HomeMy WebLinkAboutNC0024201_Permit (Issuance)_20030912NPDES DOCUMENT ! CANNIN` COVER SHEET
NC0024201
Roanoke River 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
Report
Instream Assessment (67b)
Speculative Limits
Environmental Assessment (EA)
Document Date:
September 12, 2003
This document is printed on reuse paper - ignore arty
content on the resrerse'side
Michael F. Easley, Govemor
State of North Carolina
William G. Ross, Jr., Secretary
Department of Environment and Natural Resources
Alan W. Klimek, P.E., Director
Division of Water Quality
Mr. Dan Brown,
Roanoke Rapids
P.O. Box 308
Roanoke Rapids
September 12, 2003
CEO
Sanitary District
, North Carolina 27870
Subject: Issuance of NPDES Permit NC0024201
Roanoke Rapids WWTP
Halifax County
Dear Mr. Brown:
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).
The attached final permit incorporates minor changes requested by you after review of the
draft permit. Specifically, the sample type for mercury has been changed to grab. Condition A. (2)
has been corrected to include proper footnote references. Finally, the metals reopener has been
modified to include upstream metals sampling.
Compliance with all terms and conditions of the attached permit is the responsibility of the
Permittee. Please note that T15A 08G .0204 of the North Carolina Administrative Code has been
interpreted to mean that the Operator in Responsible Charge is responsible for operation of water
pollution control systems.
If any parts, measurement frequencies or sampling requirements contained in this permit are
unacceptable to you, you have the right to an adjudicatory hearing upon written request within thirty
(30) days following receipt of this letter. This request must be in the form of a written petition,
conforming to Chapter 150B of the North Carolina General Statutes, and filed with the Office of
Administrative Hearings (6714 Mail Service Center, Raleigh, North Carolina 27699-6714). Unless
such demand is made, this permit shall be final and binding.
Please take notice that this permit is not transferable. 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, Coastal Area Management Act, or any other
Federal or Local governmental permits which may be required. If you have any questions or need
additional information, please do not hesitate to contact Mark McIntire of my staff at (919) 733-5083,
extension 508.
Sincerely,
ORIGINAL SIGNED BY
Mark McIntire
Alan W. Klimek, P.E.
cc: Central Files
NPDES Unit Files
Raleigh Regional Office
Aquatic Toxicology Unit
Madolyn Dominy, EPA Region 4
1617 MAIL SERVICE CENTER, RALEIGH, NORTH CAROLINA 27699-1617 - TELEPHONE 919-733-5083/FAX 919-733-0719
VISIT US ON THE WEB AT http://h2o.enr.state.nc.us/NPDES
t Permit NC0024201
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 provisions 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
Roanoke Rapids Sanitary District
is hereby authorized to discharge wastewater from a facility located at the
Roanoke Rapids Sanitary District WWTP
135 Aqueduct Road
Weldon
Halifax County
to receiving waters designated as Chockoyotte Creek at the Roanoke River in the Roanoke
River Basin in accordance with effluent limitations, monitoring requirements, and other
conditions set forth in Parts I, II, and III hereof.
The permit shall become effective October 1, 2003.
This permit and the authorization to discharge shall expire at midnight on March 31, 2007.
Signed this day September 12, 2003.
ORIGINAL SIGNED BY
Mark McIntire
Alan W. Klimek, P.E., Director
Division of Water Quality
By Authority of the Environmental Management Commission
Permit NC0024201
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 Roanoke Rapids Sanitary District is hereby authorized to:
1. Continue to operate an existing 8.34 MGD wastewater treatment facility located at
135 Aqueduct Road near Weldon in Halifax County. This facility discharges
through outfall 001 and includes the following wastewater treatment components:
• Bar screen and grit chamber
• Dual primary clarifiers
• Dual trickling filters
• Three Aeration basins
• Dual final clarifiers
• Chlorination
• Dechlorination
• Dual Secondary sludge thickener
• Three anaerobic digesters
• Lime stabilization
• Sludge storage
• Sludge drying beds
2. Discharge from said treatment works at the location specified on the attached map
through outfall 001 into Chockoyotte Creek, a class C water in the Roanoke River
Basin.
-? P. t.4,
3. Upon relocation of the outfall, discharge from said treatment works at the location
specified on the attached map through outfall 001 into the Roanoke River, a class
C water in the Roanoke River Basin.
Roanoke Rapids Sanitary District WWTP
State Grid/Quad: Weldon Latitude:
B 28 NE Longitude:
Receiving Stream: Chockoyotte/Roanoke Drainage Basin:
Stream Class: C Sub -Basin:
36° 26' 10" N
77° 36' 34" W
Roanoke
03-02-08
61.d
NPDES Permit No. NC0024201
Halifax County
Permit NC0024201
A. (1) EFFLUENT LIMITATIONS AND MONITORING REQUIREMENTS
(Discharges to Chockoyotte Creek through May 31, 2005)
Beginning on the effective date of this permit and lasting until May 31, 2005 or until relocation of
the outfall to the Roanoke River is complete, the Permittee is authorized to discharge treated
wastewater from Outfall 001. Such discharges shall be limited and monitored by the Permittee as
specified below:
EFFLUENT
CHARACTERISTICS
EFFLUENT LIMITATIONS
MONITORING REQUIREMENTS
Monthly
Average
Weekly
Average -
Daily
Maximum
Measurement
Frequency
Sample
Type
Sample
Location'
Flow
8.34 MGD
Continuous
Recording
Influent or Effluent
CBOD, 5-day, 20°C2
25.0 mg/L
37.5 mg/L
Daily
Composite
Influent & Effluent
Total Suspended Solids2
30.0 mg/L
45.0 mg/L
Daily
Composite
Influent & Effluent
NH3 as N
Daily
Composite
Effluent
Total Residual Chlorine
28 pg/L
Daily
Grab
Effluent
Fecal Coliform
(geometric mean)
200/100 ml
400/100 ml
Daily
Grab
Effluent
pH
Between 6.0 and 9.0 Standard Units
Daily
Grab
Effluent
Dissolved Oxygen
Daily
Grab
Effluent
Temperature
Daily
Grab
Effluent
Total Nitrogen
(NO2 + NO3 + TKN)
Monthly
Composite
Effluent
Total Phosphorus
Monthly
Composite
Effluent
Total Mercury3
Monthly
Grab
Effluent, U
Total Copper
Monthly
Composite
Effluent
Total Zinc
Monthly
Composite
Effluent
Total Selenium
Monthly
Composite
Effluent
Total Fluoride
Monthly
Composite
Effluent
Chronic Toxicity's
Quarterly
Composite
Effluent
Dissolved Oxygen
Variables
Grab
U, D
Temperature
Variables
Grab
U, D
Notes:
1. U: Upstream at 308 Rollingwood Road, on the Roanoke River and the U.S. 158 crossing at Chockoyotte Creek.
D: Downstream at U.S. 158 crossing at the Roanoke River.
2. The monthly average effluent CBOD5 and TSS concentrations shall not exceed 15% of the respective influent
value (85% removal).
3. Mercury samples must be analyzed using EPA Method 1631, low-level mercury analysis.
4. Chronic Toxicity (Ceriodaphnia) at 39 %; January, April, July and October (see condition A. (4)).
5. Upstream/downstream samples shall be collected 3/Week during June, July, August, September, and 1/Week
during the remaining months of the year. Stream sampling may be discontinued at such times as flow
conditions in the receiving waters or extreme weather conditions will result in substantial risk of injury or
death to persons collecting samples. In such cases, on each day that sampling is discontinued, written
justification for the discontinuance shall be specified in the monitoring report for the month in which the event
occurred. Stream sampling shall be resumed at the first opportunity after the risk period has ceased.
There shall be no discharge of floating solids or visible foam in other than trace amounts.
Permit NC0024201 d
A. (2) EFFLUENT LIMITATIONS AND MONITORING REQUIREMENTS
(Discharges to Chockoyotte Creek after May 31, 2005)
Beginning on June 1, 2005 and lasting until relocation to the Roanoke River or until permit
expiration, the Permittee is authorized to discharge treated wastewater from Outfall 001. Such
discharges shall be limited and monitored by the Permittee as specified below:
EFFLUENT
CHARACTERISTICS
EFFLUENT LIMITATIONS
MONITORING REQUIREMENTS
Monthly
Average
Weekly
Average
Daily
Maximum
Measurement
Frequency
Sample
Type
Sample
Locations
Flow
8.34 MGD
Continuous
Recording
Influent or Effluent
CBOD, 5-day, 20°C2
25.0 mg/L
37.5 mg/L
Daily
Composite
Influent & Effluent
Total Suspended Solids2
30.0 mg/L
45.0 mg/L
Daily
Composite
Influent & Effluent
NH3 as N
Daily
Composite
Effluent
Total Residual Chlorine
28 pg/L
Daily
Grab
Effluent
Fecal Coliform
(geometric mean)
200/100 ml
400/100 ml
Daily
Grab
Effluent
pH
Between 6.0 and 9.0 Standard Units
Daily
Grab
Effluent
Dissolved Oxygen
Daily
Grab
Effluent
Temperature
Daily
Grab
Effluent
Total Nitrogen
(NO2 + NO3 + TKN)
Monthly
Composite
Effluent
Total Phosphorus
Monthly
Composite
Effluent
Total Mercury3
0.031 pg/L
Weekly
Grab
Effluent, U
Total Copper
Monthly
Composite
Effluent
Total Zinc
Monthly
Composite
Effluent
Total Selenium
12.8 pg/L
Weekly
Composite
Effluent
Total Fluoride
4.62 mg/L
Weekly
Composite
Effluent
Chronic Toxicity,
Quarterly
Composite
Effluent
Dissolved Oxygen
Variables
Grab
U, D
Temperature
Variables
Grab
U, D
Notes:
1. U: Upstream at 308 Rollingwood Road, on the Roanoke River and the U.S. 158 crossing at Chockoyotte Creek.
D: Downstream at U.S. 158 crossing at the Roanoke River.
2. The monthly average effluent CBOD5 and TSS concentrations shall not exceed 15% of the respective influent
value (85% removal).
3. Mercury samples must be analyzed using EPA Method 1631, low-level mercury analysis.
4. Chronic Toxicity (Ceriodaphnia) at 39 %: January, April, July and October (see condition A. (4)).
5. Upstream/downstream samples shall be collected 3/Week during June, July, August, September, and 1/Week
during the remaining months of the year. Stream sampling may be discontinued at such times as flow
conditions in the receiving waters or extreme weather conditions will result in substantial risk of injury or
death to persons collecting samples. In such cases, on each day that sampling is discontinued, written
justification for the discontinuance shall be specified in the monitoring report for the month in which the event
occurred. Stream sampling shall be resumed at the first opportunity after the risk period has ceased.
There shall be no discharge of floating solids or visible foam in other than trace amounts.
Permit NC002420 1
A. (3) EFFLUENT LIMITATIONS AND MONITORING REQUIREMENTS
(Discharges after outfall relocation)
Beginning upon relocation of the outfall to the Roanoke River and lasting until permit expiration, the
Permittee is authorized to discharge treated wastewater from Outfall 001. Such discharges shall be
limited and monitored by the Permittee as specified below:
CHARACTERISTICS ISTICs NT
EFFLUENT LIMITATIONS
MONITORING REQUIREMENTS
Monthly
Average
Weekly .• •
Average
` Daily
Maximum
Measurement
Frequency
Sample
Type
Sample Location1
Flow
8.34 MGD
Continuous
Recording
Influent or Effluent
CBOD, 5-day, 20°C2
25.0 mg/L
37.5 mg/L
Daily
Composite
Influent & Effluent
Total Suspended Solids2
30.0 mg/L
45.0 mg/L
Daily
Composite
Influent & Effluent
NH3 as N
Daily
Composite
Effluent
Total Residual Chlorine
28 pg/L
Daily
Grab
Effluent
Fecal Coliform
(geometric mean)
200/100 ml
400/100 ml
Daily
Grab
Effluent
pH
Between 6.0 and 9.0 Standard Units
Daily
Grab
Effluent
Dissolved Oxygen
Daily
Grab
Effluent
Temperature
Daily
Grab
Effluent
Total Nitrogen
(NO2 + NO3 + TKN)
Monthly
Composite
Effluent
Total Phosphorus
Monthly
Composite
Effluent
Total Mercury3
0.012 pg/L
Weekly
Grab
Effluent, U
Total Copper
Monthly
Composite
Effluent
Total Zinc
Monthly
Composite
Effluent
Total Selenium
Monthly
Composite
Effluent
Total Fluoride
Monthly
Composite
Effluent
Chronic Toxicity's
Quarterly
Composite
Effluent
Dissolved Oxygen
Variables
Grab
U, D
Temperature
Variables
Grab
U, D
Notes:
1. U: Upstream at 308 Rollingwood Road. D: Downstream at the U.S. 158 crossing at the Roanoke River.
2. The monthly average effluent CBOD5 and TSS concentrations shall not exceed 15% of the respective influent
value (85% removal).
3. Mercury samples must be analyzed using EPA Method 1631, low-level mercury analysis.
4. Chronic Toxicity (Ceriodaphnia) at 1.1 %; January. April, July and October (see condition A. (5)).
5. Upstream/downstream samples shall be collected 3/Week during June, July, August, September, and 1/Week
during the remaining months of the year. Stream sampling may be discontinued at such times as flow
conditions in the receiving waters or extreme weather conditions will result in substantial risk of injury or
death to persons collecting samples. In such cases, on each day that sampling is discontinued, written
justification for the discontinuance shall be specified in the monitoring report for the month in which the event
occurred. Stream sampling shall be resumed at the first opportunity after the risk period has ceased.
There shall be no discharge of floating solids or visible foam in other than trace amounts.
r
Permit NC0024201
A. (4) CHRONIC TOXICITY PERMIT LIMIT (Quarterly)
(Discharges to Chockoyotte Creek)
The effluent discharge shall at no time exhibit observable inhibition of reproduction or significant mortality to
Ceriodaphnia dubia at an effluent concentration of 39%.
The permit holder shall perform at a minimum, quarterly monitoring using test procedures outlined in the "North
Carolina Ceriodaphnia •Chronic Effluent Bioassay Procedure," Revised February 1998, or subsequent versions or
"North Carolina Phase II Chronic Whole Effluent Toxicity Test Procedure" (Revised -February 1998) or subsequent
versions. 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 results in a failure or ChV below the permit
limit, then multiple -concentration testing shall be performed at a minimum, in each of the two following months
as described in "North Carolina Phase II Chronic Whole Effluent Toxicity Test Procedure" (Revised -February 1998)
or subsequent versions.
The chronic value for multiple concentration tests 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 definition of "detectable impairment," collection
methods, exposure regimes, and further statistical methods are specified in the "North Carolina Phase II Chronic
Whole Effluent Toxicity Test Procedure" (Revised -February 1998) or subsequent versions.
All toxicity testing results required as part of this permit condition will be entered on the Effluent Discharge
Monitoring Form (MR-1) for the months in which tests were performed, using the parameter code TGP3B for the
pass/fail results and THP3B for the Chronic Value. Additionally, DWQ Form AT-3 (original) is to be sent to the
following address:
Attention: North Carolina Division of Water Quality
Environmental Sciences Branch
1621 Mail Service Center
Raleigh, North Carolina 27699-1621
Completed Aquatic Toxicity Test Forms shall be filed with the Environmental Sciences Branch no later than 30
days after the end of the reporting period for which the report is made.
Test data shall be complete, accurate, include all supporting chemical/physical measurements and all
concentration/response data, and be certified by laboratory supervisor and ORC or approved designate signature.
Total residual chlorine of the effluent toxicity sample must be measured and reported if chlorine is employed for
disinfection of the waste stream.
Should there be no discharge of flow from the facility during a month in which toxicity monitoring is required, the
permittee will complete the information located at the top of the aquatic toxicity (AT) test form indicating the
facility name, permit number, pipe number, county, and the month/year of the report with the notation of "No
Flow" in the comment area of the form. The report shall be submitted to the Environmental Sciences Branch at
the address cited above.
Should the permittee fail to monitor during a month in which toxicity monitoring is required, monitoring will be
required during the following month.
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 NC0024201
A. (5) CHRONIC TOXICITY PERMIT LIMIT (Quarterly)
(Discharges after outfall relocation)
The effluent discharge shall at no time exhibit observable inhibition of reproduction or significant mortality to
Ceriodaphnia dubia at an effluent concentration of 1.1%.
The permit holder shall perform at a minimum, Quarterlu monitoring using test procedures outlined in the "North
Carolina Ceriodaphnia Chronic Effluent Bioassay Procedure," Revised February 1998. or subsequent versions or
"North Carolina Phase II Chronic Whole Effluent Toxicity Test Procedure" (Revised -February 1998) or subsequent
versions. 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 results in a failure or ChV below the permit
limit, then multiple -concentration testing shall be performed at a minimum, in each of the two following months
as described in "North Carolina Phase II Chronic Whole Effluent Toxicity Test Procedure" (Revised -February 1998)
or subsequent versions.
The chronic value for multiple concentration tests 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 definition of "detectable impairment," collection
methods, exposure regimes, and further statistical methods are specified in the "North Carolina Phase II Chronic
Whole Effluent Toxicity Test Procedure" (Revised -February 1998) or subsequent versions.
All toxicity testing results required as part of this permit condition will be entered on the Effluent Discharge
Monitoring Form (MR-1) for the months in which tests were performed, using the parameter code TGP3B for the
pass/fail results and THP3B for the Chronic Value. Additionally, DWQ Form AT-3 (original) is to be sent to the
following address:
Attention: North Carolina Division of Water Quality
Environmental Sciences Branch
1621 Mail Service Center
Raleigh, North Carolina 27699-1621
Completed Aquatic Toxicity Test Forms shall be filed with the Environmental Sciences Branch no later than 30
days after the end of the reporting period for which the report is made.
Test data shall be complete, accurate, include all supporting chemical/physical measurements and all
concentration/response data, and be certified by laboratory supervisor and ORC or approved designate signature.
Total residual chlorine of the effluent toxicity sample must be measured and reported if chlorine is employed for
disinfection of the waste stream.
Should there be no discharge of flow from the facility during a month in which toxicity monitoring is required. the
permittee will complete the information located at the top of the aquatic toxicity (AT) test form indicating the
facility name, permit number, pipe number, county, and the month/year of the report with the notation of "No
Flow" in the comment area of the form. The report shall be submitted to the Environmental Sciences Branch at
the address cited above.
Should the permittee fail to monitor during a month in which toxicity monitoring is required, monitoring will be
required during the following month.
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 NC0024201
A. (6) Effluent Pollutant Scan
The permittee shall perform an annual Effluent Pollutant Scan for all parameters listed in the attached
table (in accordance with 40 CFR Part 136). Samples shall represent seasonal variations. Unless
otherwise indicated, metals shall be analyzed as "total recoverable."
