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HomeMy WebLinkAboutNC0023906_Special Order by Consent_19970922NPDES DOCUMENT SCANNIN`i COVER SHEET NC0023906 Wilson — Hominy Creek 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 Crly Z'One-4/' Instream Assessment (67b) Speculative Limits Environmental Assessment (EA) Document Date: September 22, 1997 This; document is printed cork reuse paper - ignore any content on the relirerste side State of North Carolina Department of Environment and Natural Raleigh Regional Office James B. Hunt, Jr., Governor Mr. Russell P. Brice, Manager Hominy Creek WWMF City of Wilson P.O. Box 10 Wilson, NC 27894-0010 Subject: Dear Mr. Brice: DIVISION OF WATER QUALITY September 22, 1997 Resources Wayne McDevitt, Secretary Relocation of Downstream Sampling Point Hominy Creek WWMF NPDES Permit No. NC0023906 Special Order by Consent 95-21 Wilson County We have reviewed your request dated June 30, 1997 to relocate the downstream sampling point from Contentnea Creek at NC 58 to Contentnea Creek at Highway 222. The Division has no objection to this relocation, and the City may begin sampling at this location effectively immediately. Attached are the amended Attachment A sheets which reflect this change. Please replace the current Attachment A sheets to SOC 95-21 with these sheets. If you have questions concerning this notification please contact Steve Mitchell at 919-571- 4700 ext. 237. cc: Bob Sledge Jackie Nowell wilson.rel Sincerely, J y Garrett Regional Water Quality Supervisor ©TERW 10) aid 2 6 199/ POINT SOURCE BRANCH 3800 Barrett Drive, Suite 101 * Raleigh, NC 27609 Voice (919)571-4700 * FAX (919)571-4718 An Equal Opportunity Affirmative Action Employer 50% recycled / 10% post -consumer paper ATTACHMENT A Page 1 of 3 Hominy Creek WWTP NPDES Permit No. NC0023906 EFFLUENT LIMITATIONS AND MONITORING REQUIREMENTS - Interim (November 1-March 31 )'. During the period beginning on the permittee is authorized to shall be limited and monitored Effluent Characteristics Requirements Flow BOD, 5Day, 20°C ** Total Suspended Residue ** NHI as N Digsolved Oxygen (minimum) Fecal Coliform (geometric mean) Total Residual Chlorine Temperature Total Nitrogen (NO2 + NO3 + TKN) Total Phosphorus **** Chronic Toxicity ***** Effluent Characteristics Conductivity Oil and Grease Copper Zinc Lead Cyanide Mercury *** the effective date of the Order and lasting until March 1, 2000, discharge from outfall serial number(s) - 001. Such discharges by the permittee as specified below: Discharge Limitations Other Units Monthly Avg. 12.00 MGD 12.0 mg/1 30.0 mg/1 8.0 mg/1 200.0/100 ml (Specify) Weekly Avg. 18.0 mg/1 45.0 mg/1 400/100 ml Discharge Limitations Other Units (Specify) Daily Maximum 27.0 ug/1 5.3 ug/1 0.013 ug/1 Measurement Frequency Continuous Daily Daily Daily Daily Daily Daily Daily Monthly Monthly Quarterly Monitoring Sample *Sample Type Location Recording I or E CompositeE,I,U,D Composite I,E Composite E Grab E,U,D,X Grab E,U,D Grab E Grab E,U,D,X Composite E Composite E Composite E Monitoring Requirements Measurement Sample *Sample Frequency Type Location Daily Grab U,D,X Monthly Composite E Monthly Composite E Monthly Composite E Weekly Composite E Weekly Grab E Weekly Composite E ATTACHMENT A Page 2 of 3 Hominy Creek WWTP NPDES Permit No. NC0023906 EFFLUENT LIMITATIONS AND MONITORING REQUIREMENTS - Interim (April 1 - October 31) During the period beginning on the effective date of the Order and lasting until March 1, 2000, the permittee is authorized to discharge from outfall serial number(s) - 001. Such discharges shall be limited and monitored by the permittee as specified below: Effluent Characteristics Discharge Limitations Monitoring Requirements Flow BOD, 5Day, 20°C Total Suspended NH as N Digsolved'Oxygen (minimum) *** Fecal Coliform (geometric mean) Total Residual Chlorine Temperature Total Nitrogen (NO2 + NO3 + TKN) Total Phosphorus **** Chronic Toxicity ***** Conductivity Oil and Grease Copper Zinc Lead Cyanide Mercury ** Residue ** Other Units (Specify) Monthly Avg. Weekly Avg. 12.00 MGD 8.0 mg/1 30.0 mg/1 8.0 mg/1 12.0 mg/1 45.0 mg/1 200.0/100 ml 400/100 ml Daily Maximum 27.0 ug/1 5.3 ug/1 0.013 ug/1 Frequency Continuous Daily Daily Daily Daily Daily Daily Daily Monthly Monthly Quarterly Daily Monthly Monthly Monthly Weekly Weekly Weekly Type Location Recording I or E CompositeE,I,U,D Composite I,E Composite E Grab E,U,D,X Grab E,U,D Grab E Grab E,U,D,X Composite E Composite E Composite E Grab U,D,X Composite E Composite E Composite E Composite E Grab E Composite E • . Jr Page 3 of 3 * Sample locations: E - Effluent, I - Influent, U - Upstream at Old Blackcreek Road',.D-Downstream at SR 1606. Upstream and downstream samples shall be grab samples. Stream samples shall be collected three times per week during May, June, July, August, and September and once per week during the remaining months of the year. X Additional instream monitoring consisting of Temperature, Dissolved Oxygen, and Conductivity shall be performed upstream of the discharge and downstream at SR 1606, SR 1622, SR 1628, and Hwy 222 three (3) times per week May thru September and once (1) per week October thru April. ** The monthly average effluent BOD5 and Total Suspended Residue concentrations shall not exceed 15% of the respective influent value (85% removal). *** The daily average dissolved oxygen effluent concentration shall not be less than 7.0 mg/1. **** Compliance shall be based upon a quarterly average of weekly samples. **** See Part III, Condition F, Chronic Toxicity P/F at 90% The pH shall not be less than 6.0 standard units nor greater than 9.0 standard units and shall be monitored daily at the effluent by grab sample. There shall be no discharge of floating solids or visible foam in other than trace amounts. ATTACHMENT A Page 2 of 3 Hominy Creek WWTP NPDES Permit No. NC0023906 EFFLUENT LIMITATIONS AND MONITORING REQUIREMENTS - Interim (November 1 - March 31) DIVISION OF WATER QUALITY July 11, 1997 MEMORANDUM TO: Michelle Suverkrubbe THRU: Ruth SwanekQ�� Carla Sanderson FROM: Jacquelyn M. Nowell 41°'‘ SUBJECT: Comments on Caldwell County/US 321 Corridor 201 Wastewater Facilities Planning Study and Environmental Assessment The Instream Assessment Unit has reviewed the subject documents and have no significant comments. The 201 plan includes correspondence from the Division where speculative limits for the future expansions of the City of Lenoir's Lower Creek and Gunpowder Creek WWTPs, the Granite Falls WWTP and a proposed Regional plant have been addressed. The plan includes improvements to the existing wastewater treatment facilities in order to comply with the more stringent limits. It should be noted that Table 5.2.1 Speculative Effluent Limits on page 21 of the 201 planning document appears to contain some typographical errors regarding flows and limits for Granite Falls and the proposed Regional Plant. The summer and winter flows for Granite Falls should be 1.9 MGD instead of 1.8 MGD. The summer NH3-N limit for Granite Falls should be 2.9 mg/1 instead of 2.0 mg/l. The summer and winter flows for the proposed Regional Plant should probably be 3 - 6 MGD, rather than the 3.6 MGD that is listed. cc: Rex Gleason Central Files WLA File JUL 07 '97 12:19PM P.1/3 NC DEPARTMENT OF ENVIRONMENT, ATA HEALTH, AND NATURAL RESOURCES RALEIGH REGIONA4 OFFICE 3800 Barrett Drive, Suite 10 , Raleigh, NC27609 Phone: 919/571-4700 P4X:919/571-4718 FACSIMILE You should be receiving 5 pages (including cover sheet). If you do not receive all pages, please contact sender at 919/571-4700_ TO: FROM: f'h t o h ORGANIZATION: SUBJECT! FAX NUMBER: DATE: i q Imo° 7Z. MESSAGE: ' Do �v h.el�� ✓a��ernr ►. -t pve /sa— vf l �x CG(xb o ti (Tie. � F (: i LUG, t,&)r Licn • JUL 07 '97 12:19PM P.2'3 CITY OF WII norik Carolina INGCJRPORAYCO 1040 27894-0010 Wastewater Management Facility CERTIFI ED MAIL RETURN RECEIPT REQUESTED SON Ms. Judy Garrett NCDEHNRlDWQ Raleigh Regional Office 3800 Barrett Drive Raleigh, North Carolina 27609 Subject: lnstream Monitoring of Contentnea Creek Location 5. NC Highway 58 NPDES PermitNC0023906 - EMC SOC'WQ 951-21 City of Wilson June 30, 1997 Dear Ms. Garrett: The SOC entered into by the City of Wilson (City) requires that instream monitoring be conducted at one upstream and four downstream locations. The downstream location at NC Highway 58 is extremely dangerous for City personnel. After being told by the monitoring technician of several close calls with speeding vehicles, I ask Dathan Shows, Safety and Risk Management Coordinator for the City to visit the site and recommend safety procedures personnel should follow while taking the sample. Currently, two employees are required for this job. The vehicle must park in the North bound lane on the bridge. Safety cones are put out and one employee flags trz,ffic in the North bound lane behind the vehicle while the other stands in front of the vehicle and takes the required sample. Meanwhile, vehicles are passing by in the South bound lane at 55 mph and better. Some vehicles refuse to obey the flagman and swerve around the cones into the South bound lane without st pping. There is no other access to the creek in this area. Mr Shows recommends that an alternative sampling toe tiun that would ant present a danger to our employees while performing this work be sought. Attached isl, the memo with his comments. This is a request to have Location 5 Contentnea Creek t NC 58 as described in EMC SOC WQ 95-21dated March 26, 1997 be changed to Contentnea Creek at ighwny 222. The Hwy. 222 location is probably less than two•miles upstream from the bridge at Hwy. 5 . P.O. BOX 10, WILSON, NORTH CAROLINA 27894.0010 