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HomeMy WebLinkAboutNC0037834_Permit (Issuance)_20040628NPDES DOCUMENT SCANNING COVER SHEET NPDES Permit: NC0037834 Archie Elledge WWTP 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: June 28, 2004 This document is printed earl reuse paper - ignore any content earl the reverse wide 7 r 47A NCDENR Mr. David K. Saunders P.E. Director of Utilities City of Winston-Salem P.O. Box 2511 Winston-Salem, North Carolina 27102 Dear Mr. Saunders: Michael F. Easley Governor William G. Ross, Jr., Secretary North Carolina Department of Environment and Natural Resources Alan W. Klimek, P.E., Director Division of Water Quality June 28, 2004 Subject: Issuance of NPDES Permit NC0037834 Archie Elledge WW TP Forsyth County The Division has reviewed the Winston-Salem comments of Apri116, 2004 in response to their draft NPDES permit. The Division has considered the concerns raised and has modified the permit in accordance with current Division policy, all responses to concerns and revisions made to draft permit, NC0037834, are explained below: Comment #1: Total Mercury Limit. Response: The Division agrees with your comment regarding the limited data set that exists for conducting a Reasonable Potential Analysis. The Division will include a 12 months implementation schedule for mercury limit, during which the City of Winston-Salem will collect additional monitoring data. The mercury effluent limit will be deleted in the future, if the permittee provides updated effluent data that shows no reasonable potential to exceed applicable water quality standards. Comment #2: Annual Pollutant Scan. Response: The Division agrees with your comment and has changed the Section A (3) of the Permit. The "total recoverable metals" requirement will be changed to "total metals". You can follow the sampling schedule you have suggested in your comments for Annual Pollutant Scans. Comment #3: Definition of Daily Sampling. Response: The Division disagrees with your comment and does not consider language to be confusing. The language states "sampling shall be conducted on weekdays except where holidays or other disruptions of normal operations prevent weekday sampling". Floods, ice storms, etc. are clearly a "disruption of normal operations". In addition, these events are covered under provision "Failure to Monitor for Good Cause". Comment #4: Failure to Monitor for Good Cause. Response: The Division agrees with your comment and will include a Special Condition in the final permit that will allow you to suspend monitoring during times when flooding, ice storms, etc. pose a substantial risk of injury or death to persons collecting samples. Comment #5: Flow Measurements. Response: The Division believes that existing language does not prevent you from replacing a flow meter in a rapid manner. N. C. Division of Water Quality l NPDES Unit 1617 Mail Service Center, Raleigh, NC 27699.1617 Internet: h2o.enr.state.nc.us Phone: (919) 733-5083 fax: (919) 733-0719 DENR Customer Service Center. 1 800 623-7748 Comment #6: Part II, Section D.2, Reporting Requirements. Response: The language in the draft permit was formulated to assure timely submittal of the DMRs. We have changed it to say "monthly monitoring reports must be postmarked no later than thirty days following the completed reporting period". The next paragraph stipulating that "the first DMR is due on the last day of the month following the completed repotting period" will remain unchanged. The Division believes that there is no contradiction between these requirements. If you are required to deliver DMR on the last day of the month to DWQ, you would need to postmark your report no later than 30 days following the completed reporting period. Comment #7: Special Conditions for Municipal Facilities. Response: The Division concurs with you. The procedure you are following meets the requirement of the Permit. The language in the Draft Permit was intended to cover some unusual occurrences. Comment #8: Part III; Section C; Changes in Discharge of Toxic Substances. Response: The Division understands your comment and will consider changes to the section. However, .ve need to evaluate it very carefully since this language is used in Standard Conditions for all permits in the State. Division personnel have reviewed and approved your application for renewal of the subject permit. Accordingly, we are forwarding the attached NPDES discharge 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 May 9, 1994 (or as subsequently amended). This permit includes a TRC limit that will take effect on February 1, 2006. If you wish to install dechlorination equipment, the Division has promulgated a simplified approval process for such projects. Guidance for approval of dechlorination projects is attached. 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 1S0B 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 Quality or permits required by the Division of Land Resources, the Coastal Area Management Act or any other Federal or Local governmental permit that may be required. If you have any questions concerning this permit, please contact Dr. Sergei Chernikov at telephone number (919) 733-5083, extension 594. s' hAL SIGNED BY SUSAN A. WILSON Alan W. Klimek, P.E. cc: NPDES Unit Winston-Salem Regional Office / Water Quality Section Pretreatment Unit Aquatic Toxicology Unit Mr. Roosevelt Childress, EPA Region IV Permit NC0037834 STATE OF NORTH CAROLINA DEPARTMENT OF ENVIRONMENT AND NATURAL RESOURCES DIVISION OF WATER QUALITY 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, the City of Winston-Salem is hereby authorized to discharge wastewater from a facility located at the Archie Elledge Wastewater Treatment Plant NCSR 2972 (Griffith Road) southwest of Winston-Salem Forsyth County to receiving waters designated as Salem Creek in the Yadkin -Pee Dee River Basin in accordance with effluent limitations, monitoring requirements, and other conditions set forth in Parts I, II, III and IV hereof. This permit shall become effective August 1, 2004. This permit and authorization to discharge shall expire at midnight on June 30, 2009. Signed this day June 28, 2004. ORIGINAL SIGNED BY SUSAN A. WILSON Alan Klimek, P.E., Director Division of Water Quality By Authority of the Environmental Management Commission Permit NC003183y4 , z SUPPLEMENT TO PERMIT COVER SHEET All previous NPDES Permits issued to this facility, whether for operation or discharge are hereby revoked, and as of this issuance, any previously issued permit bearing this number is no longer effective. Therefore, the exclusive authority to operate and discharge from this facility arises under the permit conditions, requirements, terms, and provisions included herein. The City of Winston-Salem is hereby authorized to: 1. Continue operation of an existing 30.0 MGD wastewater treatment system that includes the following components: • Mechanical screening and grit removal • Primary clarification • Aeration basins • Final clarification • Sodium hypochlorite and bisulfite feed for disinfection and dechlorination • Two centrifuges with screw conveyors • Sludge digestion • Polymer and iron salt feed facilities • Odor control system • Instrumented flow measurement This facility is located at the Archie Elledge Wastewater Treatment Plant off Griffith Road southwest of Winston-Salem in Forsyth County. 2. Discharge from said treatment works at the location specified on the attached map into Salem Creek, currently classified C waters in the Yadkin - Pee Dee River Basin. Latitude- 36°O1'04" Sub -Basin: 03-07-04 Longitude: 80°18'54" Quad #: C17SE Stream Class: C Receiving Stream: Salem Creek Permitted Flow: 30.0 MGD Facility Location X North City of Winston.Salem NC0037834 Archie Elledge Wastewater Treatment Plant A (1). EFFLUENT LIMITATIONS AND MONITORING REQUIREMENTS - Final Permit No. NC0037834 During the period beginning on the effective date of the permit and lasting until expiration, the Permittee is authorized to discharge from outfall 001- Wastewater Treatment Plant Effluent. Such discharses shall be limited and monitored by the Permittee as suecified below: EFFLUENT. C i . 'f` H ; S ,, - N { ,, , A ii : f „ 1 -,---- , t,. h . f �i �Y aW�4i��K m u MONITORING REQUIREMENTS k.1 ' S �y R' _'� Iti iii A [� 3 ,',f e S�,%it� a d� '�.� C 4F .. ` i 3 , ' [, {�, i�i� '' � u�1. 4 :�•'3�j{. ..!4,-;O 7,� ♦ � t :Avery e', Y . I� Mea a Tent Sample Sample Location' e Flow (MGD) 30.0 Continuous Recording I or E BOD, 5-Day, 20°C (April 1— October 31)2 21.0 mg/L 31.5 mg/L Daily Composite I, E, U, D BOD, 5-Day, 20°C (November 1 — March 31)2 30.0 mg/L 45.0 mg/L Daily Composite I, E, U, D Total Suspended Solids2 30.0 mg/L 45.0 mg/L Daily Composite I, E NH3 as N (April 1 — October 31) 1.2 mg/L 3.6 mg/L Daily Composite E, U, D NH3 as N (November 1— March 31) 9.0 mg/L 27.0 mg/L Daily Composite E, U, D Dissolved Oxygen3 Daily Grab E, U, D Fecal Coliform (geometric mean) 200/100 mL 400/100 mL Daily Grab E, U, D Total Residual Chlorine4 22.5 µg/L Daily Grab E Temperature Daily Grab E, U, D Conductivity Monthly Grab E, U, D Total Phosphorus Weekly Composite E Total Nitrogen (NO2+NO3+TKN) Weekly Composite E pH5 - Daily Grab E Total Cadmium Quarterly Composite E Cyanide6 Quarterly Grab E Total Zinc 2/Month Composite E Total Copper 2/Month Composite E Chronic Toxicity' Quarterly Composite E Total Mercury8 0.016 µg/L 2/Month Grab E Pollutant Scan Annually Footnote 9 E NOTES: 1. Sample Locations: I — Influent, E — Effluent, U — Upstream, Salem Creek 1300 feet above NCSR 112, D - Downstream (1) Salem Creek at NCSR 2991, (2) Muddy Creek at NCSR 1493, and (3) Muddy Creek at NCSR 1485; Upstream and downstream samples shall be grab samples collected 3/Week during the months of June, July, August, and September and Weekly during the remainder of the year with the exception of BOD, NH3-N, and conductivity. BOD and NH3-N instream samples shall be collected weekly and conductivity samples monthly. Instream monitoring is provisionally waived in light of the permittee's participation in the Yadkin -Pee Dee River Basin Association. Instream monitoring will be immediately reinstated should the permittee end its participation in the Association. 2. The monthly average effluent BOD5 and total suspended residue concentrations shall not exceed 15% of their respective influent values (85% removal). 3. The daily average effluent dissolved oxygen concentration shall not be less than 6.5 mg/L. 4. The facility is allowed 18 months from the effective date of the permit to comply with the total residual chlorine limit. This time period is allowed in order for the facility to budget and design/construct the dechlorination or alternative disinfection systems. 5. The pH shall not be less than 6.0 standard units or greater than 9.0 standard units. 6. The detection level for cyanide (CN) shall be 20 µg/L. CN levels reported as less than 20 µg/L shall be considered zero for compliance purposes. 7. Toxicity (Ceriodaphnia) ChV @ 76%; January, April, July, and October; See condition A(2) of this permit. 8. The limit becomes effective on 08/01/2005. The mercury effluent limit will be deleted in the future, if the permittee provides updated effluent data that shows no reasonable potential to exceed applicable water quality standards. 9. See condition A (3). THERE SHALL BE NO DISCHARGE OF FLOATING SOLIDS OR VISIBLE FOAM IN OTHER THAN TRACE AMOUNTS. Permit NC0037834 SPECIAL CONDITIONS A. (2) CHRONIC TOXICITY PERMIT LIMIT (QUARTERLY) - 30.0 MGD The permittee shall conduct chronic toxicity tests using test procedures outlined in the "North Carolina Phase II Chronic Whole Effluent Toxicity Test Procedure" (Revised -November 1995) or subsequent versions. The effluent concentration defined as the Instream Waste Concentration (IWC) shall be 76%. The chronic value will be determined using the geometric mean of the highest concentration having no detectable impairment of reproduction or survival and the lowest concentration that does have a detectable impairment of reproduction or survival. The presence of 48 hour acute toxicity will be determined using Fisher's Exact Test at 48 hours from test initiation. The definition of "detectable impairment," collection methods, exposure regimes, and further statistical methods are described by the document referenced above. The permit holder shall perform at a minimum, quarterly monitoring using these procedures to establish compliance with the permit condition. The tests will be performed during the months of January, April, July, and October. Effluent sampling for this testing 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 measures 48 hour acute toxicity or a chronic value less than that specified above, then multiple concentration testing shall be performed, at a minimum, in each of the two following months. Compliance is defined as a quarterly average chronic effect level equal to or greater than 76%. 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 THP3B for the Chronic Value and TGA3B for the 48 hour Acute Toxicity measure (Pass/Fail). Additionally, DWQ Form AT-3 (original) is to be sent to the following address: Attention: NC DENR / DWQ / Environmental Sciences Branch 4401 Reedy Creek Road Raleigh, NC 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 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 iihe 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 Environmental Sciences Branch at the address cited above. Should the permittee fail to monitor during a month in which toxicity monitoring is required, then monthly monitoring will begin immediately until such time that a valid test is submitted. Upon submission of a valid test, 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 Water Quality 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. Permit NC0037834 A. (3) EFFLUENT POLLUTANT SCAN The Perrnittee shall perform an annual Effluent Pollutant Scan for all parameters listed in the attached table (using a sufficiently sensitive detection level in accordance with 40 CFR Part 136). Samples shall represent seasonal variations. Unless otherwise indicated, metals shall be analyzed as "total". Ammonia (as N) Trans-1,2-dichloroethylene Bis (2-chloroethyl) ether Chlorine (total residual,'IRC) 1,1-dichloroethylcne Bis (2-chloroisopropyi ether Dissolved oxygen 1,2-dichloropropane Bis (2-cthylhexyl) phthalate Nitrate/Nitrite 1,3-dichloropropylene 4-bromophcnyl phenyl ether Kjeldahl nitrogen Ethylbenzene Butyl benzyl phthalate Oil and grease Methyl bromide 2-chloronaphthalene Phosphorus Methyl chloride 4-chlorophenyl phenyl ether Total dissolved solids Methylene chloride Chrysene Hardness 1,1,2,2-tetrachlorocthanc Di-n-butyl phthalate Antimony Tetrachloroethylcne Di-n-octyl phthalate Arsenic Toluene Dibenzo(a,h)anthracene Beryllium 1,1,1-trichloroethane 1 2-dichlorobenzenc Cadmium 1,1,2-trichloroethane 1,3-dichlorobenzcne Chromium Trichlorocthylcne 1,4-dichlorobenzcne Copper Vinyl chloride 3,3-dichlorobenzidine Lead Acid-extmciabk compounds; Diethyl phthalate Mercury P-chloro-m-cress Dimethyl phthalate Nickel 2-chlorophenol 2,4-dinitrotoluene Selenium 2,4-dichlorophenol 2,6-dinitrotoluene Silver 2,4-dimethylphenol 1,2-diphenylhydrazine Thallium 4,6-dinitro-o-cresol Fluoranthenc Zinc 2,4-dinitrophenol Fluorene Cyanide 2-nitrophenol I-Iexachlorobenzene Total phenolic compounds 4-nitrophenol Hexachlorobutadiene I 'olatile o>zrnic4•omponndr; Pentachlorophenul I-Iexachlorocyclu>-pentadiene Acrolcin Phenol Hexachloroethanc Acrylonitrilc 2,4,6-trichlorophenol Indeno(1,2,3-cd)pyrene Benzene Base-neulml cnmpouach: Isophorone Bromofomi Acenaphthcne Naphthalene Carbon tetrachloride Acenaphthylcne Nitrobenzene Chlorobeniene Anthracene N-nitrosodi-n-propylamine Chlorodibre►mometh:me Benzidine N-nitrosodimethvlamine Chloroethane Benzo(a)anthraccne N-nitrosodiphenylamine 2-chloroethvl•inyl ether Benzo(a)pyrene Phenanthrene Chloroform 3,4 benzolluoranrhene Pyrene Dichlorobrt►mometh:►ne Benzo(ghi)peryk nc 1,2,4-trichlorobenzene 1,1-dichlorc ethane Benzo(k) Fluorant hene 1,2-dichlon►ethane Bis (2-chtorocthoxy) methane Test results shall be reported to the Division in DWQ Form- A MR-PPA1 or in a form approved by the Director within 90 days of sampling. The report shall be submitted to the following address: Division of Water Quality, Water Quality Section, Central Files, 1617 Mail Service Center, Raleigh, North Carolina 27699-1617. s Permit NC0037834 A. (4) POTENTIAL INSTREAM SAMPLING EXEMPTION Per 15A NCAC 2B .0505(c)(4), stream sampling (as well as influent/effluent sampling) may be discontinued when flow conditions could result in injury or death of the person(s) collecting the samples. In such cases, on each day that sampling is discontinued, written justification shall be specified in the monitoring report for the month in which the event occurred. This provision shall be strictly construed and may not be utilized to avoid the requirements of this Section when performance of these requirements is attainable. When there is discontinuance pursuant to this provision, stream sampling shall be resumed at the first opportunity after the risk period has ceased. DENR/DWQ FACT SHEET FOR NPDES PERMIT DEVELOPMENT NPDES No. NC0037834 Facility Information Applicant/Facility Name: City of Winston-Salem — Archie Elledge W TP Applicant Address: P.O. Box 2511, Winston-Salem, NC 27102 Facility Address: On Griffith Road, Winston-Salem, NC Permitted Flow 30.0 MGD Type of Waste: 22% industrial 78% domestic Facility/Permit Status: Renewal w/o expansion County: Forsyth Miscellaneous Receiving Stream: Stream Classification: 303(d) Listed?: Salem Creek - 001 C YES Regional Office: USGS Topo Quad: Permit Writer: Winston-Salem C17SE Sergei Chernikov Subbasin: 03-07-04 Date: February 16, 2004 Drainage Area (mi2): Summer 7Q10 (cfs) Winter 7Q10 (cfs): 67.3 15 18 Average Flow (cfs): IWC (%) @ 30.0 MGD: Primary SIC Code: Treatment Plant Class: 65 76% 4952 IV • SUMMARY This facility is a major municipal treatment plant operating in Forsyth County. At 30.0 MGD, it is one of the largest municipal facilities in the state. The facility serves 108,000 people in Winston Salem, Kernersville, and Walkertown. The City administers an industrial pretreatment program to control the discharge of industrial and commercial wastes into its collection system and treatment works. Industrial sources include 15 Significant Industrial Users, 14 of which are Categorical Industrial Users. As indicated above, this facility discharges into Salem Creek, which is a listed stream on North Carolina's 303(d) list. The creek is listed as impaired as the result of non -point sources of Fecal Coliform and Turbidity. TMDLs for both parameters are required but have not been developed. The previous permit for this facility was adjudicated and the special study for CN was conducted. The study concluded that a 20 ppb cyanide quantitation level was appropriate for the wastewater matrix present. It indicated that numerous false positive results were reported using quantitation levels lower than 20. The Division accepted the report's recommendations. As a result of this site specific study, the quantitation level will remain unchanged at 20 ppb instead of the currently accepted value of 10 ppb. The permit will continue to require the City to implement its pretreatment program. IN STREAM MONITORING The Archie Elledge WWTP discharges treated municipal wastewater to the Salem Creek, a Class C water in the Yadkin -Pee Dee River basin. Instream monitoring is required for BOD, NH3-N, temperature, dissolved oxygen, fecal coliform, and conductivity. An analysis of DO, temperature and conductivity data showed that the facility has some negative impact on water quality of the receiving stream (table attached), but not \VS -- Archie Itll,dze Tact Siicct NE'I)i " K, nc cal • significant enough to impair the waterbody for dissolved oxygen. The Permittee is provisionally exempted from the instream monitoring requirements based on the participation in the Yadkin Pee -Dee Monitoring Coalition. TOXICITY TESTING Type of Toxicity Test: Existing Limit: Recommended Limit: Monitoring Schedule: Chronic P/F 001: Chronic P/F @ 76% 001: Chronic P/F @ 76% January, April, July, October The facility has been consistently passing it's WET test. COMPLIANCE HISTORY The City had a good compliance record during the previous permit cycle. In 2003 only two Notices of Violation (NOV) were issued for violating DO and TSS limits. In 2002 two NOVS were issued for violating ammonia nitrogen and CN limits. In 2001 one NOV was issued for violating ammonia nitrogen limit. In 2000 no NOVs were issued. The most recent compliance evaluation inspection conducted on 11/14/2003 did not discover any problems with respect to the operation and maintenance of the facility. REASONABLE POTENTIAL ANALYSIS The following parameters are monitored through the permit: Cd, CN, Cu, Zn. The following parameters are monitored quarterly through the pretreatment program: Ag, As, Cd, Cr, Cu, Pb, Hg, Mo, Ni, Se, Zn. The permit will continue to require the City to implement its pretreatment program. Reasonable potential analysis was conducted for: Ag, As, Cd, Cr, Cu, Hg, Ni, Pb, Se, and Zn (see attached). PROPOSED CHANGES: • Monitoring: Weekly monitoring for mercury and selenium has been introduced due to the implementation of the new permit limit. Monitoring frequency for Cd has been reduced to quarterly based on DMR data. • Limits: Based on the Reasonable Potential Analysis, limit is being introduced for mercury. In addition, weekly average limits for ammonia nitrogen, and daily maximum limit for total residual chlorine have been added to the permit. Limit for CN has been removed based on DMR data. • Priority pollutant monitoring on an annual basis has been added to fulfill the permit application requirement in the future. Existing permit limits and recommended limits/monitoring are summarized in the table below: Parameter Existing Limit (µg/L) Existing Monitoring _ Proposed Limit (µg/L-) Proposed Monitoring Mercury None None 0.016 Weekly The existing monitoring frequency for silver, zinc and copper remains unchanged. Due to the facility's toxicity record, limits for these action level standards will not be implemented, but monitoring will remain. PROPOSED SCHEDULE FOR PERMIT ISSUANCE: Draft Permit to Public Notice: March 17, 2004 (est.) Permit Scheduled to Issue: June 5, 2004 (est.) \V-S — Arcliat• 1..1Ict1 .' Fact Sheet V'I'I)I Rcncykal STATE CONTACT: If you have any questions on any of the above information or on the attached permit, please contact Sergei Chernikov at (919) 733-5038 ext. 594. Changes made to the final permit: 1) A 12 months implementation schedule for mercury limit was included, during which the City of Winston- Salem will collect additional monitoring data. The mercury effluent limit will be deleted in the future, if the permittee provides updated effluent data that shows no reasonable potential to exceed applicable water quality standards. 2) A Special Condition in the final permit was added that allows the permittee to suspend monitoring during times when flooding, ice storms, etc. pose a substantial risk of injury or death to persons collecting samples. REGIONAL OFFICE COMMENT: NAME: DATE: EPA COMMENT: Name: Date: \VS — .\rchie Elledge Fact Sheet NPDES RencU:jl Page 3 UNITED STATES ENVIRONMENTAL PROTECTION AGENCY REGION 4 ATLANTA FEDERAL CENTER 61 FORSYTH STREET ATLANTA, GEORGIA 30303-8960 APR 0 5 2004 Sergei Chernikov, Ph.D North Carolina Department of Environment and Natural Resources Division of Water Quality NPDES Unit 1617 Mail Service Center Raleigh, NC 27699-1617 SUBJ: Draft NPDES Permit City of Winston Salem - Permit No. NC0037834 Dear Dr. Chernikov: In accordance with the EPA/NCDENR MOA, we have completed review of the draft permit referenced above and have no comments. We request that we be afforded an additional review opportunity only if significant changes are made to the draft permit prior to issuance or if significant comments objecting to the permit are received. Otherwise, please send us one copy of the final permit when issued. Sincerely, Marshall Hyatt, Environmental Scientist Permits, Grants, and Technical Assistance Branch Water Management Division Internet Address (URL) • http://www.epa.gov Recycled/Recyclable • Printed with Vegetable Oil Based Inks on Recycled Paper (Minimum 30% Postconsumer) imap://sergei.chernikov%40dwq.denr.ncmail.net@cros.ncmail.net:143... Subject: Re: NC0037834 From: Hyatt.Marshall@epamail.epa.gov Date: Wed, 23 Jun 2004 09:53:10 -0400 To: Sergei Chernikov <sergei.chernikov@ncmail.net> that sounds great - just wanted to make sure. 1 of 1 6/23/2004 10:18 AM mailbox:///q/Documents%20and%20Settings/sergei_chernikov/Appli... Subject: NC0037834 From: Sergei Chernikov <sergei.chernikov@ncmail.net> Date: Wed, 23 Jun 2004 09:42:37 -0400 To: Marshall <Hyatt.Marshall@epamail.epa.gov> Marshall, The Winston-Salem raised objections against mercury limit that was imposed for Arhie-Elledge WWTP. They have made a reasonable argument that very limited data set (only 5 samples) does not accurately reflect composition of the wastewater. They also objected against using the data that was obtained when the old detection method was used, which also makes sense. We offered them implementation schedule contingent on your approval. The language is: The limit becomes effective on 08/01/2005. (1 will put the date that is 12 months from the effective date of the permit). The mercury effluent limit will be deleted in the future, if the permittee provides updated effluent data that shows no reasonable potential to exceed applicable water quality standards. This language was used for two Greensboro permits, we thought that 12 month would allow us to collect sufficient amount of data and conduct the RPA on extended data set. If there is a potential, the limit is automatically implemented. Otherwise, we would need to do a permit modification. Please let me know if this is acceptable. Thank you! Sergei Sc :'gel Crnikov, Ph.D. Engineer NPDIS 1617 1,1a . Service Center Ra, eit. , NC 27699-1617 phone: - '3 3 083 ext. 594 `a;.. J 1 1 of 1 6/23/2004 10:18 AM imap://sergei.chernikov%40dwq.denr.ncmail.net@cros.ncmail.net:143... Subject: Re: NC0037834 From: Hyatt.Marshall@epamail.epa.gov Date: Wed, 23 Jun 2004 09:44:56 -0400 To: Sergei Chernikov <sergei.chernikov@ncmail.net> conceptually, it sounds fine. My one question is how much data do they have to submit to show no RP? Hopefully more than just minimal sampling. Shouldn't a minimum number of data pts be spelled out? 1 of 1 6/23/2004 10:18 AM NORTH CAROLINA FORSYTH COUNTY AFFIDAVIT OF PUBLICATION ilif It'', ,1% J. , , MAR 2 9 2004 I ! L':: Before the undersigned, a Notary Public of said County and State, d ly 0Erta- i_TFy commissioned, qualified, and authorized by law to administer oath- sonai1`f-Z).... LY'.',c:t1 _ appeared D.H. Stanfield, who being duly sworn, deposes and says: that he is Controller of the Winston-Salem Journal, engaged in the publishing of a newspaper known as Winston-Salem Journal, published, issued and entered as second class mail in the City of Winston-Salem, in said County and State: that he is authorized to make this affidavit and sworn statement: that the notice or other legal advertisement, a true copy of which is attached hereto, was published in Winston-Salem Journal on the following dates: 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 Statues of North Carolina and was a qualified newspaper within the meaning of Section 1-597 of the general statues of North Carolina. This 22nd day of March, 2004 AA (signature of p aking affidavit) Sworn to and subscribed before me, this 22nd day of March, 2004 My Commission expires: September 28, 2005 1 r1 q 4 d 4�� Notary 1ju#flic OFFICIAL SEAL Notary Public, North Carolina COUNTY OF FORSYTH KIMALEY,(OHMO, My Commission Expires ( ruoUL. NU IIL,t - STATE OF NORTH CAROLINA ENVIRONMENTAL MANAGEMENT COMMISSIONiNPDES UNIT 1617 MAIL SERVICE CENTER RALEIGH, NC 27699-1617 NOTIFICATION OF INTENT TO ISSUE A NPDES WASTEWATER PERMIT 0n the basis of thorough staff review and application of NC General Stat- ute 143.21, Public law 92-500 and other lawful