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HomeMy WebLinkAboutNC0029980_Permit (Issuance)_20180802NPDES DOCUHENT SCANNINC COVER :SHEET NC0029980 Miller Coors plant WWTP NPDES Permit: Document Type: Permit Issuance Wasteload Allocation Authorization to Construct (AtC) Permit Modification Complete File - Historical Engineering Alternatives (EAA) Correspondence Owner Name Change Instream Assessment (67b) Speculative Limits Environmental Assessment (EA) Document Date: August 2, 2018 This doMu m ent is pri:ited on reuse paper - ignare any content on -the reYerse side I;/'p Cs ROY COOPER INIC Governor MICHAEL S. REGAN Secretary LINDA CULPEPPER Interim Director Water Resources Environmental Quality August 2; 2018 Mr. Michael J. Lozano MillerCoors, LLC. 863 East Meadow Dr. Eden, North Carolina 27289 Subject: Issuance of NPDES Permit Permit NC0029980 MillerCoors LLC Rockingham County Grade IV Biological WPCS SIC Code 2082 Dear Mr. Lozano: Division personnel have reviewed and approved your application for renewal of the subject permit. Accordingly, we are forwarding the attached 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). The following changes were made to the draft permit sent to you on May 17, 2018: • The following text has been added to the Supplement to Permit Cover Sheet: "At the time of this permit renewal, the facility has been unoccupied for more than a year and a half. The wastewater system is not operational, and will require significant maintenance prior to any future discharge. The permittee shall notify the NC DEQ Winston-Salem Regional Office (WSRO) at least 30 days prior to any planned restart of this treatment facility. WSRO staff approval is required prior to any future discharge from this system." The final permit maintains the following significant changes identified in the letter sent on May 17, 2018: • Based on Reasonable Potential Analysis (RPA) results, monitoring for total zinc has been removed from the permit [See A. (1.)]. • Some of the wording has changed in Special Condition A. (2.), Chronic Toxicity Permit Limit, please review each paragraph carefully. • Special Condition regarding Variance for 24-Hour Staffing Requirement has been removed from the permit. 'Nothing Compares".,.. State of North Carolina I Environmental Quality 1611 Mail Service Center I Raleigh, North Carolina 27699-1611 919-707-9000 • Federal regulations require electronic submittal of all discharge monitoring reports (DMRs) and program reports. The requirement to continue reporting discharge monitoring data electronically using the NC DWR's Electronic Discharge Monitoring Report (eDMR) internet application has been added to your NPDES permit [See Special Condition A. (3.)]. • Parameter characteristic codes have been added to the Effluent Limitations and Monitoring Requirements [See A. (1.)]. • Regulatory citations have been added to the permit. • • Submittal of a change in ownership form along with legal documentation of the transfer of ownership (such as a property deed, articles of incorporation, or sales agreement) in the event the facility is purchased by another party is required. The change in ownership form can be found in the following link: https://deq.nc.gov/about/divisions/water- resources/edmr/forms-and-reports 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 (6714 Mail Service Center, Raleigh, North Carolina 27699- 6714). Unless such demand is made, this decision shall be final and binding. Please note that this permit is not transferable except after notice to the Division. The Division may require modification or revocation and reissuance of the permit. This permit does not affect the legal requirements to obtain other permits which may be required by the Division of Water Resources or any other Federal, State, or Local governmental permits that may be required. If you have any questions concerning this permit, please contact Qais Banihani at (919) 707-3607 or via email at qais.banihani@ncdenr.gov. Linda Culpepper, Interim Director Division of Water Resources, NCDEQ Hardcopy: NPDES Files Central Files DWR/Winston-Salem Regional Office / Water Quality Ecopy: US EPA Region 4 Aquatic Toxicology Branch/Susan Meadows Page 2 of 2 Permit No. NC0029980 STATE OF NORTH CAROLINA DEPARTMENT OF ENVIRONMENTAL QUALITY DIVISION OF WATER RESOURCES PERMIT TO DISCHARGE WASTEWATER UNDER THE NATIONAL POLLUTANT DISCHARGE ELIMINATION SYSTEM In compliance with the provision 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, MillerCoors LLC is hereby authorized to discharge wastewater from a facility located at MillerCoors LLC 863 East Meadow Dr. Eden, North Carolina Rockingham County to receiving waters designated as the Dan River in the Roanoke River Basin in accordance with effluent limitations, monitoring requirements, and other conditions set forth in Parts I, II, and III hereof. This permit shall become effective September 1, 2018. This permit and the authorization to discharge shall expire at midnight on April 30, 2022. Signed this day August 2, 2018. inda Culpepper, Interim Director Division of Water Resources • By Authority of the Environmental Management Commission Page 1 of 8 Permit No. NC0029980 A. (1.) EFFLUENT LIMITATIONS AND MONITORING REQUIREMENTS [15A NCAC 02B.0400 et seq., 15A NCAC 02B.0500 et seq.] Beginning on the effective date of this permit and lasting until expiration, the Permittee is authorized to discharge treated process wastewater from Outfall 001. Such discharges shall be limited and monitored' by the Permittee as specified below: Facility IV ` PARAMETER, CHARACTERISTICS P. araihefer Code EFFLUENT LI .ITS ... i ; ... MONITOR(NC REQUIREMENTS z °d Moithly•:f *Ogg_ Weekly l Average :. Daily ; Maximum Measurement• �Y _, Frequency? . Sample _ _ Type Sample. Lora ionz: Flow 50050 5.2 MGD Continuous Recording Influent or Effluent BOD5, (20°C) C0310 1648 Ibsld 3990 Ibsld Daily Composite Effluent Total Suspended Solids C0530 2429 Ibsld 5855 Ibs/d Daily Composite Effluent NH3 as N C0610 Weekly Composite Effluent Dissolved Oxygen 00300 Daily Grab Effluent Temperature (°C) 00010 Daily Grab Effluent pH 00400 Between 6.0 and 9.0 standard units Daily Grab Effluent Total Nitrogen C0600 [TN=(NO2+NO3)+TKN] (mg/L) Monthly Composite Effluent Total Phosphorus (mg/L) C0665 Monthly Composite Effluent Chronic Toxicity 3 TGP3B Quarterly Composite Effluent Temperature (°C) 00010 Footnote 2 Grab U, D Dissolved Oxygen 00300 Footnote 2 Grab U, D Notes: 1. Submit discharge monitoring reports electronically using the NC DWR's eDMR application system [See A. (3.)]. 2. Instream monitoring shall be conducted weekly during the months June, July, August, and September. Sample locations: U-Upstream at Highway 14 crossing, D-Downstream at Highway 700. 3. Chronic Toxicity (Ceriodaphnia) at 2.1%; February, May, August, November [See A. (2.)]. There shall be no discharge of floating solids or visible foam in other than trace amounts. Definitions: MGD- million gallons per day BOD- biochemical oxygen demand lbs/d - pounds per day Page 3 of 8 Permit No. NC0029980 A. (2.) CHRONIC TOXICITY PERMIT LIMIT (QUARTERLY) [15A NCAC 02B.0200 et seq.] The effluent discharge shall at no time exhibit observable inhibition of reproduction or significant mortality to Ceriodaphnia dubia at an effluent concentration of 2.1 % at 5.2 MGD flow regime. The permit holder shall perform at a minimum, quarterly monitoring using test procedures outlined in the "North Carolina Ceriodaphnia Chronic Effluent Bioassay Procedure," Revised December 2010, or subsequent versions or "North Carolina Phase II Chronic Whole Effluent Toxicity Test Procedure" (Revised- December 2010) or subsequent versions. The tests will be performed during the months of February, May, August and November. These months signify the first month of each three-month toxicity testing quarter assigned to the facility. Effluent sampling for this testing must be obtained during representative effluent discharge and shall be performed at the NPDES permitted final effluent discharge below all treatment processes. If the test procedure performed as the first test of any single quarter results in a failure or ChV below the permit limit, then multiple -concentration testing shall be performed at a minimum, in each of the two following months as described in "North Carolina Phase II Chronic Whole Effluent Toxicity Test Procedure" (Revised -December 2010) or subsequent versions. All toxicity testing results required as part of this permit condition will be entered on the Effluent Discharge Monitoring Form (MR-1) for the months in which tests were performed, using the parameter code TGP3B for the pass/fail results and THP3B for the Chronic Value. Additionally, DWR Form AT-3 (original) is to be sent to the following address: Attention: North Carolina Division of Water Resources ' Water Sciences Section/Aquatic Toxicology Branch 1621 Mail Service Center Raleigh, NC 27699-1621 Completed Aquatic Toxicity Test Forms shall be filed with the Water Sciences Section no later than 30 days after the end of the reporting period for which the report is made. Test data shall be complete, accurate, include all supporting chemical/physical measurements and all concentration/response data, and be certified by laboratory supervisor and ORC or approved designate signature. Total residual chlorine of the effluent toxicity sample must be measured and reported if chlorine is employed for disinfection of the waste stream. Should there be no discharge of flow from the facility during a month in which toxicity monitoring is required, the permittee will complete the information located at the top of the aquatic toxicity (AT) test form indicating the facility name, permit number, pipe number, county, and the month/year of the report with the notation of "No Flow" in the comment area of the form. The report shall be submitted to the Water Sciences Section at the address cited above. Should the permittee fail to monitor during a month in which toxicity monitoring is required, monitoring will be required during the following month. Assessment of toxicity compliance is based on the toxicity Page 4 of 8 Permit No. NC0029980 testing quarter, which is the three month time interval that begins on the first day of the month in which toxicity testing is required by this permit and continues until the final day of the third month. Should any test data from this monitoring requirement or tests performed by the North