P)1:(919) 399-2491 FAX:(919) 399-2209 EOUAL OPPORTUNITY J AFFIRMATIVE ACTION EMPLOYER • 4 JUL 07 '97 12:20PM Judy Garrett Hwy. 58 Sampling Location Page 2 Your immediate attention to this request would be apprec this location three times per week. Sincerely, Russell P. Brice Manager, Hominy Creek WWMF cc; Charles W. Pittman, III James P. Cauley, III Dathan C. Shows ated. The City is required to sample at Front: <coleen@dem.ehnr.state.nc.us> Organization: DEM Water Quality To: Jay_Lucas@mail.ehnr.state.nc.us Date: Thu, 26 Jim 1997 13:48:02 EST Subject Wilson/Hominy Creek WWTP & Boiling Springs Cc: michelle@dem.ehnr.state.nc.us, bradley@dem.ehnr.state.nc.us Priority normal Jay - My apologies for delay in getting you comments on the subject WWTP improvement projects. As you are aware, the EMC acted to send revised rules to public notice for the Neuse NSW strategy. The revised rules propose to require existing dischargers not part of a coalition to meet TN mass limits based on 3.5 mg/1 concentration AND 1995 permitted flow. Within the coalition, the group of dischargers would be given the option to meet a total load based on the group's 1995 load to the system and reducing that by 30%. Either option is likely to require facilities to implement technology that would meet better than a 6 mg/1 concentration. Particularly as this is a proposed expansion. Further, legislation is under consideration in the General Assembly that would establish a technological nitrogen limit (currently set at 4 mg/1 in the draft bill). Based on the expected levels of discharge projected in the report, the system may be able to meet the proposed NSW TN requirement as part of a coalition (101 tons/year of TN projected to be discharged, approximately 4.7 mg/1). However, if Wilson were to elect not to participate, I am uncertain as to whether the system would accomplish the proposed requirements. On stormwater, in the development of the draft NSW documents, we have found that increased urbanization will likely result in increased concentrations of TN in stormwater, unless actions are undertaken during the planning and design to reduce the nitrogen loading. The existing state stormwater programs to date have focused on sediment issues associated, with increased rates of runoff generally seen as the level of impervious surfaces increases in a watershed. Therefore, Wilson should commit to re-evaluating their stormwater program implementation for the ability to adjust it to reduce the TN load coming from the urbanizing areas and to expand it to areas not currently covered (non water supply watershed areas). The report currently states that Wilson proposes a "comprehensive stormwater management plan", without any clarification of the intent of the program. On Boiling Springs - we have no comment. Coleen DIVISION OF WATER QUALITY April 25, 1997 MEMORANDUM TO: Reginald R. Sutton THRU: Ruth Swanek C-c Carla Sanderson(r) FROM: Jacquelyn M. Nowell SUBJECT: Response to Comments of Wilson -Hominy Creek WWMF 201 Facility Plan Amendment NPDES Permit No. NC0023906 Wilson County The Instream Assessment Unit has reviewed the subject document for responses to our February 25th comments. As a point of clarification, it should be noted that on page 2-21, the document states that no speculative limits were received for metals because "current NCDWQ regulations" allow a review when the NPDES application is received. While we are allowed to review all information on the NPDES application when determining final NPDES limits, the reason we do not provided speculative limits for metals is a standard operating procedure that was implemented by DWQ due to resource constraints. All other reviewed information in the document is acceptable and we have no additional comments. cc: Judy Garrett WLA File DIVISION OF WATER QUALITY MEMORANDUM TO: Michelle Suverkru . be FROM: Coleen Sullin SUBJECT: February 26, 1997 Wilson's Hominy Creek Wastewater Treatment Plant Expansion NPDES Permit # NC0023906, Wilson County Environmental Assessment 00 (-(c I have reviewed the subject document. In the mitigative measures discussion, stormwater management control measures of the city were presented as an offset to the increased nutrient inputs from nonpoint source loadings generated from the change in land use associated with the expansion. Limited discussion was included in the document on the "city's" stormwater management program or how the program will be focused to address stormwater impacts associated with the increased growth. Further discussion should be provided on the city's programs and measures planned to strengthen any existing programs to address nutrients, in addition to sediments. Reuse of the wastewater effluent as a means to mitigate the impact from the additional load to the Neuse River, was discussed very briefly. While minor reductions are only predicted associated with the reuse option being considered (irrigation on a golf course in the vicinity of the wastewater treatment plant), given the finding by the Commission that the Neuse River currently is overallocated for nutrients, any reduction should be seriously pursued. Reuse through land application would result in the nutrients being used by grasses on the golf course and thus result in a load reduction to the river. Continued efforts should be made by Wilson to pursue reuse applications. If you have any questions concerning the above comments, please call me at extension 550. cc: Ruth Swanek Permit Files DIVISION OF WATER QUALITY February 25, 1997 MEMORANDUM TO: Michelle Suverkrubbe FROM: Jacquelyn M. Nowell THRU: Don Safi -it Ruth nek .C5 Carla Sanderson SUBJECT: Wilson -Hominy Creek WWMF 201 Facilities Plan Amendment Upgrade and Expansion NPDES Perinit No. NC0023906 Wilson County The Instream Assessment Unit (IAU) has reviewed the subject document and find it to be satisfactory. There is only one additional comment that we would like to have included on the record. IAU sent.a response regarding speculative limits for Wilson's expansion to 14 MGD to Mr. Russell Brice in early January of this year. Attached you find a copy of the response forwarded to him. The letter includes speculative limits for the oxygen consuming parameters and also contains the interim plan for updating the Nutrient Sensitive Waters strategy in the Neuse River. There were no speculative limits given for metals since current IAU procedure aI.lows those parameters to be reviewed when the formal NPDES permit application request for expansion is received by DWQ. We would also like to update the City of Wilson on the progress of the draft NSW strategy. The Division of Water Quality is currently revising the draft nutrient sensitive waters (NSW) strategy for the Neuse Rive4asin based on comments we received during the public comment period. Based on these comments, we are reviewing the possibility of including mass based nitrogen limits in the NODES permits instead of the concentration limits currently proposed. Annual nitrogen loading limits based on an effluent total nitrogen concentration of 3-4 mg/I and 1995 permitted flow may be included in the final strategy. For example, a 10 MGD facility would receive annual TN loading limits based on the following equation: TN load limit (lb/yr) = (10 MGD)*(3.5 mg/1 TN)*(8.34)*(365) = 106,500 lb/yr This annual load limit would be assigned in lieu of the monthly average TN limit of 6 mg/I proposed in the current draft rules. Since these lower concentrations will be used to assign limits in terms of annual load and not monthly concentration limits, we do not expect that major differences in facility design would result from changing the current draft rules to annual loading requirements. Memo to Michelle Suverkrubbe page 2 The General Assembly is also examining the possibility of requiring dischargers in NSW waters to install best availahle nitrogen removal technology. Wilson may wish to review any proposed legislation that would impact point sources. Please contact me if there are additional questions. Attachment cc: Judy Garrett Central Files WLA File DIVISION OF WATER QUALITY January 29, 1997 MEMORANDUM TO: Michelle Suverkrubbe FROM: Jacquelyn M. Nowell THRU: Don Safrit Ruth Swanek Carla Sanderson SUBJECT: Wilson -Hominy Creek WWMF 201 Facilities Plan Amendment Upgrade and Expansion NPDES Permit No. NC0023906 Wilson County The Instream Assessment Unit (IAU) has reviewed the subject document and find it to be satisfactory. There is only one additional comment that we would like to have included on the record. IAU sent a response regarding speculative limits for Wilson's expansion to 14 MGD to Mr. Russell Brice in early January of this year. Attached you find a copy of the response forwarded to him. The letter includes speculative limits for the oxygen consuming parameters and also contains the interim plan for updating the Nutrient Sensitive Waters strategy in the Neuse River. There were no speculative limits given for metals since current IAU procedure allows those parameters to be reviewed when the formal NPDES permit application request for expansion is received by DWQ. Please contact me if there are additional questions. Attachment cc: Judy Garrett Central Files WLA File op_ prt(te 4Stz s i t ttSovt • State of North Carolina Department of Environment, Health and Natural Resources Division of Environmental Management James B. Hunt, Jr., Governor Jonathan B. Howes, Secretary A. Preston Howard, Jr., P.E., Director January 3, 1997 EEF-1NJR Mr. Russell Brice City of Wilson P.O. Box 10 Wilson, N.C. 27984-0010 Subject: Wilson -Hominy Creek Wastewater Treatment Plant Expansion NPDES Permit No. NC0023906 Wilson County Dear ce: 12"1"a Your