911) Following review of your letter of April 24, 1992, in which you relate those findings of the 30-day performance test of MSD's recently completed RBC-Microscreen type wastewater treatment facility which support use of carbonaceous BOD5 test data on the monthly discharge monitoring report (DMRs) andinaccordance with our recent telephone discussion, this letter is to request that MSD submit an amended DMR for February, 1992, to show actual BOD5 test data. As Standard Methods allows use of nitrifying inhibitors as part of the BOD5 test, MSD may include actual carbonaceous BODS test data on its DMRs until notified otherwise. Resubmittal of the March, 1992, DMR will. not be required at this time. I will request that this matter he reviewed by our administrative staff in Raleigh to determine whether modification to NPDES Permit Number NC0024911 will be necessary and will advise you accordingly. While findings during this performance test period (March, 1992) appear to conclusively show that nitrifying bacteria provided interference in the BODS test, the absence of actual carbonaceous BOD5 data during February, 1992, prevents use of this information for that DMR period. This determination is with full understanding that the facility was being readied for the performance test during February, 1992, and many of the operating conditions were comparable to the March, 1992 setup. Interchange Building, 59 Woodfin Place, Asheville, N.C. 28801 • Telephone 704-251-6208 An Equal Opportunity Affirmative Action Employer Page 2 June 1, 1992 Mr. Fender Thank you for your attention to this matter. I will advise you of Raleigh's findings relative to possible permit amendment. Your truly, Max" L. Haner Environmental Chemist xc: W.H. Mull Forrest R. Westall