Carolina Division of Water Resources 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, minimum control organism reproduction, and appropriate environmental controls, shall constitute an invalid test and will require immediate follow-up testing to be completed no later than the last day of the month following the month of the initial monitoring. A. (3.) ELECTRONIC REPORTING OF MONITORING REPORTS [NCGS 143-215.1 (b)] [G.S. 143-215.1(b)] Federal regulations require electronic submittal of all discharge monitoring reports (DMRs) and program reports. The final NPDES Electronic Reporting Rule was adopted and became effective on December 21, 2015. NOTE: This Section supplements or supersedes the following sections within Part II of this permit (Standard Conditions for NPDES Permits): • Section B. (11.) Signatory Requirements • Section D. (2.) Reporting • Section D. (6.) Records Retention • Section E. (5.) Monitoring Reports 1. Reporting Requirements [Supersedes Section D. (2.) and Section E. (5.) (a)1 The Permittee shall report discharge monitoring data electronically using the NC DWR's Electronic Discharge Monitoring Report (eDMR) internet application. Monitoring results obtained during the previous month(s) shall be summarized for each month and submitted electronically using eDMR. The eDMR system allows permitted facilities to enter monitoring data and submit DMRs electronically using the internet. Until such time that the state's eDMR application is compliant with EPA's Cross -Media Electronic Reporting Regulation (CROMERR), permittees will be required to submit all discharge monitoring data to the state electronically using eDMR and will be required to complete the eDMR submission by printing, signing, and submitting one signed original and a copy of the computer printed eDMR to the following address: NC DEQ / DWR / Water Quality Permitting Section Attn: Central Files 1617 Mail Service Center Raleigh, North Carolina 27699-1617 Page 5 of 8 Permit No. NC0029980 If a permittee is unable to use the eDMR system due to a demonstrated hardship or due to the facility being physically located in an area where less than 10 percent of the households have broadband access, then a temporary waiver from the NPDES electronic reporting requirements may be granted and discharge monitoring data may be submitted on paper DMR forms (MR 1, 1.1, 2, 3) or alternative forms approved by the Director. Duplicate signed copies shall be submitted to the mailing address above. See "How to Request a Waiver from Electronic Reporting" section below. Regardless of the submission method, the first DMR is due on the last day of the month following the issuance of the permit or in the case of a new facility, on the last day of the month following the commencement of discharge. Starting on December 21, 2020, the permittee must electronically report the following compliance monitoring data and reports, when applicable: • Sewer Overflow/Bypass Event Reports; • Pretreatment Program Annual Reports; and • Clean Water Act (CWA) Section 316(b) Annual Reports. The Permittee may seek an electronic reporting waiver from the Division (see "How to Request a Waiver from Electronic Reporting" section below). 2. Electronic Submissions In accordance with 40 CFR 122.41(1)(9), the permittee must identify the initial recipient at the time of each electronic submission. The permittee should use the EPA's website resources to identify the initial recipient for the electronic submission. Initial recipient of electronic NPDES information from NPDES-regulated facilities means the entity (EPA or the state authorized by EPA to implement the NPDES program) that is the designated entity for receiving electronic NPDES data [see 40 CFR 127.2(b)]. EPA plans to establish a website that will also link to the appropriate electronic reporting tool for each type of electronic submission and for each state. Instructions on how to access and use the appropriate electronic reporting tool will be available as well. Information on EPA's NPDES Electronic Reporting Rule is found at: https://www.federalregister.gov/documents/2015/10/22/2015-24954/national- pol lutant-discharge-elimination-system-npdes-electronic-reporting-rule Electronic submissions must start by the dates listed in the "Reporting Requirements" section above. 3. How to Request a Waiver from Electronic Reporting The Permittee may seek a temporary electronic reporting waiver from the Division. To obtain an electronic reporting waiver, a permittee must first submit an electronic reporting waiver request to the Division. Requests for temporary electronic reporting waivers must be submitted in writing to the Division for written approval at least sixty (60) days prior to the date the facility would be required under this permit to begin submitting monitoring data and reports. The duration of a temporary waiver shall not exceed 5 years and shall thereupon expire. At such time, monitoring data and reports shall be submitted electronically to the Division unless the permittee re -applies for and is granted a new temporary electronic reporting waiver by the Division. Approved electronic reporting waivers are not Page 6 of 8 Permit No. NC0029980 transferrable. Only permittees with an approved reporting waiver request may submit monitoring data and reports on paper to the Division for the period that the approved reporting waiver request is effective. Information on eDMR and the application for a temporary electronic reporting waiver are found on the following web page: http://deq.nc.gov/about/divisions/water-resources/edmr 4. Signatory Requirements [Supplements Section B. (11.) (b) and Supersedes Section B. (11.) (d)1 All eDMRs submitted to the permit issuing authority shall be signed by a person described in Part II, Section B. (11.)(a) or by a duly authorized representative of that person as described in Part II, Section B. (11.)(b). A person, and not a position, must be delegated signatory authority for eDMR reporting purposes. For eDMR submissions, the person signing and submitting the DMR must obtain an eDMR user account and login credentials to access the eDMR system. For more information on North Carolina's eDMR system, registering for eDMR and obtaining an eDMR user account, please visit the following web page: http://deq.nc.gov/about/divisions/water-resources/edmr Certification. Any person submitting an electronic DMR using the state's eDMR system shall make the following certification [40 CFR 122.22]. NO OTHER STATEMENTS OF CERTIFICATION WILL BE ACCEPTED: "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." 5. Records Retention [Supplements Section D. (6.)1 The Permittee shall retain records of all Discharge Monitoring Reports, including eDMR submissions. These records or copies shall be maintained for a period of at least 3 years from the date of the report. This period may be extended by request of the Director at any time [40 CFR 122.41]. Page 7 of 8 Permit No. NC0029980 Stream Class: C •. 1 q��� dt `t Spra,.. m1{ Jer , t alaaM�l(((, t CeC.�•n ship -� '� Spray • = r✓IfctWo•• Plrv; BI ac rewi1.! _I I: ,+ ,.r __ ICrm • • Ma:D1• b! !kw -pp. �Yt lcr titirit ;Cs Miller Coors LLC State Grid/Quad: B20NW SEEDEN Latitude: Longitude: Receiving Stream: Dan River Drainage Basin: Sub -Basin: 36° 29' 31" N 79°42'39"W Roanoke River 03-02-03 \ Ir1.O2t. A -!lore - cL; , T7iItr1 yy�� ccyy :• _-^ "-r _ ,,.. f;4 1 S.----- ate r 1'• NtA- �) :M+. u ,\ J1R61 ..I • 43= S,,N i', : 1� :Sutal. 1�y ^1 A~ 1 cn\ Uz-- xt i.tAtxyob.G�ct I t\ .-.. ..Isuo11q 'Ctob --, 1 711, ..2., ,,, i Heady Summit tiacter.Lit c. North Outfall 001 Facility Location not to scale NPDES Permit No. NC0029980 Rockingham County Page 8 of 8 Fact Sheet NPDES Permit No. NC0029980 Permit Writer/Email Contact Qais Banihani, gais.banihani@ncdenr.gov: Date: Month 17, 2018 Division/Branch: NC Division of Water Resources/NPDES Complex Permitting Fact Sheet Template: Version 09Jan2017 Permitting Action: ® Renewal ❑ Renewal with Expansion O New Discharge ❑ Modification (Fact Sheet should be tailored to mod request) Note: A complete application should include the following: • For New Dischargers, EPA Form 2A or 2D requirements, Engineering Alternatives Analysis, Fee • For Existing Dischargers (POTW), EPA Form 2A, 3 effluent pollutant scans, 4 2"' species WET tests. • For Existing Dischargers (Non-POTW), EPA Form 2C with correct analytical requirements based on industry category. Complete applicable sections below. If not applicable, enter NA. 1. Basic Facility Information Facility Information Applicant/Facility Name: MillerCoors LLC Applicant Address: 863 E. Meadow Dr., Eden, NC 27289 Facility Address: 863 E. Meadow Dr., Eden, NC 27289 Permitted Flow: 5.2 MGD Facility Type/Waste: Industrial Facility Class: IV Treatment Units: Bar screen, grit chamber, neutralization, equalization, aeration basins/secondary clarifiers and polishing lagoons Pretreatment Program (Y/N) N County: Rockingham Region Winston - Salem Briefly describe the proposed permitting action and facility background: The MillerCoors LLC, herein called MillerCoors or Permittee, applied for an NPDES permit renewal. The Permittee's 5-year NPDES permit expired on April 30, 2017. This facility is a brewing and packing facility for malt beverages. The process includes brewing, fermenting, aging and packing. Wastewaters generated during the process are Page 1 of 9 treated in a 5.2 MGD activated sludge wastewater treatment facility. MillerCoors ceased all manufacturing activities as of September 2016 and implemented facility closure work. The final flow cessation date was in April 2017. However, the facility requested to retain its NPDES permit in June 2017. 2. Receivin Waterbodv Information: Receiving Waterbody Information Outfalls/Receiving Stream(s): Outfall 001 — Dan River Stream Segment: 22-(39)a Stream Classification: C Drainage Area (mi2): . 1735 Summer 7Q10 (cfs) 369 Winter 7Q10 (cfs): 608 30Q2 (cfs): 738 Average Flow (cfs): 1 648 IWC (% effluent): 2.1 303(d) listed/parameter: No Subject to TMDL/parameter: Yes- State wide Mercury TMDL implementation Subbasin/HUC: 03-02-03; 03010103 USGS Topo Quad: B2ONW 3. Effluent Data Summary Effluent data for Outfall 001 is summarized below for the period of January 2014 through April 2017. Table 1. Effluent Data Summary Outfall 001 Parameter Units Average Max Min Permit Limit Flow MGD 1.28 '. 2 1 0.1 1 MA 5.2 BOD 1 b/d 181. 