recent request for speculative effluent limits for the expansion of the Wilson WWTP from a design flow of 12 MGD to an expanded flow of 14 MGD has been completed by the staff of. the Technical Support Branch. In order to receive final permit limits, a formal application will have to be submitted to the Division's Permits and Engineering Unit. Per North Carolina's anti -degradation policy (15A NCAC 2B.0201 (c)(1)), each application for an NPDES permit or NPDES permit expansion to discharge treated waste will require documentation of an effort to consider non -discharge alternatives pursuant to North Carolina Regulation 15A NCAC 2H.0105 (c)(2). The Wilson WWTP discharges to Contentnea Creek, a tributary to the Neuse River. The slow moving nature of Contentnea Creek results in low instream dissolved oxygen (DO) concentrations during critical conditions (i.e. warm weather / low flow periods). Substandard DO (below 5 mg/1) concentrations have been documented at all three NCDWQ (North Carolina Division of Water Quality) ambient stations located in Contentnea Creek, (i.e. near Lucama, at Hookerton, and Grifton). A calibrated modeling analysis performed by the Research Triangle Institute, and field observations have indicated that the assimilative capacity of the lower Contentnea Creek is compromised. However, it should be noted that swamp systems in North Carolina have DO levels below normal conditions and at times below 5 mg/1 naturally. Therefore, it is uncertain whether the Wilson WWTP discharge is causing additional decreases in DO. Based on available information, the tentative limits at 14 MGD for conventional constituents are: Summer Winter BOD5 (mg/1) 5 10 NH3-N (mg/1) 2 4 TSS (mg/1) 30 30 Dissolved Oxygen 7 7 Fecal Coliform (#/100m1) 200 200 pH (SU) 6-9 6-9 Chlorine (1.41) 18 18 P.O. Box 29535, Raleigh, North Carolina 27626-0535 Telephone 919-733-7015 FAX 919-733-2496 An Equal Opportunity Affirmative Action Employer 50% recycled/ 10% post -consumer paper Letter to Mr. Brice -page 2- It should be noted that the summer NH3-N limit is based on protecting Contentnea Creek against instream toxicity. North Carolina is evaluating all NPDES dischargers for ammonia toxicity following the Environmental Protection Agency (EPA) guidance to protect the waters for an instream criteria of 1 mg/l in the summer and 1.8 mg/l in the winter, under 7Q10 flow conditions. The Division of Water Quality (DWQ) is now recommending chlorine limits and dechlorination for all new or expanding dischargers proposing the use of chlorine for disinfection. An acceptable level of chlorine in your effluent is 18 µg/1 to ensure protection against chronic toxicity. The process of chlorination/dechlorination or an alternate form of disinfection, such as ultraviolet radiation, should allow the facility to comply with the total residual chlorine limit. The DWQ has drafted an interim plan to update the Nutrient Sensitive Waters (NSW) strategy in the Neuse River Basin. The final rules could be adopted by the Environmental Management Commission in April 1997. Below is a summary of the requirements that would affect the City of Wilson wastewater treatment plant if the plan is adopted as currently drafted. These requirements need to be addressed in the alternatives analysis necessary for this proposed expansion. Association Members • Dischargers may form an Association. If such an Association is formed, total loadings for nitrogen (Ms/year) will be developed for the Association as a whole. The Association may then trade allocations of loading among the members to meet the established target or pay a fee for loading above their allocated amount. If the Association does not meet its annual loading targets, a flat rate for nutrient loading above the target must be paid for the implementation, (including administration) of best management practices for agricultural activities, wetland restoration, or urban stormwater programs. Existing, new, and expanding discharges equal to or greater than 0.500 mgd will have a total phosphorus limit of 2 mg/l. Non -Association Members • If an Association is not formed or an expanding facility chooses not to join the Association, expanding dischargers will be required, upon completion of construction, to comply with a monthly average total nitrogen limit of 6 mg/1 and a monthly average phosphorus limit of 1 mg/l. Dischargers will be required to offset their additional nutrient loads by funding nonpoint source control programs approved by DWQ. This offset funding will be applied to nonpoint source control programs approved by the DWQ, (e.g. agricultural cost share programs, wetland restoration, urban cost share programs, etc.). Nitrogen and phosphorus loads shall be offset at the rate of 110 percent of the cost to implement Best Management Practices (BMPs) designed to reduce that same loading created by the new or expanding discharge. This payment will be required to be received prior to permit issuance and will be good for the five year term of the permit. Letter to Mr. Brice -page 3- Summary Neuse River Basin Point Source Management Plan for Facilities Below Falls Dam Phosphorus Nitrogen. Association Member t Expanding Facility (? 0.5 mgd) 2 mg/1 * Association Non Association Member New & Expanding Domestic / Municipal Facility 1 mg/1 ** 6 mg/1** No Association Formed New & Expanding Domestic / Municipal Facility 1 mg/1** 6 mg/1** 1 All wastewater dischargers below Falls Lake Dam will have the option of forming an association to reduce nutrients through a trading program as an agreement with the Division. Quarterly Average Limits ** Monthly Average Limits DWQ recommends that the options outlined in this draft interim strategy, (including but not limited to biological nutrient removal processes) be reviewed in the alternatives analysis. If you would like to discuss general provisions of this strategy, please feel free to contact Ruth Swanek at (919) 733-5083, extension 503. If the facility wishes to expand before final approval of NSW strategy, then limits for nutrients will be 6 mg/1 TN and 1 mg/1 TP. The request did not indicate whether any of the expansion wastewater would have any industrial constituency, therefore this aspect could not be evaluated. If there is any industrial flow, there is the possibility that effluent limitations or monitoring for toxicants or metals could be added to the permit upon further evaluation. DWQ continues to implement a basinwide water quality management initiative. The schedule for reissuing the Neuse River Basin is set for 1998. The plan will attempt to address all sources of point and nonpoint pollutants where deemed necessary to protect or restore water quality standards. In addressing interaction of sources, wasteload allocations may be affected. Those facilities that already have committed to high levels of treatment technology are least likely to be affected. Letter to Mr. Brice -page 4- Final NPDES effluent limitations will be determined after a formal permit application has been submitted to the Division. If there are any additional questions concerning this matter, please feel free to contact Ruth Swanek (ext. 503) or Jackie Nowell (ext. 512), of my staff at (919) 733-5083. cerely, / onald L. Sa Assistant Chief Water Quality Section DLS/JMN cc: Judy Garrett Michelle Suverkrubbe David A. Nailor, P.E., Hazen and Sawyer Central Files WLA File upport Wilson WWTP Spec Notes jmn Contentnea Creek C Sw NSW 12/6/96 030407 Facility is requesting spec limits for expansion form 12 MGD to 14 MGD. Contentnea Creek has flow but is a swampy stream with very low slopes, because of its hydrography, it has been difficult to model with the Level B and Qua12E modeling tools. Since we are unable to accurately model the system, our BPJ for this expansion is to assign the existing tertiary limits of 5/2/7 and 10/4/7. Chlorine limits of 18 ug/1 will be given. A chronic toxicity limit at 90% is also required. Summer and winter NH3 limits to protect against toxicity are 1 and 1.9 mg/1, respectively. However, Division procedure dictates that NH3 limits of 2 and 4 mg/1, be given since they are technologically achievable. This is a basic renewal of existing limits for the expansion flow. A review of instream data from stations located on the Contentnea Creek. There was only 1 substandard DO value at the station at Highway 301 above the Wilson WWTP in July 1995, a 4.8 mg/1 value. At station near Wilson, (unsure whetther this is above or below WWTP), the six reported substandard DOs range from 2.2 (6/11/96) to 4.4 mg/1 (7/25/95). At the station near Stantonsburg, below the Wilson plant substandard DO values range from 4 to 4.8 mg/l (in 7 & 8/95 and 6/96). At station near Snow Hill, only in 7/95 were two values slightly below the standard recorded. Regarding the nutrient issues of Contentnea Creek and the Lower Neuse River basin, I copied a portion of a lettter that Farrell sent to Snow Hill when they requested an expansion. It was a portion of the interim plan for the NSW strategy. If this is too much for this letter can delete and reduce it. Wilson WWTP Residual Chlorine 7Q10 (CFS) DESIGN FLOW (MGD) DESIGN FLOW (CFS) STREAM STD (UG/L) UPS BACKGROUND LEVEL (UG/L) IWC (%) Allowable Concentration (ug/I) Fecal Limit Ratio of 0.1 :1 Ammonia as NH3 (summer) 1.3 7Q10 (CFS) 14 DESIGN FLOW (MGD) 21.7 DESIGN FLOW (CFS) 17.0 STREAM STD (MG/L) 0 UPS BACKGROUND LEVEL (MG/L) 94.35 IWC (%) 18.02 Allowable Concentration (mg/I) Ammonia as NH3 (winter) 7Q10 (CFS) 200/100m1 DESIGN FLOW (MGD) DESIGN FLOW (CFS) STREAM STD (MG/L) UPS BACKGROUND LEVEL (MG/L) IWC (%) Allowable Concentration (mg/I) 1.3 14 21.7 1.0 0.22 94.35 1.05 1.3 14 21.7 1.8 0.22 94.35 1.89 NC0023906 11 /26/96 HAZEN Ali D SAWYER Environmental Engineers & Scientists October 22, 1996 ------ / .05 cAzo rdA.