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NC0037834_Permit (Modification)_20050830
NPDES DOCU ENT !;CANNING COVER SHEET NC0037834 Archie Elledge WWTP NPDES Permit: Document Type: Permit Issuance Wasteload Allocation Authorization to Construct (AtC) Permit Modification Complete File - Historical Engineering Alternatives (EAA) Correspondence Owner Name Change Instream Assessment (67b) Speculative Limits Environmental Assessment (EA) Document Date: August 30, 2005 This document is; printed on reuse paper - ignore any content on the reszerse side Winston-Salem • Forsyth County City/County Utilities Water • Sewer • Solid Waste Disposal Manson Meads Complex • 2799 Griffith Road • Winston-Salem, NC 27103 • Tel 336.765.0130 • Fax 336.659.4320 August 30, 2005 Mr. Sergei Chernikov North Carolina Department of Environment and Natural Resources NPDES Unit 1617 Mail Service Center Raleigh, North Carolina 27102 Subject: NPDES Permit Modification Permit NC0037834 Archie Elledge WWTP Forsyth County Dear Mr. Chernikov: I have received Alan Klimek's letter of August 15, 2005 notifying us that DWQ has declined our request for a permit modification that would extend the implementation date for the Elledge Plant's effluent mercury limitation by an additional twelve months. Winston-Salem will accept the limit effective August 1, 2005 with the understanding that we can petition DWQ to have the limit removed from the permit if the monitoring data we have developed since January 2005 continues to indicate that we have no potential to exceed the water quality standard for mercury. If current trends continue to show that the concentration of mercury in the plant's effluent is substantially below the water quality standard we will probably ask to have the limitation dropped from the permit in June of 2006. This will provide DWQ with data from twenty-nine monitoring events and this should be adequate to make a valid RPA for mercury. Mr. Klimek's letter also indicates that DWQ will consider reducing the plant's monitoring frequency for mercury to once per month if we demonstrate compliance with the limitation during a six month period. Winston-Salem will ask for a reduction in monitoring frequency to once per month effective March 1, 2006. This request will be based on monitoring data collected during the period from August 1, 2005 through January 31, 2006 provided no permit violations have occurred. \.\ SEP - 6 2005 I. '1; Sergei Chemikov August 30, 2005 Page 2 Thank you for your assistance in this matter and please call me at 336-784-4700 if you have any questions. Sincerely: Stanley B. Webb Wastewater Operations Superintendent CC: Ron Hargrove, Deputy Director Jon Southern, Plant ORC Frank Crump, Asst. Supt. Steve Tedder, WSRO Ref:L083005a ATA NCDENR Mr. Stanley Webb Wastewater Operations Superintendent City of Winston-Salem P.O. Box 2511 Winston-Salem, North Carolina 27102 Dear Mr. Webb: Michael F. Easley Govemor William G. Ross, Jr., Secretary North Carolina Department of Environment and Natural Resources Alan W. Klimek, P.E., Director Division of Water Quality August 15, 2005 Subject: NPDES Permit Modification Permit NC0037834 Archie Elledge WWTP Forsyth County The Division of Water Quality (Division) has reviewed your request to provide an additional twelve months implementation period for the mercury limit. After carefully considering your request, reviewing the city's data and consulting with EPA, the Division has made a decision that your request cannot be granted at this time. The Division already provided the City of Winston-Salem with a 12-month implementation period during which a substantial data set was accumulated. This data set was used to conduct a statistical analysis of the effluent data and the decision to implement the effluent limit was based on this analysis. The mercury effluent limit might be deleted in the future, if Winston-Salem provides updated effluent data that shows no reasonable potential to exceed the water quality standard for mercury. The Division would consider reducing the mercury monitoring frequency from 2/month to monthly if the city demonstrates compliance with the mercury effluent limit during a 6-month period. If you have any questions concerning this permit modification, please contact Sergei Chernikov at telephone number (919) 733-5083, extension 594. Sincerely, /C/ Sn W. Klimek, P.E. cc. Central Files Winston-Salem Regional Ufiir_WWater Quality Section Roosevelt Childress, EPA F=': )11 IV NPDES Files Aquatic Toxicology Unit N. C. Division of'.'!a` 1617 Mail Service Phone: (919) 733.5083 fax: (919) 733.0719 DENR Cust;n 1r Servic:: Ce F NA-1- Michael F. Easley QG Governor r ©�� William G. Ross, Jr., Secretary NCDENR North Carolina Department of Environment and Natural Resources --I Y Alan W. Klimek, P.E., Director Division of Water Quality August 15, 2005 Mr. Stanley Webb Wastewater Operations Superintendent City of Winston-Salem P.O. Box 2511 Winston-Salem, North Carolina 27102 Subject: NPDES Permit Modification Permit NC0037834 Archie Elledge WWTP Forsyth County Dear Mr. Webb: The Division of Water Quality (Division) has reviewed your request to provide an additional twelve months implementation period for the mercury limit. After carefully considering your request, reviewing the city's data and consulting with EPA, the Division has made a decision that your request cannot be granted at this time. The Division already provided the City of Winston-Salem with a 12-month implementation period during which a substantial data set was accumulated. This data set was used to conduct a statistical analysis of the effluent data and the decision to implement the effluent limit was based on this analysis. The mercury effluent limit might be deleted in the future, if Winston-Salem provides updated effluent data that shows no reasonable potential to exceed the water quality standard for mercury. The Division would consider reducing the mercury monitoring frequency from 2/month to monthly if the city demonstrates compliance with the mercury effluent limit during a 6-month period. If you have any questions concerning this permit modification, please contact Sergei Chernikov at telephone number (919) 733-5083, extension 594. Sincerely, t411- an W. Klimek, P.E. cc. Central Files Winston-Salem Regional Office/Water Quality Section Roosevelt Childress, EPA Region IV NPDES Files Aquatic Toxicology Unit N. C. Division of Water Quality / 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 Winston-Salem • Forsyth County ' /County Utilities v ater • Sewer • Solid Waste Disposal Manson Meads Complex • 2799 Griffith Road • Winston-Salem, NC 27103 • Tel 336.765.0130 • Fax 336.659.4320 • OretWitttigIMMOIMIrSMAIVIN.7Ww.