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HomeMy WebLinkAboutNC0024201_Permit (Modification)_19971215NPDES DOCUMENT SCANNING 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: December 15, 1997 This document is printed on reuse paper - ignore any content on the reYerse side State of North Carolina Department of Environment and Natural Resources Division of Water Quality James B. Hunt, Jr., Governor Wayne McDevitt, Secretary A. Preston Howard, Jr., P.E., Director December 15, 1997 Mr. Macon Reavis, Jr., Superintendent Roanoke Rapids Sanitary District P. O. Box 308 Roanoke Rapids, North Carolina 27870 A;1•7,11 DENR Subject: NPDES Permit Modification Permit No. NC0024201 Roanoke Rapids WWTP Halifax County Dear Mr. Reavis: In accordance with the Petition for Contested Case Hearing, the Division is issuing this modified permit as agreed upon in the settlement of this case. This modification includes a revised permit cover page and revised Supplement to Effluent Limitations and Monitoring pages. The modifications reflect continuation of chronic toxicity testing at 1.3% effluent until February 1, 1999. Beginning February 1, 1999, toxicity testing shall be conducted at 39% effluent. The Permittee always has the option to relocate the outfall to the Roanoke River. Should relocation be requested, toxicity testing at 1.3% effluent will resume. Please mote the attached permit cover page and supplement pages should be placed in your pertnit and the old ones discarded. All other terms and conditions contained in the original permit remain unchanged and in full effect. These modifications are 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 December 6, 1983. If you have any questions or need additional information, please contact Mr. Mark McIntire, telephone number (919) 733-5083, extension 553. Sincerely, . Preston Howard, Jr., P.E. cc: Central Files Mr. Roosevelt Childress, EPA Raleigh Regional Office, Water Quality NPDES Unit, Permit File Point Source Compliance / Enforcement Unit Aquatic. Toxicology Unit P.O. Box 29535, Raleigh, North Carolina 27626-0535 Telephone 919-733-5083 FAX 919-733-0719 An Equal Opportunity Affirmative Action Employer 50% recycled/ 10% post -consumer paper Permit No. 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 provision of North Carolina General Statute 143-215.1, other lawful standards and regulations promulgated and adopted by the North Carolina Environmental Management Commission, and the Federal Water Pollution Control Act, as amended, Roanoke Rapids Sanitary District is hereby authorized to discharge wastewater from a facility located at Roanoke Rapids Sanitary District WWTP off of US Highway 158 northeast of 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, III and IV hereof. This permit shall become effective January 1, 1998 This permit and authorization to discharge shall expire at midnight on May 31, 2002 Signed this December 15, 1997 . Preston Howard, Jr., P.E., Director Division of Water Quality By Authority of the Environmental Management Commission Permit No. NC0024201 SUPPLEMENT TO EFFLUENT LIMITATIONS AND MONITORING REQUIREMENTS SPECIAL CONDITIONS A (3). CHRONIC TOXICITY SPECIAL CONDITION The Permittee shall perform quarterly chronic toxicity testing according to the following schedule: 1). From December 15, 1997 through January 31, 1999, the Permittee shall conduct quarterly P/F chronic toxicity testing using ceriodaphnia at 1.3% in accordance with part A (4) below. 2). From February 1, 1999 until relocation of the outfall to the Roanoke River or permit expiration, the Permittee shall conduct quarterly P/F chronic toxicity testing using ceriodaphnia at 39% in accordance with part A (5) below. 3). Should the Permittee choose to relocate the outfall to the Roanoke River prior to expiration, quarterly P/F chronic toxicity testing at 1.3% in accordance with part A (4) below will be required. A (4). CHRONIC TOXICITY PASS/FAIL PERMIT LIMIT (QUATERLY) The effluent discharge shall at no time exhibit chronic toxicity using test procedures outlined in the "North Carolina Ceriodaphnia Chronic. Effluent Bioassay Procedure," Revised November 1995, or subsequent versions. The effluent concentration at which there may be no observable inhibition of reproduction or significant mortality is 1.3% (defined as treatment two in the procedure document). The permit holder shall perform quarterly monitoring using this procedure to establish compliance with the permit condition. The tests will be performed during the months of January, April, July and October. Effluent sampling for this testing shall be performed at the NPDES permitted final effluent discharge below all treatment processes. All toxicity testing results required as part of this permit condition will be entered on the Effluent Discharge Monitoring Form (MR-1) for the month in which it was performed, using the parameter code TGP3B. Additionally, DWQ Form AT-1 (original) is to be sent to the following address: Attention: Environmental Sciences Branch North Carolina Division of Water Quality 4401 Reedy Creek Rd. Raleigh, N.C. 27607 Test data shall be complete and accurate and include all supporting chemical/physical measurements performed in association with the toxicity tests, as well as all dose/response data. Total residual chlorine of the effluent toxicity sample must be measured and reported if chlorine is employed for disinfection of the waste stream. Should there be no discharge of flow from the facility during a month in which toxicity monitoring is required, the permittee will complete the information located at the top of the aquatic toxicity (AT) test form indicating the facility name, permit number, pipe number, county, and 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 any single quarterly monitoring indicate a failure to meet specified limits, then monthly monitoring will begin immediately until such time that a single test is passed. Upon passing, this monthly test requirement will revert to quarterly in the months specified above. Should the permittee fail to monitor during a month in which toxicity monitoring is required, then monthly monitoring will begin immediately until such time that a single test is passed. Upon passing, this monthly test requirement will revert to quarterly in the months specified above. Permit No. NC0024201 SUPPLEMENT TO EFFLUENT LIMITATIONS AND MONITORING REQUIREMENTS SPECIAL CONDITIONS (Continued) A (4). Continued 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. A (5). CHRONIC TOXICITY PASS/FAIL PERMIT LIMIT (QUATERLY) The effluent discharge shall at no time exhibit chronic toxicity using test procedures outlined in the "North Carolina Ceriodaphnia Chronic Effluent Bioassay Procedure," Revised November 1995, or subsequent versions. The effluent concentration at which there may be no observable inhibition of reproduction or significant mortality is 39% (defined as treatment two in the procedure document). The permit holder shall perform quarterly monitoring using this procedure to establish compliance with the permit condition. The tests will be performed during the months of January, April, July and October. Effluent sampling for this testing shall be performed at the NPDES permitted final effluent discharge below all treatment processes. All toxicity. testing results required as part of this permit condition will be entered on the Effluent Discharge Monitoring Form (MR-1) for the month in which it was performed, using the parameter code TGP3B. Additionally, DWQ Form AT-1 (original) is to be sent to the following address: Attention: Environmental Sciences Branch North Carolina Division of Water Quality 4401 Reedy Creek Rd. Raleigh, N.C. 27607 Test data shall be complete and accurate and include all supporting chemical/physical measurements performed in association with the toxicity tests, as well as all dose/response data. Total residual chlorine of the effluent toxicity sample must be measured and reported if chlorine is employed for disinfection of the waste stream. Should there be no discharge of flow from the facility during a month in which toxicity monitoring is required, the permittee will complete the information located at the top of the aquatic toxicity (AT) test form indicating the facility name, permit number, pipe number, county, and 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 any single quarterly monitoring indicate a failure to meet specified limits, then monthly monitoring will begin immediately until such time that a single test is passed. Upon passing, this monthly test requirement will revert to quarterly in the months specified above. Should the permittee fail to monitor during a month in which toxicity monitoring is required, then monthly monitoring will begin immediately until such time that a single test is passed. Upon passing, this monthly test requirement will revert to quarterly in the months specified above. s Permit No. NC0024201 SUPPLEMENT TO EFFLUENT LIMITATIONS AND MONITORING REQUIREMENTS SPECIAL CONDITIONS (Continued) A (4). Continued 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. A.(6) Metals Reopener Condition Although all metals monitoring for this facility has been removed from the NPDES permit, if the discharge exhibits toxic characterstics or reports significant failure of the chronic toxicity test, this permit may be reopened and metals monitoring and/or limitations may be installed. Roanoke Rapids Sanitary District NC0024201 Discharge Point: Latitude: 36°26'10" Longitude: 77°36'34" ROAD CLASSIFICATION PRIMARY HIGHWAY HARD SURFACE SECONDARY HIGHWAY HARD SURFACE LIGHT -DUTY ROAD. HARD OR IMPROVED SURFACE UNIMPROVED ROAD = Latitude see above Longitude see above Map # I29NE Sub -basin 03-02-08 Stream Class C Discharge Class 78.7 % Domestic, 21.3% Industrial Receiving Stream Chockoyette Creek or Roanoke River Design Q 8.34 MGD Permit expires 05/ 31 / 02 0 SCALE 1:24 000 0 1 MILE :�OCS[�FR'C/R?O.CG6LnW 7000 FEET ;max m, ays�z�x axc.:z-ze;.� :zz:.x�m`en 0 1 KILOMETER WigagAl CONTOUR INTERVAL 25 FEET Roanoke Rapids NC0024201 Halifax County WWTP State of North Carolina Department of Environment, Health and Natural Resources Division of Water Quality James B. Hunt, Jr., Govemor Jonathan B. Howes, Secretary A. Preston Howard, Jr., P.E., Director June 20, 1997 Mr. Macon Reavis, Jr., Superintendent Roanoke Rapids Sanitary District P. O. Box 308 Roanoke Rapids, North Carolina 27870 Dear Mr. Reavis: AvW5IPTA EDIEF-INJ I Subject: NPDES Permit Issuance Permit No. NC0024201 Roanoke Rapids WWTP • Halifax County In accordance with the application for discharge permit received on November 26, 1996, the Division is forwarding herewith the subject state - NPDES permit. This permit is issued pursuant to the requirements of North Carolina General Statute 143-215.1 and the Memorandum of Agreement between North Carolina and the U.S. Environmental Protection Agency dated December 6, 1983. In response to your comments regarding the draft NPDES permit received May 28, 1997, the Division offers the following: • The BOD limit for both effluent pages has been changed to CBOD. • The monitoring requirement for fecal coliform for the period of time prior to June 1, 1999 has been modified to 2/Month at the existing instream locations. The location of the fecal coliform sampling point for the period of time after May 31, 1999 has been defined as effluent only. • As Roanoke Rapids does not currently chlorinate, the total residual chlorine monitoring requirement for the period of time prior to June 1, 1999 has been removed. • Continuous reading probes for dissolved oxygen and pH will be acceptable. • Chronic toxicity testing shall be conducted at the existing test percentage, 1.3 %, for the first year of the permit. Thereafter, toxicity testing will be conducted at 52 %. 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, Post Office Drawer 27447, Raleigh, North Carolina 27611-7447. Unless such a demand is made, this permit shall be final and binding. Please take notice that this permit is not transferable. Part II, E.4. addresses the requirements to be followed in case of change in ownership or control of this discharge. P.O. Box 29535, Raleigh, North Carolina 27626-0535 Telephone 919-733-5083 FAX 919-733-0719 An Equal Opportunity Affirmative Action Employer 50% recycled/ 10% post -consumer paper 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 may be required. If you have any questions or need additional information, please contact Mr. Mark McIntire, telephone number (919) 733-5083, extension 553. Sincerely, Original Signed by David A. Goodrich A. Preston Howard, Jr., P_E. cc: Central Files Mr. Roosevelt Childress, EPA Raleigh Regional Office, Water Quality Permits and Engineering Unit Facility Assessment Unit Aquatic Survey and Toxicology Unit Permit No. NC0024201 STATE OF NORTH CAROLINA DEPARTMENT OF ENVIRONMENT, HEALTH, AND NATURAL RESOURCES DIVISION OF WATER QUALITY • PERMIT TO DISCHARGE WASTEWATER UNDER THE NATIONAL POLLUTANT DISCHARGE ELIMINATION SYSTEM In compliance with the provision of North Carolina General Statute 143-215.1, other lawful standards and regulations promulgated and adopted by the North Carolina Environmental Management Commission, and the Federal Water Pollution Control Act, as amended, Roanoke Rapids Sanitary District is hereby authorized to discharge wastewater from a facility located at Roanoke Rapids Sanitary District WWTP off of US Highway 158 northeast of 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, III and IV hereof. This permit shall become effective August 1, 1997 This permit and authorization to discharge shall expire at midnight on May 31, 2002 Signed this day June 20, 1997 Original Signed By David A. Goodrich A. Preston Howard, Jr., P.E., Director Division of Water Quality By Authority of the Environmental Management Commission Permit No. NC0024201 SUPPLEMENT TO PERMIT COVER SHEET Roanoke Rapids Sanitary District is hereby authorized to: 1. Continue to operate an 8.34 MGD municipal wastewater treatment facility (outfall 001) consisting of a bar screen, grit chamber, dual primary clarifiers, dual roughing trickling filters, triple aeration basins, dual final clarifiers, chlorination and dechlorination, dual secondary gravity sludge thickeners, triple anaerobic digestors, lime stabilization facilities, sludge storage and sludge drying beds at a facility located northeast of Weldon, Halifax County (See Part III of this Permit), and 2. Discharge from said treatment works at the location specified on the attached map into Chockoyotte Creek at the Roanoke River (outfall 001) which is classified Class C waters in the Roanoke River Basin. Roanoke Rapids. Sanitary District NC0024201 Discharge Point: Latitude: 36°26'10" Longitude: 77°36'34" ROAD CLASSIFICATION PRIMARY HIGHWAY HARD SURFACE SECONDARY HIGHWAY HARD SURFACE UGHr-DUTY ROAD, HARD OR IMPROVED SURFACE UNIMPROVED ROAD Latitude see above Longitude see above Map # 129NE Sub -basin 03-02-08 Stream Class C Discharge Class 78.7 % Domestic, 21.3% Industrial Receiving Stream Chockoyette Creek or Roanoke River Design Q 8.34 MGD Permit expires 05/ 31 / 02 Roanoke Rapids NC0024201 Halifax County WWTP A. (1) EFFLUENT LIMITATIONS AND MONITORING REQUIREMENTS - FINAL Permit No. NC0024201 During the period beginning on the effective date of the permit and lasting until May 31, 1999, the Permittee is authorized to discharge from outfall(s) serial number 001. Such discharges shall be limited and monitored by the Permittee as specified below: EFFLUENT CHARACTERISTICS LIMITS MONITORING REQUIREMENTS Monthly Average Weekly Average Daily . Maximum Measurement Frequency Sample Type Sample Location' Flow (MGD) 8.34 Continuous Weekly I or E CBOD, 5-day, 20°C2 25.0 mg/L 37.5 mg/L Daily Composite I, E Total Suspended Residue2 30.0 mg/L 45.0 mg/L Daily Composite I, E NH3-N Daily Composite E Fecal Coliform (geometric mean) 2/Month Grab U,D Temperature Daily Grab E,U,D Dissolved Oxygen Daily Grab E,U,D pH3 Daily Grab E Total Phosphorus Monthly Composite E Total Nitrogen (NO2+NO3+TKN) Monthly Composite E Chronic Toxicity4 Quartery Composite E Notes: 2 3 4 Sample Locations: E - Effluent, I - Influent, U - Upstream at 308 Rollingwood Road, on the Roanoke River and the US 158 crossing on Chockoyotte Creek, D- Downstream at the US 158 crossing on the Roanoke River. Upstream and downstream monitoring shall be conducted three times per week during June, July, August and September, and weekly during the rest of the year. The monthly average effluent CBOD5 and Total Suspended Residue concentrations shall not exceed 15% of the respective influent value (85% removal). The pH shall not be less than 6.0 standard units nor greater than 9.0 standard units and shall be monitored daily at the effluent by grab sample. Chronic Toxicity ; See condition A(3) of the Supplement to Effluent Limitations page. There shall be no discharge of floating solids or visible foam in other than trace amounts. 