—-- Mr. Don Safrit N.C. Division of Water Quality P.O. Box 29535 Ci� 1-25-- Raleigh, NC 27626-0535 Re: City of Wilson, NC Hominy Creek WWMF NPDES Permit Limits H&S No. 3008 Dear Mr. Safrit: Hazen and Sawyer, P.C. 4011 WestChase Blvd. Raleigh, NC 27607 919 833-7152 Fax: 919 833-1828 The City of Wilson is planning to expand the existing Hominy Creek Wastewater Management Facility from its current permitted capacity of 12 mgd to a capacity of 14 mgd. The discharge limits for the current capacity are contained in the NPDES permit for the facility (Permit No. NC0023906). In order to evaluate facilities required for the proposed expansion, we are hereby requesting speculative limits for the NPDES permit for the expanded flow of 14 mgd. The discharge location will be unchanged from the current discharge point. Please let us know if any additional information is required. We will look forward to your reply. Very truly yours, HAZEN AND SAWYER, P.C. David A. Nailor, P.E. Principal Engineer DAN/bpr cc: Mr. Don Cordell Mr. Ron Taylor Mr. Russell Brice New York, NY • Armonk. NY • Woodbury. NY • Upper Saddle River. NJ • Detroit, MI • Raleigh, NC • Charlotte. NC • Fairfax VA • Hollywood, FL • Boca Raton, FL • Fort Pierce, FL • Gainesville, FL • Sarasota, FL • Miami, FL contentnea.instrm STATION # STATION # DATE TEMP DO NH3 TKN NO2-NO3 TP @ Hwy 301 J6764000 NEU084H 12/12/94 11 @ 1 1 .6 @ 0.3 K 0.31 @ 0.05 K 0.05 @ J6764000 NEU084H 01 /19/95 9 @ 10.7 @ 0.3 K 0.55 @ 0.12 @ 0.1 @ J6764000 NEU084H 02/13/95 1 @ 13 @ 0.3 K 0.25 @ 0.45 @ 0.08 @ J6764000 NEU084H 03/13/95 9 @ 9 @ 0.3 K 0.34 @ 0.25 @ 0.18 @ J6764000 NEU084H 04/11 /95 14 @ 9.8 @ 0.3 K 0.35 @ 0.13 @ 0.06 @ J6764000 NEU084H 05/11 /95 19 @ 8 @ 0.3 K 0.35 @ 0.05 K 0.12 @ J6764000 NEU084H 05/25/95 22 @ 6.2 @ @ @ @ @ J6764000 NEU084H 06/14/95 20 @ 6.8 @ 0.3 K 1.09 @ 0.23 @ 0.16 @ J6764000 NEU084H 06/25/95 22 @ 6.2 @ @ @ @ @ J6764000 NEU084H 07/18/95 25 @ 6.4 @ 0.3 K 1.28 @ 0.05 @ 0.15 @ J6764000 NEU084H 07/25/95 25 @ 4.8 @ @ @ @ @ J6764000 NEU084H 08/08/95 25 @ 5.4 @ 0.3 K 0.87 @ 0.07 @ 0.13 @ J6764000 NEU084H 08/21/95 25 @ 6.2 @ @ @ @ @ J6764000 NEU084H 09/15/95 22.5 @ 6.8 @ 0.3 K 0.5 K 0.06 @ 0.08 @ J6764000 NEU084H 09/25/95 17 @ 8.8 @ @ @ @ @ J6764000 NEU084H 10/11/95 18 @ 7.4 @ -4 0.3 K 0.5 K 0.21 @ 0.11 @ J6764000 NEU084H 11 /28/95 7 @ 12.6 @ < 0.3 K 0.5 K 0.4 @ 0.06 @ J6764000 NEU084H 12/13/95 2 @ 12.2 @ 0.3 K 0.5 K 0.25 @ 0.08 @ J6764000 NEU084H 01/16/96 6 @ 13 @ 0.3 K 0.5 K 0.43 @ 0.06 @ J6764000 NEU084H 02/15/96 6 @ 13.4 @ 0.3 K 0.5 K 0.55 @ 0.06 @ J6764000 NEU084H 03/12/96 5 @ 14 @ 0.3 K 0.51 @ 0.35 @ 0.09 @ J6764000 NEU084H 04/09/96 8 @ 11.4 @ 0.3 K 0.5 K 0.38 @ 0.07 @ J6764000 NEU084H 05/14/96 1 5 @ 10.2 @ 0.3 K 1.01 @ 0.24 @ 0.06 @ J6764000 NEU084H 05/22/96 15 @ 9.6 @ @ @ @ @ J6764000 NEU084H 06/11 /96 25 @ 8 @ 0.3 K 1.19 @ 0.26 @ 0.06 @ J6764000 NEU084H 06/18/96 22 @ 7.8 @ @ @ @ @ J6764000 NEU084H 07/10/96 27 @ 8.4 @ 0.3 K 0.74 @ 0.06 @ 0.07 @ J6764000 NEU084H 07/15/96 23 @ 9.2 @ @ @ @ @ Page 1 contentnea.instrm STATION # STATION # DATE DO NH3 TKN NO2-NO3 TP TEMP nr Wilson J6890000 NEU088 12/12/94 11 @ 6.2 @ 0.3 K 0.66 @ 0.78 @ 0.23 @ J6890000 NEU088 01/19/95 9 @ 9.6 @ 0.3 K 0.2 K 0.26 @ 0.14 @ J6890000 NEU088 02/13/95 0 @ 10.6 @ 0.3 K 0.37 @ 0.78 @ 0.12 @ J6890000 NEU088 03/13/95 9 @ 8.6 @ 0.3 K 0.36 @ 0.28 @ 0.18 @ J6890000 NEU088 04/11 /95 12 @ 7.6 @ 0.3 K 1.07 @ 0.94 @ 0.11 @ J6890000 NEU088 05/11 /95 19 @ 6 @ 0.3 K 0.74 @ 0.51 @ 0.16 @ J6890000 NEU088 05/25/95 23 @ 5.2 @ @ @ @ @ J6890000 NEU088 06/14/95 21 @ 5.8 @ 0.3 K 1.21 @ 0.26 @ 0.19 @ J6890000 NEU088 06/25/95 22.5 @ 5.8 @ @ @ @ @ J6890000 NEU088 07/18/95 25 @ 4 @ 0.36 @ 1.36 @ 1 .1 1 @ 0.23 @ J6890000 NEU088 07/25/95 26 @ 4.4 @ @ @ @ @ J6890000 NEU088 08/08/95 23 @ 3 @ 0.5 @ 1 .42 @ 3.75 @ 0.22 @ J6890000 NEU088 08/21/95 22.5 @ 5 @ @ @ @ @ J6890000 NEU088 09/15/95 22 @ 3.4 @ 0.3 K 1.25 @ 3.66 @ 0.16 @ J6890000 NEU088 09/25/95 18 @ 8 @ @ @ @ @ J6890000 NEU088 10/11/95 18.5 @ 6.4 @ 0.3 K 0.71 @ 0.22 @ 0.14 @ J6890000 NEU088 11 /28/95 9 @ 11.8 @ 0.4 @ 0.9 @ 0.71 @ 0.1 @ J6890000 NEU088 12/13/95 3 @ 14.2 @ 0.3 K 0.79 @ 0.35 @ 0.1 @ J6890000 NEU088 01/16/96 6 @ 11.4 @ 0.3 K 0.71 @ 0.54 @ 0.08 @ J6890000 NEU088 02/15/96 7 @ 14.2 @ 0.39 @ 0.9 @ 0.66 @ 0.09 @ J6890000 NEU088 03/12/96 5 @ 12.8 @ 0.3 K 0.88 @ 0.45 @ 0.1 @ J6890000 NEU088 04/09/96 8.5 @ 10.8 @ 0.3 K 0.5 K 0.4 @ 0.07 @ J6890000 NEU088 05/14/96 16.5 @ 9.2 @ 0.3 K 0.96 @ 0.97 @ 0.15 @ J6890000 NEU088 05/22/96 16 @ 9.6 @ @ @ @ @ J6890000 NEU088 06/11/96 23 @ 2.2 @ 2.85 @ 5.33 @ 1.17 @ 0.41 @ J6890000 NEU088 06/18/96 21 @ 3 @ @ @ @ @ J6890000 NEU088 07/10/96 26 @ 7.2 @ 0.3 K 1.09 @ 0.08 @ 0.07 @ J6890000 NEU088 07/15/96 23 @ 6.9 @ @ @ @ @ Page 2 contentnea.instrm STATION # STATION # DATE TEMP DO NH3 TKN NO2-NO3 TP nr Stantonsbrg J7210000 NEU096 12/12/94 9 @ 9 @ 0.3 K 0.5 @ 0.83 @ 0.1 @ J7210000 NEU096 01/19/95 9 @ 8.2 @ 0.3 K 0.2 K 0.29 @ 0.14 @ J7210000 NEU096 02/13/95 1 @ 11.4 @ 0.3 K 0.42 @ 0.73 @ 0.12 @ J7210000 NEU096 03/13/95 9 @ 7.8 @ 0.3 K 0.2 K 0.37 @ 0.16 @ J7210000 NEU096 04/11/95 14 @ 6.2 @ 0.3 K 0.73 @ 1.01 @ 0.11 @ J7210000 NEU096 05/11/95 19 @ 5.2 @ 0.3 K 0.41 @ 0.49 @ 0.17 @ J7210000 NEU096 05/25/95 24 @ 5.6 @ @ @ @ @ J7210000 NEU096 06/14/95 20 @ 5.6 @ 0.3 K 1.16 @ 0.3 @ 0.18 @ J7210000 NEU096 06/25/95 22 @ 5.6 @ @ @ @ @ J7210000 NEU096 07/18/95 24 @ 4 @ 0.3 K 1.1 @ 0.52 @ 0.23 @ J7210000 NEU096 07/25/95 25 @ 4.2 @ @ @ @ @ J7210000 NEU096 08/08/95 23 @ 4.8 @ 0.3 K 0.67 @ 0.85 @ 0.23 @ J7210000 NEU096 08/21/95 24 @ 9.6 @ @ @ @ @ J7210000 NEU096 09/15/95 21 @ 5.2 @ 0.3 K 0.71 @ 1.33 @ 0.16 @ J7210000 NEU096 09/25/95 17 @ 7.4 @ @ @ @ @ J7210000 NEU096 10/11/95 19 @ 5.2 @ 0.3 K 0.66 @ 0.16 @ 0.11 @ J7210000 NEU096 11/28/95 8.5 @ 11.2 @ 0.3 K 0.69 @ 0.64 @ 0.08 @ J7210000 NEU096 12/13/95 2.5 @ 13.2 @ 0.3 K 0.69 @ 0.45 @ 0.09 @ J7210000 NEU096 01/16/96 6 @ 11.2 @ 0.3 K 0.75 @ 0.73 @ 0.08 @ J7210000 NEU096 02/15/96 8 @ 12.8 @ 0.3 K 0.56 @ 0.69 @ 0.08 @ J7210000 NEU096 03/12/96 6.5 @ 11.6 @ 0.3 K 0.67 @ 0.43 @ 0.1 @ J7210000 NEU096 04/09/96 9 @ 10.6 @ 0.3 K 0.51 @ 0.38 @ 0.07 @ J7210000 NEU096 05/14/96 15 @ 10.2 @ 0.3 K 0.75 @ 0.85 @ 1 0.16 @ J7210000 NEU096 05/22/96 16 @ 9.8 @ @ @ @ 1 @ J7210000 NEU096 06/11/96 23 @ 4 @ 2.92 @ 6.5 @ 1.34 @ 0.4 @ J7210000 NEU096 06/18/96 23 @ 5.2 @ @ @ @ @ J7210000 NEU096 07/10/96 26 @ 7 @ 0.3 K 1.22 @ 0.19 @ 0.06 @ J7210000 NEU096 07/15/96 22 @ 6.8 @ @ @ @ @ Page 3 contentnea.instrm STATION # STATION # DATE DO NH3 TKN NO2-NO3 TP TEMP @ Snow Hill J7330000 NEU099 12/12/94 9 @ 10 @ 0.3 K 0.37 @ 0.54 @ 0.14 @ J7330000 NEU099 01/19/95 1 0 @ 9.2 @ 0.3 K 0.33 @ 0.46 @ 0.16 @ J7330000 NEU099 02/13/95 2 @ 12.4 @ 0.3 K 0.37 @ 0.77 @ 0.11 @ J7330000 NEU099 03/13/95 8.5 @ 7.6 @ 0.3 K 0.32 @ 0.56 @ 0.12 @ J7330000 NEU099 04/11/95 14 @ 8.2 @ 0.3 K 0.56 @ 0.62 @ 0.12 @ J7330000 NEU099 05/11/95 1 7 @ 7 @ 0.3 K 0.56 @ 0.58 @ 0.25 @ J7330000 NEU099 05/25/95 22 @ 6.4 @ @ @ @ @ J7330000 NEU099 06/14/95 20 @ 5.2 @ 0.3 K 1 .05 @ 0.35 @ 0.26 @ J7330000 NEU099 06/25/95 21 @ 5.4 @ @ @ @ @ J7330000 NEU099 07/18/95 24 @ 4.8 @ 0.3 K 1 .1 1 @ 0.19 @ 0.25 @ J7330000 NEU099 07/25/95 25 @ 4.6 @ @ @ @ @ J7330000 NEU099 08/08/95 23 @ 5.2 @ 0.3 K 0.5 K 0.83 @ 0.21 @ J7330000 NEU099 08/21/95 22 @ 7.8 @ @ @ @ @ J7330000 NEU099 09/15/95 21 @ 6.4 @ 0.3 K 0.57 @ 0.91 @ 0.16 @ J7330000 NEU099 09/25/95 17.5 @ 7.6 @ @ @ @ @ J7330000 NEU099 10/11/95 1 8 @ 5.4 @ 0.3 K 0.59 @ 0.14 @ 0.1 @ J7330000 NEU099 11/28/95 8 @ 11 @ 0.3 K 0.55 @ 0.63 @ 0.08 @ J7330000 NEU099 12/13/95 2.5 @ 11.2 @ 0.3 K 0.57 @ 0.37 @ 0.11 @ J7330000 NEU099 01/16/96 6 @ 11.6 @ 0.3 K 0.54 @ 0.73 @ 0.08 @ J7330000 NEU099 02/15/96 6.5 @ 13 @ 0.3 K 0.5 K 0.83 @ 0.07 @ J7330000 NEU099 03/12/96 5.5 @ 12.2 @ 0.3 K 0.77 @ 0.59 @ 0.1 @ J7330000 NEU099 04/09/96 8.5 @ 10.8 @ 0.3 K 0.53 @ 0.66 @ 0.11 @ J7330000 NEU099 05/14/96 1 6 @ 8.6 @ 0.3 K 0.88 @ 0.67 @ 0.19 @ J7330000 NEU099 05/22/96 15.5 @ 9.4 @ @ @ @ @ J7330000 NEU099 06/11/96 23 @ 5.8 @ 0.3 K 0.68 @ 0.81 @ 0.16 @ J7330000 NEU099 06/18/96 21 @ 6.6 @ @ @ @ @ J7330000 NEU099 07/10/96 26 @ 7.2 @ 0.3 K 0.77 @ 0.72 @ 0.17 @ J7330000 NEU099 07/15/96 22 @ 6 @ @ @ @ @ Page 4 DIVISION OF WATER QUALITY WATER QUALITY SECTION RALEIGH REGIONAL OFFICE MEMORANDUM October 29, 1996 To: Jackie Nowell Jill Hickey Through: Ken Schuster Y" Judy Garrett i From: Steve Mitchell 7i41\-- Subject: Wilson SOC As part of the date change\modifications requested by the City of Wilson, the stream monitoring requests contained in the SOC were viewed by the City as duplicating the current efforts undertaken by the Neuse Basin Association. This is definitely not the case. The Association collects samples twice a month in the summer and monthly during winter. The collection of data for the approximation of the zone of oxygen depletion is for data three times a week in summer and once weekly in winter. The wastewater treatment plant collects daily water samples for Temperature, Dissolved Oxygen, and Conductivity upstream of outfall at Contentnea Creek on Old Black Creek Road (#1) and downstream of outfall at SR 1606 (#2). Data is collected at the creeks stations located at SR 1622 and Highway 58 (#3 and #5 respectively) by the Neuse Association. The measurements collected by the Association can be assimilated into the data base and used to complete 2 (c) of the SOC. To make the use of this data more feasible, I also recommend that the months comprising summer and winter be altered to match the Association's. Suggested SOC Sampling Locations Parameters: Temperature, Dissolved Oxygen, Conductivity Frequency: 3/wk April thru October, 1/wk November thru March Locations: 1) 100 ft upstream of discharge 2) Contentnea Creek @ SR 1606 3) Contentnea Creek @ SR 1622 4) Contentnea Creek @ SR 1628 5) Contentnea Creek @ NC Hwy 222 Lower Neuse Basin Association Sampling Locations Parameters: All Frequency: Locations: 2/mo May thru September, 1/mo October thru April 5) Contentnea Creek @ US Hwy 301 6) Contentnea Creek @ SR 1622 7) Contentnea Creek @ NC Hwy 58 Therefore, the RRO recommends: Parameters: Frequency: Locations: Temperature, Dissolved Oxygen, Conductivity 3/wk May thru September, 1/wk October thru April 1) WWTP's upstream location on Old Black Creek Road 2) Contentnea Creek @ SR 1606 (WWTP's downstream) 3) Contentnea Creek @ SR 1622 4) Contentnea Creek @ SR 1628 5) Contentnea Creek @ NC Hwy 58 cc: RRO w/out attch enfors\wilson.enf\station _rrson .roads 22 1.2 sa O Bockhorn Crossroads 1197 1121 3 Stour Crossroads .9 1122 5 .2 d 111/ r Moores Crouroads N n0 / Aycock ".r Crossing 1.14t 3/i-�tt,r� %WI/ LJyr ® a�5 !