�A+w +Rb1!WP�4t%ireM''!�fl�il�,..• ,:. July 29, 2005 Ms. Susan Wilson North Carolina Department of Environment and Natural Resources NPDES Unit 1617 Mail Service Center Raleigh, North Carolina 27102 Dear Ms. Wilson: 11111 1 :1 j A U G 8 2005 DENR - WA'iEit (U.1LIIY POi it SOW CI f3;i,;i;CH Re: Request for Permit Modification Archie Elledge WWTP (NC0037834) City of Winston-Salem/Forsyth County The City of Winston-Salem is requesting that the NPDES permit for our Archie Elledge WWTP be modified to provide an additional twelve month implementation period for the 16 ng/1 effluent mercury limitation. We ask that the implementation date be extended to August 1, 2006. DWQ proposed a mercury limit for the plant when the NPDES permit was issued on June 28, 2004 because the Reasonable Potential Analysis (RPA) indicated that the WQS for mercury may be exceeded. Winston-Salem objected to the limit because the RPA was performed on a very small number of monitoring results. An agreement was subsequently reached with DWQ that provided for a one year implementation period to allow us to perform additional monitoring. DWQ would then repeat the RPA using the larger database and the limit would be removed from the permit if no potential to exceed the WQS existed. I sent the additional monitoring results to Sergei Chernikov in a June 22, 2005 letter. I asked him to repeat the RPA and requested that he exclude the highest and lowest values. The highest value was suspect because it was three standard deviations above the mean of the database. Subsequent statistical analysis using the outlier confirmation tests recommended by EPA confirmed that the high value was an outlier and that the lowest value was close to being so. I included detailed information in my letter to Sergei regarding the statistical procedures I used to evaluate the data. Ms. Susan Wilson July 29, 2005 Page 2 Although the highest value in the database is an outlier and may not truly represent the actual concentration of mercury on the day the sample was taken, DWQ has notified us that all the data must be used to perform the RPA unless Winston-Salem can provide proof that there was a problem with the way the sample was collected and subsequently analyzed. We cannot explain why the value is an outlier and there is no real way to prove that the value represents the actual concentration of mercury in the plant's effluent on the day the sample was taken. We also do not believe that the value is the result of a slug industrial discharge because we have no industries that use mercury. Winston-Salem's primary concern is that the RPA predicts the maximum expected effluent concentration of mercury by multiplying the highest value in the database, in this case a confirmed outlier that cannot be explained, by a multiplication factor that is based on the sample size and the data's coefficient of variation. We are concerned that the Maximum Predicted Effluent Concentration will be excessively high, not truly representative and that we will receive a final limitation that may not be technically justified. Winston-Salem understands and appreciates the fact that DWQ must follow establish policy regarding implementing permit limits for toxicants such as mercury. To do otherwise exposes DWQ to third party lawsuits. Winston-Salem has no wish to see DWQ exposed to unwarranted legal action any more than we wish to have that happen to us. Winston-Salem believes that it can meet the proposed limit. Our reluctance to accept this limit is based on a valid concern that having a limit for a "high profile" toxicant such as mercury in the permit may bring unwarranted scrutiny by third party concerns such as the Canoe Association. If we are to be exposed to the type of scrutiny from non -regulatory entities looking for any reason to sue, we want to make absolutely sure that permit limits responsible for that scrutiny are technically justified. Winston-Salem believes that both our interests are protected if the current implementation period is extended for an additional twelve months to allow additional data to be developed. DWQ will have the same level of monitoring in place that you would have if the limit were effective and DWQ has the right to open the permit and implement the limit if conditions warrant such action. Winston-Salem will have the opportunity to have the mercury limit removed if additional monitoring indicates that the value of the outlier was a "fluke" and/or the monitoring results are well below the proposed permit limit for an extended period of time. Ms. Susan Wilson July 29, 2005 Page 3 Winston-Salem asks that DWQ grant our request for a permit modification extending the implementation date for the mercury limitation to August 1, 2006. Please call me at (336) 784-4700 if you have any questions or if you need additional information regarding this matter. 149,i Stanley B. Webb Wastewater Operations Superintendent Winston-Salem/Forsyth County Utility Commission CC: Ron Hargrove, Deputy Director Frank Crump, Asst. Supt. Jon Southern, Plant ORC Steve Tedder, WSRO Ref L072805a