4. A. (2) EFFLUENT LIMITATIONS AND MONITORING REQUIREMENTS - FINAL Permit No. NC0024201 During the period beginning on June 1, 1999 and lasting until expiration, the Permittee is authorized to discharge from outfall(s) serial number 001. Such discharges shall be limited and monitored by the Permittee as specified below: EFFLUENT CHARACTERISTICS • LIMITS MONITORING REQUIREMENTS Monthly Average Weekly Average Daily Maximum Measurement Frequency Sample Type Sample Location1 Flow (MGD) 8.34 Continous Recording I or E CBOD, 5-day, 20°C2 25.0 mg/L 37.5 mg/L Daily Composite I, E Total Suspended Residue2 30.0 mg/L 45.0 mg/L Daily Composite I, E NH3-N Daily Composite E Fecal Coliform (geometric mean) 200 /100 mL 400 /100mL Daily Grab E Total Residual Chlorine 28 pg/L Daily Grab E Temperature Daily Grab E, U, D Dissolved Oxygen Daily Grab E, U, D pH3 Daily Grab E Total Phosphorus Monthly Composite E Total Nitrogen (NO2+NO3+TKN) Monthly Composite E Chronic Toxicity4 _ Quartery Composite E Notes: 2 3 4 Sample Locations: E - Effluent, I - Influent, U - Upstream at 308 Rollingwood Road, on the Roanoke River and the US 158 crossing on Chockoyotte Creek, D- Downstream at the US 158 crossing on the Roanoke River. Upstream and downstream monitoring shall be conducted three times per week during June, July; August and September, and weekly during the rest of the year, The monthly average effluent ClgOD5 and Total Suspended Residue concentrations shall not exceed 15% of the respective influent value (85% removal). The pH shall not be less than 6.0 standard units nor greater than 9.0 standard units and shall be monitored daily at the effluent by grab sample. Chronic Toxicity; See condition A(3) of the Supplement to Effluent Limitations page. There shall be no discharge of floating solids or visible foam in other than trace amounts. Permit No. NC0024201 SUPPLEMENT TO EFFLUENT LIMITATIONS AND MONITORING REQUIREMENTS SPECIAL CONDITIONS A (3). CHRONIC TOXICITY SPECIAL CONDITION The Permittee shall perform quarterly chronic toxicity testing according to the following schedule: 1). From August 1, 1997 through July 31, 1998, the Permittee shall conduct quarterly P/F chronic toxicity testing using ceriodaphnia at 1.3% in accordance with part A (4) below. 2). From August 1, 1998 until the expiration date of this permit, the Permittee shall conduct quarterly P/F chronic toxicity testing using ceriodaphnia at 52% in accordance with part A (5) below. A (4). CHRONIC TOXICITY PASS/FAIL PERMIT LIMIT (QUATERLY) The effluent discharge shall at no time exhibit chronic toxicity using test procedures outlined in the "North Carolina Ceriodaphnia Chronic Effluent Bioassay Procedure," Revised November 1995, or subsequent versions. The effluent concentration at which there may be no observable inhibition of reproduction or significant mortality is 1.3% (defined as treatment two in the procedure document). The permit holder shall perform quarterly monitoring using this procedure to establish compliance with the permit condition. The tests will be performed during the months of January, April, July and October. Effluent sampling for this testing shall be performed at the NPDES permitted final effluent discharge below all treatment processes. All toxicity testing results required as part of this permit condition will be entered on the Effluent Discharge Monitoring Form (MR-1) for the month in which it was performed, using the parameter code TGP3B. Additionally, DWQ Form AT-1 (original) is to be sent to the following address: Attention: Environmental Sciences Branch North Carolina Division of Water Quality 4401 Reedy Creek Rd. Raleigh, N.C. 27607 Test data shall be complete and accurate and include all supporting chemical/physical measurements performed in association with the toxicity tests, as well as all dose/response data. Total residual chlorine of the effluent toxicity sample must be measured and reported if chlorine is employed for disinfection of the waste stream. Should there be no discharge of flow from the facility during a month in which toxicity monitoring is required, the permittee will complete the information located at the top of the aquatic toxicity (AT) test form indicating the facility name, permit number, pipe number, county, and 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 any single quarterly monitoring indicate a failure to meet specified limits, then monthly monitoring will begin immediately until such time that a single test is passed. Upon passing, this monthly test requirement will revert to quarterly in the months specified above. Should the permittee fail to monitor during a month in which toxicity monitoring is required, then monthly monitoring will begin immediately until such time that a single test is passed. Upon passing, this monthly test requirement will revert to quarterly in the months specified above. Should any test data from this monitoring requirement or tests performed by the North Carolina Division of Water Quality indicate potential impacts to the receiving stream, this permit may be re -opened and modified to include alternate monitoring requirements or limits. • Permit No. NC0024201 SUPPLEMENT TO EFFLUENT LIMITATIONS AND MONITORING REQUIREMENTS SPECIAL CONDITIONS (Continued) NOTE: Failure to achieve test conditions as specified in the cited document, such as minimum control organism survival, minimum control organism reproduction, and appropriate environmental controls, shall constitute an invalid test and will require immediate follow-up testing to be completed no later than the last day of the month following the month of the initial monitoring. A (5). CHRONIC TOXICITY PASS/FAIL PERMIT LIMIT (QUATERLY) The effluent discharge shall at no time exhibit chronic toxicity using test procedures outlined in the "North Carolina Ceriodaphnia Chronic Effluent Bioassay Procedure," Revised November 1995, or subsequent versions. The effluent concentration at which there may be no observable inhibition of reproduction or significant mortality is 52% (defined as treatment two in the procedure document). The permit holder shall perform quarterly monitoring using this procedure to establish compliance with the permit condition. The tests will be performed during the months of January, April, July and October. Effluent sampling for this testing shall be performed at the NPDES permitted final effluent discharge below all treatment processes. All toxicity testing results required as part of this permit condition will be entered on the Effluent Discharge Monitoring Form (MR-1) for the month in which it was performed, using the parameter code TGP3B. Additionally, DWQ Form AT-1 (original) is to be sent to the following address: Attention: Environmental Sciences Branch North Carolina Division of Water Quality 4401 Reedy Creek Rd. Raleigh, N.C. 27607 Test data shall be complete and accurate and include all supporting chemical/physical measurements performed in association with the toxicity tests, as well as all dose/response data. Total residual chlorine of the effluent toxicity sample must be measured and reported if chlorine is employed for disinfection of the waste stream. Should there be no discharge of flow from the facility during a month in which toxicity monitoring is required, the permittee will complete the information located at the top of the aquatic toxicity (AT) test form indicating the facility name, permit number, pipe number, county, and 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 any single quarterly monitoring indicate a failure to meet specified limits, then monthly monitoring will begin immediately until such time that a single test is passed. Upon passing, this monthly test requirement will revert to quarterly in the months specified above. Should the permittee fail to monitor during a month in which toxicity monitoring is required, then monthly monitoring will begin immediately until such time that a single test is passed. Upon passing, this monthly test requirement will revert to quarterly in the months specified above. Should any test data from this monitoring requirement or tests performed by the North Carolina Division of Water Quality indicate potential impacts to the receiving stream, this permit may be re -opened and modified to include alternate monitoring requirements or limits. Permit No. NC0024201 SUPPLEMENT TO EFFLUENT LIMITATIONS AND MONITORING REQUIREMENTS SPECIAL CONDITIONS (Continued) NOTE: Failure to achieve test conditions as specified in the cited document, such as minimum control organism survival, minimum control organism reproduction, and appropriate environmental controls, shall constitute an invalid test and will require immediate follow-up testing to be completed no later than the last day of the month following the month of the initial monitoring. A.(6) Metals Reopener Condition Although all metals monitoring for this facility has been removed from the NPDES permit, if the discharge exhibits toxic characterstics or reports significant failure of the chronic toxicity test, this permit may be reopened and metals monitoring and/or limitations may be installed. WATER & LAND SECTION Fax:919-716-6766 cIZQ ac u 22. n STATE OF NORTH CARATA �7 COUNTY OF HALIFA.X ROANOKE RAPIDS SANITARY DISTRICT, Petitioner, v. DIVISION OF WATER QUALITY, OENR, Respondent MINIM Jan 26 '98 11:55 • P. 01 • P V: 9 6 : . , Ant;. `. Y ► E.NE, iAL Eiw;ronmentM DiVisioI IN' THE OFFICE OF ADNENNISTRATIVE MEAR NGS 97EMI 0855 ) ) ) ) NOTICE OF WIT EDRAWAL ) OF PETITION ) ) ) Petitioner hereby withdraws its petition for a contested case hearing. No further proceedings are needed or required to resolve the contested case captioned above_ Respectfully submitted, this _ day of January,1998. ROANOKE RAPIDS SANITARY DISTRICT post-4tv Fax Note To lOvt /��,, CoiDept. ? W& phoRa # Fax 4# 7671 Dat From ao. Ir.:1AgYkA64 — Elizabeth Powell Xenia, N.': ar #15609 SMITH kIELMS MULLIS , MOORE, L.L.P. Post Office Box 27525 Raleigh, North Carolina 27611 Telephone: (919) 755-8700 . # gad. k-06/ • Phone fi Fax l# WATER & LAND SECTION Fax:919-716-6766 Jan 26 '98 11:55 P.02 CERTWLC.ATE OF SERVICE I hereby certify that I have this day filed an oriel and one copy of this NOTICE OF WITHDRAWAL in the Office of Administrative Hearings at the address specified below and that I have, by first class mail, served a copy of the same an counsel for the Respondent at the address specified below: Office of Administrative Hearings Post Office Box 27447 Raleigh, NC 27611-7447 Mr. BartNjoiu-obi Mirth Carolina Department of Alsace Environmental Division Post Office Box 629 Raleigh, North Carolina 27602-0629 Telephone: (919) 716-6600 This the 22. day of January, 1998. ELIZABETH POWELL WATER & LAND SECTION Fax:919-716-6766 Dec 16 '9? 15:04 P.01 STATE OF NORTH CAROLINA COUNTY OF 1L LIAAX ROANOKE RAPIDS SANITARY DISTRICT, Petitioner, v. DIVISION OF WATER QUALITY, DENR, Respondent. IN THE OFFICE OF ADMINISTRATIVE BEARINGS 97 EMIR 0855 STATUS REPORT NOW COMES Petitioner, Roanoke Rapids Sanitary District, and Respondent, Division of Water Quality, and submits this Status Report as requested by the Court. The Parties have attached a copy of the Settlement Agreement executed by both parties. This Agreement indicates that this case will be dismissed, with prejudice, by Petitioner, upon its receipt of an draft permit revised in accordance with the terms of the Agreement. According to counsel for Respondent, the draft permit is currently being prepared and will be forwarded to Petitioner for review by December 19, 1997. Respectfully submitted, this the 16 day of December, 1997. DIVISION OF WATER QU i y: Bart Njoku-o NC Bar #23408 North Carolina Department of Justice Environmental Division Post Office Box 629 Raleigh, North Carolina 27602-0629 Telephone: (919) 716-6600 Peoutaxelgszothie1304.56 ROANOKE RAPIDS SANITARY DISTRICT By: eth Powell Yenta N.C. Bar #15609 SMITH HELMS MULLISS & MOORE, L.L.P. 2800 Two Hannover Square Post Office Box 27525 Raleigh, North Carolina 27611 Telephone: (919) 755-8700 Post-1 Fax NOW 1b IJI! r CO./Dept. Phone* W# Pfra 7671 PAY( Prom - / Dal* f) Co. 4 FIT PageS G >b7 Plsane iF / �d Qa FeX y WATER & LAND SECTION Fax:919-716-6766 Dec 16 '97 10:44 P.01 Mr. Bart Njoku-obi Associate Attorney General State of North Carolina Department of Justice 114 West Edenton Street, 3rd Floor Raleigh, North Carolina 27602 SMITH HELMS MULLISS & MOORE, L. L. P ATTORNEYS AT LAW CHARLQTTc RALEIGH, NORTH CAROLINA POST PF/,GL aox 3I7;47 r:HARLOTTE, N. C. 28231 HAILING ADDRESS STREET ADDRESS ;I,GPNONE 704/9AS'000 POST OFFICE 80X 276E7 2800 TWO HANNOVER SQUARE wcBIMILE 70+n340-or RALEIGH, N. C. 27811 RALEIGH, N. C. 27801 \/NlrcR'e DIFCCT DIAL (919) 755-8757 TELEPHONE iI9/766-977Q FACSIMILE 919/76¢.00 December 15, 1997 GREENSBORQ POSIT orrleq a0X 2;027 GREENSBORO, N. C. 27420 TSL,(pHON; 910/3717•M200 FAC8Ir.1LE 90/0 Q-8SS8 vra 11AND DELIVERY ANC 1 5 I'll/ Emlllrenr:":.nctal c;; )r) Re: Roanoke Rapids Sanitary District v. NCDEHNR, DWQ OAN, 97 EllR 0855, Halifax County Dear Bart: I have attached for your files the original Settlement Agreement signed by Macon Reavis on behalf of the Roanoke Rapids Sanitary District. It is my understanding that your client is already working on the draft revised permit. Pleashay-them send it directly to the District, with a copy to me, when it is ready. .