„L 1Jlra W',Tj DtJ .J rt l--\ 114t Nome 1121. Si. Roos ch. r. Lamm Crossroads 0 1122 Scab 1170 0 1169 � J • N5,oAt z� t73SGr / 1?-6, 0 WILSON 142Lh {.'A .61 11i .7 BLACK CREEK 1412 142i 1227. J .6 0 I 12Z 4?L PAS 1. 1444 • , ,s> STANTOHSMJRG 0 t, i 1 a State of North Carolina Department of Environment, Health and Natural Resources Division of Environmental Management James B. Hunt, Jr., Governor Jonathan B. Howes, Secretary A. Preston Howard, Jr., P.E., Director October 24, 1996 Mr. Russell Brice City of Wilson P.O. Box 10 Wilson, NC 27894-0010 Subject: Request for Speculative Limits City of Wilson NPDES No. NC0023906 Dear Mr. Brice: AA �EHNR The Technical Support Branch received your request for speculative limits for the City of Wilson on October 24. The project has been assigned to Jackie Nowell for review. It normally takes approximately thirty days for the modeler to review the available water quality information and draft a response. If you have any questions or comments, please contact Ms. Nowell (ext. 512) or me (ext 503) at (919)733-5083. Sincerely, 6,0cLuit Ruth C. Swanek, Supervisor Instream Assessment nit cc: Raleigh Regional Office David A. Nailor, P.E., Hazen and Sawyer P.O. Box 29535, Raleigh, North Carolina 27626-0535 Telephone 919-733-5083 FAX 919-733-9919 An Equal Opportunity Affirmative Action Employer 50% recycled/ 10% post -consumer paper Page 1 Note for Jackie Nowell From: Jackie Nowell Date: Thu, Aug 29,1996 8:37 AM Subject: Wilson WWTP SOC/JOC To: Carla Sanderson; Ruth Swanek Steve Mitchell called yesterday and said that Wilson has requested a winter BOD5 limit of 12 mg/1 in the SOC ( rather than the previously requested 10 mg/1). I didn't recall that summer/winter BOD5 limits had been requested, but I told him that since we were unable to model the creek, we couldn't tell them they could not increase the SOC limit to 12 mg/1. Told him that we were mostly concerned that Wilson should do the extensive monitoring that we had requested, to determine what kind of impact the discharge was having on Contentnea Creek. Said that he definitely agreed with that and they would probably give them the limits they requested. I asked whether most of the sites would be accessible for the Town and he said that since the sites were at road crossings, he did not anticipate them having any problems. He also said that it looked like the order would probably become a JOC. Contentnea Creek Modeling Efforts - Attempted to model a 16.7 mile segment from the Wilson WWTP to Stantonburg WWTP. Wilson plant has a design capacity of 12 MGD, but is requesting SOC with effluent limits for flow of additional 1.7 MGD, BOD5 and NH3. Because the segment has low slopes ranging from 2.4 to 0.74 fpm, also a somewhat swampy area, the Level B model is not the best tool to be used here. A QUAL2E model was done by engineering firm in 1985, We are planning to update the QUAL2E with chemical/physical data collected by ESB. Until that effort can be completed we are using the Level B model to try to determine whether the additional flow of 1.7 MGD can be added to the Wilson WWTP. The RRO is requesting SOC limits of BOD5 =8 mg/1 or 12 mg/1, NH3 limits of 8 mg/l. (Existing limits are 5/2/7) Model reach input: REACH1 = 2.3 miles (from Wilson WWTP to mouth of Hominy Swamp trib) slopel = 2.4 fpm 7Q10 runoff = 0.11 (taken from 1985 QUAL2E model report) QA runoff = 2 (guestimated) REACH2 =6.2 miles (from Hominy Swamp trib to Black Creek trib) slope2 = 2.1 fpm 7Q10 runoff = 0.42 (taken from 1985 QUAL2E model report) QA runoff = 3 (guestimated) REACH3 = 0.5 miles (from Black Creek trib to Turner Swamp trib) slope3 = 1.7 fpm 7QA runoff = 1.05 (taken from 1985 QUAL2E model report) Q10 runoff = 6 (guestimated) REACH4 = 2.7 miles (from Turner Swamp trib to Ivy Swamp trib) slope4 = 1.7 fpm 7Q10 runoff = 1.05 (taken from 1985 QUAL2E model report) QA runoff = 6 (guestimated) REACH5 = 5 miles (from Ivy Swamp trib to Stantonsburg WWTP) slope5 = 0.9 fpm 7Q10 runoff = 2.65 (taken from 1985 QUAL2E model report) QA runoff = 8 (guestimated) Headwater inputs: 7Q10 flow 1) Recent information from Hazen & Sawyer gave minimum release from Buckhorn Reservoir as 1.4 cfs. Located several miles upstream of the Wilson WWTP. 2) Also used 7Q10 flow from low study done by ESB in August, 1995. Recorded flow of 5.9 cfs at US Hwy 301 just upstream of the Wilson WWTP. 3) Estimated average flow of 242 cfs based on the drainage area of the site, 242 mi2. Downstream USGS station @ Hookerton had DA=733, QA = 770 cfs. Contentnea Creek Modeling Efforts page 2 Model scenarios and results: 1) 7Q10 flow = 1.4 cfs Qw =12 MGD, BOD5=12 mg/1 (CBOD=24), NH3 =8 mg/1 (NBOD=36), DO=7 DO Min. = 0.00 occurs @ Milept. 1.5 in Reach 2 and extends to Milept. 10.5 in Reach 4 , @ end of model DO=0.88 2) 7Q10 flow = 5.9 cfs Qw = 12 MGD, BOD5=12 mg/1 (CBOD=24), NH3 =8 mg/1 (NBOD=36), DO=7 DO Min. = 0.00 occurs @ Milept. 2.5 in Reach 2 and extends to Milept. 12.7 in Reach 5 , @ end of model DO=0.66 3) 7Q10 flow = 5.9 cfs Qw = 9.6 MGD, (avg. Qw for 95-96) BOD5=12 mg/1 (CBOD=24), NH3 =8 mg/1 (NBOD=36), DO=7 Change Kd rate to 0.1 in all reaches DO Min. = 0.00 occurs @ Milept. 3.1 in Reach 2 and extends to Milept. 7.3, @ end of model DO=1.63 Recommendation 8/5/96 Consultion with Ruth, Carla , and Juan: Review of Level B model results and 1987 QUAL2E shows that the Contentnea Creek system cannot be modeled with the current tools in the Instream Assessment Unit. Updated reaeration data as collected by EPA and DWQ's ESB in 1995 is comparable to data collected for the earlier model. 1987 model results at various wasteflows bottomed out, ie DO went below 3 mg/1. It is felt that even with some new assumptions for flow and other parameters, the results would be the same for a updated QUAL2E. The swampy system of Contentnea Creek cannot be accurately duplicated in the models that we have. It is recommended that if the JOC limits are given for the Wilson WWTP that extensive instream monitoring be a condition of the Order. DO levels that go below 3 mg/1 should be closely monitored because anoxic conditions instream could be extremely detrimental to aquatic life. saved on lbdata45. "wilsonjc". "wilsonkd" DIVISION OF WATER QUALITY April 25, 1997 MEMORANDUM TO: THRU: Reginald R. Sutton Ruth Swanek�?i Carla Sanderson FROM: Jacquelyn M. Nowell SUBJECT: Response to Comments of Wilson -Hominy Creek WWMF 201 Facility Plan Amendment NPDES Permit No. NC0023906 Wilson County The Instream Assessment Unit has reviewed the subject document for responses to our February 25th comments. As a point of clarification, it should be noted that on page 2-21, the document states that no speculative limits were received for metals because "current NCDWQ regulations" allow a review when the NPDES application is received. While we are allowed to review all information on the NPDES application when determining final NPDES limits, the reason we do not provided speculative limits for metals is a standard operating procedure that was implemented by DWQ due to resource constraints. All other reviewed information in the document is acceptable and we have no additional comments. cc: Judy Garrett WLA File MEMORANDUM TO: DIVISION OF WATER QUALITY Ken Schuster Judy Garrett August 15, 1996 FROM: Jacquelyn M. Nowell'y THRU: Donald L. S Ruth Swanek Carla Sanderson SUBJECT: Response to Instream Assessment Request Wilson/Hominy Creek WWTP (EMC WQ # 95-21) NPDES Permit No. NC0023906 Wilson County Summary and Recommendation The Instream Assessment Unit (IAU) has reviewed the request for an instream assessment for the Wilson WWTP. The Town is requesting a Special Order of Consent (SOC) during improvements to the wastewater treatment plant and implementation of an infiltration/inflow program. The existing design flow is 12 MGD. The total requested SOC flow is 1,704,840 GPD, which includes excess inflow/infiltration (I/I) occurring at the plant for a total SOC flow requested of approximately 14 MGD. Additional SOC limits requested are BODS = 8 mg/1 and NH3 = 8 mg/1. The Contentnea Creek is slow moving and characterized by low stream flows representing a swamp like system. Review of current Level B model results, a QUAL2E performed in 1987, and current reaeration field data collected by EPA, show that the Contentnea Creek cannot be evaluated with a steady state one dimensional model. With the very low slopes, low headwater flow, and the predicted velocities and reaeration rates, the model predicted that at the requested JOC wasteflow and JOC limits, a DO minimum of 0 mg/1 would occur 1.5 miles downstream of the ou fall and would continue for 9 miles. Given the most recently collected field data (velocities, reaeration,etc.) the IAU assumes the results would be similar for