19 2,222.0 11.0 MA 1,648.0 DM 3,990.0 TSS 1 b/d 308.19 4,579.0 14.0 MA 2,429.0 DM 5,855.0 NH3N mg/1 0.09 16.5 < 0.1 Page 2 of 9 DO mg/1 6.21 29.0 0.2 Temperature ° C 2 0.8 8 35.0 3.0 pH SU 8.42 9.0 7.5 6.0<pH< 9.0 Total Zinc µg/1 118.38 1050 18 TN mg/1 9.60 41.0 < 0.2 TP mg/1 369.0 14,400 0.27 MA -Monthly Average, WA -Weekly Average, DM -Daily Maximum, DA=Daily Average 4. Instream Data Summary Instream monitoring may be required in certain situations, for example: 1) to verify model predictions when model results for instream DO are within 1 mg/1 of instream standard at full permitted flow; 2) to verify model predictions for outfall diffuser; 3) to provide data for future TMDL; 4) based on other instream concerns. Instream monitoring may be conducted by the Permittee, and there are also Monitoring Coalitions established in several basins that conduct instream sampling for the Permittee (in which case instream monitoring is waived in the permit as long as coalition membership is maintained). If applicable, summarize any instream data and what instream monitoring will be proposed for this permit action: The current permit requires instream monitoring for Dissolved Oxygen (DO) and Temperature. A review of instream data from June 2014 through September 2016 indicates that the DO standard of 5 mg/L was maintained. Data collected is within normal parameters for DO and temperature. Instream data is summarized in tables 2 and 3. This draft permit maintains the same Instream monitoring requirements. Table 2: Upstream Instream Data (June 2014 - September 2016) DO Temperature mg/L °C Average 7.57 8.02 Max 8.5 9.0 Min 6.7 7.0 Table 3: Downstream Instream Data (June 2014 - September 2016) DO Temperature mg/L °C Average 23.41 23.79 Max 28.0 28.0 Min 18.0 18.0 Is this facility a member of a Monitoring Coalition with waived instream monitoring (Y/N): NO Name of Monitoring Coalition: NA Page 3 of 9 5. Compliance Summary Summarize the compliance record with permit effluent limits (past 5 years): The facility reported no limit violations from June 2012 to March 2018. Summarize the compliance record with aquatic toxicity test limits and any second species test results (past 5 years): Since 2013, the facility passed 17 of 17 quarterly chronic toxicity tests Summarize the results from the most recent compliance inspection: The last facility inspection conducted on July 2017 reported that the facility operations were found to be shut down and no flow is anticipated. 6. Water Quality -Based Effluent Limitations (WQBELs) Dilution and Mixing Zones In accordance with 15A NCAC 2B.0206, the following streamflows are used for dilution considerations for development of WQBELs: 1 Q 10 streamflow (acute Aquatic Life); 7Q 10 streamflow (chronic Aquatic Life; non -carcinogen HH); 30Q2 streamflow (aesthetics); annual average flow (carcinogen, HH). If applicable, describe any other dilution factors considered (e.g., based on CORMIX model results): NA If applicable, describe any mixing zones established in accordance with 15A NCAC 2B.0204(b): NA Oxygen -Consuming Waste Limitations Limitations for oxygen -consuming waste (e.g., BOD) are generally based on water quality modeling to ensure protection of the instream dissolved oxygen (DO) water quality standard. Secondary TBEL limits (e.g., BOD= 30 mg/1 for Municipals) may be appropriate if deemed more stringent based on dilution and model results. If permit limits are more stringent than TBELs, describe how limits were developed: NA Ammonia and Total Residual Chlorine Limitations Limitations for ammonia are based on protection of aquatic life utilizing an ammonia chronic criterion of 1.0 mg/1 (summer) and 1.8 mg/1 (winter). Acute ammonia limits are derived from chronic criteria, utilizing a multiplication factor of 3 for Municipals and a multiplication factor of 5 for Non -Municipals. Limitations for Total Residual Chlorine (TRC) are based on the NC water quality standard for protection of aquatic life (17 ug/1) and capped at 28 ug/1 (acute impacts). Due to analytical issues, all TRC values reported below 50 ug/1 are considered compliant with their permit limit. Describe any proposed changes to ammonia and/or TRC limits for this permit renewal: The facility does not have chlorination; therefore, no TRC limit. The NH3-N allowable concentration for summer and winter exceeded 35 mg/L; therefore, monitor only. There are no proposed changes. Page 4 of 9 Reasonable Potential Analysis (RPA) for Toxicants If applicable, conduct RPA analysis and complete information below. The need for toxicant limits is based upon a demonstration of reasonable potential to exceed water quality standards, a statistical evaluation that is conducted during every permit renewal utilizing the most recent effluent data for each outfall. The RPA is conducted in accordance with 40 CFR 122.44 (d) (i). The NC RPA procedure utilizes the following: 1) 95% Confidence Level/95% Probability; 2) assumption of zero background; 3) use of '/2 detection limit for "less than" values; and 4) streamflows used for dilution consideration based on 15A NCAC 2B.0206. Effective April 6, 2016, NC began implementation of dissolved metals criteria in the RPA process in accordance with guidance titled NPDES Implementation of Instream Dissolved Metals Standards, dated June 10, 2016. A reasonable potential analysis was conducted on effluent toxicant data collected between January 2014 and April 2017. Pollutants of concern included toxicants with positive detections and associated water quality standards/criteria. Based on this analysis, the following permitting actions are proposed for this permit: • Effluent Limit with Monitoring. The following parameters will receive a water quality -based effluent limit (WQBEL) since they demonstrated a reasonable potential to exceed applicable water quality standards/criteria: NA • Monitoring Only. The following parameters will receive a monitor -only requirement since they did not demonstrate reasonable potential to exceed applicable water quality standards/criteria, but the maximum predicted concentration was >50% of the allowable concentration: NA • No Limit or Monitoring: The following parameters will not receive a limit or monitoring, since they did not demonstrate reasonable potential to exceed applicable water quality standards/criteria and the maximum predicted concentration was <50% of the allowable concentration: Total Zinc • POTW Effluent Pollutant Scan Review: Three effluent pollutant scans were evaluated for additional pollutants of concern. o The following parameter(s) will receive a water quality -based effluent limit (WQBEL) with monitoring, since as part of a limited data set, two samples exceeded the allowable discharge concentration: NA o The following parameter(s) will receive a monitor -only requirement, since as part of a limited data set, one sample exceeded the allowable discharge concentration: NA If applicable, attach a spreadsheet of the RPA results as well as a copy of the Dissolved Metals Implementation Fact Sheet for freshwater/saltwater to this Fact Sheet. Include a printout of the RPA Dissolved to Total Metal Calculator sheet if this is a Municipality with a Pretreatment Program. Toxicity Testing Limitations Permit limits and monitoring requirements for Whole Effluent Toxicity (WET) have been established in accordance with Division guidance (per WET Memo, 8/2/1999). Per WET guidance, all NPDES permits issued to Major facilities or any facility discharging "complex" wastewater (contains anything other than domestic waste) will contain appropriate WET limits and monitoring requirements, with several exceptions. The State has received prior EPA approval to use an Alternative WET Test Procedure in NPDES permits, using single concentration screening tests, with multiple dilution follow-up upon a test failure. Describe proposed toxicity test requirement: A chronic WET limit at 2.1 % effluent will continue on a quarterly frequency. Page 5 of 9 Mercury Statewide TMDL Evaluation There is a statewide TMDL for mercury approved by EPA in 2012. The TMDL target was to comply with EPA's mercury fish tissue criteria (0.3 mg/kg) for human health protection. The TMDL established a wasteload allocation for point sources of 37 kg/year (81 lb/year), and is applicable to municipals and industrial facilities with known mercury discharges. Given the small contribution of mercury from point sources (-2% of total load), the TMDL emphasizes mercury minimization plans (MMPs) for point source control. Municipal facilities > 2 MGD and discharging quantifiable levels of mercury (>1 ng/1) will receive an MMP requirement. Industrials are evaluated on a case -by -case basis, depending if mercury is a pollutant of concern. Effluent limits may also be added if annual average effluent concentrations exceed the WQBEL value (based on the NC WQS of 12 ng/1) and/or if any individual value exceeds a TBEL value of 47 ng/1 Describe proposed permit actions based on mercury evaluation: Mercury is not a pollutant of concern for this facility and the permittee did not test any mercury for this renewal. There are no proposed changes. Other TMDLfNutrient Management Strategy Considerations If applicable, describe any other TMDLs/Nutrient Management Strategies and their implementation within this permit: NA Other WOBEL Considerations If applicable, describe any other parameters of concern evaluated for WQBELs: NA If applicable, describe any special actions (HQW or ORW) this receiving stream and classification shall comply with in order to protect the designated waterbody: NA If applicable, describe any compliance schedules proposed for this permit renewal in accordance with 15A NCAC 2H.0107(c)(2)(B), 40CFR 122.47, and EPA May 2007Memo: NA If applicable, describe any water quality standards variances proposed in accordance with NCGS 143- 215.3(e) and 15A NCAC 2B. 0226 for this permit renewal: NA 7. Technology -Based Effluent Limitations (TBELs) Industrials (if not applicable, delete and skip to next Section) Describe what this facility produces: brewing and packing List the federal effluent limitations guideline (ELG) for this facility: NA If the ELG is based on production or flow, document how the average production/flow value was calculated: NA For ELG limits, document the calculations used to develop TBEL limits: NA If any limits are based on best professional judgement (BPJ), describe development: The last waste load allocations was completed in 1996. Limits for BOD and TSS