�y Thank you for your assistance. EPY:isc Enclosure cc: Macon Reavis Wendell Moseley Very truly yours, SMITH HELMS MCTLLISS & MOORE, L.L.P. Elizabeth Powerxa� Post-ir Fa Note 7671 T° %11crk l�thre Go.mept De4✓ /^ Phone k (�J c. D2lte,2/,.,%r1��7JPagcs► 3 From - CC�� Co. A/C, - Phone aY 5 714 44 e 1 • At-. my is-l/. �6►rlh2 vt,!r,"ye.. • WATER & LAND SECTION Fax:919-716-6766 Dec 16 '97 10:45 P.02 SEITILBA N'T AGREEMENT This Settlement Agreement is. entered. into this the 26th day of November, 1997, by and between the State of North Carolina by and droughts Department of Environment and Natural Resources, Division of Water r • 'ty (hereinafter "DWQ") and the Roanoke Rapids Sanitary District (hereinafter NRRSD'), collectively referred to herein as the Parties. STIPULATIONS AND RECITALS The Parties stipulate and agree to the following; A. RRSD operates a municipal wastewater treatment facility which is pe n fitted to discharge 8.34 MOD of .treated•effiut at the mouth of •Chockoyotte Creek at•the Roanolo River in the Roanoke River Basin. B. DWQ is authorized to sue permits containing conditions necessary to effectuate the purposes of O.S. 14.3-215.1. C. On June 20, 1997, DWQ issued NPDBS Permit NC0024201 to RRSD. D. RRSD filed a Petition for Contested Ca$e Hearing on July 10, 1997, challenging its NPDES permit based on, among other things, the insertion of a toxicity limit in the permit and the calculation of the insteam waste comlentration (IWC) for the toxicity test percentage. E. The Parties participated in a court ordered mediation on November 10, 1997, at which the terms of this settlement agreement were discussed. NOW TORE, in consideration of the above stipulations and the terms and conditions set forth herein, the Parties agree that ..;1 DWQ•will reissue .NFDES Permit Number 'NC0024 1 with the follow ng revisions: a. Special Condition A(3) will be reyised to require quarterly pass/fail chronic toxicity testing based on an IWC of 1.3% until February 1, 1999 and an IWC of 39% from February 1, 1999 until relocation of the discharge pipe in accordance with Subsection 1(b) below or until expiration of the permit. b. RRSD may choose to relocate. its discharge to a surface discharge en the south bank of the Roanoke River downstream of the Chockoyoute Creek. A diffuser shall not be required to be installed for such discharge. The exact location wI11 be negotiated by RRSD and DWQ during the approval process for the Authorization to Construct. Doemacat Numb= inff16 WATER & LAND SECTION Fax:919-716-6766 Dec 16 '97 10:45 P.03 c. If the discharge is. relocated in accordance with Subsection 1(b) above prior to January 31, 1999, the IWC will remain at 1.3* for the current permitted flow of 8.34 MGD. 2. This Settlement Agr ement.Fesolves, settles and forever discharges all issues pertaining to and arising in connection with RRSD's challenge to NPDES permit NC0024201 and contested case Rik Rapids Sat ry mitt vM, 97 ERR 0855. 3. That neither this Settlement Agreement,, nor any of the findings or allegations which have been settled as a part of this Settlement A ft, shall be used by the DWQ or RRSD, their agents or delegates, in connection with the consideration of the application for, or renewal, modification, or issuance of, permits issued to RRSD by the Division of Water Quality. 4. That coincident with the parties agreement on the wording of the (draft) revised permit, RRSD will dismiss, with prejudice, its administrative appeal. Thereafter, DWQ will issue the agreed -upon revised permit. 5. The parties further agree and.acknowledge that this written agreement sets forth all of the terms and conditions between .them conc tinting the subject matter of this Agreement, superseding all prior oral and written statements and representations, and that there are not terms or conditions between the parties crept as specifically set forth in this Agreement. 6. No modification or waiver of any provision of this Agreement shall be effective unless it is agreed to in writing by the parties. Any modification or waiver must be signed by authorized representatives of the parties. 7. Each of the parties has participated in the drafting of this agreement and has had an opportunity to consult with counsel concerning its terms. This Agreement shall not be interpreted strictly against any one party on the ground that it drafted the Agreement. DEPARTMENT OP ENVIRONMENT AND NATURAL. RESOUR, I)IVISlON OF. WATER QUALITY Preston H Date: Za-ce,im 44A, // MY 7 , Director ROANOKE RAPIDS SANITARY DISTRICT By: Macon Reavis Do®erstl+umbrE IW$ Date: ?D c 97- 2 SETTLEMENT AGREEMENT-��,- ti‘A-� 6ti‘t� \Api This Settlement Agreement is entered into this the 26th day of November, 1997, by and � c between the State of North Carolina by and through its Department of Environment and Natural Resources, Division of Water Quality (hereinafter "DWQ") and the Roanoke Rapids Sanitary District (hereinafter "RRSD"), collectively referred to herein as the Parties. STIPULATIONS AND RECITALS The Parties stipulate and agree to the following: A. RRSD operates a municipal wastewater treatment facility which is permitted to discharge 8.34 MGD of treated effluent at the mouth of Chockoyotte Creek at the Roanoke River in the Roanoke River Basin. B. DWQ is authorized to issue permits containing conditions necessary to effectuate the purposes of G.S. 143-215.1. C. On June 20, 1997, DWQ issued NPDES Permit NC0024201 to RRSD. D. RRSD filed a Petition for Contested Case Hearing on July 10, 1997, challenging its NPDES permit based on, among other things, the insertion of a toxicity limit in the permit and the calculation of the instream waste concentration (IWC) for the toxicity test percentage. E. The Parties participated in a court ordered mediation on November 10, 1997, at which the terms of this settlement agreement were discussed. NOW THEREFORE, in consideration of the above stipulations and the terms and conditions set forth herein, the Parties agree that: 1. DWQ will reissue NPDES Permit Number NC0024201 with the following revisions: a. Special Condition A(3) will be revised to require quarterly pass/fail chronic toxicity testing based on an IWC of 1.3% until February 1, 1999 and an IWC of 39% from February 1, 1999 until relocation of the discharge pipe in accordance with Subsection 1(b) below or until expiration of the permit. b. RRSD may choose to relocate its discharge to a surface discharge on the south bank of the Roanoke River downstream of the Chockoyotte Creek. A diffuser shall not be required to be installed for such discharge. The exact location will be negotiated by RRSD and DWQ during the approval process for the Authorization to Construct. Document Number. 127716 c. If the discharge is relocated in accordance with Subsection 1(b) above prior to January 31, 1999, the IWC will remain at 1.3% for the current permitted flow of 8.34 MGD. 2. This Settlement Agreement resolves, settles and forever discharges all issues pertaining to and arising in connection with RRSD's challenge to NPDES permit NC0024201 and contested case Rnannke Rapids Sanitary 'District v_ NT) T)FNR, 97 EHR 0855. 3. That neither this Settlement Agreement, nor any of the findings or allegations which have been settled as a part of this Settlement Agreement, shall be used by the DWQ or RRSD, their agents or delegates, in connection with the consideration of the application for, or renewal, modification, or issuance of, permits issued to RRSD by the Division of Water Quality. 4. That coincident with the parties agreement on the wording of the (draft) revised permit, RRSD will dismiss, with prejudice, its administrative appeal. Thereafter, DWQ will issue the agreed -upon revised permit. 5. The parties further agree and acknowledge that this written agreement sets forth all of the terms and conditions between them concerning the subject matter of this Agreement, superseding all prior oral and written statements and representations, and that there are not terms or conditions between the parties except as specifically set forth in this Agreement. 6. No modification or waiver of any provision of this Agreement shall be effective unless it is agreed to in writing by the parties. Any modification or waiver must be signed by authorized representatives of the parties. 7. Each of the parties has participated in the drafting of this agreement and has had an opportunity to consult with counsel concerning its terms. This Agreement shall not be interpreted strictly against any one party on the ground that it drafted the Agreement. DEPARTMENT OF ENVIRONMENT AND NATURAL RESOURCES, DIVISION OF WATER QUALITY ROANOKE RAPIDS SANITARY DISTRICT By: Date: Macon Reavis Docmmatt N=ba: 127716 2 06/01/ 98 14:13 FAA. 91975586UU SMITH HELMS tIOORE EJ 003/003 c. If the discharge is relocated in accordance with Subsection 1(b) above prior to January 31, 1999, the ITC will remain at 1.3 % for the = eut permitted flow of 8.34 MOD. 2. This Settlement Agreement resolves, settles and forever discharges all issues pertaining to and arising in connection with RRSD's challenge to NPDES permit NC0024201 and contested case RaanoirP Unpick Sanif2ry I}iStri't 1 T)PN1 , 97 MIR. 0855. 3. That neither this Settlement Agreement, nor any of the findings or allegations which have been settled as a part of this Settlement Agreement, shall be used by the DWQ or RRSD, their agents or delegates, in connection with the consideration of the application for, or renewal, mn 1iflcation, or issuance of, permits issued. to RRSD by the Division of Water Quality. 4. That coincident with the parties agreement on the wording of the (draft) revised permit, RRSD will dismiss, with prejudice, its administrative appeaL Thereafter, DWQ will issue the agreed -upon revised permit. 5. The parties further agree and acknowledge that this written agreement sets forth all of the terms and conditions between them concerning the subject matter of this Agreement, superseding all prior oral and written statements and representations, and that there are not terms or conditions between the parties except as specifically. set forth in this Agreement. 6. No modification or waiver of any provision of this Agreement shall be effective unless it is agreed to in writing' by the parties. Any modification or waiver must be signed by authorized representatives of the parties. 7, Each of the parties has participated in the drafting of this agreement and has had an opportunity to consult with counsel concerning its terms. This Agreement shall not be interpreted strictly against any one party on the ground that it drafted the Agreement. DEPART OF ENVIRONMENT ENT AND NATURAL RESOURCES, DIVISION OF WATER QUALITY A. Preston Ho Date: (2c,,44 ./v 1, (99 7 , Director ROANOKE RAPIDS SANITARY DISTRICT By: Macon Reavis Docvmn2 Mrasba:127716 Date: f,Da-C -txLcrHo••C 70.1a411.118410 rAC4[HIILS 7041J.7; g4G7 WRITER'S DIRECT DIAL (919) 755..3751 4 vACSarir.F WATER & LAND SECTION Fax:919-716-6766 Nov 20 '97 12:07 P.01 11919O M UU IILLNJ ,I AL/KAL iiiGutyi ii:ui r.uuOuVI SMITH HELMS MULLISS & MOORE, L. L. P ATTOR N CY3 Al" LAW RALT H, NORTH CAROLINA GREEN;GCIRD RLOTTS Pd1T OFF=GL SOX Z.1127 Peet errlee ■ WC ant G7CS Nr.Qpilol n. G. •17..74 CHM1,aTT[. N. C. 4+221 MAILING ADDRCGG STREET.nor[s3 roar wew.q. - "�".. ZAee rods .1AM HdVLA SOLARC MALEIOH. d. C. Dill lIALEIatL n. C. L7001 1y4R MCNL 1119r7711V YOG rA.G71 M iLC 9MI/7HI 1I00 Mr. Bart Njoku-obi .Associate Attorney General. State of North Caxolhia. Department of Justice P.Q. Box 629 Raleigh, North Carolina 276O2-O679 Re: Roanoke Rapids Sanitary District v. NC"D&HNR, DVJQ OAR, 97 ERR. 0855, l2alifax county November 20, 1997 reLCPHQid 11.101174 li;L7o ►..,C71HIL4 1.fe/M75.71.YY D4Ear Bart: I have attached a draft of the settlement agreement for the above referenced Cam. You will notice one slight change to Paragraph 1(c). My client; felt that if they incurred the engineering and other cost of preparing and submitting an Authorization to Construct, the provision should also apply. Please forward this to your clients for review. Keep in mind that it will need to be finalized to take to the Commission mooting on December 9. Thank you for your assistance. Very truly yours, SMITE HELMS MULLISS & MOORE, L.L.P. Elizabeth P' EPY:isc Enclosure cc: Wendell Moseley (w/enclosure) Macon Reavis 0i/enclosure) ' WATER & LAND SECTION Fax:919-716-6766 Nov 20 '97 12:07 P.02 C 191558800 SilTH HEMS ET ;IL/PA! II/A/91 11:01 P,003/001 SETTLEMENT AGREEMENT This Settlement Agreement is entered into this the th day of , 1997, by and between the State of North Carolina by and through its Department of Environment and Natural Resources, Division of Water Quality (hereinafter "DWQ") and the Roanoke Rapids Sanitary District (hereinafter "RRSD'), collectively referred to herein as the Pasties. STIPULATIONS AND RECITALS The Parties stipulate and agree to the folldwuig A. RRSI.D operates a municipal wastewater txeatment facility which is permitted to discharge 8.34 MGD or treated effluent at the mouth of C liockoyottc Creek at the bloke diver in the Roanoke River Erin. E, DWQ is authorized to issue permits ntning conditions necessary to effectuate the purposcS Of G.S. 143-215.1. V. On June 20, 1997, DWQ beetled NPDES Permit NC0024201 to RRSD. D. RRSD filled a Petition for Contested Case Hearing on July 10, 1997, clfonging its NPDES permit based on, among other things, the insertion of a toxicity limit in the permit and the calculation of the instream waste concentration (IWC) for the toxicity test percentage. E. The Parties participated in a court ordered mediation on November 10, 1997, at which the terms of this settlement agreement were discussed. NOW THEREFORE, in consideration of the above stipulations and the terms and conditions Set Tartu heeiaty tie -Parties agree that; 1. DWQ will NPDES i\ 201 with the follow-1 revisions: �- — roe d :56 al / f//" - -6 1 1/441.+"''` - a. 8pocial Cooditian A(3) will be revised to require quarterly pass/fail chronic toxicity testing basal an IWC of 1.3 % until Febnmry 1, 1999 and an IWC of 39 % m froFebruary 1, 1999 until n the end —of the l K T, l 4�. 1,-� 1‘Ct t . ifT b. RRSD may choose to relocate its discharge tot; sarfac discharge on the rl . south bank of the RoartOke River downstream of the Chockoyotte Creek. A diffuser shall not be required to be installed for such discharge. The exact location will be negotiated by RRSD and DWQ during the approval process for the Authorization to Construct. DOMINOa...mr tzma II919TbM00 HIT H HELM; ET AL/HAL WATER & LAND SECTION Fax:919-716-6766 Nov 20 '97 12:08 P.03 11/20/97 1I1I F.001/004 r} .) c'S'\ G. If the discharge is relocated in accordance with Su sec'tcon (b) above, or if RRSD applies for an Authorization to Construct to relocate its discharge in accordance with Subsection (b) above prior to January 31, 1999, the IWC will remain at 1.3 % for the current permitted flow of 8.34 MOD. CN' t' '" This -Settlement Agreement resolves, settles and forever discharges all issues pertaining to and arising in connection with RRSD's challenge to NPDES permit NC0024201 and contestcd case Roannkirltarielt Sanitary lli riot v NT2 DI FILAR, 97 EHR 0855. 3. That n thcr this Settlement Agreement, nor any of the findings or allegation which have been settled as a part of this Settlement Agrce[nent, ahatt be used by the DW agents or delegates, in connection with the consideration of the application for, -or renew modification, or issuance of, permits issued to D bKthe Division of Water Quality. S. The parties further arc and acknowledge : t , s wri • n agree I, s o all of the terms and conclirions between them concerning the subject matter of this Agreement, superseding all prior oral and written statements and representations, and that there arc not terms or conditions between the parties except as specifically set forth in this Agreement. 6. No modification or waiver of any provision of this Agreement shall be effective unless it is agreed to in writing by the parties. Any modification or waiver must be signed by authorized xeprewscntativca of the parties. 