Ammonia (as N) Trans- 1 ,2-d ichloroethylene Bis (2-chloroethyl) ether
Chlorine (total residual, TRC) 1,1-dichloroethylene Bis (2-chloroisopropyl) ether
Dissolved oxygen 1,2-dichloropropane Bis (2-ethylhexyl) phthalate
Nitrate/Nitrite 1,3-dichloropropylene 4-bromophenyl 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-tetrachloroethane Di-n-butyl phthalate
Antimony Tetrachloroethylene Di-n-octyl phthalate
Arsenic Toluene Dibenzo(a,h)anthracene
Beryllium 1, 1, 1 -trichloroethane 1,2-dichlorobenzene
Cadmium 1,1,2-trichloroethane 1,3-dichlorobenzene
Chromium Trichloroethylene 1,4-dichlorobenzene
Copper Vinyl chloride 3,3-dichlorobenzidine
Lead Acid -extractable compounds: Diethyl phthalate
Mercury P-chloro-m-creso 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 Fluoranthene
Zinc 2,4-dinitrophenol Fluorene
Cyanide 2-nitrophenol Hexachlorobenzene
Total phenolic compounds 4-nitrophenol Hexachlorobutadiene
Volatile organic compounds: Pentachlorophenol Hexachlorocyclo-pentadiene
Acrolein Phenol Hexachloroethane
Acrylonitrile 2,4,6-trichlorophenol Indeno(1,2,3-cd)pyrene
Benzene Base -neutral compounds: Isophorone
Bromoform Acenaphthene Naphthalene
Carbon tetrachloride Acenaphthylene Nitrobenzene
Chlorobenzene Anthracene N-nitrosodi-n-propylamine
Chlorodibromomethane Benzidine N-nitrosodimethylamine
Chloroethane Benzo(a)anthracene N-nitrosodiphenylamine
2-chloroethylvinyl ether Benzo(a)pyrene Phenanthrene
Chloroform 3,4 benzofluoranthene Pyrene
Dichlorobromomethane Benzo(ghi)perylene 1 ,2,4-trichlorobenzene
1,1-dichloroethane Benzo(k)fluoranthene
1 ,2-dichloroethane Bis (2-chloroethoxy) 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. Two copies of the report shall be submitted along with the DMR
to the following address: Division of Water Quality, Water Quality Section, Central Files, 1617 Mail
Service Center, Raleigh, North Carolina 27699-1617.
A. (7) Metals Reopener
The Permittee may request modification of the effluent limitations/upstream monitoring for
metals described herein after 12 months of data collection.
Roanoke Rapids Sanitary District Comments on Final Dra...
Subject: Roanoke Rapids Sanitary District Comments on Final Draft NPDES Pe
rmit
From: "Sadler, Mary" <MSadler@arcadis-us.com>
Date: Fri, 25 Jul 2003 09:07:45 -0600
To: "Mark McIntire (E-mail)" <mark.mcintire@ncmail.net>, "Dan Brown
(E-mail)" <dbrown@rrsd.org>, "Gregg Camp (E-mail)" <gcarp@rrsd.org>
CC: "Maynard, John" <JMaynard@arcadis-us.com>, "Stroud, Ross"
<RStroud @ arcadis-us.com>
Hi Mark!!
I hope you had a good time in Chicago!!
Dan, Gregg, and I have looked over RRSD's final draft permit, and we
have a
few comments, mostly editorial:
1. Composite mercury sampling is shown at both the Effluent and
Upstream
sampling locations. I have already talked with you about this and
verified
that the composite sampling should be changed to grab sampling at
both
locations.
2. In Section A(2),
4
(instead of
temperature
(instead
of 7) .
the chronic toxicity footnote should be footnote
footnote 6), and the measurement frequency for DO and
measured upstream and downstream should be footnote 5
3. In Section A(2), the footnote for total mercury should reference
footnote
3 instead of footnote 5.
4. We would like to
Section A(7)
applies to both the
location
requirement. If so,
modified
to include the upstream sampling. For example, "The Permittee may
request
modification of the effluent limitation/upstream monitoring for
metals
described herein after 12 months of data collection."
verify that the metals reopener clause in
effluent limit and the upstream sampling
we respectfully request that the language be
5. Additionally, the RRSD will request a permit modification to
1 of 2 8/19/03 9:00 AM
RoanokeRapids Sanitary District Comments on Final Dra...
a
their cover
page and map at such time the discharge is relocated to the Roanoke
River.
They would like to make sure the language on the cover page and the
location
on the map accurately reflect where they are discharging.
Also, are you aware of any public comment on the permit? The public
comment
period expires August 2nd. Dan has a board meeting on August 12th,
and he
would like to be able to tell the board definitively if there has,
or has
not, been any comment. If there has been public comment, Dan will
need to
report to his board on the details.
Thank you for your help in straightening RRSD's permit over the last
several
months!! Your help has been very much appreciated! Please give me
a call
if you have any questions.
Mary
2 of 2 8/19/03 9:00 AM
UNITED STATES ENVIRONMENTAL PROTECTION AGENCY
REGION 4
ATLANTA FEDERAL CENTER
61 FORSYTH STREET
ATLANTA, GEORGIA 30303-8960
L 2 3 2003
W. Klimek, P.E., Director
ivision of Water Quality
North Carolina Department of Environment and
Natural Resources
1617 Mail Service Center
Raleigh, NC 27699-1617
SUBJ: Review of Proposed NPDES Permit
City of Roanoke Rapids WWTP
NPDES Permit No. NC0024201
Dear Mr. Klimek:
crt d
2003
DIV. OF WATER QUALITY
DIRECTOR'S OFFICE
We have reviewed the July 2, 2003, proposed National Pollutant Discharge Elimination
System (NPDES) permit referenced above that was received by our office on July 9, 2003. This
proposed NPDES permit replaces the proposed permit that was submitted electronically by your
office on March 20, 2003. Because the July 2, 2003, proposed permit and amended fact sheet
address the concerns of our December 17, 2002, objection, this letter serves to withdraw EPA's
objections and the Division of Water Quality may proceed with issuance of this proposed permit.
We request that we be afforded an additional review opportunity only if significant changes
are made to the proposed permit prior to issuance or if significant comments to the proposed permit
are received. Otherwise, please send us one copy of the final permit when issued. I appreciate the
cooperation provided by you and your NPDES permitting staff in resolving this matter. If you have
any questions, please feel free to contact me directly or have your staff contact Marshall Hyatt at
(404) 562-9304.
Sincerely,
a,c6)-t0c9 Xifloo-uA
James D. Giattina, Director
Water Management Division
cc: Daniel Brown, P.E., Roanoke Rapids Sanitary District
EooZ o£ inr
Internet Address (URL) • http://www.epa.gov
Recycled/Recyclable • Printed with Vegetable Oil Based Inks on Recycled Paper (Minimum 30% Postconsumer)
Sop—On-03 10:46A
P .02
Sop—O3—O3 1O:46A
P. 01
)
PUBLIC NOTICE
STATE OF NORTH
CAROUNA
ENVIRONMENTAL
COMMISSION
NPDE9 UNIT
1817 AILY1E{{�,�n' ICE
arpra
NOTIFICATION OF
INTENT
5 WASTEWA-
TER PERMIT
On t,o basis el thor-
ough staff review and
application of StaNC
le
General
143.21, Publlo law 92-
500 end other lavAul
atandanda and regl4a-
tiiona. the North Carols-
. E enonm�Rel
Menagsm ro set .
mission p P°
osue a Iydlonal Pdlu-
Iant.OtsChar9e EGrni-
natlen System
(NPDES) wastewater
olsca)erge permit to
the earaon(s) Yale:
below. 8necove 45
days Imm the plOfah
date of Ihls notice.
•
Written comments re -
ending .Me proposed
gpormil will be acce-
roposed
ed until 30 days natter
the publish dale nl
this. notice. NI com-
ments receNeo pear
to that data are con•
skived n the final de-
terminations re9erdn9
tow proposed pert.
The Director of the
NC Division of Water
Oualiy may declde to
hold a public mooting
for the. proposed per'
mil should the DWI'
mien receive 0 si06
cant degree 01 p
interest.
Copies of me dials
Parfait and other huh -
poring idonnailan on
No used to determine
condition present In
the draft permit are
available triton r -
quael and payment of
the costa of reproduu-
tion.'Moll comments
rnhdsor requests for In-
formatbn to the NC
Division of Water
Quality el the obeys
addreee or call Me.
Valery Stephens at
(919) 733.5083. ex-
tension 520. Please
Include the NPDES
permit number (at-
tached) in any COm-
muntcationinterest.:
persons may also visit
the Division et Water
Quality at 512 N. Sal-
isbury Street, Raleigh,
NC 27804-114a be-
tween the hours of
a:00 am. .rid 5:00
o.m. !0 review Infor-
mation of flle.
The Roanoke Rapids
Sanitary District has
Implied for rorfownl or
the NPDES permit for
e s sanitary weelewe-
ter treatment plant to-
eated err Wagon, NC,
Halifax County. This
Meaty hen hlotorkally
discharged to Chock-
oyolte Creed and win
continue to do so for a
period of 18 months
beyond the proposed
e nactors dale of the
NPDES panne. Altar
18 months. the IacAily
will either relocate
their outlet! to the
Roanoke River or
meet more stringent
.nhurrl fmitatinns for
toxicants- Currently,
total mercury. Idol iw-
oride. acid total seleni-
um are water quality
Rmiled. This dischar0•
may impact future al-
iecalkan s In either
Chodtwyoae Creek or
the Roanoke Rivet.
July 7; `20D3 . .
AFFIDAVIT OF PUBLICATION
ROANOKE RAPIDS
DAILY AND SUNDAY HERALD
ROANOKE RAPIDS, NC 27870
NCDEN WD WQ/N PDES
Attn: Velery Stephens
1617 Mail Service Ccliter
Raleigh, NC 27699-1617
Date
Description Amount
Public Notice
July 07 12 W' @ S7.36
393.84
UII.I V 1)I IF AP'IL'R I•IRS T IN31:g 110k Kt IN8l;KY R r•QGlKI!U NI!MBEIS OP PCNI.ICA I IONS
ATTDRNLYs Pi. At'Ihki AUVIIRTICIN , .ARP, RI-SM1NaRl n MR wccYx l'rc
AFFIDAVIT OF PUBLICATION
North Caroline
Halifax County
Uefare the undersigned, n Notary Public of said ('aunty and Slane, duly eonnaic Toned.
qualified, .nd aurhai nl by law to administer oaths. personally uppcsrcd Cathy C. Joins
who being first duly sworn. depress and u)ys• that harsh, is Asst. Reokkeencr.
(Owner, partner, publisher, or other officer or employee authorized to nuke this atlidavit) of
l'H E ROANOKE RAPIDS HERALD engaged in the publication ore newspaper known sib
DAILY AND st 1.41)AY HeltAlh. published, iraalod, aril entered as seumd class nrall In the
City or Roanoke Rapids in said (loamy and SIAIN; that he/she is out erircd to stake this
erllatuvil and swum ostenwnl; Ihal the notice or other level advertisement. a true ropy of
wine,. is nRuehcd lu-.au,.vus pulrli.had m 'tiler DAILY AND SUNDAY HERALD on the
following dater
luly07 2003
and that the said newspaper in %shish such notice, panel, document. dr Iegnl edvullisrni nt was
published. at the time Omit and every such publication. a newspaper meeting all of the
ohpiistmons anti gldhhealinny of 5enhm I -597 alit,: Ocnctal Statutes erhenh Carolina and
Wt. ■ quaWled n:wsp)per within the meaning gtSection I.597 or the (ica•nd Semmes ur
North Csrohn).
A.dst.ant Bookkeeper
Subserihed and swam Io beliefs me Ilea July 10. ZW7.
A1j•iiemmoilusespires �M
NOTARY PUBLIC
Amendment to Fact Sheet
Roanoke Rapids Sanitary District
NC0024201 - March 19, 2003
Reasonable Potential Analysis: The Roanoke Rapids Sanitary District discharges to Chockoyotte Creek
approximately 100 feet upstream of its confluence with the Roanoke River. In 1997, the Division conducted a
mixing study at the mouth of Chockoyotte Creek in an effort to more accurately quantify flows. Conductivity
was used as a surrogate during the study. The study, in combination with a settlement agreement from a
contested case, yielded an instream-waste-concentration (IWC) of 39%. The settlement agreement used an
IWC of 39% for whole effluent toxicity (WET) testing but continued to evaluate reasonable potential for
toxics using an IWC of 1.1% based on the 7Q1O of the Roanoke River. With this renewal, toxics have been
evaluated using an IWC of 39% (corresponding to a 7Q1O flow of 20.2 cfs). The table below summarizes the
reasonable potential analyses for the parameters listed.
Allowable
Parameter I concentration
Chronic
(p9/1)
Allowable
concentration
Acute
(pgl
! Maximum
I predicted
! (pg/1)
RP
(YIN).
Comments
_
Beryllium
.-----------------------
Cadmium
16.7
360 i 1.1
15 4.8
N ; No changes to permit are required _
N No changes to permit are required
4-5.1
Chromium I 128.2
1022
N
; No changes to permit are required
Copper
17.9
_
------ 7.3 -4-
____18.2 _
347-
Y
Acute reasonable potential, add
monitoring.
Nickel
225.6
261
26
N
No changes to permit are required
Zinc
128.2
67
460
Y
Acute reasonable potential, add
--------------------------�-
Mercury
--------a
I 0.031
-1------------
NA
---------
Y
monitoring.
•------------------ -----_-_--_w--------_------------ ---------
; Add limit of 0.031 pg1L
22.2
Selenium i 12.8
NA
82.5
! Y
! Add limit of 12.8 µg/L
12.8-----1_------
Cyanide -------_------- -------
_
22-------_,__iI8ii
-----__--------------.._
N
_
Nochanges to permit arrequred-
....__------------------------------------_... w__-e----------------- .
Chloroform
1205
NA i 5.9
N
No changes to permit are required
Fluoride
4615
NA i 7590
Y
Add Limit of 4615 µg/L
Compliance Schedule: In an effort to give the Sanitary District time to meet the new effluent limitations
outlined above, an 18 month compliance schedule is being proposed. This 18 month timeframe should provide
the facility with the necessary time to either relocate their outfall to a location along the Roanoke River or
address operational requirements necessary to meet the new limits. Should outfall relocation occur, effluent
limitations for toxics will be evaluated using the 7Q1O flow of the Roanoke River - approximately 1172 cfs.
This facility will have the opportunity to submit a request for permit modification should the toxics data
collected during the compliance schedule period warrant a change in effluent limitations.
Furthermore, the facility will be required to monitor for mercury upstream of a potential Roanoke River
outfall location in an effort to document background mercury concentrations. If reasonable potential to exceed
the State's mercury criterion continues to exist at the time of outfall relocation, documentation regarding the
lack of impairment based on background mercury concentrations must be provided before credit for dilution
using the 7Q10 of the Roanoke River can be given.
Amended by Mark McIntire
03/19/03
Roanoke Rapids Sanitary District
May 12, 2003
Mr. Mark McIntire
NPDES Unit, Division of Water Quality
1617 Mail Service Center
Raleigh, North Carolina, 27699-1617
P.O. Box 308
1000 Jackson Street
Roanoke Rapids, NC 27870
(252) 537-9137
Fax: (252) 5374138 3cb¢
www.rrsd.org
CERTIFIED MAIL
RET1�R(NRECEIPT REQUESTED .
JVJ
RE: Revised Draft NPDES Permit — Permit No. NC0024201
Roanoke Rapids Sanitary District Wastewater Treatment Plant
Dear Mr. McIntire,
M AY .t 3 2003
The Roanoke Rapids Sanitary District (RRSD) received the revised subject draft permit on 1 April 2003.
We have carefully reviewed it and we request the following modifications. A few of these issues were
included in a letter dated 8 October 2002 in response to the first draft permit.
The following issues organize our comments:
• Outfall 001 Comments
• Request for New Effluent Limits Page to the Roanoke River
• New Special Condition for Metals Reopener
• General Editorial Comments
OUTFALL 001 COMMENTS (SECTION A(1) AND A(2))
A. Section A(1) and A(2) Note #4 — Removal of Dissolved Oxygen Limit
A dissolved oxygen limit has been imposed in section A(1) Note #4 of the permit. Dissolved oxygen is
limited by a water quality standard if a BOD5 limit in a permit is less than 30 mg/L for Class C waters.
RRSD has a CBOD5 limit of 25 mg/L, which is equivalent to a BOD5 concentration of 30 mg/L (per
Water Environment Federation Manual of Practice 8). Historically, BOD5 has very little impact on
downstream dissolved oxygen concentrations and has therefore never been water quality limited. For
example, during the hot weather month of July 2002, the average downstream DO levels were 7.3 mg/L
with a plant effluent dissolved oxygen concentration of 4.9 mg/L. We respectfully request that Note #4
be removed from the permit.
B. Upstream Mercury Sampling Location
In Section A(1) and A(2) Note #1 of the permit, an upstream sampling location for mercury is specified
differently than the normal permitted upstream sampling location at 308 Rollingwood Road. The RRSD
respectfully requests that the sampling location for mercury be identified in the permit at 308
cAtarnentsand ithny thamenWrples pertriMalpeimitco mienls2.dx
Page:
1/3
Rollingwood Road. This will eliminate RRSD staff from having to go to two different sampling
locations to collect essentially the same sample.
C. Clarification of Monitoring and Reporting Requirements
We request that language be added within the text of the permit stipulating that influent or effluent
sampling may be discontinued when flow conditions or extreme weather conditions could result in injury
or death of the persons collecting the samples, with the requirement that sampling will be resumed at the
first opportunity after the risk period has ceased and that written justification for the discontinuance be
included in the discharge monitoring report for the month in which the event occurred. This provision
has already been added to Note #6 in Section A(1) and A(2) that applies to stream sampling. We
respectfully request that the statement "This provision also applies to influent and effluent sampling" be
added to the end of Note #6 in Sections A(1) and A(2).
D. Removal of Fluoride Limit
A fluoride monitoring and reporting requirement and limit has been added to this revised permit. It is
our understanding that only two data points for fluoride were used to calculate the reasonable potential
for this parameter. The RPA analysis is statistically invalid for two data points. Additionally, all of the
fluoride in the effluent originates from City water. The RRSD respectfully requests that the fluoride
limit be removed from Section A(2) the revised permit.
E. Section A(1) and A(2) — Compliance Schedule Date
We respectfully request that the date of the compliance schedule be modified to reflect the full 18-month
compliance schedule starting from the actual date of permit issuance.
REQUEST FOR NEW EFFLUENT LIMITS PAGE TO THE ROANOKE RIVER
We respectfully request that a new effluent limits page for a discharge to the Roanoke River be added to
the permit. We fully intend to relocate the existing effluent gravity outfall per the Final Effluent Outfall
Relocation Study, and we are waiting on a response from DWQ to approve the recommendation to
relocate the outfall upstream of the confluence of the Roanoke River with Chockoyotte Creek. We also
respectfully request that the same permits limits be applicable for the existing force main discharge to
Chockoyotte Creek. Per the Final Effluent Outfall Relocation Study, the existing force main discharge
was only operated 3.6% of the time over the last decade and only for emergency use. Additionally, we
exercise the effluent flood pumps for 1 to 2 hours per month.