standards and regula- tions, the North Carding Environmental Management Commission pro- poses to issue a National Pollutant Discharge Elimination System (NPDES) wastewater discharge permit to the person(s) listed below ef- fective 45 days from the publish date of this notice. Written comments regarding the proposed permit will be accepted uiti 30 days after the publish date of this notice. All comments received prior to that date are considered in the final determinations regarding the pro- posed permit. The Director o1 the NC Division o1 Water Qualify may de- cide to hold a public meeting for the proposed permit should the Division receive a significant degree of public interest. Copies of the draft permit and other,suppoding information on file used to determine conditions present in the draft permit are available upon re- quest and payment of the costs of reproduction. Mal comments and/or requests for information to the NC Division of Water Quality at the above address or call Ms. Valery Stephens at (919) 733-5083, extension 520. Please Intdade the NPDES permit number (attached) in any communica- tion. Interested persons may also visit the Division of Water Quality at 512 N. Salisbury Street, Raleigh, NC 27604-1148 between the hours of 8:00 a.m. and 5:00 p.m. to review information on file. The Town of Bermuda Run (169 Yadkin Valley Road, Advance, NC 27006) has applied for renewal of NPDES permit NC0055158 for the Ber- muda Run WWTP in Davie County. This permitted facility discharges 0.193 MGD of treated wastewater to the Yadkin River in the Yadkin.Pee Dee River Basin. Currently 60D and total residual chlorine are water quality limited. This discharge may affect future allocations in th sportion 01 the Yadkin -Pee Dee River Basin. Thomasville Furniture Industries, Inc. (P.O. Box 339, Thomasville, NC 27361) has applied for renewal of NPDES permit NC0023604 for the SFD/64 Lumber Plant in Davidson County. This permitted facility dis- charges treated wastewater to Flat Swamp Creek in the Yadkin -Pee Dee River Basin. Currently BOD, ammonia nitrogen and total residual chlo- rine are water quality limited. This discharge may affect future allocations in this portion of the Yadkin -Pee Dee River Basin. Heater Utilities, Inc. (P.O. Drawer4889, Cary, NC 27519) has applied for renewal of NPDES permit NC0083941 for the Spring Creek WWTP in Davidson County. This permitted facility discharges 0.08 MGD of treated wastewater to Fryes Creek in the Yadkin -Pee Dee River Basin. Currently BOO and ammonia nitrogen are water quality limited. This discharge may affect future allocations in this portion of the Yadkin -Pee Dee River Basin. Heater Utilities, Inc. (P.O. Drawer4889, Cary, NC 27519) has applied for renewal of NPDES permit NC0065587 for the Frye Bridge WWTP in For- syth County. This permitted facility discharges 0.027 MGD of reated wastewater to an unnamed tributary to Muddy Creek in the Yadkin -Pee Dee River Basin. Currently 80D, ammonia estrogen and total residual chlorine are water qualify limited. This discharge may affect future alloca- tions in this portion of the Yadkin -Pee Dee River Basin. Three R's Mobile Home Park (170 Jones Road, Winston Salem) has ap- plied for renewal its NPDES permit NC0051489 in Forsyth County. This permitted facility discharges 0.012 MGD of treated wastewater to Leak Creek in the Yadkin -Pee Dee River Basin. Currently 80D, and total resid- ual chlorine are water quality limited. This discharge may affect future al- locations in this portion of the Yadkin -Pee Dee River Basin. The City of Winston-Salem (P.O. Box 2511, Winston-Salem, NC 27102) has applied for renewal of NPDES permit NC0037834 for the Archie El- ledge•WWTP in Forsyth County. This permitted facility discharges treat- ed wastewater to the Salem Creek in the Yadkin Pee -Dee River Basin. Currently BOD, ammonia nitrogen, total suspended residue, and total residual chlorine are water quality limited. This discharge may affect fu- ture allocations in this portion of the Yadkin Pee -Dee River Basic. WR.1• March 9n. 5001 PUBLIC NOTICE STATE OF NORTH CAROLINA ENVIRONMENTAL MANAGEMENT COMMISSION/NPDES UNIT 1617 MAIL SERVICE CENTER RALEIGH, NC 2769911617 NOTIFICATION OF INTENT TO ISSUE A NPDES WASTEWATER PERMIT On the basis of thorough staff review and appli- cation of NC General Statute 143-21, Public law 92-500 and other lawful standards and regula- tions, the North Carolina Environmental Management Commission proposes to issue a National Pollutant Discharge Elimination System (NPDES) wastewater discharge permit to the person(s) listed below effective 45 days from the publish date of this notice. The City of Winston-Salem (P.O. Box 2511, Winston-Salem, NC 27102) has applied for renewal of NPDES permit NC0037834 for the Archie Elledge WWTP in Forsyth County. This permitted facility discharges treated wastewater to the Salem Creek in the Yadkin Pee -Dee River Basin. Currently BOD, ammonia nitrogen, total suspended residue, and total residual chlorine are water quality limited. This discharge may affect future allocations in this portion of the Yadkin Pee -Dee River Basin. Three R's Mobile Home Park (170 Jones Road, Winston-Salem) has applied for renewal of its NPDES permit NC0051489 in Forsyth County. This permitted facility discharges 0.012 MGD of treated waste- water to Leak Creek in the Yadkin Pee -Dee River Basin. Currently BOD, and total residual chlorine are water quality limited. This discharge may affect future allocations in this portion of .the Yadkin Pee -Dee River Basin. Heater Utilities, Inc. (P.O. Box 4889, Cary, NC 27519) has applied for renewal of NPDES permit NC0065587 for the Frye Bridge WWTP in Forsyth County. This per- mitted facility discharges 0.027 MGD of treated wastewater to an unnamed tributary to Muddy Creek in the Yadkin Pee -Dee River Basin: Currently BOD, ammonia nitrogen and total residual chlorine are water quality limited. This discharge may affect future allocations in this portion of the Yadkin Pee -Dee River Basin. Written comments regarding the proposed per- mits will be accepted until 30 days after the pub- lish date of this notice. All comments received prior to that date are considered in the final determinations regarding the proposed permit. The Director of the NC Division of Water Quality may decide to hold a public meeting for the proposed permit should the Division receive a significant degree of public interest. Copies of the draft permit and other supporting information on file used to determine conditions present in the draft permit are available upon request and payment of the costs of reproduc- tion. Mail comments and/or requests for infor- mation to the NC Division of Water Quality at the above address or call Ms. Valery Stephens at (919) 733-5083, extension 520. Please include the NPDES permit number (attached) in any communication. Interested persons may also visit the Division of Water Quality at 512 N. Salisbury Street,- Raleigh, NC 27604-1148 between the hours of 8:00 a.m. and 5:00 p.m. to review information on file. The Chronicle: March 18, 2004 Certified Mail #: 7002 0860 0002 8301 6232 Winston-Salem • Forsyth County /County Utilities ater • Sewer • Solid Waste Disposal Manson Meads Complex • 2799 Griffith Road • Winston-Salem, NC 27103 • Tel 336.765.0130 • Fax 336.659.4320 April 16, 2004 Mr. Sergei Chernikov North Carolina Department of Environment And Natural Resources NPDES Unit 1617 Mail Service Center Raleigh, North Carolina 27102 Subject: Comments on Draft Permit Permit # NC0037834 Archie Elledge WWTP Winston-Salem/Forsyth County Dear Mr. Chernikov: In) APR 2 0 2004 The City of Winston-Salem has the following comments and concerns regarding the draft NPDES permit for our Archie Elledge WWTP that we received on March 25, 2004. TOTAL MERCURY LIMIT: The City of Winston-Salem feels that there is no technical basis to support the mercury limitation proposed in the draft permit. Nearly all of the data used in DWQ's statistical analysis was produced using the outdated EPA 245.1 protocol. The MDL for this protocol is 0.2 micrograms per liter and all our monitoring results were reported as less than the detection level. The water quality standard is seventeen times less than the MDL for the analytical protocol and we do not feel that that these data can be relied upon to establish the Elledge Plant's potential to exceed the water quality standard for mercury with any degree of certainty. On September 1, 2003 Method 1631 replaced the old protocol. The new method has a quantitation limit low enough to allow DWQ to accurately assess potential water quality impacts due to mercury and we feel that only data from the new method should be used to determine whether a mercury limit is appropriate. We have analyzed five effluent samples over the period from December 8, 2003 through March 17, 2004 using the new protocol. Our results average 0.004 micrograms per liter and they range from 0.00149 to 0.00682 micrograms per liter. All values are well below the 0.012 microgram per liter water quality standard established for mercury. Mr. Sergei Chernikov April 16, 2004 Page 2 Winston-Salem feels that the monitoring results we have obtained thus far using the new method invalidates DWQ's assumption that the true value of monitoring data previously reported is actually one half the MDL. Winston-Salem asks that DWQ remove the proposed weekly average limit for mercury and replace it with a quarterly monitoring requirement. Monitoring will remain in effect until sufficient data are produced using method 1631 to determine the plant's true potential to exceed the water quality standard for mercury. Winston-Salem cannot accept a limitation that is based on data produced by an inadequate analytical method when we have data from a better method that indicates mercury is not present in the plant's discharge in concentrations high enough to pose a threat to the environment. The draft permit also stipulates that effluent mercury monitoring samples must be composite samples. We feel that these samples should be grab samples based on the provisions of Attachment A to the August 30, 2003 letter from the Point Source Branch that implemented Method 1631. A copy of this letter is attached for you reference and it explains why composite samples are not appropriate for monitoring using method 1631. ANNUAL POLLUTANT SCAN: Winston-Salem understands that an annual priority pollutant scan is being implemented in the permit to meet EPA requirements. While we have no problem accepting this provision, we have several questions and concerns regarding how we are to meet some of the requirements stipulated in Section A (3) of the daft permit. to analyze "total recoverable metals' as part of the annual pollutant The requirementsy scan and "total metals" for the monitoring stipulated on the limitations page confuses us. It would seem that it would be more appropriate to have monitoring results for metals be in one form or the other, preferably the form most useful in assessing stream quality. Note that the draft permit does not stipulate whether the analysis for the various parameters shown on the Annual Pollutant Scan list are performed on grab or composite samples. The final permit needs to stipulate what type of samples are needed for this monitoring. We would also like to point out that the draft permit provides for "routine" monitoring for at least six of the parameters listed on the annual scan requirement. Several of these parameters, such as residual chlorine and dissolved oxygen, are monitored for on a daily basis. It seems somewhat irregular for DWQ to require annual monitoring for parameters that have monitoring requirements imposed on the limitations page. We request that the Mr. Sergei Chernikov April 16, 2004 Page 3 annual scan include only those parameters for which monitoring is not required on the limitations page. The language included in section A(3) of the draft permit also stipulates that effluent pollutant scan samples shall "represent seasonal variations". The draft permit does not provide detailed instructions as to how we are to comply with this requirement. We propose that annual scans will be performed during January for the first year of the permit, in April during the second year of the permit, during July of the third year of the permit and in October of the fourth year. We think that this sampling schedule will meet DWQ's seasonal variation requirement but we are not sure. Regardless of whether our proposal is acceptable to DWQ, please provide language in the final permit that stipulates how this monitoring is to be conducted to meet the seasonal variation requirement. DEFINITION OF DAILY SAMPLING: The definition of Daily Sampling on page 2 of 16 stipulates that parameters subject to daily sampling shall be sampled five out of every seven days per week unless otherwise specified. The draft permit goes on to state that the Division expects that sampling shall be conducted on weekdays except where holidays or other disruptions of normal operations prevent weekday sampling. This language is confusing. Does this mean that we are required to perform daily monitoring on weekends and holidays if events such as floods, ice storms etc. prevent our being able to monitor during a weekday? State regulations promulgated at 15A NCAC 02B.0503 define daily as being Monday through Friday excluding state holidays. We ask that the definition of daily sampling included in the final permit be consistent with the definition of daily as it appears in State Regulations. FAILURE TO MONITOR FOR GOOD CAUSE: In the past there have been instances where we have been unable to perform daily monitoring because flood waters, severe ice storms etc. either made it impossible to reach the monitoring location or posed a serious threat to our employees' safety. In these instances we notified the Regional Office of the situation and documented the reason(s) why we could not perform the required monitoring. State regulations allow this, provided the reason(s) for failure to monitor are documented and reported to DWq. \c . Mr. Sergei Chernikov April 16, 2004 Page 4 We understand that other cities in North Carolina were sued by the Canoe Association and had court rulings go against them because their permit did not contain specific language excusing them for failing to monitor when weather conditions were such that monitoring was impossible. The Canoe Association successfully argued that since NPDES permits are Federally enforceable, provisions in state regulations that provide relief from monitoring requirements during severe weather etc. do not apply unless language to that effect was included in the NPDES permit. Otherwise, Federal regulations take precedence and there are no provisions in the Federal regulations that excuse permit holders from failing to monitor for good cause. Winston-Salem would like for DWQ to include language in the final permit that allows us suspend monitoring during times when flooding, ice storms, etc pose a substantial risk of injury or death to persons collecting samples or when sampling locations are inaccessible due to events such as flooding that are beyond our control. We suggest that the notification requirements set forth under 15A NCAC 02B.0505 (4) be included in this language. Note that it is not Winston-Salem's wish to avoid our responsibility to perform required monitoring. Rather, we simply want to protect ourselves in the event we are unable to perform monitoring for good reason and are sued by a third party as a result. FLOW MEASUREMENTS: Section D 3. in the draft permit provides that the Director shall approve the flow measurement device and monitoring locations prior to installation. Winston-Salem is concerned that this requirement effectively prevents our being able to replace a flow transmitter with a similar device in a rapid manner should the original device be destroyed by lightning etc. We request that the language in the draft permit be changed to state, "the director shall approve the primary flow metering device and monitoring location prior to installation ". This language allows DWQ to review and approve the engineering associated with the installation of a weir, flume or other primary flow metering device and it allows us to replace damaged flow transmitters without having to obtain an Authorization to Construct. ;-, i K X\N"( -. \ r , 0 )� > V J �- ^ Vi ,` J�ti V\\,C\ . \ tif)‘ Mr. Sergei Chernikov April 16, 2004 Page 5 PART II, SECTION D.2, REPORTING REQUIREMENTS The first paragraph of this section stipulates that monthly monitoring reports must be postmarked no later than twenty-eight days following the completed reporting period. The next paragraph requires that the first DMR is due on the last day of the_month following the issuance of the permit. These requirements appear to contradict each other. We ask that the final permit retain the requirement that DMR reports must be postmarked no later than 30 days following the end of the reporting period. This is the deadline (,/,0 mandated by state regulations codified at 15A NCAC 02B.0506 (a) (1) (A). SPECIAL CONDITIONS FOR MUNICIPAL FACILITIES: Section A of the draft permit contains language requiring us to provide the Director adequate notice of any new introduction of pollutants into our POTW from an indirect discharger or any substantial change in the volume or characteristics of pollutants being discharged by an indirect discharger. When these situations occur, our pretreatment group either prepares a new discharge permit or modifies an existing discharge permit for the user in question and forwards the permit to the pretreatment section for approval. The permit is issued once it has been approved by the State. : , Winston-Salem feels that this procedure complies with the notification requirements set f , �,, -- forth under Section A (Page 13 of 16) of the draft permit. We would appreciate it if 7 , ;I,� DWQ would provide us guidance as to whether or not you agree that our continued use of this procedure meets the requirements mandated by the permit. If not, please provide us , some guidance as to what procedures you want us to follow. �,� ��� 'ti•;,'� IPART III; SECTION C; CHANGES IN DISCHARGE OF TOXIC SUBSTANCES \-4'' ' l''1 u)k-- The language in this section of the draft permit appears to be taken directly from 40 CFR Part 122.42 (a) (1) (i) through (iv) and (2) (i) through (iv). Winston-Salem does not feel that this language is appropriate for an NPDES permit issued to a municipality as this section of 40 CFR Part 122.42 applies to existing manufacturing, commercial, mining and silvicultural dischargers. See the copy of 40CFR Part 122.42 that is attached for your convenience. The language within 40 CFR Part 122.42 that does apply to POTWs is contained in 122.42 (b) (1) through (3). The draft permI contains this language in Part IV, Section A. vi J wj c-V c�.t 1 fib �%'; , � ,•. '�i � i `� C � lam_ �� _ Mr. Sergei Chernikov April 16, 2004 Page 6 Winston-Salem asks that DWQ delete Section C of Part III because it does not apply to a POTW and because its functions appear to be duplicated by Part IV, Section A. Thank you for you consideration of our concerns and comments regarding this matter. If you have any questions please call me at (336) 765-0130. Sincerely: Stanley B. Webb Utility Plant Superintendent City of Winston-Salem CC: David Saunders, Director of Utilities Ron Hargrove, Deputy Director Sherry Bagwell, Pretreatment Coordinator Kathy Southern, Laboratory Director Frank Crump, Plant Supervisor Ref L040804a • .n1 A rz• Michael F. Easley, Governor William G. Ross Jr., Secretary 7 North Carolina Department of Environment and Natural Resources 1 Alan W. Klimek, P.E., Director Division of Water Quality August 30, 2002 Subject: NPDES Mercury Requirement Implementation of EPA Method' 1631 Dear NPDES Permittee: Mercury continues to be a water quality concern throughout North Carolina. Fish consumption advisories and impaired stream segments as a result of elevated mercury levels have been issued for several locations. NPDES permittees have worked with the state to reduce potential risks from this pollutant. including tasks associated with collecting and reporting more accurate data. The most commonly used laboratory analysis for total mercury (EPA Method 245.1) has a method detection level of 0.2 ug/1, while the current water quality standard is an order of magnitude lower at 0.012 ug/1. Thus, true compliance with the water quality standard could not be judged. A more recently approved laboratory method (EPA Method 1631) should produce a detection level below the water quality standard, which would allow the Division to assess potential water quality impacts from dischargers more accurately. Therefore, this letter serves as notification to your facility that effective September 1, 2003, you will be required to begin using EPA Method 1631 (or subsequent low-level mercury methods approved by EPA in 40 CFR 136) when analyzing for total mercury. Your facility is subject to this new requirement because either 1) your facility has a current total mercury limit in its NPDES permit that is <0.20 ug/1: or 2) your facility has limited instream dilution (i.e., the instream waste concentration (IWC) is >6%). This requirement complies with 15 A NCAC 2B.0505(e)(4), which requires that "test procedures must produce detection and reporting levels below the permit discharge requirements." Mercury Laboratory Analysis - EPA Method 1631 On June 22, 1999, the US EPA approved a new analytical method (EPA Method 1631) for measuring very low concentrations of mercury in water. Subsequent revisions to Method 1631 include Revision C (current approved method) and Draft Revision D (scheduled for promulgation in October 2002). Method 1631 has a minimum level of quantitation of 0.0005 ug/1 (0.5 ng/1), which is 400-times more sensitive than Method 245.1. The new method requires a clean laboratory environment which generally requires some lab retrofitting; thus, many permittees will likely contract a commercial lab to perform the analysis. Based on data compiled by Ohio EPA, commercial labs that are currently analyzing for EPA Method 1631 charge between $50-90 per sample, with turnaround times ranging from 5-28 days. Currently there is one commercial lab certified by North Carolina for EPA Method 1631. However. it is anticipated that several additional labs will also offer this analysis in the future as the demand for this method increases. When selecting a lab to perform low level mercury analyses, the permittee should review the lab's performance. experience, and reliability with the method, as well as cost considerations. Attachment A provides additional information on this method. Mercury Clean Sampling Techniques - EPA Method 1669 The greatest risk of contaminating the wastewater sample for low-level mercury analysis is during the sample collection effort. Thus, those facilities subject to EPA Method 1631 will also need to evaluate clean sampling recommendations provided in EPA Method 1669. Attachment A provides highlights on this method. NPDES Compliance All mercury monitoring data submitted to the Division will be reviewed for compliance with current effluent limits. If the permit . contains monitoring only, the new method must still be used, and the need for a permit limit will be evaluated at a later date by comparing a statistical evaluation of the effluent data with the water quality standard and corresponding allowable effluent concentration. Therefore, the potential problem of sample contamination cannot be overemphasized, since it could result in NPDES effluent limits for total mercury, increased monitoring costs, and possibly unnecessary violations. All data submitted to the Division for NPDES compliance monitoring requirements are the responsibility of the permittee. Therefore, facilities subject to this new method are strongly encouraged to begin evaluating sampling methods and commercial labs before the deadline date, to ensure that field staff are properly trained in the use of "clean sampling" techniques, and sampling and lab procedures are fully developed to minimize sample contamination. N. C. Division of Water Quality 1617 Mail Service Center Raleigh, NC 27699-1617 (919) 733-7015 Customer Service 1 800 623-7748 NCDENR 4 NPDES Mercury Requirement Page 2 of 3 Additional Information For additional information and guidance following resources: North Carolina Division of Water Quality Laboratory Analysis: Lab Certification: Clean Sampling: NPDES Permitting: Pretreatment:: US Environmental Protection Agency Method 1631/1669 Questions: regarding EPA Methods 1631/1669, the Roy Byrd, 919-733-3908, ext. 213 Lab Staff, 919-733-3908 Sandy Mort, 919-733-2136, ext 245 Tom Belnick, 919-733-5083, ext 543 Tom Poe, 919-733-5083, ext 522 permittee may consult the Maria Gomez -Taylor, 202-566-1005 EPA Sample Control Center, 703-461-2100 Websites: http: / /www.epa.state.oh.us/dsw/guidance/permit l0att3.pdf The state of Ohio EPA provides an updated listing of laboratories providing contract services for EPA Method 1631, including costs, turnaround time, and lab contacts. The labs are identified for informational purposes only, and do not constitute an endorsement. The listed commercial laboratories may also provide advice on training, equipment, and sampling techniques appropriate for Method 1631. http: / /www.epa.gov/ost/methods/ 1631.html This EPA site provides information on the 1631 Method requirements and implementation guidance. http: / /www. esb . enr. state.nc. us /lab This DWQ site provides information on EPA Methods (including 1669 clean sampling techniques). and a listing of state -certified labs for EPA Method 1631. http://www.h2o.enr.state.nc.us/NPDES/NPDESweb.html;click Documents This DWQ website includes a copy of this letter plus a list of facilities currently subject to EPA Method 1631. Conclusion The Division realizes that changing the method of mercury measurement will not be without difficulty on the part of the permittees. The requirement will affect approximately 155 facilities with mercury limits and/or monitoring requirements. These permittees will need to evaluate available laboratories, costs, and sampling techniques. For these reasons, the implementation date for EPA Method 1631 was delayed until September 1, 2003. The Division thanks you for your cooperation and understanding in this matter. If you have any questions about the contents of this letter, please contact the applicable staff listed above. Sincerely, J. William Reid, PE Supervisor, Point Source Branch cc (hardcopy): CLANC. c/o Lew Hicks, Environmental Chemistry Inc.. 6602 Windmill Way, Wilmington. NC 28405 cc (email): EPA Region 4, Marshall Hyatt, Scott Gordon. Roosevelt Childress DWQ Water Quality Section; Coleen Sniltins Regional Offices DWQ Laboratory Section; Steve Tedder. Larry Ausley, Jim Meyer. Roy Byrd. Connie Brower DWQ Aquatic Toxicology Unit, Sandy Mort DWQ Pretreatment Unit, Tom Poe DWQ Modeling/TMDL. Michelle Woolfolk DWQ NPDES Compliance Unit, Shannon Langley DWQ NPDES Unit MCIC. Michael Johnson NC League of Municipalities. Paula Thomas Clean Water Fund of NC, Hope Taylor Severn Trent.Lab, Ohio. Mark Bruce NPDES Mercury Requirement , Page 3 of 3 A1( ," 7 t3 ATTACHMENT A Summary of EPA Methods 1631/ 1669 Effluent samples collected for mercury may become contaminated by numerous routes, including: 1) metal - containing labware, reagents, containers. and sampling equipment; 2) improperly cleaned or stored equipment; and 3) atmospheric mercury inputs in dirt and dust. Even human contact can be a source of mercury contamination (e.g., mercury amalgam fillings in the mouths of lab/field personnel can contaminate samples directly exposed to exhalation). Thus, it is essential that every effort be made to minimize sample contamination during collection. The US EPA provides recommendations to minimize contamination during sample collection in EPA Method 1669: Sampling Ambient Water for Determination of Trace Metals at EPA Water Quality Criteria Levels. This guidance describes a "clean hands/dirty hands" sampling technique to collect mercury samples, which is