7. Each of the parties has participated in the drafting of this agreement and has had an opportunity to consult with counsel concerning its terms. This Agreement shall not be interpreted strictly against any one party on the ground that it drafted the Avrecurent. DEPARTMENT OF ENVIRONMENT AND NATURAL RESOURCES, DIVISION' OF WATER QUALITY By: Date:. - T ROANOKE RAPIDS SANITARY DISTRICT By: .Date: _ Macon Reavis nut a: ►rrne 2 Confidential Settlement Document STATE OF NORTH CAROLINA COUNTY OF HALIFAX IN THE OFFICE OF ADMINISTRATIVE HEARINGS 97 EHR 0855 ROANOKE RAPIDS SANITARY DISTRICT ) v. Petitioner, ) ) ) ) ) ) DIVISION OF WATER QUALITY, DEHNR, ) ) Respondent. ) POSITION PAPER OF PETITIONER ROANOKE RAPIDS SANITARY DISTRICT Petitioner Roanoke Rapids Sanitary District (petitioner') submits this position paper for use in the mediation in the above -referenced matter on November 10, 1997. Background Information Petitioner operates an 8.34 MGD municipal wastewater treatment facility which discharges effluent at the mouth of Chockoyotte Creek at the Roanoke River in the Roanoke River Basin. On June 20, 1997, Respondent, the Division of Water Quality, issued NPDES Permit NC0024201 to Petitioner. Among other things, this permit contained a chronic toxicity permit limit based on test procedures outlined in `North Carolina Ceriodaphnia Chronic Effluent Bioassay Procedure" using an effluent concentration of 1.3% until July 31, 1998 and an effluent concentration of 52% from August 1, 1998 until the expiration date of the permit. The choice of the effluent concentration for this limit was calculated by Respondent. Respondent issues NPDES permits under an approved EPA program, which must be implemented in accordance with federal regulations. Basis for Challenge 1. Failure to determine reasonable potential Document Number: 124681 Under 40 CFR 122.25, Respondent has the authority to impose permit limits on its permittees, as long as such program is administered "in conformance" with the federal regulations. Specifically, Section 122.44(d)(1) gives Respondent the authority to impose "any requirements in addition to or more stringent than promulgated effluent limitations guidelines or standards" under the Clean Water Act (CWA) necessary to achieve federal water quality standards or state narrative standards. However, Subsection 122.44(d)(1) (i) specifically states that the State may `control all pollutants or pollutant parameters ... which the Director determines are or may be discharged at a level which will cause, have the reasonable potential to cause, or contribute to an excursion above any State water quality standard, including State narrative criteria for water quality". The federal rule, in subsection 122.44(d)(1)(ii), goes on to say that: When determining whether a discharge causes, has the reasonable potential to cause, or contributes to an in -stream excursion above a narrative standard, the permitting authority shall use procedures which account for existing controls on point and non point sources of pollution, the variability of the pollutant or pollutant parameter in the effluent, the sensitivity of the species to toxicity testing (when evaluating whole effluent toxicity), and where appropriate, the dilution of the effluent in the receiving water. Therefore, it is clear that the Respondent must 1) make a determination of actual cause or reasonable potential to cause a toxicity violation in the stream before it can impose a toxicity limit, and 2) that such determination must be made on a case -by -case basis considering the criteria listed in the federal regulations. There is no documentation in Petitioner's file nor any statements by Respondent's personnel to indicate that a determination of reasonable potential was made before a toxicity limit was imposed in Respondent 's permit. Respondent has stated to Petitioner, verbally, that it takes the position that a toxicity limit must be imposed in the permits of all major dischargers. Such a position is an assumption and not a determination. Such a position renders the language of 40 CFR 122.44(d)(1)(ii) superfluous. Section 122.44(d)(1)(iv) makes it clear that a reasonable potential determination must be made before a toxicity limit can be imposed. Petitioner contends that there is no evidence to establish reasonable potential. If reasonable potential is not found, then toxicity testing can only be a monitoring requirement in Petitioner 's permit. 2. If reasonable potential exists, Respondent 's calculation of Petitioner 's effluent concentration for its toxicity limit is in error and not in accordance with EPA guidelines. It is impossible, in this paper, to discuss all of the errors and inconsistencies in Respondent's calculation and inclusion of a toxicity limit in Petitioner's permit. Notably, in Section 304A(a) of the Clean Water Act mandates that criteria for water quality be established accurately reflecting the latest scientific knowledge on the effects expected from the presence of pollutants in a water body on the concentration and dispersal of Document Number: 124681 2 pollutants through biological, chemical, and physical processes, and on the effects of pollutants on the biological community, diversity, productivity and stability. Respondents own rules, at 15A NCAC 2B.0206, require that water quality based effluent limits be developed to allow appropriate frequency and duration of deviations from water quality standards. In setting Petitioner 's effluent limitation for toxicity, Respondent failed to use 7Q10 or to make observations based on frequency and duration, as required by Section .0206. Specifically, Respondent 1) failed to establish correlation between whole effluent toxicity test results and observed in stream impact, and 2) failed to account for the variability of the pollutant in the effluent when calculating a limit. They failed to use the latest scientific knowledge and look at the actual duration and frequency in determining the limit. 3. If reasonable potential exists and an effluent limit can be calculated that is acceptable in accordance with EPA guidelines, the test method is inappropriate for measuring compliance with such a limit. The test method used as a basis for the toxicity limit is inaccurate, variable, and often results in false positives. Therefore, it is not a proper basis for a permit limit, which can be the basis for enforcement. Respectfully submitted, this the /d day of November, 1997. ROANOKE RAPIDS SANITARY DISTRICT By: izabeth Powell Ye N.C. Bar #15609 SMITH HELMS MULLISS & MOORE, L.L.P. 2800 Two Hannover Square Post Office Box 27525 Raleigh, North Carolina 27611 Telephone: (919) 755-8700 Document Number: 124681 3 CERTIFICATE OF SERVICE The undersigned hereby certifies that the foregoing Position Paper of Roanoke Rapids Sanitary District was served upon all parties of record by hand delivery to the following: Bart Njoku-Obi Associate Attorney General NC Department of Justice Environmental Division Post Office Box 629 Raleigh, North Carolina 27602-0629 Attorney for Respondent This the /6 day of November, 1997. Elizabeth Powell Yerxa Document Number: 124681 "a 4 MICHAEL F. EASLEY ATTORNEY GENERAL MEMORANDUM To: From: Date: State of North Carolina Department of Justice P. O. l;OX 621) HALER ;I -I 27(i02•O(i29 Tom R. West, Mediator Bart Njoku-Obi, Counsel for NCDENR, DWQ November 10, 1997 RE: Mediated Settlement Conference: Position Paper of NCDENR. DWQ Roanoke Rapids Sanitary District v. NCDENR, DWQ (OAH, 97 EHR 0855) REPLY TO: Ban Njoku-Obi Associate Attorney General Environmental Division Tel.(919) 716-6600 Faa. (919) 716-6767 The following is summary of NCDENR's position(s) in this matter, which are set out herein only for the purposes of this mediated settlement conference. I. Brief History A. 1993 NPDES Permit and "the Study" In pertinent part, the Division of Water Quality ("DWQ") initially issued NPDES permit no. NC0024201 to Roanoke Rapids Sanitary District ("RRSD") on January 29, 1993. The subject facility was permitted to discharge 8.34 MGD of treated domestic and industrial wastewater into the Chockoyotte Creek ("Creek"), at a point approximately 100 feet from of the creek's confluence with the Roanoke River ("River").1 However, under this permit, the Instream Waste Concentration ("IWC") at which the RRSD was required to test for chronic toxicity was based on the low flow conditions of the River not the Creek. As a result, chronic toxicity testing under the permit was to be conducted at 1.3%. Consistent with state environmental requirements and water quality concerns for protecting the Creek, the 1993 NPDES permit required the RRSD to relocate its outfall from the Creek to the River. At the behest of the RRSD, however, the outfall relocation requirement was later waived by the DWQ. Instead, following extensive discussions, the parties jointly agreed on a study plan ("Study") which would determine actual dilution (and subsequently the IWC) for the RRSD's discharge into the Creek. The results of the Study were to be used to develop appropriate NPDES permit limitations for toxics.2 The Study was conducted by the DWQ in cooperation with the RRSD, and the Study results were to be used to develop permit limits at the time of the permit renewal in 1997. B. Results of "the Study" and the 1997 NPDES Permit Following compilation of the Study results, the DWQ determined that the appropriate chronic toxicity testing percentage for the RRSD's discharge into the Creek should be 79%. The RRSD expressed concerns that this IWC test percentage was unreasonable and should be lowered. Thus, following discussions between the parties, the DWQ revised the IWC test percentage downward to 52%.' The DWQ issued the 1997 NPDES permit with the condition that chronic toxicity testing was to be conducted at 1.3% for the first year of the permit, and thereafter, to be conducted at 52%. The RRSD subsequently filed a contested case challenging the this permit condition. The Creek has an estimated flow of Q cfs verus the River's estimated minimum flow of 1000 to 2000 cfs. 2 The RRSD was informed that potential results of the Study could include more stringent toxic limitations including whole effluent toxicity test requirements. Nevertheless, the RRSD concurred with the Study. 3 This revised percentage was not simply picked at random. The revision was made based on existing data collected from the Study, and on reasonable adjustments to assumptions upon which the Study results were derived. 97 EHR 0855, Mediation, pg: 2 II. NCDENR's Position(s) A. To the extent that federal requirements of 40 CFR Part 122 are applicable in this matter, such requirements provide minimum standards. The State of North Carolina is not precluded from adopting and enforcing more stringent state requirements for activities covered by 40 CFR Part 122. B. With regard to state requirements generally: 1. G.S. § 143-214.1 authorizes and directs the Environmental Management Commission ("EMC") to develop a series of water body classifications and water quality standards applicable to each classification. 2. G.S. §143-215 authorizes and directs the EMC to develop and adopt effluent standards and limitations for toxic wastes or combinations of toxic wastes discharged from any point source. 3. The EMC has adopted a narrative water quality standard for all waters in North Carolina, set forth at 15A NCAC 2B .0208. This water quality standard for toxicity to aquatic life requires that the concentration of toxic substances in an effluent discharge not render waters of the state injurious to aquatic life or impair such waters for any designated uses. 4. The EMC is authorized by G.S. §143-215.1 and § 143-215 to place permit limits on the amount of toxic substances that may be discharged from a facility in order to protect the EMC's water quality standard for toxicity to aquatic life. 5. Pursuant to 15A NCAC 2H .0112, the Director of the DWQ is authorized to issue a permit containing such conditions as are necessary to effectuate the purposes of G.S. 143-215.1. 6. 15A NCAC 2B .0508 lists in tabular form the minimum tests applicable to standard industrial classifications for any particular water pollution control facility or point source. As provided in the rule, the requirement for toxics and toxicity is denoted by the symbols **, referring the reader to the end of the rule where the following text is set out: ** Specific test type, conditions, and limitations will be defined by permit. Toxicity limits will be applied to all major discharges and all discharges of complex wastewater. Toxicity limitations and monitoring requirements may be applied to permits for other discharges when, in the opinion of the Director, such discharge may impair the best use of the receiving water by the discharge of toxic substances in toxic amounts. 7. The DWQ's procedure for protecting the water quality standard for aquatic toxicity is to impose a permit condition requiring permittees to perform a designated toxicity test on a solution comprised of a specified concentration of the effluent discharge equal to the IWC. Per 15A NCAC 2B .0206, the DWQ to uses the 7Q10 flow in calculating the effluent limitation for whole effluent toxicity, and uses the NPDES permitted waste flow, referred to as the design flow, in calculating the effluent limitation for whole effluent toxicity. C. In essence, the statutes and rules set out above (which are not exhaustive) authorize the DWQ to impose the chronic toxicity testing limitations in the RRSD's 1997 NPDES permit (as set out therein). D. Under the RRSD's 1993 NPDES permit, chronic toxicity testing was conducted at 1.3%. At the time, this permit limit was set at 1.3% because the DWQ did not have sufficient data upon which to set an appropriate limit to adequately protect the Chockoyotte Creek ("Creek"). In the opinion of the DWQ, as a result of the Study (referred to above), the DWO now has sufficient data upon which to set an appropriate chronic toxicity testing limit in the RRSD's 1997 permit to adequately protect the Creek. The Study. its results. the IWC the DWQ has determined for the RRSD's discharge into the Creek. and the present chronic toxicity testing limit set out in the RRSD's 1997 permit. are sound. and the DWQ stands by its findings/determinations. For purposes of this mediated settlement conference, the DWQ is, within reason, willing to discuss with the RRSD what the 'appropriate' chronic toxicity testing limit for its 1997 permit should be. However, any revision of this limit from 52%, at a minimum, has to be consistent with state water quality pollution control requirements and based on the existing data collected from the Study, as well as sound, generally accepted scientific principles. June 10, 1997, revised November 6, 1997 MEMORANDUM To: File From: Mark McIntire NPDES Group Subject: Roanoke Rapids WWTP NPDES Permit No. NC0024201 Halifax County The existing NPDES permit contained a special condition requiring Roanoke Rapids to relocate their discharge to the mainstem of the Roanoke River during that permit cycle. The discharge is into Chockoyotte Creek, about 100 feet upstream of its confluence with the Roanoke River. In 1995, Roanoke Rapids made an argument not to relocate the discharge location. Steve Tedder concluded that the relocation of the discharge point was not the best option for water quality protection. Steve Tedder made the recommendation to the Preston Howard that a study be conducted to determine the actual instream waste concentration at the discharge point (head pressure from the Roanoke River causes wide variation iirthe dilution at the discharge location). A study plan was sent to Roanoke Rapids along with a letter indicating the Division intentions. Roanoke Rapids subsequently sent a letter back to the Division concurring with the Division's intentions as well as the plan of study. A one year study was undertaken to determine dilution at the discharge location. Juan Mangles worked in conjunction with Roanoke Rapids to determine an accurate IWC. The study was completed with the results of that study being incorporated into the draft permit. The Division had a meeting with Roanoke Rapids concerning that draft permit on May 15, 1997. In that meeting, Roanoke Rapids voiced their concerns with the toxicity testing requirement of 79% (the results of the study). The existing test percentage is 1.3%. After that meeting, Steve Tedder made the administrative decision to leave the 1.3% in the permit for the first year. Thereafter, the test percentage will be 52% (50th percentile of dilutions determined in the study). The final permit reflects this decision. Roanoke Rapids was informed of the Division's intention to issue the final permit with this toxicity testing on June 10, 1997. Limits for toxicants are determined based on dilution. Had chemical specific limitations been installed in this permit, Roanoke Rapids would likely not have been in compliance. Reasonable potential analyses indicated that standard or action level violations were expected for zinc, lead, copper and cadmium. Installation of limitations based on the study determined dilution would have required Roanoke Rapids to revise its pretreatment permits accordingly. Realizing that this would potentially cause serious implementation problems, the Division opted to install only a chronic toxicity test at the appropriate instream waste concentration. The theory being that this toxicity test would act as a saftey net, protecting for all toxicants and combinations of toxicants in the effluent. 