were based in proposed effluent guidelines. The guidelines were never finalized and the limits were modified in 2003 based on BPJ. The BOD monthly and daily limits were based on concentrations of 38 mg/1 and 92 mg/1 respectively. TSS monthly and daily limits were based on concentrations of 56 mg/1 and 135 mg/1 respectively. Current permit limits Page 6 of 9 are 1648 lb/day monthly average and 39901b/day daily maximum for BOD and 24291b/day monthly average and 58551b/day daily maximum for TSS. Document any TBELs that are more stringent than WQBELs: NA Document any TBELs that are less stringent than previous permit: NA 8. Antidegradation Review (New/Expanding Discharge): The objective of an antidegradation review is to ensure that a new or increased pollutant loading will not degrade water quality. Permitting actions for new or expanding discharges require an antidegradation review in accordance with 15A NCAC 2B.0201. Each applicant for a new/expanding NPDES permit must document an effort to consider non -discharge alternatives per 15A NCAC 2H.0105( c)(2). In all cases, existing instream water uses and the level of water quality necessary to protect the existing use is maintained and protected. If applicable, describe the results of the antidegradation review, including the Engineering Alternatives Analysis (EAA) and any water quality modeling results: NA 9. Antibacksliding Review: Sections 402(o)(2) and 303(d)(4) of the CWA and federal regulations at 40 CFR 122.44(1) prohibit backsliding of effluent limitations in NPDES permits. These provisions require effluent limitations in a reissued permit to be as stringent as those in the previous permit, with some exceptions where limitations may be relaxed (e.g., based on new information, increases in production may warrant less stringent TBEL limits, or WQBELs may be less stringent based on updated RPA or dilution). Are any effluent limitations less stringent than previous permit (YES/NO): Yes If YES, confirm that antibacksliding provisions are not violated: Based on RPA, no monitoring will be required for Total Zinc. 10. Monitoring Requirements Monitoring frequencies for NPDES permitting are established in accordance with the following regulations and guidance: 1) State Regulation for Surface Water Monitoring, 15A NCAC 2B.0500; 2) NPDES Guidance, Monitoring Frequency for Toxic Substances (7/15/2010 Memo); 3) NPDES Guidance, Reduced Monitoring Frequencies for Facilities with Superior Compliance (10/22/2012 Memo); 4) Best Professional Judgement (BPJ). Per US EPA (Interim Guidance, 1996), monitoring requirements are not considered effluent limitations under Section 402(o) of the Clean Water Act, and therefore anti - backsliding prohibitions would not be triggered by reductions in monitoring frequencies. For instream monitoring, refer to Section 4. Page 7 of 9 11. Electronic Reporting Requirements The US EPA NPDES Electronic Reporting Rule was finalized on December 21, 2015. Effective December 21, 2016, NPDES regulated facilities are required to submit Discharge Monitoring Reports (DMRs) electronically. Effective December 21, 2020, NPDES regulated facilities will be required to submit additional NPDES reports electronically. This permit contains the requirements for electronic reporting, consistent with Federal requirements. 12.Summary of Proposed Permitting Actions: A. Table 4. Current Permit Conditions and Proposed Changes 5.2 MGD Parameter Current Permit Proposed Change Basis for Condition/Change Flow MA 5.2 MGD No change 15A NCAC 2B .0505 BOD5 MA 1,648 lbs/d DM 3,990 lbs/d No change Based on 2003 BPJ TSS MA 2,429 lbs/d DM 5,855 lbs/d No change Based on 2003 BPJ NH;-N Weekly No change WQBEL. Based on protection of State WQ criteria (WLA). 15A NCAC 2B.0200 DO Daily No changc WQBEL. State WQ standard, 15A NCAC 2B.0200 Temperature Daily No change WQBEL. State WQ standard, 15A NCAC 2B.0200 pH 6 — 9 SU No change WQBEL. State WQ standard, 15A NCAC 2B.0200 Total Zinc Monthly Remove monitoring No reasonable potential (RP) found in RPA Total Nitrogen Monitor Only - Monthly No change WQBEL. State WQ standard, 15A NCAC 2B.0200 Total Phosphorus Monitor Only - Monthly No change WQBEL. State WQ standard, 15A NCAC 2B.0200 Toxicity Test Chronic limit, 2.1 % effluent No change WQBEL. No toxics in toxic amounts. 15A NCAC 2B.0200 Electronic Reporting No requirement Add Electronic Reporting Special Condition In accordance with EPA Electronic Reporting Rule 2015. MGD — Million gallons per day, MA - Monthly Average, WA — Weekly Average, DM — Daily Max Page 8 of 9 13. Public Notice Schedule: Permit to Public Notice: 05/29/2018 Per 15A NCAC 2H .0109 & .0111, The Division will receive comments for a period of 30 days following the publication date of the public notice. Any request for a public hearing shall be submitted to the Director within the 30 days comment period indicating the interest of the party filing such request and the reasons why a hearing is warranted. 14. Fact Sheet Addendum (if applicable): Were there any changes made since the Draft Permit was public noticed (Yes/No): Yes If Yes, list changes and their basis below: Winston-Salem regional Office (WSRO) did make a comment on the draft renewal permit due to the fact that the facility has been unoccupied for more than 1.5 years and it requires significant maintenance prior to any future discharge. WSRO requested to add a condition that pre -startup inspection be conducted before restarting the discharge. In response, the following text has been added to the Supplement to Permit Cover Sheet: "At the time of this permit renewal, the facility has been unoccupied for more than a year and a half. The wastewater system is not operational, and will require significant maintenance prior to any future discharge. The permittee shall notify the NC DEQ Winston-Salem Regional Office (WSRO) at least 30 days prior to any planned restart of this treatment facility. WSRO staff approval is required prior to any future discharge from this system." 15. Fact Sheet Attachments (if applicable): • RPA Spreadsheet Summary • Dissolved Metals Implementation/Freshwater or Saltwater Page 9 of 9 Permit No. NC0029980 NPDES Implementation of Instream Dissolved Metals Standards - Freshwater Standards The NC 2007-2015 Water Quality Standard (WQS) Triennial Review was approved by the NC Environmental Management Commission (EMC) on November 13, 2014. The US EPA subsequently approved the WQS revisions on April 6, 2016, with some exceptions. Therefore, metal limits in draft permits out to public notice after April 6, 2016 must be calculated to protect the new standards - as approved. Table 1. NC Dissolved Metals Water Quality Standards/AcLuatic Life Protection Parameter Acute FW, µg/l (Dissolved) Chronic FW, µg/1 (Dissolved) Acute SW, µg/1 (Dissolved) Chronic SW, µg/1 (Dissolved) Arsenic 340 150 69 36 Beryllium 65 6.5 --- --- Cadmium Calculation Calculation 40 8.8 Chromium III Calculation Calculation --- --- Chromium VI 16 11 1100 50 Copper Calculation Calculation 4.8 3.1 Lead Calculation Calculation 210 8.1 Nickel Calculation Calculation 74 8.2 Silver Calculation 0.06 1.9 0.1 Zinc Calculation Calculation 90 81 Table 1 Notes: 1. FW= Freshwater, SW= Saltwater 2. Calculation = Hardness dependent standard 3. Only the aquatic life standards listed above are expressed in dissolved form. Aquatic life standards for Mercury and selenium are still expressed as Total Recoverable Metals due to bioaccumulative concerns (as are all human health standards for all metals). It is still necessary to evaluate total recoverable aquatic life and human health standards listed in 15A NCAC 2B.0200 (e.g., arsenic at 10 µg/1 for human health protection; cyanide at 5 µg/L and fluoride at 1.8 mg/L for aquatic life protection). Table 2. Dissolved Freshwater Standards for Hardness -Dependent Metals The Water Effects Ratio (WER) is equal to one unless determined otherwise under 15A NCAC 02B .0211 Subparagraph (11)(d) Metal NC Dissolved Standard, µg/I Cadmium, Acute WER* { 1.136672-[ln hardness](0.041838)} • e^{0.9151 [ln hardness]-3.1485} Cadmium, Acute Trout waters WER* { 1.136672-[ln hardness](0.041838)} • e^{0.9151 [ln hardness]-3.6236} Cadmium, Chronic WER* { 1.101672-[In hardness](0.041838)) • e^{0.7998[In hardness]-4.4451 } Chromium III, Acute WER*0.316 • e^{0.8190[In hardness]+3.7256} Chromium III, Chronic WER*0.860 • e^{0.8190[In hardness]+0.6848} Copper, Acute WER*0.960 • e^{0.9422[In hardness]-1.700} Copper, Chronic WER*0.960 • e^{0.8545[ln hardness]-1.702} Lead, Acute WER*{1.46203-[In hardness](0.145712)} • e^{1.273[In hardness]-1.460} Lead, Chronic WER* { 1.46203-[In hardness](0.145712) } • e^ { 1.273 [ln hardness]-4.705 } Nickel, Acute WER*0.998 • e^ {0.8460[In hardness]+2.255 ) Nickel, Chronic WER*0.997 • e^{0.8460[In hardness]+0.0584} Page 1 of 4 Permit No. NC0029980 Silver, Acute WER*0.85 • e^{1.72[1n hardness]-6.59} Silver, Chronic Not applicable Zinc, Acute WER*0.978 • e^{0.8473[In hardness]+0.884} Zinc, Chronic WER*0.986 • e^{0.8473[In hardness]+0.884} General Information on the Reasonable Potential Analysis (RPA) The RPA process itself did not change as the result of the new metals standards. However, application of the dissolved and hardness -dependent standards requires additional consideration in order to establish the numeric standard for each metal of concern of each individual discharge. The hardness -based standards require some knowledge of the effluent and instream (upstream) hardness and so must be calculated case -by -case for each discharge. Metals limits must be expressed as `total recoverable' metals in accordance with 40 CFR 122.45(c). The discharge -specific standards must be converted to the equivalent total values for use in the RPA calculations. We will generally rely on default translator values developed for each metal (more on that below), but it is also possible to consider case -specific translators developed in accordance with established methodology. RPA Permitting Guidance/WQBELs for Hardness -Dependent Metals - Freshwater The RPA is designed to predict the maximum likely effluent concentrations for each metal of concern, based on recent effluent data, and calculate the allowable effluent concentrations, based on applicable standards and the critical low -flow values for the receiving stream. If the maximum predicted value is greater than the maximum allowed value (chronic or acute), the discharge has reasonable potential to exceed the standard, which warrants a permit limit in most cases. If monitoring for a particular pollutant indicates that the pollutant is not present (i.e. consistently below detection level), then the Division may remove the monitoring requirement in the reissued permit. 