ideally performed with two people. A designated "clean hands" sampler handles all operations involving direct contact with the sample bottle. while the "dirty hands" sampler is responsible for all activities that do not involve direct contact with the sample bottle. This team sampling technique is recommended as a means to minimize sample contamination, but is not required. The US EPA is developing a trace metal sampling guidance strictly for effluent collection (Method 1670). The permittee will need to evaluate the various sampling recommendations and develop a sampling strategy appropriate for their particular situation. The overall philosophy behind any mercury, sampling strategy should be to ensure that any object or substance that contacts the sample is nonmetallic and free from any material that may contain metals, in order to produce a reliable mercury measurement. Requirements and recommendations for EPA Method 1631 and clean sampling for low level mercury include: • It is strongly recommended that the permittee discuss sample collection, preservation, and shipping requirements with their laboratory, to ensure that the most current requirements of Method 1631 will be met. There have been several revisions to EPA Method 1631, and Revision D is proposed. • Each laboratory must perform and meet the minimum requirements of Method 1631 Quality Control. ■ Effluent samples for mercury analysis must be collected in clean fluoropolymer or borosilicate glass containers. It is recommended that the permittee request appropriate clean sample bottles or a mercury sampling kit from their lab. Method 1631 requires that a minimum of one field blank accompany each set of samples collected at a given site. The field blank is used to identify contamination from sample collection and transport. If mercury is present in the field blank at levels that would compromise reliable measurement of mercury in the wastewater sample, you should assume that the sample was contaminated during collection or transit, and you will need to eliminate any source of contamination that has been identified and possibly resample. Including the field blank, the permittee should budget for two samples per monitoring event. • Samples must be preserved or analyzed within 48-hours after collection. Samples do not need to be refrigerated/iced during shipment provided they are tightly capped, shipped overnight to the lab, and preserved or analyzed by the lab within 48 hours of collection (per Draft Revision D). ■ If the samples are preserved within 48 hours, then they have a maximum holding time of 90 days prior to analysis (per Draft Revision D). • Sampling personnel must wear clean, non -talc latex gloves during sample collection and handling. • EPA currently recommends that mercury samples for Method 1631 analysis be collected as grab samples, since automatic composite samplers may be subject to contamination and loss of mercury via volatilization. Therefore, the Division will allow permittees to collect single grab samples directly into lab -provided sample bottles for permit requirements. The grab sample must be representative of the discharge. • If the person collecting the sample cannot directly reach the wastewater stream, a pole -type sampler may be attached to the sample bottle to extend the reach for sample collection. The pole and bottle clamp should be made of plastic and/or stainless steel and the mouth of the bottle should be held facing upstream of the pole. The use of a transfer vessel should be avoided. • All sampling equipment must be nonmetallic, or free of material that may contain metals. All materials that will directly or indirectly contact the sample must be cleaned using the procedures in Method 1631. • To minimize atmospheric contamination, do not sample during rainy weather or when the wind could blow dust particles into the sample bottle. To minimize human contamination, do not breathe into the sample bottle if you have mercury amalgam fillings in your teeth. • Sampling personnel should be trained in techniques for sampling mercury at low levels. Sample collection via the "clean hands/dirty hands" technique is recommended, but not required. • Since Method 1631 is performance -based, there is some flexibility in Method requirements. § 122.42 caused by operational error, improp- erly designed treatment facilities, in- adequate treatment facilities, lack of preventive maintenance, or careless or improper operation. (2) Effect of an upset. An upset con- stitutes an affirmative defense to an action brought for noncompliance with such technology based permit effluent limitations if the requirements of para- graph (n)(3) of this section are met. No determination made during adminis- trative review of claims that non- compliance was caused by upset, and before an action for noncompliance, is final administrative action subject to judicial review. (3) Conditions necessary for a dem- onstration of upset. A permittee who wishes to establish the affirmative de- fense of upset shall demonstrate, through properly signed, contempora- neous operating logs, or other relevant evidence that: (i) An upset occurred and that the permittee can identify the cause(s) of the upset; (ii) The permitted facility was at the time being properly operated; and (iii) The permittee submitted notice of the upset as required in paragraph (1)(6)(ii)(B) of this section (24 hour no- tice). (iv) The permittee complied with any remedial measures required under paragraph (d) of this section. (4) Burden of proof. In any enforce- ment proceeding the permittee seeking to establish the occurrence of an upset has the burden of proof. (Clean Water Act (33 U.B.C. 1251 et seq.), Safe Drinking Water Act (42 U.S.C. 300f et seq.), Clean Air Act (42 U.S.C. 7401 et seq.), Re- source Conservation and Recovery Act (42 U.S.C. 6901 et seq.)) (48 FR 14153, Apr. 1, 1983, as amended at 48 FR 39820, Sept. 1, 1983; 49 FR 38049, Sept. 26, 1984; 50 FR 4514, Jan. 31, 1985;, 50 FR 6940, Feb. 19, 1985; 54 FR 255, Jan. 4, 1989; 54 FR 18783, May 2, 1989; 65 FR 30908, May 15, 2000) § 122.42 Additional conditions appli- cable to specified categories of NPDES permits (applicable to State NPDES programs, see § 123.25). The following conditions, in addition to those set forth in §122.41, apply to all NPDES permits within the cat- egories specified below: 40 CFR Ch. I (7-1-00 Edition) (a) Existing manufacturing, commercial, mining, and silvicultural dischargers. In addition to the reporting requirements under § 122.41(1), all existing manufac- turing, commercial, mining, and sil- vicuitural dischargers must notify the Director as soon as they know or have reason to believe: (1) That any activity has occurred or will occur which would result in the discharge, on a routine or frequent basis, of any toxic pollutant which is not limited in the permit, if that dis- charge will exceed the highest of the following "notification levels": (i) One hundred micrograms per liter (100 µ g/1); (ii) Two hundred• micrograms per liter (200 µ g/1) for acrolein and acrylo- nitrile; five hundred micrograms per liter (500 µ g/1) for 2,4-dinitrophenoi and for 2-methyl-4,6-dinitrophenol; and one milligram per liter (1 mg/1) for anti- mony; (iii) Five (5) times the maximum con- centration value reported for that pol- lutant in the permit application in ac- cordance with §122.21(g)(7); or (iv) The level established by the Di- rector in accordance with § 122.44(f). (2) That any activity has occurred or will occur which would result in any discharge, on a non -routine or infre- quent basis, of a toxic pollutant which is not limited in the permit, if that dis- charge will exceed the highest of the following "notification levels": (i) Five hundred micrograms per liter (500 µ g/1); (ii) One milligram per liter (1 mg/1) for antimony; (iii) Ten (10) times the maximum concentration value reported for that pollutant in the permit application in accordance with §122.21(g)(7). (iv) The level established by the Di- rector in accordance with § 122.44(f). (b) Publicly owned treatment works. All POTWs must provide adequate notice to the Director of the following: (1) Any new introduction of pollut- ants into the POTW from an indirect discharger which would be subject to section 301 or 306 of CWA if it were di- rectly discharging those pollutants; and (2) Any substantial change in the vol- ume or character of pollutants being introduced into that POTW by a source Environmental Protection Agency introducing pollutants into the POTW at the time of issuance of the permit. (3) For purposes of this paragraph, adequate notice shall include informa- tion on (i) the quality and quantity of effluent introduced into the POTW, and (ii) any anticipated impact of the change on the quantity or quality of ef- fluent to be discharged from the POTW. (c) Municipal separate storm sewer sys- tems. The operator of a large or me- dium municipal separate storm sewer system or a municipal separate storm sewer that has been designated by the Director under § 122.26(a)(1)(v) of this part must submit an annual report by the anniversary of the date of the issuance of the permit for such system. The report shall include: (1) The status of implementing the components of the storm water man- agement program that are established as permit conditions; (2) Proposed changes to the storm water management programs that are established as permit condition. Such proposed changes shall be consistent with §122.26(d)(2)(iii) of this part; and (3) Revisions, if necessary, to the as- sessment of controls and the fiscal analysis reported in the permit appli- cation under § 122.26(d)(2)(iv) and (d)(2)(v) of this part; (4) A summary of data, including monitoring data, that is accumulated throughout the reporting year; (5) Annual expenditures and budget for year following each annual report; (6) A summary describing the number and nature of enforcement actions, in- spections, and public education pro- grams; (7) Identification of water quality im- provements or degradation; (d) Storm water discharges. The initial permits for discharges composed en- tirely of storm water issued pursuant to §122.26(e)(7) of this part shall require compliance with the conditions of the permit as expeditiously as practicable, but in no event later than three years after the date of issuance of the per- mit. [48 FR 14153, Apr. 1, 1983, as amended at 49 FR 98049, Sept. 28, 1984; 50 FR 4514, Jan. 31, 1985; 55 FR 48073, Nov. 16, 1990; 57 FR 60448, Dec. 18, 1992] § 122.43 Establishing permit (applicable to State pro § 123.26). (a) In addition to conditioi in all permits (§§ 122.41 and Director shall establish con required on a. case -by -case provide for and assure comp] all applicable requirements c regulations. These shall inc] tions under §§ 122.46 (durati mits), 122.47(a) (schedules ante), 122.48 (monitoring), al permits only 122.47(b) schedule of compliance) and : siderations under Federal lav (b)(1) For a State issued applicable requirement is a ; utory or regulatory requiren takes effect prior to final a tive disposition of a permit. mit issued by EPA, an app quirement is a statutory or requirement (including an. final regulation) which to prior to the issuance of tl Section 124.14 (reopening of period) provides a means for EPA permit proceedings at • tion of the Director where ne ments become effective durii mitting process and are of magnitude to make additi ceedings desirable. For Statt administered programs, an requirement is also any re which takes effect prior to fication or revocation and rei a permit, to the extent a § 122.62. (2) New or reissued permi the extent allowed under § 1'; fied or revoked and reissues shall incorporate each of the requirements referenced in §f 122.45. (c) Incorporation. All perr tions shall be incorporated pressly or by reference. If in< by reference, a specific citat applicable regulations or req must be given in the permit. [48 FR 14153, Apr. 1, 1983, as am FR 30908, May 15, 2000] MEMO Division of Water Quality Winston-Salem Regional Office April 12, 2004 Memorandum to: LeToya Fields, NPDES Unit Through: From: Subject: Steve W. Tedder WSRO Water Quality Supervisor Rose Pruitt Environmental Tech IV Frye Bridge WWTP Draft NPDES Permit, NC0065587 request for comments, Forsyth County Archie Elledge WWTP Draft NPDES Permit, NC0037834 request for comments, Forsyth County Three R's Mobile Home Park Draft NPDES Permit, NC0051489 request for comments, Forsyth County I have no comments on the draft permits at this time. imap://sergei.chernikov%40dwq.denr.ncmail.net @cros.ncmail.net:143... Subject: Draft Permit reviews (3) From: John Giorgino <john.giorgino@ncmail.net> Date: Mon, 29 Mar 2004 14:23:44 -0500 To: sergei chernikov <sergei.chernikov@ncmail.net> Sergei, I have reviewed the following: NC0024112 Hamby Creek WWTP NC0037834 Archie Elledge WWTP NC0029246 Norfolk Southern Railway I have no comments concerning the tox sections. Thank you for sending them to our unit for review. John Giorgino Environmental Biolocrist North Carolina Division of Water Quality Aquatic Toxicology Unit Mailing Address: 1621 MSC Raleigh, NC 27699-1�21 Office: 919 733-213+ Fax: 919 733-9959 EmaiJ : John.Giorgino@ncmail.net WEB:.) Page: htto:!!ww.;.esb.enr.state.nc.us 1 of 1 4/ 14/2 004 10:44 AM Whole Effluent Toxicity Testing Self -Monitoring Summary February 16, 2C04 FACILITY REQUIREMENT YEAR JAN FEB MAR APR MAY JUN JUL AUG SEP OCT 'NOV DEC Wilmington Northslde WWTP 24hr p/f ac lim: 90% D. pules Y 2000 - NR/Pass - - Pass - - Pass - - Pass.Fail NC0023965/001 Begin:8/1/1996 Frcqucncy Q + Feb May Aug Nov NonComp Single 2001 - Pass - - Pass - - Pass - - Pass County:NewHanovcr Region: WIRO Subbasin: CPF17 2002 - Pass - - Pass - - Pass - - Pass PF: 8.0 Special 2003 - Pass - - Pass - - Pass - - Pass 7Q10: Tidal IWC(%; NA 2004 Wilmington Southside \VWTP-1M1'Kean 24hr p/f ac lim: 90%, D. pules NC0023973/001 Begin:9/I/1996 Frcqucncy Q + Mar Jun Sep Dcc County: New Hanover Rcgion: WIRO Subbasin: CPF17 PF: 12.0 Special 7Q10: 1149 IWC(%;1.59 NonComp Single Y 2000 - - Pass - - Pass - - Pass - - Pass 2001 - - Pass - - Pass - - Pass - - Pass 2002 - - Pass - - Pass - - Pass - - Pass 2003 - - Pass - - Late Pass - Pass - - Pass 2004 Wilson Technical Community College 24hr LC50 ac monit cpis Rhd (Grab) NC0084581/001 Begin: I0/I/2003 Frcqucncy 5 OWD/A County: Wilson Rcgion: RRO Subbasin: NEU07 PF: 0.0144 Special 7Q10: 0.0 (WC('/.;100 NonComp 2000 - - - - - H 2001 - - - - - H 2002 - - - - - H 2003 _- - - - - - 2004 Wilson WWTP chr lim: 90'/, 2000 - Pass(s) - - Pass(s) - - Pass(s) - - Pass(s) - NC0023906/001 Bcgitt:2/I/2004 Frcqucncy Q Fcb May Aug Nov + NonComp Single 2001 - Pass(s) Pass - Pass(s) - - Fail(s) >100 >100(s) Fail(s) 33.5.>100 County: Wilson Region: RRO Subbasin: NEU07 2002 >100(s) Pass(s) - - Pass(s) - - Pass(s) - - Pass - PF: 14.0 Special 2003 - Pass(s) - - Pass(s) - - Pass(s) - - Pass(s) 7Q10: 0.5 I\VC(%; 97.37 2004 Windsor \V\VTP CHR LIM:90% 2000 >100 - - Pass - - Pass - - Pass NC0026751/001 Bcgin:1/I/2003 Frcqucncy Q Jan Apr Jul Oct + NonComp SINGLE 2001 Pass - - Pass - - Pass - - Pass County: Bertic Rcgion: WARO Subbasin: ROA10 2002 Pass - - Pass - - Fail 33.5 >100 Pass PF: 1.15 Special 2003 Pass - - Pass - - Pass - - Pass 7Q10: 0.0 IWC(%: 100 2004 Winston-Salem Archie Elledge WWTP P-2 chr lim: 76% NC0037834/001 Bcgin:8/1/1999 Frcqucncy Q Jun Apr Jul Oct County: Forsyth Rcgion: WSRO Subbasin: YADO4 PF: 30 Special 7Q10: 15.0 1\VC(%; 75.6 2000 >96 - - >96 - - >96 - - >96 NonComp ChV Avg 2001 >96 - - >96 - - >96 - - 80.8 2002 80.9 - - >96 - - >96 - - >96 2003 >96 - - >96 - - 00.0 - - >96>96 90.9,>96 2004 Winston-Salem Lower Muddy Crk P-2 chr lim: 5.5% 2000 >22 - - >22 - - >22 - - 15.56 NC0050342/001 Bcgin:7/1/1999 Frcqucncy Q Jan Apr Jul Oct + NonComp ChV Avg 2001 >22 - - >22 - - >22 - - >22 County: Forsyth Rcgion: WSRO Subbasin: YADO4 2002 3.89 >22 >22 >22 - - >22 - - >22 - PF: 21.0 Spccia! 2003 15.6 - - >22 - - >22 - - >22>22 >22>22 7Q10: 554.0 IWC(%' 5.5 2004 \Voodffn Sanitary WTP chr lim: 8% (Grab) NC0083178/001 Begin:12/I/2000 Frcqucncy Q tan Apr Jul Oct County: Buncombc Rcgion: ARO Subbasin: FRB02 PF:.03375 Special 7Q10: 0.61 IWC(%;8.0 + NonComp Singlc 2000 Pass - - Pass - - Pass - - Pass 2001 Pass - - Pass - - Fail >20 >20 Pass 2002 Pass - - Pass - - Pass - - Pass 2003 Pass - - Pass - - Pass - - Pass 2004 Wright Chemical Corp/001 chr lim: 34% NC0003395/00I Bcgin: I I/1/2000 Frcqucncy Q Fch May Aug Nov + NonComp Single County: Columbus Rcgion: WIRO Subbasin: CPFI 7 PF: 0.2 Special 7Q10: 0.6 I1VC(. ;34 2000 - Pass - - Pass - - Pass - - Fail >90 2001 48.1 Pass - - Pass - - Pass - - Pass - 2002 - late Pass - Pass - - Pass - - Late Pass 2003 - Late Pass - Pass - - Pass - - Fail >90 2004 Yadldnsille \VWTP chr lim: 50% NC0020338/001 Bcgin:8/1/1999 Frcqucncy Q P/F Jan Apr Jul Oct County: Yadkin Region: WSRO Subbasin: YADO2 PF: 2.5 Special 7QI0: 3.9 IWC('/.;50 + NonComp Single 2000 Pass - - Pass - - Pass - - Pass 2001 Pass - - Pass - - Pass - - Pass 2002 Pass - - Pass - - Pass - - Pass 2003 Pass - - Pass - - NR/Pass - - Pass 2004 Yanceyvllle WWTP chr lim: 37%; if pf 0.6 chr lim 44% NC00400I 1/001 Bcgin:5/I/I997 Frcqucncy Q P/F + Jan Apr Jul Oct County: Caswell Rcgion: WSRO Subbasin: ROA04 PF: 0.45 Special 7Q10: 1.2 IWC(%; 37 + NonComp Single 2000 Pass - - Pass - - Pass - - Pass 2001 Pass - - Fail >100 - NR/Pass - - Pass 2002 Pass - - Pass - - Pass - - Pass 2003 Pass - - Pass - - Pass - - Pass 2004 Pass Y Pre 2000 Data Available LEGEND: PERM = Pcrmit Rcquircment LET = Administrativc Letter - Target Frcqucncy = Monitoring frcqucncy: Q- Quarterly; M- Monthly; BM- Bimonthly; SA- Semiannually; A- Annually; OWD- Only when discharging; D- Discontinued monitoring requirement Bcgin = First month required Receiving stream low flow criterion (cfs + =quarterly monitoring increases to monthly upon failure or N Months that testing must occur - ex. Jan. Apr, Jul, Oct NonComp = Current Compliance Rcquircmcnt PF = Permitted flow (MGD) IWC% = Instrcam waste concentrati P/F = Pass/Fai! test AC = Acute CHR = Chronic Data Notation: f - Fathcad Minnow; • • Ceriodaphnia sp.; my - Mysid shrimp; ChV - Chronic vaiuc; P - Mortality of stated percentage at highest concentration; at - Performed by DWQ Aquatic Tox Unit; bt • Bad test Reporting Notation: •-- - Data not rcquircd; NR - Not rcporte Facility Activity Status: I - Inactive, N - Ncwly Issucd(To construct); H - Activc but not discharging: +-Mort data available for month in question; • = ORC signature nccdcd 48 NC0037834 Winston-Salem Upstream Downstream Date Temp D.O. Conductivity (QC) (mg/L) umhos/cm) Temp D.O. Conductivity (QC) (mg/L) umhos/cm) 07/01/1998 07/08/1998 07/16/1998 07/21/1998 07/28/1998 08/04/1998 08/11/1998 08/19/1998 08/28/1998 09/02/1998 09/12/1998 10/06/1998 10/21/1998 11/12/1998 12/04/1998 01/07/1999 02/10/1999 03/11/1999 04/08/1999 05/06/1999 05/14/1999 05/21/1999 05/24/1999 06/04/1999 06/09/1999 06/16/1999 06/21/1999 07/01/1999 07/09/1999 07/15/1999 07/23/1999 07/26/1999 08/04/1999 08/13/1999 08/18/1999 08/23/1999 08/30/1999 09/10/1999 09/15/1999 09/22/1999 09/29/1999 10/14/1999 11/04/1999 12/09/1999 01/13/2000 02/14/2000 25.0 7.2 26.0 4.6 25.0 7.8 26.0 6.8 25.0 6.6 202 27.0 5.9 652 26.0 7.4 28.0 7.1 25.0 6.6 27.0 6.4 23.0 7.3 203 27.0 6.3 698 25.5 6.7 27.0 6.3 24.5 7.1 182 26.5 6.0 618 27.0 8.2 29.0 6.0 22.5 6.5 241 26.5 5.5 780 24.5 7.2 26.0 6.9 18.0 7.8 209 23.0 6.6 788 14.5 9.1 205 19.0 6.7 730 11.0 9.2 123 14.0 8.2 400 9.0 9.2 185 15.0 7.2 737 3.0 11.0 196 6.5 10.2 455 9.0 10.0 168 12.5 8.8 486 3.5 8.0 228 10.0 11.2 584 15.2 9.3 156 17.9 8.3 488 17.1 8.3 144 18.9 7.7 436 16.3 8.4 16.5 8.2 16.7 8.3 183 19.7 7.3 516 21.1 7.9 22.3 7.1 18.5 8.1 21.0 7.2 22.9 6.5 203 25.5 5.8 707 20.4 6.4 156 23.8 5.9 626 18.0 8.3 20.9 7.5 23.9 6.0 25.3 5.9 22.5 7.1 24.0 6.4 20.2 7.1 174 23.8 6.1 615 25.7 6.4 222 28.2 5.9 785 24.6 7.0 27.8 6.0 22.7 5.2 217 26.5 4.8 770 23.9 6.0 27.7 5.2 24.3 6.5 207 27.7 5.4 788 19.5 7.4 22.5 7.0 18.0 7.7 21.5 7.0 18.5 7.4 21.0 7.0 18.0 7.2 207 22.0 7.0 728 14.5 8.4 187 17.0 8.0 439 18.0 8.3 20.0 7.6 16.4 8.0 185 19.8 7.3 516 8.0 9.1 173 14.3 7.2 588 5.6 9.4 198 12.1 7.3 586 6.9 10.7 153 10.5 8.0 420 6.5 9.7 114 8.2 10.3 275 03/20/2000 10.5 8.6 73 11.4 8.6 170 04/27/2000 16.3 7.1 153 18.3 7.5 513 05/03/2000 17.4 7.8 192 20.1 8.8 606 05/11/2000 18.6 7.3 21.3 6.8 05/18/2000 20.3 7.7 204 22.2 6.3 621 05/25/2000 21.7 5.7 22.0 6.2 06/02/2000 22.9 7.7 24.5 6.0 06/09/2000 19.8 8.4 22.3 6.6 06/15/2000 24.9 6.9 207 26.2 5.1 553 06/23/2000 23.3 7.7 209 25.4 6.1 619 06/30/2000 24.2 7.3 25.9 6.4 07/08/2000 24.3 7.5 23.8 7.2 07/14/2000 23.8 7.4 25.6 6.6 07/19/2000 24.4 7.1 211 26.3 5.6 697 07/24/2000 21.2 7.7 22.0 7.6 07/31/2000 25.0 7.4 27.5 5.7 08/11/2000 25.4 5.8 27.1 5.3 08/18/2000 23.9 8.0 26.9 5.9 08/26/2000 25.3 7.5 227 27.0 5.9 718 08/29/2000 21.9 6.4 192 24.4 6.0 604 08/31/2000 09/05/2000 22.2 6.7 23.5 4.4 09/12/2000 21.0 8.1 226 24.2 6.5 788 09/20/2000 23.0 8.4 116 23.9 7.5 438 09/29/2000 17.9 10.2 21.3 7.1 10/23/2000 16.5 10.0 202 20.6 6.2 720 11/13/2000 11.7 10.0 194 17.9 6.8 696 12/26/2000 0.4 13.5 199 7.2 10.5 584 01/22/2001 4.7 11.9 156 8.9 10.5 508 02/12/2001 5.6 12.2 204 10.1 10.5 566 03/21/2001 9.2 11.0 106 10.8 10.0 297 04/09/2001 22.9 8.8 177 22.0 8.2 592 05/03/2001 20.9 9.0 23.4 6.6 05/11/2001 20.3 8.1 23.4 6.8 05/14/2001 16.5 8.3 193 19.8 7.9 433 05/25/2001 20.5 6.9 115 21.4 6.8 337 05/30/2001 23.0 7.3 24.5 6.7 06/06/2001 24.3 7.2 204 26.9 5.9 836 06/12/2001 21.9 8.9 24.9 6.4 06/22/2001 25.8 7.1 207 27.9 6.0 772 06/27/2001 25.4 6.7 27.6 6.2 07/02/2001 24.7 5.5 26.8 5.3 07/17/2001 21.6 6.0 158 24.7 5.3 781 07/24/2001 23.3 5.1 160 26.0 5.1 772 07/30/2001 21.3 6.5 23.3 6.5 08/07/2001 23.8 5.8 193 26.4 5.1 898 08/13/2001 24.5 5.4 26.2 5.0 08/21/2001 22.2 5.8 174 25.7 5.2 817 08/27/2001 23.2 6.2 26.2 5.4 09/04/2001 21.2 5.6 25.0 5.1 09/11/2001 22.8 5.9 174 26.0 5.6 883 09/17/2001 18.2 6.1 20.7 5.6 09/25/2001 10/09/2001 11/13/2001 12/04/2001 01/15/2002 02/12/2002 03/05/2002 04/09/2002 05/07/2002 05/14/2002 05/21/2002 05/30/2002 06/04/2002 06/11/2002 06/20/2002 06/26/2002 07/01/2002 07/09/2002 07/16/2002 07/24/2002 08/06/2002 08/13/2002 08/20/2002 08/27/2002 09/03/2002 09/10/2002 09/19/2002 09/24/2002 10/08/2002 11/05/2002 12/03/2002 1 /7/2003 2/11/2003 3/18/2003 4/8/2003 5/6/2003 5/13/2003 5/20/2003 5/28/2003 6/3/2003 6/10/2003 6/17/2003 6/24/2003 7/15/2003 7/29/2003 8/12/2003 8/26/2003 9/9/2003 9/23/2003 18.8 6.9 89 21.4 6.5 413 10.3 8.6 148 13.9 7.9 682 7.5 9.7 98 10.7 9.1 539 7.8 9.7 83 10.7 9.2 473 3.2 10.3 127 4.3 10.1 503 5.2 10.8 97 7.7 10.4 371 3.0 10.9 86 5.8 10.8 363 14.7 7.6 16.5 6.5 18.3 6.8 216 19.8 6.1 587 18.6 7.5 21.5 6.6 15.7 8.2 16.8 7.2 22.8 6.4 156 23.7 6.0 396 25.7 5.7 26.6 5.4 22.7 5.6 283 24.0 5.3 593 21.6 5.5 22.8 5.3 27.1 5.6 362 28.5 5.3 749 26.4 5.8 27.3 5.4 24.2 5.6 322 25.4 5.2 687 26.1 5.6 26.7 5.4 27.8 5.5 354 28.3 5.3 712 26.4 5.5 326 27.7 5.2 686 27.6 5.4 28.8 5.1 28.2 5.4 387 28.8 5.3 682 23.4 6.0 23.5 5.8 24.1 5.9 24.1 5.7 22.3 5.8 273 23.1 5.6 563 22.7 6.2 22.8 6.0 22.4 5.9 307 23.1 5.6 611 20.9 6.1 311 21.5 6.0 504 12.8 7.1 184 13.5 7.0 322 6.2 10.0 148 6.9 9.8 342 5.1 10.1 129 5.7 9.8 283 4.6 10.4 248 5.4 10.3 321 12.5 9.9 121 13.3 9.7 223 14.1 9.3 112 14.4 9.4 201 16.8 9.5 17.0 9.1 18.3 7.6 182 18.5 7.8 274 17.5 8.3 17.8 8.6 18.6 8.9 168 18.8 9.1 203 17.9 8.8 18.0 8.3 19.4 7.9 116 19.8 7.8 167 19.6 8.6 19.9 8.4 20.7 7.6 245 20.3 7.8 297 22.2 7.4 169 22.5 7.4 212 24.5 6.9 209 24.7 7.1 268 22.9 8.5 121 23.1 8.6 159 23.6 6.8 173 24.0 6.7 212 20.6 7.2 221 20.6 7.5 261 20.6 7.5 62 21.0 7.3 93 Average Maximum Minimum 19.07 28.20 0.40 7.66 13.49 5.10 187.22 387.00 62.00 21.17 29.00 4.30 6.95 11.20 4.43 533.86 898.00 93.00 Facility Name = NPDES # = Qw (MGD) = 7Q10s (cfs)= IWC(%) = Winston-Salem NC0037834 30 15 75.61 FINAL RESULTS Silver Max. Pred Cw Allowable Cw 2.50 0.08 RESULTS Std Dev. Mean C.V. Number of data points Mull Factor = Max. Value Max. Pred Cw Allowable Cw 0.0000 2.5 0.0000 20 1.00 2.50 µg/1 2.50 µg/1 0.08 µg/I N3 Jfr; Parameter = Standard = Silver 0.06 Date n < Actual Data BDL=1/2DL 1 5 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 5 5 5 5 5 5 5 5 5 5 5 5 5 5 5 5 5 5 5 . Aul itv Ctl 2.50 2.50 2.50 2.50 2.50 2.50 2.50 2.50 2.50 2.50 2.50 2.50 2.50 2.50 2.50 2.50 2.50 2.50 2.50 2.50 t f• Facility Name = NPDES # = Qw (MGD) = 7Q10s (cfs)= 1WC (%) = Winston-Salem NC0037834 30 15 75.61 FINAL RESULTS Arsenic Max. Pred Cw Allowable Cw 2.50 ff. 66.1 RESULTS Std Dev. Mean C.V. Number of data points Mult Factor = Max. Value Max. Pred Cw Allowable Cw 0.0000 2.5 0.0000 10 1.00 2.5 µg/I 2.50 µg/1 66.1 µg/1 Parameter = Standard = Date n < Actual Data 1 < 5.0 2 < 5.0 3 < 5.0 4 < 5.0 5 < 5.0 6 < 5.0 7 < 5.0 8 < 5.0 9 < 5.0 10 < 5.0 N, Arsenic 50.0 BDL=1/2DL 2.5 2.5 2.5 2.5 2.5 2.5 2.5 2.5 2.5 2.5 Facility Nance = NPDES # = Qw (MGD) = 7Q10s (cfs)= IWC (%) = Winston-Salem NC0037834 30 15 75.61 FINAL RESULTS Cadmium Max. Pred Cw Allowable Cw 2.6 2.6 RESULTS Std Dev. Mean C.V. Number of data points Mult Factor = Max. Value Max. Pred Cw Allowable Cw 0.1813 2.5 0.0733 94 1.05 2.5 µg/1 2.6 µg/1 2.6 µg/1 Parameter = Standard = Cadmium 2.0 Date n < Actual Data BDL=1/2DL 1 < 5.0 2.50 2 < 5.0 2.50 3 < 5.0 2.50 4 < 5.0 2.50 5 < 5.0 2.50 6 < 5.0 2.50 7 < 5.0 2.50 8 < 5.0 2.50 9 < 5.0 2.50 10 < 5.0 2.50 11 < 5.0 2.50 12 < 5.0 2.50 13 < 5.0 2.50 14 < 5.0 2.50 15 < 5.0 2.50 16 < 5.0 2.50 17 < 5.0 2.50 18 < 5.0 2.50 19 < 5.0 2.50 20 < 5.0 2.50 21 < 5.0 2.50 22 < 5.0 2.50 23 < 5.0 2.50 24 < 5.0 2.50 25 < 5.0 2.50 26 < 5.0 2.50 27 < 5.0 2.50 28 < 5.0 2.50 29 < 5.0 2.50 30 < 5.0 2.50 31 < 5.0 2.50 32 < 5.0 2.50 33 < 5.0 2.50 34 < 5.0 2.50 35 < 5.0 2.50 36 < 5.0 2.50 37 < 5.0 2.50 38 < 5.0 2.50 39 < 5.0 2.50 40 < 5.0 2.50 41 < 5.0 2.50 42 < 5.0 2.50 43 < 5.0 2.50 44 < 5.0 2.50 45 < 5.0 2.50 µg/1 46 < 5.0 2.50 47 < 5.0 2.50 48 < 5.0 2.50 49 < 5.0 2.50 50 < 5.0 2.50 51 < 2.5 1.25 52 < 5.0 2.50 53 < 5.0 2.50 54 < 5.0 2.50 55 < 5.0 2.50 56 < 5.0 2.50 57 < 5.0 2.50 58 < 2.5 1.25 59 < 5.0 2.50 60 < 5.0 2.50 61 < 5.0 2.50 62 < 5.0 2.50 63 < 5.0 2.50 64 < 5.0 2.50 65 < 5.0 2.50 66 < 5.0 2.50 67 < 5.0 2.50 68 < 5.0 2.50 69 < 5.0 2.50 70 < 5.0 2.50 71 < 5.0 2.50 72 < 5.0 2.50 73 < 5.0 2.50 74 < 5.0 2.50 75 < 5.0 2.50 76 < 5.0 2.50 77 < 5.0 2.50 78 < 5.0 2.50 79 < 5.0 2.50 80 < 5.0 2.50 81 < 5.0 2.50 82 < 5.0 2.50 83 < 5.0 2.50 84 < 5.0 2.50 85 < 5.0 2.50 86 < 5.0 2.50 87 < 5.0 2.50 88 < 5.0 2.50 89 < 5.0 2.50 90 < 5.0 2.50 91 < 5.0 2.50 92 < 5.0 2.50 93 < 5.0 2.50 94 < 5.0 2.50 Facility Name = NPDES # = Qw (MGD) = 7Q10s (cfs)= IWC (%) = Winston-Salem NC0037834 30 15 75.61 FINAL RESULTS Copper Max. Pred Cw Allowable Cw 29.0 9.3 RESULTS Std Dev. Mean C.V. Number of data points Mutt Factor = Max. Value Max. Pred Cw Allowable Cw 3.7120 8.1 0.4583 • 20 1.93 15.0 µg/I 29.0 µg/1 9.3 µg/1 No i v‘j- Parameter = Standard = Copper 7.0 Date n < Actual Data BDL=1/2DL 1 < 2 < 3 4 5 < 6 7 < 8 < 9 < 10 11 12 < 13 < 14 < 15 < 16 17 18 < 19 20 10 10 15 10 10 10 10 10 10 12 11 10 10 10 10 14 12 10 13 10 0.