a updated QUAL2E. The swampy system of Contentnea Creek cannot be accurately replicated using the traditional DO modeling tools used by IAU, and more sophisticated modeling approaches will need to be researched. It is recommended that if the JOC limits are given for the Wilson WWTP, that extensive instream monitoring be a condition of the Order. Instream monitoring recommendations should be as follows: Parameters: Temperature, Dissolved Oxygen, Conductivity Frequency: 3/wk in April thru October, 1/wk in November thru March Locations: 1) 100 ft upstream of discharge_or at the Training Area for Heavy Equipment Operators 2) Contentnea Creek @ SR1606 3) Contentnea Creek @ SR1622 4) Contentnea Creek @ SR1628 5) Contentnea Creek @ Hwy 222 Response to Instream Assessment for Wilson WWTP Page 2 DO levels that go below 3 mg/1 should be closely monitored because anoxic conditions instream could be extremely detrimental to aquatic life. If you have any questions, please call me at 733-5083, extension 512. cc: Dianne Wilburn Steve Mitchell Central Files WLA File Contentnea Creek Modeling Efforts - Attempted to model a 16.7 mile segment from the Wilson WWTP to Stantonburg WWTP. Wilson plant has a design capacity of 12 MGD, but is requesting SOC with effluent limits for flow of additional 1.7 MGD, BOD5 and NH3. Because the segment has low slopes ranging from 2.4 to 0.74 fpm, also a somewhat swampy area, the Level B model is not the best tool to be used here. A QUAL2E model was done by en gineering firm in 1985, We are planning to update the QUAL2E with chemical/physical data collected by ESB. Until that effort can be completed we are using the Level B model to try to determine whether the additional flow of 1.7 MGD can be added to the Wilson WWTP. The RRO is requesting SOC limits of BOD5 =8 mg/1 or 12 mg/1, NH3 limits of 8 mg/1. (Existing limits are 5/2/7) Model reach input: REACH1 = 2.3 miles (from Wilson WWTP to mouth of Hominy Swamp Crib) slopel = 2.4 fpm 7Q10 runoff = 0.11 (taken from 1985 QUAL2E model report) QA runoff = 2 (guestimated) REACH2 =6.2 miles (from Hominy Swamp trib to Black Creek trib) slope2 = 2.1 fpm 7Q10 runoff = 0.42 (taken from 1985 QUAL2E model report) QA runoff = 3 (guestimated) REACH3 = 0.5 miles (from Black Creek trib to Turner Swamp trib) slope3 = 1.7 fpm 7QA runoff = 1.05 (taken from 1985 QUAL2E model report) Q 10 runoff = 6 (guestimated) REACH4 = 2.7 miles (from Turner Swamp trib to Ivy Swamp trib) slope4 = 1.7 fpm 7Q10 runoff = 1.05 (taken from 1985 QUAL2E model report) QA runoff = 6 (guestimated) REACH5 = 5 miles (from Ivy Swamp trib to Stantonsburg WWTP) slope5 = 0.9 fpm 7Q10 runoff = 2.65 (taken from 1985 QUAL2E model report) QA runoff = 8 (guestimated) Headwater inputs: 7Q10 flow 1) Recent information from Hazen & Sawyer gave minimum release from Buckhorn' Reservoir as 1.4 cfs. Located several miles upstream of the Wilson WWTP. 2) Also used 7Q10 flow from low study done by ESB in August, 1995. Recorded flow of 5.9 cfs at US Hwy 301 just upstream of the Wilson WWTP. 3) Estimated average flow of 242 cfs based on the drainage area of the site, 242 mi2. Downstream USGS station @ Hookerton had DA=733, QA = 770 cfs. Contentnea Creek Modeling Efforts page 2 Model scenarios and results: 1) 7Q10 flow = 1.4 cfs Qw =12 MGD, BOD5=12 mg/1 (CBOD=24), NH3 =8 mg/1 (NBOD=36), D(3=7 DO Min. = 0.00 occurs @ Milept. 1.5 in Reach 2 and extends to Milept. 10.5 in Reach 4 , @ end of model DO=0.88 2) 7Q10 flow = 5.9 cfs Qw =12 MGD, BOD5=12 mg/1 (CBOD=24), NH3 =8 mg/1 (NBOD=36), DO=7 DO Min. = 0.00 occurs @ Milept. 2.5 in Reach 2 and extends to Milept. 12.7 in Reach 5 , @ end of model DO=0.66 3) 7Q10 flow = 5.9 cfs Qw = 9.6 MGD, (avg. Qw for 95-96) BOD5=12 mg/1 (CBOD=24), NH3 =8 mg/1 (NBOD=36), DO=7 Change Kd rate to 0.1 in all reaches DO Min. = 0.00 occurs @ Milept. 3.1 in Reach 2 and extends to Milept. 7.3, @ end of model DO=1.63 Recommendation 8/5/96 Consultion with Ruth, Carla , and Juan: Review of Level B model results and 1987 QUAL2E shows that the Contentnea Creek system cannot be modeled with the current tools in the Instream Assessment Unit. Updated reaeration data as collected by EPA and DWQ's ESB in 1995 is comparable to data collected for the earlier model. 1987 model results at various wasteflows bottomed out, ie DO went below 3 mg/1. It is felt that even with some new assumptions for flow and other parameters, the results would be the same for a updated QUAL2E. The swampy system of Contentnea Creek cannot be accurately duplicated in the models that we have. It is recommended that if the JOC limits are given for the Wilson WWTP that extensive instream monitoring be a condition of the Order. DO levels that go below 3 mg/1 should be closely monitored because anoxic conditions instream could be extremely detrimental to aquatic life. saved on lbdata45. "wilsonjc". "wilsonkd" **************************************************************** **************************************************************** DIVISION OF ENVIRONMENTAL MANAGEMENT RALEIGH REGIONAL OFFICE WATER QUALITY SECTION July 31, 1996 **************************************************************** **************************************************************** MEMORANDUM To: Carla Sanderson Technical Support Branch Through: Ken Schuster, P.E. Regional Supervisor Through: Judy Garrett Regional Water Quality Supervisor From: Steve Mitchell Environmental Scientist Subject: Instream Assessment Request Wilson\Hominy Creek WWTP Proposed Special Order by Consent No. EMC WQ 95-21 NPDES Permit No. NC0023906 Wilson County Attached is a request for an instream assessment for the subject facility. We are currently negotiating an SOC, which will probably end up as a JOC, with the City due to noncompliance with the effluent limits (BOD5 and NH3) contained in the NPDES permit. The City will be implementing an infiltration/inflow program to reduce excessive flows tributary to the system and significant construction at the waste water facility. The SOC\JOC will relax the BOD and ammonium limits, and the Town is requesting that an additional 1,704,180 gpd of flow be allowed to be connected to the WWTP. This will bring the total daily discharge limit to 14 MGD. If you have questions please call. Request Form for Instream Assessment for SOC\JOC Name of Facility: City of Wilson Subbasin: 03-02-07 NPDES Permit: NC0023906 County: Wilson Design Flow:12.0 mgd Receiving Stream: Contentnea Creek XXXXXXXXXXXXXXXXXXXXX Background Data : A. Why is SOC needed? The City of Wilson has requested an SOC due to consistent violations of BOD and NH3-N. The City's WWTP consists of two mechanical bar screen, a manual bar screen, two grit chambers, preaeration, three primary clarifiers, biological phosphorus removal, three aeration basins, five secondary clarifiers, three polishing ponds, chlorination, post aeration, chemical feed facilities, and aerobic digestors. The City has not managed the solids handling program, causing excessive volumes of solids in the polishing ponds and has just finished the removal of the accumulated solids. In addition, several industrial upsets have caused significant operational complications in the past that have resulted in violations of the discharge effluent limitations. B. History of SOC requests: City submitted a SOC request 9/9/95. SOC was eventually returned due to lack of substantial improvements to the facility. 1. Monthly Average waste flow prior to any SOC? Period: 9306-9405 Avg: 7.9777 mgd 9406-9505 7.4127 mgd 9506-9605 9.5974 mqd 2. Previously approved SOCs: Date: flow: 0 mgd Total of previously approved SOC flow: 0 mgd 3. Flows lost from plant -flow: 0 mgd 4. Flows allocated but not yet tributary to the plant: (P-4 approvals) None at this time. 5. Current SOC request flow: 1,704,180 gpd 6. Total Plant flow post-SOC flow: 13.704 mqd (14.0 MGD) 7. Is this an accurate flow balance for plant? The flow meters within the waste water facility are calibrated quarterly. Therefore these flow values are believed to be accurate. Instream Assessment Request i City of Wilson Page 2 C. A copy of the data is attached for your review (9306-9605). CURRENT SOC REQUEST: A. Request is for domestic or industrial waste? If it is a combination, please specify percentages. 1,704,180 gpd 100 % B. What type of industry? Composition of wastewater unknown. C. The region proposes the following SOC\JOC limits: Monthly Avg. Weekly Max BOD5 8 mg/1 12.0 mg/1 NH3 8 mg/1 Flow 12.0 mgd until completion of improvements then 14.0 mgd Toxicity: Chronic testing performed quarterly at 90%. D. What is the basis for these limits? These are limits which the Raleigh Regional Office staff and the City believe the WWTP can meet in the interim, based on historical operation of the WWTP and the necessary interruption of the treatment process required during modification to the WWTP. 4 • COUNTY OF WILSON IN THE MATTER OF NORTH CAROLINA NPDES PERMIT NO. NC0023906 HELD BY THE CITY OF WILSON 1 NORTH CAROLINA ENVIRONMENTAL MANAGEMENT COMMISSION SPECIAL ORDER BY CONSENT EMC WQ NO. 95-21 Pursuant to provisions of North Carolina General Statutes (G.S.) 143-215.2 and 143-215.67, this Special Order by Consent is entered into by the City of Wilson, hereinafter referred to as the City, and the North Carolina Environmental Management Commission, an agency of the State of North Carolina created by G.S. 143E-282, and hereinafter referred to as the Commission: 1. The City and the Commission hereby stipulate the following: (a) That the City holds North Carolina NPDES Permit No. NC0023906 for operation of an existing wastewater treatment works and for making an outlet therefrom for treated wastewater to Contentnea Creek, Class C-NSW waters of this State in the Neuse River Basin, but is unable to consistently comply with the final effluent limitations for BOD5 and NH3-N as set forth in the Permit. Compliance will require preparation of plans and specifications for construction and operation of additional treatment works. (b) That noncompliance with final effluent limitations constitutes causing and contributing to pollution of the waters of this State named above, and the City is within the jurisdiction of the Commission as set forth in G.S. Chapter 143, Article 21. (c) That the City desires to cause or allow the discharge of 1,704,180 gpd of additional wastewater to the treatment works, and that the discharge of such additional wastewater will not result in any significant degradation of the quality of any waters. (d) That the City has secured financing or intends to issue revenue bonds for financing of the planning and construction of treatment works which, when constructed and operated, will be sufficient to adequately treat the wastewater presently being discharged and the additional wastewater desired to be discharged, to the extent that the City will be able to comply with final permit effluent limitations. (e) Since this Special Order is by Consent, neither party will file a petition for a contested case or for judicial review concerning its terms. 