NEW SPECIAL CONDITION FOR METALS RE -OPENER
Per DWQ's negotiated agreement with EPA, an 18-month compliance schedule is drafted into the permit
for meeting permit limits if the RRSD chooses not to relocate the outfall to the Roanoke River. It is our
understanding that the RRSD may collect as much data as needed from the active start date of the revised
permit to refute the current metals limits. Therefore, RRSD respectfully requests that language be
included in this revised permit stating that the RRSD may request a permit re -opener after 12 months of
sampling and monitoring for re-evaluation of metals limits.
GENERAL ISSUES
A. Cover Page
• The address of the cover page should add a "NC" after "Weldon".
We very much appreciate the time and effort of the NPDES Unit in developing our revised draft permit
and thank you for your consideration of these requests. We look forward to your response. We would
be happy to provide additional information or to meet with you to clarify the issues. Please do not
hesitate to call Mary Sadler with ARCADIS (919-782-5511) or me if you have any questions.
Sincerely,
Roanoke Rapids Sanitary District
Q..b....."-ir.----
R. Danieley Bro , PE
Chief Executive fficer
Attachments
Cc: Gregg Camp, ORC RRSD Wastewater Treatment Plant
Dave Goodrich, DWQ, NPDES Unit Supervisor
Mary Sadler, ARCADIS
NPDES Unit File — 2
File
UNITED STATES ENVIRONMENTAL PROTECTION AGENCY
REGION 4
ATLANTA FEDERAL CENTER
61 FORSYTH STREET
ATLANTA, GEORGIA 30303-8960
7 2002
'Alan W. Klimek, P.E., Director
Division of Water Quality
North Carolina Department of Environment and
Natural Resources
1617 Mail Service Center
Raleigh, NC 27699-1617
SUBJ: Review of Draft NPDES Permit
City of Roanoke Rapids WWTP
NPDES Permit No. NC0024201
Dear Mr. Klimek:
DEC 2 0 2002
We have completed our review of the draft National Pollutant Discharge Elimination
System (NPDES) permit received by this office on September 18, 2002, for the facility referenced
above. In an attempt to reach agreement between our staffs on our concerns, the Environmental
Protection Agency (EPA) had indicated through an October 11, 2002 letter that its review of this
permit would be completed by December 17, 2002. Based on our discussions to date, agreement
on all issues could not be reached. Thus, EPA is providing two specific objections that are
detailed below, pursuant to Section III.B.1 of the North Carolina/EPA Memorandum of
Agreement (MOA) and federal regulations.
This facility discharges to Chockoyotte Creek, just above its confluence with the Roanoke
River. The permit fact sheet indicates that a reasonable potential analysis for toxics was
conducted based on the low flow dilution available for the Roanoke River, not Chockoyotte
Creek. It is EPA's understanding that limits for several parameters would be needed if a
reasonable potential analysis was conducted using the low flow dilution for Chockoyotte Creek.
Because these limits are lacking, the draft permit does not appear protective of water quality
standards in Chockoyotte Creek, and thus, EPA specifically objects based on Clean Water Act
(CWA) §301(b)(1)(C) and 40 C.F.R. §122.44(d). The 40 C.F.R. §122.44(d) regulations require
effluent limits where reasonable potential to exceed state numeric criteria exists and that all
effluent limits must derive from and comply with all state water quality standards.
To resolve this specific objection, a reasonable potential analysis for toxics based on the
low flow dilution for Chockoyotte Creek must be conducted. If reasonable potential is found for
any parameter(s), the permit must be redrafted with suitable limits and the fact sheet must reflect
the rationale for the limit(s). The revised permit also may contain a compliance schedule for the
limited parameter(s), if appropriate. If reasonable potential is not found to exist for any
parameter, an updated fact sheet including this analysis and rationale must be prepared and
submitted:to EPA prior to permit reissuance.
03\u9\
Internet Address (URL) • http://www.epa.gov
Recycled/Recyclable • Printed with Vegetable Oil Based Inks on Recycled Paper (Minimum 30 % Postconsumer)
2
Second, since the facility discharges first to Chockoyotte Creek, the draft permit's
mercury limit that is based on the low flow dilution of the Roanoke River is not appropriate. EPA
specifically objects based on CWA §301(b)(1)(C) and 40 C.F.R. §122.44(d). To resolve this
specific objection, the permit must be redrafted to contain a mercury limit based on the low flow
dilution available from Chockoyotte Creek.
It is EPA's understanding that the permittee is considering relocating its discharge to the
Roanoke River. The Roanoke River is now on the North Carolina CWA Section 303(d) list for
mercury. Due to that listing, an assumption of zero background for mercury is not valid. Any
permit based on a direct discharge to the Roanoke River must contain an end -of -pipe mercury
limit because no dilution credit is available. However, the permittee may choose to conduct
sufficient and appropriate ambient mercury monitoring of the Roanoke River, using clean
techniques and EPA Method 1631E. These data could be used to show that background levels
for mercury do not exceed North Carolina water quality criteria. If such a demonstration can be
made and credit for dilution given, such a permit for direct discharge to the Roanoke River may
contain a mercury limit based on such dilution.
I request that you redraft the permit to address the specific objections expressed above
and submit a proposed final permit and a revised fact sheet to EPA for review under the
provisions of Section III.B.3 of the MOA. If you have any further questions, please contact me
or Mr. Marshall Hyatt of my staff at 404/562-9304.
Sincerely,
James D. Giattina, Director
Water Management Division
cc: R. Danieley Brown, P.E., Roanoke Rapids Sanitary District
,o• S? .
UNITED STATES ENVIRONMENTAL PROTECTION AGENCY
.� A Yw REGION 4
i Q ATLANTA FEDERAL CENTER
3 o� 61 FORSYTH STREET
yTq< pnoi�G. ATLANTA, GEORGIA 30303-8960
R 2 0 2003
flan W. Klimek, P.E., Director
'vision of Water Quality
North Carolina Department of Environment and
Natural Resources
1617 Mail Service Center
Raleigh, NC 27699-1617
SUBJ: Review of Proposed NPDES Permit
City of Roanoke Rapids VVWTP
NPDES Permit No. NC0024201
Dear Mr. Klimek:
MAD 2 2003
DV. OF WATER QUALITY
DIRECTOR'S OFFICE
We have reviewed the proposed NPDES permit referenced above that was submitted
electronically on March 20, 2003. This is in response to the Environmental Protection Agency's
(EPA) December 17, 2002 objections. Because the proposed permit and amended fact sheet
address our concerns, this letter serves to withdraw EPA's objections and the Division of Water
Quality may proceed with issuance of this proposed permit.
We note that the discharge may be relocated to the Roanoke River and that background
mercury sampling in the River is being required. If reasonable potential to exceed the State's
numeric mercury criterion exists at the time of relocation, River background mercury levels must
demonstrate the lack of impairment before any credit for dilution using the critical low flow of
the Roanoke River can be given.
We request that we be afforded an additional review opportunity only if significant changes
are made to the proposed permit prior to issuance or if significant comments to the proposed permit
are received. Otherwise, please send us one copy of the final permit when issued. If you have any
questions, please feel free to contact me directly or have your staff contact Marshall Hyatt at (404)
562-9304.
Sincerely,
James D. Giattina, Director
Water Management Division
cc: R. Danieley Brown, P.E., Roanoke Rapids Sanitary District
Internet Address (URL) • http://www.epa.gov
Recycled/Recyclable • Printed with Vegetable 011 Based Inks on Recycled Paper (Minimum 30% Postconsumer)
Amendment to Fact Sheet
Roanoke Rapids Sanitary District
NC0024201 - March 19, 2003
Reasonable Potential Analysis: The Roanoke Rapids Sanitary District discharges to Chockoyotte Creek
approximately 100 feet upstream of its confluence with the Roanoke River. In 1997, the Division conducted a
mixing study at the mouth of Chockoyotte Creek in an effort to more accurately quantify flows. Conductivity
was used as a surrogate during the study. The study, in combination with a settlement agreement from a
contested case, yielded an instream-waste-concentration (IWC) of 39%. The settlement agreement used an
IWC of 39% for whole effluent toxicity (WET) testing but continued to evaluate reasonable potential for
toxics using an IWC of 1.1% based on the 7Q1O of the Roanoke River. With this renewal, toxics have been
evaluated using an IWC of 39% (corresponding to a 7Q1O flow of 20.2 cfs). The table below summarizes the
reasonable potential analyses for the parameters listed.
Parameter
Allowable
concentration
Chronic
(l4li
Allowable
concentration
Acute
(Ng/
Maximum
predicted
(pg/i)
RP
(YIN)
Comments
Beryllium
16.7
360
1.1
N
No changes to permit are required
Cadmium
5.1
15
4.8
N
No changes to permit are required
Chromium
128.2
1022
18.2
N
No changes to permit are required
Copper
17.9
7.3
347
Y
Acute reasonable potential,
monitoring.
add
Nickel
' 225.6
' 261
1 26
i N
! No changes to permit are required
Zinc
128.2
67
460
Y
Acute reasonable potential,
monitoring.
add
__Mercury
Selenium
0.031
12.8
NA
NA
22.2
82.5
Y
Y
Add limit of 0.031 pg/L
~ ~_
Add limit of 12.8 µg/L
Cyanide
12.8
22
8 N , No changes to permit are required
Chloroform
1205
NA
5.9 ____ JNNo changes to permit are required
: 7590 I Y Add Limit of 4615 µg/L
_
Fluoride
4615
NA
Compliance Schedule: In an effort to give the Sanitary District time to meet the new effluent limitations
outlined above, an 18 month compliance schedule is being proposed. This 18 month timeframe should provide
the facility with the necessary time to either relocate their outfall to a location along the Roanoke River or
address operational requirements necessary to meet the new limits. Should outfall relocation occur, effluent
limitations for toxics will be evaluated using the 7Q1O flow of the Roanoke River - approximately 1172 cfs.
This facility will have the opportunity to submit a request for permit modification should the toxics data
collected during the compliance schedule period warrant a change in effluent limitations.
Furthermore, the facility will be required to monitor for mercury upstream of a potential Roanoke River
outfall location in an effort to document background mercury concentrations. If reasonable potential to exceed
the State's mercury criterion continues to exist at the time of outfall relocation, documentation regarding the
lack of impairment based on background mercury concentrations must be provided before credit for dilution
using the 7Q1O of the Roanoke River can be given.
Amended by Mark McIntire
03/19/03
Roanoke Rapids Sanitary District
1000 Jackson Street P. O. Box 308 Roanoke Rapids, NC 27870 (252) 537-9137 Fax (252) 537-9136
October 8, 2002
Ms. Teresa Rodriguez
NPDES Unit
Division of Water Quality
1617 Mail Service Center
Raleigh, North Carolina, 27699-1617
CERTIFIED MAIL
RETURN RECEIPT REQUESTED
RE: Draft NPDES Permit— Permit No. NC0024201
Roanoke Rapids Sanitary District Wastewater Treatment Plant
Dear Ms. Rodriguez:
0 CT - g 2002 8
DBNR-WAt CEQUALITY
BRANCH
POINT SOU
The Roanoke Rapids Sanitary District (RRSD) received the subject draft permit on September 11, 2002.
We have carefully reviewed it and we request the following modifications to the draft permit. Most of
these issues were discussed with you during a meeting on September 26, 2002.
The following issues organize our comments:
• Outfall 001 Comments
• Chronic Toxicity Permit Limit Comments
• General Editorial Comments
• Supplemental Parameters
OUTFALL 001 COMMENTS (SECTION A(1))
A. Section A (1) Note #4
A dissolved oxygen limit has been imposed in section A (1) Note #4 of the permit. Dissolved oxygen is
limited by a water quality standard if a BOD5 limit in a permit is less than 30 mg/L for Clams C waters.
RRSD has a CBOD5 limit of 25 mg/L, which is equivalent to a BOD5 concentration of 30 mg/L.
Historically, BOD5 has very little impact on downstream dissolved oxygen concentrations and has
therefore never been water quality limited. For example, during the hot weather month of July 2002, the
average downstream DO levels were 7.3 mg/L with a plant effluent dissolved oxygen concentration of
4.9 mg/L. We respectfully request that Note #4 be removed from the permit.
A:\my documentsInptles perm) Araftpermitcomments.Aoc
Page:
1/4
B. Proposed Selenium Limit
A selenium limit has been imposed in Section A (1) of the permit. The Reasonable Potential Analysis
(RPA) from the Long Term Monitoring Plan (LTMP) data showed a large and unusual selenium data
point on 4/5/99 of 0.076 mg/L. This selenium data pointwas a transcription error. The 0.076 mg/L
value is actually the concentration for zinc on this date. The correct selenium value on 4/5/99 is ND,
provided in Attachment # 1.
When the RPA for selenium is performed using the correct data point, a limit should not be imposed.
We respectfully request that DWQ re -perform the RPA with the correct selenium data and take into
consideration the removal of selenium from the permit. The RRSD is working to prevent future errors
and apologize for any inconvenience the transcription error may have caused.
C. Proposed Mercury Limit
A mercury limit has been imposed in Section (1) of the permit. A Priority Pollutant Analysis (PPA) in
April 2000 showed a large and unusual mercury data point of 0.002 mg/L. We consider this data point to
be highly questionable in light of the fact thatthe mercury data from the LTMP has been below detection
over the last three years and the results from the annual PPA for 2001 and 2002 were also
below detection. We confirmed with Southern Testing and Research Laboratories that the 2000 PPA
mercury data point was not a transcription error. However, review of the laboratory QA/QC procedures
revealed highly suspect QA/QC results. The spike QA/QC mercury sample used for the sample set
analyzed for the 2000 PPA was reported to be 0.002 mg/L, which is identical to our effluent sample
result of 0.002 mg/L. Therefore, we believe the effluent sample was spiked accidentally prior to
analysis.
During the same PPA sampling event in April 2000, a portion of the sample collected for the PPA was
also used for required quarterly Ceriodaphnia toxicity testing. The result of the April 2000 toxicity test
was a pass. The questionable PPA
levee w
mercuy test result suggests that the concurrent WET test should have
-�'�been a_fail if the effluent mercury as indeed an order of magnitude higher than the detection level.
In light of the aforementioned evidence (Attachment #2), we strongly feel that this April 2000 mercury
data point was contaminated during QA/QC procedures. We respectfully request that DWQ re -perform
the mercury RPA without this data point and take into consideration the removal of mercury from the
permit. RRSD is working with Southern Testing and Research Laboratories to prevent future QA/QC
errors.
D. Upstream and Downstream Sampling Locations
Note # 1 in Section A(1) lists the incorrect sampling locations for the RRSD WWTP. The upstream and
downstream sample locations are not at NCSR 1451 or at NC Highway 210, respectively. The correct
upstream sampling location is at 308 Rollingwood Road on the Roanoke River and downstream at the
US 158 Crossing on the Roanoke River.
d:Yny doaimentsVipdes pCm1 bBRDCmd mnentS.dOC
Page:
2/4
E. Clarification of Monitoring and Reporting Requirements
We request that language be added within the text of the permit that stipulates that influent or effluent
sampling may be discontinued when flow conditions or extreme weather conditions could result in injury
or death of the persons collecting the samples, with the requirement that sampling will be resuimd at the
first opportunity after the risk period has ceased and that written justification for the discontinuance will
be included in the discharge monitoring report for the month in which the event occurred. This provision
has already been added to Note #6 in Section A(1) that applies to stream sampling. We respectfully
request that the statement "This provision also applies to influent and effluent sampling" be added to the
end of Note #6.
CHRONIC TOXICITY PERMIT LIMIT COMMENTS (SECTION A(2))
Section A (2) describes the permit limit requirements for chronic toxicity testing. The current permit
contains a statement that should RRSD choose to relocate the outfall to the Roanoke River, quarterly P/F
q) II. chronic toxicity testing at 1.3% will be required. We respectfully request that this statement be added to
Section A (2).
GENERAL ISSUES
A. Cover Page
• The "City of Roanoke Rapids" should be modified to read "Roanoke Rapids Sanitary District".
• The address of the cover page should add a "NC" after "Weldon".
• The receiving waters description should be changed to "...receiving waters designated as
Chockoyotte Creek at the Roanoke River in the Roanoke River Basin..."
B. Supplement to Cover Sheet
• The RRSD treatment facility is located in Halifax Countyand not Lance County.
• Revise the treatment description. The RRSD is a 8.34 MGD waste treatment facility consisting of a
bar screen, grit chamber, dual primary clarifiers, dual roughing trickling filters, triple aeration basins,
dual final clarifiers, chlorination, dechlorination, dual secondary gravity sludge thickeners, triple
anaerobic digesters, lime stabilization facilities, sludge storage, and sludge drying beds.
• Modify comment number 2 to read, "Discharge from said treatment works at the locationspecified
on the attached map into Chockoyotte Creek at the Roanoke River (001), classified Class C waters in
the Roanoke River Basin."
d: uy documentslnpdes pemdlldraftpennilcomments.doc
Page:
3/4
SUPPLEMENTAL PARAMETERS
Per a letter from you dated 18 July 2002, you requested effluent analyses of eight additionalparameters
and a second species toxicity test. We are forwarding herein the results of the requested testing
(Attachment #3) with the exception of a second species chronic toxicity test. In regards to the second
species test, the USGS had conducted research toxicity testing at our plant earlier this year, and at one
point we had requested that the results of the USGS testing be acceptable as our second species test.
Matt Mathews in the Toxicological Unit has assisted us in the determination of the applicability of the
USGS research. Matt reviewed the USGS water quality data and bench sheets from the USGS study.
We learned that the USGS did not obtain the required three sample sets, and thus the data will not meet
established North Carolina criteria and is therefore unacceptable. We have arranged for our second
species sampling to be conducted the week of October 14, which is concurrent with our quarterly toxicity
testing. The results will be forwarded to you upon our receipt. We anticipate that we wil receive our
results two to three weeks after sampling.
We very much appreciate the time and effort of the NPDES Unit in developing our draft permit and
thank you for your consideration of these requests. We look forward to your response. We would be
happy to provide additional information or to meet with you to clarify the issues. Please do not hesitate
to call Mary Sadler with ARCADIS (919-782-5511) or me if you have any questions.
Sincerely,
Roanoke Rapids Sanitary District
f4
R. Danieley Brown, PE
Chief Executive Officer
Attachments
Cc: Gregg Camp, ORC RRSD Wastewater Treatment Plant
Dave Goodrich, DWQ, NPDES Unit Supervisor
Mary Sadler, ARCADIS
NPDES Unit File— 2
File
d:My documents\opdes permit dmflpertnemmments.doc
Page:
4/4
PUBLIC NOTICE
STATE OF
NORTH CAROLINA
ENVIRONMENTAL
MANAGEMENT
COMMISSION/
NPDES UNIT
1617 MAIL SERVICE
CENTER
RALEIGH, NC
27699-1617
NOTIFICATION OF
INTENT TO ISSUE A
NPDES
WASTEWATER
PERMIT
On the basis of thor-
ough staff review and
application of NC
General Statute
143.21, Public law 92-
500 and other lawful
standards and,regula-
tions, ire North Caroli-
na Environmental
Management Corn -
mission proposes to
issue a,National Pollu-
tant Discharge Elimi-
natiori System
(NPDES) wastewater
discharge permit to
the person(s) listed
below effective 45
days from the public
date of this notice.