-tA ary eA/€1) 5.0 5.0 15.0 10.0 5.0 10.0 5.0 5.0 5.0 12.0 11.0 5.0 5.0 5.0 5.0 14.0 12.0 5.0 13.0 10.0 J • Facility Name = NPDES # = Qw (MGD) = 7QlOs (cfs)= 1WC (%) = Winston-Salem NC0037834 30 15 75.61 FINAL RESULTS Chromium Max. Pred Cw Allowable Cw 17.6 66.1 RESULTS Std Dev. Mean C.V. Number of data points Malt Factor = Max. Value Max. Pred Cw Allowable Cw 1.6654 5.2 0.3203 20 1.60 11.0 µg/1 17.6 µg/1 66.1 µg/1 AtAdtk-t- Np Date Parameter = Standard = Chromium 50.0 n < Actual Data BDL=1/2DL µg/I 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 5 10 7 10 10 5 10 10 10 10 10 10 6 10 10 10 10 11 10 10 2.5 5.0 7.0 5.0 5.0 2.5 5.0 5.0 5.0 5.0 5.0 5.0 6.0 5.0 5.0 5.0 5.0 11.0 5.0 5.0 Facility Name = NPDES # = Qw (MGD) = 7Q1Os (cfs)= 1WC(%) = Winston-Salem NC0037834 30 15 75.61 FINAL RESULTS Nickel Max. Pred Cw Allowable Cw 16.315 116.4 RESULTS Std Dev. Mean C.V. Number of data points Mult Factor = Max. Value Max. Pred Cw Allowable Cw 1.9270 9.4 0.2061 20 1.36 12.000 µg/1 16.315 µg/l 116.4 µg/1 2 4tj-j iL �m 1= Date n < Parameter = Standard = Nickel 88.0 Actual Data BDL=1/2DL 1 < 2 3 4 5 6 7 8 9 10 < 11 < 12 < 13 < 14 < 15 < 16 < 17 < 18 < 19 < 20 < 10 20 12 20 20 10 20 20 20 20 20 20 10 20 20 20 20 20 20 20 5.000 10.000 12.000 10.000 10.000 5.000 10.000 10.000 10.000 10.000 10.000 10.000 5.000 10.000 10.000 10.000 10.000 10.000 10.000 10.000 µg/1 • •S1 • r Facility Name = NPDES # = Qw (MGD) = 7Q10s (cfs)= IWC(%) = Wonston-Salem NC0037834 30 15 75.61 FINAL RESULTS Lead Max. Pred Cw Allowable Cw 16.8 33.065 RESULTS Std Dev. Mean C.V. Number of data points Mutt Factor = Max. Value Max. Pred Cw Allowable Cw 2.9553 8.4 0.3529 20 1.68 10.0 µg/1 16.8 µg/I 33.1 µg/I A-- N'ort- t Parameter = Standard = Lead 25.0 Date n < Actual Data BDL=1 /2 DL 1 < 5 2.5 2 < 20 10.0 3 < 5 2.5 4 < 20 10.0 5 < 20 10.0 6 < 5 2.5 7 < 20 10.0 8 < 20 10.0 9 < 20 10.0 10 < 20 10.0 11 < 20 10.0 12 < 20 10.0 13 < 10 5.0 14 < 20 10.0 15 < 20 10.0 16 < 20 10.0 17 < 20 10.0 18 < 20 10.0 19 < 20 10.0 20 < 10 5.0 ' Facility Name = NPDES # = Qw (MGD) = 7QIOs (cfs)= IWC (%) = Wonston-Salem NC0037834 30 15 75.61 FINAL RESULTS Zinc Max. Pred Cw Allowable Cw Allowable #/day 305.1 66.1 0.0, RESULTS Std Dev. Mean C.V. Number of data points Mull Factor = Max. Value Max. Pred Cw Allowable Cw 34.9069 116.3 0.3002 20 1.56 196.0 µg/1 305.1 µg/1 66.1 µg/1 Po Parameter = Standard = Zinc 50.0 Date n < Actual Data BDL=1/2DL 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 131 156 146 167 110 99.6 122 116 65 121 84 56 121 73 76 112 196 131 116 127 1-4 _ ;,Ie v� [74 131.0 156.0 146.0 167.0 110.0 99.6 122.0 116.0 65.0 121.0 84.0 56.0 121.0 73.0 76.0 112.0 196.0 131.0 116.0 127.0 d• Facility Name = NPDES # = Qw (MGD) = 7Q1Os (cfs)= 1WC (%) = Winston-Salem NC0037834 30 15 75.61 FINAL RESULTS Cyanide Max. Pred Cw Allowable Cw 10.0 6.6 RESULTS Std Dev. Mean C.V. Number of data points Mult Factor = Max. Value Max. Pred Cw Allowable Cw 0.0000 10.0 0.0000 43 1.00 10.0 µg/1 10.0 µg/1 6.6 µg/1 Nu IiW�il c�ll Juw Parameter = Standard = Date n < Actual Data 1 < 2 < 3 < 4 < 5 6 < 7 < 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 < 41 < 42 < 43 < 20 Cyanide 5.0 20 20 20 20 20 20 20 20 20 20 20 20 20 20 20 20 20 20 20 20 20 20 20 20.0 20.0 20.0 20.0 20.0 20.0 20.0 20.0 20.0 20.0 20.0 20.0 20.0 20.0 20.0 20.0 20.0 20.0 20.0 BDL=1/2DL 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 10.0 !tg/1 g ! ;J 0 .4 4 • Facility Name = NPDES # = Qw (MGD) = 7Q10s (cfs)= 1WC(%)= Winston-Salem NC0037834 30 15 75.61 FINAL RESULTS Selenium Max. Fred Cw Allowable Cw 80.2 6.6 RESULTS Std Dev. Mean C.V. Number of data points Malt Factor = Max. Value Max. Pred Cw Allowable Cw 6.2236 6.9 0.9053 20 3.21 25.0 µg/1 80.2 µg/1 6.6 µg/1 11(AA-A = 56JjiL /1/4 bvi-61. Parameter = Standard = Selenium 5.0 Date n < Actual Data BDL=1/2DL 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 10 10 10 10 10 10 50 10 50 10 10 10 10 10 10 5 10 10 10 10 5.0 5.0 5.0 5.0 5.0 5.0 25.0 5.0 25.0 5.0 5.0 5.0 5.0 5.0 5.0 2.5 5.0 5.0 5.0 5.0 • i• Facility Name = NPDES # = Qw (MGD) = 7Q10s (cfs)= 1WC (%) = Winston-Salem NC0037834 30 15 75.61 FINAL RESULTS Mercury Max. Pred Cw Allowable Cw 0.02404 0.01587 RESULTS Std Dev. Mean C.V. Number of data points Mult Factor = Max. Value Max. Pred Cw Allowable Cw 0.00193 0.00372 0.51810 5 3.526 0.00682 AO 0.02404 µg/1 0.01587 µg/1 Parameter = Standard = Mercury 0.012 Date n < Actual Data. BDL=1/2DL 1 0.00149 0.00149 2 0.00682 0.00682 3 0.00341 0.00341 4 0.00346 0.00346 5 0.00341 0.00341 µgll s � J Winston-Salem • Forsyth County /County Utilities ater • Sewer • Solid Waste Disposal Manson Mcads Complex • 2799 Griffith Road • Winston-Salem, NC 27103 • 'lel 336.765.013(1 • Fax 336.659.4320 December 17, 2003 Mr. Charles H. Weaver, Jr. North Carolina Department of Environment and Natural Resources Division of Water Quality/Point Source Branch 1617 Mail Service Center Raleigh, N.C. 27699-1617 Dear Mr. Weaver: CENR-WATER QIJALrrY (- 1•`c!NT SOL1ilCc Ei}iAty( rf Re: Request for NPDES Permit Renewal Archie Elledge WWTP (NC0037834) City of Winston-Salem The City of Winston-Salem requests the simple renewal of the NPDES permit for our Archie Elledge Wastewater Treatment Plant (NC0037834). This permit expires on June 30, 2004. We are not requesting an increase in permitted flow at this time and the permit limitations should reflect the current 30 MGD limit. The application and the supporting documents requested in your August 15, 2003 Renewal Notification Letter are attached. Please note that our monitoring program did not include all the parameters required by the EPA's permit application form (EPA 3510-2A) when we were notified last August that we were now required to use this form. We have been trying to get the additional monitoring performed in time to meet the deadline but we have been unable to do so. Commercial labs are inundated with samples from other permit holders and we have not performed any of the EPA 1631 mercury monitoring because special equipment needed to collect the samples has not been delivered. We cannot collect these samples by "hand" as required by the protocol so a special pump must be used. We have completed one of the three priority pollutant scans required by EPA and two of the three multi -species bioassay tests. Samples for two more priority pollutant scans have been shipped to our contract lab but the results were not available in time to include them in this application package. Sampling for the final multi -species bioassay test is scheduled for early January 2004. Mr. Charles Weaver December 16, 2003 Page 2 We spoke to Mark McIntyre about this matter and he instructed us to provide all the data we currently have in our application and to submit amendments to the application when the additional data is obtained. We plan to submit amendments on or before January 30, 2004 for Section B.6 of page 8 of 22, a revised Part D and a revised sheet 17 of 22 for the portion of Part E that includes the data on bioassay test #22. The amended Part D will include the low-level mercury monitoring data. Also note that no topographic maps are included to show the locations of our biosolids disposal sites. Our disposal strategy uses land application and land filling of dewatered sludge and a tremendous number of topographical maps would be required to cover all our disposal sites. We contacted Mark McIntyre and explained that we felt it was unnecessary to provide these maps because they were included in the renewal application for our land application program that was submitted to DWQ December 12, 2003. Mark agreed that it was not necessary to submit this information twice and for us to explain this situation in our cover letter. There have been several changes at the plant since the last permit was issued in 1999. This information is provided below: • Facilities were constructed to allow for chlorination and dechlorination processes using sodium hypochlorite and sodium bisulfite rather than chlorine and sulfur dioxide gas. This safety improvement went on line in July 1999. • Facilities were constructed to enable the plant's activated sludge basins to operate in a step -feed mode rather than plug flow. Construction was complete on October 27, 2000. • Dewatering facilities and a truck loading station were constructed and placed into service in early January 2001. These facilities are designed to process twenty-five dry tons of biosolids daily. We have received instructions from Madolyn Dominy at EPA's Region IV office that we are not required to submit them a copy of our Land Application Program renewal application when we apply for renewal of our NPDES Permit. Region IV does not intend to process the application. This is contrary to the requirements mandated by the 503 Mr. Charles Weaver December 7, 2003 Page 3 Sludge Regulations, but we are complying with Region IV's instructions regarding this matter. We have also received instructions from Marshall Hyatt at EPA Region IV as to how to average monitoring data for submission in Part D of the renewal application. We were unsure how EPA wanted an average calculated for monitoring data when the majority of the monitoring data was reported as less than the detection level. EPA instructed us to only average the results for monitoring events that were above the detection level and provide an attachment giving information as to the total number of monitoring events that produced results less than the detection limit. In cases where all the data were less than the detection level, we were to report the maximum daily and the average as being less than detection level. Thank you for your cooperation. If you or your staff has any questions regarding the content of this application or if you need additional information please contact Mr. Stan Webb at (336) 765-0130. Since David K. Sa . : ers P.E. Director of Utilities City of Winston-Salem CC: Stan Webb, Plant Manager Frank Crump, Plant Supervisor Ref: L 120703a 558 1600000 FEET 559 ;hed by the Geological Survey Ind North Carolina Geodetic Survey ompiled from 3 thods 1949-1950 forth American datum rth Carolina coordinate system h only erse Mercator grid ticks, ompiled from aerial This information not field checked MN 315 62 MILS 0°24` 7 MILS 560 20' UTM GRID AND 1971 MAGNETIC NORTH DECLINATION AT CENTER OF SHEET \------/-*4"4-rS 1000 561 0 1000 H { H .5 (WELC*'ME) 4955 IV NE SCALE 1:24000 0 2000 3000 0 4000 5000 FRIEDBUR 6000 2.3 MI. 7000 FEET 1 KILOMETER CONTOUR INTERVAL 10 FEET DATUM IS MEAN SEA LEVEL NOTE: 'A MILE AREA AROUND PLANT IS HIGHLIGHTED IN YELLOW WATER BODIES WITHIN V MILE OF PLANT ARE HIGHLIGHTED IN BLUE LOCATIONS OF WELLS WITHIN'/< OF PLANT ARE DENOTED BY RED DOTS. ROUTES OF INFLUENT OUTFALLS FEEDING THE PLANT ARE NOTED BY ORANGE LINES _ff � I 1 MILE womo 0T EMI :�� 17'30" 564 565 LOCATION MAP ARCHIE ELLEDGE WWTP NPDES # NC0037834 FROM USGS SURVEY MAP: 1971 FORSYTH COUNTY, N.C. WINSTON-SALEM WEST QUADRANT SCALE 1:24000 566 Heavy-duty__ Medium -duty U. L;. WIN KIMEL OUTFALL 1.42 MGD SALEM OUTFALL 13.56 MGD SOUTHFORK OUTFALL 5.30 MGD .107 MGD 20.47 MGD A PRE-TREATMENT BASIN (NIS) CFNTRATF -* DEWATERING FACILITY .085 MGD .127 MGD LINED LANDFILL DISPOSAL 2400 DRY TONS/YEAR 1 D E W A I N .192 MGD A SCREENING & GRIT REMOVAL 20.75 MGD , PRIMARY CLARIFIER ANAEROBIC DIGESTER SYSTEM .152 MGD .087 MGD .052 MGD 00.0 MGD SLUDGE LAGOONS I L ..282 MGD A GRAVITY BELT THICKNER .284 MGD SAND DRYIN BEDS (NIS) LAND APPLICATION 13 MG/YEAR OVER THE LAST 2 FISCAL YEARS PROCESS FLOW DIAGRAM ARCHIE ELLEDGE WWTP WINSTON-SALEM, NC NPDES # NC0037834 Oct. 2002 - Sept. 2003 .255 MGD SLUDGE HOLDING TANK LEGEND NIS = NOT IN SERVICE RAS = RETURN ACTIVATED SLUDGE WAS = WASTE ACTIVATED SLUDGE = WASTEWATER FLOW = SOLIDS FLOW H 17.9 MGD V E R F L 0 WRAS .539 MGD RAS HYPOCHLORITE ADDITION ► 20,6 MGD 38.76 MGD ACTIVATED SLUDGE BASIN 38.76 MGD FINAL CLARIFIERS 1 1 R 4 MOD 1012 GPD BISULFI'rE ADDITION 20.41 MGD CONTACT CHAMBER 232 GPD • 20.41 MGD DISCHARGE TO SALEM CREEK 20.41 MGD ► 227 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin SUPPLEMENTAL APPLICATION INFORMATION PART F. INDUSTRIAL USER DISCHARGES AND RCRA/CERCLA WASTES All treatment works receiving discharges from significant industrial users complete part F. GENERAL INFORMATION: or which receive RCRA,CERCLA, ot, an approved pretreatment program? Users (ClUs). Provide the number 15 or other remedial wastes must of each of the following types of questions F.3 through F.8 and F.1. Pretreatment program. Does the treatment works have, or is subject 13 Yes ❑ No F.2. Number of Significant Industrial Users (SIUs) and Categorical Industrial industrial users that discharge to the treatment works. a. Number of non -categorical SIUs. b. Number of CIUs. 14 SIGNIFICANT INDUSTRIAL USER INFORMATION: to the treatment works, copy Supply the following information for each SIU. If more than one SIU discharges provide the information requested for each SIU. F.3. Significant Industrial User Information. Provide the name and address of each SIU discharging to the treatment works. Submit additional pages as necessary. Name: Adele Knits, Inc. Mailing Address: 3304 Old Lexington Road Winston-Salem, NC 27107 F.4. Industrial Processes. Describe all the industrial processes that affect or contribute to the SIU's discharge. Dye Nylon and Polyester Yarns F.5. Principal Product(s) and Raw Material(s). Describe all of the principal processes and raw materials that affect or contribute to the SIU's discharge. Principal product(s): Synthetic Circular Knit Fabric Rawmaterial(s): Nylon, Polyester Yarn, Acid Dyes and Disperse Dyes F.6. Flow Rate. a. Process wastewater flow rate. Indicate the average daily volume of process wastewater discharge into day (gpd) and whether the discharge is continuous or intermittent. 31,500 gpd ( continuous or X intermittent) the collection system in gallons per into the collection system b. Non -process wastewater flow rate. Indicate the average daily volume of non -process wastewater flow discharged in gallons per day (gpd) and whether the discharge is continuous or intermittent. gpd ( continuous or intermittent) F.7. Pretreatment Standards. Indicate whether the SIU is subject to the following: a. Local limits ?at Yes ❑ No b. Categorical pretreatment standards 0 Yes ® No If subject to categorical pretreatment standards, which category and subcategory? EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 18 of 22 ,11 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin F.8. Problems at the Treatment Works Attributed to Waste Discharge by the SIU. Has the SIU caused or contributed to any problems (e.g., upsets, interference) at the treatment works in the past three years? ❑ Yes E1 No If yes, describe each episode. Adele Knits, Inc. RCRA HAZARDOUS WASTE RECEIVED BY TRUCK, RAIL, OR DEDICATED PIPELINE: F.9. RCRA Waste. Does the treatment works receive or has it in the past three years received RCRA hazardous waste by truck, rail or dedicated pipe? ❑ Yes ®. No (go to F.12) F.10. Waste transport. Method by which RCRA waste is received (check all that apply): 0 Truck ❑ Rail 0 Dedicated Pipe F.11. Waste Description. Give EPA hazardous waste number and amount (volume or mass, specify units). EPA Hazardous Waste Number Amount Units CERCLA (SUPERFUND) WASTEWATER, RCRA REMEDIATION/CORRECTIVE ACTION WASTEWATER, AND OTHER REMEDIAL ACTIVITY WASTEWATER: F.12. Remediation Waste. Does the treatment works currently (or has it been notified that it will) receive waste from remedial activities? ❑ Yes (complete F.13 through F.15.) ® No F.13. Waste Origin. Describe the site and type of facility at which the CERCLA/RCRA/or other remedial waste originates (or is excepted to origniate in the next five years). F.14. Pollutants. List the hazardous constituents that are received (or are expected to be received). Include data on volume and concentration, if known. (Attach additional sheets if necessary.) F.15. Waste Treatment. a. Is this waste treated (or will be treated) prior to entering the treatment works? ❑ Yes ❑ No If yes, describe the treatment (provide information about the removal efficiency): b. Is the discharge (or will the discharge be) continuous or intermittent? ❑ Continuous 0 Intermittent If intermittent, describe discharge schedule. END OF PART F. REFER TO THE APPLICATION OVERVIEW (PAGE 1) TO DETERMINE WHICH OTHER PARTS OF FORM 2A YOU MUST COMPLETE EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. P-q= 19 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin SUPPLEMENTAL APPLICATION INFORMATION PART F.INDUSTRIAL USER DISCHARGES AND,RCRA/CERCLA WASTES All treatment works receiving discharges from significant industrial users or which receive RCRA,CERCLA, complete part F. GENERAL INFORMATION: F.1. Pretreatment program. Does the treatment works have, or is subject ot, an approved pretreatment program? L Yes ❑ No F.2. Number of Significant Industrial Users (SIUs) and Categorical Industrial Users (ClUs). Provide the number industrial users that discharge to the treatment works. a. Number of non -categorical SIUs. 15 or other remedial wastes must of each of the following types of questions F.3 through F.8 and b. Number of CIUs. 14 SIGNIFICANT INDUSTRIAL USER INFORMATION: Supply the following information for each SIU. If more than one SIU discharges to the treatment works, copy provide the information requested for each SIU. F.3. Significant Industrial User Information. Provide the name and address of each SIU discharging to the treatment works. Submit additional pages as necessary. Name: B/E Aerospace Inc. Mailing Address: 1455 Fairchild Road Winston-Salem, NC 27105 F.4. Industrial Processes. Describe all the industrial processes that affect or contribute to the SIU's discharge. Metal Finishing F.5. Principal Product(s) and Raw Material(s). Describe all of the principal processes and raw materials that affect or contribute to the SIU's discharge. Principalproduct(s): Parts for aircraft seats Rawmaterial(s): Aluminum, steel, cleaners, acids, caustic and nickel F.6. Flow Rate. a. Process wastewater flow rate. Indicate the average daily volume of process wastewater discharge into day (gpd) and whether the discharge is continuous or intermittent. 5,517 gpd ( continuous or x intermittent) the collection system in gallons per into the collection system b- Non -process wastewater flow rate. Indicate the average daily volume of non -process wastewater flow discharged in gallons per day (gpd) and whether the discharge is continuous or intermittent. gpd ( continuous or intermittent) F.7. Pretreatment Standards. Indicate whether the SIU is subject to the following: a. Local limits ® Yes ❑ No b. Categorical pretreatment standards ® Yes ❑ No If subject to categorical pretreatment standards, which category and subcategory? 40 CFR 433 Subpart A EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 18 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin F.8. Problems at the Treatment Works Attributed to Waste Discharge by the SIU. Has the SIU caused or contributed to any problems (e.a., upsets, interference) at the treatment works in the past three years? 0 Yes ® No If yes, describe each episode. B/E Aerospace Inc. RCRA HAZARDOUS WASTE RECEIVED BY TRUCK, RAIL, OR DEDICATED PIPELINE: F.9. RCRA Waste. Does the treatment works receive or has it in the past three years received RCRA hazardous waste by truck, rail or dedicated pipe? 0 Yes ® No (go to F.12) F.10. Waste transport. Method by which RCRA waste is received (check all that apply): ❑ Truck ❑ Rail 0 Dedicated Pipe F.11. Waste Description. Give EPA hazardous waste number and amount (volume or mass, specify units). EPA Hazardous Waste Number Amount Units CERCLA (SUPERFUND) WASTEWATER, RCRA REMEDIATION/CORRECTIVE ACTION WASTEWATER, AND OTHER REMEDIAL ACTIVITY WASTEWATER: F.12. Remediation Waste. Does the treatment works currently (or has it been notified that it will) receive waste from remedial activities? 0 Yes (complete F.13 through F.15.) ® No F.13. Waste Origin. Describe the site and type of facility at which the CERCLA/RCRA/or other remedial waste originates (or is excepted to origniate in the next five years). F.14. Pollutants. List the hazardous constituents that are received (or are expected to be received). Include data on volume and concentration, if known. (Attach additional sheets if necessary.) F.15. Waste Treatment. a. Is this waste treated (or will be treated) prior to entering the treatment works? ❑ Yes ❑ No If yes, describe the treatment (provide information about the removal efficiency): b. Is the discharge (or will the discharge be) continuous or intermittent? ❑ Continuous ❑ Intermittent If intermittent, describe discharge schedule. END OF PART F. REFER TO THE APPLICATION OVERVIEW (PAGE 1) TO DETERMINE WHICH OF FORM 2A YOU MUST COMPLETE - OTHER PARTS EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 19 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin SUPPLEMENTAL APPLICATION INFORMATION .:PART F.INDUSTRIAL USER DISCHARGES AND RCRA/CERCLA WASTES All treatment works receiving discharges from significant industrial users complete part F. GENERAL INFORMATION: or which receive RCRA,CERCLA, ot, an approved pretreatment program? Users (CIUs). Provide the number or other remedial wastes must of each of the following types of questions F.3 through F.8 and F.1. Pretreatment program. Does the treatment works have, or is subject ® Yes ❑ No F.2. Number of Significant Industrial Users (Sills) and Categorical Industrial industrial users that discharge to the treatment works. a. Number of non -categorical SIUs. 15 b. Number of CIUs. 14 SIGNIFICANT INDUSTRIAL USER INFORMATION: to the treatment works, copy Supply the following information for each SIU. If more than one SIU discharges provide the information requested for each SIU. F.3. Significant Industrial User Information. Provide the name and address of each SIU discharging to the treatment works. Submit additional pages as necessary. Name: Bekaert Textiles USA, Inc. Mailing Address: 240 Business Park Drive Winston-Salem, NC 27107 F.4. Industrial Processes. Describe all the industrial processes that affect or contribute to the SIU's discharge. Woven Fabric Finishing F.5. Principal Product(s) and Raw Material(s). Describe all of the principal processes and raw materials that affect or contribute to the SIU's discharge. Principal product(s): Mattress Ticking Rawmaterial(s): Rayon, polyester, cotton, acids, scouring compounds, polymers F.6. Flow Rate. a. Process wastewater flow rate. Indicate the average daily volume of process wastewater discharge into day (gpd) and whether the discharge is continuous or intermittent. 22,000 gpd ( X continuous or intermittent) the collection system in gallons per into the collection system b. Non -process wastewater flow rate. Indicate the average daily volume of non -process wastewater flow discharged in gallons per day (gpd) and whether the discharge is continuous or intermittent. gpd ( continuous or intermittent) F.7. Pretreatment Standards. Indicate whether the SIU is subject to the following: a. Local limits ® Yes ❑ No b. Categorical pretreatment standards ❑ Yes El No If subject to categorical pretreatment standards, which category and subcategory? EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 18 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin F.8. Problems at the Treatment Works Attributed to Waste Discharge by the SIU. Has the SIU caused or contributed to any problems (e.g., upsets, interference) at the treatment works in the past three years? ❑ Yes El No If yes, describe each episode. Bekaert Textiles USA, Inc. RCRA HAZARDOUS WASTE RECEIVED BY TRUCK, RAIL, OR DEDICATED PIPELINE: F.9. RCRA Waste. Does the treatment works receive or has it in the past three years received RCRA hazardous waste by truck, rail or dedicated pipe? ❑ Yes Ig] No (go to F.12) F.10. Waste transport. Method by which RCRA waste is received (check all that apply): ❑ Truck ❑ Rail 0 Dedicated Pipe F.11. Waste Description. Give EPA hazardous waste number and amount (volume or mass, specify units). EPA Hazardous Waste Number Amount Units CERCLA (SUPERFUND) WASTEWATER, RCRA REMEDIATION/CORRECTIVE ACTION WASTEWATER, AND OTHER REMEDIAL ACTIVITY WASTEWATER: F.12. Remediation Waste. Does the treatment works currently (or has it been notified that it will) receive waste from remedial activities? 0 Yes (complete F.13 through F.15.) ® No F.13. Waste Origin. Describe the site and type of facility at which the CERCLA/RCRA/or other remedial waste originates (or is excepted to origniate in the next five years). F.14. Pollutants. List the hazardous constituents that are received (or are expected to be received). Include data on volume and concentration, if known. (Attach additional sheets if necessary.) F.15. Waste Treatment. a. Is this waste treated (or wit be treated) prior to entering the treatment works? ❑ Yes ❑ No If yes, describe the treatment (provide information about the removal efficiency): b. Is the discharge (or will the discharge be) continuous or intermittent? ❑ Continuous 0 Intermittent If intermittent, describe discharge schedule. END OF PART F. REFER TO THE APPLICATION OVERVIEW (PAGE 1) TO DETERMINE WHICH OTHER PARTS OF FORM 2A YOU MUST COMPLETE lOt. -, EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 19 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin SUPPLEMENTAL APPLICATION INFORMATION PART F.INDUSTRIAL USER DISCHARGES AND RCRAICERCLA WASTES All treatment works receiving discharges from significant industrial users or which receive RCRA,CERCLA, complete part F. GENERAL INFORMATION: F.1. Pretreatment program. Does the treatment works have, or is subject ot, an approved pretreatment program? ®Yes ID No F.2. Number of Significant Industrial Users (SIUs) and Categorical Industrial Users (ClUs). Provide the number industrial users that discharge to the treatment works. a. Number of non -categorical SIUs. 15 or other remedial wastes must of each of the following types of questions F.3 through F.8 and b. Number of ClUs. 14 SIGNIFICANT INDUSTRIAL USER INFORMATION: Supply the following information for each SIU. If more than one SIU discharges to the treatment works, copy provide the information requested for each SIU. F.3. Significant Industrial User Information. Provide the name and address of each SIU discharging to the treatment works. Submit additional pages as necessary. Name: Corn Products International, Inc. Mailing Address: 4501 0verdale Road Winston-Salem, NC 27107 F.4. Industrial Processes. Describe all the industrial processes that affect or contribute to the SIU's discharge. Wet Corn Milling F.5. Principal Product(s) and Raw Material(s). Describe all of the principal processes and raw materials that affect or contribute to the SIU's discharge. Principal product(s): Corn feed, corn meal, corn germ, corn syrup Rawmateriat(s): Corn, acids, caustics and enzymes F.6. Flow Rate. a. Process wastewater flow rate. Indicate the average daily volume of process wastewater discharge into day (gpd) and whether the discharge is continuous or intermittent. 887,800 gpd ( X continuous or intermittent) the collection system in gallons per into the collection system b. Non -process wastewater flow rate. Indicate the average daily volume of non -process wastewater flow discharged in gallons per day (gpd) and whether the discharge is continuous or intermittent. gpd ( continuous or intermittent) F.7. Pretreatment Standards. Indicate whether the SIU is subject to the following: a. Local limits Yes ❑ No b. Categorical pretreatment standards ❑ Yes MI No If subject to categorical pretreatment standards, which category and subcategory? EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 18 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin F.8. Problems at the Treatment Works Attributed to Waste Discharge by the SIU. Has the SIU caused or contributed to any problems (e.o., upsets, interference) at the treatment works in the past three years? ❑ Yes In No If yes, describe each episode. Corn Products International, Inc. RCRA HAZARDOUS WASTE RECEIVED BY TRUCK, RAIL, OR DEDICATED PIPELINE: F.9. RCRA Waste. Does the treatment works receive or has it in the past three years received RCRA hazardous waste by truck, rail or dedicated pipe? ❑ Yes ®. No (go to F.12) F.10. Waste transport. Method by which RCRA waste is received (check all that apply): ❑ Truck ❑ Rail ❑ Dedicated Pipe F.11. Waste Description. Give EPA hazardous waste number and amount (volume or mass, specify units). EPA Hazardous Waste Number Amount Units CERCLA (SUPERFUND) WASTEWATER, RCRA REMEDIATION/CORRECTIVE ACTION WASTEWATER, AND OTHER REMEDIAL ACTIVITY WASTEWATER: F.12. Remediation Waste. Does the treatment works currently (or has it been notified that it will) receive waste from remedial activities? ❑ Yes (complete F.13 through F.15.) ® No F.13. Waste Origin. Describe the site and type of facility at which the CERCLA/RCRA/or other remedial waste originates (or is excepted to origniate in the next five years). F.14. Pollutants. List the hazardous constituents that are received (or are expected to be received). Include data on volume and concentration, if known. (Attach additional sheets if necessary.) F.15. Waste Treatment. a. Is this waste treated (or will be treated) prior to entering the treatment works? ❑ Yes ❑ No If yes, describe the treatment (provide information about the removal efficiency): b. Is the discharge (or will the discharge be) continuous or intermittent? ❑ Continuous ❑ Intermittent If intermittent, describe discharge schedule. END OF PARTF. -- REFER TO THE APPLICATION OVERVIEW (PAGE 1) TO DETERMINE WHICH OTHER PARTS OF FORM 2A YOU MUST:COMPLETE. EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 19 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin SUPPLEMENTAL APPLICATION INFORMATION PART F.'INDUSTRIAL USER DISCHARGES AND RCRA/CERCLA WASTES All treatment works receiving discharges from significant industrial users complete part F. GENERAL INFORMATION: or which receive RCRA,CERCLA, ot, an approved pretreatment program? Users (CIUs). Provide the number or other remedial wastes must of each of the following types of questions F.3 through F.8 and • F.1. Pretreatment program. Does the treatment works have, or is subject ® Yes ❑ No F.2. Number of Significant Industrial Users (SIUs) and Categorical Industrial industrial users that discharge to the treatment works. a. Number of non -categorical SIUs. 15 b. Number of CIUs. 14 SIGNIFICANT INDUSTRIAL USER INFORMATION: to the treatment works, copy Supply the following information for each SIU. If more than one SIU discharges provide the information requested for each SIU. F.3. Significant Industrial User Information. Provide the name and address of each SIU discharging to the treatment works. Submit additional pages as necessary. Name: Corr Flex Display and Packaging Mailing Address: 555 Aureole Street Winston-Salem, NC 27117 F.4. Industrial Processes. Describe all the industrial processes that affect or contribute to the SIU's discharge. Manufacture corrugated containers and print containers. F.5. Principal Product(s) and Raw Material(s). Describe all of the principal processes and raw materials that affect or contribute to the SIU's discharge. Principal product(s): Corrugated display and packaging Rawmaterial(s): Caustic, starch, inks, glue and paper F.6. Flow Rate. a. Process wastewater flow rate. Indicate the average daily volume of process wastewater discharge into day (gpd) and whether the discharge is continuous or intermittent. 