1. To perform a RPA on the Freshwater hardness -dependent metals the Permit Writer compiles the following information: • Critical low flow of the receiving stream, 7Q10 (the spreadsheet automatically calculates the 1Q10 using the formula 1Q10 = 0.843 (s7Q10, cfs) 0993 • Effluent hardness and upstream hardness, site -specific data is preferred • Permitted flow • Receiving stream classification 2. In order to establish the numeric standard for each hardness -dependent metal of concern and for each individual discharge, the Permit Writer must first determine what effluent and instream (upstream) hardness values to use in the equations. The permit writer reviews DMR's, Effluent Pollutant Scans, and Toxicity Test results for any hardness data and contacts the Permittee to see if any additional data is available for instream hardness values, upstream of the discharge. If no hardness data is available, the permit writer may choose to do an initial evaluation using a default hardness of 25 mg/L (CaCO3 or (Ca + Mg)). Minimum and maximum limits on the hardness value used for water quality calculations are 25 mg/L and 400 mg/L, respectively. If the use of a default hardness value results in a hardness -dependent metal showing reasonable potential, the permit writer contacts the Permittee and requests 5 site -specific effluent and upstream hardness samples over a period of one week. The RPA is rerun using the new data. Page 2 of 4 Permit No. NC0029980 The overall hardness value used in the water quality calculations is calculated as follows: Combined Hardness (chronic) = (Permitted Flow, cfs *Avg. Effluent Hardness. mg/L) + (s7Q10, cfs *Avg. Upstream Hardness. mg/L) (Permitted Flow, cfs + s7Q10, cfs) The Combined Hardness for acute is the same but the calculation uses the 1Q10 flow. 3. The permit writer converts the numeric standard for each metal of concern to a total recoverable metal, using the EPA Default Partition Coefficients (DPCs) or site -specific translators, if any have been developed using federally approved methodology. EPA default partition coefficients or the "Fraction Dissolved" converts the value for dissolved metal at laboratory conditions to total recoverable metal at in -stream ambient conditions. This factor is calculated using the linear partition coefficients found in The Metals Translator: Guidance for Calculating a Total Recoverable Permit Limit from a Dissolved Criterion (EPA 823-B-96-007, June 1996) and the equation: Cdiss = 1 Ctotal 1 + { [K ,] [ss(i+a_J [10-] ) Where: ss = in -stream suspended solids concentration [mg/1], minimum of 10 mg/L used, and Kpo and a = constants that express the equilibrium relationship between dissolved and adsorbed forms of metals. A list of constants used for each hardness -dependent metal can also be found in the RPA program under a sheet labeled DPCs. 4. The numeric standard for each metal of concern is divided by the default partition coefficient (or site -specific translator) to obtain a Total Recoverable Metal at ambient conditions. In some cases, where an EPA default partition coefficient translator does not exist (ie. silver), the dissolved numeric standard for each metal of concern is divided by the EPA conversion factor to obtain a Total Recoverable Metal at ambient conditions. This method presumes that the metal is dissolved to the same extent as it was during EPA's criteria development for metals. For more information on conversion factors see the June, 1996 EPA Translator Guidance Document. 5. The RPA spreadsheet uses a mass balance equation to determine the total allowable concentration (permit limits) for each pollutant using the following equation: Ca = (s7Q10 + Qw) (Cwqs) — (s7Q10) (Cb) Qw Where: Ca = allowable effluent concentration (µg/L or mg/L) Cwqs = NC Water Quality Standard or federal criteria (µg/L or mg/L) Cb = background concentration: assume zero for all toxicants except NH3* (µg/L or mg/L) Qw = permitted effluent flow (cfs, match s7Q10) s7Q10 = summer low flow used to protect aquatic life from chronic toxicity and human health through the consumption of water, fish, and shellfish from noncarcinogens (cfs) * Discussions are on -going with EPA on how best to address background concentrations Flows other than s7Q10 may be incorporated as applicable: 1Q10 = used in the equation to protect aquatic life from acute toxicity Page 3 of 4 Permit No. NC0029980 QA = used in the equation to protect human health through the consumption of water, fish, and shellfish from carcinogens 30Q2 = used in the equation to protect aesthetic quality 6. The permit writer enters the most recent 2-3 years of effluent data for each pollutant of concern. Data entered must have been taken within four and one-half years prior to the date of the permit application (40 CFR 122.21). The RPA spreadsheet estimates the 95th percentile upper concentration of each pollutant. The Predicted Max concentrations are compared to the Total allowable concentrations to determine if a permit limit is necessary. If the predicted max exceeds the acute or chronic Total allowable concentrations, the discharge is considered to show reasonable potential to violate the water quality standard, and a permit limit (Total allowable concentration) is included in the permit in accordance with the U.S. EPA Technical Support Document for Water Quality -Based Toxics Control published in 1991. 7. When appropriate, permit writers develop facility specific compliance schedules in accordance with the EPA Headquarters Memo dated May 10, 2007 from James Hanlon to Alexis Strauss on 40 CFR 122.47 Compliance Schedule Requirements. 8. The Total Chromium NC WQS was removed and replaced with trivalent chromium and hexavalent chromium Water Quality Standards. As a cost savings measure, total chromium data results may be used as a conservative surrogate in cases where there are no analytical results based on chromium III or VI. In these cases, the projected maximum concentration (95th %) for total chromium will be compared against water quality standards for chromium III and chromium VI. 9. Effluent hardness sampling and instream hardness sampling, upstream of the discharge, are inserted into all permits with facilities monitoring for hardness -dependent metals to ensure the accuracy of the permit limits and to build a more robust hardness dataset. 10. Hardness and flow values used in the Reasonable Potential Analysis for this vermit included: Parameter Value Comments (Data Source) Average Effluent Hardness (mg/L) [Total as, CaCO3 or (Ca+Mg)] 25.0 Default Value with no Data Average Upstream Hardness (mg/L) [Total as, CaCO3 or (Ca+Mg)] 25.0 Default Value with no Data 7Q10 summer (cfs) 369.0 NPDES files, BIMS 1 Q 10 (cfs) 298.46 Calculated from 7Q10 summer Permitted Flow (MGD) 5.2 NPDES files, BIMS Date: 5/17/2018 Permit Writer: Qais Banihani Page 4 of 4 Freshwater RPA - 95% Probability/95% Confidence Using Metal Translators MAXIMUM DATA POINTS = 58 REQUIRED DATA ENTRY Table 1. Project Information Facility Name WWTP/WTP Class NPDES Permit O utfal l Flow, Qw (MGD) Receiving Stream HUC Number Stream Class ❑Apply WS Hardness WQC 7Q10s (cfs) 7Q10w (cfs) 30Q2 (cfs) QA (cfs) 1010s (cfs) ['CHECK IF HQW OR ORW WQS MillerCoors LLC IV NC0029980 001 5.200 Dan River 03010103 369.00 608.00 738.00 1648.00 298.46 Effluent Hardness 25 mg/L (Avg) Upstream Hardness 25 mg/L (Avg) Combined Hardness Chronic 25 mg/L Combined Hardness Acute 25 mg/L Data Source(s) ECHECK TO APPLY MODEL Table 2. Parameters of Concern Par01 Par02 Par03 Par04 Par05 ParO6 Par07 Par08 Par09 Par10 Par11 Par12 Par13 Par14 Par15 Par16 Par17 Par18 Par19 Par20 Par21 Par22 Par23 Par24 Name WC/5 Type Chronic Modifier Acute PQL Units Arsenic Aquartmc Life C 150 FW 340 ug/L Arsenic H""'a" f l`a0ti Walnr Supply C 10 FIH/WS N/A ug/L Beryllium Aquatic I.te NC 6.5 FW 65 ugiL Cadmium Aquatic Lite NC 0.5899 FW 3.2396 ug/L Chlorides Aquatic Life NC 230 FW rnn1L 11 Chlorinated Phenolic Compounds Water Supply NC 1 A ug/L I. Total Phenolic Compounds Aquatic H,> NC 300 A ug/L Chromium III Aquatic Life NC 117.7325 FW 905.0818 ug/L Chromium VI Aquatic Life NC 11 FW 16 pg/L Chromium, Total Aquatic Life NC N/A FW N/A pg/L Copper Aquatic Life NC 7.8806 FW 10.4720 ug/L Cyanide Aquatic Lite NC 5 FW 22 10 ug/L Fluoride Aquatic Life NC 1.800 FW ug/L Lead Aquatic Life NC 2.9416 FW 75.4871 ug/L Mercury Aauatic Life NC 12 FVV 0.5 Molybdenum Human Hcaltn NC 2000 HI-1 ug/L Nickel Aquatic Life NC 37.2313 FW 335.2087 pg/L Nickel Water Supply NC 25.0000 WS N/A pg/L Selenium Aquater. Lae NC 5 FW 56 ug/L Silver Aquatic Life NC 0.06 FW 0.2964 ug/L Zinc Aquatic Life NC 126.7335 FW 125.7052 ug/L RPA_MillerCoors_NC0029980, input 5/15/2018 REASONABLE POTENTIAL ANALYSIS H1 Effluent Hardness Date Data BDL=1/2DL Results 1 25 25 Std Dev. 2 Mean 3 C.V. 4 n 5 10th Per value 6 Average Value 7 Max. Value 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 Use "PASTE SPECIAL. Values" then "COPY" . Maximum data points = 58 N/A 25.0000 0.0000 1 25.00 mg/L 25.00 mg/L 25.00 mg/L H2 Upstream Hardness Date Data BDL=1/2DL Results 1 25 25 Std Dev. 2 Mean 3 C.V. 4 n 5 10th Per value 6 Average Value 7 Max. Value 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 Use "PASTE SPECIAL. Values" then "COPY" . Maximum data points = 58 N/A 25.0000 0.0000 1 25.00 mg/L 25.00 mg/L 25.00 mg/L -1 - RPA_MillerCoors_NC0029980, data 5/15/2018 REASONABLE POTENTIAL ANALYSIS Par21 Zinc Date Data BDL=1/2DL Results 1 1/7/2014 35 35 Std Dev. 2 2/4/2014 76 76 Mean 3 3/4/2014 101 101 C.V. 4 4/1/2014 59 59 n 5 5/6/2014 35 35 6 6/3/2014 54 54 Mult Factor = 7 7/1/2014 38 38 Max. Value 8 8/5/2014 18 18 Max. Pred Cw 9 9/2/2014 31 31 10 1017/2014 76 76 11 11/4/2014 39 39 12 12/2/2014 82 82 13 1/6/2015 67 67 14 2/3/2015 50 50 15 3/3/2015 113 113 16 4/7/2015 56 56 17 5/5/2015 80 80 18 6/2/2015 57 57 19 7/7/2015 73 73 20 8/4/2015 770 770 21 9/1/2015 34 34 22 10/6/2015 84 84 23 11/3/2015 85 85 24 12/1/2015 35 35 25 1/5/2016 53 53 26 2/2/2016 25 25 27 3/1/2016 31 31 28 4/5/2016 34 34 29 5/3/2016 70 70 30 6/7/2016 39 39 31 7/12/2016 34 34 32 8/2/2016 56 56 33 9/6/2016 65 65 34 10/12/2016 87 87 35 11 /2/2016 169 169 36 12/7/2016 1050 1050 37 1/4/2017 225 225 38 2/8/2017 256 256 39 3/8/2017 