Written comments re-
garding the proposed
permit will be accept-
ed until 30 days after
the publish date of
this notice. All com-
ments received prior
to that date are con-
sidered in the final de-
terminations regarding
the proposed permit.
The Director of the
NC Division of Water
Quality may decide to
hold a public meeting
for the proposed per-
mit should the Divi-
sion receive a signifi-
cant degree of public
interest.
Copies of the draft
permit and other sup-
porting information on
file used to determine
conditions present in
the draft permit are
available upon re-
quest and payment of
the costs of reproduc-
tion. Mail comments
and/or requests for in-
formation to the NC
Division of Water
Quality at the above
address or call Ms.
Christie Jackson at
(919) 733-5083, ex-
tension 538. Please
include the NPDES
permit number (at-
tached) in any com-
munication. Interested
persons may also visit
the Division of Water
Quality at 512 N. Sal-
isbury Street, Raleigh,
NC 27604-1148 be-
tween • the hours of
8:00 a.m. and 5:00
p.m. to review infor-
mation on file.
NPDES Permit Num-
ber NC0024201. Roa-
noke Rapids Sanitary
District, P.O. Box 308,
Roanoke Rapids, NC
27870 has applied for
a permit renewal for a
facility located in Hali-
fax County discharg-
ing treated wastewa-
ter into Chockoyotte
Creek in the Roanoke
River Basin. Currently
CBOD are water qual-
ity limited. This dis-
charge may affect fu-
ture allocations in this
portion of the receiv-
ing stream.
September 10; 2002
AFFIDAVIT OF PUBLICATI
ROANOKE RAPIDS
DAILY AND SUNDAY HERAL
ROANOKE RAPIDS, NC 27871
Ii
J
DFNR_WATPR QU UTY
POINT SOURCE BRANCH
To: NCDENR/DWQ/NPDES
Attn: Christie Jackson
1617 Mail Service Ct.
Raleigh, NC 27699-1617
Date
Description Amount
Environmental Management Commission/ NPDES Unit
September 10 14 1/4" @ $7.15
$101.89
BILLS DUE AFTER FIRST INSERTION TO INSURE REQUIRED NUMBER OF PUBLICATIONS —
ATTORNEYS PLACING ADVERTISING ARE RESPONSIBLE FOR ACCOUNTS.
AFFIDAVIT OF PUBI..ICATION
North Carolina
Halifax County
Before the undersigned, a Notary Public of said County and State, duly commissioned,
qualified, and authorized by law to administer oaths, pet sonally appeared Cathy C. Jones,
who being first duly sworn, deposes and says: that he/she is Asst. Bookkeeper.
(Owner, partner, publisher, or other officer or employee authorized to make this affidavit) of
THE ROANOKE RAPIDS HERALD engaged in the publication of a newspaper known as
DAILY AND SUNDAY HERALD, published, issued, and entered as second class mail in the
City of Roanoke Rapids in said County and State; that he/she is authorized to make this
affidavit and sworn statement; that the notice or other legal advertisement, a true copy of
which is attached hereto, was published in THE DAILY AND SUNDAY HERALD on the
following dates:
September 10, 2002
and that the said newspaper in which such notice, paper, document, or legal advertisement was
published, at the time of each and every such publication, a newspaper meeting all of the
requirements and qualifications of Section 1-597 of the General Statutes of North Carolina and
was a qualified newspaper within the meaning ection 1-597 of the General Statutes of
North Carolina.
Signed
Assistant Bookkeeper
Subscribed and sworn to before me this September 13, 2002
My commission expires
(SEAL)
mYGamdEssen-Erfoffseis.e
toLa
NOTARY PUBLIC
Re: comments on NC0024201 - Roanoke Rapids
Subject: Re: comments on NC0024201 - Roanoke Rapids
Date: Wed, 06 Nov 2002 09:12:17 -0500
From: Teresa Rodriguez <teresa.rodriguez@ncmail.net>
Organization: NC DENR DWQ
To: Hyatt.Marshall@epamail.epa.gov
Marshall,
I received comments from Roanoke Rapids on the draft permit. They sent
information showing that the selenium data used for the rpa had an error.
The maximum value reported in the data (76 ug/1) was a result for zinc, not
selenium. They provided the lab sheet showing the actual results. I did the
reasonable potential again and the limit is not necessary.
In response to your comments:
1. The reason the dilution for the river has been used in this permit is due
to the proximity of the discharge to the river and the influence of the
river into the creek. The discharge is about 100 feet upstream of the river.
Full dilution occurs quickly because the head pressure of the river pushes
water up into the creek into the discharge area. The toxicity test was
implemented in the last permit renewal with the 39 percent dilution with the
condition that if they fail the toxicity testing due to toxic pollutants,
the metal limits would be reevaluated. Further studies will be needed to
calculate the actual dilution and Roanoke Rapids has decided to relocate the
effluent pipe to the river. We propose to use the same approach as the
previous permit since there has been no significant changes. Relocation
will probably occur during the next permit cycle.
2. I did a reasonable potential evaluation for fluoride using the two
values from the PPA. The results show no reasonable potential.
3. At the present time there is no TMDL or strategy for mercury for the
Roanoke River and the priority ranking is low. The advisory is part of a
broad mercury advisory for the eastern part of the state. We believe the
approach used is appropriate until the Division establishes a TMDL or
implements a management strategy.
4. In the last permit renewal the permittee requested that the limits be
changed from BOD5 to CBOD5 and they were given equivalent limits.
5. I inadvertently omitted the toxicity test results from the fact sheet.
They had one failure in July 2001.
I also made some changes and corrections to the permit. I'm including the
copy of the permit and the cover letter.
Thanks,
Teresa
Hyatt.Marshall@epamail.epa.gov wrote:
> Hope these comments are useful. Will you be able to provide a response
> by Oct 9, so we have time to prepare a comment or objection letter (if
> needed)? thanks! Marshall
> 1. The fact sheet for this draft indicates than an agreement was
> reached to resolve an appeal of the current permit to use an IWC of 39%
> for WET and 1.3% for toxics. Pis explain why these values are different
> and the basis for each. I am concerned that the 39$ IWC is based on
> dilution provided by Chockoyotte Creek and the 1.3$ dilution is based on
> that provided by the Roanoke River. If that is the case, I don ' t think
> it's legal to allow dilution based on the Roanoke R. for discharges to
1 of 2 11/7/2002 1:21 PM
Re: comments on NC0024201 - Roanoke Rapids
> Chockoyotte Cr and that you didn't conduct an RPA for toxics to protect
> Chockoyotte Cr. Pis explain - w/o a sufficient basis, this may
> constitute a permit objection based on Sec. 301 (b) (1) (C) of the Clean
> Water Act and 40 CFR 122.44(d)(1).
> 2. In the materials that were attached to the application, I did see 2
> effluent values for fluoride of about 2 and over 7 mg/1. The lack of a
> limit for this is a problem if there is not a good basis for the 1.3%
> IWC for toxics.
> 3. The fact sheet indicates that the Roanoke River is on the 303(d)
> list for Hg due to high fish levels. It appears that the 1.3% that's
> allowed for dilution is based on the Roanoke River, not Chockoyotte Cr.
> If this is correct, how can you assume any dilution is available for Hg
> when the Roanoke River is 303(d) listed for Hg? Pis explain. W/o a
> sufficient explanation, it seems this would be a basis for objection,
> since an end of pipe limit of 0.012 ug/1 for Hg would probably be
> required to be consistent with 40 CFR 122.44(d)(1). At the most,
> dilution provided by Chockoyotte Cr could be considered (is this where
> the IWC of 39% comes from?) in deriving the limit since it is not on the
> 303(d) list
> 4. I noticed that this permit contains CBOD5 limits. Most, if not all
> other, NC POTW permits that I've seen had BOD5 limits. Am curious why
> this permit is different.
> 5. why doesn't the fact sheet mention or address previous WET results?
permit 24201.doc
Name: permit 24201.doc
Type: Microsoft Word Document (application/msword)
Encoding: base64
Download Status: Not downloaded with message
cov let final 24201.doc
Name: cov let final 24201.doc
Type: Microsoft Word Document (application/msword)
Encoding: base64
Download Status: Not downloaded with message
or 2 11/7/2002 1:21 PM
Michael F. Easley, Govemor
State of North Carolina
William G. Ross, Jr., Secretary
Department of Environment and Natural Resources
Alan W. Klimek, P.E., Director
Division of Water Quality
September 26, 2002.
R. Daniely Brown
Roanoke Sanitary District
P.O. Box 308
Roanoke Rapids, North Carolina 27870
Subject: NPDES Draft Permit
Permit no. NC0024201
Roanoke Rapids Sanitary District WWTP
Halifax County
Dear Mr. Brown:
The Division evaluated the proposed plan for a dye study for the potential outfall relocation to
the Roanoke River submitted by Arcadis on September 23, 2002. The proposed study is hereby
approved. The temporary pumping station shall only be used during dye testing and shall be
removed after completion of each dye test. The results of all the tests performed shall be
summarized and submitted to the Division after termination of the study.
If you have any additional questions, please call Teresa Rodriguez at (91.9} 733,5083, extension
595.
Sincerely,
Dave Goodk`ich
NPDES Unit Supervisor
Cc: NPDES Files
Raleigh Regional Office
1617 Mail Service Center, Raleigh, North Carolina 27699-1617 Telephone (919) 733-5083 FAX (919) 733-0719
An Equal Opportunity Affirmative Action Employer Visit us on the INTERNET @ www.enr.state.nc.us
?cd 4/DBl°a
�? ARCADIS
Infrastructure, buildings, environment, communications
Teresa Rodriguez
NPDES Unit
Division of Water Quality
1617 Mail Service Center
Raleigh, North Carolina, 27699-1617
Subject:
Dye Study Field Test Protocol
Effluent Outfall Relocation from Chockoyotte Creek to the Roanoke River
Roanoke Rapids Sanitary District
Dear Ms. Rodriguez,
On behalf of the Roanoke Rapids Sanitary District (RRSD), we are forwarding you
the attached proposal for the dye study test protocol for the potential effluent outfall
relocation. The RRSD is currently evaluating the alternatives for relocating the
existing Chockoyotte Creek outfall to the Roanoke River. For economic reasons, the
RRSD would like to relocate the discharge upstream of the Roanoke River and
Chockoyotte confluence instead of crossing the creek for a discharge downstream of
the confluence. In a February 27, 2002, meeting the DWQ approved an upstream
discharge provided that field tests be performed to show that plant effluent will not
back up into, or pond in, the confluence of the creek and the river. In a September 3,
2002 meeting, the DWQ indicated that a visual dye study test would be sufficient to
show the behavior of plant effluent in the river. If the DWQ concurs that the visual
evidence is favorable for an upstream discharge, the RRSD may formally request a
permanent outfall relocation upstream of Chockoyotte Creek.
If you have any questions, please do not hesitate to call.
Sincerely,
ARCADIS G&M of North Carolina, Inc.
Mary E. Sadler, PE
Project Engineer
Copies:
Dan Brown, RRSD
Gregg Camp, RRSD
John Maynard, ARCADIS
ARCADIS G&M
of North Carolina, Inc.
P.O. Box 31388
Raleigh, NC 27622-1388
2301 Rexwoods Drive - Suite 102
Raleigh, NC 27607-3366
Tel 919 782 5511
Fax 919 782 5905
www.arcadis-us.com
WATER AND WASTE
MANAGEMENT
Date:
20 September 2002
Contact:
Mary Sadler
Extension:
136
E-mail:
msadler@arcadis-us.com
Our ref:
NC702011.0000
Part of a bigger picture
ARCADIS
Infrastructure, buildings, environment, communications
MEMORANDUM
To:
Teresa Rodriguez
Dave Goodrich
From:
Mary Sadler, ARCADIS
Dan Brown, Roanoke Rapids Sanitary District
Copies:
Gregg Camp
John Maynard
File NC030191.0000
Date:
20 September 2002
Subject:
Dye Study Field Test Protocol
Effluent Outfall Relocation from Chockoyotte Creek to the Roanoke River
Roanoke Rapids Sanitary District
ARCADIS G&M
of North Carolina, Inc.
P.O. Box 31388
Raleigh, NC 27622-1388
2301 Rexwoods Drive - Suite 102
Raleigh, NC 27607-3366
Tel 919 782 5511
Fax 919 782 5905
WATER & WASTE
MANAGEMENT
Background
The Roanoke Rapids Sanitary District (RRSD) discharges to Chockoyotte Creek in Subbasin 030208 of
the Roanoke River Water Quality Management Basin. The current RRSD discharge location is
approximately 100 feet upstream of the confluence of the Chockoyotte Creek with the Roanoke River.
This confluence is downstream of the Roanoke Rapids Lake. Virginia/North Carolina Power controls the
discharge rate from the Roanoke Rapids Lake to the Roanoke River. The 7Q10 in the Roanoke River is
approximately 1000 cfs or 633 MGD.
On June 20, 1997 the North Carolina Department of Environment and Natural Resources (NCDENR)
Division of Water Quality (DWQ) issued a draft National Pollutant Discharge Elimination System
(NPDES) Permit No. NC0024201 that included requirements fora modified instream waste concentration
(IWC) of 79%, an increase from the original permitted IWC of 1.3%. The RRSD challenged the draft
permit limits, and a settlement agreement was reached in November 1997 for an IWC of 39%. The
settlement agreement stated that when the plant discharge is relocated to the Roanoke River, the IWC
would revert to 1.3%. Additionally, the settlement agreement states that a diffuser will not be required
for a discharge to the Roanoke River.
Purpose of Dve Study Test
The RRSD is currently evaluating the alternatives for relocating the existing Chockoyotte Creek outfall to
the Roanoke River. For economic reasons, the RRSD would like to relocate the discharge upstream of the
Roanoke River and Chockoyotte confluence instead of crossing the creek for a discharge downstream of
the confluence. In a February 27, 2002 meeting the DWQ approved an upstream discharge provided that
field tests be performed to show that plant effluent will not backup into, or pond in, the confluence of the
creek and the river. In a September 3, 2002 meeting, the DWQ indicated that a visual dye study test
would be sufficient to show the behavior of plant effluent in the river. If the DWQ concurs that the visual
evidence is favorable for an upstream discharge, the RRSD may formally request a permanent outfall
relocation upstream of Chockoyotte Creek.
1/2
ARCADIS
Proposal for Dve Study Test
The RRSD proposes the following protocol for the visual dye study test:
1. The RRSD agreed in the September 3, 2002 meeting to operate under the existing permit limits and
conditions as specified in the current NPDES permit during the duration of the field tests.
2. The RRSD will notify the DWQ contact (Theresa Rodriquez) via email with the date and time a dye
study(s) will be performed.
3. The RRSD will voluntarily notify the public prior to performing each dye test.
4. The RRSD will locate a temporary pump in the existing plant outfall structure. A temporary pipe will
be constructed to the Roanoke River with its point of discharge located at the top of bank. The
temporary effluent outfall will be located in the vicinity of the proposed outfall location (upstream of
Chockoyotte Creek). The temporary pump and piping will not be constructed on site unless a dye test
or other testing activities are being performed.
5. Energy dissipation will be provided by the roughen surface of the existing concrete stabilized slope
embankment during discharge to mimic the behavior of a gravity outfall line.
6. The RRSD will let the pumped flow to the river stabilize for a 30 to 60 minute period before adding
the dye.
7. A fluorescent dye will be used (one example is Rhodamine WT, which has been approved by the EPA
as a tracer dye in potable water supplies). Fluorescent dyes are typically used in infiltration and
inflow (I&I) testing and monitoring.
8. A person(s) standing at the edge of the riverbank will take pictures or video of the dye dissipation at
the confluence of the Roanoke River and the Chockoyotte Creek, as well as upstream and downstream
of the confluence.
9. Each dye study event will run for a sufficient length of time to gather good visual data.
10. Dye study tests will be performed for varying flow events in the Roanoke River and at various times
during normal working hours, so as to simulate several scenarios of river flow and plant effluent
flows. It is anticipated that a dye test will be run before the end of the dry season (October) to capture
a low river flow event, and by the end of March 2003 to capture a high river flow event.
11. It is anticipated that the temporary pump and piping will be used for several months in order to test
during varying flow conditions in the river.
12. Once each dye study is completed, the normal effluent outfall to Chockoyotte Creek will be placed
back into service. Temporary pump & piping may be returned to the vendor and reserved until the
next temporary discharge event.
G:\Wwm\Roanoke\30191\Dye Study\M TRodrigucz DyeStudy.doc
2/2
09/11/02 15:22 FAX 919 782 5905 ARCADIS G M
elooi
ARCADIS
infrastructure, buildings, environment, communications
TELEFAX
To:
Teresa Rodriguez
NPDES Unit
Division of Water Quality
From:
Mary Sadler
Fax:
715-6048
OENR - WATER QUALITY
POINT SOURCE BRANCH
Copies:
File NC030191.0000
Dan Brown
John Maynard
Date:
11 September 2002
Total pages:
3
Subject: ARCADIS Project No.:
Dye Study Field Test Protocol NC030191.0000
Effluent Outfall Relocation from Chockoyotte
Creek to the Roanoke River
Roanoke Rapids Sanitary District
ARCADIS G&M
1 of North Carolina, Inc.
P.O. Box 31388
Raleigh, NC 27622-1388
2301 Rexwoods Drive - Suite 102
Raleigh, NC 27607-3366
Tel 919 782 5511
Fax 919 782 5905
www.arcadis-us.com
WATER AND WASTE
MANAGEMENT
Extension:
136
If you do not receive all pages, please call to let us know as soon as possible.
Hi Theresa!
On behalf of the Roanoke Rapids Sanitary District, attached is the proposal for the field dye study test for
the effluent outfall relocation from Chockoyotte Creek to the Roanoke River. I will put a clean copy and
cover letter in the mail for you this week.
Thank you! I look forward to hearing from you!
Mary Sadler
1 2 2002
- VIATER QUALITY
r..i1a1. SOURCE BRANCH
THIS MESSAGE IS INTENDED ONLY FOR THE USE OF THE INDIVIDUAL OR ENTITY TO WHICH IT IS ADDRESSED AND MAY CONTAIN
INFORMATION THAT 15 PRIVILEGED, CONFIDENTIAL, AND EXEMPT FROM DISCLOSURE UNDER APPLICABLE LAW.
If the reader of this message Is not the Intended recipient, or the employee or agent responsible for delivering the message to the intended recipient, you
are hereby notified that any dissemination, distribution, or copying of this communication is strictly prohibited. If you have received this communication in
error, please notify us immediately by telephone and return the original message to us at the above address vla the U.S. postal service.
Part of a bigger picture
..