18,250 gpd ( X continuous or intermittent) the collection system in gallons per into the collection system b. Non -process wastewater flow rate. Indicate the average daily volume of non -process wastewater flow discharged in gallons per day (gpd) and whether the discharge is continuous or intermittent. gpd ( continuous or intermittent) F.7. Pretreatment Standards. Indicate whether the SIU is subject to the following: a. Local limits ® Yes 0 No b. Categorical pretreatment standards 0 Yes a No If subject to categorical pretreatment standards, which category and subcategory? EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 18 of 22 L FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin F.B. Problems at the Treatment Works Attributed to Waste Discharge by the SIU. Has the SIU caused or contributed to any problems (e.g., upsets, interference) at the treatment works in the past three years? ❑ Yes E No If yes, describe each episode. Corr Flex Display and Packaging RCRA HAZARDOUS WASTE RECEIVED BY TRUCK, RAIL, OR DEDICATED PIPELINE: F.9. RCRA Waste. Does the treatment works receive or has it in the past three years received RCRA hazardous waste by truck, rail or dedicated pipe? ❑ Yes E. No (go to F.12) F.10. Waste transport. Method bywhich RCRA waste is received (check all that apply): ❑ Truck 0 Rail 0 Dedicated Pipe F.11. Waste Description. Give EPA hazardous waste number and amount (volume or mass, specify units). EPA Hazardous Waste Number Amount Units CERCLA (SUPERFUND) WASTEWATER, RCRA REMEDIATION/CORRECTIVE ACTION WASTEWATER, AND OTHER REMEDIAL ACTIVITY WASTEWATER: F.12. Remediation Waste. Does the treatment works currently (or has it been notified that it will) receive waste from remedial activities? 0 Yes (complete F.13 through F.15.) ® No F.13. Waste Origin. Describe the site and type of facility at which the CERCLA/RCRA/or other remedial waste originates (or is excepted to origniate in the next five years). F.14. Pollutants. List the hazardous constituents that are received (or are expected to be received). Include data on volume and concentration, if known. (Attach additional sheets if necessary.) F.15. Waste Treatment. a. Is this waste treated (or will be treated) prior to entering the treatment works? ❑ Yes ❑ No If yes, describe the treatment (provide information about the removal efficiency): b. Is the discharge (or will the discharge be) continuous or intermittent? ❑ Continuous ❑ Intermittent If intermittent, describe discharge schedule. END OF PART F. REFER TO THE APPLICATION OVERVIEW (PAGE 1) TO DETERMINE WHICH OTHER PARTS nP !PnPnn 9Ayni 1 MI ICT rrintiDI GTE miiwkAiWEiosk EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 1P of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin SUPPLEMENTAL APPLICATION INFORMATION PART F.INDUSTRIALUSER DISCHARGES AND RCRA/CERCLA`WASTES All treatment works receiving discharges from significant industrial users or which receive RCRA,CERCLA, complete part F. GENERAL INFORMATION: F.1. Pretreatment program. Does the treatment works have, or is subject ot, an approved pretreatment program? ® Yes ❑ No F.2. Number of Significant Industrial Users (Sills) and Categorical Industrial Users (ClUs). Provide the number industrial users that discharge to the treatment works. a. Number of non -categorical SIUs. 15 or other remedial wastes must of each of the following types of questions F.3 through F.8 and b. Number of ClUs. 14 SIGNIFICANT INDUSTRIAL USER INFORMATION: Supply the following information for each SIU. If more than one SIU discharges to the treatment works, copy provide the information requested for each SIU.• F.3. Significant Industrial User Information. Provide the name and address of each SIU discharging to the treatment works. Submit additional pages as necessary. Name: Dairy Fresh LLC Mailing Address: 2221 Patterson Avenue Winston-Salem, NC 27105 F.4. Industrial Processes. Describe at the industrial processes that affect or contribute to the SIU's discharge. Dairy processing and sanitizing F.5. Principal Product(s) and Raw Material(s). Describe all of the principal processes and raw materials that affect or contribute to the SIU's discharge. Principal product(s): Milk, ice cream, non -carbonated flavored drinks Rawmateriat(s): Raw milk, sugar, fruit concentrates, flavorings, bleach caustics F.6. Flow Rate. a- Process wastewater flow rate. Indicate the average daily volume of process wastewater discharge into day (gpd) and whether the discharge is continuous or intermittent. 130,500 gpd ( x continuous or intermittent) the collection system in gallons per into the collection system b. Non -process wastewater flow rate. Indicate the average daily volume of non -process wastewater flow discharged in gallons per day (gpd) and whether the discharge is continuous or intermittent. gpd ( continuous or intermittent) F.7. Pretreatment Standards. Indicate whether the SIU is subject to the following: a. Local limits M Yes ❑ No b. Categorical pretreatment standards D Yes ® No If subject to categorical pretreatment standards, which category and subcategory? EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 18 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin F.S. Problems at the Treatment Works Attributed to Waste Discharge by the SIU. Has the SIU caused or contributed to any problems (e.g., upsets, interference) at the treatment works in the past three years? D Yes El No If yes, describe each episode. Dairy Fresh LLC RCRA HAZARDOUS WASTE RECEIVED BY TRUCK, RAIL, OR DEDICATED PIPELINE: F.9. RCRA Waste. Does the treatment works receive or has it in the past three years received RCRA hazardous waste by truck, rail or dedicated pipe? ❑ Yes E. No (go to F.12) F.10. Waste transport. Method by which RCRA waste is received (check all that apply): 0 Truck 0 Rail ❑ Dedicated Pipe F.11. Waste Description. Give EPA hazardous waste number and amount (volume or mass, specify units). EPA Hazardous Waste Number Amount Units CERCLA (SUPERFUND) WASTEWATER, RCRA REMEDIATION/CORRECTIVE ACTION WASTEWATER, AND OTHER REMEDIAL ACTIVITY WASTEWATER: F.12. Remediation Waste. Does the treatment works currently (or has it been notified that it will) receive waste from remedial activities? ❑ Yes (complete F.13 through F.15.) ® No F.13. Waste Origin. Describe the site and type of facility at which the CERCLA/RCRA/or other remedial waste originates (or is excepted to origniate in the next five years). F.14. Pollutants. List the hazardous constituents that are received (or are expected to be received). Include data on volume and concentration, if known. (Attach additional sheets if necessary.) F.15. Waste Treatment. a. Is this waste treated (or will be treated) prior to entering the treatment works? ❑ Yes ❑ No If yes, describe the treatment (provide information about the removal efficiency): b_ Is the discharge (or will the discharge be) continuous or intermittent? ❑ Continuous ❑ Intermittent If intermittent, describe discharge schedule. END OF PART F. REFER TO THE APPLICATION OVERVIEW (PAGE 1) TO DETERMINE WHICH OTHER PARTS OF FORM 2A YOU MUST COMPLETE EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 19 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin SUPPLEMENTAL APPLICATION INFORMATION PART F.INDUSTRIAL USER DISCHARGES AND RCRA/CERCLA WASTES All treatment works receiving discharges from significant industrial users complete part F. GENERAL INFORMATION: or which receive RCRA,CERCLA, ot, an approved pretreatment program? Users (ClUs). Provide the number or other remedial wastes must of each of the following types of questions F-3 through F.8 and F.1. Pretreatment program. Does the treatment works have, or is subject 13 Yes ❑ No F.2. Number of Significant Industrial Users (Sills) and Categorical Industrial industrial users that discharge to the treatment works. a. Number of non -categorical SlUs. 15 b. Number of ClUs. 14 SIGNIFICANT INDUSTRIAL USER INFORMATION: to the treatment works, copy Supply the following information for each SIU. If more than one SIU discharges provide the information requested for each SIU. F.3. Significant Industrial User Information. Provide the name and address of each SIU discharging to the treatment works. Submit additional pages as necessary. Name: Deere -Hitachi Construction Machinery Corp. Mailing Address: 1000 Deere -Hitachi Road Kernersville, NC 27285 F.4. Industrial Processes. Describe all the industrial processes that affect or contribute to the SIU's discharge. Metal finishing due to metal preparation F.5. Principal Product(s) and Raw Material(s). Describe all of the principal processes and raw materials that affect or contribute to the SIU's discharge. Principal product(s): Mobile Hydraulic Excavators Rawmaterial(s): Steel, metal cleaning and etching chemicals, paint, oil, and hydraulic fluid. F.6. Flow Rate. of process wastewater discharge into or x intermittent) the collection system in gallons per into the collection system a. Process wastewater flow rate. Indicate the average daily volume day (gpd) and whether the discharge is continuous or intermittent. 1,300 gpd ( continuous b. Non -process wastewater flow rate. Indicate the average daily volume of non -process wastewater flow discharged in gallons per day (gpd) and whether the discharge is continuous or intermittent. gpd ( continuous or intermittent) F.7. Pretreatment Standards. Indicate whether the SIU is subject to the following: a. Local limits 12 Yes ❑ No b. Categorical pretreatment standards a Yes ❑ No If subject to categorical pretreatment standards, which category and subcategory? 40 CFR 433 Subpart A EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 18 of 22 L -♦ FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin F.B. Problems at the Treatment Works Attributed to Waste Discharge by the SIU. Has the SIU caused or contributed to any problems (e.g., upsets, interference) at the treatment works in the past three years? ❑ Yes ® No If yes, describe each episode. Deere -Hitachi Construction Machinery Corp. RCRA HAZARDOUS WASTE RECEIVED BY TRUCK, RAIL, OR DEDICATED PIPELINE: F.9. RCRA Waste. Does the treatment works receive or has it in the past three years received RCRA hazardous waste by truck, rail or dedicated pipe? ❑ Yes ®. No (go to F.12) F.10. Waste transport. Method by which RCRA waste is received (check all that apply): ❑ Truck 0 Rail 0 Dedicated Pipe F.11. Waste Description. Give EPA hazardous waste number and amount (volume or mass, specify units). EPA Hazardous Waste Number Amount Units CERCLA (SUPERFUND) WASTEWATER, RCRA REMEDIATION/CORRECTIVE ACTION WASTEWATER, AND OTHER REMEDIAL ACTIVITY WASTEWATER: F.12. Remediation Waste. Does the treatment works currently (or has it been notified that it will) receive waste from remedial activities? 0 Yes (complete F.13 through F.15.) ® No F.13. Waste Origin. Describe the site and type of facility at which the CERCLA/RCRA/or other remedial waste originates (or is excepted to origniate in the next five years). F.14. Pollutants. List the hazardous constituents that are received (or are expected to be received). Include data on volume and concentration, if known. (Attach additional sheets if necessary.) F.15. Waste Treatment. a. Is this waste treated (or will be treated) prior to entering the treatment works? ❑ Yes ❑ No If yes, describe the treatment (provide information about the removal efficiency): b. Is the discharge (or will the discharge be) continuous or intermittent? ❑ Continuous ❑ Intermittent If intermittent, describe discharge schedule. END OF PART F. REFER TO THE APPLICATION OVERVIEW (PAGE 1) TO DETERMINE WHICH OTHER PARTS OF FORM 2A YOU MUST COMPLETE EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 19 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin SUPPLEMENTAL APPLICATION INFORMATION PART F.INDUSTRIAL USER DISCHARGES AND RCRA/CERCLA WASTES All treatment works receiving discharges from significant industrial users complete part F. GENERAL INFORMATION: or which receive RCRA,CERCLA, ot, an approved pretreatment program? Users (ClUs). Provide the number or other remedial wastes must - of each of the following types of questions F.3 through F.8 and • F.1. Pretreatment program. Does the treatment works have, or is subject ® Yes ❑ No F.2. Number of Significant Industrial Users (Sills) and Categorical Industrial industrial users that discharge to the treatment works. a. Number of non -categorical SIUs. 15 b. Number of CIUs. 1.4 SIGNIFICANT INDUSTRIAL USER INFORMATION: to the treatment works, copy Supply the following information for each SIU. If more than one SIU discharges provide the information requested for each SIU. F.3. Significant Industrial User Information. Provide the name and address of each SIU discharging to the treatment works. Submit additional pages as necessary. Name: Douglas Battery Manufacturing Co. Mailing Address: 500 Battery Drive Winston-Salem, NC 27107 F.4. Industrial Processes. Describe all the industrial processes that affect or contribute to the SIU's discharge. Manufacture automotive and industrial lead -acid batteries. F.5. Principal Product(s) and Raw Material(s). Describe all of the principal processes and raw materials that affect or contribute to the SIU's discharge. Principal product(s): Lead -Acid Batteries Rawmaterial(s): Lead, lead oxide, polypropylene, polyethylene, acids and caustics. F.6. Flow Rate. a. Process wastewater flow rate. Indicate the average daily volume of process wastewater discharge into day (gpd) and whether the discharge is continuous or intermittent. 22,000 gpd (_ x continuous or intermittent) the collection system in gallons per into the collection system b. Non -process wastewater flow rate. Indicate the average daily volume of non -process wastewater flow discharged in gallons per day (gpd) and whether the discharge is continuous or intermittent. gpd ( continuous or intermittent) F.7. Pretreatment Standards. Indicate whether the SIU is subject to the following: a. Local limits c] Yes ❑ No b. Categorical pretreatment standards 10 Yes ❑ No If subject to categorical pretreatment standards, which category and subcategory? 40 CFR 461 Subpart C EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 18 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin F.8. Problems at the Treatment Works Attributed to Waste Discharge by the SIU. Has the SIU caused or contributed to any problems (e.g., upsets, interference) at the treatment works in the past three years? ❑ Yes is No If yes, describe each episode. Douglas Battery Manufacturing Co. RCRA HAZARDOUS WASTE RECEIVED BY TRUCK, RAIL, OR DEDICATED PIPELINE: F.9. RCRA Waste. Does the treatment works receive or has it in the past three years received RCRA hazardous waste by truck, rail or dedicated pipe? ❑ Yes ® No (go to F.12) F.10. Waste transport. Method by which RCRA waste is received (check all that apply): ❑ Truck 0 Rail 0 Dedicated Pipe F.11. Waste Description. Give EPA hazardous waste number and amount (volume or mass, specify units). EPA Hazardous Waste Number Amount Units CERCLA (SUPERFUND) WASTEWATER, RCRA REMEDIATION/CORRECTIVE ACTION WASTEWATER, AND OTHER REMEDIAL ACTIVITY WASTEWATER: F.12. Remediation Waste. Does the treatment works currently (or has it been notified that it will) receive waste from remedial activities? 0 Yes (complete F.13 through F.15.) ® No F.13. Waste Origin. Describe the site and type of facility at which the CERCLA/RCRA/or other remedial waste originates (or is excepted to origniate in the next five years). F.14. Pollutants. List the hazardous constituents that are received (or are expected to be received). Include data on volume and concentration, if known. (Attach additional sheets if necessary.) F.15. Waste Treatment. a. Is this waste treated (or will be treated) prior to entering the treatment works? ❑ Yes ❑ No If yes, describe the treatment (provide information about the removal efficiency): b. Is the discharge (or will the discharge be) continuous or intermittent? ❑ Continuous 0 Intermittent If intermittent, describe discharge schedule. • END OF PART'F. REFER TO THE APPLICATION OVERVIEW (PAGE 1) TO DETERMINE WHICH OTHER PARTS OF FORM 2A YOU MUST COMPLETE EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 19 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin SUPPLEMENTAL APPLICATION INFORMATION - PART F. INDUSTRIAL USER DISCHARGES AND RCRA/CERCLA WASTES All treatment works receiving discharges from significant industrial users complete part F. GENERAL INFORMATION: or which receive RCRA,CERCLA, ot, an approved pretreatment program? Users (ClUs). Provide the number or other remedial wastes must of each of the following types of questions F.3 through F.8 and F.1. Pretreatment program. Does the treatment works have, or is subject ® Yes ❑ No F.2. Number of Significant Industrial Users (Sills) and Categorical Industrial industrial users that discharge to the treatment works. a. Number of non -categorical SIUs. 15 b. Number of ClUs. 14.' SIGNIFICANT INDUSTRIAL USER INFORMATION: to the treatment works, copy Supply the following information for each SIU. If more than one SIU discharges provide the information requested for each SIU. F.3. Significant Industrial User Information. Provide the name and address of each SIU discharging to the treatment works. Submit additional pages as necessary. Name: Highland Industries, Inc. Mailing Address: 215 Drummond Street Kernersville, NC 27284 F.4. Industrial Processes. Describe all the industrial processes that affect or contribute to the SIU's discharge. Textile Finishing Operation F.5. Principal Product(s) and Raw Material(s). Describe all of the principal processes and raw materials that affect or contribute to the SIU's discharge. Principal product(s): Tire products, rubber drive belts, air bag material Rawmaterial(s): Rubber, Latex, solvents, polyurethane F.6. Flow Rate. a. Process wastewater flow rate. Indicate the average daily volume of process wastewater discharge into day (gpd) and whether the discharge is continuous or intermittent. 9,500 gpd L continuous or X intermittent) the collection system in gallons per into the collection system b. Non -process wastewater flow rate. Indicate the average daily volume of non -process wastewater flow discharged in gallons per day (gpd) and whether the discharge is continuous or intermittent. gpd ( continuous or intermittent) F.7. Pretreatment Standards. Indicate whether the SIU is subject to the following: a. Local limits 0 Yes ❑ No b. Categorical pretreatment standards 0 Yes ja No If subject to categorical pretreatment standards, which category and subcategory? EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 18 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin F.B. Problems at the Treatment Works Attributed to Waste Discharge by the SIU. Has the SIU caused or contributed to any problems (e.g., upsets, interference) at the treatment works in the past three years? ❑ Yes E No If yes, describe each episode. Highland Industries, Inc. RCRA HAZARDOUS WASTE RECEIVED BY TRUCK, RAIL, OR DEDICATED PIPELINE: F.9. RCRA Waste. Does the treatment works receive or has it in the past three years received RCRA hazardous waste by truck, rail or dedicated pipe? ❑ Yes ®. No (go to F.12) F.10. Waste transport. Method by which RCRA waste is received (check all that apply): ❑ Truck 0 Rail 0 Dedicated Pipe F.11. Waste Description. Give EPA hazardous waste number and amount (volume or mass, specify units). EPA Hazardous Waste Number Amount Units CERCLA (SUPERFUND) WASTEWATER, RCRA REMEDIATION/CORRECTIVE ACTION WASTEWATER, AND OTHER REMEDIAL ACTIVITY WASTEWATER: F.12. Remediation Waste. Does the treatment works currently (or has it been notified that it will) receive waste from remedial activities? ❑ Yes (complete F.13 through F.15.) ® No F.13. Waste Origin. Describe the site and type of facility at which the CERCLA/RCRA/or other remedial waste originates (or is excepted to origniate in the next five years). F.14. Pollutants. List the hazardous constituents that are received (or are expected to be received). Include data on volume and concentration, if known. (Attach additional sheets if necessary.) F.15. Waste Treatment. a. Is this waste treated (or wit be treated) prior to entering the treatment works? ❑ Yes ❑ No If yes, describe the treatment (provide information about the removal efficiency): b. Is the discharge (or will the discharge be) continuous or intermittent? ❑ Continuous ❑ Intermittent If intermittent, describe discharge schedule. END OF PART F. REFER TO THE APPLICATION OVERVIEW (PAGE 1) TO DETERMINE WHICH OTHER PARTS OF FORM 2A YOU MUST:COM,P.LETE_ EPA Form 3510-2A (Rev. 1-99). Replaces E?A forms 7550-6 & 7550-22. Page 19 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin SUPPLEMENTAL APPLICATIONINFORMATION PART F.INDUSTRIAL USER DISCHARGES AND RCRA/CERCLA WASTES All treatment works receiving discharges from significant industrial users or which receive RCRA,CERCLA, complete part F. GENERAL INFORMATION: F.1. Pretreatment program. Does the treatment works have, or is subject ot, an approved pretreatment program? ® Yes ❑ No F.2. Number of Significant Industrial Users (SIUs) and Categorical Industrial Users (ClUs). Provide the number industrial users that discharge to the treatment works. a. Number of non -categorical SIUs. 15 or other remedial wastes must of each of the following types of questions F.3 through F.8 and b. Number of ClUs. 14 SIGNIFICANT INDUSTRIAL USER INFORMATION: to the treatment works, copy Supply the following information for each SIU. If more than one SIU discharges provide the information requested for each SIU. F.3. Significant Industrial User Information. Provide the name and address of each SIU discharging to the treatment works. Submit additional pages as necessary. Name: Grass America, Inc. Mailing Address: 1202 Hwy. 66 South Kernersville, NC 27284 F.4. Industrial Processes. Describe all the industrial processes that affect or contribute to the SIU's discharge. Metal finishing due to coating operation F.5. Principal Product(s) and Raw Material(s). Describe all of the principal processes and raw materials that affect or contribute to the SIU's discharge. Principal product(s): Powder coat kitchen and bath cabinet hardware Rawmaterial(s): Steel. powder paints, alkaline cleaner, iron phosphate cleaner F.6. Flow Rate. a. Process wastewater flow rate. Indicate the average daily volume of process wastewater discharge into day (gpd) and whether the discharge is continuous or intermittent. 7,440 gpd ( continuous or X intermittent) the collection system in gallons per into the collection system b. Non -process wastewater flow rate. Indicate the average daily volume of non -process wastewater flow discharged in gallons per day (gpd) and whether the discharge is continuous or intermittent. gpd ( continuous or intermittent) F.7. Pretreatment Standards. Indicate whether the SIU is subject to the following: . a. Local limits ® Yes ❑ No b. Categorical pretreatment standards ! Yes ❑ No If subject to categorical pretreatment standards, which category and subcategory? 40 CFR 433 Subpart A EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 18 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin F.B. Problems at the Treatment Works Attributed to Waste Discharge by the SIU. Has the SIU caused or contributed to any problems (e.g., upsets, interference) at the treatment works in the past three years? ❑ Yes ® No If yes, describe each episode. Grass America, Inc. RCRA HAZARDOUS WASTE RECEIVED BY TRUCK, RAIL, OR DEDICATED PIPELINE: F.9. RCRA Waste. Does the treatment works receive or has it in the past three years received RCRA hazardous waste by truck, rail or dedicated pipe? ❑ Yes ®. No (go to F.12) F.10. Waste transport. Method by which RCRA waste is received (check all that apply): ❑ Truck ❑ Rail ❑ Dedicated Pipe F.11. Waste Description. Give EPA hazardous waste number and amount (volume or mass, specify units). EPA Hazardous Waste Number Amount Units CERCLA (SUPERFUND) WASTEWATER, RCRA REMEDIATION/CORRECTIVE ACTION WASTEWATER, AND OTHER REMEDIAL ACTIVITY WASTEWATER: F.12. Remediation Waste. Does the treatment works currently (or has it been notified that it will) receive waste from remedial activities? ❑ Yes (complete F.13 through F.15.) [] No F.13. Waste Origin. Describe the site and type of facility at which the CERCLA/RCRA/or other remedial waste originates (or is excepted to origniate in the next five years). F.14. Pollutants. List the hazardous constituents that are received (or are expected to be received). Include data on volume and concentration, if known. (Attach additional sheets if necessary.) F.15. Waste Treatment. a. Is this waste treated (or will be treated) prior to entering the treatment works? ❑ Yes ❑ No If yes, describe the treatment (provide information about the removal efficiency): b. Is the discharge (or will the discharge be) continuous or intermittent? ❑ Continuous ❑ Intermittent If intermittent, describe discharge schedule. END OF PART F. REFER TO THE APPLICATION OVERVIEW (PAGE 1) TO DETERMINE WHICH OTHER PARTS OF FORM 2A YOU MUST COMPLETE EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 19 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin SUPPLEMENTAL APPLICATION INFORMATION PART F. INDUSTRIAL USER DISCHARGES AND RCRA/CERCLA WASTES All treatment works receiving discharges from significant industrial users complete part F. GENERAL INFORMATION: or which receive RCRA,CERCLA, ot, an approved pretreatment program? Users (CIUs). Provide the number 15 or other remedial wastes must of each of the following types of questions F.3 through F.8 and F.1. Pretreatment program. Does the treatment works have, or is subject ® Yes ❑ No F.2. Number of Significant Industrial Users (SIUs) and Categorical Industrial industrial users that discharge to the treatment works. a. Number of non -categorical SlUs. b. Number of CIUs. 14 SIGNIFICANT INDUSTRIAL USER INFORMATION: Supply the following information for each SIU. If more than one SIU discharges to the treatment works, copy provide the information requested for each SIU. F.3. Significant Industrial User Information. Provide the name and address of each SIU discharging to the treatment works. Submit additional pages as necessary. Name: Hanes Dye and Finishing Co. Mailing Address: 600 N. W. Blvd. Winston-Salem, NC 27102 F.4. Industrial Processes. Describe all the industrial processes that affect or contribute to the SIU's discharge. Woven textile facility which dyes and finishes fabrics. F.S. Principal Product(s) and Raw Material(s). Describe all of the principal processes and raw materials that affect or contribute to the SIU's discharge. Principal product(s): Woven textiles Rawmaterial(s): Acids, dyes, caustics, flame retardant, fabric protection chemicals F.6. Flow Rate. a. Process wastewater flow rate. Indicate the average daily volume of process wastewater discharge into day (gpd) and whether the discharge is continuous or intermittent. 