256 256 40 4/5/2017 137 137 Use "PASTE SPECIAL Values" then "COPY" . Maximum data points = 5R 195.3358 118.3750 1.6501 40 1.24 1050.0 ug/L 1302.0 ug/L - 2 - RPA_MillerCoors_NC0029980, data 5/15/2018 `MillerCoors LLC NC0029980 Freshwater RPA - 95% Probability/95% Confidence Using Metal Translators MAXIMUM DATA POINTS = 58 Qw (MGD) = 5.2000 1Q10S(cfs)= 298.46 7Q1OS (cfs) = 369.00 7QIOW (cfs)= 608.00 30Q2 (cfs) = 738.00 Avg. Stream Flow, QA (cfs) = 1648.00 Receiving Stream: Dan River HUC 03010103 PARAMETER TYPE Zinc NC STANDARDS OR EPA CRITERIA Chronic Applied Standard Acute 126.7335 FW(7Q10s) 125.7052 J a a z WWTP/WTP Class: IV IWC% @ IQ10S = 2.629518465 IWC% @ 7Q1OS = 2.137590834 IWC%@ 7QIOW = 1.308314125 IWC%@ 30Q2 = 1.080342064 IW%C @ QA = 0.486697342 Stream Class: C Outfall 001 Qw=5.2MGD COMBINED HARDNESS (mg/L) Acute = 25 mg/L Chronic = 25 mg/L REASONABLE POTENTIAL RESULTS n # Dct. Max Pred Cw Allowable Cw 40 40 1,302.0 RECOMMENDED ACTION Acute: 4,780.5 No RP, Predicted Max < 50% of Allowable Cw - No _ _ Monitoring required Chronic: 5,928.8 No RP, Predicted Max < 50% of Allowable Cw - No No vain!, Allowable Cw Monitoring required Page 1 of 1 RPA_MillerCoors_NC0029980, rpa 5/15/2018 Date: 5/15/2018 Dissolved to Total Metal Calculator Do NOT enter any data directly into thls spreadsheet. Enter data onto "Table 1" under the Input Sheet and enter "Effluent Hardness" under the Data Sheet. In accordance with 40 CFR 122.45 (c ), permits are, have and must be written as total metals. This calculator has been inserted into the RPA to calculate Total Metal allowable allocations once Table 1 has been completed (Input Sheet) and Effluent hardness has been entered (Data Sheet). 1) Following the spreadsheet from left to right. First the allowable allocations for the dissolved metals will appear for all the metals listed once Table 1 is complete and effluent hardness entered. Use a default value of 25 mg/L if no hardness data is available. Second, the Dissolved Metal allocations are divided by the Translators to determine the Total Metals that can be allocated to the Permittee. These Total Metals values are automatically inserted into Table 2 and are the allowable Total Metal allocations determined for the Permittee prior to allowing for dilution. See Input sheet Table 2. The final acute and chronic values shown under the RPA sheet are the Total Metal values listed in Table 2 divided by the acute and chronic IWC, respectively. 2) The Translators used in the freshwater RPA are the Partition Coefficients published by US EPA in 1984. They are TSS dependent equations and can be found listed with the WQS hardness dependent equations under the sheet labeled Equations. A fixed TSS value of 10 mg/L is used to calculate the Translator values. 3) Pretreatment Facilities- PERCS will need a copy of the Dissolved to Total Metal Calculator spreadsheet and the RPA sheet along with the Final Permit. Pretreatment Facilities are required to renew their Headwords Analysis after renewal of their permits. Since all their metal allocations are likely to change PERCS needs to see any new metal permit limits and the allowable allocations for the dissolved metals to assess Maximum Allowable Headworks Loading (MAHL) numbers for each metal based on the Combined Hardness values used in the permit writers RPA calculations. 4) For Cadmium, Lead, Nickel, Chromium and Beryllium, if all the effluent sampling data for the last three to five years shows the pollutant at concentrations less than the Practical Quantitative Level (PQL), it is not likely a limit or monitoring will be put in the permit. However, if the estimated NPDES permit limit is less than the Practical Quantitative Limit (particularly, Cadmium and Lead) and the pollutant is believed to be present, to assess compliance with the new standards and for future pen -nit limit development, monitoring for the pollutant will be required. If the facility is monitoring for the pollutant in its Pretreatment LTMP, no monitoring is needed in the permit. 5) For monitoring and compliance purposes If Total Chromium FACILITY: MIIIerCoors LLC _ .. NPDES PERMIT: NC0029980 Dissolved to Total Metal Calculator accordance with Fedora! Regulations. permit iuuu.ui0ns must be written as Total Metals per 40 CFR I22.45(c) Recekesi Strum Receiving Stream Rec. Stream 1010 WOOL NPDE5 Flow LIrN! (rac01 Total Suspended Sasds .Flied Value -chronic OnsiLl Centlnsd Hexane s (m04) Combined an Acute (mt0A1 autumn weele•emer OaWron et (Cuamese) mean Wwle.W* LPn nbNroeeYsere Anne. tread Emwre Hard...summerf 1•'11 TOIO(CF8) surmise7010 (M00) (era 360.0080 2384045 102.5548 5.2000 10 25.060 25,000 2 1378 2.E205 25 ) 25 1 pslroem Hwd Avg (1.9/1) = 25 EFF Hard Avg (rrglL) = 25 PARAMETER Cadmlum (d) Cd -Trout steams Chromium 18 (d�J_ Chromium VI [di Chromium, Total!) leaadd(d Ld h2 _ xh) Nickel d NI • WS strssms (1) Silver (d�hAcu4)_ Zinc (dXh) uaotwd Metals crlt.rla eher epptylnp herdrrse equation Crowds fua41 0.15 0.15 24 Amer, legal 0.82 0.51 183 US hHA Trsrwletors using Dann Pennon Coefficients (streams) 11 18 2.7 3.8 0.54 14 18 145 0.06 0.30 0.252 TOW led Geer% Tad Meal• 00e4or Mehl-Tr..e.a Clwo ie AM, kwtl AM' 0.50 0.50 0202 117.73 1.000 11.00 WA 0.348 7.88 10.47 0.184 2.04 75.40 0.432 3723 335.21 25 WA 0.252 1.000 38 30 0 280 3.24 201 905.08 16.00 N/A (1001 0.30 120.73 125.71 Beryllium Arsenic (d) 0.5 150 05 340 1 000 1.000 6.6 150 65 340 commenTS (rdseoly parameters m PERCS Butch 10 rnexuakl n fa0etya LIMP/STMP), (d) . dhsol, cd metal standard. See ISA NCAC 0218 .0211 for more Information (h) • hardness.dependent dissolved metal standard. See t5A NCAC 028.0211 (or more Information (t) • based upon measurement of total moveable metal. Sec 15A NCAC 020 D211 for more Information The Human Health standard for Nkkel In Water Supply Streams Is 25 mg/L which Is Total Reeoverabk metal standard. The Human Health standard for Arsenic Is 10 pg/L which Is Total Recovenrble metal standard. ACAH 25 ACCH 25 NH3/TRC WLA Calculations Facility: MillerCoors PermitNo. NC0029980 Prepared By: Qais Banihani Enter Design Flow (MGD): Enter s7Q10 (cfs): Enter w7Q10 (cfs): 5.2 369 608 Total Residual Chlorine (TRC) Daily Maximum Limit (ug/l) s7Q10 (CFS) DESIGN FLOW (MGD) DESIGN FLOW (CFS) STREAM STD (UG/L) Upstream Bkgd (ug/l) IWC (%) Allowable Conc. (ug/I) e res no Fecal Coliform Monthly Average Limit: (If DF >331; Monitor) (If DF<331; Limit) Dilution Factor (DF) 369 5.2 8.06 17.0 0 2.14 795 hl��'i ri7-ti,�1 Ammonia (Summer) Monthly Average Limit (mg NH3-N/l) s7Q10 (CFS) 369 DESIGN FLOW (MGD) 5.2 DESIGN FLOW (CFS) 8.06 STREAM STD (MG/L) 1.0 Upstream Bkgd (mg/I) 0.22 IWC (%) 2.14 Allowable Conc. (mg/I) 36.7 7 3 5 Week 1 Lo n c . Ammonia (Winter) Monthly Average Limit (mg NH3-N/l o w7Q10 (CFS) 608 200/100m1 DESIGN FLOW (MGD) 5.2 DESIGN FLOW (CFS) 8.06 STREAM STD (MG/L) 1.8 46.78 Upstream Bkgd (mg/1) 0.22 IWC (%) 1.31 Allowable Conc. (mg/I) 121.0> 35 Nee lc t ronc. Total Residual Chlorine 1. Cap Daily Max limit at 28 ug/l to protect for acute toxicity Ammonia (as NH3-N) 1. If Allowable Conc > 35 mg/I, Monitor Only 2. Monthly Avg limit x 3 = Weekly Avg limit (Municipals) 3. Monthly Avg limit x 5 = Daily Max limit (Non-Munis) If the allowable ammonia concentration is > 35 mg/L, no limit shall be imposed Fecal Coliform 1. Monthly Avg limit x 2 = 400/100 ml = Weekly Avg limit (Municipals) = Daily Max limit (Non -Muni) Banihani, Qais From: Sent: To: Subject: Meadows, Susan Tuesday, May 15, 2018 9:06 AM Banihani, Qais RE: toxicity results for MillerCoors No, here are more. Do you need copies of all the AT Forms? Test Results NPDES NC0029980/001 :NC0029980/001 NCd029980/001 NC0029980/001 NC0029980/001 NC0029980/001 NC0029980/001 NC0029980/001 NC0029980/001 NC0029980/001 NC0029980/001 NC0029980/001 NC0029980/001 NC0029980/001 NC0029980/001 NC0029980/001 Test Date 2/11/2013 11/12/2012 8/6/2012 5/2/2012 2/6/2012 11/7/2011 8/8/2011 5/9/2011 2/7/2011 11/8/2010 8/16/2010 5/10/2010 2J8/2010 11/9/2009 8/10/2009 5/11/2009 Susan Meadows Environmental Biologist Aquatic Toxicology Branch DWR/Water Sciences Section Department of Environmental Quality tel: (919) 743-8439 fax: (919) 743-8517 susan.meadows@ncdenr.gov 4401 Reedy Creek Road Raleigh, NC 27607 .i Ttype Cen7dPF Cen7dPF Ceri7dPF Cen7dPF Ceri7dPF Ceri7dPF Ceri7dPF Ceri7dPF Ceri7dPF Ceri7dPF Ceri7dPF Ceri7dPF Ceri7dPF Cer7dPF Ceri7dPF Cen7dPF Testing Months: IFeb May Aug Nov Result . Pass' Pass Pass Pass Pass Pass Pass Pass Pass Pass Pass Pass Pass Pass Pass Pass Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties. From: Banihani, Qais Sent: Tuesday, May 15, 2018 9:02 AM To: Meadows, Susan <susan.meadows@ncdenr.gov> Subject: RE: toxicity results for MillerCoors LabNum 27 27 27 27 27 27 27 27 27 27 27 27 27 27 27 27 Compliance C C C C C C C C C C C C C C C C Number . 694642 687818 687667 687534 687382 687216 687055 686918 686770 686624 686458 686309 686170 686012 685871 685715 1 Good morning Susan, That's totally true. The final flow cessation was April 2017 and they are trying to sell the facility. However, they want to retain their permit since it is going to be a selling point. In order to renew their permit I need to have their toxicity test results since 2013. Are those all the results that you have? I would appreciate if you send me all the results since 2013. Qais Banihani Environmental Engineer NPDES Complex Permitting NC DEQ / Division of Water Resources / Water Quality Permitting 919 807 6396 office gais.banihani@ncdenr.gov Physical Address: 512 North Salisbury St.,Raleigh, NC, 27604 Mailing Address: 1617 Mail Service Center, Raleigh, NC, 27699-1617 F,nvfrwnmen taI Qucilit y From: Meadows, Susan Sent: Tuesday, May 15, 2018 8:42 AM To: Banihani, Qais <gais.banihani(a)ncdenr.gov> Subject: RE: toxicity results for MillerCoors Hi Qais, I was told by the Regional Office that it had officially shutdown in April of last year. Was that incorrect or are they starting up operations again? Here is a list of their aquatic tox results. 2 f Test Results Testina Months: LFeb May Aug Nov L NPDES Test Date .1 ' Ttype . ' Result . LabNum . ' Compliance . Number N00029980/001 2/13/2017 Ceri7dPF Pass 27 C 705450 j NC00299801001 11/15/2016 Cen7dPF Pass 27 C 704683 N00029980/001 8/8/2016 Ceri7dPF Pass 27 C 703967 NC0029980/001 5/10/2016 Ceri7dPF Pass' 27 C 703295 NC0029980/001 2/8/2016 Ceri7dPF Pass 27 C 702590 NC0029980/001 11/9/2015 Cen7dPF Pass 27 C 701956 NC0029980/001 8/10/2015 Ceri7dPF Pass 27 C 701360 NC0029980/001 5/18/2015 Cen7dPF Pass 27 C 700672 NC0029980/001 2/9/2015 Ceri7dPF Pass 27 C 700012 NC0029980/001 11/3/2014 Cer7dPF Pass' 27 C 699466 NC0029980/001 8/4/2014 Ceri7dPF Pass' 27 C 698741 NC0029980/001 5/5/2014 Cen7dPF Pass 27 C 698046 NC0029980/001 2J10/2014 Cen7dPF Pass 27 C 697325 NC0029980/001 11/11/2013 Cen7dPF Pass 27 C 696644 NC0029980/001 8/19/2013 Ceri7dPF Pass 27 C 695949 NC0029980/001 5/13/2013 Ceri7dPF Pass 27 C 695225 Record: 14 4 .16 of 97 ► ►I ► I 'e. Unfiltered ! 