1vQ►N� rZ.�C.iJck d 51ti�-1 Roaoke Rapids Instream IWC Study L. rn cI �c ic. Station Conductivity Instream Number Date % IWC Position 12 11-Apr-95 13 11-Apr-95 14 11-Apr-95 51.6 % 44.8 % 56.3 % 58.5 % 6.0 % 6.8 % top bottom top bottom lop bottom 15 11-Apr-95 ? top bottom 12 19-Apr-OS 13 19-Apr-95 14 19-Apr-95 15 19-Apr-95 12 26-Apr-05 13 26-Apr-95 14 26-Apr-95 29.7 % 29.7 % 50.0 % 21.0 % 5.3 % 5.4 % 5.0 % 5.0 % 38.0 % 34.2 % 52.3 % 39.4 % 25.6 % 14.7 % top bottom top bottom top bottom top bottom top bottom top bottom top bottom 15 26-Apr-95 6.0 % top 6.5 % bottom 12 10-May-95 13 10-May-95 14 10-May-95 53.0 % 59.1 % 63.8 % 62.5 % 40.5 % 32.7 % top bottom top bottom top bottom 15 10-May-95 5.6 % top 5.9 % bottom 12 17-May-95 13 17-May-95 14 17-May-95 [_15 17-May-95 64.8 % 61.0 % 61.0 % 41.2 % 34.6 % 8.0 % 5.3 % 6.1 % 12 24-Mai-Sot 45.3 % 55.6 % 91.0 % 89.0 % 89.0 % 82.0 % • 13 24-May-95 14 24-May-95 top bottom top bottom top bottom top bottom top bottom top bottom top bottom 3.35cls3 (bwec( o+J fRVC. rtaiA)) 15 24-May-95 51.6 % top 8.2 % bottom 12 31-May-95 13 31-May-95 14 31-May-95 36.0 % 43.7 % 63.8 % 63.9 % 48.3 % 17.1 % top bottom top bottom top bottom 15 31-May-95 7.0 % top 7.4 % bottom 12 7-Jun-95 13 - 7-Jun-95 14 7-Jun-95 25.9 % 41.2 % 31.0 % 31.6 % 7.2 % 7.5 % top bottom top bottom top bottom 15 7-Jun-95 7.1 % top 7.1 % bottom 12 14-Jun-95 1 3 14-Jun-95 1 4 14-Jun-95 28.3 % 26.2 % 6.8 % 6.9 % 6.8 % 6.8 % top bottom top bottom top bottom 15 14-Jun-95 6.8 % top 6.8 % bottom 12 21-Jun-95 13 21-Jun-95 14 21-Jun-95 38.0 % 41.0 % 54.6 % 55.8 % 49.7 % 20.0 % top bottom 56.3 % 65.9 th 51.0 top 56.0 % 65.4 th 50.9 bottom 6.2 7 6.5 1'b6.:8_ % ___ if5.07h] 6"4. 5 06 50.0 top 56.6 % 64.5 th 49.7 bottom 55.5 % 64.0 th 48.3 15 21-Jun-95 6.3 % top 7.9 % bottom 12 28-Jun-95 33.1 % 21.0 % top bottom All Alt Data Data Percentile (omitting 15) Percentile 110.0 98.0 95.0 95.0 95.0 95.0 94.7 94.5 94.1 94.0 93.0 93.0 92.3 91.7 91.2 91.0 91.0 90.0 90.0 90.0 89.8 89.0 89.0 88.0 87.0 87.0 87.0 86.7 86.7 86.0 86.0 86.4 86.0 84.9 82.6 82.0 80.5 78.3 77.0 77.0 74.6 74.0 73.2 100.0 th 98.0 % 100.0 th 99.5 th 95.0 % 99.4 th 99.1 th 95.0 % 98.8 th 98.6 th 95.0 % 618.2 th 9& 1 th 95.0 % 97.6 th 97.7 th 94.7 % 97.0 th 97.2 th 94.5 % 96.3 th 967 th 94.1 % 95.7 th 963 th 94.0 % 915.1 th 95.8 th 93.0 % 94.5 th 95.3 th 93.0 % 93.9 th 94.9 th 91.7 % 93.3 th 64.4 th 91.2 % 92.7 th 9113.9 th 91.0 % 92.1 th 915 th 90.0 % 91.5 th 930th 90.0 % 90.9th 92.5 th 90.0 % 90.2 th 92.1th 89.8 % 16th 91.6 th 89.0 % 89.0 th 91.1 th 89.0 % 88.4 th 9Q 7 th 87.0 % 87.8 th 9Q2 th 87.0 % 87.2 th 89.7 th 86.7 % 86.6 th 893th 86.7 % 86.0th 8&8 th 86.0 % 85.4 th 8&3 th 85.4 % 84.8 th 87.9 th 84.9 % 84.1 th 87.4th 82.6 % 83.5th 86.9 th 82.0 % 82.9 th 864 th 78.3 % 82.3 th 860 th 77.0 % 81.7 th 85.5 th 732 % 81.1 th 85.0 th 70.0 % 80.5 th 84.6 th 1 69.8 % 79.9 th 84.1 th 69.5 % 79.3 th 83.6th 69.1 % 713.7th 832 th 67.0 % 78.0 th 82.7 th 67.0 % 77.4 th 82.2th 65.9 % 76.8th 81.8th IW 65.6 % 76.2th 81.3 th b 64.8 % 75.6 th 80.8 th tIms 63.9 % 75.0 th 8Q4 th now63.8 % 74.4 th c1 o/p 63.8 % 73.8 th 69.8 % 79.4 th 63.8 % 73.2 th 69.5 % 79.0 th 82.5 % 72.6 th 69.1 % 78.5 th 61.0 % 72.0 th 67.0 % 7&0 th 61.0 % 71.3 th 67.0 % 77.6th 61.0 % 70.7th 65.9 % 77.1 th 61.0 % 70.1 th 65.6 % 766 th 60.0 % 69.5 th 64.8 % 762th 59.5 % 68.9th 63.9 % 75.7 th 59.1 % 68.3 th 63.8 % 75.2th� ��-,io068.7 % 67.1 th 1 63.8 % 74.8 th 63.8 % 74.3 th 58.5 % 66.5 th 62.5 % 738 th 58.0 % 65.9 th 81.5 % 734 th 58.0 % 65.2 th 61.0 % 72.9 th 572 % 64.6 th 61.0 % 72.4 th 56.3 % 64.0 th % 72.0 th 55.8 % 63.4 th % 71.5th 55.6 % 62.8th % 71.0th 55.5 % 62.2th % 70.6 th 54.6 % 61.6 th % 7Q1 th 3O.5`X 54.0 % 61.0th % 69.6 th 54.0 % 60.4 th % 69.2 th 54.0 % 59.8 th % 6& 7 th 53.5 % 59.1 th % 6&2 th 53.0 % 58.5 th % 67.8th 52.3 % 57.9th 58.0 % 67.3 th 52.0 % 57.3 th 57.2 % 668 th 51.8 % 56.7 th 56.9 % 664 th 51.6 % 56.1 th % 55.5 th % 54.9th % 54.3th % 53.7th % 53.0th 54.6 % 636 th 47.0 % 52.4 th 54.0 % 631 th 46.3 % 51.8 th 54.0 % 62.6 th 45.3 % 51.2 th 54.0 % 62.1 th 44.8 % 50.6 th 70.0 %. 79.9th 'i•I5c13 61.0 61.0 60.0 59.5 5 .LIO 59.1 `59.1 59.0 58.7 58.5 58.0 • .r i -:.- . Y . 4,E,12 v 0 c0 a ve flow = S. 05 t t4'1. -,0 ThE I 1 �. Alit 1. �•• f'C .: A : t N (S) Roaoke Rapids Instream MC Study Station Conductivity Instream Number Date % IWC Position All All Data Data Percentile (omitting # 5) Percentile # 3 28-Jun-95 # 4 28Jun-95 42.0 % 22.0 3.3 % 6.1 % top bottom top bottom # 5 28-Jun-95 6.0 % top 5.3 % bottom # 2 5Jul-95 # 3 5-Jul-95 # 4 5-Jul-95 16.0 16.6 14.8 14.6 15.0 15.0 94 54 % IO top bottom top bottom top bottom # 5 5Jul-95 15.0 % top 15.0 % bottom # 2 12Jul-95 # 3 12Jut-95 # 4 12Jul-95 11.8 % 14.0 % 24.3 % 23.3 % 19.8 % 15.3 % top bottom top bottom top bottom # 5 12Jul-95 19.2 % top 6.0 % bottom # 2 19Jul-95 19.1ui-95 # 4 19Jul-95 #-3 16.6 % 26.5 % 63.8 % 65.6 % 59.0 % 59.5 % top bottom top bottom top bottom # 5 19Jui-95 61.5 % top 56.9 % bottom # 2 26-Jul-95 # 3 26Jul-95 # 4 26Jul-95 18.2 % 29.5 % 40.0 % 38.6 94 23.9 % 28.4 % top bottom top bottom top bottom # 5 26-Jul-95 39.0 % top 10.6 % bottom # 2 2-Aug-95 # 3 2-Aug-95 # 4 2-Aug-95 23.9 % 26.8 54 61.0 % 61.0 % 58.0 % 58.0 % top bottom top bottom top bottom # 5 2-Aug-95 59.1 % top 56.0 % bottom # 2 9-Aug-95 # 3 9-Aug-95 # 4 9-Aug-95 #5 9-Aug-95 # 2 16-Aug-95 # 3 16-Aug-95 # 4 16-Aug-95 38.0 69.1 95.0 86.0 95.0 94.1 87.0 31.0 51.0 89.8 93.0 90.0 90.0 90.0 56 e% 54 % % 94 o% 94 96 o% top bottom top bottom top bottom top bottom top bottom top bottom top bottom # 5 16-Aug-95 77.0 % top 74.6 % bottom # 2 23-Aug-95 # 3 23-Aug-95 # 4 23-Aug-95 23.5 % 94.5 % 98.0 % 94.7 % 95.0 % 91.2 % top bottom top bottom top bottom # 5 23-Aug-95 92.3 % top 85.0 % bottom # 2 30-Aug-95 # 3 30-Aug-95 # 4 30-Aug-95 25.0 % 57.2 % 95.0 % 47.0 % 67.0 % 35.9 % top bottom top bottom top bottom # 5 30-Aug-95 74.0 % top 110.0 % bottom #2 6-Sep-95 # 3 6-Sep-95 38.0 % 60.0 % 86.7 % 86.7 % top bottom top bottom 53.5 % 61.7th 43.7 % 50.0th 53.0 % 61.21h 43.0 % 49.4 th 52.3 % 60.7 th 42.0 % 48.8 th 52.0 % 60.3 th 41.2 % 48.2 th 1' C' 1 f 51.8 % 59.8 th ; 64 0,6 41.2 % 47.6 th 51.6 % 59.3 th 41.0 % 47.0 th 51.6 % 58.9 th 40.9 % 46.31h 51.0 % 58.4th 40.5 % 45.7th 50.9 % 57.9 th 40.0 % 45.1 th 50.0 % 57.5 th 39.4 % 44.5 th 49.7 % 57.0 th 38.8 % 43.9 th 48.3 % 56.5 th 38.6 % 43.3 th 47.0 % 56. l th 42.1 th 38.0 % 42.7 th 46.3 % 55.6 th 38.0 % 9 �t5 cF5 L 45.3 % 55.1 th ]3}.R.% 38.0 % 41.51h 44.8 % 54.7 th 38.0 % 40.9 th 43.7 % 54.2 th 37.0 % 40.2 fh 43.0 % 53.7 th 36.0 % 39.6 th 42.0 % 53.3 th 35.9 % 39.0 th 41.2 % 52.8 th 34.7 % 38.4 th 41.2 % 52.3 th 34.6 % 37.8 th 41.0 % 51.9 th 34.4 % 37.2 th 40.9 % 51.4 th 34.2 % 36.6 th 40.5 % 50.9 th 33.1 % 36.0 th 40.0 % 50.5 th 32.7 % _35.4 th 11.0 GFS 39.4 % 50.0 th i 5 1. Z% 32.7 % 34.8 th 39.0 % 49.5 th 31.6 % 34.1 th 38.8 % 49.1 th 31.2 % 33.5 th 38.6 '%48.6 th 31.0 °% 32.9 th 38.0 % 48.1 th 29.7 % 32.3 th 38.0 % 47.7 th 29.7 % 31.71h 38.0 % 47.2 th 29.5 % 31.1 th 38.0 % 46.7 th 28.4 % 30.51h 37.3 % 46.3 th 28.3 % 29.9 th 37.0 % 45.8 th 26.8 % 29.3 lh 36.0 %45.3 th 26.8 %28.7 th 13 . °1 GF3 Y 36.0 % 44.9 th i �{ IO 26.5 % 28.0 th 35.9 % 44.4 th 26.2 % 27.4 th 34.7 % 43.9 th 25.9 % 26.8 th 34.6 % 43.5 th 25.5 % 26.2 1h 34.4 % 43.0 th 25.0 % 25.6 th 34.2 % 42.5 th 24.4 % 25.0 th 33.9 % 42.1 th 24.3 % 24.4 th 33.1 % 41.61h 239 % 23.8th 32.7 % 41.1 th 23..9 % 23.2 th 32.7 % 40.7 th 23.5 % 22.6 th 16 c 9 5 5 I 31.6 %e 40.2 th i 93 % 23.3 % 22.0 th 31.2 % 39.71h 22.0 % 21.3 th 31.0 % 39.3lh 21.0 % 20.71h 31.0 %38.8 th 21.0 %20.1 th 29.7 % 38.3 !h 20.0 % 19.5 th 29.7 % 37.9 !h 19.8 % 18.9 th 29.5 % 37.4 th 18.2 °% 18.3 th 28.4 % 36.91h 17.1 % 17.7 th 28.3 % 36.4 th 16.6 % 17.1 th 26.8 % 36.0 !h 16.6 %16.51h 26.8 % 35 5 th 16.0 % 15.9 th 26.5 %35.0 th 15.3 % 15.2 th 26.2 % 34.6 th 15.0 % 14.6 th 25.9 % 34.1 th 15.0 % 14.0 th 25.5 % 33.6 th 14.8 °% 13.4 th 25.0 % 33.2 th 14.7 % 12.8 th 24.4 % 32.7 th 14.6 % 12.2 lh 24.3 % 32.2th 14.0 °% 11 .6th 23.9 % 31.8 th 11.8 % 11.0 th 23.9 %31.3 th 8.1 % .41h 23.5 % 30.8 th 8.0 % 9.810th 23.3 % 30.4 th 7.5 % 9.1 th 22.0 %29.9 th 7.2 % 8.51h 22.0 '%29.4 th 6.9 %7.91h 21.3 % 29.0 th 6.8 % 7.3 th 21.0 % 28.5 th 6.8 % 6.71h 21.0 % 28.0 th 6.8 % 6.1 th 20.0 % 27.6 th 6.8 %5 5 th 19.8 %27.1 th 6.6 % 4.9 th 19.2 °% 26.6 th 6.1 % 4.3 th 18.2 % 26.2 th 6.0 % 3.71h 17.1 % 25.7th 5.4 %3.Oth 16.6 % 25.2 th 5.3 % 2.4 th 16.6 % 24.8th 5.0 % 1.8fh 18.0 % 24.3 th 5.0 % 1.2 th 15.3 °% 23.8th 3.3 % 0.6th . . Roaoke Rapids Instream 1WC Study WI Surface All Surface Data All Bottom All Bottom Data Data Percentile (omitting 4 5) Percentile Data Percentile (omitting 4 5) Percentile 18.2 % 23.4 th 16.6 % 22.4 th 16.0 % 21.5 th 15.0 % 20.61h 15.0 % 19.6 th 14.8 % 18.7 th 11.8 % 17.8 th 7.9 % 16.8 th 7.2 % 15.91h 7.1 % 15.0 th 7.0 % 14.0 th 6.8 % 13.1 1h 6.8 % 12.1 th 6.8 % 11.2 th 6.6 % 10.3 th 6.4 % 9.3 th 6.3 % 8.41h 6.0 % 7.5 th 6.0 % 6.5 th 6.0 % 5.6 th 5.6 % 4.7 th 5.3 % 3.7 th 5.3 % 2.8 th 5.0 % 1.9 th 3.3 % 0.9 th 14.6 % 23.4 1h 14.0 % 22.4 th 10.9 % 21.5 th 10.6 % 20.6th 8.6 % 19.6 th 8.2 % 18.7 th 8.1 % 17.81h 8.0 % 16.8 th 7.9 % 15.9 th 7.5 % 15.0 th 7.4 % 14.0 th 7.1 % 13.1 th 6.9 % 12.1 th 6.8 % 11.21h 6.8 % 10.3 th 6.8 % 9.3 th 6.5 % 8.4 th 6.5 % 7.5 th 6.1 % 6.5 th 6.1 % 5.6 th 6.0 % 4.7 th 5.9 % 3.7 th 5.4 % 2.8 th 5.3 % 1.9 th 5.0 % 0.9 th Roaoke Rapids Instream IWC Study Station Condudivity Instream All All Data Number Date % IWC Position Data Percentile (omitting # 5) Percentile # 4 6-Sep-95 78.3 % 65.9 % top bottom # 5 6-Sep-95 80.5 % top 37.3 % bottom # 2 13-Sep-95 # 3 13-Sep-95 # 4 13-Sep.95 38.8 % 55.5 % 87.0 % 84.9 % 91.7 % 87.0 % top bottom top bottom top bottom # 5 13-Sep-95 88.0 % top 33.9 % bottom # 2 20-Sep-95 # 3 20-Sep-95 # 4 20-Sep-95 37.0 % 50.9 % 82.6 % 54.0 % 93.0 % 70.0 % top bottom top bottom top bottom # 5 20-Sep-95 91.0 % top 36.0 % bottom # 2 27-Sep-95 # 3 27•Sep-95 # 4 27-Sep-95 58.7 % 34.4 % 85.4 % 77.0 % 94.0 % 67.0 % top bottom top bottom top bottom # 5 27-Sep•95 86.0 % top 22.0 % bottom # 2 11-Od-95 # 3 11-Oct-95 11-Oct-95 #4 24.4 % 54.0 To 69.8 % 54.0 % 6.6 % 8.1 % top bottom top bottom top bottom # 5 11-Oct-95 6.4 % top 6.5 % bottom # 2 18-Od-95 # 3 18-Oct-95 # 4 18-Oct-95 26.8 % 40.9 % 73.2 % 43.0 % 69.5 % 34.7 % top bottom top bottom top bottom # 5 18-Od-95 7.9 % top 10.9 % bottom # 2 25-Oct-95 # 3 25-Oct-95 # 4 25-Oct•95 32.7 % 31.2 % 53.5 % 52.0 % 51.8 % 46.3 % top bottom top bottom top bottom # 5 25-Od-95 21.3 % top 8.6 % bottom 15.0 % 23.41h 15.0 % 22.91h 15.0 % 22.4 th 15.0 % 22.0 th 14.8 % 21.5 th 14.7 % 21.0 th 14.6 % 20.6 th 14.0 % 20.1 th 11.8 % 19.6 ih 10.9 % 19.2 th 10.6 % 18.7 th 8.6 % 18.2 th 8.2 % 17.8 th 8.1 % 17.3 th 8.0 % 168th 7.9 % 16.4 th 7.9 % 15.91h 7.5 % 15.41h 7.4 % 15.01h 7.2 % 14.5lh 7.1 % 14.0 th 7.1 % 13.6 th 7.0 % 13.1 th 6.9 % 12.6 th 6.8 % 12.1 th 6.8 % 11.7 th 6.8 % 11.2 th 6.8 % 10.7 th 6.8 % 10.3 th 6.8 % 9.8 th 6.6 % 9.3 th 6.5 % 8.91h 6.5 % 8.4 th 6.4 % 7.91h 6.3 % 7.51h 6.1 % 7.0 th 6.1 % 6.5 th 6.0 % 6.1 th 6.0 % 5.6 th 6.0 % 5.1 th 6.0 % 4.71h 5.9 % 4.21h 5.6 % 3 71h 5.4 % 3.31h 5.3 % 2.81h 5.3 % 2.31h 5.3 % 1.9 th 5.0 % 1.4 th 5.0 % 0.9 th 3.3 % 0.51h Roaoke Rapids Instream IWC Study Station Condudivity Instream Number Date % IWC Position All All Data Data Percentile (omitting # 5) Percentile # 2 11-Apr-95 # 3 11-Apr-95 # 4 11-Apr-95 51.6 % 44.8 % 56.3 % 58.5 % 6.0 % 6.8 % top bottom top bottom top bottom # 5 11-Apr-95 top bottom # 2 19-Apr-95 # 3 19-Apr-95 # 4 19-Apr-95 # 5 19-Apr-95 # 2 26-Apr-95 # 3 26-Apr-95 # 4 26-Apr-95 29.7 % 29.7 % 50.0 % 21.0 % 5.3 % 5.4 % 5.0 % 5.0 % 38.0 % 34.2 % 52.3 % 39.4 % 25.5 % 14.7 % top bottom top bottom top bottom top bottom top bottom top bottom top bottom 0.51 c;l i b�sr„c) upon) 5.05 Z .-.Eyck 1°►� c+�su. 4rife. uk.b, pcerad 01' , t �dMi # 5 26-Apr-95 6.0 % top 6.5 % bottom - # 2 10-May-95 . # 3 10-May-95 # 4 10-May-95 53.0 % 59.1 % 63.8 % 62.5 % 40.5 % 32.7 % top bottom top bottom top bottom # 5 10-May-95 5.6 % lop 5.9 % bottom #2 17-May-95 # 3 17-May-95 61.0 % 41.2 % # 4 17-May-95 34.6 % 8.0 % 64.8 % top 61.0 % bottom top bottom top bottom p 5 17-May-95 5.3 % top 6.1 % bottom # 2 24-May-95 # 3 24-May-95 # 4 24-May-95 45.3 % 55.6 % 91.0 % 89.0 % 89.0 % 82.0 % top bottom top bottom lop bottom # 5 24-May-95 51.6 % top 8.2 % bottom # 2 31-May-95 # 3 31-May-95 # 4 31-May-95 36.0 % 43.7 % 63.8 % 63.9 % 48.3 % 17.1 % top bottom top bottom top bottom # 5 31-May-95 7.0 % top 7.4 % bottom # 2 7-Jun-95 # 3 7Jun-95 # 4 7-Jun•95 25.9 % 41.2 % 31.0 % 31.6 % 7.2 % 7.5 % top bottom top bottom top bottom # 5 7-Jun•95 7.1 % top 7.1 % bottom # 2 14-Jun-95 # 3 14Jun-95 # 4 14Jun-95 28.3 % 26.2 % 6.8 % 6.9 % 6.8 % 6.8 % top bottom top bottom top bottom # 5 14Jun-95 6.8 % top 6.8 % bottom # 2 21 Jun-95 # 3 21 Jun-95 # 4 21-Jun-95 38.0 % 41.0 % 54.6 % 55.8 % 49.7 % 20.0 % top bottom top bottom top bottom # 5 21 Jun-95 6.3 % top 7.9 % bottom #2 28-Jun-95 33.1 % 21.0 % top bottom 110.0 % 100.0 th 98.0 % 95.0 % 95.0 % 95.0 % 95.0 % 94.7 % 94.5 % 94.1 % 94.0 % 93.0 99.5 th 99.1 th 98.6 th 98.1 th 97.7 th 97.2 fh 96.7th . 96.3 th 95.8 lh 95.3 th 93.0 % 94.9 th I 92.3 91.7 91.2 91.0 91.0 90.0 90.0 90.0 89.8 89.0 89.0 88.0 87.0 87.0 87.0 86.7 86.7 86.0 86.0 85.4 85.0 84.9 82.6 82.0 80.5 78.3 77.0 77.0 74.6 74.0 73.2 70.0 % 69.8 % 79.4 lh 69.5 % 79.0th 69.1 % 78.5th 67.0 % 78.0 th 67.0 % 77.6 th 65.9 % 77.1 th 65.6 % 76.6 th 64.8 % 76.2th 63.9 % 75.71h 63.8 % 75.2 th 63.8 % 74.81h 63.8 % 74.3 th 62.5 % 73.8 th 61.5 % 73.4 th 61.0 % 72.9 th 61.0 % 72.4th 61.0 % 72.0 th 61.0 % 71.51h 60.0 % 71.0 lh 59.5 % 70.6 th 59.1 % 70.1 lh 59.1 % 69.6 th 59.0 % 69.2 th 58.7 % 68.7 th 58.5 % 68.2th 58.0 % 67.8 th 58.0 % 67.3 th 57.2 % 66.81h 56.9 % 66.4 th 56.3 % 65.91h 56.0 % 65.4 th 55.8 % 65.0 th 55.6 % 64.5 th 55.5 % 64.0 th 54.6 % 63.6 th 54.0 % 63.1 th 54.0 % 62.61h 54.0 % 62.1 th 94.4 th 93.9 th 93.5 th 93.0 th 92.5 th 92.1 th 91.6 th 91.11h 90.7 th 90.2th 89.7 th 89.3 th 88.8 lh 88.3 lh 87.9 th 87.41h 86.9 th 86.41h 86.0 th 85.5 lh 85.0 lh 84.6 th 84.1 th 83.6 th 83.2 th 82.7 lh 82.2th 81.8 th 81.3 th 80.8 th 80.4 th . 