514,000 gpd ( X continuous or intermittent) the collection system in gallons per into the collection system b. Non -process wastewater flow rate. Indicate the average daily volume of non -process wastewater flow discharged in gallons per day (gpd) and whether the discharge is continuous or intermittent. gpd ( continuous or intermittent) F.7. Pretreatment Standards. Indicate whether the SIU is subject to the following: a. Local limits f] Yes 0 No b. Categorical pretreatment standards ❑ Yes 1-Zi No If subject to categorical pretreatment standards, which category and subcategory? EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 18 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin F.8. Problems at the Treatment Works Attributed to Waste Discharge by the SIU. Has the SIU caused or contributed to any problems (e.g., upsets, interference) at the treatment works in the past three years? ❑ Yes Ej No If yes, describe each episode. Hanes Dye and Finishing Co. RCRA HAZARDOUS WASTE RECEIVED BY TRUCK, RAIL, OR DEDICATED PIPELINE: F.9. RCRA Waste. Does the treatment works receive or has it in the past three years received RCRA hazardous waste by truck, rail or dedicated pipe? ❑ Yes ® No (go to F.12) F.10. Waste transport. Method by which RCRA waste is received (check all that apply): ❑ Truck 0 Rail ❑ Dedicated Pipe F.11. Waste Description. Give EPA hazardous waste number and amount (volume or mass, specify units). EPA Hazardous Waste Number Amount Units CERCLA (SUPERFUND) WASTEWATER, RCRA REMEDIATION/CORRECTIVE ACTION WASTEWATER, AND OTHER REMEDIAL ACTIVITY WASTEWATER: F.12. Remediation Waste. Does the treatment works currently (or has it been notified that it will) receive waste from remedial activities? 0 Yes (complete F.13 through F.15.) C] No F.13. Waste Origin. Describe the site and type of facility at which the CERCLA/RCRA/or other remedial waste originates (or is excepted to origniate in the next five years). F.14. Pollutants. List the hazardous constituents that are received (or are expected to be received). Include data on volume and concentration, if known. (Attach additional sheets if necessary.) F.15. Waste Treatment. a. Is this waste treated (or will be treated) prior to entering the treatment works? ❑ Yes ❑ No If yes, describe the treatment (provide information about the removal efficiency): b. Is the discharge (or will the discharge be) continuous or intermittent? ❑ Continuous 0 Intermittent If intermittent, describe discharge schedule. END OFPARTF. REFER TO THE APPLICATION OVERVIEW (PAGE 1) TO DETERMINE WHICH OTHER PARTS OF FORM 2A YOU MUST COMPLETE EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 19 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin SUPPLEMENTAL APPLICATION INFORMATION PART F.INDUSTRIAL USER DISCHARGES AND RCRA/CERCLA WASTES All treatment works receiving discharges from significant industrial users complete part F. GENERAL INFORMATION: or which receive RCRA,CERCLA, ot, an approved pretreatment program? Users (ClUs). Provide the number or other remedial wastes must of each of the following types of questions F.3 through F.8 and • F.1. Pretreatment program. Does the treatment works have, or is subject 13 Yes ❑ No F.2. Number of Significant Industrial Users (SlUs) and Categorical Industrial industrial users that discharge to the treatment works. a. Number of non -categorical Sills. 15 b. Number of ClUs. 14 SIGNIFICANT INDUSTRIAL USER INFORMATION: to the treatment works, copy Supply the following information for each SIU. If more than one SIU discharges provide the information requested for each SIU. F.3. Significant Industrial User Information. Provide the name and address of each SIU discharging to the treatment works. Submit additional pages as necessary. Name: HOH Corporation Mailing Address: 1701 Vargrave Street Winston-Salem, NC 27107 F.4. Industrial Processes. Describe all the industrial processes that affect or contribute to the SIU's discharge. Centralized waste treatment for non -hazardous wastewater. F.5. Principal Product(s) and Raw Material(s). Describe all of the principal processes and raw materials that affect or contribute to the SIU's discharge. Principal product(s): Pretreat wastewater and solidify non -hazardous sludges Rawmaterial(s): non -hazardous wastewater and sludges F.6. Flow Rate. a. Process wastewater flow rate. Indicate the average daily volume of process wastewater discharge into day (gpd) and whether the discharge is continuous or intermittent. 25,250 gpd ( continuous or X intermittent) the collection system in gallons per into the collection system b. Non -process wastewater flow rate. Indicate the average daily volume of non -process wastewater flow discharged in gallons per day (gpd) and whether the discharge is continuous or intermittent. gpd ( continuous or intermittent) F.7. Pretreatment Standards. Indicate whether the SIU is subject to the following: a. Local limits E Yes ❑ No b. Categorical pretreatment standards E Yes ❑ No If subject to categorical pretreatment standards, which category and subcategory? 40 CFR 437 Subpart D EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. -Page 18 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin F.B. Problems at the Treatment Works Attributed to Waste Discharge by the SIU. Has the SIU caused or contributed to any problems (e.g., upsets, interference) at the treatment works in the past three years? ❑ Yes ® No If yes, describe each episode. HOH Corporation RCRA HAZARDOUS WASTE RECEIVED BY TRUCK, RAIL, OR DEDICATED PIPELINE: F.9. RCRA Waste. Does the treatment works receive or has it in the past three years received RCRA hazardous waste by truck, rail or dedicated pipe? ❑ Yes ® No (go to F.12) F.10. Waste transport. Method by which RCRA waste is received (check all that apply): ❑ Truck ❑ Rail ❑ Dedicated Pipe F.11. Waste Description. Give EPA hazardous waste number and amount (volume or mass, specify units). EPA Hazardous Waste Number Amount Units CERCLA (SUPERFUND) WASTEWATER, RCRA REMEDIATION/CORRECTIVE ACTION WASTEWATER, AND OTHER REMEDIAL ACTIVITY WASTEWATER: F.12. Remediation Waste. Does the treatment works currently (or has it been notified that it will) receive waste from remedial activities? 0 Yes (complete F.13 through F.15.) ® No F.13. Waste Origin. Describe the site and type of facility at which the CERCLA/RCRA/or other remedial waste originates (or is excepted to origniate in the next five years). F.14. Pollutants. List the hazardous constituents that are received (or are expected to be received). Include data on volume and concentration, if known. (Attach additional sheets if necessary.) F.15. Waste Treatment. a. Is this waste treated (or will be treated) prior to entering the treatment works? ❑ Yes ❑ No If yes, describe the treatment (provide information about the removal efficiency): b. Is the discharge (or will the discharge be) continuous or intermittent? ❑ Continuous 0 Intermittent If intermittent, describe discharge schedule. END OF PART F. REFER TO THE APPLICATION OVERVIEW (PAGE 1) TO DETERMINE WHICH OTHER PARTS OF FORM 2A YOU MUST COMPLETE : EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 19 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin r SUPPLEMENTAL APPLICATION INFORMATION :. PART F..INDUSTRIAL USER DISCHARGES AND RCRA/CERCLA WASTES All treatment works receiving discharges from significant industrial users or which receive RCRA,CERCLA, complete part F. GENERAL INFORMATION: F.1. Pretreatment program. Does the treatment works have, or is subject ot, an approved pretreatment program? 3 Yes ❑ No F.2. Number of Significant Industrial Users (SIUs) and Categorical Industrial Users (ClUs). Provide the number industrial users that discharge to the treatment works. a. Number of non -categorical Sills. 15 or other remedial wastes must of each of the following types of questions F.3 through F.8 and b. Number of ClUs. 14 SIGNIFICANT INDUSTRIAL USER INFORMATION: Supply the following information for each SIU. If more than one SIU discharges to the treatment works, copy provide the information requested for each SIU. F.3. Significant Industrial User Information. Provide the name and address of each SIU discharging to the treatment works. Submit additional pages as necessary. Name: ITW Texwipe Mailing Address: 1210 South Park Drive Kernersville, NC 27284 F.4. Industrial Processes. Describe all the industrial processes that affect or contribute to the SIU's discharge. Prepare Lint -Free Cloths. F.5. Principal Product(s) and Raw Material(s). Describe all of the principal processes and raw materials that affect or contribute to the SIU's discharge. Principal product(s): Textile wiping cloths Rawmaterial(s): Polyester, Nylon, Cotton and Detergents F.6. Flow Rate. a. Process wastewater flow rate. Indicate the average daily volume of process wastewater discharge into day (gpd) and whether the discharge is continuous or intermittent. 11 ,000 gpd ( x continuous or intermittent) the collection system in gallons per into the collection system b. Non -process wastewater flow rate. Indicate the average daily volume of non -process wastewater flow discharged in gallons per day (gpd) and whether the discharge is continuous or intermittent. gpd ( continuous or intermittent) F.7. Pretreatment Standards. Indicate whether the SIU is subject to the following: a. Local limits g] Yes ❑ No b. Categorical pretreatment standards ❑ Yes a No If subject to categorical pretreatment standards, which category and subcategory? EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 18 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin F.B. Problems at the Treatment Works Attributed to Waste Discharge by the SIU. Has the SIU caused or contributed to any problems (e.g., upsets, interference) at the treatment works in the past three years? ❑ Yes ® No If yes, describe each episode. ITW Texwipe RCRA HAZARDOUS WASTE RECEIVED BY TRUCK, RAIL, OR DEDICATED PIPELINE: F.9. RCRA Waste. Does the treatment works receive or has it in the past three years received RCRA hazardous waste by truck, rail or dedicated pipe? ❑ Yes ®. No (go to F.12) F.10. Waste transport. Method by which RCRA waste is received (check all that apply): 0 Truck 0 Rail 0 Dedicated Pipe F.11. Waste Description. Give EPA harrrdous waste number and amount (volume or mass, specify units). EPA Hazardous Waste Number Amount Units CERCLA (SUPERFUND) WASTEWATER, RCRA REMEDIATION/CORRECTIVE ACTION WASTEWATER, AND OTHER REMEDIAL ACTIVITY WASTEWATER: F.12. Remediation Waste. Does the treatment works currently (or has it been notified that it will) receive waste from remedial activities? 0 Yes (complete F.13 through F.15.) ® No F.13. Waste Origin. Describe the site and type of facility at which the CERCLAIRCRA/or other remedial waste originates (or is excepted to origniate in the next five years). F.14. Pollutants. List the hazardous constituents that are received (or are expected to be received). Include data on volume and concentration, if known. (Attach additional sheets if necessary.) F.15. Waste Treatment. a. Is this waste treated (or will be treated) prior to entering the treatment works? ❑ Yes ❑ No If yes, describe the treatment (provide information about the removal efficiency): b. Is the discharge (or will the discharge be) continuous or intermittent? ❑ Continuous 0 Intermittent If intermittent, describe discharge schedule. END OF PART F. REFER TO THE APPLICATION OVERVIEW (PAGE 1) TO DETERMINE WHICH OTHER PARTS OF FORM 2A YOU MUST COMPLETE f EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 19of22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin F.B. Problems at the Treatment Works Attributed to Waste Discharge by the SIU. Has the SIU caused or contributed to any problems (e.g., upsets, interference) at the treatment works in the past three years? ❑ Yes El No If yes, describe each episode. Kaba I1co Corporation RCRA HAZARDOUS WASTE RECEIVED BY TRUCK, RAIL, OR DEDICATED PIPELINE: F.9. RCRA Waste. Does the treatment works receive or has it in the past three years received RCRA hazardous waste by truck, rail or dedicated pipe? ❑ Yes ® No (go to F.12) F.10. Waste transport. Method by which RCRA waste is received (check all that apply): ❑ Truck ❑ Rail ❑ Dedicated Pipe F.11. Waste Description. Give EPA hazardous waste number and amount (volume or mass, specify units). EPA Hazardous Waste Number Amount Units CERCLA (SUPERFUND) WASTEWATER, RCRA REMEDIATION/CORRECTIVE ACTION WASTEWATER, AND OTHER REMEDIAL ACTIVITY WASTEWATER: F.12. Remediation Waste. Does the treatment works currently (or has it been notified that it will) receive waste from remedial activities? 0 Yes (complete F.13 through F.15.) 1E No F.13. Waste Origin. Describe the site and type of facility at which the CERCLNRCRNor other remedial waste originates (or is excepted to origniate in the next five years). F.14. Pollutants. List the hazardous constituents that are received (or are expected to be received). Include data on volume and concentration, if known. (Attach additional sheets if necessary.) F.15. Waste Treatment. a. Is this waste treated (or will be treated) prior to entering the treatment works? ❑ Yes ❑ No If yes, describe the treatment (provide information about the removal efficiency): b. Is the discharge (or will the discharge be) continuous or intermittent? ❑ Continuous 0 Intermittent If intermittent, describe discharge schedule. • END OF PART F. REFER TO THE APPLICATION OVERVIEW (PAGE 1) TO DETERMINE WHICH OTHER PARTS OF FORM 2A YOU MUST COMPLETE ........ .:.... ..._.. -..,.'..47. ., . .-...... .r, ,,...;,.a- u�--r [wrax,.,..4:,.:1, .,ar.:i.:,'; .�'&.- •"_f watpa 4..Sk; . :$1.',`q EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 19of22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin SUPPLEMENTAL APPLICATION INFORMATION . PART F.,INDUSTRIALUSER DISCHARGES AND,RCRAJCERCLA WASTES All treatment works receiving discharges from significant industrial users complete part F. GENERAL INFORMATION: or which receive RCRA,CERCLA, ot, an approved pretreatment program? Users (ClUs). Provide the number or other remedial wastes must of each of the following types of questions F.3 through F.8 and F.1. Pretreatment program. Does the treatment works have, or is subject M Yes ❑ No F.2. Number of Significant Industrial Users (SlUs) and Categorical Industrial industrial users that discharge to the treatment works. a. Number of non -categorical Sills. 15 b. Number of CIUs. 14 SIGNIFICANT INDUSTRIAL USER INFORMATION: to the treatment works, copy Supply the following information for each SIU. If more than one SIU discharges provide the information requested for each SIU. F.3. Significant Industrial User Information. Provide the name and address of each SIU discharging to the treatment works. Submit additional pages as necessary. Name: Kaba Ilco Corporation Mailing Address: 2941 Indiana Avenue Winston-Salem, NC 27105 F.4. Industrial Processes. Describe all the industrial processes that affect or contribute to the SIU's discharge. Metal finishing F.5. Principal Product(s) and Raw Material(s). Describe all of the principal processes and raw materials that affect or contribute to the SIU's discharge. Principal product(s): Security hardware (lock manufacturing) Rawmaterial(s): Nickel, Zinc, Copper, brass, acids,caustics, bleach and brightners. F.6. Flow Rate. a. Process wastewater flow rate. Indicate the average daily volume of process wastewater discharge into day (gpd) and whether the discharge is continuous or intermittent. 29,000 gpd ( X continuous or intermittent) the collection system in gallons per into the collection system b. Non -process wastewater flow rate. Indicate the average daily volume of non -process wastewater flow discharged in gallons per day (gpd) and whether the discharge is continuous or intermittent. gpd ( continuous or intermittent) F.7. Pretreatment Standards. Indicate whether the SIU is subject to the following: a. Local limits a Yes ❑ No b. Categorical pretreatment standards la Yes ❑ No If subject to categorical pretreatment standards, which category and subcategory? 40 CFR 433 Subpart A EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 18 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin SUPPLEMENTAL APPLICATION INFORMATION ;PART F.aNDUSTRIAL USER DISCHARGES AND RCRA/CERCLA WASTES All treatment works receiving discharges from significant industrial users complete part F. GENERAL INFORMATION: or which receive RCRA,CERCLA, ot, an approved pretreatment program? Users (ClUs). Provide the number or other remedial wastes must of each of the following types of questions F.3 through F.8 and . F.1. Pretreatment program. Does the treatment works have, or is subject 0 Yes ❑ No F.2. Number of Significant Industrial Users (SIUs) and Categorical Industrial industrial users that discharge to the treatment works. a. Number of non -categorical SIUs. 15 b. Number of Gills. 14 SIGNIFICANT INDUSTRIAL USER INFORMATION: Supply the following information for each SIU. If more than one SIU discharges to the treatment works, copy provide the information requested for each SIU. F.3. Significant Industrial User Information. Provide the name and address of each SIU discharging to the treatment works. Submit additional pages as necessary. Name: Microfibres, Inc. Mailing Address: 3821 Kimwell Drive Winston-Salem, NC 27103 F.4. Industrial Processes. Describe all the industrial processes that affect or contribute to the SIU's discharge. Nylon upholstery fabric is printed or dyed. F.5. Principal Product(s) and Raw Material(s). Describe all of the principal processes and raw materials that affect or contribute to the SIU's discharge. Principal product(s): Flocked nylon upholstery fabric Rawmaterial(s): Nylon, adhesive, dye and softerners F.6. Flow Rate. a. Process wastewater flow rate. Indicate the average daily volume of process wastewater discharge into day (gpd) and whether the discharge is continuous or intermittent. 970,000 gpd ( x continuous or intermittent) the collection system in gallons per into the collection system b. Non -process wastewater flow rate. Indicate the average daily volume of non -process wastewater flow discharged in gallons per day (gpd) and whether the discharge is continuous or intermittent. gpd ( continuous or intermittent) F.7. Pretreatment Standards. Indicate whether the SIU is subject to the following: a. Local limits Er Yes ❑ No b. Categorical pretreatment standards ❑ Yes la No If subject to categorical pretreatment standards, which category and subcategory? EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. -Page 18of22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin F.S. Problems at the Treatment Works Attributed to Waste Discharge by the SIU. Has the SIU caused or contributed to any problems (e.g., upsets, interference) at the treatment works in the past three years? ❑ Yes ® No If yes, describe each episode. Microfibres, Inc. RCRA HAZARDOUS WASTE RECEIVED BY TRUCK, RAIL, OR DEDICATED PIPELINE: F.9. RCRA Waste. Does the treatment works receive or has it in the past three years received RCRA hazardous waste by truck, rail or dedicated pipe? ❑ Yes El No (go to F.12) F.10. Waste transport. Method by which RCRA waste is received (check all that apply): ❑ Truck 0 Rail ❑ Dedicated Pipe F.11. Waste Description. Give EPA hazardous waste number and amount (volume or mass, specify units). EPA Hazardous Waste Number Amount Units CERCLA (SUPERFUND) WASTEWATER, RCRA REMEDIATION/CORRECTIVE ACTION WASTEWATER, AND OTHER REMEDIAL ACTIVITY WASTEWATER: F.12. Remediation Waste. Does the treatment works currently (or has it been notified that it will) receive waste from remedial activities? ❑ Yes (complete F.13 through F.15.) ® No F.13. Waste Origin. Describe the site and type of facility at which the CERCLA/RCRA/or other remedial waste originates (or is excepted to origniate in the next five years). F.14. Pollutants. List the hazardous constituents that are received (or are expected to be received). Include data an volume and concentration, if known. (Attach additional sheets if necessary.) F.15. Waste Treatment. a. Is this waste treated (or will be treated) prior to entering the treatment works? ❑ Yes ❑ No If yes, describe the treatment (provide information about the removal efficiency): b. Is the discharge (or will the discharge be) continuous or intermittent? ❑ Continuous 0 Intermittent If intermittent, describe discharge schedule. END OF PART F. REFER TO THE APPLICATION OVERVIEW (PAGE 1) TO DETERMINE WHICH OF FORM 2A YOU MUST COMPLETE OTHER PARTS EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 19 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin SUPPLEMENTAL APPLICATION INFORMATION ''PART F..INDUSTRIAL USER DISCHARGES AND RCRAJCERCLA WASTES All treatment works receiving discharges from significant industrial users complete part F. GENERAL INFORMATION: or which receive RCRA,CERCLA, ot, an approved pretreatment program? Users (ClUs). Provide the number or other remedial wastes must of each of the following types of questions F.3 through F.8 and F.1. Pretreatment program. Does the treatment works have, or is subject 13 Yes ❑ No F.2. Number of Significant Industrial Users (Sills) and Categorical Industrial industrial users that discharge to the treatment works. a. Number of non -categorical SIUs. 15 b. Number of CIUs. 14 SIGNIFICANT INDUSTRIAL USER INFORMATION: to the treatment works, copy Supply the following information for each SIU. If more than one SIU discharges provide the information requested for each SIU. F.3. Significant Industrial User Information. Provide the name and address of each SIU discharging to the treatment works. Submit additional pages as necessary. Name: Pepsi Bottling Ventures Mailing Address: 3425 Myer Lee Drive Winston-Salem, NC 27101 F.4. Industrial Processes. Describe at the industrial processes that affect or contribute to the SIU's discharge. Soft drink bottling F.5. Principal Product(s) and Raw Material(s). Describe all of the principal processes and raw materials that affect or contribute to the SIU's discharge. Principal product(s): Carbonated and non -carbonated soft drinks Rawmaterial(s): Water, corn syrup, flavorings, colors, cleaners and caustics F.6. Flow Rate. a. Process wastewater flow rate. Indicate the average daily volume of process wastewater discharge into day (gpd) and whether the discharge is continuous or intermittent. 98,500 gpd ( X continuous or intermittent) the collection system in gallons per into the collection system b. Non -process wastewater flow rate. Indicate the average daily volume of non -process wastewater flow discharged in gallons per day (gpd) and whether the discharge is continuous or intermittent. gpd ( continuous or intermittent) F.7. Pretreatment Standards. Indicate whether the SIU is subject to the following: a. Local limits IN Yes ❑ No b. Categorical pretreatment standards ❑ Yes f ] No If subject to categorical pretreatment standards, which category and subcategory? EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 18 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin F.8. Problems at the Treatment Works Attributed to Waste Discharge by the SIU. Has the SIU caused or contributed to any problems (e.g., upsets, interference) at the treatment works in the past three years? ❑ Yes ® No If yes, describe each episode. Pepsi Bottling Ventures RCRA HAZARDOUS WASTE RECEIVED BY TRUCK, RAIL, OR DEDICATED PIPELINE: F.9. RCRA Waste. Does the treatment works receive or has it in the past three years received RCRA hazardous waste by truck, rail or dedicated pipe? ❑ Yes LE: No (go to F.12) F.10. Waste transport. Method by which RCRA waste is received (check all that apply): 0 Truck 0 Rail 0 Dedicated Pipe F.11. Waste Description. Give EPA hazardous waste number and amount (volume or mass, specify units). EPA Hazardous Waste Number Amount Units CERCLA (SUPERFUND) WASTEWATER, RCRA REMEDIATION/CORRECTIVE ACTION WASTEWATER, AND OTHER REMEDIAL ACTIVITY WASTEWATER: F.12. Remediation Waste. Does the treatment works currently (or has it been notified that it will) receive waste from remedial activities? ❑ Yes (complete F.13 through F.15.) ® No F.13. Waste Origin. Describe the site and type of facility at which the CERCLA/RCRA/or other remedial waste originates (or is excepted to origniate in the next five years). F.14. Pollutants. List the hazardous constituents that are received (or are expected to be received). Include data on volume and concentration, if known. (Attach additional sheets if necessary.) F.15. Waste Treatment. a. Is this waste treated (or will be treated) prior to entering the treatment works? ❑ Yes ❑ No If yes, describe the treatment (provide information about the removal efficiency): b. Is the discharge (or will the discharge be) continuous or intermittent? ❑ Continuous ❑ Intermittent If intermittent, describe discharge schedule. a;;»r END OF PART F. REFER TO THE APPLICATION OVERVIEW (PAGE 1) TO DETERMINE WHICH OTHER P.ARTS .iiiiOF FORM 2A YOU_ MUST:, COMPLETE_ iiiiiiiiiiiii..R EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 19 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin SUPPLEMENTAL APPLICATION INFORMATION PART F. INDUSTRIAL USER DISCHARGES AND RCRA/CERCLA WASTES All treatment works receiving discharges from significant industrial users complete part F. GENERAL INFORMATION: or which receive RCRA,CERCLA, ot, an approved pretreatment program? Users (ClUs). Provide the number or other remedial wastes must of each of the following types of questions F_3 through F.8 and F.1. Pretreatment program. Does the treatment works have, or is subject ®Yes ❑No F.2. Number of Significant Industrial Users (SIUs) and Categorical Industrial industrial users that discharge to the treatment works. a. Number of non -categorical SlUs. 15 b. Number of Gills. 14 SIGNIFICANT INDUSTRIAL USER INFORMATION: to the treatment works, copy Supply the following information for each SIU. If more than one SIU discharges provide the information requested for each SIU. F.3. Significant Industrial User Information. Provide the name and address of each SIU discharging to the treatment works. Submit additional pages as necessary. Name: Piedmont Aviation Component Services Mailing Address: 3817 North Liberty Street Winston-Salem, NC 27105 F.4. Industrial Processes. Describe all the industrial processes that affect or contribute to the SIU's discharge. Metal finishing, maintenance of aviation systems F.5. Principal Product(s) and Raw Material(s). Describe all of the principal processes and raw materials that affect or contribute to the SIU's discharge. Principal product(s): Aviation products maintenance Rawmaterial(s): metals, cleaners, acids, and caustics F.6. Flow Rate. a. Process wastewater flow rate. Indicate the average daily volume of process wastewater discharge into day (gpd) and whether the discharge is continuous or intermittent. 2,500 gpd ( X continuous or intermittent) the collection system in gallons per into the collection system b. Non -process wastewater flow rate. Indicate the average daily volume of non -process wastewater flow discharged in gallons per day (gpd) and whether the discharge is continuous or intermittent. gpd ( continuous or intermittent) F.7. Pretreatment Standards. Indicate whether the SIU is subject to the following: a. Local limits a Yes ❑ No b. Categorical pretreatment standards a Yes ❑ No If subject to categorical pretreatment standards, which category and subcategory? 