'Search 4/2017- Shutdown Officially, SPM. Susan Meadows Environmental Biologist Aquatic Toxicology Branch DWR/Water Sciences Section Department of Environmental Quality tel: (919) 743-8439 fax: (919) 743-8517 susan.meadows@ncdenr.gov 4401 Reedy Creek Road Raleigh, NC 27607 Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties. From: Banihani, Qais Sent: Monday, May 14, 2018 4:31 PM To: Meadows, Susan <susan.meadows@ncdenr.gov> Subject: RE: toxicity results for MillerCoors Hi Susan, I am currently working on MillerCoors Permit (NC0029980) and for some reason couldn't find any toxicity test results in the PDF that you sent. However, they submitted a hard copy of some of their toxicity results. If you have a summary of their results, I would appreciate if you email them to me. Qais Banihani 3 Environmental Engineer NPDES Complex Permitting NC DEQ/ Division of Water Resources / Water Quality Permitting 919 807 6396 office cois.banihaniPncdenr.gov Physical Address: 512 North Salisbury St.,Raleigh, NC, 27604 Mailing Address: 1617 Mail Service Center, Raleigh, NC, 27699-1617 AM Environmental Quality From: Meadows, Susan Sent: Tuesday, April 24, 2018 9:47 AM To: Banihani, Qais <gais.banihani@ncdenr.gov> Subject: RE: 2nd species toxicity results Here you go. Let me know if you need anything else! Susie Susan Meadows Environmental Biologist Aquatic Toxicology Branch DWR/Water Sciences Section Department of Environmental Quality tel: (919) 743-8439 fax: (919) 743-8517 susan.meadows@ncdenr.gov 4401 Reedy Creek Road Raleigh, NC 27607 Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties. From: Banihani, Qais Sent: Tuesday, April 24, 2018 8:02 AM To: Meadows, Susan <susan.meadows@ncdenr.gov> Subject: 2nd species toxicity results Good morning Susan, Hope you are enjoying this rainy morning! 4 I am wondering if you have the results of 2"d species toxicity test for Raeford WWTP (NC0026514) which was done on 5/9/2012. The PDF you sent covers 2014 through 2018. If so, could you please email me a copy of the results. Have a great day, Qais Banihani Environmental Engineer NPDES Complex Permitting NC DEQ / Division of Water Resources / Water Quality Permitting 919 807 6396 office gais.banihani@ncdenr.gov Physical Address: 512 North Salisbury St.,Raleigh, NC, 27604 Mailing Address: 1617 Mail Service Center, Raleigh, NC, 27699-1617 Environmental Quallr y 5 Rockingham Now Advertising Affidavit 1921 Vance Street Reidsville, NC 27320 (336) 627.1781 Fax: (336) 342.2513 NCDEQ-DIVISION OF WATER RESOURCES 1617 MAIL SERVICE CENTER RALEIGH, NC 27699-1617 Account Number 4019534 Date June 03, 2018 PO Number Order Category Description MILLER COORS 0000468893 Public Notice North Carolina Environmental Management Commission/ NPDES Unit 1617 Mail Service Center Raleigh, NC 27699-1617 Notice of Intent to Issue a NPDES Wastewater Legal Notices Public Notice North Carolina Environmental Management Commission/ NPDES Unit 1617 Mt The North Carolina Environmental Management Commission proposes to issue a NPDES wastewater dis- charge permit to the person(s) listed below. Written comments regarding the proposed permit will be accept- ed until 30 days after the publish date of this notice. The Director of the NC Division of Water Resources (DWR) may hold a public hearing should there be a significant degree of public interest. Please mail com- ments and/or information requests to DWR at the above address. Inter- ested persons may visit the DWR at 512 N. Salisbury Street, Raleigh, NC to review information on file. Addi- tional information on NPDES permits and this notice may be found on our website: http://deq.nc.gov/about/di visions/water-resources/water- resou rces-permits/w astewater- branch/n pdes-wastewater/public- notices,or by calling (919) 807.6397. MillerCoors, LLC, requested renewal of permit NC0029980 for the Milier- Coors WWTP in Rockingham County, this facility discharge is treated in- dustrial wastewater Dan River, Roa- noke River Basin. Publisher of the Rockingham Now Before the undersigned. a Notary Public of Guilford, North Carolina, duly commissioned, qualified, and authorized by law to administer oaths, personally appeared the Publisher Representative who by being duly sworn deposes and says: that he/she is the Publisher's Representative of the Rockingham Now. engaged in the publishing of a newspaper known as Rockingham Now, published. issued and entered as second class mail in the City of Reidsville, in said County and State: that he/she is authorized to make this affidavit and sworn statement: that the notice or other legal advertisement, a copy of which is attached hereto, was published in the Rockingham Now on the following dates: 06/03/2018 and that the said newspaper in which such notice, paper document, or legal advertisement was published was, at the time of each and every such publication, a newspaper meeting all the requirements and qualifications of Section 1-597 of the General Statutes of North Carolina and was a qualified newspaper within the meaning of Section 1-597 of the General Statutes of North Carolina. sign ure of person rna affidavit) Sworn to and subscribed before me the 4 day of June, 2018 LEA ANNE LAMB NOTARY PUBLIC GUILFORD COUNTY, NC My Commission Expires 06-15-19 (Notary Public) THIS IS NOT A BILL. PLEASE PAY FROM INVOICE. THANK YOU Banihani, Qais From: Mitchell, Patrick Sent: Wednesday, May 16, 2018 3:15 PM To: Banihani, Qais Cc: DiMatteo, Paul Subject: RE: MillerCoors Permit Qa is, Yes, the lagoons (2 of them) were properly closed per the Division's Closure Policy. I did a closure inspection to confirm their report at that time. They chose to utilize the lagoon closure option of converting the two lagoons to freshwater ponds. All wastewater and sludge was removed. The rainwater that was present following the closure was tested to demonstrate no waste was contained. The old wastewater inlets were closed off. Only rainwater enters the structures now. They did this with hopes that someday the property would be purchased, and the new owners could go through the process to certify the lagoons back to receiving wastewater. I assume they are still wanting to keep the NPDES permit and modify it to zero discharge. Paul DiMatteo is handling the NPDES part up there now. Please let me know if you have any questions or need anything further on the closures. Thanks, Patrick Patrick L. Mitchell, REHS, LSS Soil Scientist Water Quality Regional Operations Section Division of Water Resources NC Department of Environmental Quality Phone: (336) 776-9698 Mobile: (336) 406-3928 Fax: (336) 776-9797 Winston-Salem Regional Office 450 W. Hanes Mill Road, Suite 300 Winston-Salem, NC 27105 Ivei• %Nothing Compares— 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 unless the content is exempt by statute or other regulation. From: Banihani, Qais Sent: Tuesday, May 15, 2018 5:46 PM 1 To: Mitchell, Patrick <Patrick.Mitchell@NCDENR.gov> Subject: MillerCoors Permit Hi Patrick, I am working on MillerCoors permit (NC0029980) and I would like to verify that the lagoon was properly closed and the facility received a lagoon closure inspection according to the letter that they submitted in June 2017. Thanks, Qais Banihani Environmental Engineer NPDES Complex Permitting NC DEQ / Division of Water Resources / Water Quality Permitting 919 807 6396 office qais.banihani@ncdenr.gov Physical Address: 512 North Salisbury St.,Raleigh, NC, 27604 Mailing Address: 1617 Mail Service Center, Raleigh, NC, 27699-1617 F:-nvir onmentci! Quu/it y 2 Banihani, Qais From: Meadows, Susan Sent: Tuesday, May 15, 2018 9:06 AM To: Banihani, Qais Subject: RE: toxicity results for MillerCoors No, here are more. Do you need copies of all the AT Forms? Test Results Testing Months: 1Feb May Aug Nov NPDES Test Date .1 Ttype . Result . LabNum . Compliance . Number NC0029980/001 2/11/2013 Ceri7dPF Pass 27 C 694642 NC0029980/001 11/12/2012 Cer►7dPF Pass 27 C 687818 NC0029980/001 8/6/2012 Cer7dPF Pass 27 C 687667 NC0029980/001 5/2/2012 Cer7dPF Pass 27 C 687534 NC0029980/001 2/6/2012 Ceri7dPF Pass 27 C 687382 NC0029980/001 11/7/2011 Ceri7dPF Pass 27 C 687216 NC0029980/001 8/8/2011 Cer7dPF Pass 27 C 687055 NC0029980/001 5/9/2011 Cer7dPF Pass 27 C 686918 NC0029980/001 2/7/2011 Ceri7dPF Pass 27 C 686770 NC0029980/001 11/8/2010 Cer7dPF Pass 27 C 686624 NC0029980/001 8/16./2010 Cer7dPF Pass 27 C 686458 NC0029980/001 5/10/2010 Cer7dPF Pass 27 C 686309 NC0029980/001 2/8/2010 Cer-i7dPF Pass 27 C 686170 NC0029980/001 11/9/2009 Ceri7dPF Pass 27 C 686012 NC0029980/001 8/10/2009 Ceri7dPF Pass 27 C 685871 NC0029980/001 5/11/2009 Ceri7dPF Pass 27 C 685715 Susan Meadows Environmental Biologist Aquatic Toxicology Branch DWR/Water Sciences Section Department of Environmental Quality tel: (919) 743-8439 fax: (919) 743-8517 susan.meadows@ncdenr.gov 4401 Reedy Creek Road Raleigh, NC 27607 Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties. From: Banihani, Qais Sent: Tuesday, May 15, 2018 9:02 AM To: Meadows, Susan <susan.meadows@ncdenr.gov> Subject: RE: toxicity results for MillerCoors 1 Good morning Susan, That's totally true. The final flow cessation was April 2017 and they are trying to sell the facility. However, they want to retain their permit since it is going to be a selling point. In order to renew their permit I need to have their toxicity test results since 2013. Are those all the results that you have? I would appreciate if you send me all the results since 2013. Qais Banihani Environmental Engineer NPDES Complex Permitting NC DEQ / Division of Water Resources / Water Quality Permitting 919 807 6396 office ciais.banihani@ncdenr.Rov Physical Address: 512 North Salisbury St.,Raleigh, NC, 27604 Mailing Address: 1617 Mail Service Center, Raleigh, NC, 27699-1617 INLM Environmental Quallt y From: Meadows, Susan Sent: Tuesday, May 15, 2018 8:42 AM To: Banihani, Qais <qais.banihani@ncdenr.gov> Subject: RE: toxicity results for MillerCoors Hi Qais, I was told by the Regional Office that it had officially shutdown in April of last year. Was that incorrect or are they starting up operations again? Here is a list of their aquatic tox results. 