98.0 % 95.0 % 95.0 % 95.0 % 95.0 % 94.7 % 94.5 % 94.1 % 100.0 lh 99.4 th 98.8 th 98.2 th 97.6 th 97.0th 96.3 th 95.7th 94.0 % 95.1 th 93.0 % 94.5 th 93.0 % 93.9 th 91.7 % 93.3 th 91.2 % 92.71h 91.0 % 92.1 th 90.0 % 91.5 lh 90.0 % 90.9 lh 90.0 % 90.2 th 89.8 % 89.6th 89.0 % 89.0 th 89.0 % 88.4 th 87.0 % 87.8 th 87.0 % 87.2 th 86.7 % 86.6 th 86.7 % 86.0 th 86.0 % __85.4th 85.4 % 84.8 th 84.9 % 84.1 th 82.6 % 83.5 th 82.0 % 82.9 th 78.3 % 82.3 th 77.0 % 81.7 th 73.2 % 81.1th 70.0 % 80.5 th 69.8 % 79.9 th 69.1 % 78.7 th 67.0 % 78.0 th 67.0 % 77.4 th 65.9 % 76.81h 65.6 % 76.2 th 64.8 % 75.6th 63.9 % 75.0th 63.8 % 74.4 th 63.8 % 73.8 th 63.8 % 73.2 th 62.5 % 72.6 th 61.0 % 72.0th 61.0 % 71.3th 61.0 % 70.7 th 61.0 % 70.1 th 60.0 % 69.5 th 59.5 % 68.9 th 59.1 % 68.3 th 59.0 % 67.71h 58.7 % 67.1 lh 58.5 % 66.5 th 58.0 % 65.9 th 58.0 % 65.2 th 57.2 % 64.6 th 56.3 % 64.0 th 55.8 % 63.4 th 55.6 % 62.8 th 55.5 % 62.2th 54.6 % 61.6 th 54.0 % 61.oth 54.0 % 60.4 th 54.0 % 59.8 th 53.5 % 59.1 th 53.0 % 58.5 th 52.3 % 57.9th 52.0 % 57.3 th 51.8 % 56.7 th 51.6 % 56.1 th 51.0 % 55.5 th 50.9 % 54.9 th 50.0 % 54.3 th 49.7 % 53.71h 48.3 % 53.0 th 47.0 % 52.4th 46.3 % 51.8 th 45.3 % 51.2 th 44.8 % 50.6 th Roaoke Rapids InsIream IWC Study All Surface All Surface Data All Bottom All Bottom Data Data Percentile (omitting # 5) Percentile Data Percentile (omitting # 5) Percentile 98.0 % 95.0 % 95.0 % 95.0 % 95.0 % 100.0 th 99.1 th 98.1 th 97.21h 96.3 th 94.0 % 95.3 th I % 94.4lh % 93.5 th % 92.5 th % 91.61h % 90.71h % 89.7 th % 88.8 th % 87.9 th % 86.9 th % 86.0 th % 85.0 th % 84.1 th % 83.2 th % 82.2 th % 81.3 th % 80.41h % 79.4 th % 78.51h % 77.61h % 76.6 th % 75.7th % 74.8 th % 73.81h % 72.9 th % 72.0 th % 71.0 th % 70.1 th % 69.21h % 68.21h 67.31h % 66.41h 59.0 % 65.41h 58.7 % 64.5 th 58.0 % 63.6 th 56.3 % 62.6 th 54.6 .% 61.7th 53.5 % 60.71h 53.0 % 59.8 th 52.3 % 58.9 th 51.8 % 57.9 th 51.6 % 57.0 th 51.6 % 56.1 th 51.0 % 55.1 th 50.0 % 54.2 th 49.7 % 53.31h 48.3 % 52.3 th 45.3 % 51.4 th 42.0 % 50.51h 40.5 % 49.5 th 40.0 % 48.61h 39.0 % 47.7 th 38.8 % 46.71h 38.0 % 45.8 th 38.0 % 44.9 th 38.0 % 43.91h 38.0 % 43.0 th 37.0 % 42.1 lh 36.0 % 41.1 th 34.6 % 40.2 th 33.1 % 39.31h 32.7 % 38.31h 31.0 % 37.41h 29.7 % 36.41h 28.3 % 35.5 th 26.8 96 34.6 th 25.9 % 33.6 th 25.5 % 32.7 th 25.0 % 31.8 th 24.4 % 30.8 th 24.3 % 29.9 th 23.9 % 29.0 th 23.9 % 28.0 th 23.5 % 27.1 th 21.3 °% 26.21h 19.8 96 25.2 th 19.2 % 24.31h 93.0 93.0 92.3 91.7 91.0 91.0 90.0 89.0 88.0 87.0 87.0 86.7 86.0 85.4 82.6 80.5 78.3 77.0 74.0 73.2 69.8 69.5 67.0 64.8 63.8 63.8 63.8 61.5 61.0 61.0 59.1 98.0 % 95.0 % 95.0 % 95.0 % 100.0 th 98.8 th 97.6th 96.3 th 95.0 % 95.1 th 94.0 93.0 93.0 91.7 91.0 90.0 89.0 87.0 86.7 85.4 82.6 78.3 73.2 69.8 69.5 67.0 64.8 63.8 63.8 63.8 61.0 61.0 59.0 58.7 58.0 56.3 54.6 53.5 53.0 52.3 51.8 51.6 51.0 50.0 49.7 48.3 45.3 42.0 40.5 40.0 38.8 38.0 38.0 38.0 38.0 37.0 36.0 34.6 33.1 32.7 31.0 29.7 28.3 26.8 25.9 25.5 25.9 24.4 24.3 23.9 23.9 23.5 19.8 % 93.9 th % 92.7 th % 91.51h % 90.2 th % 89.0 th % 87.81h % 86.6 th % 85.4 th % 84.1 th % 82.91h % 81.7 th % 80.51h % 79.31h % 78.0 th % 76.8th % 75.61h % 74.4th % 73.2 th % 72.0th % 70.7 th % 69.5 th % 68.31h % 67.1 th % 65.9 th % 64.61h % 63.41h % 62.2th % 61.0 th % 59.81h % 58.5 th % 57.31h % 56.1th % 54.9th • 53.71h % 52.41h % 51.2 th % 50.0 th • 48.81h 04 47.6th 04 46.3 th • 45.1 th • 43 91h % 42.71h • 41.51h • 40.21h 9r° 39.0 th • 37.8th 36.61h • 35.4 th % 34.1 th % 32.9 th % 31.7 th % 30.5th % 29.3th % 28.0 th % 26.8 th % 25.61h % 24.4 th % 23.2 lh % 22.0 th % 20.7 th % 19.5 th % 18.3 th 18.2 % 17.1 lh 16.6 % 15.91h 16.0 % 14.61h 15.0 °% 13.4 th 14.8 °% 12.21h 11.8 % 11.01h 7.2 % 9.81h 6.8 % 8.5 th 6.8 % 7.3 th 6.6 % 6.1 th 6.0 % 4.9 th 5.3 % 3.7 th 5.0 5° 2.4 th 3.3 % 1.2 th 110.0 96 94.7 % 94.5 % 94.1 % 91.2 % 100.0 th 99.1 th 98.1 th 97.2 th 96.3 lh 90.0 % 95.31h 1 90.0 % 94.4 th 89.8 % 93.51h 89.0 % 92.51h 87.0 % 91.6 th 86.7 % 90.7 th 86.0 % 89.7 th 85.0 % 88.8 th 84.9 % 87.91h 82.0 % 86.9 th 77.0 % 86.0 th 74.6 % 85.0 th 70.0 % 84.1 th 69.1 % 83.2 th 67.0 % 82.2th 65.9 % 81.3 th 65.6 % 80.4 th 63.9 % 79.41h 62.5 % 78.5th 61.0 % 77.61h 61.0 % 76.6 th 60.0 % 75.7th 59.5 % 74.81h 59.1 % 73.81h 58.5 % 72.9 th 58.0 % 72.0 th 57.2 % 71.0 th 56.9 % 70.1 th 56.0 % 69.2 th 55.8 °% 68.2 th 55.6 % 67.3 th 55.5 % 66.41h 54.0 % 65.4 th 54.0 % 64.5 th 54.0 % 63.6 th 52.0 % 62.6 th 50.9 % 61.7 th 47.0 % 60.7 th 46.3 % 59.8 th 44.8 % 58.91h 43.7 % 57.9 th 43.0 % 57.0 th 41.2 % 56.1 th 41.2 ' 55.t th 41.0 % 54.2 th 40.9 % 53.31h 39.4 % 52.3 th 38.6 % 51.4 th 37.3 % 50.5 th 36.0 % 49.5 th 35.9 % 48.6 th 34.7 % 47.71h 34.4 % 46.7 th 34.2 % 45.81h 33.9 % 44.9 th 32.7 % 43.9 th 31.6 % 43.0 th 31.2 % 42.1 th 31.0 % 41.1 th 29.7 % 40.2 th 29.5 % 39.3 th 28.4 % 38.3 th 26.8 % 37.4 th 26.5 % 36.4 th 26.2 % 35.5 th 23.3 % 34.6 th 22.0 % 33.61h 22.0 % 32.7 th 21.0 % 31.8 th 21.0 % 30.8 th 20.0 % 29.91h 17.1 % 29.01h 16.6 °% 28.0 th 15.3 % 27.1 th 15.0 % 26.2 th 15.0 %' 25.2 th 14.7 % 24.31h 98.0 % 95.0 % 95.0 % 95.0 % 100.0 th 98.8 th 97.5 th 96.3 th 95.0 % 95.1 th 1 94.0 93.0 93.0 91.7 90.0 89.0 87.0 86.7 85.4 82.6 82.0 78.3 73.2 69.8 69.5 67.0 63.9 63.8 62.5 61.0 61.0 59.1 % % % % % % % % % % % % % % % % % % % % 59.0 % 58.7 % 58.5 % 58.0 % 55.6 % 54.6 % 53.5 % 51.8 % 51.0 % 49.7 % 44.8 % 43.7 % 42.0 % 41.2 % 41.2 % 40.0 % 39.4 % 38.8 % 38.0 % 38.0 % 38.0 % 37.0 % 34.2 % 33.1 % 32.7 % 32.7 % 31.6 % 29.7 % 28.3 % 26.8 % 25.0 % 24.4 % 24.3 % 23.9 % 23.9 % 23.5 % 21.0 % 19.8 % 18.2 % 17.1 9 16.6 % 16.0 15.0 % 14.8 % 14.7 % 11.8 % 8.0 6.8 % 6.8 % 6.8 % 6.6 % 5.4 % 5.0 3.3 % 93.8th 92.6 th 91.4 th 90.1th 88.9 lh 87.7 th 86.4 th 85.2 th 84.0 th 82.7 th 81.5 th 80.2 th 79.0 th 77.8 th 76.5 th 75.3 th 74.1 th 72.8 th 71.6 th 70.4 th 69.1 lh 67.9 th 66.7 th 65.4th 642th 63.0 th 61.7 th 60.51h 59.3 th 58.0 th 56.8 th 55.6th 54.31h 53.1th 51.9 th 50.6 th 49.4 th 48.1 lh 46.9 th 45.71h 44.4 th 43.2 th 42.0 th 40.7 th 39.5 th 38.31h 37.0 th 35.8 th 34.6 th 33.3th 32.1 th 30.9 th 29.6 th 28.4 th 27.2 th 25.9th 24.7th 23.5 th 22.2 th 21.0 th 19.8 th 18.5 th 17.3th 16.0 th 14.8 th 13.6 th 12.3 th 11.1 th 9.9 th 8.6 th 7.4 th 6.2 th 4.9 th 3.7 1h 2.5th 1.2 th junk #4 #5 #4#5 iwc percentiles iwc percentiles iwc percentiles 95% 100% 100% 100% 100% 100% 95% 98% 92% 98% 95% 99% 94% 96% 91% 96% 95% 98% 94% 94% 88% 94% 94% 97% 93% 92% 87% 92% 94% 96% 92% 90% 86% 90% 93% 95% 91% 88% 85% 88% 92% 94% 90% 87% 81% 86% 92% 93% 90% 85% 77% 84% 91% 92% 89% 83% 75% 82% 91% 91% 87% 81% 74% 80% 90% 90% _ 82% 79% 62% 78% 90% 89% . 78% 77% 59% 76% 89% 88% 70% 75% 57% 75% 88% 88% 70% 73% 56% 73% 87% 87% 67% 71% 52% 71% 87% 86% 67% 69% 39% 69% 86% 85% 66% 67% 37% 67% 85% 84% 60% 65% 36% 65% 82% 83% 59% 63% 34% 63% 81% 82% 58% 62% 31% 61% 78% 81% 58% 60% 22% 59% 77% 80% 52% 58% 21% 57% 75% 79% 50% 56% 19% 55% 74% 78% 48% 54% 15% 53% 70% 77% 41% 52% 15% 51% 70% 76% 36% 50% 11% 49% 67% 75% 35% 48% 11% 47% 67% 74% 35% 46% 9% 45% 66% 73% 33% 44% 8% 43% 62% 72% 28% 42% 8% 41% 60% 71% 26% 40% 8% 39% 59% 70% 24% 38% 7% 37% 59% 69% 20% 37% 7% 35% 58% 68% 20% 35% 7% 33% 58% 67% 17% 33% 7% 31% 57% 66% 15% 31% 7% 29% 56% 65% 15% 29% 7% 27% 52% 64% 15% 27% 7% 25% 52% 63% 15% 25% 7% 24% 50% 63% 8% 23% 6% 22% 48% 62% 8% 21% 6% 20% 41% 61% 8% 19% 6% 18% 39% 60% Page 1 junk 7% 17% 6% 16% 37% 59% 7% 15% 6% 14% 36% 58% . 7% 13% 6% - 12% 36% 57% 7% 12% 6% 10% 35% 56% 7% 10% 6% 8% 35% 55% 6% 8% 5% 6% 34% 54% 6% 6% 5% 4% 33% 53% 5% 4% 5% 2% 31% 52% 5% 2% 5% 0% 28% 51% 3% 0% 26% 50% . 24% 49% 22% 48% 21% 47% 20% 46% 20% 45% 19% 44% 17% 43% 15% 42% 15% 41% 15% 40% 15% 39% 15% 38% 15% 38% 11% 37% 11% 36% 9% 35% 8% 34% 8% 33% 8% 32% 8% 31cYo 8% 30% 8% 29% 7% 28% 7% 27% 7% 26% 7% 25% 7% 24% 7% 23% 7% 22% 7% 21% 7% 20% 7% 19% 7% 18% 7% 17% 7% 16% 6% 15% Page 2 junk 6% 14% 6% 13% - 6% 13% 6% 12% 6% 11% 6% 10% 6% 9% 6% 8% 6% 7% 5% 6% 5% 5% 5% 4% 5% 3% 5% 2% 5% 1% 3% 0% Page 3 junk #3 #2 iwc percentiles iwc percentiles 95% 100% 95% 100% 90% 98% 90% 98% 69% 96% 69% 96% 65% 94% 65% 94% 61% 92% 61% 92% 60% 91% 60% 91clo 59% 89% 59% 89% 59% 87% 59% 87% 57% 85% 57% 85% 56% 83% 56% 83% 56% 81% 56% 81% - - 54% - 79% . 54% 79.% 53% 77% 53% 77% 52% 75% 52% 75% 51% 74% 51% 74% 51 % 72% 51 % 72% 45% 70% 45% 70% 45% 68% 45% 68% 44% 66% 44% 66% 41 % 64% 41% 64% 41% 62% 41% 62% 41% 60% 41% 60%' 39% 58% 39% 58% 38% 57% 38% 57% 38% 55% 38% 55% 38% 53% 38% 53% 38% 51% 38% 51% 37% 49% 37% 49% 36% 47% 36% 47% 34% 45% 34% 45% 34% 43% 34% 43% 33% , 42% 33% 42% 33% 40% 33% 40% 31% 38% 31% 38% 30% 36% 30% 36% 30% 34% 30% 34% 29% 32% 29% 32% 28% 30% 28% 30% 27% 28% 27% 28% 27% 26% 27% 26% 27% 25% 27% 25% 26% 23% 26% 23% 26% 21% 26% 21% Page 1 junk 25% 19% 25% 19% 24% 17% 24% 17% 24% 15% 24% 15% 24% 13% 24% 13% 21% 11% 21% 11% 18% 9% 18% 9% 17% 8% 17% 8% 17% 6% 17% 6% 16% 4% 16% 4% 14% 2% ' 14% 2% 12% 0% 12% 0% Page 2 WATER & LAND SECTION Fax Nov 3 '97 11:26 P.01 � � SMITH HELMS MULLISS & MOORE. L.L.R An'o N EYS AT LAW LOT7't p RA�.cMON, NORTH CAROLINA 7+03T neat eweit..w7 \o \ L 04ARLo . N. C. 18231 \ _ MAILI tW * 5MC5 G REEr ,►poasSS POST *Fritz ism .»as owe TWO my* 0.414.4.0 RALEIGH. N.C. r.760t T t pt4ope ti 704/343+2400 7p.J3mJJ4S wstreCR'E DIRECT Di*t. (919) 755-8757 ViA FACSIMILE Mk' rI. G Z7&I1 Mr. sit rijoku-obi Associate Attorney General State of North Carolina Department of Justice P.O. Box 629 Raleigh, North Carolina 27602-0629 tg grw6MC 9tQ/7S547170 rwccre.tt.c atoi'Nss.eeoo November 3, 1997 6REENSBORO POST orr,GC aOtc ?t987 GRcnrssoRo. N. C. ess" TELEPHONE DtO/370St0O d',4 IUILC gletoW00043f Post -It' Fax Note 7671 Date 1pafs► -. From l b 4" To M 4114 atit�Ke CoiDept. +fiv a y Co. Pone # Phone # `ems - o714 Fax S - Re: Roanoke Rapids Sanitary District v. NCBBHNR, DWQ OAH, 97 EF R J855, Halifax County Dear Mr. Njoku-obi: 4-0 J This wilt confirm our conversation Thursday zegarding the Wing for the mediation and initial discovery in the above referenced cam. As Iinforme . you, my client is not able to �vl''� t ., made a 'counter proposal' to the agency, your client requested in our settlement meeting. . .ct b does not.believe there is sufficient data at this time Roanoke Rapids Sanitary D>� ("ROD") _ on which to base a valid toxitity limit. This position was discussed at length by Ms. Knox of , 'f Geraghtyand Miller at the meeting. RRSD would need additional time � e to conduct of the river that it believes is necessary to determine a valid toxicity limit, any is recess V * % oe �, d, Therefore, our settlement position, at this lime, continues to be the removal o 4-4W17>A usion-of-a ' ' mo �. ' requirement, due to the lack of �5"ul-to�atY g ,� among ' t • t gs. < ase• .. ,'' Regarding the mediation schedule, we agree with Mr. West's suggested date of November 10, 1997. However, we would prefer that the mewing start later in the day, such as around 11:00, to allow our out-of-town attendees to travel to Raleigh without get inconvenience. You stated that you would get back to me on the change of time to 11:00, but didn't think there should be any problems. Documeat 124008 WATER & LAND SECTION Fax:919-716-6766 Nov 3 '97 11:27 P. 02 Mr. Bart Njoku obi November 3, 1997 Page 2 finally, as we discussed, I do intend to notice the depositions of, at least, Steve Tedder and the agency's designee(s) on the issues of the determination of "reasonable potential" for RBSD's permit and the determination of the toxicity limit for RRSD's permit. Therefore,1 would appreciate your contacting these individuals and determining their schedules, so that I can notice-the;depositiona for dates that they arc available. This effort its Intended to cut down on delays in accomplishing these depositions in the limited time before the hearing. W e still need to get back to Tom West regarding the time and date for the mediation and whether we want lam to request an extension from lodge Chess. We also need to discuss whether we want to ask for an extension of the hearing, given how c uickdy it flows the dose of discovery and the typical delays that occur during the holidays. Given these factors, Y would think we would want to ask for an extension on the hearing also. Let me know your thoughts on this issue as soon as you have talked tao your client. Thank you for your assistance. Very truly yours, SMITH HEWS MULLISS & MOORE, L.L.P. 15eitit. Elizabeth Powell cc: Wendell Moseley Macon R,eav is • Document Number: 124008 • • ,,,C74 R'» - / .0,4/9 7 moo& Doi+ 1,1jokik-O___ RD1I, kbX Fkett,tci -s • bN Rt4\J1S O rniz,c ci ke:CleC-56,07Alcz. (d' " NC .), 0 W'. MC bitt vc_i_19 o-( �lJ C 'D0,3 AAie ...;.e1"); (4)7u, -goo Cie ra1)0,1 t mi 11ei (5�c4)z1z. )00 q 2L2 ase.1 '0,4't' tt kiApvi '2/4-41r rP-0,4 mU(Lc s.> eitfce L E� k7z- () 53'7 /37 _ �p Q�q_?sr- alS Rad aAn+ 0 (s A 14?- 5 1Q - �7 c2 ' S S 7 !79XI 4.y (.S$r, PAA; c4 1169-0 idlto-44 LiAzof 6-0 J s cL-( '14 Y ~ ) AV olicciLLv- Wce&to sks[citu- - n C,:,A J - WO. lu- S c & pk 4(4 • / Li- C M S` - S Lc,, /61,1K s, A quo.-v OAA,44-ti `-`" Aeo cr.4-4 ° . c ( 0 o M 0g c . ( LiLjz, J 94O.(' tcrtic) -Qt•t-t f;k(A,) Oet ASZ A \ k - 1 ce,-t_C dafill \k, iiik-e,, 7I-c-,,a-sz J.e&tct,1 A"-i c-ei 6/45_Q-k C.4, ir, 3oSC� XTILD c.){((‘-1 c44J c,-Asf AJ(..k 4cei wimi .1p is, a DO tkiZ ,z, j qeSle i 5„4 ooLs, 9 c-clik D6 rg4b1,it „jaop 1,04 uz) c<c0,S,&.s S coo4R c:SceSA, cL oSs6C) ,41(4.„) or Q,1/4,AtJ Zi kDA ask t..\$.s\I ••••• CY-As."4.145, -7 I IT (0o %-••Z L. cg,62, cf 4,) eoLib-\ 4 cLit Lad, LJ - e • s. _elo - ) 4531t.,0 Nit I a". /to C SI C- Ithrii 6.. a - tiro l< z •s) z cick = cr ce Csr-k C!--1 s- c i• Ys''' relA4-4Z/A -e 4iy )46D 0 0 , .Q1'• ej-3Z-) 0‘,.NAt .'