40 CFR 433 Subpart A EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 18 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin F.8. Problems at the Treatment Works Attributed to Waste Discharge by the SIU. Has the SIU caused or contributed to any problems (e.g., upsets, interference) at the treatment works in the past three years? ❑ Yes In No If yes, describe each episode. Piedmont Aviation Component Services RCRA HAZARDOUS WASTE RECEIVED BY TRUCK, RAIL, OR DEDICATED PIPELINE: F.9. RCRA Waste. Does the treatment works receive or has it in the past three years received RCRA hazardous waste by truck, rail or dedicated pipe? ❑ Yes Eiji No (go to F.12) F.10. Waste transport. Method by which RCRA waste is received (check at that apply): 0 Truck 0 Rail 0 Dedicated Pipe F.11. Waste Description. Give EPA hazardous waste number and amount (volume or mass, specify units). EPA Hazardous Waste Number Amount Units CERCLA (SUPERFUND) WASTEWATER, RCRA REMEDIATION/CORRECTIVE ACTION WASTEWATER, AND OTHER REMEDIAL ACTIVITY WASTEWATER: F.12. Remediation Waste. Does the treatment works currently (or has it been notified that it will) receive waste from remedial activities? ❑ Yes (complete F.13 through F.15.) ® No F.13. Waste Origin. Describe the site and type of facility at which the CERCLA/RCRA/or other remedial waste originates (or is excepted to origniate in the next five years). F.14. Pollutants. List the hazardous constituents that are received (or are expected to be received). Include data on volume and concentration, if known. (Attach additional sheets if necessary.) F.15. Waste Treatment. a. Is this waste treated (or will be treated) prior to entering the treatment works? ❑ Yes ❑ No If yes, describe the treatment (provide information about the removal efficiency): b. Is the discharge (or will the discharge be) continuous or intermittent? ❑ Continuous 0 Intermittent If intermittent, describe discharge schedule. sa.�x +...i..-,^-�x�3 .:F- END OF PART F. REFER TO THE APPLICATION OVERVIEW (PAGE 1) TO DETERMINE WHICH OTHER PARTS OF FORM 2A YOU MUST COMPLETE EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 19 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin SUPPLEMENTAL APPLICATION INFORMATION ..PART F.INDUSTRIAL USER DISCHARGES AND RCRA/CERCLA WASTES All treatment works receiving discharges from significant industrial users or which receive RCRA,CERCLA, complete part F. GENERAL INFORMATION: F.1. Pretreatment program. Does the treatment works have, or is subject ot, an approved pretreatment program? L3 Yes ❑ No F.2. Number of Significant Industrial Users (SlUs) and Categorical Industrial Users (ClUs). Provide the number industrial users that discharge to the treatment works. a. Number of non -categorical SIUs. 15 or other remedial wastes must of each of the following types of questions F.3 through F.8 and b. Number of Gills. 14 SIGNIFICANT INDUSTRIAL USER INFORMATION: to the treatment works, copy Supply the following information for each SIU. If more than one SIU discharges provide the information requested for each SIU. F.3. Significant Industrial User Information. Provide the name and address of each SIU discharging to the treatment works. Submit additional pages as necessary. Name: R. J. Reynolds Tobacco Co. - 171 Mailing Address: 500 Patterson Avenue Winston-Salem, NC 27102 F.4. Industrial Processes. Describe all the industrial processes that affect or contribute to the SIU's discharge. Metal finishing of machine parts F.5. Principal Product(s) and Raw Material(s). Describe all of the principal processes and raw materials that affect or contribute to the SIU's discharge. Principal product(s): Machine Shop Rawmaterial(s): Metals, oils, cleaners, acids and caustics F.6. Flow Rate. a. Process wastewater flow rate. Indicate the average daily volume of process wastewater discharge into day (gpd) and whether the discharge is continuous or intermittent. 775 gpd ( continuous or x intermittent) the collection system in gallons per into the collection system b. Non -process wastewater flow rate. Indicate the average daily volume of non -process wastewater flow discharged in gallons per day (gpd) and whether the discharge is continuous or intermittent. gpd ( continuous or intermittent) F.7. Pretreatment Standards. Indicate whether the SIU is subject to the following: a. Local limits g3 Yes ❑ No b. Categorical pretreatment standards a Yes ❑ No If subject to categorical pretreatment standards, which category and subcategory? 40 CFR Part 433 Subpart A EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 18 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin F_8. Problems at the Treatment Works Attributed to Waste Discharge by the SIU. Has the SIU caused or contributed to any problems (e.g., upsets, interference) at the treatment works in the past three years? ❑ Yes E No If yes, describe each episode. R. J. Reynolds Tobacco Co. - 171 RCRA HAZARDOUS WASTE RECEIVED BY TRUCK, RAIL, OR DEDICATED PIPELINE: F.9. RCRA Waste. Does the treatment works receive or has it in the past three years received RCRA hazardous waste by truck, rail or dedicated pipe? ❑ Yes El No (go to F.12) F.10. Waste transport. Method by which RCRA waste is received (check all that apply): 0 Truck 0 Rail 0 Dedicated Pipe F.11. Waste Description. Give EPA hazardous waste number and amount (volume or mass, specify units). EPA Hazardous Waste Number Amount Units CERCLA (SUPERFUND) WASTEWATER, RCRA REMEDIATION/CORRECTIVE ACTION WASTEWATER, AND OTHER REMEDIAL ACTIVITY WASTEWATER: F.12. Remediation Waste. Does the treatment works currently (or has it been notified that it will) receive waste from remedial activities? ■ Yes (complete F.13 through F.15.) ® No F.13. Waste Origin. Describe the site and type of facility at which the CERCLA/RCRA/or other remedial waste originates (or is excepted to origniate in the next five years). F.14. Pollutants. List the hazardous constituents that are received (or are expected to be received). Include data on volume and concentration, if known. (Attach additional sheets if necessary.) F.15. Waste Treatment. a. Is this waste treated (or will be treated) prior to entering the treatment works? ❑ Yes ❑ No If yes, describe the treatment (provide information about the removal efficiency): b. Is the discharge (or will the discharge be) continuous or intermittent? ❑ Continuous 0 Intermittent If intermittent, describe discharge schedule. END OF PART F. REFER TO THE APPLICATION OVERVIEW (PAGE 1) TO DETERMINE WHICH OTHER PARTS OF FORM 2A YOU MUST COMPLETE EPA Fomi 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 19 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin SUPPLEMENTAL APPLICATION INFORMATION a�,i�^dfi?n`x; ,. PART F.INDUSTRIAL USER DISCHARGES AND RCRA/CERCLA WASTES All treatment works receiving discharges from significant industrial users complete part F. GENERAL INFORMATION: or which receive RCRA,CERCLA, ot, an approved pretreatment program? Users (CIUs). Provide the number or other remedial wastes must of each of the following types of questions F.3 through F.8 and . F.1. Pretreatment program. Does the treatment works have, or is subject M Yes ❑ No F.2. Number of Significant Industrial Users (Sills) and Categorical Industrial industrial users that discharge to the treatment works. a. Number of non -categorical SIUs. 15 b. Number of CIUs. 14 SIGNIFICANT INDUSTRIAL USER INFORMATION: to the treatment works, copy Supply the following information for each SIU. If more than one SIU discharges provide the information requested for each SIU. F.3. Significant Industrial User Information. Provide the name and address of each SIU discharging to the treatment works. Submit additional pages as necessary. Name: R. J. Reynolds Tobacco Company - 200 Mailing Address: 200 Cunningham Avenue Winston-Salem, NC 27102 F.4. Industrial Processes. Describe all the industrial processes that affect or contribute to the SIU's discharge. Rotogravure printing of packaging materials. F.5. Principal Product(s) and Raw Material(s). Describe all of the principal processes and raw materials that affect or contribute to the SIU's discharge. Principal product(s): Aluminum foil and packaging material Rawmaterial(s): paper. aluminum, inks, solvents and adhesives F.6. Flow Rate. a. Process wastewater flow rate. Indicate the average daily volume of process wastewater discharge into day (gpd) and whether the discharge is continuous or intermittent. 600 gpd ( continuous or x intermittent) the collection system in gallons per into the collection system b. Non -process wastewater flow rate. Indicate the average daily volume of non -process wastewater flow discharged in gallons per day (gpd) and whether the discharge is continuous or intermittent. gpd ( continuous or intermittent) F.7. Pretreatment Standards. Indicate whether the SIU is subject to the following: a. Local limits III Yes ❑ No b. Categorical pretreatment standards ❑ Yes IRI No If subject to categorical pretreatment standards, which category and subcategory? EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 18 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin F.8. Problems at the Treatment Works Attributed to Waste Discharge by the SIU. Has the SIU caused or contributed to any problems (e.g., upsets, interference) at the treatment works in the past three years? ❑ Yes E No If yes, describe each episode. R. J. Reynolds Tobacco Company - 200 RCRA HAZARDOUS WASTE RECEIVED BY TRUCK, RAIL, OR DEDICATED PIPELINE: F.9. RCRA Waste. Does the treatment works receive or has it in the past three years received RCRA hazardous waste by truck, rail or dedicated pipe? ❑ Yes ® No (go to F.12) F.10. Waste transport. Method by which RCRA waste is received (check all that apply): 0 Truck 0 Rail 0 Dedicated Pipe F.11. Waste Description. Give EPA hazardous waste number and amount (volume or mass, specify units). EPA Hazardous Waste Number Amount Units CERCLA (SUPERFUND) WASTEWATER, RCRA REMEDIATION/CORRECTIVE ACTION WASTEWATER, AND OTHER REMEDIAL ACTIVITY WASTEWATER: F.12. Remediation Waste. Does the treatment works currently (or has it been notified that it will) receive waste from remedial activities? ❑ Yes (complete F.13 through F.15.) ® No F.13. Waste Origin. Describe the site and type of facility at which the CERCLA/RCRA/or other remedial waste originates (or is excepted to origniate in the next five years). F.14. Pollutants. List the hazardous constituents that are received (or are expected to be received). Include data on volume and concentration, if known. (Attach additional sheets if necessary.) F.15. Waste Treatment. a. Is this waste treated (or will be treated) prior to entering the treatment works? ❑ Yes ❑ No If yes, describe the treatment (provide information about the removal efficiency): b. Is the discharge (or will the discharge be) continuous or intermittent? ❑ Continuous 0 Intermittent If intermittent, describe discharge schedule. 14MEND OF PART F. - -``- REFER TO THE APPLICATION OVERVIEW (PAGE 1) TO DETERMINE WHICH OTHER PARTS OF FORM 2A YOU MUST COMPLETE EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 19 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin SUPPLEMENTAL APPLICATION INFORMATION PART F INDUSTRIAL, USER DISCHARGES AND,R.CRA/CER.CLA WASTES All treatment works receiving discharges from significant industrial users complete part F. GENERAL INFORMATION: or which receive RCRA,CERCLA, ot, an approved pretreatment program? Users (CIUs). Provide the number or other remedial wastes must - of each of the following types of questions F.3 through F.8 and F.1. Pretreatment program. Does the treatment works have, or is subject 13 Yes ❑ No F.2. Number of Significant Industrial Users (SIUs) and Categorical Industrial industrial users that discharge to the treatment works. a. Number of non -categorical Sills. 15 b. Number of ClUs. 14 SIGNIFICANT INDUSTRIAL USER INFORMATION: to the treatment works, copy Supply the following information for each SIU. If more than one SIU discharges provide the information requested for each SIU. F.3. Significant Industrial User Information. Provide the name and address of each SIU discharging to the treatment works. Submit additional pages as necessary. Name: Roadway Express, Inc. Mailing Address: 1255 NC Hwy. 66 South Kernersville, NC 27284 F.4. Industrial Processes. Describe all the industrial processes that affect or contribute to the SIU's discharge. Garage Operations/Truck Maintenance F.5. Principal Product(s) and Raw Material(s). Describe all of the principal processes and raw materials that affect or contribute to the SIU's discharge. Principal product(s): Maintenance for heavy trucks and trailers Rawmaterial(s): Acids, caustics, surfactants, oil, grease F.6. Flow Rate. a. Process wastewater flow rate. Indicate the average daily volume of process wastewater discharge into day (gpd) and whether the discharge is continuous or intermittent. 14,300 gpd ( X continuous or intermittent) the collection system in gallons per into the collection system b. Non -process wastewater flow rate. Indicate the average daily volume of non -process wastewater flow discharged in gallons per day (gpd) and whether the discharge is continuous or intermittent. gpd ( continuous or intermittent) F.7. Pretreatment Standards. Indicate whether the SIU is subject to the following: a. Local limits fac Yes ❑ No b. Categorical pretreatment standards ❑ Yes at No If subject to categorical pretreatment standards, which category and subcategory? EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 18 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin F.8. Problems at the Treatment Works Attributed to Waste Discharge by the SIU. Has the SIU caused or contributed to any problems (e.g., upsets, interference) at the treatment works in the past three years? ❑ Yes E No If yes, describe each episode. Roadway Express, Inc. RCRA HAZARDOUS WASTE RECEIVED BY TRUCK, RAIL, OR DEDICATED PIPELINE: F.9. RCRA Waste. Does the treatment works receive or has it in the past three years received RCRA hazardous waste by truck, rail or dedicated pipe? ❑ Yes ® No (go to F.12) F.10. Waste transport. Method by which RCRA waste is received (check all that apply): 0 Truck 0 Rail 0 Dedicated Pipe F.11. Waste Description. Give EPA hazardous waste number and amount (volume or mass, specify units). EPA Hazardous Waste Number Amount Units CERCLA (SUPERFUND) WASTEWATER, RCRA REMEDIATION/CORRECTIVE ACTION WASTEWATER, AND OTHER REMEDIAL ACTIVITY WASTEWATER: F.12. Remediation Waste. Does the treatment works currently (or has it been notified that it will) receive waste from remedial activities? ❑ Yes (complete F.13 through F.15-) 1K1 No F.13. Waste Origin. Describe the site and type of facility at which the CERCLA/RCRA/or other remedial waste originates (or is excepted to origniate in the next five years). F.14. Pollutants. List the hazardous constituents that are received (or are expected to be received). Include data on volume and concentration, if known. (Attach additional sheets if necessary.) F.15. Waste Treatment. a. Is this waste treated (or will be treated) prior to entering the treatment works? ❑ Yes ❑ No If yes, describe the treatment (provide information about the removal efficiency): b. Is the discharge (or will the discharge be) continuous or intermittent? ❑ Continuous 0 Intermittent If intermittent, describe discharge schedule. END OF PART F. REFER TO THE APPLICATION OVERVIEW (PAGE 1) TO DETERMINE WHICH OTHER PARTS OF FORM 2A YOU MUST COMPLETE EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 19 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin SUPPLEMENTAL APPLICATION INFORMATION `'PART F.INDUSTRIAL USER DISCHARGES AND.RCRA/CERCLA`WASTES All treatment works receiving discharges from significant industrial users or which receive RCRA,CERCLA, complete part F. GENERAL INFORMATION: F.1. Pretreatment program. Does the treatment works have, or is subject ot, an approved pretreatment program? 0 Yes ❑ No F.2. Number of Significant Industrial Users (SlUs) and Categorical Industrial Users (ClUs). Provide the number industrial users that discharge to the treatment works. a Number of non -categorical SIUs. 15 or other remedial wastes must of each of the following types of questions F.3 through F.8 and b. Number of CIUs. 14 SIGNIFICANT INDUSTRIAL USER INFORMATION: to the treatment works, copy Supply the following information for each SIU. If more than one SIU discharges provide the information requested for each SIU. F.3. Significant Industrial User Information. Provide the name and address of each SIU discharging to the treatment works. Submit additional pages as necessary. Name: Salem Coatings, Inc. Mailing Address: 2450 Cragmore Road Winston-Salem, NC 27107 F.4. Industrial Processes. Describe all the industrial processes that affect or contribute to the SIU's discharge. Metal finishing using powder coating F.5. Principal Product(s) and Raw Material(s). Describe all of the principal processes and raw materials that affect or contribute to the SIU's discharge. Principal product(s): Coated metal products (Job Shop) Rawmaterial(s): powders, cleaners and sealants F.6. Flow Rate. a. Process wastewater flow rate. Indicate the average daily volume of process wastewater discharge into day (gpd) and whether the discharge is continuous or intermittent. 200 gpd ( continuous or x intermittent) the collection system in gallons per into the collection system b. Non -process wastewater flow rate. Indicate the average daily volume of non -process wastewater flow discharged in gallons per day (gpd) and whether the discharge is continuous or intermittent. gpd ( continuous or intermittent) F.7. Pretreatment Standards. Indicate whether the SIU is subject to the following: a. Local limits Yes 0 No b. Categorical pretreatment standards ) Yes ❑ No If subject to categorical pretreatment standards, which category and subcategory? 40 CFR 433 Subpart A EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 13of22 e'V FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin F.8. Problems at the Treatment Works Attributed to Waste Discharge by the SIU. Has the SIU caused or contributed to any problems (e.a., upsets, interference) at the treatment works in the past three years? ❑ Yes ® No If yes, describe each episode. Salem Coatings, Inc. RCRA HAZARDOUS WASTE RECEIVED BY TRUCK, RAIL, OR DEDICATED PIPELINE: F.9. RCRA Waste. Does the treatment works receive or has it in the past three years received RCRA hazardous waste by truck, rail or dedicated pipe? ❑ Yes EI. No (go to F.12) F.10. Waste transport. Method by which RCRA waste is received (check all that apply): ❑ Truck ❑ Rail 0 Dedicated Pipe F.11. Waste Description. Give EPA hazardous waste number and amount (volume or mass, specify units). EPA Hazardous Waste Number Amount Units CERCLA (SUPERFUND) WASTEWATER, RCRA REMEDIATION/CORRECTIVE ACTION WASTEWATER, AND OTHER REMEDIAL ACTIVITY WASTEWATER: F.12. Remediation Waste. Does the treatment works currently (or has it been notified that it will) receive waste from remedial activities? 0 Yes (complete F.13 through F.15.) E No F.13. Waste Origin. Describe the site and type of facility at which the CERCLA/RCRA/or other remedial waste originates (or is excepted to origniate in the next five years). F.14. Pollutants. List the hazardous constituents that are received (or are expected to be received). Include data on volume and concentration, if known. (Attach additional sheets if necessary.) F.15. Waste Treatment. a. Is this waste treated (or will be treated) prior to entering the treatment works? ❑ Yes ❑ No If yes, describe the treatment (provide information about the removal efficiency): b. Is the discharge (or will the discharge be) continuous or intermittent? ❑ Continuous ❑ Intermittent If intermittent, describe discharge schedule. ,-t.i.illiagnitl END OF PART F. REFER TO THE APPLICATION OVERVIEW (PAGE 1) TO DETERMINE WHICH OTHER PARTS OF FORM 2A YOU MUST,COMPLETE = .. EPA Fomi 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 19 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin SUPPLEMENTAL APPLICATION INFORMATION PART F.INDUSTRIAL USER DISCHARGES AND RCRA/CERCLA WASTES All treatment works receiving discharges from significant industrial users complete part F. GENERAL INFORMATION: or which receive RCRA,CERCLA, ot, an approved pretreatment program? Users (ClUs). Provide the number or other remedial wastes must of each of the following types of questions F.3 through F.8 and F.1. Pretreatment program. Does the treatment works have, or is subject 21 Yes ❑ No F.2. Number of Significant Industrial Users (SIUs) and Categorical Industrial industrial users that discharge to the treatment works. a. Number of non -categorical Sills. 15 b. Number of ClUs. 14 SIGNIFICANT INDUSTRIAL USER INFORMATION: Supply the following information for each SIU. If more than one SIU discharges to the treatment works, copy provide the information requested for each SIU. F.3. Significant Industrial User Information. Provide the name and address of each SIU discharging to the treatment works. Submit additional pages as necessary. Name: Sara Lee Underwear Mailing Address: 700 South Stratford Road Winston-Salem, NC 27103 F.4. Industrial Processes. Describe all the industrial processes that affect or contribute to the SIU's discharge. Textile dying, finishing and printing of underwear and outerwear F.5. Principal Product(s) and Raw Material(s). Describe all of the principal processes and raw materials that affect or contribute to the SIU's discharge. Principal product(s): Underwear and outerwear garment parts Rawmateriat(s): Cotton and synthetic fibers, caustics, bleach, dyes and finishing chemicals. F.6. Flow Rate. of process wastewater discharge into or intermittent) the collection system in gallons per into the collection system a. Process wastewater flow rate. Indicate the average daily volume day (gpd) and whether the discharge is continuous or intermittent. 650,000 gpd ( x continuous b. Non -process wastewater flow rate. Indicate the average daily volume of non -process wastewater flow discharged in gallons per day (gpd) and whether the discharge is continuous or intermittent. gpd ( continuous or intermittent) F.7. Pretreatment Standards. Indicate whether the SIU is subject to the following: a. Local limits U Yes ❑ No b. Categorical pretreatment standards 0 Yes ® No If subject to categorical pretreatment standards, which category and subcategory? EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 18 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin F.S. Problems at the Treatment Works Attributed to Waste Discharge by the SIU. Has the SIU caused or contributed to any problems (e.g., upsets, interference) at the treatment works in the past three years? ❑ Yes E No If yes, describe each episode. Sara Lee Underwear RCRA HAZARDOUS WASTE RECEIVED BY TRUCK, RAIL, OR DEDICATED PIPELINE: F.9. RCRA Waste. Does the treatment works receive or has it in the past three years received RCRA hazardous waste by truck, rail or dedicated pipe? ❑ Yes E No (go to F.12) F.10. Waste transport. Method by which RCRA waste is received (check all that apply): 0 Truck ❑ Rail ❑ Dedicated Pipe F.11. Waste Description. Give EPA hazardous waste number and amount (volume or mass, specify units). EPA Hazardous Waste Number Amount Units CERCLA (SUPERFUND) WASTEWATER, RCRA REMEDIATION/CORRECTIVE ACTION WASTEWATER, AND OTHER REMEDIAL ACTIVITY WASTEWATER: F.12. Remediation Waste. Does the treatment works currently (or has it been notified that it will) receive waste from remedial activities? 0 Yes (complete F.13 through F.15.) ®No F.13. Waste Origin. Describe the site and type of facility at which the CERCLA/RCRA/or other remedial waste originates (or is excepted to origniate in the next five years). F.14. Pollutants. List the hazardous constituents that are received (or are expected to be received). Include data on volume and concentration, if known. (Attach additional sheets if necessary.) F.15. Waste Treatment. a. Is this waste treated (or will be treated) prior to entering the treatment works? ❑ Yes ❑ No If yes, describe the treatment (provide information about the removal efficiency): b. Is the discharge (or will the discharge be) continuous or intermittent? ❑ Continuous 0 Intermittent If intermittent, describe discharge schedule. '..;, - - ._ - -..x e .. ,ram ", ; •" _ - -' END OF PART F. REFER TO THE APPLICATION OVERVIEW (PAGE 1) TO DETERMINE WHICH OTHER PARTS OF FORM 2A YOU MUST COMPLETE EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 19 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin SUPPLEMENTAL APPLICATION INFORMATION PART F.INDUSTRIAL USER DISCHARGES AND.RCRA/CERCLA WASTES All treatment works receiving discharges from significant industrial users or which receive RCRA,CERCLA, complete part F. GENERAL INFORMATION: F.1. Pretreatment program. Does the treatment works have, or is subject ot, an approved pretreatment program? 2 Yes ❑ No F.2. Number of Significant Industrial Users (SlUs) and Categorical Industrial Users (ClUs). Provide the number industrial users that discharge to the treatment works. a. Number of non -categorical SIUs. 15 or other remedial wastes must of each of the following types of questions F.3 through F.8 and b. Number of ClUs. 14 SIGNIFICANT INDUSTRIAL USER INFORMATION: to the treatment works, copy Supply the following information for each SIU. If more than one SIU discharges provide the information requested for each SIU. F.3. Significant Industrial User Information. Provide the name and address of each SIU discharging to the treatment works. Submit additional pages as necessary. Name: Southern Tool Manufacturing Co., Inc. Mailing Address: 535 East Clemmonsville Road Winston-Salem, NC 27107 F.4. Industrial Processes. Describe all the industrial processes that affect or contribute to the SIU's discharge. Metal finishing Job Shop F.5. Principal Product(s) and Raw Material(s). Describe all of the principal processes and raw materials that affect or contribute to the SIU's discharge. Principal product(s): Finished cabinetry hardware Rawmaterial(s): Copper, brass, steel, degreasers, acids and caustics F.6. Flow Rate. a. Process wastewater flow rate. Indicate the average daily volume of process wastewater discharge into day (gpd) and whether the discharge is continuous or intermittent. 2,250 gpd ( continuous or X intermittent) the collection system in gallons per into the collection system b. Non -process wastewater flow rate. Indicate the average daily volume of non -process wastewater flow discharged in gallons per day (gpd) and whether the discharge is continuous or intermittent. gpd ( continuous or intermittent) F.7. Pretreatment Standards. Indicate whether the SIU is subject to the following: a. Local limits ® Yes ❑ No b. Categorical pretreatment standards ® Yes ❑ No If subject to categorical pretreatment standards, which category and subcategory? 