09/11/02 15:22 FAX 919 782 5905
ARCADIS G M Cj 002
ARCAD1S
Infrastructure, buildings, environment communications
MEMORANDUM
To: Copies:
Teresa Rodriguez File NC030191.0000
Dave Goodrich John Maynard
ARCADIS G&M
of North Carolina, inc.
P.O. Box 31388
Raleigh, NC 27622-1388
2301 Rexwoods Drive - Suite 102
Raleigh, NC 27607-3366
Tel 919 782 5511
Fax 919 782 5905
From: Date: WATER & WASTE
Mary Sadler, ARCADIS 11 September 2002 MANAGEMENT
Dan Brown, Roanoke Rapids Sanitary District
`"' subject
Dye Study Field Test Protocol
Effluent Outfall Relocation from Chockoyotte Creek to.the Roanoke River
Roanoke Rapids Sanitary District
Backiround
The Roanoke Rapids Sanitary District (RRSD) discharges to Chockoyotte Creek in Subbasin 030208 of
the Roanoke River Water Quality Management Basin. The current RRSD discharge location is
approximately 100 feet upstream of the confluence of the Chockoyotte Creek with the Roanoke River.
This confluence is downstream of the Roanoke Rapids Lake. Virginia/North Carolina Power controls the
discharge rate from the Roanoke Rapids Lake to the Roanoke River. The 7Q10 in the Roanoke River is
approximately 1000 cfs or 633 MGD.
On June 20,1997 the North Carolina Department of Environment and Natural Resources (NCDENR)
'sq Division of Water Quality (DWQ) issued a draft National Pollutant Discharge Elimination System
(NPDES) Permit No. NC0024201 that included requirements for a modified instream waste concentration
(IWC) of 79%, an increase from the original permitted IWC of 1.3%. The RRSD challenged the draft
1.1 permit limits, and a settlement agreement was reached in November 1997 for an IWC of 39%. The
settlement agreement stated that when the plant discharge is relocated to the Roanoke River, the IWC
would revert to 1.3%. Additionally, the settlement agreement states that a diffuser will not be required
for a discharge to the Roanoke River.
Purpose of Dve Study Test
fogl
The RRSD is currently evaluating the alternatives for relocating the existing Chockoyotte Creek outfall to
the Roanoke River. For economic reasons, the RRSD would like to relocate the discharge upstream of the
Roanoke River and Chockoyotte confluence instead of crossing the creek for a discharge downstream of
fu' the confluence. In a February 27, 2002 meeting the DWQ approved an upstream discharge provided that
field tests be performed to show that plant effluent will not backup into, or pond in,'the confluence of the
creek and the river. In a September 3, 2002 meeting, the DWQ indicated that a visual dye study test
would be sufficient to show the behavior of plant effluent in the river. If the DWQ concurs that the visual
evidence is favorable for an upstream discharge, the RRSD will formally request a permanent outfall
relocation upstream of Chockoyotte Creek.
twl
G:1Wwm\Roanoka1301911Dye Study M TRodrigi,a DyeStudy.doc
1/2
Op/11/02 15 : 22 FAX 919 782 5905 ARCADIS G M (j 003
AIR
ARCADIS
Proposal for Dve Study Test
The RRSD proposes the following protocol for the visual dye study test:
`.' 1. The RRSD agreed in the September 3, 2002 meeting to operate under the existing permit limits and
conditions as specified in the current NPDES permit during the duration of the field tests.
2. The RRSD will notify the DWQ contact (Theresa Rodriquez) via email with the date and time a dye
study(s) will be performed.
3. The RRSD will voluntarily notify the public prior to performing each dye test.
Rim 4. The RRSD will locate a temporary pump in the existing plant outfall structure. A temporary pipe will.
be constructed to the Roanoke River with its point of discharge located at the top of bank. The
temporary effluent outfall will be located in the vicinity of the proposed outfall location (upstream of
Chockoyotte Creek). The temporary pump and piping will not be constructed on site unless a dye test
or other testing activities are being performed.
5. Energy dissipation will be provided by the roughen surface of the existing concrete stabilized slope
6.1 embankment during discharge to mimic the behavior of a gravity outfall line.
6. The RRSD will let the pumped flow to the river stabilize for a 30 to 60 minute period before adding
the dye.
7. A fluorescent dye will be used (one example is Rhodamine WT, which has been approved by the EPA
as a tracer dye in potable water supplies). Fluorescent dyes are typically used in infiltration and
inflow (I&I) testing and monitoring.
W
8. A person standing at the edge of the riverbank will take pictures or video of the dye dissipation
9. Each dye study event will run for a sufficient length of time to gather good visual data.
10. Dye study tests will be performed for varying flow events in the Roanoke River and at various times
during normal working hours, so as to simulate several scenarios of river flow and plant effluent
flows..
GIt is anticipated that the temporary pump and piping will be used for several months in order to test
during varying flow conditions in the river, h� "✓
outfall to Chockoyotte Creek wi
be placed
fan
PRI
12. Once each dye study is completed, the normal effluent
ll
back into service. Temporary pump & piping may be returned to the vendor and reserved until the
next temporary discharge event. >
O,1WwmlRoemoke1301911Dye StudylM TRodrigucz DycStudy.doc
2/2
S64(.51
Fw: Effluent tests with shortnose sturgeon]
Subject: Fw: Effluent tests with shortnose sturgeon]
Date: Thu, 8 Aug 2002 14:55:33 -0400
From: "Gregg Camp" <gcamp@rrsd.org>
To: "Teresa Rodrigues" <teresa.rodriguez@ncmail.net>
CC: "Dan Brown" <dbrown@rrsd.org>
Teresa...We intend to submit the following to meet our Chronic Tox second species testing requirements. Please review this
information and confirm this will be acceptable and in conformance with EPA requirements prior to September 10th. We have
sampled for our other parameters, as requested, and anticipate results by mid September. If acceptable, we will submit ALL
required test results at this time. Alternatively, and as previously discussed, we would be requesting our second species testing
concurrent with our normal quarterly tox test in October and then forward to you our results immediately upon acquisition from
the lab. Should the short nosed gar/fathead minnow testing be acceptable, please advise us of any other required information
beyond the results shown, herein.
Sincerely,
Gregg Camp, ORC
Roanoke River Wastewater Treatment Plant
135 Aqueduct Road
Weldon, NC 27890
(252) 536-4884
www.rrsd.org
Original Message
From: Matt Matthews
To: acamp @ rrsd.orq
Sent: Wednesday, August 07, 2002 3:05 PM
Subject: [Fwd: Effluent tests with shortnose sturgeon]
Greg,
Here's the Shortnose data forwarded to me by Tom Augspurger. Note that it does not contain growth
endpoints. I'll forward that information to you as soon as I get it.
Matt
Original Message
Subject: Effluent tests with shortnose sturgeon
Date: Tue, 6 Aug 2002 17 :42: 5 2 -0400
From: Tom Augspurger@fws.gov
To: matt.matthews@ncmail.net
CC: chris ingersoll @usgs.go%
Hi Matt -
Here's what I've received from the Columbia lab so far on this year's
shortnose sturgeon toxicity tests. Its a note from Chris Ingersoll with
preliminary results listing the concentrations (with 100 being 100 percent
effluent and no dilution...50 being 50 percent effluent, etc...) that were
toxic and not toxic (based on tethality...biomass data not available yet).
I edited Chis's old note slightly to provide concentration ranges (a couple
entries had just the concentration of the effluent that was toxic without
the next lower concentration being listed). For a couple entries, the
percent mortality at the tesred concentration is also provided.
of 3 8/9/2002 I :58 PM
Fw: Effluejit tests with shortnose sturgeon]
I've talked with Chris about the effluent project, and they are preparing a
paper on all the effluents tests (i.e., it will include, among other data,
all nine facilities in NC and all species tested), a draft of which should
be available this summer. If you need additional specific information,
feel free to let me know or to check with Chris.
Take care, and thanks for your help in pulling this off. We'll have a
report available soon.
Tom
919/856-4520 x.21
Forwarded by Tom Augspurger/R4/FWS/DOI on 08/06/2002 05:18 PM
Christopher G
Ingersoll@USGS
04/03/2002 04:46
PM
Tom and Jim:
To: Tom Augspurger/R4/FWS/DOI@FWS,
cc: GS-B-CERC Toxicology@USGS, Chr
Ingersoll/BRD/USGS/DOI@USGS
Subject: Effluent tests with shortnose
We just completed the effluent tests with the 3 species and it looks like a
very good test. Control survival on Day 7 was 98% for the shortnose
sturgeon, 90% for the fathead minnows, and 93% for the Ceriodaphnia. We
have summarized below the dilutions that bracket the treatments that were
nontoxic or toxic. Looks like the sturgeon are somewhat more sensitive
compared to fatheads or Ceriodaphnia. Note that this is consistent with
what we have observed in the past with sturgeon in single chemical
exposures. In these previous studies, were concerned in the sturgeon may
have been stressed. In the current study, the sturgeon look to be in
excellent condition.
We will
for the
biomass
fathead
send you the biomass data for the fish and the reproductive data
Ceriodaphnia at a'later date. It will be interesting to see if
or reproduction endpoints result in more of a sensitive response in
minnows or Ceriodaphnia compared to the sturgeon.
Treatment
Archer Daniels
Midland
Roanoke Rapids
municipal
wastewater
Perdue
'Sturgeon
150-100 /
50-100 a'
112.5 -25 (57% -s
'survival in 25)
'Fathead minnows ICeriodaphnia
150-100 (57%
'survival in 100)
>100
125-50
125-50
>100
150-100
Thanks for all of your help in pushing through the permit and identif
the sites for testing. It was GREAT to not have to wait another year
conduct these exposures
Chris Ingersoll
Coumbia Environmental Research Center, USGS
42u0 New Haven Rd, Columbia, MO 65201
571/876-1819, fax -1896, email chris_ingersoll@ gs.gov
b
2ofj {OJ
P
nn /I ia
c.
n,�.
obt
fri
c°0-rsc
8/9/2002 1 58 PM
DENR/DWQ
FACT SHEET FOR NPDES PERMIT DEVELOPMENT
NPDES No. NC0024201
Facility Information
Applicant/Facility Name:
Roanoke Rapids Sanitary District/RRSD WWTP
Applicant Address:
P.O. Box 308, Roanoke Rapids, NC 27870
Facility Address:
135 Aqueduct Road, Weldon , NC 27870
Permitted Flow
8.34
Type of Waste:
Domestic (85%) Industrial (15%)
Facility Classification:
IV
Permit Status:
Renewal
County:
Halifax
Miscellaneous
Receiving Stream
Chockoyotte Cr.
Regional Office:
Raleigh
Stream Classification
C
State Grid
B28NE
303(d) Listed?
Yes
USGS Quad:
Weldon
Basin
Roanoke River
Permit Writer:
Teresa Rodriguez
Subbasin
03-02-08
Date:
7/17/02
Drainage Area (mi`)
N/A
•
Lat. 36° 26' 10" N Long. 77° 36' 34" W
Summer 7Q10 (cfs)
Winter 7Q10 (cfs):
3002 (cfs)
Average Flow (cfs)
IWC (%)
39
Summary:
Roanoke Rapids Sanitary District (RRSD) submitted an application for renewal of their permit on
December 6, 2001. They completed Form 2A. They requested to eliminate instream monitoring for
temperature and dissolved oxygen based on past data or provide language to the effect that sampling
doesn't need to be performed under dangerous weather conditions.
RRSD is evaluating the relocation of the outfall to the Roanoke River. This renewal process will not
consider the relocation of the discharge. The discharge from the treatment system is to Chocoyotte
Creek just before the confluence with the Roanoke River. Since the river backs up into the creek, a
study was performed on 1997 to determine the IWC at the discharge location considering the
influence of the river into the creek. RRSD challenged the last permit and an agreement was
reached to use 39% for the IWC for the toxicity test and 1.3 % for toxicant pollutants. Metal limits
were not included in the permit but continued to be monitored in the LTMP.
Treatment system description: The treatment system consists of a bar screen, grit chamber, dual
primary clarifiers, dual trickling filter, aeration basins, dual final clarifiers, chlorination, dechlorination,
dual secondary sludge thickener, anaerobic digestors, lime stabilization facility, sludge storage and
sludge drying beds.
Pre-treatment: The NPDES permit requires RRSD to maintain a Pretreatment Program under
federal regulations 40CFR 403 and NC State regulations 15A NCAC 2H.0900. The City has an
approved pre-treatment program with 3 significant industrial users.
Fact Sheet
NPDES N00024201
Renewal
Page I
Basin Plan: Chocoyotte Creek is impacted by collection systems overflows in Roanoke Rapids.
RRSD has completed a project to prevent sanitary sewer overflows. The Roanoke River is listed as
impaired due to fish consumption advisories. In this section of the river the advisory is for elevated
levels of mercury. The section of the Roanoke River is listed as impaired in the 2000 303(d) list. A
TMDL for dioxins was approved on Dec 1996.
DMR Review: DMRs were reviewed for the period of January 2000 to May 2002.. They reported 5 pH
exceedances, one total suspended solids and one CBOD. The average flow was 5.08 MGD.
Reasonable Potential Analysis: Data from the long term monitoring plan and the results of the
Priority Pollutant Analysis were used to evaluate reasonable potential. In the PPA beryllium, cyanide,
cadmium and chloroform were detected. The results of one analysis for each of these parameters
were used for the RPA. LTMP data were used for the RPA for chromium, copper, nickel, zinc,
mercury and selenium.
Parameter
Allowable
concentration*
(Pgll)
Maximum
predicted
(pg/I)
RP
(Y/N)
Comments
Beryllium
500
1.1
N
No changes to permit is required
Cadmium
153.8
4.8
N
No changes to permit is required
Chromium
3846.2
18.2
N
No changes to permit is required
Copper
538.5
347
N
No changes to permit is required
Nickel
6769.2
26
N
No changes to permit is required
Zinc
3846
460
N
No changes to permit is required
Mercury
0.92
22.2
Y
Add limit of 0.92 pg/I
Selenium
384.6
843.6
Y
Add limit of 0.384mg/I
Cyanide
384.6
8
N
No changes to permit is required
Chloroform
36153
5.9
N
No changes to permit is required
* Based on IWC of 1.3 %
Waste Load Allocation (WLA): The last waste Toad allocation was performed in 1996.
SUMMARY OF PROPOSED CHANGES
• Limits for total selenium and total mercury were added to the permit. The results of the
reasonable potential analysis show reasonable potential to exceed water quality standards.
Selenium and mercury were previously monitored in the long term monitoring plan.
• A special condition was included for annual sampling of priority pollutant.
Fact Sheet
NPDES NC0024201
Renewal
Page 2
PROPOSED SCHEDULE FOR PERMIT ISSUANCE
Draft Permit to Public Notice: September 11, 2002
Permit Scheduled to Issue: October 25, 2002
NPDES DIVISION CONTACT
If you have questions regarding any of the above information or on the attached permit, please
contact Teresa Rodriguez at (919) 733-5083 ext. 595.
NAME: i-- 1&'7-1DATE: 9 7 Da
REGIONAL OFFICE COMMENTS
NAME: DATE:
SUPERVISOR: DATE:
Fact Sheet
NPDES NC0024201
Renewal
Page 3
REASONABLE POTENTIAL ANALYSIS
Prepared by: Teresa Rodriguez
y
Facility Name =
RRSD
f I
Parameter=
Beryllium
NPDES # =
NC0024201
I I
Standard =
6.5J/g/I
Ow (MGD) =
;
Dataset=
LTMP 99-01
Ow (cfs) _
7Q10s (cfs)=
Modified Data
<
Nondetects
RESULTS
IWC (%) =
1.30
!
1
0.7
Std Dev.
#DIV/O!
Receiving stream
Chocoyotte Creek
1
Mean
0.700
Classification
C
C.V.
#DIV/0!
{
Sample#
1
Chronic CCC w/s7Q10 dil.
Acute CMC w/no dil.
Frequency of Detection
Parameter
FINAL RESULTS, ug/I
FINAL RESULTS, ug/l
#Samples
# Detects
Mull Factor =
1.600
Beryllium
Max. Pred Cw
Max. Value
0.700
Ng/I
1.1
Max. Pred Cw
1.120
yg/i ii _
Allowable Cw
500.0
360
1
1
Allowable Cw
500.000
pg/i
Cyanide
Max. Pred Cw
8.0
Allowable Cw
Cadmium
Max. Pred Cw
384.6 •
4.8
Allowable Cw
Chromium
Max. Pred Cw
153.8 -
15 -
1
1
•
18.2
J
Allowable Cw
Copper
Max. Pred Cw
Allowable Cw
3846.2
1022
14
9
347.4
538.5
r
, __
7.3
14 14
Chloroform
Max. Pred Cw
5.9
Allowable Cw
Nickel
Max. Pred Cw
36153.8
33.8
1
1
26.0
Allowable Cw
6769.2
261
11
5
Silver (A.L.)
Max. Pred Cw
0.0
Allowable Cw
Zinc (A.L.)
Max. Pred Cw
4.6
1.2
0
0
460.0
Allowable Cw
Mercury
Max. Pred Cw
3846.2
67 •
14
13
22.2
Allowable Cw
0.923
NA
12
1
Molybdenum
Max. Pred Cw
0.0
Allowable Cw
Selenium
Max. Pred Cw
NA
1
NA
0
0
843.6
Allowable Cw
384.6
r„ A
11
2
Parameter =
Cyanide
Parameter =
Standard =
Dataset=
5PO
Standard =
Dataset=
Cadmium
—pg/1
DMR
Modified Data < Nondetects RESULTS
5, ,Std Dev. r #DIV/0!
Mean 5
C.V. #DIV/01
Modified Data < Nondetects
3
RESULTS
Std Dev. #DIV/0!
Mean 3.000
C.V. #DIV/0I
Sample# 1
Mult Factor =
1.6
Mult Factor = 1.600
Max. Value
5
Max. Pred Cv‘ 8
Allowable Cw
384.6
Max. Value 3.000 pgll
Max. Pred Cw 4.800 pg/I
Allowable Cw 153.8 pg/I
Parameter=
Chromium
!
Parameter=
Cop er
Parameter=
Chloroform
PP
Standard =
50lpg/I
Standard =
7jpg/1
Standard =
470 pgli
`
Dataset=
LTMP 99-01
Dataset=
Dataset=
DMR
_
_I
ModifiedData
<
---- �
<
! Nondetects RESULTS
ModifiedData
< ,Nondetects
RESULTS
:::
ModifiedData
<
Nondetects,RESULTS
A
4
3
---_--7
2.5
4 Std Dev.
3 Mean
1 5-C.V.
�
1.842
1 311
Std Dev.
48.025'
3.7,
Std Dev.
#DIV/0! 1
3.107 17
Mean
27.64291
Mean 3.700 H
0.593
23
14
C.V. 1.73734
1
;;;; _
—
-__
C.V.
Sample#
#DIV/0!