2 2. The City, desiring to comply with the permit identified in paragraph 1(a) above, hereby agrees to do the following: a) The City agrees to pay the North Carolina Department of Environment, Health, and Natural Resources the sum of $12,300.00 in full settlement of all violations of the NPDES Permit prior to July 1, 1996. This includes Civil Penalties assessed for violations of effluent limits in enforcement File No. LV 95-09 and $5089.46 for violations of effluent limits that occurred after enforcement File No. LV 95-09. (b) Provide the Raleigh Regional Office of the North Carolina Division of Water Quality (DWQ), located at 3800 Barrett Drive, Raleigh, N.C. 27609, with a list of all additions of flow under the City's Special Orders, and update this list each time flow is added to the system. (c) Undertake the following activities in accordance with the indicated time schedule: 1) On or before September 1, 1996, submit to the DWQ Raleigh Regional Office, the City's proposed budgets for identification and reduction of inflow/infiltration for the years covered by the Special Order by Consent. 2) Continue to implement the inflow/infiltration plan as submitted with the City's application for this Order and submit annual progress reports beginning January 1, 1997 and continuing each January 1 thereafter for the years covered by the Special Order by Consent indicating the amount of work completed, estimated gallons per day of inflow/infiltration eliminated and funds expended. 3) On or before March 1, 1997, complete construction of the preliminary treatment facilities. 4) On or before February 28, 1997, submit plans and specifications to DWQ, Raleigh Regional Office for the construction of the following improvements (hereinafter referred to as the "Improvements"): i) Final Clarifier Improvements ii) Effluent (Tertiary) Filters iii) Plant Expansion to 14 MGD iv) Facility for Total Nitrogen Removal v) Sludge Removal Process Modification 5) On or before November 1, 1997, begin construction of the Improvements after receiving DWQ approval of the plans and specifications and Authorization To Construct. 6) On or before November 1, 1999 complete construction of the Improvements. 3 7) On or before March 1, 2000, attain compliance with all final effluent limitations contained in the NPDES Permit. (d) Comply with all terms and conditions of the permit except those effluent limitations identified in paragraph 1(a) above. See Attachments A & B for all monitoring requirements and effluent limitations. The permittee may also be required to monitor for other parameters as deemed necessary by the Director in future permits or administrative letters. (e) During the time in which this Special Order by Consent is effective, comply with the interim effluent limitations contained in Attachments A and B. The following reflects only the limitations that have been modified from NPDES requirements by this Order: Permit Limits Modified Limits (SOC) Parameters Unit Monthly Avg. Weekly Avg, Monthly Avg.Weekly Avg., Winter/Summer NH3-N mg/I 2/4 BODE mg/I 5/10 7.5/15 8 8 12 (f) No later than fourteen (14) calendar days after any date identified for accomplishment of any activity listed in 2(b) above. submit to the Director of DWQ written notice of compliance or noncompliance therewith. In the case of noncompliance, the notice shall include a statement of the reason(s) for noncompliance, remedial action(s) taken. and a statement identifying the extent to which subsequent dates or times for accomplishment of listed activities may be affected. (g) Enforce the North Carolina State Building Code as it applies to Water Conservation (Volume II -Plumbing, Chapter IX 901 General Requirements -Materials, 901.2 Water Conservation, and Table 901.22-Maximum Allowable Usage For Plumbing Fixtures). (h) Implement the pretreatment program as approved by the Director, including the enforcement of both categorical pretreatment standards and local limits. (i) The City will use forty percent (40%) of the revenue received from additional one-half percent (1/2%) sales and use taxes levied during the first five fiscal years in which the additional taxes are in effect and thirty percent (30%) of the revenue received from these taxes in the second five fiscal years in which the taxes are in effect for water and sewer capital outlay purposes or to retire any indebtedness incurred for these purposes. 3. The City agrees that unless excused under paragraph 4, the City will pay the Director of DWQ, by check payable to the North Carolina Department of Environment, Health and Natural Resources, stipulated penalties according to the following schedule for failure to meet the deadlines set out in paragraphs 2(c),(d),(e),and (f) or failure to attain compliance with the 4 effluent limitations/monitoring requirements contained in Attachment A. Failure to meet a schedule date Failure to maintain compliance with any modified limit contained in the SOC. Failure to achieve compliance with limits at final compliance deadline (March 1, 2000) Monitoring frequency violations Failure to submit progress reports $100/day for the first 7 days; $500/day thereafter $1000/violation $ 13,000 (single penalty) $100 per omitted value per parameter $50/day for the first 7 days; $250/day thereafter 4. The City and the Commission agree that the stipulated penalties are not due if the City satisfies the DEM that noncompliance was caused solely by: a. An act of God; b. An act of war; c. An intentional act or omission of a third party but this defense shall not be available if the act or omission is that of an employee or agent of the defendant or if the act or omission occurs in connection with a contractual relationship with the permittee; d. An extraordinary event beyond the permittee's control. Contractor delays or failure to obtain funding will not be considered as events beyond the permittees control; or e. Any combination of the above causes. Failure within thirty (30) days of receipt of written demand to pay the penalties, or challenge them by a contested case petition pursuant to G.S. 150B-23, will be grounds for a collection action , which the Attorney General is hereby authorized to initiate. The only issue in such an action will be whether the thirty (30) days has elapsed. 5. In accordance with the provisions of G.S. 143-215.67(b) the Commission allows the City to accept the additional waste specified below to its waste disposal system: 1,704,180 gpd of additional wastewater. The nature of the additional flows is such that the waste characteristics do not exceed those generally associated with domestic waste or are pretreated to domestic 5 strengths. Waste of greater than normal domestic strength may be accepted if the parameter(s) that exceed normal domestic strength wastewater are not those for which interim limitations have been developed and it can be demonstrated to the satisfaction of the Director that the addition waste will not adversely affect the treatment efficiency of the treatment system for any modified parameter or result in the violation of any other permit limitation. All new and proposed industrial waste tributary to the system must be controlled using all needed mechanisms including but not limited to adoption and implementation of industrial waste control and pretreatment ordinances. No wastewater can be accepted which will add toxic pollutants in quantities not generally associated with domestic wastewater characteristics, unless the acceptance of the additional wastewater can be supported through appropriate analyses acceptable to the Director. 6. This Special Order by Consent and any terms, conditions and interim effluent limitations contained herein, hereby supersede any and all previous Special Orders and Enforcement Compliance Schedule Letters, terms, conditions, and limitations contained therein issued in connection with NPDES Permit No. NC0023906. In the event of a NPDES Permit modification or renewal, any effluent limitations or monitoring requirements contained therein shall supersede those in Attachment A and B of this Special Order by Consent, except as modified and contained in paragraph 2 (e) above. 