40 CFR Part 433 Subpart A EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 18 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin F.B. Problems at the Treatment Works Attributed to Waste Discharge by the SIU. Has the SIU caused or contributed to any problems (e.g., upsets, interference) at the treatment works in the past three years? ❑ Yes In No If yes, describe each episode. Southern Tool Manufacturing Co., Inc. RCRA HAZARDOUS WASTE RECEIVED BY TRUCK, RAIL, OR DEDICATED PIPELINE: F.9. RCRA Waste. Does the treatment works receive or has it in the past three years received RCRA hazardous waste by truck, rail or dedicated pipe? ❑ Yes E No (go to F.12) F.10. Waste transport. Method by which RCRA waste is received (check all that apply): 0 Truck 0 Rail 0 Dedicated Pipe F.11. Waste Description. Give EPA hazardous waste number and amount (volume or mass, specify units). EPA Hazardous Waste Number Amount Units CERCLA (SUPERFUND) WASTEWATER, RCRA REMEDIATION/CORRECTIVE ACTION WASTEWATER, AND OTHER REMEDIAL ACTIVITY WASTEWATER: F.12. Remediation Waste. Does the treatment works currently (or has it been notified that it will) receive waste from remedial activities? ❑ Yes (complete F.13 through F.15.) ® No F.13. Waste Origin. Describe the site and type of facility at which the CERCLA/RCRA/or other remedial waste originates (or is excepted to origniate in the next five years). F.14. Pollutants. List the hazardous constituents that are received (or are expected to be received). Include data on volume and concentration, if known. (Attach additional sheets if necessary.) F.15. Waste Treatment. a. Is this waste treated (or will be treated) prior to entering the treatment works? ❑ Yes ❑ No If yes, describe the treatment (provide information about the removal efficiency): b. Is the discharge (or will the discharge be) continuous or intermittent? ❑ Continuous ❑ Intermittent If intermittent, describe discharge schedule. END OF PART F. :, REFER TO THE APPLICATION OVERVIEW (PAGE 1) TO DETERMINE WHICH OTHER PARTS OF FORM 2A YOU MUST COMPLETE EPA Fomi 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 19 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin SUPPLEMENTAL APPLICATION INFORMATION PART F.INDUSTRIAL USER DISCHARGES AND RCRA/CERCLA WASTES All treatment works receiving discharges from significant industrial users complete part F. GENERAL INFORMATION: or which receive RCRA,CERCLA, ot, an approved pretreatment program? Users (CIUs). Provide the number or other remedial wastes must of each of the following types of questions F.3 through F.8 and F.1. Pretreatment program. Does the treatment works have, or is subject 0 Yes ❑ No F.2. Number of Significant Industrial Users (SlUs) and Categorical Industrial industrial users that discharge to the treatment works. a. Number of non -categorical SlUs. 15 b. Number of CIUs. 14 SIGNIFICANT INDUSTRIAL USER INFORMATION: to the treatment works, copy Supply the following information for each SIU. If more than one SIU discharges provide the information requested for each SIU. F.3. Significant Industrial User Information. Provide the name and address of each SIU discharging to the treatment works. Submit additional pages as necessary. Name: Stratford Metal Finishing, Inc. Mailing Address: 807 South Marshall Street Winston-Salem, NC 27101 F.4. Industrial Processes. Describe all the industrial processes that affect or contribute to the SIU's discharge. Electroplating and metal finishing Job Shop F.5. Principal Product(s) and Raw Material(s). Describe all of the principal processes and raw materials that affect or contribute to the SIU's discharge. Principal product(s): Finished metal hardware Rawmaterial(s): Copper, Nickel, Chrome, Zinc, Cadmium, Silver, Gold, Acid F.6. Flow Rate. Caustics and cleaners. of prccess wastewater discharge into or X intermittent) the collection system in gallons per into the collection system a. Process wastewater flow rate. Indicate the average daily volume day (gpd) and whether the discharge is continuous or intermittent. 5,000 gpd ( continuous b. Non -process wastewater flow rate. Indicate the average daily volume of non -process wastewater flow discharged in gallons per day (gpd) and whether the discharge is continuous or intermittent. gpd ( continuous or intermittent) F.7. Pretreatment Standards. Indicate whether the SIU is subject to the following: a. Local limits Et Yes ❑ No b. Categorical pretreatment standards a Yes 0 No If subject to categorical pretreatment standards, which category and subcategory? 40 CFR Part 413 Subpart A EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 18 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin F.B. Problems at the Treatment Works Attributed to Waste Discharge by the SIU. Has the SIU caused or contributed to any problems (e.g., upsets, interference) at the treatment works in the past three years? ❑ Yes ® No If yes, describe each episode. Stratford Metal Finishing, Inc. RCRA HAZARDOUS WASTE RECEIVED BY TRUCK, RAIL, OR DEDICATED PIPELINE: F.9. RCRA Waste. Does the treatment works receive or has it in the past three years received RCRA hazardous waste by truck, rail or dedicated pipe? ❑ Yes 1 No (go to F.12) F.10. Waste transport. Method by which RCRA waste is received (check all that apply): ❑ Truck ❑ Rail 0 Dedicated Pipe F.11. Waste Description. Give EPA hazardous waste number and amount (volume or mass, specify units). EPA Hazardous Waste Number Amount Units CERCLA (SUPERFUND) WASTEWATER, RCRA REMEDIATION/CORRECTIVE ACTION WASTEWATER, AND OTHER REMEDIAL ACTIVITY WASTEWATER: F.12. Remediation Waste. Does the treatment works currently (or has it been notified that it will) receive waste from remedial activities? 0 Yes (complete F.13 through F.15.) ® No F.13. Waste Origin. Describe the site and type of facility at which the CERCLA/RCRA/or other remedial waste originates (or is excepted to origniate in the next five years). F.14. Pollutants. List the hazardous constituents that are received (or are expected to be received). Include data on volume and concentration, if known. (Attach additional sheets if necessary.) F.15. Waste Treatment. a. Is this waste treated (or will be treated) prior to entering the treatment works? ❑ Yes ❑ No If yes, describe the treatment (provide information about the removal efficiency): b. Is the discharge (or will the discharge be) continuous or intermittent? ❑ Continuous 0 Intermittent If intermittent, describe discharge schedule. END OF PART F. REFER TO THE APPLICATION OVERVIEW (PAGE 1) TO DETERMINE WHICH OTHER PARTS OF FORM 2A YOU MUST COMPLETE EPA Fomi 3510-2A {Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 19 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin SUPPLEMENTAL APPLICATION INFORMATION PART F INDUSTRIAL USER DISCHARGES AND.RCRA/CERCLA WASTES All treatment works receiving discharges from significant industrial users or which receive RCRA,CERCLA, complete part F. GENERAL INFORMATION: F.1. Pretreatment program. Does the treatment works have, or is subject ot, an approved pretreatment program? gi Yes ❑ No F.2. Number of Significant Industrial Users (SIUs) and Categorical Industrial Users (ClUs). Provide the number industrial users that discharge to the treatment works. a. Number of non -categorical SIUs. 15 or other remedial wastes must of each of the following types of questions F.3 through F.8 and b. Number of ClUs. 14 SIGNIFICANT INDUSTRIAL USER INFORMATION: Supply the following information for each SIU. If more than one SIU discharges to the treatment works, copy provide the information requested for each SIU. F.3. Significant Industrial User Information. Provide the name and address of each SIU discharging to the treatment works. Submit additional pages as necessary. Name: Textilease Inc. Mailing Address: 526 Piney Grove Road Kernersville, NC 27284 F.4. Industrial Processes. Describe all the industrial processes that affect or contribute to the SIU's discharge. Industrial laundry F.5. Principal Product(s) and Raw Material(s). Describe all of the principal processes and raw materials that affect or contribute to the SIU's discharge. Principal product(s): Clean uniforms, aprons, table linen, mats, shop towels Rawmaterial(s): water, soap, bleach F.6. Flow Rate. a. Process wastewater flow rate. Indicate the average daily volume of process wastewater discharge into day (gpd) and whether the discharge is continuous or intermittent. 59,000 gpd ( x continuous or intermittent) the collection system in gallons per into the collection system b. Non -process wastewater flow rate. Indicate the average daily volume of non -process wastewater flow discharged in gallons per day (gpd) and whether the discharge is continuous or intermittent. gpd ( continuous or intermittent) F.7. Pretreatment Standards. Indicate whether the SIU is subject to the following: a. Local limits ® Yes ❑ No b. Categorical pretreatment standards ❑ Yes Jj No If subject to categorical pretreatment standards, which category and subcategory? EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 18 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin F.8. Problems at the Treatment Works Attributed to Waste Discharge by the SIU. Has the SIU caused or contributed to any problems (e.g., upsets, interference) at the treatment works in the past three years? ❑ Yes ® No If yes, describe each episode. Textilease Inc. RCRA HAZARDOUS WASTE RECEIVED BY TRUCK, RAIL, OR DEDICATED PIPELINE: F.9. RCRA Waste. Does the treatment works receive or has it in the past three years received RCRA hazardous waste by truck, rail or dedicated pipe? ❑ Yes ®. No (go to F.12) F.10. Waste transport. Method by which RCRA waste is received (check all that apply): 0 Truck 0 Rail ❑ Dedicated Pipe F.11. Waste Description. Give EPA hazardous waste number and amount (volume or mass, specify units). EPA Hazardous Waste Number Amount Units CERCLA (SUPERFUND) WASTEWATER, RCRA REMEDIATION/CORRECTIVE ACTION WASTEWATER, AND OTHER REMEDIAL ACTIVITY WASTEWATER: F.12. Remediation Waste. Does the treatment works currently (or has it been notified that it will) receive waste from remedial activities? 0 Yes (complete F.13 through F.15.) ® No F.13. Waste Origin. Describe the site and type of facility at which the CERCLA/RCRA/or other remedial waste originates (or is excepted to origniate in the next five years). F.14. Pollutants. List the hazardous constituents that are received (or are expected to be received). Include data on volume and concentration, if known. (Attach additional sheets if necessary.) F.15. Waste Treatment. a. Is this waste treated (or will be treated) prior to entering the treatment works? ❑ Yes ❑ No If yes, describe the treatment (provide information about the removal efficiency): b. Is the discharge (or will the discharge be) continuous or intermittent? ❑ Continuous 0 Intermittent If intermittent, describe discharge schedule. END OF PART F. REFER TO THE APPLICATION OVERVIEW (PAGE 1) TO DETERMINE WHICH OTHER PARTS OF FORM 2A YOU MUST COMPLETE EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 19 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin SUPPLEMENTAL APPLICATION INFORMATION ;PART F.:INDUSTRIAL USER`DISCHARGES AND RCRA/CERCLA WASTES All treatment works receiving discharges from significant industrial users or which receive RCRA,CERCLA, complete part F. GENERAL INFORMATION: F.1. Pretreatment program. Does the treatment works have, or is subject ot, an approved pretreatment program? ® Yes ❑ No F.2. Number of Significant Industrial Users (SIUs) and Categorical Industrial Users (CIUs). Provide the number industrial users that discharge to the treatment works. a. Number of non -categorical SIUs. 15 or other remedial wastes must of each of the following types of questions F.3 through F.8 and b- Number of CIUs. 14 SIGNIFICANT INDUSTRIAL USER INFORMATION: to the treatment works, copy Supply the following information for each SIU- If more than one SIU discharges provide the information requested for each SIU. F.3. Significant Industrial User Information. Provide the name and address of each SIU discharging to the treatment works. Submit additional pages as necessary. Name: Tyco Electronics Corp. Mailing Address: 3900 Reidsville Road Winston-Salem, NC 27101 F.4. Industrial Processes. Describe all the industrial processes that affect or contribute to the SIU's discharge. Metal finishing F.5. Principal Product(s) and Raw Material(s). Describe all of the principal processes and raw materials that affect or contribute to the SIU's discharge. Principal product(s): Electroplated electrical connectors Rawmaterial(s): Copper, Nickel, Gold, Cleaners, Acids and Caustics F.6. Flow Rate. a. Process wastewater flow rate. Indicate the average daily volume of process wastewater discharge into day (gpd) and whether the discharge is continuous or intermittent. 17,000 gpd ( continuous or X intermittent) the collection system in gallons per into the collection system b. Non -process wastewater flow rate. Indicate the average daily volume of non -process wastewater flow discharged in gallons per day (gpd) and whether the discharge is continuous or intermittent. gpd ( continuous or intermittent) F.7. Pretreatment Standards. Indicate whether the SIU is subject to the following: a. Local limits ® Yes ❑ No b. Categorical pretreatment standards I1 Yes ❑ No If subject to categorical pretreatment standards, which category and subcategory? 40 CFR Part 433 Subpart A EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 18 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin F.8. Problems at the Treatment Works Attributed to Waste Discharge by the SIU. Has the SIU caused or contributed to any problems (e.g., upsets, interference) at the treatment works in the past three years? ❑ Yes E No If yes, describe each episode. Tyco Electronics Corp. RCRA HAZARDOUS WASTE RECEIVED BY TRUCK, RAIL, OR DEDICATED PIPELINE: F.9. RCRA Waste. Does the treatment works receive or has it in the past three years received RCRA hazardous waste by truck, rail or dedicated pipe? ❑ Yes ®. No (go to F.12) F.1 0. Waste transport. Method by which RCRA waste is received (check all that apply): ❑ Truck 0 Rail 0 Dedicated Pipe F.11. Waste Description. Give EPA hazardous waste number and amount (volume or mass, specify units). EPA Hazardous Waste Number Amount Units CERCLA (SUPERFUND) WASTEWATER, RCRA REMEDIATION/CORRECTIVE ACTION WASTEWATER, AND OTHER REMEDIAL ACTIVITY WASTEWATER: F.12. Remediation Waste. Does the treatment works currently (or has it been notified that it will) receive waste from remedial activities? 0 Yes (complete F.13 through F.15.) Cj No F.13. Waste Origin. Describe the site and type of facility at which the CERCLA/RCRA/or other remedial waste originates (or is excepted to origniate in the next five years). F.14. Pollutants. List the hazardous constituents that are received (or are expected to be received). Include data on volume and concentration, if known. (Attach additional sheets if necessary.) F.15. Waste Treatment. a. Is this waste treated (or will be treated) prior to entering the treatment works? ❑ Yes ❑ No If yes, describe the treatment (provide information about the removal efficiency): b. Is the discharge (or will the discharge be) continuous or intermittent? ❑ Continuous 0 Intermittent If intermittent, describe discharge schedule. END OF PART F. REFER TO THE APPLICATION OVERVIEW (PAGE 1) TO DETERMINE WHICH OTHER PARTS OF FORM 2A-YOU MUST.COMPLETE. - - '.r EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550.6 & 7550-22. Page 19 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin SUPPLEMENTAL APPLICATION INFORMATION - ::PART F.INDUSTRIAL USER DISCHARGES AND RCRAICERCLA WASTES All treatment works receiving discharges from significant industrial users complete part F. GENERAL INFORMATION: or which receive RCRA,CERCLA, ot, an approved pretreatment program? Users (ClUs). Provide the number or other remedial wastes must of each of the following types of questions F.3 through F.8 and F.1. Pretreatment program. Does the treatment works have, or is subject 13 Yes ❑ No F.2. Number of Significant Industrial Users (SIUs) and Categorical Industrial industrial users that discharge to the treatment works. a. Number of non -categorical SIUs. 15 b. Number of ClUs. 14 SIGNIFICANT INDUSTRIAL USER INFORMATION: Supply the following information for each SIU. If more than one SIU discharges to the treatment works, copy provide the information requested for each SIU. F.3. Significant Industrial User Information. Provide the name and address of each SIU discharging to the treatment works. Submit additional pages as necessary. Name: U. S. Airways Mailing Address: 4400 Lansing Drive Winston-Salem, NC 27105 F.4. Industrial Processes. Describe all the industrial processes that affect or contribute to the SIU's discharge. Metal finishing F.5. Principal Product(s) and Raw Material(s). Describe all of the principal processes and raw materials that affect or contribute to the SIU's discharge. Principalproduct(s): Repaired aircraft parts Rawmaterial(s): Aircraft parts, cadmium, chromium, copper, lead, nickel, zinc, F.6. Flow Rate. acids and caustics. of process wastewater discharge into or intermittent) the collection system in gallons per into the collection system a. Process wastewater flow rate. Indicate the average daily volume day (gpd) and whether the discharge is continuous or intermittent. 3,500 gpd ( X continuous _ b. Non -process wastewater flow rate. Indicate the average daily volume of non -process wastewater flow discharged in gallons per day (gpd) and whether the discharge is continuous or intermittent. gpd ( continuous or intermittent) F.7. Pretreatment Standards. Indicate whether the SIU is subject to the following: a. Local limits E Yes ❑ No b. Categorical pretreatment standards ® Yes ❑ No If subject to categorical pretreatment standards, which category and subcategory? 40 CFR Part 433 Subpart A EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 18 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin F.S. Problems at the Treatment Works Attributed to Waste Discharge by the SIU_ Has the SIU caused or contributed to any problems (e.g., upsets, interference) at the treatment works in the past three years? ❑ Yes ® No If yes, describe each episode. U. S. Airways RCRA HAZARDOUS WASTE RECEIVED BY TRUCK, RAIL, OR DEDICATED PIPELINE: F.9. RCRA Waste. Does the treatment works receive or has it in the past three years received RCRA hazardous waste by truck, rail or dedicated pipe? ❑ Yes 1E1 No (go to F.12) F.10. Waste transport. Method by which RCRA waste is received (check all that apply): 0 Truck ❑ Rail 0 Dedicated Pipe F.11. Waste Description. Give EPA hazardous waste number and amount (volume or mass, specify units). EPA Hazardous Waste Number Amount Units CERCLA (SUPERFUND) WASTEWATER, RCRA REMEDIATION/CORRECTIVE ACTION WASTEWATER, AND OTHER REMEDIAL ACTIVITY WASTEWATER: F.12. Remediation Waste. Does the treatment works currently (or has it been notified that it will) receive waste from remedial activities? 0 Yes (complete F.13 through F.15.) IE No F.13. Waste Origin. Describe the site and type of facility at which the CERCLA/RCRA/or other remedial waste originates (or is excepted to origniate in the next five years). F.14. Pollutants. List the hazardous constituents that are received (or are expected to be received). Include data on volume and concentration, if known. (Attach additional sheets if necessary.) F.15. Waste Treatment. a. Is this waste treated (or will be treated) prior to entering the treatment works? ❑ Yes ❑ No If yes, describe the treatment (provide information about the removal efficiency): b. Is the discharge (or will the discharge be) continuous or intermittent? ❑ Continuous 0 Intermittent If intermittent, describe discharge schedule. END OF PART F. REFER TO THE APPLICATION OVERVIEW (PAGE 1) TO DETERMINE WHICH OTHER PARTS OF FORM 2A YOU MUST COMPLETE'.` EPA Form 3510-2A Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 19 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin SUPPLEMENTAL APPLICATION INFORMATION PART F. INDUSTRIAL USER DISCHARGES AND RCRA/CERCLA WASTES All treatment works receiving discharges from significant industrial users or which receive RCRA,CERCLA, complete part F. GENERAL INFORMATION: F.1. Pretreatment program. Does the treatment works have, or is subject ot, an approved pretreatment program? ® Yes ❑ No F.2. Number of Significant Industrial Users (SIUs) and Categorical Industrial Users (CIUs). Provide the number industrial users that discharge to the treatment works. a. Number of non -categorical SIUs. 15 or other remedial wastes must of each of the following types of questions F.3 through F.8 and b. Number of ClUs. 14 SIGNIFICANT INDUSTRIAL USER INFORMATION: to the treatment works, copy Supply the following information for each SIU. If more than one SIU discharges provide the information requested for each SIU. F.3. Significant Industrial User Information. Provide the name and address of each SIU discharging to the treatment works. Submit additional pages as necessary. Name: V. F. Jeanswear Mailing Address: 3201 Centre Park Blvd. Winston-Salem, NC 27107 F.4. Industrial Processes. Describe all the industrial processes that affect or contribute to the SIU's discharge. Wet Process Denim Jeans F.5. Principal Product(s) and Raw Material(s). Describe all of the principal processes and raw materials that affect or contribute to the SIU's discharge. Principalproduct(s): Stone washed, acid washed, sandblasted jeans Rawmaterial(s): Jeans, Detergent, Bleach, Acids, and Pumice Stones F.6. Flow Rate. a. Process wastewater flow rate. Indicate the average daily volume of process wastewater discharge into day (gpd) and whether the discharge is continuous or intermittent. 553,000 gpd ( X continuous or intermittent) the collection system in gallons per into the collection system b. Non -process wastewater flow rate. Indicate the average daily volume of non -process wastewater flow discharged in gallons per day (gpd) and whether the discharge is continuous or intermittent. gpd ( continuous or intermittent) F.7. Pretreatment Standards. Indicate whether the SIU is subject to the following: a. Local limits Ila Yes ❑ No b. Categorical pretreatment standards ❑ Yes R No If subject to categorical pretreatment standards, which category and subcategory? EPA Form 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 18 of 22 FACILITY NAME AND PERMIT NUMBER: Archie Elledge WWTP 'NC0037834 PERMIT ACTION REQUESTED: Simple Renewal RIVER BASIN: Yadkin F.8. Problems at the Treatment Works Attributed to Waste Discharge by the SIU. Has the SIU caused or contributed to any problems (e.g., upsets, interference) at the treatment works in the past three years? ❑ Yes E No If yes, describe each episode. V F Jeanswear RCRA HAZARDOUS WASTE RECEIVED BY TRUCK, RAIL, OR DEDICATED PIPELINE: F.9. RCRA Waste. Does the treatment works receive or has it in the past three years received RCRA hazardous waste by truck, rail or dedicated pipe? ❑ Yes E. No (go to F.12) F.10. Waste transport. Method by which RCRA waste is received (check all that apply): ❑ Truck ❑ Rail ❑ Dedicated Pipe F.11. Waste Description. Give EPA hazardous waste number and amount (volume or mass, specify units). EPA Hazardous Waste Number Amount Units CERCLA (SUPERFUND) WASTEWATER, RCRA REMEDIATION/CORRECTIVE ACTION WASTEWATER, AND OTHER REMEDIAL ACTIVITY WASTEWATER: F.12. Remediation Waste. Does the treatment works currently (or has it been notified that it will) receive waste from remedial activities? ❑ Yes (complete F.13 through F.15.) ® No F.13. Waste Origin. Describe the site and type of facility at which the CERCLA/RCRA/or other remedial waste originates (or is excepted to origniate in the next five years). F.14. Pollutants. List the hazardous constituents that are received (or are expected to be received). Include data on volume and concentration, if known. (Attach additional sheets if necessary.) F.15. Waste Treatment. a. Is this waste treated (or will be treated) prior to entering the treatment works? ❑ Yes ❑ No If yes, describe the treatment (provide information about the removal efficiency): b. Is the discharge (or will the discharge be) continuous or intermittent? ❑ Continuous ❑ Intermittent If intermittent, describe discharge schedule. END OF PART F. REFER TO THE APPLICATION OVERVIEW (PAGE 1) TO DETERMINE WHICH OTHER PARTS OF FORM 2A YOU MUST COMPLETE EPA Fomi 3510-2A (Rev. 1-99). Replaces EPA forms 7550-6 & 7550-22. Page 19of22 BIOSOLIDS DISPOSAL STRATEGY Winston- Salem/Forsyth County Utility Commission ARCHIE ELLEDGE WWTP MUDDY CREEK WWTP Residual biosolids from both of the Winston-Salem/Forsyth County Utility Commission's two wastewater treatment plants are treated to meet Class B criteria established by EPA's Sludge Disposal Regulations. This level of treatment is achieved by subjecting the biosolids to anaerobic digestion at -97 degrees Fahrenheit for at least 45 days. The average digestion time at the Elledge Plant is -48 days and the Muddy Plant digestion time is -50 days. Both facilities meet or exceed the volatile solids reduction criteria established by U.S. EPA for vector control. Winston-Salem's primary sludge disposal strategy is to land apply its digested biosolids to farm land at agronomic rates. Winston-Salem currently has 6269.17 acres permitted to receive biosolids under its Non Discharge Permit WQ0000094 issued by the State of North Carolina's Division of Water Quality section. This land is located in Forsyth, Davie and Yadkin Counties. Winston-Salem has also applied to EPA Region TV for a federal sludge disposal permit. The application was submitted in 1998 but the permit has not been issued. Archie Elledge WWTP The Archie Elledge WWTP currently produces 16.4 dry tons of digested biosolids daily. Under normal conditions, these solids are stored in one of three sludge holding lagoons until they are land applied. These three lagoons have a combined storage capacity of 32.4 million gallons. While in the lagoons free water forms as the solids separate and settle to the bottom. This free water is removed and is recycled back through the WWTP. This process serves to thicken the solids content of the of the biosolids -2% to -5%. The solids concentration in the biosolids actually land applied varies according to the crop being grown, but generally this value is around 5%. Adverse weather conditions and cropping patterns may prevent our being able to land apply biosolids on a continual basis. During these times biosolids are stored in the holding lagoons until land application can resume or they are dewatered by our Biosolids dewatering facility utilizing centrifuges. This cake material averages -21.8% TS and is disposed of in a lined solid waste landfill. Muddy Creek WWTP The Muddy Creek WWTP produces - 7.4 dry tons of biosolids daily. The plant has mechanical dewatering facilities which dewater ^-46.7% of the daily biosolids production. *• elt Q The remaining solids are stored in the plant's 12.8 million gallon lagoon storage system until they are land applied. The plant's lagoons are not large enough to contain the daily sludge production during periods when land application is not possible, so the belt filter presses are operated continually to supplement the lagoons storage capacity The Muddy Creek Plant is equipped with a sludge blending facility which is designed to mix dewatered cake with the thinner biosolids removed from the holding lagoons. This operation allows the plant to formulate a biosolids slurry with a nutrient content that is appropriate for the crop being grown on the application site. In the event the plant exhausts all it's lagoon and cake storage capacity during periods when field operations cannot be conducted, the plant's strategy is to dewater it's entire daily solids production and dispose of the resulting cake in a lined solid waste landfill. FUTURE DISPOSAL STRATEGY The Winston-Salem/Forsyth County Utility Commission has retained HDR Engineering ,Inc. of the Carolina's to develop a Wastewater Treatment Master Plan Report for our facilities for the next ten years. Part of this report will outline general recommendations for Biosolids management at both Plant's The Commission has awarded contracts for the demolition of some old sludge sand drying beds and the construction of a covered dewatered cake biosolids storage facility to store biosolids for extending our land application program to farmland . The premise behind this facility is to move away from liquid land application to a Class B cake application program. Due to development land availability for land application of biosolids is decreasing each year. The ability to land apply a cake material will extend this program until a Class A biosolids handling facility can be designed and constructed for a long-term solution. These contracts should be completed by late 2004. In addition the Plant's will continue to use the option to dispose of dewatered cake as needed in a lined solid waste landfill. The Commission will be awarding a contract to Black&Veatch to design a Class A treatment process for Biosolids produced at the Divisions two wastewater treatment plant's. The final scope for this project will be developed by the Engineer but will include thickening, dewatering and drying equipment additions needed to produce and dispose of a Class A product. Projections are for the design and construction to be completed by late 2006. Signed David K. Sa 'rector of Utilities Date /e/q/Q,3