7
Sam le# ! 14
p
Sample# 14'
p
1 j
1
< 2
Mult Factor = 2.600
9
Mult Factor =
1.8
Mult Factor =
1.600
2
12
Max. Value 7.000
pg/l
10
Max. Value
193
pg/l
Max. Value
3.700
p l
3
3
Max. Pred Cw 18.200
pg/I
16
Max. Pred Cw
347.4
pg/I
Max. Pred Cw
5.920
I
1
<
2
Allowable Cw ; 3846.154
WWI
12
Allowable Cw
538.5
pg/I
Allowable Cw
36153.846
pg/I
2<
4
i
11
1<
1 2
1
9
3
21
3
193
i
rameter=
Nickel
Parameter=
Zinc (A.L.)
Parameter=
Mercury
tandard =
88jpg/I
Standard =
50 pg/I
Standard =
0.012I4I
LTMP 99-01
Dataset=
LTMP 99-01, PPA
Dataset=
LTMP 99-01
(ug/l)
ug/I
lodifiedDa(
<
NondetectsRESULTS
ModifiedData
<
Nondetects
RESULTS
ModifiedData
< Illoindetects
RESULTS
6
6
Std Dev.
2.29426
50
<
100
Std Dev.
48.338
0.1
<
0.2
Std Dev.
0.548
10
10
Mean
4.81818
74
Mean_
97.357
0.1
<
0.2
Mean
0.258
5
5
C.V.
0.47617
62
~�
C.V.
0.4971_
_ _
- \ 0.1
<
0.2
C.V.
2.123
5
<
10
Sample#
11
67
'
Sample#
14
}, 0.1
<
0.2
Sample#
12
6
6
56
0.1I <
0.2
6
6
64
Mult Factor =
2.300
., 0.1, <
0.2
Mult Factor =
111.100
2.5 < 5
Mult Factor :
2.6
i 154
Max. Value
200.000
pgli
0.1
<
0.2
Max. Value
2.000
p /g�i
pg/i
pg/i
2.5
2.5
2.51
<
<
<
<
5
Max. Value
i 10
p lili 153
Max. Pred Cw
460.000
pg/I
0.1
<
0.2
Max. Pred Cw
22.200
5
5 .Allowable
10
Max. Pred pi_26
Cm__
11al 200
Allowable Cw
3846.154
pg/i
0.1
<
0.2
Allowable Cw
0.923
6769.2
FA
76,__i
___Jjr
0.1
<
0.2
5
- -
121
\ 0.1
<
0.2
i
150
(2r\
2
- --
571
-
L
79
i-__-
.
r
1
1
• •
i r
E 1
Parameter =
Selenium
Standard =
5
pg/1
Dataset=
LTMP
99-01
ug/l
btg/1
ModifiedData
<
Nondetects
RESULTS
1.5
<
3 •
Std Dev.
22.180
5
<
10
Mean
10.182
1.5
<
3
C.V.
2.178
2.5
<
5
Sample#
11
15
15
1.5
<
3
Mult Factor =
11.100
2.5
<
5
Max. Value
76.000,pg/l
2.5
<
5
Max. Pred Cw
843.600
pg/1
2.5
<
5
Allowable Cw
384.615
pC
76
76
1.5<
3 t
1
i
REASONABLE POTENTIAL ANALYSIS
Prepared by: Teresa Rodriguez
I
Facility Name =
RRSD
NPDES # =
NC0024201
Qw (MGD) =
Qw (cfs) =
7Q10s (cfs)=
!WC(%)=
39.00
Receiving stream
Chocoyotte Creek
Classification
C
_ i
Chronic CCC w/s7Q10 dil.
Acute CMC wino dil.
Frequency of Detection
Parameter
FINAL RESULTS, ugll
I
FINAL RESULTS, ugli
#Samples
# Detects
Beryllium
Max. Pred Cw
1.1
Allowable Cw
Cyanide
Max. Pred Cw
16.7
360
1
1
1
8.0
Allowable Cw
Cadmium
Max. Pred Cw
12.8
22
1
4.8
Allowable Cw
Chromium
Max. Pred Cw
5.1
15
1
18.2
Allowable Cw
Copper
Max. Pred Cw
128.2
1022
14
9
347.4
Allowable Cw
17.9
7.3
14
14
Chloroform
Max. Pred Cw
5.9
1
--- -- -
1
....-----
Allowable Cw
Nickel
Max. Pred Cw
1205.1
33.8
26.0
Allowable Cw
225.6
261
11
5
Silver (A.L.)
0
0
Max. Pred Cw
0.0
Allowable Cw
Zinc (A.L.)
Max. Pred Cw
Allowable Cw
Mercury
Max. Pred Cw
0.2
1.2
460.0
14
13
128.2
67
22.2
Allowable Cw
0.031
NA
12
1
Molybdenum
Max. Pred Cw
0.0
Allowable Cw
Selenium
Max. Pred Cw
NA
NA
0
0
82.5
Allowable Cw
Fluoride
Max. Pred Cw
12.8
NA
11
1
74382.0
Allowable Cw
4615.4
NA
2
2
REASONABLE POTENTIAL ANALYSIS
Prepared by: Teresa Rodriguez
Facility Name =
RRSD
NPDES # =
NC0024201
Ow (MGD)
Ow (cfs) _
7Q1Os (cfs)=
!WC (%) =
39.00
Receiving stream
Chbcoyotte Creek
Classification
C
Chronic CCC w/s7Q10 dil.
Acute CMC wino dil.
Frequency of Detection
Parameter
FINAL RESULTS, ug/I
FINAL RESULTS, ug/I
#Samples l # Detects
Beryllium
Max. Pred Cw
I
1.1
Allowable Cw
Cyanide
Max. Pred Cw
16.7
360
8.0
Allowable Cw
Cadmium
Max. Pred Cw
12.8
22
1 ; 1
4.8
Allowable Cw
Chromium
Max. Pred Cw
5.1
15
1 1
18.2
Allowable Cw
Copper
Max. Pred Cw
128.2
1022
14
9
347.4
Allowable Cw
17.9 7.3
14 14
Chloroform
Max. Pred Cw
5.9
Allowable Cw
Nickel
Max. Pred Cw
1205.1 33.8
1 1
26.0
Allowable Cw
225.6
261
11
5
Silver (A.L.)
Max. Pred Cw
0.0
Allowable Cw
Zinc (A.L.)
Max. Pred Cw
0.2
1.2
0
0
460.0
Allowable Cw
Mercury
Max. Pred Cw
128.2
67
14
13
22.2
Allowable Cw
0.031
NA
12
1
Molybdenum
Max. Pred Cw
0.0
Allowable Cw
Selenium
Max. Pred Cw
NA
NA
0
0
82.5
Allowable Cw
Fluoride
Max. Pred Cw
12.8
NA
11
1
1
74382.0
Allowable Cw
4615.4
NA
2 2
REASONABLE POTENTIAL ANALYSIS
IAMMENDED 10/15/02
Prepared by: Teresa Rodriguez
i1
Facility Name =
RRSO
NPDES # =
NC0024201
Qw (MGD) =
Qw (cfs) =
7Q10s (cfs)=
IWC (%) =
1.30
Receiving stream
Chocoyotte Creek
j
Classification
C
Chronic CCC w/s7Q10 dil.
Acute CMC w/no dil.
Frequency of Detection
Parameter
FINAL RESULTS, ug/I
FINAL RESULTS, ug/I
#Samples
# Detects
Beryllium
Max. Pred Cw
1.1
Allowable Cw
500.0
360
1
1
Cyanide
Max. Pred Cw
8.0
Allowable Cw
Cadmium
Max. Pred Cw
384.6
22
1
1
4.8
Allowable Cw
Chromium
Max. Pred Cw
153.8
15
1
1
18.2
Allowable Cw
Copper
Max. Pred Cw
3846.2
1022
14
9
347.4
Allowable Cw
538.5
7.3
14
14
Chloroform
Max. Pred Cw
5.9
1
Allowable Cw
Nickel
Max. Pred Cw
36153.8 I 33.8
1
26.0
Allowable Cw
6769.2 261
11
5
Silver (A.L.)
Max. Pred Cw
0.0
Allowable Cw
Zinc (A.L.)
Max. Pred Cw
4.6
1.2
0
0
460.0
Allowable Cw
Mercury
Max. Pred Cw
3846.2
67
14
13
22.2
Allowable Cw
0.923
NA
12
1
Molybdenum
Max. Pred Cw
0.0
Allowable Cw
Selenium
Max. Pred Cw
NA
NA
0
0
82.5
Allowable Cw
Fluoride
Max. Pred Cw
384.6
NA
11
1
74382.0
Allowable Cw
138461.5
NA
2
2
Trickling f ilter Maintenance
Subject: Trickling Filter Maintenance
Date: Thu, 20 Jun 2002 12:41:13 -0600
From: "Sadler, Mary" <MSadler@arcadis-us.com>
To: "Dan Brown (E-mail)" <dbrown@rrsd.org>
CC: "Cordon, Raymond" <RCordon @ arcadis-us.com>,
"Teresa Rodriguez (E-mail)" <teresa.rodriguez@ncmail.net>,
"Stroud, Ross" <RStroud@arcadis-us.com>
Dan,
I talked with Teresa Rodriguez this morning about the status of your NPDES permit. She was very helpful and really
nice to take the time to answer all my questions. She indicated to me that your BOD limits and ammonia limits would
be the same as your current permit; no changes to these two paramenters are expected. So, your trickling filter
project should be a "go"!!!
I would also like to add, however, that she did fill me in on the status of your NPDES renewal application. There are
three issues:
1. There are seven parameters missing from your priority pollutant scan: oil & grease, total dissolved solids,
hardness, thallium, total phenolic compounds, methyl bromide, and methyl chloride. She has many applications that
she is reviewing right now with these parameters missing. She thinks that possibly some laboratories may not have
the updated priority pollutant list. The labs have simply indicated "Not applicable" under these parameters. So
additional sampling for these parameters will be required.
2. This second issue deals with toxicity testing and she is waiting to hear back from EPA for concurrence on her
plans for handling the issue. NPDES permit applications now require 3 chronic toxicity tests with a second species
for application renewal. This takes a year to do three of these tests (since toxicity is done on a quarterly basis), so
she is trying to get EPA to agree to to one toxicity test with a second species for the NPDES permit renewals she has
in house right now (this is the reply she is waiting on).
3. She hasn't yet had the opportunity to go over your priority pollutant data or done any RPA analyses yet, so she
could not confirm any other potential limits (metals, volatiles, etc.). But this of course does not affect BOD or
ammonia.
She has a letter ready to mail to all the NPDES permit holders who are waiting for renewals detailing #1 and/or #2,
but again, she needs EPA to agree with the issue #2.
She estimated it would probably be another month before your application can go on public notice, but issues #1 and
#2 may most likely be handled concurrently with the public notice. You can probably go ahead and check with the
laboratory you guys use about the priority pollutant scan.
I hope this helps!!! Dan, please let me know if you would like to assist you further. I will help in any way that I can!!
Mary E.R. Sadler
ARCADIS G&M of North Carolina, Inc.
2301 Rexwoods Drive, Suite 102
Raleigh, NC 27607
Phone: 919-782-5511
Fax: 919-782-5905
msadler@arcadis-us.com
Original Message
1 of 3 6/21/02 7:33 AM
Trickling Filter Maintenance
From: Cordon, Raymond
Sent: Wednesday, June 19, 2002 4:48 PM
To: Sadler, Mary
Subject: FW: SECTION 11940 - TRICKLING FILTER DISTRIBUTOR
Please call Teresa Rodriquez and inquire about the permit as requested by Dan. You will need to write
a short teleconv report that we can send to Dan and copy to Teresa. CAn we get this done this week?
Raymond A. Cordon, P.E.
ARCADIS Geraghty & Miller
2301 Rexwoods Drive, Suite 102
Raleigh, North Carolina 27622
Phone 919-782-5511
Fax 919-782-5905
RCordon@arcadis-us.com
Original Message
From: Dan Brown [mailto:dbrown@rrsd.orgl
Sent: Wednesday, June 19, 2002 5:45 PM
To: Cordon, Raymond
Cc: Gregg Camp
Subject: Re: SECTION 11940 - TRICKLING FILTER DISTRIBUTOR
We concur with your evaluation and recommendation for filter replacement, however, we need to get a
"nod" from DWQ regarding our renewal NPDES permit. We would be interested in learning if there are
any surprises in the new permit that would make us reconsider the direction we are headed with
replacing our filter equipment. Will you please contact Teresa Rodriquez w/ DWQ to check the status
of our permit and learn as much as you can about what we can expect will be coming down the pipe.
Teresa met with us at our Plant Discharge Relocation meeting in February and, as I understand it, has
been assigned to write our renewal permit. I look forward to your response, please call if you have
questions.
Thanks!
Dan
Original Message
From: Cordon, Raymond
To: 'Dan Brown'
Cc: Stroud, Ross ; Sadler, Mary
Sent: Monday, June 17, 2002 4:14 PM
Subject: RE: SECTION 11940 - TRICKLING FILTER DISTRIBUTOR
Ross will be reviewing the specifications for this equipment purchase, and will forward his
comments to you when his review is complete.
Ross, Mary, and I discussed your second request regarding the technology upgrade. We
feel that the rehabilitation of the trickling filters is the most cost effective alternate at this
time. The trickling filters serve as a good buffer prior to the aeration basins and are an
inexpensive way to remove BOD.
The trickling filters would not be a good idea if the state were to impose an ammonia
limit in this current permit round. Have you received your draft permit yet? If this is the
case, you will need more aeration capacity for nitrification (tankage and air). If you need
additional tankage for nitrification, then you will get the BOD out also, and you wouldn't
necessarily have to upgrade the trickling filters unless you still wanted the buffer. Adding
additional tankage will be a costly upgrade.
2of3 6/21/02 7:33 AM
Trickling,Filter Maintenance
Since RRSD is not expecting a change in the discharge limits, especially the addition of
an ammonia limit, this is not a concern at this time.
Now, if you were ever faced with a total nitrogen limit (very unlikly any time soon), then
the trickling filters would most likely need to be decommissioned. You would need the
carbon in the basins and not used for growing biofilm.
So in summary, if your new discharge permit is the same as your previous permit,
rehabing the trickling filters is your best option at this time.
Raymond A. Cordon, P.E.
ARCADIS Geraghty & Miller
2301 Rexwoods Drive, Suite 102
Raleigh, North Carolina 27622
Phone 919-782-5511
Fax 919-782-5905
RCordon@arcadis-us.com
Original Message
From: Dan Brown [mailto:dbrown@rrsd.org]
Sent: Thursday, June 13, 2002 6:07 PM
To: Raymond Cordon; Gregg Camp
Subject: SECTION 11940 - TRICKLING FILTER DISTRIBUTOR
The RRSD intends to replace our rotary distributor No. 1 equipment through
an equipment purchase agreement. You are aware of this need as you
have assisted us in preliminary equipment selection services. I have
prepared a technical specification of the requirements for this equipment
replacement. We plan to forward same to selected vendors for the purpose
of receiving installed quotes. We are requesting a technical review of the
specification, attached. Referenced drawings are in Arcadis shop drawing
files for Olsen Associates Contract No. 936.0. I have highlighted the
capacity performance requirement because our current equipment is not
self actuated at low flows. The flow requirements shown are a departure
from the flows previously specified in 1981. We also request alternative
recommendations that we may consider in lieu of replacement of this
equipment since there may be a technology upgrade opportunity afforded to
the District at this time. Please call me to discuss this at your earliest
convenience.
Thanks!
Dan Brown, PE
Chief Executive Officer
Roanoke Rapids Sanitary District
PO Box 308
Roanoke Rapids, NC 27870
www.rrsd.orq
(252) 537-9137
(252) 537-9136 (FAX)
\of3
6/21/02 7:33 AM
Roanoke R'pids Violations BIMS retreval Errors
Subject: Roanoke Rapids Violations RIMS retreval Errors
Date: Tue, 16 Apr 2002 14:08:44 -0400
From: Dana Folley <Dana.Folley@ncmail.net>
To: Tom Poe <Tom.Poe@ncmail.net>, Shannon Langley <Shannon.Langley@ncmail.net>
CC: Charles Weaver <Charles.Weaver@ncmail.net>, Teresa Rodriguez <Teresa.Rodriguez@ncmail.net>,
Vanessa Manuel <Vanessa.Manuel@ncmail.net>, myrl nisely <myrl.nisely@ncmail.net>
Dear Tom and Shannon,
As I have discussed with Myrl, Vanessa, and Charles, I did a "Violations
(all types)" retreaval for 2001 and 2000 prior to going on -site to do an
Audit of Roanoke Rapids Sanitary District NC0024201 Pretreatment
Program. I will leave a copy of the report in your in -boxes for you to
look at.
RRSD (Greg Camp, ORC - 252-536-4884) says the limits violations are
correct but the monit/report ones are wrong, and I told him I would find
out who can determine out what's wrong (if anything) and fix it.
First, all the parameters listed in the "reporting violations" section
of the retreaval are not even in RRSD's NPDES permit, and most have
never been in it. Charles indicated he will fix this, but said that
Shannon would be the best person to figure out the rest.
For the "monitoring violations" section, these parameters are in the
NPDES permit, and the frequency even appears to be right. However RRSD
claims they are performing the required daily monitoring. Please note
they have not received any NOVs for missed monitoring. They noted that
the specific days that are listed are the Fridays of the week, and they
were speculating the computer was looking for Monday -Friday sample
days. They sample Sunday -Friday which produces 5 24 hours composite
samples which they date Sunday through Thursday.
Tom, I'm sending this to you so I am going through the "proper chain of
command," but on advice from Charles, I'm assuming that Shannon will be
the one to address this (or he will be the one to decide who will
address this). I have no idea if this is a problem with only RRSD's
permit or something larger in BIMS.
If possible, when the situation gets fixed, I'd love to know the
outcome.
Myrl, if you could forward this to the RRO person who has this facility
for regular NPDES, that would be great!
Have fun!
Dana Rees Folley
Environmental Chemist II
Division of Water Quality
Water Quality Section
Pretreatment Unit
1617 MAIL SERVICE CENTER
RALEIGH, NC 27699-1617
telephone: (919) 733-5083 x523
facsimile: (919) 715-2941
http://h2o.enr.state.nc.us/Pretreat/index.html
1 of 1 4/17/2002 9:00 AM
• �y
VIOLATIONS (all Types) for:
' Permit: nc002420j
Facility Name
ai't;lr.