(v PHYSICAL, CHEMICAL, AND BIOLOGICAL CHARACTERISTICS OF WATER TABLE 2.1 1 Conductivity Factors for Ions Commonly Found in Water ION Cations Calcium (Ca+2) Magnesium (Mg -2) Potassium (K') Sodium (Na`) Anions Bicarbonate (HCO3-) Carbonate (CO3 2) Chloride (C1-) Nitrate (NO3-) Sulfate (SO4 2) Source: From Ref. [2.32 J, CONDUCTIVITY FACTOR f . KS/cm Per meq/L 52.0 46.6 72.0 48.9 43.6 84.6 75.9 71.0 73.9 Per mg/L 2.60 3.82 1.84 2.13 0.715 2.82 2.14 1.15 1.54 TABLE 2.12 Qualitative Classification of Wafers According to Level of Hardness* HARDNESS DESCRIPTION mg/L as meq/L CaCO3 <1 1-3 3-6 >6 *Typically based on Ca"1 and ,1q Soft Moderately hard Hard Very hard alents per cubic meter (milliequivaJents per liter): Hardness, eq/m3 = In the older literature,(Ca+2) + (Mg+z� nr cubic mrter of tuneCaChardness is often expressed(2.62) hasper been superseded 3 This method was a matter as equivalent grams perseded by expressinga m ofo convenience that the literature dealing hardness in terms of reported in Table 2.12 is often uwased a er quality, the r equivalents. In water. the qualitative classification relative hardness of a Two genera] typesassociatedgeneral of hardness are of interest: wt HCO3 and CO-2 carbonate hardness, ated other anions, 3 ,and noncarbonate hardness, atedoa with and Particularly CI - and SO -' associ- ated hardness is important inhe balance between (hardness removal) and in scale formation. Because HCO - high temperatures (the equilibriumwater softening and 60 C constant increases by a 3 dissociates f 2.6 between 5 0 due to CaCO )' a result of heating hard water is scale formation 3 precipitation: Ca+z + 2HCO3- H CaCO3+CO, +H Scale formation'O g(2.63) Ares tan epipeto floweases heat -transfer coefficients, and changes frictional < 50 50-150 150-300 > 300 2.52.5-CHEMICAL C, Two Ovate of the an carbonate sample. CONSTI Ca+2 Mg+2 HCO3 - C1- SOLUTION, 1. Determin a. Samplt TH = where 1 eq/m. b. Sample TH (C 2. Determine a. Sample 1 CH = (H, b. Sample 2: CH = (HC Because th hardness ( eq/m3. Tht CH=6eq/ 3. Determine non a. Sample 1: NCH =TH- =6-= b. Sample 2: NCH = TH =6-6 1b/08/97 WED 14:56 FAX 919 783 1075 • 4POYNER-SPRUILL° Q 002 PJYNER&SPRJILLDL.LI ATT40N$Va AT LAW 3600 Glaawood Aveau= Mei" North Carolina 27612 Mading Addy: Poot Offtco Boa 10096 Rakish, North GtoU a 276054 096 919/783 00 Frc 919/7034070 Thomv R. West Paeater 06wocc lblnighfRoalcr Meuat/Chabate Direct Dial: 919/1834897 October 8, 1997 Beth Powell Yerxa, Esq. Smith, Helms, Mulliss & Moore Post Office Box 27525 Raleigh, NC 27611 Bart Njoku-Obi Assistant Attorney General Post Office Box 629 Raleigh, NC 27602-0629 Re: Mediation of dispute between Roanoke Rapids Sanitary District and Division of Water Quality, N.C. Department of Environment and Natural Resources, 97 EHR 0855 Dear Beth and Bart: The deadline for completion of mediation in the above referenced contested case is November 6, 1997. When my secretary called you last week, November 6 was open on my calendar. Today, I learned that I need to hold my calendar for both November 5 and 6 open until Thursday, October 9 for an appearance before the State Board of Education on behalf of a client. My calendar ie beginning to fill up, so 1 want us to go ahead and tentatively schedule the mediation of this case. Unless I hear from you that you cannot be available, 1 will call you both on a conference call at 9:00 a.m. on Friday, October 10 so we can set up this mediation. Currently open on my calendar for this mediation are November 3, October 20, and October 17. By Friday morning, I should know if November 6 is open. My week of November 10 is very open, and if it meets with your plans, we could call Judge Chess and seek an extension of the deadline until sometime the next week. That would be particularly helpful to me since I will be on vacation the last week of October and have a large discovery production to make by November 4. I look forward to talking with you on Friday morning. Sincerely, Thomas R. West TRW/ ssdk 11/08/97 WED 14:55 FAX 919 783 1075 • :POYNER-SPRUILL" 0001 To: Name: Beth Powell Yerxa FACSIMILE PJNR&SPkJILLLL! ATTORNEYS Al LAW Bart Njolcu-Obi Telephone Number 755-8700 Fax Number 744-8800 716-6600 116-416 Total # of pages: -2- From: Name: Thomas R. West Transmission Date: October 8,1997 Comments: Time: •; p p If all the pages were not received or there is a problem with this transmission, please call (919) 783-6400 and ask for: Susan Kelley @ ext 2922 — 3600 Glenwood Avenue Post Office Box 10096 Raleigh, NC 27605-0096 (919) 783-6400 Fax: (919) 783-1075 www.poynerspruill.com The information contained in this facsimile message is attorney privileged and confidential information intended only for the use of the individual or entity named as recipient. If the reader is not the intended recipient, be hereby notified that any • dissemination, distribution or copy 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 address on the left via the U.S. Postal Service. Thank you. CHARLOTTE POST OFFICE BOX 31247 CHARLOTTE, N. C. 28231 TELEPHONE 704/343-2000 FACSIMILE 704/334-8467 WRITER'S DIRECT DIAL (919) 755-8757 SMITH HELMS MULLISS & MOORE, L. L. P. ATTORNEYS AT LAW RALEIGH, NORTH CAROLINA GREENSBORO POST OFFICE BOX 21927 GREENSBORO, N. C. 27420 A IA_EACSTh ILE MAILING ADDRESS POST OFFICE BOX 27525 RALEIGH, N. C. 27611 Mr. Bart Njoku-obi Associate Attorney General State of North Carolina Department of Justice P.O. Box 629 Raleigh, North Carolina 27602-0629 STREET ADDRESS 2800 TWO HANNOVER SQUARE RALEIGH. N. C. 27601 TELEPHONE 919/755-8700 FACSIMILE 919/755-8800 October 7, 1997 TELEPHONE 910/378-5200 FACSIMILE 910/379-9558 RECEIVED OCT , 91997 AT1OR NEy GENERAL. nviron. Environmental Divisioh Re: Roanoke Rapids Sanitary District v. NCDEHNR, DWQ OAH, 97 EHR 1855, Halifax County Dear Mr. Njoku-obi: I have attached a short memorandum from Robin Knox of Geraghty & Miller regarding the technical issues which are the basis for Roanoke Rapids Sanitary District's challenge to its NPDES permit. This memo can be used as an outline for discussion at the meeting on the 14th. As you can see, the meeting will start out with a discussion regarding the results of toxicity tests recently performed on the RRSD effluent. However, as your clients, I sure, will know, this test does not reflect the current effluent toxicity, as the disinfection unit has just come on line and there has been no toxicity testing on this discharge. The remaining issues outlined in the attached memorandum are the primary technical basis for RRSD's permit challenge. Robin Knox, as well as Mr. Maynard and Ms. Durso from Piedmont Olsen Hensley will be addressing these issues. Calculation of an IWC for toxicity testing that accurately reflects the character of the stream is, needless to say, extremely important for RRSD. Therefore, it is important that all relevant data are accurately calculated to arrive at the IWC. At the meeting, we will discuss DOCunlcnt Nwnbcr. 119880 Mr. Bart Njoku-obi October 7, 1997 Page 2 our position regarding the insufficiency of DWQ's calculation of the IWC for RRSD and the actions we have already taken and intend to take to gain additional data to recalculate the IWC. DWQ is also aware of the unique situation facing the RRSD due to its close proximity to the Roanoke River. Such location makes the determination of where the water quality standards are applicable and determination of parameters for calculation of the IWC difficult. Moreover, it raises issues regarding whether toxicity testing is accurately reflecting what is happening in the creek. Over thirty years of discharge have failed to indicate any apparent chronic or acute toxic affect on the creek. Therefore, we believe that it is imperative that we take a hard look at the actual fate and impact of the RRSD discharge in the stream to determine whether the reasonable potential for chronic toxicity exists and whether the chronic toxicity test is an accurate reflection of what is actually happening in the creek. While RRSD, like the DWQ, certainly does not want to study this issue "to death", given the current political climate and the possible impact of RRSD's noncompliance with any permit condition, it is of utmost importance to RRSD that the permit conditions be accurately calculated and calculated in total compliance with the DWQ statutes and rules. Thank you for your attention. Very truly yours, SMITH HELMS MULLISS & MOORE, L.L.P. -2 dbalfri. Elizabeth Powell Yerxa EPY:isc Enclosure Document Nwunbcr: 119880 r4 'ARTER & LRND SECTION Fax:919-716-6766 Oct 8 '97 8:06 P. 04 OtherAter quality Fa1'aQletcr�z��,.�. � Data distribution and ealculation prb r ii e w ATTACHMENT A Roanoke RApids Sanitary District Meeting wit.it Division of Water Quality, October 14, 1997 Tchatcal Stem for Discussion • Baseline Toxicity Test Results (before disinfection unit on-line) a Test Duration Inappropriate to Duration of $xposure • Chronic exposure unlikely due to short time of travel to the river Baseline chronic value significantly higher than In -Stream Concentration (IWC) established for Chockoyotte Creek Waste - No demonstrated reasonable potential for staudat-ds excee<iance requiring chronic protection on Choc$oyotte Creek • Inability of Test to Predict In,Stt cam Impact Generally controlled toxicity test results do not correlate to observed in - stream impacts ▪ There is no lmown toxicity being exerted in -stream as a result of 20 years of discharge Errors in. maculation of IWC Upstream conductivity not accounted for in IWC caIculation - Suffc:cnt data is not available to account for upstream conductivity - 4- a Conductivity tY measurements may be is Ceurate due to interference from • u.� rt. W relationship p1 l�� Faulty ass tu tion regarding uent u 0 4-e e Qw an waste concenixdtion • cA s�� V iiii c \A) WATER & LAND SECTION Fax:919-716-6766 VVIV140VVVu Oct 3 '97 8:41 P.02 SMITH HELMS MULL159 & Moans, L. L. P Arrowfers AT LAM, RALEIGH. NORTH CAROLINA GRCENSBORO cxAfiI.OTTa sip OFFICii pas Ei927 POST OFFICE BOX 31 GREENSBORO, N.O. wrsa0 CHIRLOTTC. eq. CI 8023( NAMLINd AiaaNd+Q0 5TRCCT'.& BRQ*a PCir OFFICE BOX ants EAOQTN) IuMNDVER &QNAC TELEPHON$ ?Id37P-420ci VW -PHONE 70i/ Oxio w..Le.p+. w. 0. Well RALCION. N. .276OI n�caiINILC o�w�a+�.►CRn rwr'ss+�ts�C 7o•a/334s�7 10.1[.NOKi BM-15647M WRITER'S GIRCCt DIAL FaCsihtlLB unt/ ORCRDO (919) 7S5.8757 October 2, 1997 JA FAC`SDITLE Mr. Bart Ijolcu»obi Associate Attorney General State of North Carolina Department of Justice P.O. Box 629 Raleigh, North Carolina 27602-0629 LID 1 Re: Roanoke Rapids Sanitary District v. i CDFHNR, DWQ OAH, 97 EHR 1855, Halifax County Dear Mr. Njoku-obi: This will confirm the informal Settlement mating scheduled for the above ref ced matter on Tuesday, October 14, 1997, at 1.0:00 a.m. in your offices. As promised, we provide additional information, including a summary of our technical position, to you in writing on October 7, so that your client will be able to prepare for the meeting. Present at the meeting on behalf of RRSD, in addition to myself, will be Francine Durso and John Maynard, from Piedmont Olson Hensley; Robin Knox from Geraghcisient d Miller; and Macon Reavis from the RRSD. As already discttssccl on thc phone, Y firm that Steve Tedder be Fromm at tht mating to facilitate discussion and resolution of this matter. Much as youx clients want to see that additional information will be provided before the meetly g, my clients need assurance that MT. Tedder, or someone who can make decision for the agency in what my client believes is a very unique and difficult situation, will be present. DOCumat s:119669 DIVISION OF WATER QUALITY June 4, 1997 MEMORANDUM To: File From: Juan C. Mangles rvti Subject: Whole Effluent Toxicity Test Permit Limit Roanoke Rapids WWTP NPDES Permit No. NC 0024201 Halifax County During the comment period of the NPDES permit issued as per WLA dated 2-18-97, Roanoke Rapids requested a meeting to discuss the new WET limit. I met with representatives of the town , Farrell Keough, and Mark Maclntire. Agenda of the meeting is attached. The WET limit remained unchanged after the meeting. The limit was derived from a number of dilution readings (approximately 200) collected from April to October 1995. Dilution was calculated based on conductivity samples collected at the effluent and at a number of locations upstream and downstream (top/bottom) of the effluent in the receiving stream (see attached diagram and study plan). The data was ranked and percentiles were calculated. I started by assigning a limit that reflected the 95th percentile of all the data, but realizing that this limit (about 95%) would be problematic, I recommended a limit based on the 80th percentile. This percentile corresponds to 70% IWC, but corrected for flow corresponds to 79% IWC. Correction for flow is necessary because the observed IWC's were under an average effluent flow of 5 MGD, and permitted flow is 8.34 MGD. Therefore using the IWC equation, Qup was calculated to be 3.3 cfs. This flow was then entered into the IWC equation to estimate an IWC based on this 3.3 cfs stream flow, and a design flow of 8.34 _MGD. On June 4,1995, I met with Dave Goodrich, Steve Bevington, Mark MacIntire and Steve Tedder. Roanoke Rapids had contacted again P&E to complain about the WET limit. A look at the data showed that high IWC's were observed at the most upstream location, especially during periods of low flow. The highest dilution was observed at the station closer to the Roanoke River. Given that this facility has been in operation for over 20 years, it was agreed by staff and supported by Tedder to protect for average conditions (median or 50th percentile) and not worst case scenario. This resulted in a IWC of 39.4% which adjusted to a flow of 8.34 MGD results in an IWC of 51.8%. Therefore the WET limit is 52%. AUG STATE OF NORTH CAROLINA COUNTY OF HALIFAX IN THE OFFICE OF ADMINISTRATIVE HEARINGS 97 EHR 0855 ROANOKE RAPIDS SANITARY DISTRICT Petitioners v. DIVISION OF WATER QUALITY N.C. DEPT. OF ENVIRONMENT & NATURAL RESOURCES Respondent PREHEARING STATEMENT OF PETmONER NOW COME Petitioner, through counsel, and submit its Prehearing Statement in the above captioned case. 1. The issues to be resolved, and the statutes, rules, and legal precedent involved. With respect to the NPDES Permit, NC0024201, issued to Petitioner on June 20, 1997, Petitioner contends that the Respondent exceeded its authority or jurisdiction, acted erroneously, failed to use proper procedure, acted arbitrarily and capriciously, or failed to act as required by law or rule. The statutes, rules and legal precedent involved with regard to these issues includes the Water and Air Resources Act at N.C. Gen. Stat. Chapter 143, Article 21, 15A N. C. A. C. Subpart 2B and 2H, the Federal Clean Water Act and 40 CFR Part 122. Specific legal precedent to be relied upon has not been determined at this time. 2. A brief statement of the facts and reasons supporting the party's position on each matter in dispute. 1. Respondent has erroneously implemented the water quality standards as a water quality -based effluent limit in arriving at the effluent and monitoring requirements for Petitioner's permit. 2. Respondent has proposed a toxicity test for Petitioner's facility that does not meet federal standards for the conduct of such test. 3. The toxicity test required under Petitioner's permit is overly protective. 4. Respondent has failed to properly determine the mixing zone and zone of initial dilution in determining applicability of acute and chronic water quality standards. 5. Respondent erred in the calculation of the instream waste concentration in that the conductivity of the water available for instream mixing was not factored into the calculation of the percent effluent. 6. Respondent failed to adequately determine the duration of exposure of residential organisms in the Creek, given the short distance to the Roanoke River, in determining whether a chronic or acute test was more appropriate. 7. The accuracy and precision of the whole effluent toxicity test protocol render it inappropriate as a permit compliance measure in that the results obtained for a given sample can vary significantly from one laboratory to the next. In particular, the statistical tests that are used for interpreting the results of the toxicity test are such that very precise tests will indicate non-compliance more often and less precise test will indicate compliance more often for the same level of toxicity in a sample. 8. Whole effluent toxicity testing results do not correlate to actual instream impacts due to differences in organisms exposed, exposure durations, temperature, and water quality. Therefore, failure of a whole effluent toxicity test is not necessarily indicative of actual toxic effects in the receiving water. Petitioner reserves the right to rely on additional facts to support their case as such facts are revealed through discovery or Petitioner's own research. 3. A list of proposed witnesses. a. Robin Knox, Geraghty & Miller b. John Maynard, Piedmont Olson Hensley c. Francine Durso, Piedmont Olson Hensley d. Macon Reavis, Roanoke Rapids Sanitary District e. Steve Tedder, Division of Water Quality f. Dave Goodrich, Division of Water Quality 2 g• Juan Mangles, Division of Water Quality h. Mark McIntire, Division of Water Quality Petitioner reserves the right to call additional witnesses to be determined as discovery proceeds. 4. Whether you wish to pursue discovery. If so, the length of time required if different from the time set in the Scheduling Order. Petitioner wishes to pursue discovery in this matter within the time limit provided in the Scheduling Order. 5. Requested location of hearing(s) if different from the location set in the Scheduling Order. Petitioner requests that the hearing be held in Raleigh, as the majority of witnesses and attorneys are located in Raleigh. 