7. Any Violation of terms of this Special Order by Consent, including paragraphs 2(c) and 2(f) above and Attachments A and B shall terminate paragraph 5 of this Order and any authorized additional waste not previously connected to the system shall not thereafter be connected until the necessary sewerage system improvements have been completed and placed in operation. 8. Noncompliance with the terms of this Special Order by Consent is subject to enforcement action in addition to the above stipulated penalties, including injunctive relief pursuant to G.S. 143-215.6C. 9. The permittee, upon signing the Special Order by Consent, will be expected to comply with all schedule dates, terms, and conditions of this document. 10. This Special Order by Consent shall expire June 1, 2000. .X ' Y 6 For the City of Wilson: C. Bruce Rose, Mayor Date For the North Carolina Environmental Management Commission Chair of the Commission Date ATTACHMENT A Page 1 of 2 Hominy Creek WWTP NPDES Permit No. NC0023906 EFFLUENT LIMITATIONS AND MONITORING REQUIREMENTS - Interim During the period beginning on the effective date of the Order and lasting until March 1, 2000, the permittee is authorized to discharge from outfall serial number(s) - 001. Such discharges shall be limited and monitored by the permittee as specified below: Effluent Characteristics Discharge Limitations Other Units (Specify) Monthly Avg. Weekly Avq. Flow 12.00 MGD BOD, 5Day, 20°C ** & .2- 7 mg/1 I• .0 mg/1 Total Suspended Residue ** 30.0 mg/1 45.0 mg/1 NH as N 8.0 mg/1 Dissolved Oxygen (minimum) *** Fecal Coliform (geometric mean) 200.0/100 ml 400/100 ml Total Residual Chlorine Temperature Total Nitrogen (NO2 + NO3 + TKN) Total Phosphorus **** Chronic Toxicity ***** Sample locations: NCSR 1606. Upstream and downstream samples shall be grab samples. Stream samples shall be collected three time per week during June, July, August, and September and once per week during the remaining months of the year. ** The monthly average effluent BOD5 and Total Suspended Residue concentrations shall not exceed 15% of the respective influent value (85% removal). *** The daily average dissolved oxygen effluent concentration shall not be less than 7.0 mg/l. **** Compliance shall be based upon a quarterly average of weekly samples. ***** See Part III, Condition F, Chronic Toxicity P/F at 90%. The pH shall not be less than 6.0 standard units nor greater than 9.0 standard units and shall be monitored daily at the effluent by grab sample. There shall be no discharge of floating solids or visible foam in other than trace amounts. Monitoring Requirements Measurement Sample *Sample Frequency Type Location Continuous Recording I or E Daily CompositeE,I,U,D Daily Composite I,E Daily Composite E Daily Grab E,U,D Daily Grab E,U,D Daily Grab E Daily Grab E,U,D Monthly Composite E Monthly Composite E Quarterly Composite E E - Effluent, I - Influent, U - Upstream at Old Blackcreek Road, D-Downstream at EFFLUENT LIMITATIONS AND MONITORING REQUIREMENTS - Interim During the period beginning on the effective date of the Order and permittee is authorized to discharge from outfall serial number(s) Effluent Characteristics Conductivity Oil and Grease Copper Zinc Lead Cyanide Mercury Discharge Limitations Other Units (Specify) Daily Maximum 27.0 ug/1 5.3 ug/1 0.013 ug/1 lasting until March 1, 2000, the - 001. (Continued) Monitoring Requirements Measurement Sample *Sample Frequency Type Location Daily Monthly Monthly Monthly Weekly Weekly Weekly Grab Composite Composite Composite Composite Grab Composite U,D E E E E E E ATTACHMENT B City of Wilson Toxicity Testing Requirement The effluent discharge should at no time exhibit chronic toxicity using test procedures outlined in: 1. The North Carolina Ceriodaphnia chronic effluent bioassay procedure (North Carolina Chronic Bioassay Procedure - Revised *February, 1987) or subsequent versions. The target effluent concentration at which there may be no observable inhibition of reproduction or significant mortality is 90% (defined as treatment two in the North Carolina procedure document). The City of Wilson shall perform quarterly monitoring using this procedure to establish compliance with the toxicity requirements. The first test will be performed within thirty days from the effective date of this Order. Effluent sampling for this testing shall be performed at the NPDES permitted final effluent discharge below all treatment processes. All toxicity testing results required as part of this Order will be entered on the Effluent Discharge Monitoring Form (MR-1) for the month in which it was performed, using the appropriate parameter code. Additionally, DEM Form AT-1 (original) is to be sent to the following address: Technical Services Branch North Carolina Division of Environmental Management Post Office Box 27687 Raleigh, North Carolina 27611-7687 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 must be measured and reported if employed for disinfection of the waste stream. Should any test data from this monitoring requirement or tests performed by the North Carolina Division of Environmental Management indicate potential impacts to the receiving stream, this Order may be reopened and modified to include alternate monitoring requirements. Note: Failure to achieve test conditions as specified in the cited document, such as minimum control organism survival and appropriate environmental controls, shall constitute an invalid test and will require immediate retesting. Failure to submit suitable test results will constitute a violation of Order conditions. 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Aurae "1•►1H rhocvs DC Nncu- d1NM Vasa►FPw OCIQSN V01frvLC (be0) d 1MM v113yna Marrom BA7D AbNVMa ygAIV T14j Mir* • •�BWNV T11M ONG —v-6 n)•you.(vn3! yMn1V;a 'LO1Mora -ya fIW ShIh71M 021 a vo4 1111U GT10�}.tlj 9 6 ) Gi13vilt a -aar/ �q/0OS. . t 3ul nzla4�' iNp - I S t- fiery UQ s-xs 44001 - IL 14) {. `'b'ar.MoC 14,3 1 41> ). kL?$0.9.43 LIT SAD II•I L� �•g CV 9% r(-'WiQ Fxn'j -21101,3C3-6 ATTACHMENT A EFFLUENT LIMITATIONS AND MONITORING REQUIREMENTS - Interim Page 1 of 3 Hominy Creek WWTP NPDES Permit No. NC0023906 (April 1 - October 31) During the period beginning on the effective date of the Order and permittee is authorized to discharge from outfall serial number(s) limited and monitored by the permittee as specified below: Effluent Characteristics Discharge Limitations Other Units (Specify) Monthly Avg. Weekly Avg. Flow 12.00 MGD BOD, 5Day, 20°C ** 8.0 mg/1 12.0 mg/1 Total Suspended Residue ** 30.0 mg/1 45.0 mg/1 NH as N 8.0 mg/1 Digsolved Oxygen (minimum) Fecal Coliform (geometric mean) 200.0/100 ml 400/100 ml * * * Total Residual Chlorine Temperature Total Nitrogen (NO2 + NO3 + TKN) Total Phosphorus **** Conductivity Oil and Grease Copper Zinc Lead Cyanide Mercury Daily Maximum 27.0 ug/1 5.3 ug/1 0.013 ug/1 Measurement Frequency Continuous Daily Daily Daily Daily Daily Daily Daily Monthly Monthly Daily Monthly Monthly Monthly Weekly Weekly Weekly lasting until March 1, 2000, the - 001. Such discharges shall be Monitoring Requirements Sample *Sample Type Location Recording I or E CompositeE,I,U,D Composite I,E Composite E Grab E,U,D,X Grab E,U,D Grab E Grab E,U,D,X Composite E Composite E Grab Composite Composite Composite Composite Grab Composite U,D,X E E E E E E ct ATTACHMENT A Page 2 of 3 Hominy Creek WWTP NPDES Permit No. NC0023906 EFFLUENT LIMITATIONS AND MONITORING REQUIREMENTS - Interim (November 1 - March 31) During the period beginning on the effective date of the Order and permittee is authorized to discharge from outfall serial number(s) limited and monitored by the permittee as specified below: Effluent Characteristics Discharge Limitations Other Units (Specify) Monthly Avg. Weekly Avg. Flow 12.00 MGD BOD, 5Day, 20°C ** 12.0 mg/1 18.0 mg/1 Total Suspended Residue ** 30.0 mg/1 45.0 mg/1 NH as N 8.0 mg/1 Digsolved Oxygen (minimum) Fecal Coliform (geometric mean) 200.0/100 ml 400/100 ml *** Total Residual Chlorine Temperature Total Nitrogen (NO2 + NO2 + TKN) Total Phosphorus **** Chronic Toxicity ***** Conductivity Oil and Grease Copper Zinc Lead Cyanide Mercury Daily Maximum 27.0 ug/1 5.3 ug/1 0.013 ug/1 lasting until March 1, 2000, the - 001. Such discharges shall be Monitoring Requirements Measurement Sample *Sample Frequency Type Location Continuous Recording I or E Daily CompositeE,I,U,D Daily Composite I,E Daily Composite E Daily Grab E,U,D,X Daily Grab E,U,D Daily Grab E Daily Grab E,U,D,X Monthly Composite E Monthly Composite E Quarterly Composite E Daily Monthly Monthly Monthly Weekly Weekly Weekly Grab Composite Composite Composite Composite Grab Composite U,D,X E E E E E E 0 Page 3 of 3 * Sample locations: E - Effluent, I - Influent, U - Upstream at Old Blackcreek Road, D-Downstream at SR 1606. Upstream and downstream samples shall be grab samples. Stream samples shall be collected three times per week during June, July, August, and September and once per week during the remaining months of the year. X Additional instream monitoring consisting of Temperature, Dissolved Oxygen, and Conductivity shall be performed at 100 feet upstream of the discharge and downstream at SR 1606, SR 1622, SR 1628, and Hwy 222 three (3) times per week April thru October and once (1) per week November thru March. ** The monthly average effluent BOD5 and Total Suspended Residue concentrations shall not exceed 15% of the respective influent value (85% removal). *** The daily average dissolved oxygen effluent concentration shall not be less than 7.0 mg/1. **** Compliance shall be based upon a quarterly average of weekly samples. The pH shall not be less than 6.0 standard units nor greater than 9.0 standard units and shall be monitored daily at the effluent by grab sample. There shall be no discharge of floating solids or visible foam in other than trace amounts.