MMQQ r
tits ; D s e een#'rfi=2�
ifs � �-ts•�
62-Q_ S2Arv-e":1/41
and 12=?�00 AegI91: °/a
Page: 1 0! 4
Report Date: 04/11/02
PERMIT: NC0024201
FACILITY: Roanoke Rapids WWTP )(
COUNTY: Halifax
REGION: Raleigh
LIMIT VIOLATIONS:
DMA OUTFALL LOCATION
07 - 2001 001 Effluent
08 - 2001 001 Effluent
12- 2001 001 Effluent
12 - 2001 001 Effluent
03 - 2001 001 Effluent
03 - 2001 001 Effluent
03 - 2001 001 Effluent
MONITORING VIOLATIONS:
PARAMETER
PH
PH
PH
PH
SOLIDS, TOTAL SUSPENDED
SOLIDS, TOTAL SUSPENDED
SOLIDS, TOTAL SUSPENDED
VIOLATION DATE
07/30/01
08/06/01
12/17/01
12/28/01
03/24/01
03/31/01
03/31/01
UNIT OF
MEASURE
su
su
su
su
mg/1
mg/1
mg/1
6
6
6
45
30
45
CALCULATED
LIMIT FROM REPORTED
VIOLATION DESCRIPTION
6 5.7 Daily Minimum Not Reached
5.8 Daily Minimum Not Reached
5.9 Daily Minimum Not Reached
5.5 Daily Minimum Not Reached
65.66 Weekly Average Exceeded
35.92 Monthly Average Exceeded
48.58 Weekly Average Exceeded
DMR
08-2001
08-2001
08-2001
08-2001
08-2001
09-2001
09-2001
09-2001
09-2001
10-2001
OUTFALL LOCATION PARAMETER
001
001
001
001
001
001
001
001
001
001
Effluent
Effluent
Effluent
Effluent
Effluent
Effluent
Effluent
Effluent
Effluent
Effluent
BOD, CARBONACEOUS
20C
BOD; CARBONACEOUS
20C
BOD, CARBONACEOUS
20C
BOD, CARBONACEOUS
20C
BOD, CARBONACEOUS
20C
BOD, CARBONACEOUS
20C
BOD, CARBONACEOUS
20C
BOD, CARBONACEOUS
20C
BOD, CARBONACEOUS
20C
BOD,CARBONACEOUS
20C
05 DAY,
05 DAY,
05 DAY,
05 DAY,
05 DAY,
05 DAY,
05 DAY,
05 DAY,
05 DAY,
05 DAY,
VIOLATION DATE MEASUREMENT FREQUENCY
08/03/01
08/10/01
08/17/01
08/24/01
08/3I/01
09/07/01
09/14/01
09/21/01
09/28/01
10/05/01
Daily -- weekdays
Daily -- weekdays
Daily -- weekdays
Daily -- weekdays
Daily -- weekdays
Daily -- weekdays
Daily -- weekdays
Daily -- weekdays
Daily -- weekdays
Daily -- weekdays
VIOLATION DESCRIPTION
Frequency Violation
Frequency Violation
Frequency Violation
Frequency Violation
Frequency Violation
Frequency Violation
Frequency Violation
Frequency Violation
Frequency Violation
Frequency Violation
VIOLATIONS (all Types) for:
Permit: nc0024201.t:' • 'r' ;: 10111;� Dim
* ,'.1-2001 ; ;and' 12=2001:Wl tj '•-R% egton: ' : ,; '_ '; ; '31ls, `:;'
Facility Name % "County . %
i. •- . . i' ,,
10. 2001 001 Effluent BOD, CARBONACEOUS 05 DAY, 10/12/01 Daily -- weekdays Frequency Violation
20C
10- 2001 001 Effluent BOD, CARBONACEOUS 05 DAY, 10/19/01 Daily -- weekdays Frequency Violation
20C
10-2001 001 . Effluent BOD, CARBONACEOUS 05 DAY, 10/26/01 Daily -- weekdays Frequency Violation
20C
11- 2001 001 Effluent BOD, CARBONACEOUS 05 DAY, 11/02/01 Daily -- weekdays Frequency Violation
20C
11- 2001 001 Effluent BOD, CARBONACEOUS 05 DAY, 11/09/01 Daily -- weekdays Frequency Violation
20C
I I - 2001 001 Effluent BOD, CARBONACEOUS 05 DAY, 11/16/01 Daily -- weekdays Frequency Violation
20C
11- 2001 001 Effluent BOD, CARBONACEOUS 05 DAY, 11/23/01 Daily -- weekdays Frequency Violation
20C 1
11- 2001 001 Effluent BOD, CARBONACEOUS 05 DAY, 11/30/01 Daily -- weekdays Frequency Violation
20C
12- 2001 001 Effluent BOD, CARBONACEOUS 05 DAY, 12/07/01 Daily -- weekdays Frequency Violation
20C
12-2001 001 Effluent BOD, CARBONACEOUS 05 DAY, 12/14/01 Daily -- weekdays Frequency Violation
20C -
12- 2001 001 Effluent BOD, CARBONACEOUS 05 DAY, 12/21/01 Daily -- weckdays Frequency Violation
20C _
12- 2001 001 Effluent BOD, CARBONACEOUS 05 DAY, 12/28/01 Daily -- weekdays Frequency Violation
20C
11- 2001 001 Effluent CHLORINE, TOTALRESIDUAL 11/01/01 Daily -- weekdays Frequency Violation
11- 2001 001 Effluent CHLORINE, TOTALRESIDUAL 11/02/01 Daily -- weekdays Frequency Violation
11- 2001 001 Effluent CHLORINE, TOTALRESIDUAL 11/05/01 Daily -- weekdays Frequency Violation
11- 2001 001. Effluent CHLORINE, TOTALRESIDUAL 11/06/01 Daily -- weekdays Frequency Violation
11- 2001 001 Effluent CHLORINE, TOTALRESIDUAL 11/07/01 Daily -- weekdays Frequency Violation
11- 2001 001 Effluent CHLORINE, TOTALRESIDUAL 11/08/01 Daily -- weekdays Frequency Violation
11- 2001 001 Effluent CHLORINE, TOTALRESIDUAL 11/09/01 Daily -- weekdays Frequency Violation
11- 2001 001 Effluent CHLORINE, TOTALRESIDUAL 11/12/01 Daily -- weekdays Frequency Violation
1 1 -2001 001 Effluent CHLORINE, TOTALRESIDUAL 11/13/01 Daily -- weekdays Frequency Violation
11- 2001 001 Effluent ' CHLORINE, TOTALRESIDUAL 11/14/01 Daily -- weekdays Frequency Violation
11- 2001 001 Effluent CHLORINE, TOTALRESIDUAL 11/15/01 Daily -- weekdays Frequency Violation
Page: 2 of 4
Report Date: 04/11/02
VIOLATIONS (all Types) for:
Permit; nc0024201
Facility Name, % , •
11- 2001 001 Effluent
11- 2001 001 Effluent
CHLORINE, TOTALRESIDUAL
CHLORINE, TOTALRESIDUAL
11- 2001 001 Effluent CHLORINE, TOTALRESIDUAL
11- 2001 001 Effluent CHLORINE, TOTALRESIDUAL
11- 2001 001 Effluent CHLORINE, TOTALRESIDUAL
11- 2001 001 Effluent CHLORINE, TOTALRESIDUAL
11- 2001 001 Effluent CHLORINE, TOTALRESIDUAL
11- 2001 001 Effluent CHLORINE, TOTALRESIDUAL
11- 2001 001 Effluent CHLORINE, TOTALRESIDUAL
11- 2001 001 Effluent CHLORINE, TOTALRES1DUAL
11- 2001 001 Effluent CHLORINE, TOTALRESIDUAL
11- 2001 001 - Effluent DO, Oxygen, Dissolved
09 - 2001 001 Effluent NITROGEN, AMMONIA TOTAL
(AS N)
09- 2001 001 Effluent NITROGEN, AMMONIA TOTAL 09/14/01 Daily -- weekdays Frequency Violation
(AS N)
09- 2001 001 Effluent NITROGEN, AMMONIA TOTAL 09/21/01 Daily -- weekdays Frequency Violation
(AS N)
09- 2001 001 Effluent NITROGEN, AMMONIA TOTAL 09/28/01 Daily -- weekdays Frequency Violation
(AS N)
11- 2001 001 Effluent NITROGEN, AMMONIA TOTAL 11/02/01 Daily -- weekdays Frequency Violation
(AS N)
11- 2001 001 Effluent NITROGEN, AMMONIA TOTAL 11/09/01 Daily -- weekdays Frequency Violation
(AS N)
11- 2001 001 Effluent NITROGEN, AMMONIA TOTAL 11/16/01 Daily -- weekdays Frequency Violation
(AS N)
11- 2001 001 Effluent NITROGEN, AMMONIA TOTAL 11/23/01 Daily -- weekdays Frequency Violation
(AS N)
11- 2001 001 Effluent NITROGEN, AMMONIA TOTAL 11/30/01 Daily -- weekdays Frequency Violation
(AS N)
12-2001 001 Effluent NITROGEN, AMMONIA TOTAL 12/07/01 Daily -- weekdays Frequency Violation
(AS N)
12-2001 001 Effluent NITROGEN, AMMONIA TOTAL 12/14/01 Daily -- weekdays Frequency Violation
(AS N)
11/16/01
11/19/01
11/20/01
11/21/01
11/22/01
11/23/01
11/26/01
11/27/01
11/28/01
11/29/01
11/30/01
11/30/01
09/07/01
Daily -- weekdays
Daily -- weekdays
Daily -- weekdays
Daily -- weekdays
Daily -- weekdays
Daily -- weekdays
Daily weekdays
Daily -- weekdays
Daily -- weekdays
Daily -- weekdays
Daily -- weekdays
Daily -- weekdays
Daily -- weekdays
Frequency Violation
Frequency Violation
Frequency Violation
Frequency Violation
Frequency Violation
Frequency Violation
Frequency Violation
Frequency Violation
Frequency Violation
Frequency Violation
Frequency Violation
Frequency Violation
Frequency Violation
Page: 3 of 4
Report Date: 04/11/02
VIOLATIONS (all Types) for:
Permit: nc0N4201;
Facility Name %
12-2001
001
Effluent
12-2001 001 Effluent
REPORTING VIOLATIONS:
NITROGEN, AMMONIA TOTAL
(AS N)
NITROGEN, AMMONIA TOTAL
(AS N)
12/21/01
12/28/01
Daily -- weekdays
Daily -- weekdays
Frequency Violation
Frequency Violation
Page: 4 of 4
Report Date: 04/11/02
DMR OUTFALL LOCATION PARAMETER VIOLATION DATE VIOLATION DESCRIPTION
11- 2001 001 Effluent BOD, 5-DAY (20 DEG. C) 11/30/01 Parameter Missing
12- 2001 001 Effluent BOD, 5-DAY (20 DEG. C) 12/31/01 Parameter Missing
11- 2001 001 Effluent CADMIUM, TOTAL (AS CD) 11/30/01 Parameter Missing
12- 2001 001 Effluent CADMIUM, TOTAL (AS CD) 12/31/01 Parameter Missing
11- 2001 001 Effluent CHROMIUM, TOTAL (AS CR) 11/30/01 Parameter Missing i
12-2001 001 Effluent CHROMIUM, TOTAL (AS CR) 12/31/01 Parameter Missing
11- 2001 001 Effluent COD, Oxygen Demand, Chem. 11/30/01 Parameter Missing
(High Level)
12-2001 001 Effluent COD, Oxygen Demand, Chem. 12/31/01 Parameter Missing
(High Level)
11- 2001 001 Effluent COPPER, TOTAL (AS CU) 11/30/01 Parameter Missing
12-2001 001 Effluent COPPER, TOTAL (AS CU) 12/31/01 Parameter Missing
11- 2001 001 Effluent LEAD, TOTAL (AS PB) 11/30/01 Parameter Missing
12-2001 001 Effluent LEAD, TOTAL (AS PB) 12/31/01 Parameter Missing
11- 2001 001 Effluent NICKEL, TOTAL (AS NI) 11/30/01 Parameter Missing
12- 2001 001 Effluent NICKEL, TOTAL (AS NI) 12/31/01 Parameter Missing
11- 2001 001 Effluent SOLIDS, SETTLEABLE 11/30/01 Parameter Missing
12- 2001 001 Effluent SOLIDS, SETTLEABLE 12/31/01 Parameter Missing
11- 2001 001 Effluent SOLIDS, TOTAL 11/30/01 Parameter Missing
12- 2001 001 Effluent SOLIDS, TOTAL 12/31/01 Parameter Missing
11- 2001 001 Effluent ZINC, TOTAL (AS ZN) 11/30/01 Parameter Missing
12- 2001 001 Effluent ZINC, TOTAL (AS ZN) 12/31/01 Parameter Missing
VIOLATIONS (all Types) for:
Permit: NC0024201
Facility Name %
DMRs Between 1-2000 and 12-2000 Region: %
County %,
Page: 1 of 1
Report Date: 04/11/02
PERMIT: NC0024201 FACILITY: Roanoke Rapids WWTP
COUNTY: Halifax
REGION: Raleigh
LIMIT VIOLATIONS:
UNIT OF CALCULATED
DMR OUTFALL LOCATION PARAMETER VIOLATION DATE MEASURE LIMIT FROM REPORTED VIOLATION DESCRIPTION
04-2000 001 Effluent BOD, CARBONACEOUS 05 04/22/00 ing/I 37.5 42.22 Weekly Average Exceeded
DAY, 20C
01 - 2000 001 Effluent SOLIDS, TOTAL SUSPENDED 01/08/00 ntg/I 45 65.2 Weekly Average Exceeded
SOC PRIORITY PROJECT: No
If Yes, SOC No.:
NPDES STAFF REPORT AND RECOMMENDATIONS
FOR ROANOKE RAPIDS WWTP
Date:4/02/02
To: Water Quality Section
NPDES Permitting Unit
Attention: Teresa Rodriguez
County: Halifax
Permit No.: NC0024201 C eQ-M a'a D
PART I - GENERAL INFORMATION
1. Facility and Address: Roanoke Rapids WWTP
- PO Box 308
Roanoke Rapids, NC 27870
V',;11:f
r�-
-�It
A 1uuZ
PERMITTING 1
ON -DISCHARGE
0
1_APR 1 7 2002
DENR - WATER QUALITY
POINT SOURCE BRANCH
2. Date of Site Visit: 2/27/02
3. Report Prepared by: Bob Mangum
4. Persons Contacted and Telephone Number: Gregg Camp-ORC-252-536-4884
5. Directions to Site: Hwy 64 East to I-95 North to Hwy
158 East (exit 173), App. 1 mile turn left onto
Aqueduct Rd. Facility is at the end of the road
6. Discharge Point(s), List for all discharge points:
Latitude: 36° 26' 10" Longitude: 77 ° 36' 36"
Attach a USGS map extract and indicate treatment facility site and discharge point
on map.
U.S.G.S. Quad No.: B28NE U.S.G.S. Quad Name: Weldon
7. Site size and expansion area consistent with application? Yes
Non -Discharge Staff Report
Page 1
8. Topography (relationship to flood plain included):Facility is above 100 yr flood
plain
9. Location of nearest dwelling: none within 1500 ft.
10. Receiving stream or affected surface waters: Chockoyotte Creek
a. Classification:C
b. River Basin and Subbasin No.: 03 02 08
c. Describe receiving stream features and pertinent
downstream uses: Weldon WWTP is located downstream
PART II - DESCRIPTION OF DISCHARGE AND TREATMENT WORKS
1. a. Volume of Wastewater to be permitted: 8.34 MGD
b. What is the current permitted capacity of the Waste Water Treatment facility?
8.34 MGD
c. Actual treatment capacity of the current facility (current design capacity)?
8.34 MGD
d. Date(s) and construction activities allowed by previous Authorization to
Construct issued in the previous two years: n/a
e. Please provide a description of existing or substantially constructed
wastewater treatment facilities: mechanical bar screen with manual bar
screen by -pass -two degritting devices -influent pump station -two primary
clarifiers -two recirculating rock roughing filters -intermediate pump
station -three rectangular activated sludge aeration basins -two
rectangular final clarifiers with traveling bridge systems -chlorine
disinfection with chlorine contact tank
f. Please provide a description of proposed wastewater treatment facilities:
g. Possible toxic impacts to surface waters: metals
h. Pretreatment Program (POTWs only):
in development: approved: x
should be required: not needed:
2. Residuals handling and utilization/disposal scheme:
a. If residuals are being land applied, please specify DEM permit no.:
WQ0001989
Non -Discharge Staff Report
Page 2
Residual Contractor: SYNAGRO
Telephone No.: 919-766-0328
b. Residuals stabilization: PSRP:
PFRP: Other: PH adjustment or lime stabilization
c. Landfill:
d. Other disposal/utilization scheme (Specify):
3. Treatment plant classification (attach completed rating sheet): Class IV
4. SIC Code(s): 4952
Wastewater Code(s) of actual wastewater, not particular facilities i.e.., non -contact
cooling water discharge from a metal plating company would be 14, not 56.
Primary: 01
Main Treatment Unit Code: 040-3
PART III - OTHER PERTINENT INFORMATION
1. Is this facility being constructed with Construction Grant
Funds or are any public monies involved. (municipals
only)? n/a
2. Special monitoring or limitations (including toxicity) requests: toxicity
3. Important SOC, JOC or Compliance Schedule dates: (Please indicate)
Date
Submission of Plans and Specifications
Begin Construction
Complete Construction
4. Alternative Analysis Evaluation: Has the facility evaluated all of the non -discharge
options available? Please provide regional perspective for each option evaluated.
Spray Irrigation: not enough land
Connection to Regional Sewer System: n/a
Subsurface: n/a
Other disposal options: none
Non -Discharge Staff Report
Page 3
PART IV - EVALUATION AND RECOMMENDATIONS
The Raleigh Regional Office has reviewed all records/reports and conducted a
Compliance Evaluation Inspection. This inspection shows the WWTP appears to
operating properly without any significant problems. The ORC indicated that the facility
may be requesting moving the discharge point to the Roanoke River.
Therefore, it is recommended that this permit be renewed as requested.
Signature of report pr arer
Date
Water Quality Regional Supervisor
al Supervisor ate
Non -Discharge Staff Report
Page 4
NPDES/Non-Discharge Permitting Unit Pretreatment Information Request Form
NPDES OR NONDISrArGE PERMITTING UNIT COMPLETES THIS PART:
Date of Request Ct0
Facility
KO _4 (,o ci, 0
Permit #
hc.o U ; c-J 2U 1
Region
W. Rc7
Requestor
P. a&r i qp.e Z
Pretreatment
Contact
A_D Towns- Keyes McGee (ext. 580)
E-L Towns- Deborah Gore (ext 593)
(M R Townsina Folley text. 523))
S-Z Towns- Steve Amigone (ext 592)
PRETREATMENT UNIT COMPLETES THIS PART:
Status of Pretreatment Program (circle all that apply)
1) the facility has no SIU's and does have a Division approved Pretreatment Program that is INACTIVE
2) the facility has no SIU's and does not have a Division approved Pretreatment Program
the facility has. is4teuelepiag) a Pretreatment PrograT tf��
3a) is Full Program with LTMP or 3b) is Modified Program with STMP
4) the facility MUST -develop a Pretreatment Program - Full Modified
5) additional conditions regarding Pretreatment attachedlor listed below
Flow Permitted Actual ` kNa. P�S�
ST P t' rame:
% Industrial f j (YIC� 7Y1
(
mot cen
L
% Domestic
ne cycle
6//c}
L
(S)
T
MP
Pollutant
Check List
POC due to
NPDES/Non-
Discharge
Permit L mlt
Required
by EPA'
Required by
503 Sludge"
POC due to SIU"'
Site specific POC (Provide Explanation)""
ST -
Freque
efflue
y at
LTMP
Frequency at
effluent
J
Ce)un�
I
4
M
-B64D
J
TSS
Q
M
Ni
NH3
Q
M
V
Arsenic
,
Q
M
v
Cadmium
v
•✓
v'
4
Q
M
v
Chromium
V
V
Q
M
\I
Copper
-J
V
J
4
Q
M
Cyanide
-
Q
M
V
Lead
-J
✓
v
Q
M
V
Mercury
✓
4
Q
M
'
Molybdenum
V
Q
wl
V
Nickel
d
y
V
4
Q
M
Silver
Q
M
V
Selenium
V
4
0
M
'iZinc
d
J
V
•
QM
J
TIL-y\
4
Q
M
Q
M
`
4
Q
M
t, -
'A 0, ,
0:i
-g
I i ,
Q
M
WI
0, s-i
/1
Q
M
4
tM Q .