6. Estimated length of hearing. Petitioner estimates the length of the hearing to be 1 - 2 days. 7. If you do not have an attorney, your home and business addresses and telephone numbers. Not applicable. 8. The date by which you will be ready to have a hearing in this case if different from the date set in the Scheduling Order. Petitioner believes at this time that it will be ready to have a hearing by the date set in the Scheduling Order, but reserve the right to ask for an extension of the hearing dates should such prove necessary. 9. Other special matters. Petitioner reserves the right to amend this prehearing statement. 3 Respectfully submitted this 25th day of August, 1997. SMITH HELMS MULLISS & MOORE, L.L.P. BY: beth Powell Ye P.O. Box 27525 Raleigh, NC 27611 Tel: (919) 755-8757 NC Bar #15609 Attorneys for Petitioner, Roanoke Rapids Sanitary District 4 MICHAEL F. EASLEY ATTORNEY GENERAL State of North Carolina Department of Justice P. O. BOX 629 RALEIGH 27602.0629 REPLY TO: Hart Njoku-Obi Associate Attorney General Environmental Division Td. (919) 716-6600 Faz.(919) 716-6767 6.0 MEMORANDUM L, TO: Coleen Sullins, DWQ Central Office David Goodrich, DWQ Central Office ' Mark McIntire, DWQ Central Office FROM: Bart Njoku-Obi, Environmental DivisionGrN fyo' DATE: August 28, 1997 RE: Petition for Contested Case Roanoke Rapids Sanitary District v. NCDEHNR, DWQ Halifax County 97 EHR 0855 Please review the enclosed Prehearing Statement from the Petitioner. Therein, the Petitioner generally sets out its concerns regarding this contested case and the subject permit. I spoke with the Petitioner's attorney again today, and she indicated that her client is working on providing more specific details of its concerns. Once these specific details are provided I will follow-up with you to discuss them and, if necessary, look to set up a settlement conference with Petitioner. If you have any questions, please contact me at 716-6600. ep/16947 Roanoke Rapids Sanitary District 1000 Jackson Street P.O. Box 308 May 27, 1997 Mr. David A. Goodrich, Supervisor NPDES Group P. O. Box 29535 Raleigh, N. C. 27626-0535 Roanoke Rapids, NC 27870 (919) 537-9137 Fax (919) 537-9136 Subject: NC0024201 Draft NPDES Permit Roanoke Rapids Sanitary District Roanoke Rapids, NC Dear Mr. Goodrich: RECEIVED .,lai 5 0 1991 DWQ BUDGET OFFICE We have received a draft issue of a revised NPDES permit for our wastewater treatment plant located at the confluence of the Roanoke River and Chockoyotte Creek. Because of numerous and significant changes to the permit, we requested a meeting with your staff to discuss the issues. On May 15, 1997, we met with Juan Mangles, Farrell Krough, and Mark McIntire. During that meeting we were able to resolve several minor issues or discrepancies that were noted in the revised permit. Enclosed ATTACHMENT NUMBER 1 identifies these discrepancies and notes our understanding of agreement on these issues. The proposed standard that continues to be our greatest concern is the requirement for using 79% dilution to evaluate potential toxicity of the effluent. That dilution ratio is 60 times more stringent than the dilution ratio specified in the current permit. The proposed figure appears to us to be an excessive change, especially in the absence of any identifiable problem in the receiving stream. ATTACHMENT NUMBER 2 offers a discussion of this issue. We are requesting further meetings, correspondence, or hearings as necessary to resolve this issue related to toxicity testing prior to the issue of a final NPDES permit. Very truly yours, G. Macon Reavis, Jr. Superintendent cc: Piedmont Olsen Hensley Mr. Preston Howard Mr. Steve Tedder WWTP a:\corres6\NCDEM1970527dg.doc Roanoke Rapids Sanitary District NPDES Permit NC0024201 ATTACHMENT NUMBER 1 Interim Permit June 1,1997 to May 31, 1999 /CBOD limit in the existing permit will be used instead of BOD as stated in the draft permit. 47✓ Fecal Coliform sampling and testing will be modified to continue as the current permit at twice monthly at the designated upstream and downstream location. LX Total Chlorine Residual sampling and testing will not be required during this period since no chlorine is being applied to the effluent at this time. Final Permit June 1, 1999 to May 31, 2002 • The upstream sampling location for Chockoyotte Creek will be review by the Roanoke Rapids Sanitary District for access to the sampling point. Concern was expressed as to the need for this sampling point since no data downstream of the wastewater discharge could be obtained for comparison. Fecal Coliform sampling and testing will be only on plant effluent. No upstream or downstream testing will be required. �CBOD limits in the existing permit will be used instead of BOD as stated in the draft permit. • Continuous reading probes will be acceptable for reporting dissolved oxygen and pH data. Roanoke Rapids Sanitary District NPDES Permit NC0024201 ATTACHMENT NUMBER 2 Anticipated Potential Problems Our concern does not grow out of any problem that is known to us at present, or anticipated by us — there are none. However, we must recognize that we will be required in the near future to implement chlorination of the effluent to meet new regulatory standards. Our chlorination will be followed by dechiorination to remove any residual chlorine before discharge. However, we recognize that some chlorine byproducts which are not removed or destroyed by sulfur dioxide occasionally could result in test failures when organisms are exposed to almost full-strength effluent during bioassay. Similar bioassay test problems could be caused by effluent ammonia content, which occasionally can rise to 1 to 2 mg/I during winter months. These types of test difficulties can occur even though there may be no adverse impacts on aquatic life in the receiving stream. Poor correlation between test results and actual impacts on the stream can occur because temperatures and several other conditions in the chronic toxicity test do not accurately represent those in the stream. Differences between test and stream environments include the types of organisms that are exposed to the effluent as well as concentrations and times of exposure. In addition, other parameters used to evaluate test results do not reflect conditions that would prevail in the short section of Chockoyotte Creek before the mixture enters the Roanoke River. For example, exposure in the test procedure is for about seven to eight days at 25C. Decisions on Pass/Fail are based on whether reproduction rates of Ceriodaphnia dubia in the diluted wastewater are reduced by 20% as compared with "control" organisms maintained in the dilution water over the same time period. On the other hand, field conditions involve different temperatures and different organisms, especially various types of fish. The plant effluent discharges into Chockoyotte Creek at a point only about 100-150 feet from the Roanoke River. Typically, fish and other organisms in the vicinity of the outfall could be expected to remain in contact with the diluted wastewater only for a few minutes, or at most a few hours, before passing upstream from the discharge or entering the main body of the River where there would be extensive further dilution. Impact on those organisms could be expected to be much less than that during the seven to eight days of the bioassay test. The situation that is of concern to us is the very real possibility that occasionally our effluent could fail tests in the bioassays although there might be no corresponding problems in the stream. In such event, we could be judged guilty of violations and required to take various actions that might not be justified based on real world "problems". Past Experience at the Site The outfall for this plant has been located at this spot for over 30 years. During that time, we have had no fish kills in the Creek or the River, although we know that substantial numbers of fish are in the vicinity of the outfall and that is a popular spot for fishing. Also, we have had no complaints from fishermen, regulatory personnel or others about adverse impacts on aquatic life. This is true in spite of the fact that over that period there have been times when the wastewater was treated less thoroughly than it is now and rare occasions when it was even necessary to bypass most or all of the effluent directly to the stream. We feel that this is the "ultimate bioassay" — Full scale discharge into the watercourse under widely varying conditions. i Changing Location of the Outfall It has been suggested on a few occasions that we should consider moving the outfall from its present location to the Roanoke River. No detailed plans for that have been prepared but preliminary engineering estimates suggest a such a move could cost between $300,000 and $1,000,000. Considering the lack of impact on the streams, based on 30 years of successful operation, we must conclude that the "benefit" of such a move must be minimal or non-existent. Clearly, as far as we can tell now, the "Cost/Benefit" ratio for this expensive project would be grossly unfavorable. In addition, the environmental impact of the project could be serious. An outfall relocation would take place in a reach of the River characterized by rapids. At times the water is very shallow when releases from the upstream dams are low. Placing a diffuser pipeline on the River bottom could be unsightly and result in obstruction to navigation. Trenching undoubtedly would require blasting. Considering the cost, poor return in benefits, and potential environmental impacts, it is difficult to predict that an environmental assessment would be favorable. A Rational Approach The current point of discharge is only 100-150 feet from the River, in which major dilution is available and the present dilution ratio of 1.3 appears to be reasonable. The present discharge location and actual dilution ration available at it (whatever it might be) have proven satisfactory over the past 30 years. The treatment plant is well -designed, recently upgraded, and well - operated. An approach that seems reasonable would be to continue in the present mode, including using the current dilution ratio, and for plant and regulatory personnel to monitor conditions in the vicinity of the outfall during the life of the new permit. It will be especially important to examine the situation carefully after initiating the planned chlorination and dechlorination. If any problem arises during this time, all concerned could move quickly to take appropriate corrective steps at that time. It should be recognized that this approach would not jeopardize in any way conditions in the River, which is very near the outfall. If any effect at all is observed, which is unlikely, it could be only in a relatively small portion of the Creek. ?2 f' n I f �:.t J 7 1 o RT - GI~oc_uoYo fl , •ge (5_0`A)) } c•4� TO\ ic • • . —�' a �f; (o `� ;�oQCoX, Ply reA r7 �•� � .c 4c IA/ rp rA-Lye-4"T D/,L 7/ • / F.We /,; 7AP kt-1 Cal Po t I AAD C) ci Av./ WA TeX= (141--4-1)°4-0 C7/151'14 J r I \i--, Jo -es -oAt_Pa c. vlov,p4z., ,P..k.dync(v+ okqn o 4.)0t, mocrij L. / a Ksoiawc.i It 1 is4 Ft-c.4 a Rs v al•ve,616t, f/A-73,6 r__5(.7a (-74-71-)C--1 e55 AGENDA NPDES Permit Renewal Meeting with Division of Water Quality and Roanoke Rapids Sanitary District WWTP May 15, 1997, 2:00 p.m. 1. Introduction No* RCA) 15 -100/N Ce 'c* Ci44, 0 2. Interim Permit Fecals ,1/41 ... ,�'cs. 041 C12 ctavms f e e_Aw-, Upstream/Downstream Monitoring Issues Temperature Dissolved Oxygen 4. General Issues Sharing Sampling Data Upstream Chockoyotte Creek Sampling 5. Final Permit Issues Pr �t.ot1 ) Ot•••4 , r 1C`'�/V 64.,Qt h1Vf ' ) TccA1 £ CL7_ - upk,tve.v-i r l. I i7/1 A S 12G-v i O t15 l' �.^H) O N Probe Reading for D.O. and pH d { G ,z �'U!� 4- •P� oJ��z_ CBOD vs. BOD ' L., I, kc, eve', pit, '-fir- 6. Chronic Toxicity . No ::-'p1Al^ , - ��Ii •an) ti D )c'� Modeling Cost Benefit Environmental Impact Other 7. Summary <I c, Of1TO 7) CIA kVA ni- � _ t i( N-rAtta, N S j -C G NrLc NOS' /Q j 11 i , r�fi e ' - vnk- c- o n.57. r/cvfi Alfa. b c. c/o° a,Ahrt i(,t(C.s Ate 11)as, 1Ar s FROM :•ROANOkE RAPIDS SANITARY DI ST PHONE NO. : 919 537 9136 Apr. 10 1997 10: WWI P2 Roanoke Rapids Sanitary District 1,000 Jackson Street P.O. Box 308 Roanoke Rapids, NC 27870 (919) 537-9137 Fax (919) 537-9136 Certified Mail Retur_a.Receipt Requested April 10, 1997 Mr..David A. Goodrich, Supervisor NPDES Group Division of Environmental Management NC Department of EHNR P. O. Box 29535 Raleigh, N. C. 27626-0535 Subject: Draft NPDES Permit Permit No. NC0024201 Roanoke Rapids VWVTP Halifax County Dear Mr. Goodrich: Prior to issuance of the proposed permit, the Roanoke Rapids Sanitary District hereby requests a meeting with the State to discuss our concerns with the modifications to the existing permit. The District would like consideration for these concerns prior to the formulation of final determinations regarding the proposed permit. Very truly yours, G. Macon Reavis, Jr. Superintendent • cc: Mr. Mark McIntire Piedmont Olsen Hensley WWTP a:\corrrs5lncdem1970410dg.doc I o-a ; North Carolina Division of Water Quality Water Quality Section January 8, 1997 MEMORANDUM To: Compliance G From: Farrell KeouglT Through: Carla Sanderson( I p & Raleigh Regional Office Subject: Roanoke Rapids Sanitary District NCO24201 Halifax County Follow-up on change in Toxicity Test A wasteload allocation is being processed for this discharge. The discharge for this facility was not relocated, (as stipulated in their previous permit) therefore, a study was performed that attempted to determine that IWC of the effluent in this tributary. The reason that an IWC was to be determined over the 7Q10, (est. 0.6 cfs from December 3, 1994 memo) is because the head pressure of the Roanoke River will push water up into Chockoyotte Creek, thereby creating more dilution than would be available under 7Q10 conditions. The study amounted to monitoring for chlorides and conductivity both instream and at the effluent. These numbers would then be back -calculated to determine the IWC of the effluent into the immediate receiving stream. After compiling the data, it was determined that chlorides were not providing a sound representation of the instream effects. Therefore, conductivity was used to determine the IWC. It was assumed that no upstream conductivity interference was taking place and the numbers for the various locations, (refer map attached to study data in separate file) were calculated. The immediate dilution for the discharge, (using the permitted flow) was calculated to be 79%. Because only a small area of the receiving is impacted before full dilution in the Roanoke River is achieved, the immediate dilution IWC will be implemented for the WET limit only. However, upon a major modification or expansion, metals limits will be evaluated at the calculated IWC. The toxics, (e.g. metals limits) were calculated using the eventual dilution into the Roanoke River, which yields an IWC of 1.1%. The Technical Support Branch requests that this facility be flagged for any toxicity test failures and possible re -opening of the permit to include limits for metals. The IWC from this study was not used to determine metals limits, (at this time) but applying it should be considered if toxicity test failures do occur. Please be advised that the facility should be installing chlorination / dechlorination facilities in the next few months and this may cause toxicity test problems. But, any other failures not attributed to chlorine should be reviewed with possible metals limits. cc La_ laZe Gdodrich & Mark'McIntire, Permits & Engineering