2 Test Results Testing Months: Feb May Aug Nov L NPDES Test Date .1 Ttype . Result . LabNum . Compliance . Number NC0029980/001 2/13/2017 Ceri7dPF Pass 27 C 705450 NC0029980/001 11/15/2016 Ceri7dPF Pass 27 C 704683 NC0029980/001 8/8/2016 Ceri7dPF Pass 27 C 703967 NC0029980/001 5/10/2016 Ceri7dPF Pass 27 C 703295 NC0029980/001 2/8/2016 Ceri7dPF Pass 27 C 702590 NC0029980/001 11/9/2015 Ceri7dPF Pass 27 C 701956 NC0029980/001 8/10/2015 Ceri7dPF Pass 27 C 701360 NC0029980/001 5/18/2015 Ceri7dPF Pass 27 C 700672 NC0029980/001 2/9/2015 Ceri7dPF Pass 27 C 700012 NC0029980/001 11/3/2014 Cer7dPF Pass 27 C 699466 NC0029980/001 8/4/2014 Ceri7dPF Pass 27 C 698741 NC0029980/001 5/5/2014 Cer7dPF Pass 27 C 698046 NC0029980/001 2/10/2014 Cer7dPF Pass 27 C 697325 NC0029980/001 11/11/2013 Ceri7dPF Pass 27 C 696644 NC0029980/001 8/19/2013 Ceri7dPF Pass 27 C 695949 NC0029980/001 5/13/2013 Ceri7dPF Pass 27 C 695225 Record: N 4 16 of 97 ► ►I ► T. Unfiltered Search 4/2017- Shutdown Officialty, SPM. Susan Meadows Environmental Biologist Aquatic Toxicology Branch DWR/Water Sciences Section Department of Environmental Quality tel: (919) 743-8439 fax: (919) 743-8517 susan.meadows@ncdenr.gov 4401 Reedy Creek Road Raleigh, NC 27607 Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties. From: Banihani, Qais Sent: Monday, May 14, 2018 4:31 PM To: Meadows, Susan <susan.meadows@ncdenr.gov> Subject: RE: toxicity results for MillerCoors Hi Susan, I am currently working on MillerCoors Permit (NC0029980) and for some reason couldn't find any toxicity test results in the PDF that you sent. However, they submitted a hard copy of some of their toxicity results. If you have a summary of their results, I would appreciate if you email them to me. Qais Banihani 3 Environmental Engineer NPDES Complex Permitting NC DEQ / Division of Water Resources / Water Quality Permitting 919 807 6396 office gais.banihani@ncdenr.Rov Physical Address: 512 North Salisbury St.,Raleigh, NC, 27604 Mailing Address: 1617 Mail Service Center, Raleigh, NC, 27699-1617 IM1Z Environmental Quullt y From: Meadows, Susan Sent: Tuesday, April 24, 2018 9:47 AM To: Banihani, Qais <gais.banihani@ncdenr.gov> Subject: RE: 2nd species toxicity results Here you go. Let me know if you need anything else! Susie Susan Meadows Environmental Biologist Aquatic Toxicology Branch DWR/Water Sciences Section Department of Environmental Quality tel: (919) 743-8439 fax: (919) 743-8517 susan.meadows@ncdenr.gov 4401 Reedy Creek Road Raleigh, NC 27607 Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties. From: Banihani, Qais Sent: Tuesday, April 24, 2018 8:02 AM To: Meadows, Susan <susan.meadows@ncdenr.gov> Subject: 2nd species toxicity results Good morning Susan, Hope you are enjoying this rainy morning! 4 I am wondering if you have the results of 2"d species toxicity test for Raeford WWTP (NC0026514) which was done on 5/9/2012. The PDF you sent covers 2014 through 2018. If so, could you please email me a copy of the results. Have a great day, Qais Banihani Environmental Engineer NPDES Complex Permitting NC DEQ / Division of Water Resources / Water Quality Permitting 919 807 6396 office gais.banihani@ncdenr.gov Physical Address: 512 North Salisbury St.,Raleigh, NC, 27604 Mailing Address: 1617 Mail Service Center, Raleigh, NC, 27699-1617 Environmental Quality 5 Water Resources ENVIRONMENTAL QUALITY JUNE 27, 2017 MEMORANDUM TO: Joe Corporon NPDES Unit FROM: George Smith, WSRO SUBJECT: Request for Inactivation MillerCoors WWTP NPDES Permit NC0029980 Rockingham County PAT MCCRORY DONALD R. VAN DER VAART k•, 'fa" S. JAY ZINIMERMAN RECEIVED/NCDEQIDWR JUN 3 0 2017 Water Quaiity Permitting Section See attached letter for request to inactivate the permit. If you have any question about the site please call Patrick Mitchell at 336-776-9698 State of North Carolina I Environmental Quality I Water Resources 450 West Hanes Mill Road, Sete 300, Winston-Salem, NC 27105 Phone 336.776 9800 1Interne) www nedenr goy MilierCoors• June 16, 2017 CERTIFIED Man RETURN RECEIPT REQUESTED rIQ f/' a ♦0 NC mental Qu Quality of .so Environmental JUN 2 7 2017 Winston-Salem Regional Office Ms. Sherry Knight Environmental Regional Supervisor North Carolina Department of Environmental Quality Winston-Salem Regional Office Division of Water Resources - Water Quality Regional Operations Section 450 Hanes Mill Road, Suite 300 Winston-Salem, NC 27105 Re: Request for Inactive Status of Permit No. NC0029980 MillerCoors LLC - Eden Brewery 863 East Meadow Road, Eden, NC 27288 Dear Ms. Knight RECEIVEDINCDEQIDWR JUN 3 0 2017 Water Quality Permitting Section MillerCoors LLC (MillerCoors) is pleased to provide this submittal to the North Carolina Department of Environmental Quality (NCDEQ) concerning a change in status at the MillerCoors Eden Brewery located at 863 East Meadow Road in Eden, North Carolina. Specifically, this letter is to serve as a request to place the facility's current National Pollutant Discharge Elimination System (NPDES) discharge permit (Permit No. NC0029980) into an "inactive" status as a result of facility closure. It should be noted that the MillerCoors Eden Brewery facility ceased all manufacturing in September 2016. Facility structures and process equipment were gradually decommissioned and cleaned by facility closure, April 2017. To conclude the facility closure, operations at the facility wastewater treatment plant were ultimately terminated, including the acceptance and processing of all influent from the facility and the discharge of effluent out of the facility as of April 30, 2017. Subsequently, the facility received a final lagoon closure inspection and formal response dated March 2, 2017 in which the NCDEQ considered the lagoon system as having been "properly closed." Based on the completed r, facility closure and prior discussions with the NCDEQ regarding foreseen uses of the NPDES permit by future potential occupants, MillerCoors is requesting to retain the facility NPDES permit, however in an "inactive" state. This request is submitted to NCDEQ for immediate consideration as of the final flow cessation date of April 30, 2017. Should you have any questions, please do not hesitate to contact me at (336) 627-2502 or via e-mail at Michael.Lozano@MillerCoors.com. Sincerelyt Mike Lozano Senior Utilities Project Engineer/ Site Representative cc: Patrick Mitchell (NCDEQ-WRO) Audrey Templeton (MillerCoors LLC - Milwaukee, WI) Eli Holland (ONE Environmenal Group, LLC) Mil lerCoors Ms. Wren Thedford North Carolina Department of Environmental Quality Division of Water Resources-NPDES Unit 1617 Mail Services Center Raleigh, NC 27699-1617 Re: Renewal Application for Permit No. NCOD29980 MillerCoors LLC - Eden Brewery 863 East Meadow Road, Eden, NC 27288 Dear Ms. Thedford: 863 E. MEADOW ROAD EDEN, NC 27288-3636 336.627.2100 www.MillerCoors.com October 27, 2016 RECEIVEDr lCrE rWR OCT 28 i^Jater Liiu';ty Permitting Section MillerCoors, LLC (MillerCoors) is pleased to submit to the North Carolina Department of Environmental Quality (NCDEQ) a renewal application package for the current National Pollutant Discharge Elimination System discharge permit (Permit No. NC0029980). Enclosed is one (1) signed original copy and two (2) copies of the application. It should be noted that the MillerCoors - Eden Brewery has ceased all manufacturing effective September 2016. MillerCoors is currently implementing facility closure work and plans to complete closure by March 31, 2017. Consequently, the discharge of processed wastewater will not be expected to continue beyond this closure date and a notice of termination will be provided 90 days prior to permanent closure. However, MillerCoors has decided to submit this application in the event that closure activities are delayed past April 30, 2017. Should you have any questions, please do not hesitate to contact me at (336) 627-2502. Sincerely, Michad1 J. Lozano Unit Manager -Utilities, Facilities, &WWTP cc: Patrick Mitchell (NCDEQ-WRO) Eli Holland (ONE Environmental Group, LLC) Enclosure(s) MilierCoors • Eden, NC Wastewater Treatment Facllity Layout DATE: Octotae tame S Chamber Chem Add Tank Bower M5 Bower M4 Blower Ma Blower M2 Blower MI -Process Tanks m opmarinn Maga Off line tanks under aernliun Empty Tanks WEST L.,Uo:u LAST L, yucn EVAP 0.13 BREWING 0.27 1 EVAP 0.15 0.23 FERMENTING -► SPENT GRAIN -0.01 SPENT YEAST UTILITIES r WATER SUPPLY 1.75 t TO RIVER 0.30 f AGING 0.37 COLD SERVICE 0.58 t EVAP * 0.06 4 PACKAGING CONSUMER 26,000 BBL/DAY 2.08 RECYCLE 0.33 BREWERY WASTEWATER TREATMENT PLANT WATER FLOW DIAGRAM MillerCoors LLC: Eden, NC Long Term Average Wastewater Flows *All flow rates listed are in MGD MILLERCOORS - EDEN BREWERY SLUDGE MANAGEMENT PLAN MillerCoors, LLC Eden, North Carolina Sludge Management Summary: The facility generated residual sludge material is handled and managed in accordance with the conditions and parameters set forth by permits, NCDEQ — DWQ Permit No. WQ0001347 (see Attachment A for permit conditions). Per NCDEQ — DWQ Permit No. WQ0001347, the residual solids generated as part of the Eden Brewery biological wastewater treatment system are categorized as residual solids of exceptional quality (503 exempt) and are permitted to be distributed or land applied. Performance standard requirements for residuals include ceiling and monthly average concentration limits for select pollutants. To ensure residual characteristic compliance under NCDEQ - DWQ Permit No. WQ0001347, monitoring is currently taking place at a frequency of 1/60 days (6 times per year) based on the current permitted volumes. The facility residual sludge materials are removed and transported offsite in bulk by a licensed biosolid land application contractor. The residuals are beneficially reused as a soil additive on selected pre -approved farms in North Carolina. Recipient farms are deemed qualified to receive facility residuals upon review of the most recent soil analysis report ensuring the need for the residual product and after a completed onsite inspection (see Attachment B for inspection form). Notes made of streams, rivers, wells, dwellings, and other environmental factors can dictate the rates of application. Each qualified recipient farm is provided with a MillerCoors Farm -On Guaranteed Analysis Statement (see Attachment C for Product Label).