'Always in the LTMP
"On y in the LTMP it the POTW land applies sludge v
"' Only in LTMP while the SIU is connected to the POTW -
"" Only in LTMP when the pollutant is a specific concern to the POTW (ex -Chlorides for a POTW who accepts Textile waste)`lae
`'C"~-0
Q= Quarterly 4-n h Q
M=Monthly
Comments: l_ a. S vt N N.
• c - TX el' c ,r\ I)I 4-5, t-P5 arQ-- -
rS f
( j ' -7
•
version 8/23/00
/
tU-yN .
NPDES_Pretreatment.requesLfonn.070613 f43 piA J
Jae, 5r2.6,-A4g-ee-
ct � c;1• -Dm (s _?4' -k GuL, i j) 5e' -/ /Y-e
asp Pv.i' �r� Par�uh rs
Revised: August 4, 2000
ARCADIS
MEETING REPORT
Subject:
Roanoke Rapids Sanitary District Effluent
Relocation meeting with the North Carolina
Division of Water Quality (NCDWQ) and the
U.S. Army Corps of Engineers (USACE),
Roanoke Rapids Sanitary District (RRSD) and
ARCADIS.
Department:
Water and Waste Management
Place/Date of Meeting:
February 27, 2002, 10:00 a.m., at the RRSD
Wastewater Treatment Plant
Minutes by:
Mark A. Mulder
Participants:
Dan Brown, RRSD
Gregg Camp, RRSD
Mitchell Robinson, RRSD
Judy Garrett, NCDWQ- Raleigh Regional
Teresa Rodriquez, NCDWQ — NPDES
Amanda Jones, USACE — Raleigh Field
Office
John Maynard, ARCADIS
Raymond Cordon, ARCADIS
Mark Mulder, ARCADIS
Action by:
Introduction
Comments:
■ Sign -In passed out.
MAR - 8 2002
J
ARCADIS Project No.:
NC30191.0000
Report No.:
1
Issue Date:
March 7, 2002
Not Present:
ARCADIS G&M
of North Carolina, Inc.
P.O. Box 31388
Raleigh, NC 27622-1388
2301 Rexwoods Drive - Suite 102
Raleigh, NC 27607-3366
Tel 919 782 5511
Fax 919 782 5905
www.arcadis-us.com
Copies:
Participants
File
• Mr. Cordon welcomed the participants and explained the reason for the meeting.
■ RRSD entered into an agreement with the NCDWQ on December 4, 1997 (copies
were passed out), which states that RRSD can relocate its surface discharge to the
south bank of the Roanoke River downstream of the Chockoyotte Creek, which
would allow RRSD to base their chronic toxicity tests on IWC of 1.3% instead of
the current 39%.
G:1Wwm\Roanoke1301911E ng1DWQMeetingReport.doc
Page:
1/3
ARCADIS
• ARCADIS has investigated three options for relocating the effluent and handed out
a drawing with two of three effluent relocation options shown. All options include
a new junction box with a tideflex valve on the 36" gravity plant effluent line, a
16" force main line from the Plant Effluent Pump Station, and a 36" plant effluent
line out to the Roanoke River. The first option is placing the new effluent
discharge on the south bank of the Roanoke River upstream of Chockoyotte Creek
and on the WWTP site. The second option is extending the existing 36" effluent
line across Chockoyotte Creek and then discharging just downstream of the
Roanoke River and Chockoyotte Creek confluence. The third option is to extend
the 36" effluent line to just downstream of the Roanoke River and Chockoyotte
Creek confluence by placing it on the bottom of Chockoyotte Creek using river
crossing pipe, without trenching and possibly with concrete anchors to hold it in
place.
US Army • Ms. Jones (USACE) stated that any structures in the creek or river would require a
Corps of 404 Section 10 permit.
Engineers • Nationwide Permit (NWP) No. 12 is required for trenching in the creek.
• NWP No. 33 is required for dewatering excavation pits for structure construction
in the creek or river.
• Stabilization will be required on the disturbed embankments.
• There are no buffer requirements for Chockoyotte Creek.
• USACE has no objections to an aerial crossing of Chockoyotte Creek with the
effluent line or placement of the pipe along the bottom of the creek.
• ESACE has no objections with placing the 36" effluent piping on the bottom of
Chockoyotte Creek.
Division of • DWQ said that Option 1 with the effluent discharge upstream of Chockoyotte
Water Creek is a possibility, but would require modeling or field testing to insure that the
Quality effluent would not backup into Chockoyotte Creek. DWQ noted that RRSD had
first expressed this concern when relocation of the WWTP discharge was first
discussed.
• DWQ expressed concern about how the integrity of the effluent piping in the creek
(Option 3) could be tested in 20 years.
• DWQ expressed concern on Option 3 on the strength of the river crossing pipe and
the possibility of structural failure.
• RSSD expressed the desire to continue to discharge the 16" effluent force main at
Roanoke its current location in Chockoyotte Creek. The 16" force main and pump station
Rapidare not used unless the river level is above flood stage and therefore would have
Sanitary little impact on the river. DWQ said they would check on the possibility of leaving
District the 16" effluent discharge in Chockoyotte Creek.
GAWwmlRoanok6301911EngTWQMeettngRepoRdoc
Page:
2/3
6
ARCADIS
ARCADIS
Field
Observation
• The river -crossing pipe is class 56 and has a wall thickness of 0.73" for 36"
diameter ductile iron pipe. The river -crossing pipe has an allowable deflection of
15 degrees.
• Observed the effluent relocation for all three options from the dike around the
WWTP. The Roanoke River was at the lowest level the plant operators or DWQ
personnel had ever seen it.
ARCADIS ■
Adjourn
Summarized the meeting comments as follows:
o Option 1: This option is acceptable provided that flow modeling or field-
testing proves that the plant effluent would not back up into Chockoyette
Creek and cause stagnation problems in the creek.
o Option 2: This option is acceptable. The creek crossing can be an aerial
crossing or the pipe can be trenched into the creek bottom. All creek and river
banks disturbed would need to be stabilized to prevent erosion of the "point" at
the confluence of the creek and river.
o Option 3: This option is acceptable. DWQ has some concerns about
"damming" up water behind the pipe during low flows, so the pipe system
should be designed to allow flow under the pipe during low water level
conditions in the creek.
• The meeting was adjourned at approximately 11:30 a.m.
G:iWwmlRoanoke1301911EngIDWQMeetIngReport.doc
Page:
3/3
- Roam*. LocurP
Asivkibt-
1 )14rcad ke.J
J -i,' <)/JJ4:c-
Co/7,J
T.
- h,S d,cJ`1(1'1116 ap�'o"`' -a` Cat-eeL —
wGxi 70 WO .6FJ sticti
,Wad, //yed- pow fXte% • f� Meel�—
cichnLat- 0.) ,ditt peew
thy yo da+14- agtk
filiv itew-t mceZti
-Lk at,a/C ,10 ait‘t c 364-0A-y---
rAi -
os_o_
��ln, ceari¢aQ @fe»�ry ICoLe. � dQoox C'
-/-ked b6u4-
spy ,ta6e ai ,u;c � �v� Iteicek �-
tpr156 — � .?,�, _ 1../Litt
Mz tail( i4 IU-ral elc sta.. Alitu s<:err
(k-el Awl C'oe7Zs )owu,7e (1,4disc/tale pa.41- c/K_ fe/(A..
maat a - Cad cam- A..i chi. Crt9s�.c=rlS, 8on -}-�.e bd-��r�vw o 1 ovzslic .
VOA) eei)J2-i
kiinio owns Sic c Cte/G - 7L �c �`� i c� al e--
? Cw
► u. ►, c,L.s CAI Cult - 5..t, Matt 414).6 ` 0 p G
uic,
cL - r 1t..R. I' f S zz,F -
C 2AAS iseAii „di/At-ICJ No I- I t.t CtG J ivS Lc.QYrn.�:C�
tOldecd-- V1(1 Cud& b r 0-.01 o 0 c r
P� w,. u
! 11 R U 1 Q, 50a
/7+ a..1)-1v'. iocctcorn - (1O
` -uu.. 4:L m) J
'i F'1 4v c hat — Z cce u1 de 114ak
C a- ) —
;: it cut- di-i-f-czu v1 F -f' iou (64h 4-e-L'u,-± / .0 "")
,21OO d-s - kaboLu
foco - ci Ock --(9YAA c,c) • C,c)...us4Lk p.,2A.vite
e-41 CC
tt- nik,c i` _
Cervukcc-tivi-6)(rnchLU'L
04
A►r�) 1 -12cb
ufs'uctivi of Q-kobairtsvc 64(.)
owo4he r s d( `
�-c vicP sorru)
Qd uutic , cs2tkc..
Roanoke Rapids Sanitary District
1000 Jackson Street P. O. Box 308 Roanoke Rapids, NC 27870 (252) 537-9137 Fax (252) 537-9136
November 29, 2001
Mr. David A. Goodrich, Supervisor
NPDES Unit
NCDENR/Division of Water Quality
1617 Mail Service Center
Raleigh, North Carolina 27699-1617
RE: Renewal of NPDES Permit Number NC0024201
Roanoke Rapids Sanitary District WWTP
Halifax County
Dear Mr. Goodrich:
'E 22001
FiR:Clij?1fI1TY
The Roanoke Rapids Sanitary District is permitted to discharge 8.34 MGD of treated effluent at the
mouth of Chockoyotte Creek at the Roanoke River under NPDES Permit No. NC0024201, which expires
on May 31, 2002. This application is for renewal of the current permit. In accordance with the
requirements of NC G.S. 143.215.1(c) we are submitting the following:
1. Completed and signed permit application, EPA Form 2A, in triplicate (Attachment A);
2. Complete reports of expanded effluent test results for three scans of the last 4 ''A years (Attachment
B);
3. Complete reports of whole effluent toxicity test results for the last 4 '/ years (Attachment C);
4. Complete reports of remediation waste test results for two years (Attachment D); and
5. A narrative description of the biosolids program (Attachment E).
Permit Application Highlights
Prior to renewal of this permit in 1997, the Division of Water Quality (DWQ) had historically
established permit limits for this facility based on the 7Q10 of the Roanoke River. The facility
discharges into Chockoyotte Creek, at its confluence with the Roanoke River. When DWQ issued the
draft permit for this facility in June 1997, a change in DWQ's permitting strategy caused the Sanitary
District to file a Petition for a Contested Case Hearing in the matter, in July 1997. At issue was a
change in the instream waste concentration (IWC) required to be used in the quarterly pass/fail
chronic whole effluent toxicity tests. A negotiated settlement agreement reached in December 1997
provided for an [WC of 39% for the chronic whole effluent toxicity tests, which became effective
February 1, 1999. The settlement agreement did not impact the permitting strategy for conventional
pollutants and toxicants, and limits for those parameters remained established based on the 7Q10 of
the Roanoke River.
Page:
1/3
v
Given the proximity of the facility's discharge to the Roanoke River and the facility's record of passing
the chronic whole effluent toxicity tests at the lower IWC, the Sanitary Istrict respectfully requests that:
1. Permit limits for conventional pollutants and toxicants for this facility remain based on the 7Q10 of
the Roanoke River, as this is the current permitting strategy.
2. The IWC percentage of 39% for quarterly pass/fail chronic whole effluent toxicity tests is
maintained.
Other Issues
1. Part D of EPA Form 2A requests data on volatile organic compounds, acid -extractable compounds,
and base -neutral compounds. This is data that would typically be generated if a facility were
required to conduct Priority Pollutant Scans on the effluent. Although RRSD is not required by the
current NPDES permit to conduct these scans; we have continued to maintain this monitoring and
rather than enter this complex data on the form, we believe it is much more appropriate to provide
you with copies of the expanded effluent test data lab reports and are included as Attachment B.
2. Part E of EPA Form 2A requests toxicity testing data. The data required is the same as that provided
by our laboratory when they conduct the tests. Rather than enter this complex data on the form, we
believe it is much more appropriate to provide you with copies of the full toxicity test lab reports.
These are included in Attachment C.
3. Since our last permit renewal the District has accelerated our commitment to preventing sanitary
sewer overflows. In this regard we have placed a diesel operated 12" pump in the vicinity of our
influent collection box with a piped discharge to our abandoned primary clarifiers. These tanls were
previously utilized for residuals holding and will remain available as secondary storage for biosolids
and primarily for influent flow equalization.
Other Requests for Permit Renewal
We would appreciate DWQ's consideration of these additional requests for this permit renewal:
1. Our current permit requires instream monitoring for dissolved oxygen and temperature. During
this period we have recorded consistent results without any anomalies being observed, therefore
we are requesting this permit requirement be written out of our permit renewal, understanding
this may be revisited on our next renewal. Should this request by denied, we request language in
the permit that specifically incorporates the provisions of 15A NCAC 2B.0505(c)(4) into the
permit. This rule provides that stream sampling may be discontinued when flow conditions or
extreme weather conditions could result in injury or death of the persons collecting the samples
and includes requirements for reporting.
2. The Roanoke Rapids Sanitary District believes it is the State of North Carolina's intention that
the exclusion from sampling during extreme weather and hazardous conditions promulgated
Page:
2/3
{
under 15A NCAC 2B.0505(c)(4) includes influent and effluent sampling in addition to
receiving stream sampling activities. We request the following language be included as a
Special Condition in the NPDES permit:
"Influent and effluent sampling events may be discontinued at such times as extreme
weather conditions or other hazardous conditions (such as local flooding, high winds,
hurricanes, tornadoes, electrical storms, etc.) exist which will result in substantial risk of
injury or death to persons collecting samples. In such cases, on each day that sampling
is discontinued, written justification for tit discontinuance shall be specified in the
monitoring report for the month in which the event occurred. Sampling shall be
resumed at the first opportunity after the risk period has ceased."
3. Please provide us with a copy of the Fact Sheet prepared as part of the draft permit development
as soon as it is available.
4. Please provide documentation of methodology, data, and assumptions used in any Reasonable
Potential Analysis that may be conducted.
5. We request a copy of any comments that DWQ may receive from the public regarding this
permit renewal.
Should additional information be required, please contact me.
Very truly yours,
Roanoke Rapids Sanitary District
le
R. Danieley Bro
(:43Pr-
n, PE
Chief Executive Officer
Enclosures
Copies: Gregg Camp, RRSD
Francine Durso, ARCADIS
NPDES Unit File — 2
File
CHOCKOYOTIE
CRUX DUTFALL
RIPER DUTFALL
r
DIVERSION
BOX
-�-� INFLUENT EOUAUZATION
SULFURIC ACD FOR
pH ADdISININT--1
ri-I wwuu j—, I
I LeRsa J II
DIVERSION TO
CHOCKOYOTTE CREEK
OVERFLOW TO
aKICKOYOTTE CREEK
--0"-
PRIMARY SWDGE
HIM EFTLUENT
Tird PRIMARY IRMO A �STATION
4PUMPS
0 NATANT
QDRAINAGE o c _J
ROM
RECIRCULATION
PUMP �TSN 0
PU2PPU
SUPERNATANT
E
i
.r
l
dRASSTATIONMP
__HMIAs crumw
THICKENERS
1 IrAs oRu�1 _
THICISER
I �
GLUM
STAEJLIT�ATION HIDING
FACLTTY TANKS
PERNATANT,._ 0 SUPERNATANT_
PRIMARY SLUDGE2 PRIAARY 1 SEc ARY
PUIP STATION DID ANAERCDIMESTERG
DIGESTED SLUDGE
DIGESTED SLUDGE
LAND APPLICATION
ORlWAGE
1--�SLIIDS;E DBTYING eEDS} -r-
T
J
LEGEND
NORMAL OPERATION
-----INTERMITTENT OPERATION
D6a1ARGE TO
CHOOCO1fOTTE CREEK
OISOURCE
CHOCXOYOTTE CREEK
PLANT FLOW SCHEMATIC
ROANOKE RAPIDS SANITARY DISTRICT
WASTEWATER TREATMENT PLANT
f ARAD1S
•
■0
w
Q
cc
STRUC1URE LEGEND
1. IFUIENT DIVERSON BOX
2. INFLUENT SEEN
3. GRIT SEPARATOR
4. INFLUENT PUMP STATION
5. IF111ENT VAULT
6. DISTRIBUTION BOX j1
7. PRIMARY CLARIFIER j2
B. PAYARY CLARIFIER j
9. TRICKING FILER DISIR®UTION BOXES
I0. TRICKLING FLIER f2
IT. TRICKLING FILTER fI
12. FILTER EFFLUENT DIVERSON BOX
13. FLIER RECIRCULATION PUMP STATION
14. FILTER EFFLUENT PIAP STATION
15. AERATION TANK 1-3
16 QARIFRRS 1 & 2
17. R.A.S. PUMPS
I8. DISINFECTION TANKAGE
19. DISINFECTION CONTROL BULGING
20. NOT USED
21. NOT USED
22. NOT USED
23. NOT USED
24. NOT USED
25. EFFLUENT LEERING FLUME
26 EFFIIR:NT PUMP STATION
27. EFFLUENT DISCHARGE
26. PUMPED EFFLUENT DISCHARGE
29. PRIMARY SLUDGE PUMP STATION
30. PRIMARY DIGESTERS
31. SECONDARY DIGESTER
32. DISTRIBUTION BOX
33A. SLUDGE STORAGE
33. RELENT EQUAUZA110N/SWOGE STORAGE
34. V.S. PUMP STATION
35. GRAVITY SLUDGE 1WCIO HERS fl & f2
36. DRUM 1HICI NER & THICKENED SLUDGE PUMP STATION
37. LIME TAX TANKS
38. V.A.R. TANKS
39. V.A.R. PUMP STATION
40. SLUDGE TRANSFER PUMP STATION
41. TANKER LOADING STATION
42. ACID STORAGE TANK
43. OPERATIONS BUILDING
44. LABORATORY BUILDING
45. BLDWER AND MAINTENANCE BUIDING
46. SNATPRY SEWER PUMP STA110N
47. SLUDGE BED DRAIN PUMPS
48. GENERATOR
49. MCC
50. MCC
51. TANKER SPILL PROTECTION
52. SIGRYWAIER PULP STATION
PLANT SITE PLAN
ROANOKE RAPIDS SANITARY DISTRICT
WASTEWATER TREATMENT PLANT
itt A! CAD1S